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Comment 1 for CA Reg. and Cert. Procedures for LD Engine Packages for Use in New LD Specially Produced Motor Vehicles for 2019 and Subsequent Model Years (spmv2018) - 45 Day.

First NameJesse
Last NameGlickenhaus
Email Addressjesse@scgcars.com
AffiliationScuderia Cameron Glickenhaus
Subjectthree comments from SPMV manufacturer
Comment
Dear Board,

We are a NHTSA-Approved Low Volume Manufacturer who is eager to
work with CARB to create CARB-compliant SPMVs for manufacture and
sale in the State of California and also for sale outside of
California. We are ready to begin producing these vehicles in
California immediately, as soon as we are approved by CARB. We will
be working with many local businesses and suppliers and creating
jobs in California.

In order for this to happen, we have two minor but crucial
recommendations for the proposed regulations. The regulation's
definition of SPMV should be identical to the definition of
"replica" in the FAST Act. Also, the regulation should not require
the SPMV manufacturer to be EPA certified if neither the FAST Act
nor EPA have such a requirement. 

We hope CARB will consider these minor but crucial changes to allow
us to immediately start. If CARB accepts our proposed changes, we
are prepared to spend over $500,000 over the next 12 months
starting immediately, all within the State of California to
engineer and build the first run of these vehicles. We anticipate
our investments and spending to manufacture, develop, test, and
build these vehicles could easily top $10 million dollars per year
spent in the State of California alone starting in 2020.

Reach out with any questions or concerns.

Thank you.

Sincerely,
Jesse Glickenhaus
Managing Director, Scuderia Cameron Glickenhaus LLC
Jesse@scgcars.com

Attachment www.arb.ca.gov/lists/com-attach/1-spmv2018-BnZTIAdkU2wHaFMw.pdf
Original File NamePublic Comments forCARB Final.pdf
Date and Time Comment Was Submitted 2018-09-27 08:12:38

If you have any questions or comments please contact Clerk of the Board at (916) 322-5594.


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