First Name: | Sherrie |
---|---|
Last Name: | Merrow |
Email Address: | smerrow@ngvamerica.org |
Affiliation | NGVAmerica |
Subject | NGVAmerica Comments on the CA LCFS Alternative Scenarios |
Comment |
Chair Randolph: As stated in our attached comment letter, NGVAmerica strongly believes that RNG-operated low NOx vehicles must be a key component in the CARB LCFS program if emissions reductions are to occur in any reasonable timeframe. Alternative C of the LCFS alternatives makes no changes in the program, thereby allowing the current performance based assessment of fuels in the LCFS to be maintained to encourage and incentivize vehicles that operate on low and carbon negative fuels. This will also provide market certainty to those engaged in or planning avoided methane and RNG production projects. Statutory requirements are pressing on California and CARB needs solutions that work now to decarbonize and clean California's environment. Therefore, we request that RNG-operated low NOx trucks be prominent in CARB's strategies as an immediate pathway to a zero emission future. Thank you for your consideration, and please contact me at smerrow@ngvamerica.org or 303.883.5121 with any comments or questions. Sincerely, Sherrie Merrow NGVAmerica State Government Affairs Director |
Attachment |
www.arb.ca.gov/lists/com-attach/43-lcfs-wkshp-nov22-ws-VzlVNFYhVmQCaVM2.pdf Original File Name: NGVAmerica Comments on CARB LCFS Alternative Scenarios - Dec 19 2022.pdf
Date and Time Comment Was Submitted: 2022-12-19 15:18:31 |
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