California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Ryan Thomas
22216 Victory Blvd #C209
Woodland Hills, CA 91367
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Chelsea habighorst
5548 oceanic rd
holiday, FL 34690
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Laura Vaughan
3016 W Harbor View Ave
Tampa, FL 33611
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Sheila Parsons
683 San Jose Ct
Chula Vista, CA 91914
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Deborah Barbato
6445 W. 5th St.
Los Angeles, CA 90048
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Dahlman Julie
4434 NE 64
Portland, OR 97218
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
christine vaudrinrios
p.o. box 1732
orting, WA 98360
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Paul Naylor
1827 Harris #307
Eugene, OR 97403
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Lisa Schoenberger
30652 Rainbow View Dr
Agoura Hills, CA 91301
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Marian Lanz
17 16th Street
hermosa beach, CA 90254
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
SUSAN MARDEN
47 GRAY ROAD
NORTH VASSALBORO, ME 04962
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Nancy Parsons
1130 Miles Ave.
Pacific Grove, CA 93950
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Nathaniel Kappel
15823 North 6th Avenue
Phoenix, AZ 85023
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Dena Jensen
19031 Singing Wood
Trabuco Canyon, CA 92679
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Zoila Contreras
112 milpas 03
santa barbara, CA 93101
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
ingrid mayer
100 oak ridge road
san rafael, CA 94903
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Maureen Hurley
11816 Chandler Blvd #12
Valley Village, CA 91607
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Audrey J. Anderson
P. O. Box 3310
Los Altos, CA 94024-0310
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Takuji Soyama
2-14-15 Higashiabiko
306 PatioSquareTennoudai
Abiko-si 270-1144
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
Let's step it up.
Global warming is no bueno.
Sincerely,
KIM LEERDAM
410 N ROSSMORE
LOS ANGELES, CA 90004
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Valerie Green
2150 Jefferson Ave
Saint Paul, MN 55105
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Laura Garcia
1668 Dennis Babjack Dr.
El Paso, TX 79936
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
kristi wilson
999 Pinecrest Ave.
escondido, CA 92025
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Beverley Concannon
4114 Laguna Avenue
Oakland, CA 94602
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Tiffany Biascochea
408 South Locust Street
U.B.Box 5078
Greencastle, IN 46135
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Cameron Blais
13 Fairground Road
Springfield, VT 05156
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Larry T Schultz
850 S Broadway 600
Los Angeles, CA 90014
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Caroline Jurovic
1809 1/2 Edgecliffe
Los Angeles, CA 90026
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Russ Beaudin
757 18th Ave
San Francisco, CA 94121
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Christina Kim
611 W Ave 46
Los Angeles, CA 90065
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Lindon Schultz
1809 1/2 Edgecliffe Drive
Los Angeles, CA 90026
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
kassia pencek
244 E. Main St.
Leola, PA 17540
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Claire Bailey
1458 Vinton
Memphis, TN 38104
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Elizabeth P. Barnes
2205 Beagle Club Rd
Vinton, VA 24179
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
vicki lam
PO Box 13
Plymouth, IL 62367-0013
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Diana Larionov
25551 Prado De Oro
Calabasas, CA 91302
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
SatKartar Khalsa
674 Ivy St
San Francisco, CA 94102
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Gini Granholm
9423 Brentwood St.
Westminster, CO 80021
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Leanora Salazar
222 S. Birch St.
Santa Ana, CA 92701
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Matthew McCoy
1598 Steinbeck Dr
Roseville, CA 95747
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Amber Davison
7115 Cider Mill Cir Apt 1C
Indianapolis, IN 46226
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Michael Workman
3990 Crown Point Dr Apt 1
San Diego, CA 92109
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
carol gable
p.o. box 775
Malibu, CA 90265
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Ramona Egress
510 Baywood Ct.
Ukiah, CA 95482
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
James Westwater
55 S Brett St
Beacon, NY 12508
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Loyal Osterlund
1408 National Ave.
New Bern, NC 28560
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Amy Conroy
2828 Edison Rd.
South Bend, IN 46615
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Jayne Petretti
P.O. Box 85
Leonia, NJ 07605
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Dru Stringfellow
4512 E. Stephens Drive
Bloomington, IN 47408
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
James Ward
112 Knollwood Rd.
West Hartford, CT 06110
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Janet Autenrieth
337 Charles St.
Torrington, CT 06790
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
niza tonarely
150 st. thomas more rd.
chestnut hill, MA 02467
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Debra Singer
807 El Camino Real, #3
Burlingame, CA 94010
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
AnnMarie Cambrai
17 Bay Ave
p.o. box 1406
Lake Ronk., NY 11779
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Donna Shanske
3855 Albatross St.
San Diego, CA 92103
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Jared Mankoff
1825 rolling rd
greensboro, NC 27403
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely, Derek Gendvil 9030 W. Sahara Ave. #360 Las Vegas, NV
89117
Sincerely,
Derek Gendvil
9030 W Sahara Ave # 360
Las Vegas, NV 89117
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Kelley Drake
141 West 10th St
Apt 2
New York, NY 10014
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
lourdes Raroque
1835 church ave
San Mateo, CA 94401
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Elena Dragomir
91A,General Magheru street
Craiova 200547
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Mollie MacNamara
261 Spruce Court
Flemington, NJ 08822
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Kathleen Brunet
33911 Robles Dr
Dana Point, CA 92629
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Paul Fairbrother
5017 W. Dahlia Dr.
Glendale, AZ 85304
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
mike malloy
4 danvers street
san francisco, CA 94114
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Jess Smith
428 Peach Grove Lane
Santa Barbara, CA 93105
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Paul Grant
2447 Creekhollow Lane
Davis, CA 95616
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
roberta e. newman
300 monte vista ave.
mill valley, CA 94941
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth. Thank you.
Sincerely,
Jenny O'Neil
Eddy County
Carlsbad, NM 88220
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
Time is running out and California must take the lead in
developing renewable energy resources. The future of the planet
and mankind as well, depends on it. Let's stop dithering while
the planet burns.
Kudos to California Air Resources Board staff for developing a
strong proposed scoping plan for the Global Warming Solutions
Act (AB 32). However, we must strengthen the plan to ensure that
California's environment and economy are protected for future
generations. Accordingly, please accomplish the following:
1) increase the global warming pollution reduction target for
land use to allow California to realize the full benefits of
better transportation and land use planning;
2) Include additional regulations for the industrial sector,
particularly for refineries, as an element of the plan to ensure
basic health protections in our communities;
3) Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
4) Offsets must be severely limited to a very minor portion of
the emission reductions to be achieved by each polluter.
Polluters also must be held responsible and pay for their
emissions through an auction, and the funds collected must be
used to invest in clean energy solutions and further pollution
reductions.
