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Comment 92 for Public Workshop to Discuss Potential Future Changes to the LCFS Program (lcfs-wkshp-dec21-ws) - 1st Workshop.
First Name: Graham
Last Name: Noyes
Email Address: graham@lcfcoalition.com
Affiliation: Low Carbon Fuels Coalition
Subject: Recommendation to Integrate Farming Practices and Soil Carbon into LCFS
Comment:
The attached letter contains principles developed by a broad group of industry stakeholders including farmers, low carbon fuel producers, non-governmental organizations, and trade associations. We are recommending that the California Air Resources Board recognize farming practices and other methods of soil carbon sequestration into the Low Carbon Fuel Standard Rulemaking. Specifically, we are encouraging CARB to recognize SCS within the next iteration of the CA-GREET model that underlies the LCFS program. Thank you for your consideration of these comments. We look forward to future engagement on this issue. Best Regards, Graham Noyes Low Carbon Fuels Coalition Brendan Jordan Great Plains Institute Brian Jennings American Coalition for Ethanol Floyd Vergara National Biodiesel Board Chris Vervaet Canadian Oilseed Processors Association
Attachment: www.arb.ca.gov/lists/com-attach/124-lcfs-wkshp-dec21-ws-UGcFXAZtADIFbVIN.pdf
Original File Name: 7 Jan 2022 Joint Soil Carbon Letter Final.pdf
Date and Time Comment Was Submitted: 2022-01-07 16:46:08
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