First Name: | Graham |
---|---|
Last Name: | Noyes |
Email Address: | graham@noyeslawcorp.com |
Affiliation | Noyes Law Corporation |
Subject | Sustainable Aviation Fuel Producer Group Comments RE: Aviation Scenarios |
Comment |
The attached comment letter is submitted on behalf of the sustainable aviation fuel (SAF) producer group. The SAF Producer Group is composed of some of the world's leading companies producing SAF or developing SAF production facilities including Alder Fuels, Fulcrum BioEnergy, Gevo, LanzaJet, Red Rock Biofuels, Velocys, and World Energy. Many of these companies participated in the last major Low Carbon Fuel Standard (LCFS) rulemaking and supported the inclusion of alternative jet fuel (AJF)1 in the LCFS on an opt-in basis. The SAF Producer Group would like to commend the California Air Resources Board (CARB) for CARB's decision in that rulemaking to integrate AJF uplifted in California into the LCFS effective January 1, 2018. CARB's policy leadership regarding SAF has firmly established California as the leading SAF state in the country from both a supply and demand standpoint and has placed California in the top tier of locations globally supporting the expansion of SAF. We appreciate the opportunity to provide comments to the 2022 Scoping Plan pertaining to the aviation sector and of major import to the SAF industry. If there are any issues with the filing of this comment, or if further information is requested, please contact me. Best Regards, Graham Graham Noyes Noyes Law Corporation 401 Spring Street, Suite 205 Nevada City, CA 95959 www.fuelandcarbonlaw.com (530)264-7157 Direct graham@noyeslawcorp.com https://www.linkedin.com/in/grahamnoyes @Graham Noyes |
Attachment |
www.arb.ca.gov/lists/com-attach/38-sp22-inputs-ws-BWtROwZkUFwAdQRl.pdf Original File Name: NLC SAF LTR TO CARB Scoping Plan 22 Oct 2021.pdf
Date and Time Comment Was Submitted: 2021-10-22 12:14:39 |
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