Thank you for the Global Warming Solutions Act. Please include
the above into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Michael Linvill
1317 Lincoln Ave Apt 15
San Rafael, CA 94901
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Erin Conroy
647 Poirier St.
Oakland, CA 94609
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Gretchen Bleiler
2201 David Place
Carlsbad, CA 92008
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Brenda Sherman
3143 Hidden Creek Dr
Chico, CA 95973-5846
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Linda Marie
4 Deans Lane
Bayville, NY 11709
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Cameron Barfield
1502 Jenvey Avenue
San Jose, CA 95125
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Bonnie Farrow
1502 Jenvey Avenue
San Jose, CA 95125
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
David Kancsar
8721 Leeward Drive
Las Vegas, NV 89117
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Wendy Peer
316 Hollowood Dr
West Lafayette, IN 47906
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Henry Oliver
10770 Shagbark Trail
Roswell, GA 30075
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Julie Tessler
167 East 61st
8D
New York, NY 10065
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Patrick Tubach
119 Van Buren Ct
Novato, CA 94947
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Joanna Sandsmark
10949 Fruitland Dr.
Apt. 8
Studio City, CA 91604
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Tyler Kerce
2864 Inroz Dr.
Costa Mesa, CA 92626
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Jane Nichol
4553 White Oak Place
Encino, CA 91316
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Carole Ryan
717 Carlisle Way
Sunnyvale, CA 94087-3428
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Aurora Tardieu
POS 0202 7620 NW 63rd St
Miami, FL 33166
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Chan NA
NA
NA
Singapore NA
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Liz Boettcher
826 Parkman Ave.
Los Angeles, CA 90026
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Susan Hopkins
11 La Paloma Drive
Irvine, CA 92620
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
lynn noe
28065 radford dr
sun city, CA 92586
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Jeany Joyce
2514 N. Barrow Ct.
Chandler, AZ 85224
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
L. P. Fishkin
171 Gramercy Rd.
Bala Cynwyd, PA 19004
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Elizabeth Schaack
2621 N Sacramento Ave
#1
Chicago, IL 60647
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Kenneth TABACHNICK
P.O. Box 381
Woodland Hills, CA 91365
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
tom watson
112 Adams Drive
montauk point, NY 11954
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Carolanna Johnson
P. O. Box 4585
Carmel, CA 93921
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Gregory Reingruber
3805 Elm Ave
Brookfield, IL 60513
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
C. Summers
31708 Broad Bch. Rd.
Malibu, CA 90265
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
valle l. tello
174 ouklipmuur lane
berkely, CA 0041
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Bradley Coleman
12 Crest Rd
East Brunswick, NJ 08816
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Andrew Switzer
2855 Johnson Ave
Alameda, CA 94501-3005
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Diane Allen
294 Indian Road
Piedmont, CA 9461
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Rebekah Wilson
3633 12th Ave S
Minneapolis, MN 55407
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Martha Johnson
4404 Water Oak Ct
Concord, CA 94521
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Kerry Kiley
3777 Crow Canyon Road
San Ramon, CA 94582
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Stephen Martin
2908 Harper St.
Berkeley, CA 94703
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Nancy Fanos
23839 Arroyo Park Dr
Apt 912
Valencia, CA 91355
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Jason Bishop
4156 Upper Glade Ct
Ann Arbor, MI 48103
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Jeff Gammon
812 Vermont St., Apt. B
Oakland, CA 94610
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Karin Flores
1232 N. Hollywood Way
Apt B
Burbank, CA 91505
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Jon Swailes
3366 E 1st St
Long Beach, CA 90803
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Suzanne Dehmel
12927 Walsh Avenue
Los ANgeles, CA 90066
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
saaliha campbell
4006mercer un dr.
villawest apt. 107c
macon, GA 31204
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Kristina Thorpe
P.O. Box 50804
Montecito, CA 93150
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Neil Morgan
22215 Susana Ave
Torrance, CA 90505
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Doreen John
1805 Village Green Dr. #21
Mill Creek, WA 98012
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Michael Tullius
5229 Balboa Blvd. Unit 13
Encino, CA 91316
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Ruenn Chiou Hwang
2012B Harriman Lane
Redondo Beach, CA 90278-4228
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
David Dunkleberger
1290 Almshouse Road
Apt. # 628
Doylestown, PA 18901
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Lee Baron
1985 SW Palm City Rd.
Stuart, FL 34994
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Timothy Johnston
825 Fell St., Apt. 1
San Francisco, CA 94117
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
linda wright
52 doran dr
east falmouth, MA 02536
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Carolyn Bern
3400 Summerhill Drive
Montgomery, AL 36111
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Megan Miller
318 Anacapa Dr.
Roseville, CA 95678
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Heather Froeming
825 La Strada
Fallbrook, CA 92028
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Bartek Odias
Ogrodowa 2
Goleszow 43440
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Courtney Guinard
1-24 kenneth ave
fairlawn, NJ 07410
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Bartt Emerson
19644 Barclay Road
Castro Valley, CA 94546-3250
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Hilary Entley
1110 w 4th st
apt 1b
erie, PA 16507
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Carole Garrett
351 Cimmaron Cir.
Folsom, CA 95630
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Erica Jackson
2221 Duman Road
Ebensburg, PA 15931
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Ragen Tilzey, CPA
P.O. Box 75
Samoa, CA 95564
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Heather Buller
3669 Arden Ave Apt#2L
Brookfield, IL 60513
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations. As a California Lake Tahoe
Resident I also relate to the importance of including climate
change analysis to the cumulative impacts of plans and projects
of the Basin.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Flavia Sordelet
PO Box 6754
Tahoe City, CA 96145
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Mary Blette
101 Oak Street
Suite A 106
Copperas Cove, TX 76522
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Donovan Lerch
7620 79th St. S.
