First Name | Robert |
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Last Name | Schlingman |
Email Address | robert.schlingman@united.com |
Affiliation | United Airlines, Inc. |
Subject | United Airlines, Inc.’s Comments |
Comment | Attached and submitted via email to Mr. Richard Bode please find United Airlines, Inc. (“United”) comments on the proposed Amendments to the Regulation for the Mandatory Reporting of Greenhouse Gas emissions (Mandatory Reporting Regulation, or “MRR”), which are scheduled for adoption by ARB on October 24, 2013. As discussed in detail on the attachment, United’s principal concern is the proposed MRR amendment in section 95104(e). This proposed new section would require operators of affected facilities to report whether an increase in toxic air contaminants (“TACs”) or criteria pollutants may have occurred from its facility, and to specify the reasons for such potential increases. Rather than including this new section in the MRR, United respectfully suggests that ARB should omit this proposed section and instead refer to the emissions inventory information that the California Air Districts and U.S. EPA maintain. United appreciates the opportunity to comment on the proposed MRR amendments and urges consideration of our comments. |
Attachment | www.arb.ca.gov/lists/com-attach/30-ghg2013-VyJROQNrBCMEZ1I2.pdf |
Original File Name | United_Airlines_GHG_MRR_Comments .pdf |
Date and Time Comment Was Submitted | 2013-10-22 11:39:31 |
If you have any questions or comments please contact Clerk of the Board at (916) 322-5594.