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Comment 75 for Public Comments for LCFS pathway applications (tier2lcfspathways-ws) - 2nd Workshop.
First Name: Kevin
Last Name: Hamilton
Email Address: kevin.hamilton@centralcalasthma.org
Affiliation: CENTRAL CALIFORNIA ASTHMA COLLABORATIVE
Subject: B0173 DF-AP #1, LLC (C1122); Idaho B017301 Big Sky Ranch
Comment:
Central California Asthma Collaborative opposed the (provisional) approval of dairy digester gas for transportation purposes as a candidate for LCFS eligibility. CPUC and the CA state legislature have yet to settle the issue of whether this gas will be included for either RPS inventory inclusion, if included what the targets are. Those same entities have yet to agree that this source of transportation fuel is eligible for LCFS program entry. Last but not least, the AB 1383 recommendations clearly recommends that should these decisions by the legislature and agencies be made in favor of adding the source to the LCFS program, preference of CA based digestor produced gas over that from out of state be mandated. Therefore any action, provisional or otherwise, on the part of ARB is premature.
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Date and Time Comment Was Submitted: 2021-09-07 17:23:19
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