Cottage Grove, MN 55016
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Jessica Boyk
1100 Foxworth Blvd
Lombard, IL 60148
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Nora McDowell
2436 Meadowbrook Road
Sacramento, CA 95825
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Evy Jasinek
5957 Highland Hills Drive
Westerville, OH 43082
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Evan Briones
14782 S Camino Tierra Alegra
Sahuarita, AZ 85629-8985
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Freya Fuhrman
2322 N. Commonwealth Ave.
Chicago, IL 60614
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Carolyn Tonahill
7575 Bishop Ott Drive
Villa Saint Francis Apt. 209
Baton Rouge, LA 7
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Sarah Cespedes
227 El Verde Lane
Brownsville, TX 78520
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Hester Dillon
323 East Morse Street
Dillon, MT 59725
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Anne Tobin
314 Pershing Dr
Playa Del Rey, CA 90293
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Vincent Brock
8377 Gregory Way
Beverly Hills, CA 90211
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Patricia H
11820 Los Alisos Cir
Norwalk, CA 90650
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
John Marin
49 Missouri St
San Francisco, CA 94107
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Amy Bostick
21374 Dunn St.
Wildomar, CA 92595
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Alice Olivo
Via Venezia
Trebaseleghe 35010
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
ZACK THOMSEN
484 OLIVE AVE
FREMONT, CA 94539
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
BiLL Fowlie
19 Wellington Rd
Harmony, ME 04942
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Kelly Camp
1300 Adams Ave
/#28R
Costa Mesa, CA 92626
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Corbina Mancuso
2917 MacArthur Blvd. #4H
Oakland, CA 94602
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I am writing today to implore you to improve the
following aspects of the plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Robert Loucks
8218 West Preserve Loop
Chino, CA 91708-9305
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Linda Drescher
9 S. Holman Way
G, CO 80401
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
B. L. blitz
14044 panay way
marina del rey, CA 90292
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Suzanne Mcgee
927 22nd St. #16
Bellingham, WA 98225
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Ron Tihal
3748 N. Ridgeway Ave
Chicago, IL 60618
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Solange Froning
7147 Cambridge Avenue
Alta Loma, CA 91701
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Terrence Sherry
18371 patterson lane
huntington beach, CA 92646
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Neal Anderson
781 Morada Pl
Altadena, CA 91001
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Tim Redfern
1690 Main Street
Mosheim, TN 37818
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Corinna Gebert
1240 Preston Way
#302
Venice, CA 90291
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Jennifer Kirkman
716 N. Edinburgh Avenue
Los Angeles, CA 90046
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
May California show us the way forward to cleaner energy that
will wean us off foreign oil and save us from ourselves.
Sincerely,
Winnefred Frolik
Apt. 712 8811 Colesville Road
Silver Spring, MD 20901
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Pamylle Greinke
43385 Main Rd.
P.O. Box 456
Peconic, NY 11958
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Valerie Hildebrand
Winnipeg
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
jude skurray
67 lake drive
kensington, CA 94708
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Cierra Marchione
952 W. Kensington Rd
Apt. #3
Los Angeles, CA 90026
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
mika blanco
PO Box 7723
hilo, HI 96720
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Catalina Valverde-Ayllon
14207 Grand Pre Rd
Silver Spring, MD 20906
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Jan Case Koerwitz
44 Winfield Lane
Walnut Creek, CA 94595
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Elle Lake
10 Charbray pl
Tyalgu,, AL 2484
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Maurice Goulding
401 s. Grove
Oak Park, IL 60302
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Regina Heatt
1609 Imperial Cup Drive
Las Vegas, NV 89117
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Julie Beer
334 College Ave Apt E
Palo Alto, CA 94306-1518
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Jammey Colby
16 Mathewson St
Apt 2
Narragansett, RI 02882
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Reginald Durant
8 Cherry S
Irvine, CA 92612
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Erin Maker
po box 595
santa barbara, CA 93102
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Rose Shulman
8917 Vagabond Road
Charlotte, NC 28227
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Gregory Ginn
1714 High Meadows Ct
South Lake Tahoe, CA 96150
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Mary Jo Knox
7465 Mcclure Ave
Pittsburgh, PA 15218
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
carolina donnantuoni
53 East Transit St.
providence, RI 02906
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Steve Conrad
810 Main St
Henrietta, MO 64036
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Janice M. Burke
2262 Evans Street
Rahway, NJ 07065
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Alexandra Bowers
973 Summerleaf Drive
San Jose, CA 95120
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Richard Elzby
R.R.#1
119 Cedar Ave
Meaford, ON N4L 1W5
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Daniel Cuesta
1910 East Merion Drive
Ontario, CA 91761
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Dave Kajtaniak
4008 Brookwood Dr
Bayside, CA 95524
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Peter Viglia II
32051 Buffalo Creek Road
Evergreen, CO 80439
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Brian Youngs
2414 Leonardo Street
Davis, CA 95618-7631
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Dennis Thomas
147 St. Germain
Pleasant Hill, CA 94523
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
ludmila Vyssotskaia
house 6 apartment 402
Kupchinskaia street
Saint Petersburg 192284
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Patricia Nickles
1625 E. Maple Ave., # 8
El Segundo, CA 90245
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Aaron Flores
PO Box 4818
Chico, CA 95927
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Thomas Fisher
166 Tower Rd.
Lincoln, MA 01773
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Ernie Roberts
521 Linden Street
Crete, IL 60417
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Laurence Bourguignon
17, Résidence Henri Dunant
Appartement 162
Vannes 56000
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Lori Barrett
5890 E. Hwy. 20
Space 34
Lucerne, CA 95458
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Rene Ferretti
P.O. Box 1471
Columbia Falls, MT 59912
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Tricia Dillard
13835 NE 11th St
Bellevue, WA 98005
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Sieglinde Johnson
616 Mystic Vw
Laguna Beach, CA 92651-1921
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
veronica farmer
701 pickering lane
phoenixville, PA 19460
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Laura Wireman
621 Edgewater Avenue
Oceanside, CA 92057
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Randi Quale
141 East Drive
Centerville, OH 45458
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Alan Sharpe
2/1082 Supalaiburi condo
Klong 4
Klong Luang 12120
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Marisa Knefel
79 Ellendale St
Bel Air, MD 21014
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
jaquelyn chagnon
214 Grand Canyon Dr.
Madison, WI 53705
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Robert Brosius, Jr.
5700 Etiwanda Ave
Unit 224
Tarzana, CA 91356
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
Please save our world by fighting the climate change done by
mankind. Remember that there is no other planet where we all can
live. It is time to use your voice and your power to do
everything that is possible to fight against global warming.
