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Comment 62 for Supplement to FED -AB-32 Scoping with CEQA (ceqa-sp11) - Non-Reg.

First NamePaul
Last NameFritz
Email Addresspcfritz2000@yahoo.com
Affiliation
SubjectAB 32 Cap and Trade
Comment
Dear CARB,

Specific carbon market designs can address objections raised by
groups critical of the impacts of AB 32′s Cap & Trade
program.  Instead of giveaways to polluting industries, CARB should
auction 100% of permits. Rather than unlimited offsets, CARB should
strictly limit them.  Inequities in the use of allowance value can
be addressed with a Cap & Dividend approach that returns revenues
back to all Californians equally.  

Please incorporate these elements into the environmental analysis.

Attachment
Original File Name
Date and Time Comment Was Submitted 2011-07-28 08:59:39

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