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Suzanna van der Voort
Lareshof 9
Maastricht 6215RE
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Luise Perenne
10091 San Pablo Court
Fountain Valley, CA 92708
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Yenli Moore
3100 college ave
BERKELEY, CA 94705
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Bob Freeborn-Rubin
340 Old Mill Rd #200
Santa Barbara, CA 93110
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Kelly Marshall
167B Ave. Florencia
San Clemente, CA 92672
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Jonathan Wilson
1601 Iron Horse Cir
Colton, CA 92324
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
peter Weiner
p.o.box 11281
Burbank, CA 91510
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Jacqueline Lasahn
808 Balra Drive
El Cerrito, CA 94530
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Jessine Foss
3242A Briggs Ave
Alameda, CA 94501
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Julie Muskat
10703 Weather Stone Ct
Loveland, OH 45140-7402
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Elise Ahrens-Townsend
Winnipeg
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Sharon Connor
135 Johnston Dr.
Bishop, CA 93514
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Corrine Tansowny
3275 Signal Hill Dr Sw
Calgary, AB T3H 3T7
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
William Wollner
323 E Magnolia St.
Stockton, CA 95202
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Jill Bachelis
2220 Avenue of the Stars, 1102W
Los Angeles, CA 90067
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Brian Oliver
40 Carleton Ave
Amityville, NY 11701
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Adam Parke
PO Box 773719
Steamboat Springs, CO 80477
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Roger Woitte
541 Florida Ave #204
Herndon, VA 20170
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Felica Melia
8015 Crown Point Ave
Omaha, NE 68134
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Familie Hanke
örtzstr.23
Wolfsburg 38440
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Brijesh Shah
384 E 15th Avenue
Columbus, OH 43201-4900
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Judit Toth
PO Box 16433
N Hollywood, CA 91615
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Anna Connolly
51 Avondale Lawn
Blackrock
Co.Dublin, TN n/a
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Patrick Lewis
5980 Horton St., #200
Emeryville, CA 94608
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
PLEASE!
PLEASE!!
PLEASE!!!
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Samuel Child
30 Woodland Dr.
Contoocook, NH 03229-2532
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Patrick Rogers
1575 W. Warm Springs Rd.
2924
Henderson, NV 89014
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Kelly Galvin
106 Via Sonoma
San Clemente, CA 92673
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Juanita Pacheco
6160 E. Bellevue St., #304A
Tucson, AZ 85712
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Ben %pa_first_name% Karen McClinton
231 Stanford Avenue
Kensington, CA 94708-1103
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Ameer Sanghvi
P.O. Box 3106
Anaheim, CA 92803
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Sasha Silvestrini
501 19th St., Apt. B
Sacramento, CA 95814
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Jessica Dora
1498 Tunnel Road
Santa Barbara, CA 93105
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
carl holmes
18 walby close
wirral CH49 7ND
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Page Ediger
3843 Howard Ave
Los Alamitos, CA 90720
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
D. Donovan
4715 Orion Avenue
#201
Sherman Oaks, CA 91403
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
CALVIN CHAPMAN
6404 DOYLE ST.
EMERYVILLE, CA 94608-1137
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Katherine Perkins
14297 Culver Ct.
Magalia, CA 95954
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
bruna fernandes
bairro da malagueira,rua jardim das fontes,12
évora 7000706
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Dianne Kadah Tanaka
101 Combs Lane
Vallejo, CA 94590
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
David Peake
1318 1/2 Havenhurst Dr Apt 15
West Hollywood, CA 90046-4520
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
marty Templeton
3647 Gundry Ave.
Long Beach, CA 90807
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
LeeAnn Rolls
207 Taylor St
Roseville, CA 95678
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Luke Fernandez
900 Prologue Rd
Durham, NC 27712
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Kurtis Moffitt
6450 Frankie Lane
Prunedale, CA 93907
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
liz hackney
722 oak st
egg harbor, NJ 08215
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Jennifer Wilde
1152 Regent St Apt F
Alameda, CA 94501
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Aerial Anger
1100 Garden View Rd
Apt 317
Encinitas, CA 92024
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Kleopatra Ormos
P.O.Box 647
Falmouth, MA 02541
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Cheri Bensaid
2840 Shadowbriar Dr.
Apt 810
Houston, TX 77077
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Shelly Davis
1017 Clearview Street
Tehachapi, CA 93561
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
dogan ozkan
Zambak sok no:8/10 ciftci apt.
dikilitas besiktas
istanbul turkey, AK 34750
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
RENEE Tabone
PO BOX 583
Penngrove, CA 94951
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Ted Ingalls
732 Simon St
Galt, CA 95632
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Wendy Bauer
162 Staples
San Francisco, CA 94112
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I am writing as a teacher of 9 and 10 year old Californians who
will be on this earth a lot longer than me. I would like them to
live in a state that is setting an example for other states for
positive environmental change. I would like children today to
grow up in a place that is not going to shit, a place where the
polar ice caps are not melting, a place where animals are not
going extinct. I want them to experience positive change where
alternative energies are being implemented,where adults are
setting good examples. Many of us adults need to be forced to
CHANGE, SO CONTINUE THE GOOD FIGHT. STRENGTHEN AB 42 for the
future generations of California and the whole world.
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Leslie Gascoigne
729 Olive Ave.
Carpinteria, CA 93013-2403
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Denise Corrigan
5010 Susan Oak Drive
Fair Oaks, CA 95628
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Carey strombotne
2885 Bernard Court
Laguna Beach, CA 92651
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Michelle van Asten
7585 Ashford Way
Dublin, CA 94568
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Michael Lauran
915 York Street
San Francisco, CA 94110
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Doug an Jan Parker
P.O. Box 628
Cortez, CO 81321
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
C Morales
P.O. Box 61512
SANTA BARBARA, CA 93160
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Dianne Douglas
2723 E Valencia Drive
Phoenix, AZ 85042
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Hal Trufan
6808 Old Forge Dr
Charlotte, NC 28226
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Susanne Bennett
1821 Wilshire Boulevard Suite 300
Santa Monica, CA 90403
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Mike Cannon
853 Wilmington Ave
Salt Lake Cty, UT 84106
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Beatrice Vicente
1477 Sapphire Dr
Carlsbad, CA 92011
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
James Fogarty
6401 Lahring Rd
Holly, MI 48442
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Jack Fischer
29 Tamarack
Briarcliff, NY 10510
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
heather graham
5747 sw 89 way
cooper city, FL 33328
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Jacek Waliszewski
7 Barksdale Dr.
Raleigh, NC 27604
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Erik Metzger
Fredensgade 15
3
Copenhagen, CA 2200
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
rodney hemmila
1889 whiyaker st
white bear lake, MN 55110
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Susan Trabue
11684 Ventura Blvd. #387
Studio City, CA 91604
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Vic Bostock
17 Cliveden Green
Nottingham, CA 91001-4552
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
craig martin
43 springfield gardens upper clapton
london e5 9er
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Bonnie Massey
26 Serenity Ln
Laguna Niguel, CA 92677
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Shayna Kohan
2747 Tolbut Street
Philadelphia, PA 19152
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Wendy L Hernandez
57588 State Route 20 #33
Rockport, WA 98283
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Hannah Freed
205 E. Del Mar Blvd.
Pasadena, CA 91101
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Jake Adee
5386 Jed Smith Rd
Hidden Hills, CA 91302
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Jason Bowman
2674 Woodridge Court # 1
Placerville, CA 95667
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
suggested improvements into the scoping plan before its final
adoption on December 11th to ensure that California will create
a clean energy economy, spurring innovation, investment, job
creation and economic growth.
Sincerely,
sam davis funk
28151 highridge rd.
rancho palos verdes, CA 90275
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Judith Poxon
2708 Matheson Way
Sacramento, CA 95864
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Julie du Bois
8352 Starkland Ave
West Hills, CA 91304-3049
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Daniel Barre
1800 Turk St
San Francisco, CA 94115
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
ariela t
ganey tiqva
tel aviv 55900
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Ashley Ellis
5940 Filaree Hts
Malibu, CA 90265
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
David Letinsky
607 Walnut Ave
Carpinteria, CA 93013
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Brooks Perry
1308 Ocean Park Blvd. #6
Santa Monica, CA 90405
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Phil Oosterhouse
8213 W. Manchester Ave.
#3
Playa del Rey, CA 90293
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Mike Dina
151 Calderon Ave Apt 258
Mountain View, CA 94041
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Paul Schraeder
4782 Lake Valley Dr.
Apt 2D
Lisle, IL 60532-1459
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Susie Zwiener
202 Andrieux St.
Sonoma, CA 95476
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
David Lynn
3714 8th Ave
San Diego, CA 92103
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Caroline Cangelosi
7409 Potrero Ave
El Cerrito, CA 94530
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
alex coberly
Apartment C
33 East Frambes
Columbus, OH 43201
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Jeanne Greene
6 Morning Rose Way
Chico, CA 95928
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Barbara Clay
2074 Georgia St. #111
Gary, IN 46407
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Karen West
2101 Ponderosa Street #5C
Santa Ana, CA 92705
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
maureen cairns
4048 tujunga #K
studio city, CA 91604
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Karin McWhorter
729 E Doran St
Apt 305
Glendale, CA 91206
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Janna Pinnell
1468 Lakeview Parkway
Villa Rica, GA 30180
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Michelle Davila
1767 43rd Ave
San Francisco, CA 94122
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Sharon Mullane
4084 Redwood Ave. #4
Los Angeles, CA 90066
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Robert Ervin
107 Bartlett St.
Somerville, MA 02145
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Jennifer Sellers
3901 Clayton Road #66
Concord, CA 94521
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
julian bacon
8422 ne 147 pl
kenmore, WA 98028
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Jeffrey Grinnell
705 Lakeview Way
Emerald Hills, CA 94062
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Laurent Meillier
1551 Madison St
#110
Oakland, CA 94612
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Vanessa Lampen
337 Coronado Street
El Cerrito, CA 94530
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Maggie Duncan
2501 W. 36th St.
Tucson, AZ 85713
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
David Hind
7931 15th St.
Westminster, CA 92683
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Monica Rocha
209 W. Valerio St. #4
Santa Barbara, CA 93101
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Sara L'Ecuyer
181 Flagstone Drive
Nashua, NH 03063
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
tabitha cruz
626 wendy way
turlock, CA 95382
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Luke Pickett
2620 Mt. Tabor Rd.
Blacksburg, VA 24060
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Jerilyn Bodemar
411 Stanford Street
Watsonville, CA 95076-3236
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Edmund Jones
1614 University Avenue #17
Berkeley, CA 94703
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Kyle Jordan
111 C Oliva Court
Novato, CA 94947
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Victor Mason
834B Westmount Drive
West Hollywood, CA 90069-4610
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Roland Press
1290 7th St.
Hermosa Beach, CA 90254-4946
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
kelly greene
3507 emory dr
holiday, FL 34691
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Mark Rice
2415 Doheny Court
Rocklin, CA 95677
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Robert Ross
1340 Frank Dr
Wooster, OH 44691
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Alex Won
41 Sutter St
Apt 1454
San Francisco, CA 94104
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Matthew Quellas
4143 Perlita Ave. #A
Los Angeles, CA 90039
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Todd Peterson
80 Beech St
Jay, NY 12941
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Patricia Flynn-Denneny
1218 3rd Ave
Iowa City, IA 52240
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Jennifer Toth
27649 W. Elk Ridge Rd
Castaic, CA 91384
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Hashi Hanta
PO Box 3110
Sells, AZ 85634
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
S. Petteway
1818 10th Street Apartment D
Santa Monica, CA 90404
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Cecilia Viggiano
830 Talisman
Palo Alto, CA 94303
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Nancy Kelly
1624 E Hedges Ave.
Fresno, CA 93728
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Teri Meadows
456 Oak Manor Drive
Fairfax, CA 94930
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Ann McKibben
23296 Sonnet Drive
Moreno Valley, CA 92557
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Lanie Claunch
18970 Cajon Blvd.
San Bernardino, CA 92407
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
John H. Moseman IV
PO Box 1072
Blue Lake, CA 95525
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Rhonda Alexander
3617 Roslyn St
Riverside, CA 92504-3536
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Kristi Hutchison
6323 N. Laureen
Fresno, CA 93710
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Brenna Henry
620 Cabrillo Ave
Santa Cruz, CA 95065
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Juan Lopez
4101 Prince ST SE
Albuquerque, NM 87105
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Brian and Rita Cohen
3852 E Alamos Ave Apt 125
Fresno, CA 93726
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Michelle Horeczko
16327 Fairgrove Ave.
La Puente, CA 91744
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
KL Matlock
895 E. Jackson St
San Jose, CA 95112
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Timothy Barnett
PO Box 216
El Segundo, CA 90245
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
james feliccia
206 fifth ave
apt b
maple shade, NJ 08052
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Rafal Dobrowolski
8659 1/2 Venice Blvd
Los Angeles, CA 90034
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Jamie Conrad
12951 Aurora Drive
San Leandro, CA 94577
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Elisabeth O'Brien
3924 Griffin Avenue
Los Angeles, CA 90031
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Michelle Anselm
4028 Ampudia St.
San Diego, CA 92110
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Marcella Hammond
3573 31st St.
San Diego, CA 92104
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Sam Shultz
3304 Big Sky
Thousand Oaks, CA 91360
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
John Tornatore-Pili
2215 41st Avenue
Oakland, CA 94601
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Patty Menard
PO Box 507
Escanaba, MI 49829
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Mary Hostrup
10953 Chandler Drive
Hollywood, FL 33026
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Sabine Brock
8377 Gregory Way
Beverly Hills, CA 90211
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Roxann Shadrick
2245 East Geddes Ave
Decatur, IL 62526
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Paula Zerzan
16912 Falcon Lane
Sonoma, CA 95476-7250
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
With this plan global warming could be prevented r at least
slowed. We must take action now before it is to late. Please
take this all into consideration! The planet needs our help,
now, more than ever
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth. Thanks you for your time and consideration
with this matter.
Sincerely,
maddy parks
3231 Oakdell Road
studio city, CA 91604
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Lynne Morse
6 Lincoln St
Apt 2
Abington, MA 02351
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Robert Bowman
2576 Duncan Rd.
PO Box 290802
Phelan, CA 92329
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Candy Bowman
4361 Turnbridge Drive
Sacramento, CA 95823-1931
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Sabrina Lagana
111 3rd Place
Brooklyn, NY 11231
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Jason Butler
6632 Clybourn Ave
Unit 142
North Hollywood, CA 91606
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Jordan Perzik
7367 Hollywood Boulevard Apartment 315
Los Angeles, CA 90046
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Thaddeus Wilson
4095 Jackdaw St.
San Diego, CA 92103
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Sílvia Silva
Travessa das Senras, 19
Guifőes
Matosinhos 4460-112
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
erin reese
13015 ravensway drive
cypress, TX 77429
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Bryan Todd
3016 Estates Ave
Pinole, CA 94564
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
erin reese
13015 ravensway drive
cypress, TX 77429
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
erin reese
14015 ravensway drive
cypress, TX 77429
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Leah Chastain
1750 SE Johnson
pullman, WA 99163
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
richard swan
870 e el camino real #179
Mountain View, CA 94040
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Christine Evans
4350 Agate Road
Boulder, CO 80304
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Jennet Amonte
1700 N 1st St Apt 360
San Jose, CA 95112
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
- While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
- Additional regulations for the industrial sector, particularly
for refineries, should be included as a critical element of the
plan to ensure basic health protections in our communities;
- Policies to address the forest sector should be scientifically
proven to reduce global warming pollution and should also
address end-use consumption of wood products, as decomposition
of wood products is the fastest growing area of emissions in
this sector.
- In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Thank you.
Sincerely,
John Hope
345 Church St.
San Francisco, CA 94114-1765
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Caleb Laieski
P.O. Box 72028
Phoenix, AZ 85050
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Darynne Jessler
4408 Gentry Ave.
Valley Village, CA 91607
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Linda Page
1315 E Grand Ave #24
Escondido, CA 92027
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Gene Wedge
6591 Maplegrove St
Oak Park, CA 91377
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
B McCLINTOCK
Disabled - Email Only
Honolulu, HI 96825
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
David Wimsatt
8103 Turnberry Dr.
Louisville, KY 40291
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Timothy Lawnicki
20309 Thornlake Ave.
Lakewood, CA 90715
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Mary Steele
24561 La Hermosa
Laguna Niguel, CA 92677
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
This issue is very important to me!
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Emily Lancaster
Guelph
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Kevin Birg
922 E Brockton Ave
Redlands, CA 92374
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Ashley Honeysett
602 El Dorado Ave
Oakland, CA 94611
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Mark W. Clark
380 Chablis Dr
Ukiah, CA 95482-7225
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Mehrnaz Ghaffari
4425 Lennox Ave
Sherman Oaks, CA 91423
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Kayla Cervantes
po box 5122
Eureka, CA 95501
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
natasha kay-hazou
6746 Camino Del Prado
Carlsbad, CA 92011
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Ava Thiesen
60465 Cascadel Dr S
North Fork, CA 93643-9661
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
K Rollins
358 Esther Street
Costa Mesa, CA 92627
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Kirk Rhoads
301 Cooper St
Mountain Home, AR 72653
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Christine Berger
669 Alma Avenue
Apt #103
Oakland, CA 94610
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Sheila Wymer
285 E Plenty St
Long Beach, CA 90805
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Michael Souza
3603 State St #8
San Diego, CA 92103
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Tristan Tang
3001 Bridgeway Ste.K-#136
Sausalito, CA 94965
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Shawna McClure
655 Riverside St
# 4
Ventura, CA 93001
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Michael Dickson
PO Box 995
Upper Lake, CA 95485
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Victoria Kojola
140 Escanyo Way
Portola Valley, CA 94028
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Ken Hedges
8153 Cinderella Pl.
Lemon Grove, CA 91945
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Monica Floeck
1262 Montgomery Street
San Francisco, CA 94133
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Kelly Riley
704 Alison Ave.
Mechanicsburg, PA 17055
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Richard Caringi
9109 Bigby St
Downey, CA 90241
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Jay Saltzman
274 Mangels Ave
San Francisco, CA 94131
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Stewart Halpern
20-17 21st Street
Astoria, NY 11105
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Gary Brooker
550 Canyon Rd
Sante Fe, NM 87501-2720
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Maria Maier
7681 Baylor Dr Apt 9
Apt 9
Westminster, CA 92683
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Edwin J. Martz
216-B E. Earle St.
Greenville, SC 29609
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Bonnie Groves
830 Center Ave
Brandon, FL 33511
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Kelly Garbato
147 SE 260th ST
Plattsburg, MO 64477
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Alexander Silverio
1507 San Tomas Ct.
San Jose, CA 95130
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Roswitha Marcuzzi
Les Jardins du Prieuré
Bayonne 64100
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Dan Goldstein
55 Potomac St # 1
San Francisco, CA 94117
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
tonia pruett
33334 20th
3334 20th
wyandotte, MI 48192
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Steven De Clercq
224 Bicknell Ave
Apt B
Santa Monica, CA 90405
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Amanda Weinberg
5772 Garden Grove Blvd. #551
Westminster, CA 92683
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Jan Blum
2160 Leavenworth Street, Apt. 201
San Francisco, CA 94133
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Janet Wright
9071 Dallas St. #C-8
La Mesa, CA 91942
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Megan Ferry
201 West Broadway
Apartment 512
Anaheim, CA 92805
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
David Cayford
600 Morgan Street
Santa Rosa, CA 95401
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Sharon Wong
12 Myrtle St
West Newton, MA 02465
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Carolina Bagnarol
542 Hillside Rd.
Emerald Hills, CA 94062
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Aurelie Ward
1409 Forest Park Drive
Statesville, NC 28677
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
suzanne hinson
1125 smith street
hickory grove, SC 29717
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Ranjana Bhandari
903 Loch Lomond Dr
Arlington, TX 76012
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Nancy Miller
411 Poppinga Way
Santa Maria, CA 93455-4201
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Lynn Casella
101 Boxwood Drive
Bridgeville, PA 15017
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Meri Dreyfuss
7 Lakeview Ct.
Novato, CA 94947
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
karen olson
PO Box 431
Camp Meeker, CA 95419
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Rose Swift
1959 Lake Blvd. #154
Davis, CA 95616
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Randy Renner
1201 Sandra Circle
Vista, CA 92083
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
steve smith
langton matravers
swanage, UM bh19 2lt
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Marta Zelaya
5696 Calmor Court
#1
San Jose, CA 95123
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Tasha Boucher
2708 Strongs Dr
Venice, CA 90291
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Janick Thibault
3840 Clichy
Laval, QC H7E 1X2
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Sandra Noah
939 S Dunsmuir Ave
Los Angeles, CA 90036
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
yen pham
3726-maxson rd #b
el monte, CA 91732
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Cliff Stone
18710 Club Ln
Huntington Beach, CA 92648
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Charlie Goodrich
542 Brannan Street Apt. 101
San Francisco, CA 94107
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I join with NRDC in commending the California Air Resources
Board staff for developing a strong proposed scoping plan for
the Global Warming Solutions Act (AB 32), but urge you to
further strengthen the plan to ensure that California's
environment and economy are protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Thank you.
Sincerely,
John Fischer
230 Grove Acre, #313
Pacific Grove, CA 93950-2342
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Rhonda Reid
148 pisgah road
easley, SC 29642
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Lloyd Eater
165 Arroyo Way
San Jose, CA 95112
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Lori Triggs
8445 SW 104TH PL.
Ocala, FL 34481
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Evelyn Stern
12367 Deerbrook Lane
Los Angeles, CA 90049
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Bonnie Margay Burke
4378 33rd Pl
San Diego, CA 92104
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Nancy Hosford
4905 Lolly Dr
Monroeville, PA 15146
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
William Pritchard@pobox.com
10012 Hidden Meadow Dr.
Austin, TX 78750
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Christine Walker
147 Marine drive
Apt 4A
Buffalo, NY 14202
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Rena Lewis
1202 Loma Drive
Ojai, CA 93023
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Kathryn Kind
904 Nowita Place
Venice, CA 90291
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Matthew Daley
PO Box 12983
Gainesville, FL 32604
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Veronica Scalabrini
7412 N. Oakley Avenue # 1
chicago, IL 60645-1993
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
Thank you for taking the time to receive my message. Although I
am sending this through a third party it does not mean I am any
less passionate about the subject. I care and greatly appreciate
you taking the time to read "our" stand on this issue.
~Vanessa Farmer
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Vanessa Farmer
920 Sycamore Ave Apt 31
Vista, CA 92081
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Stephen Topia
15 Shawn Ave
Nashua, NH 03062
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Natasha Courtenay
2927 Salerno Cresent
Mississauga, ON L5N 1T3
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Maya Granger
1443 E. Carol Ave.
Phoenix, AZ 85020
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Katerina Karneris
45 Lincoln Way Apt 10
San Francisco, CA 94122
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Helen Lembeck
3270 Holly Way
Chula Vista, CA 91910
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Sandra Obleas
43 Seacountry Ln
Rancho Santa Margarita, CA 92688
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
varsha mathrani
1026 oakland ave #6
Ann Arbor, MI 48104-3420
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Mary Self
738 Nina Lane
Kingsland, TX 78639
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Andre Williams
337 Lakeview Ter
Canton, GA 30115
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
John Donlin
PO Box 782
La Canada Flintridge, CA 91012-0782
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Laura Rindner
4513 Mont Eagle Place
Los Angeles, CA 90041
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Emily Ashton
93 Ide Road
Dallas, PA 18612
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Teresa Conahan Decking
1346 Evergreen Dr
Cardiff, CA 92007
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Shayna Gardiner
10982 Glen Meadow Drive
Grass Valley, CA 95945
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Lauren Caster
2612 St. Paul Blvd
Rochester, NY 14617
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
David Boyer
135 Mosher Way
Palo Alto, CA 94304-2418
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
William Butler
P.O. Box 282
241 Glenn Way
Lytle Creek, CA 92358
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Alisa Spieckerman
22 Via Solaz
Rcho Sta Marg, CA 92688
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
mitzi moss-murphy
235 old ranch rd.
santa cruz, CA 95060
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Carol Carson
18415 China Grade Road
Boulder Creek, CA 95006
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
gordon reed
19930 lures lane
huntington beach, CA 92646
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Blythe Mandmets
615 N Spaulding Ave.
los angeles, CA 90036
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Joseph Yarosevich
31 Conrad Ln
Chico, CA 95973-9771
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Maria Angulo
920 N. 1st Street, #A
Alhambra, CA 91801
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Sarah Baker
10947 Bloomfield St., Apt. 107
Studio City, CA 91602
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Tracey Dennis
24247 Atwood Ave
Unit #124
Moreno Valley, CA 92553
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Erin Monagan
175 Windsorshire Drive
Rochester, NY 14624
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Timmi Sommer
33782 Diana Dr.
Dana Point, CA 92629
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Michele Flaherty
6039 W. Waveland Avenue
Chicago, IL 60634
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Raffael Trimmel
Berggasse 14
Klostermarienberg 7444
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
* Zentura
PO Box 4111
Casper, WY 82604
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Susan Baker
3142 Shelby Dr
Los Angeles, CA 90034
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
M Sage
1126 Cordova St # 3
Pasadena, CA 91106
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Jesse Nelson
400 30th St.
Hermosa Beach, CA 90254
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Uc Burton
171 Pier Ave #207
Santa Monica, CA 90405
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Mc Burton
171 Pier Ave #207
Santa Monica, CA 90405
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Jordan Colley
306 S Tennessee Blvd
Murfreesboro, TN 37130
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Kristan Willits
1910 Virginia St
Berkeley, CA 94709
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Dana Wullenwaber
2442 California Street
96001, CA 96001
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Rickey John Norton
1308 Huntington Drive
#1
South Pasadena, CA 91030
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Gabrielle Burton
211 Lebrun
Buffalo, NY 14226
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Aniruddh Patel
741 Arenas
La Jolla, CA 92037
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Lilia Burtonpatel
7435 Cuvier St # 1-2
La Jolla, CA 92037
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Gabrielle Burton
4361 Liberty Road
Delaware, OH 43015
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Jonathan Wieder
1407 Cornell Avenue
Berkeley, CA 94702
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Stanley Chao
527 Anita Ln
Millbrae, CA 94030
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Paul Borokhov
17122 Chatsworth St Apt 8
Granada Hills, CA 91344-5755
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Armen Carapetian
83 Rondel Pl
San Francisco, CA 94103
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Brenda Stark
386 Aster
Laguna Beach, CA 92651
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Michelle McGowan
803 Dunbarton Cir
Sacramento, CA 95825
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
George, Jr. Weiss
295 Fifth Street West
Sonoma, CA 95476-5646
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Paul Speck
6511 40th Avenue
University Park, MD 20782
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Paula Sirola
1221 Olancha Dr
Los Angeles, CA 90065
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Nora Doyle
12319 Hillslope St
Studio City, CA 91604
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Claude Robert
Saint-Hyacinthe
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Js Burton
171 Pier Ave #207
Santa Monica, CA 90405
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Chr Burton
171 Pier Ave #207
Santa Monica, CA 90405
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Anita Valdez
800 N Country Club Rd
Tucson, AZ 85716
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Jesse Gore
6013 Kenwwod Dr
Nashville, TN 37215
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Paul Hunrichs
8360 Carlton Oaks Drive
Santee, CA 92071
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Sissy Yates
95 E. 55Th St.
Long Beach, CA 90805
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Marla de Vries
Prunusstraat 21
Borculo 00000
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Rastic Samela
19933 Middletown Rd.
Freeland, MD 21053
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Theresa Winters
16001 Ventura Blvd.
Suite 200
Encino, CA 91436
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Melanie Danan
3030 East Vernon Avenue
Vernon, CA 90058
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Tara Mattson
2537 Northside Drive 625
San Diego, CA 92108
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Daniel Stevenson
10948 Caminito Alto
San Diego, CA 92131
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
LaVancha Mary
14531 Kristenright Lane
orlando, FL 32826
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
James Columbia
8200 N Laurelglen Blvd
Apt 1312
Bakersfield, CA 93311
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Darrick Lin
375 Woodridge
Shelton, CT 06484
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Marylucia Arace
1134 Cerritos Drive
Fullerton, CA 92835
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Rebecca Moore
10562 Carr Road
Bismarck, MO 63624
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
s. meridian
1970 broadway
oakland, CA 94612
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Kyle Pusateri
2627 Eastman Ave
Oakland, CA 94619
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Jay Cartwright
4714 N 53rd Street
Phoenix, AZ 85018
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Megan Niles
54 San Luis Rd.
Gansevoort, NY 12831
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Sam Ransom
990 Lands End Drive
St. Charles, MO 63304
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Molly Christie Benson
252 Horizon Ave
Venice, CA 90291
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Marjorie Myers
1035 Grebe St.
Foster City, CA 94404-1442
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Stephanie Tholand
525 Fillmore St.
san francisco, CA 94117
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Debra Valov
715 60th St
Oakland, CA 94609-1421
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
nicole livingston
4409 avocado st
los angeles, CA 90027
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Dennis R. M. Teall-Fleming
2424 Middleton Dr
Gastonia, NC 28054-2838
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Kate Roberts
1156 High St
Santa Cruz, CA 95064
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Charles Connors
75-212 Aloha Kona Drive
Kailua Kona, HI 96740
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Michele Rae
5343 Ligurian Dr
San Jose, CA 95138
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
a. catherine moore
10254 ojai santa paula
ojai, CA 93023
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
David Marston-Villanueva
19067 N. Palermo Street
Surprise, AZ 85374-9562
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Douglas Cyr
1449 Creekside Dr. #2046
Walnut Creek, CA 94596
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Jean Busch
1901 Tiffin Road
Oakland, CA 94602
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
howard palmer
196 clinton ave
c-55
brooklyn, NY 11205
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
melinda parke
744 n 82 st
seattle, WA 091-3
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Carl Fagerskog
280 Tawnee Way
Crescent City, CA 95531
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Kira Oden
4781 E. Pacific Coast Highway
Apt. A
Long Beach, CA 90804
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Lela Valencia
40310 Acacia
Hemet, CA 92544
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Richard Lehrer
24 Briarglen
Aliso Viejo, CA 92656
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
joanna bagatta
7 casse ct
mahopac, NY 10541
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Isabel Galvan
5228 Jack Pine Ct
Oceanside, CA 92056
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Debra Barry
388 Rock Forge Rd
jefferson, GA 30549
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Melinda Catalano
15416 Romar St
Mission Hills, CA 91345
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Mary Mullen
13435 Barbados Way
Del Mar, CA 92014
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Kathleen Moraski
7611 Teal Bay
Woodbury, MN 55125
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Paul Freibott
1026 De Haro St
San Francisco, CA 94107
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Fabricio Olsson
145 Surfside Ave
Santa Cruz, CA 95060
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Jonathan Kaufman Scher
1668 Fell St.
San Francisco, CA 94117
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
LisaMarie Gauthier
34 Washington Street
Norwich, ON N0J 1P0
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Chris Downs
6195 Lou George Loop
Bessemer, AL 35022
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Denise Mineart
93 Beauvoir Circle
Anderson, IN 46011
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Katherine Sawoya
13629 Raymond Avenue
Gardena, CA 90247
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Linnea Dietz
65165 CR 665
Paw Paw, MI 49079
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Dona van Bloemen
1117 3rd. Street
Apt. 5
Santa Monica, CA 90403
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
gabrielle conner
5136 4th avenue north
saint petersburg, FL 33710
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Janice Foss
622 Richmond St.
El Cerrito, CA 94530-3213
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
WE ARE FACING CERTAIN DEMISE OF LIFE AS WE'VE KNOWN IT. IT IS
TIME TO BE ON THE CUTTING EDGE OF RESTORATION POLICIES THAT
PROMOTE INTENSIVE REDUCTIONS IN GLOBAL WARMING/EXTREME WEATHER.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
carla dimondstein
18901 symes lane
fort bragg, CA 95437
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Jodie Hamilton
28053 Alton Way
Castaic, CA 91384
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Roger Hsieh
13592 Malena Dr
Tustin, CA 92780
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Christina Smith
153 Villa Nueva Ct.
Mountain View, CA 94040
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Allen Greenfield
15531 Bowoin ST
Pacific Palisades, CA 90272
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Andrew Spanier
3945 Harrison St
Apt 31
Oakland, CA 94611
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Robert Stolzman
14618 Tyler Foote Road
Nevada City, CA 95959
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Lyle Henry
2474 Silver Ridge Ave
Los Angeles, CA 90039-3322
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
jerry pinnix
102 No. LBJ Drive #210
San Marcos, TX 78666
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Lisa Hardy
930 Pine St., #202
San Francisco, CA 94108
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Lynda Lamb
55 Blanco
Foothill Ranch, CA 92610
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Richard Epstein
2919 1/2 Main St
Santa Monica, CA 90405
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
xavienne gutierrez
603 golden west
ojai, CA 93023
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Debbie Sturt
2905 David Ave.
#3
Pacific Grove, CA 93950
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
d Gómez
425 Hyde Street #22
San Francisco, CA 94109
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Jeri Pollock
3108 Hempstead Rd
Sacramento, CA 95864
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Juan Neumeister
4953 Desmond St.
Oakland, CA 94618
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Dan Hofstadter
680 Mission St.
#20E
San Francisco, CA 94105
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Kristen Bunting
1641 San Pablo Ave 1
Berkeley, CA 94702
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Laurence Burris
23405 50th Ave W
Mountlake Terrace, WA 98043
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Thomas Bertetta
131 Vienna St
San Francisco, CA 94112
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Nathan Gheen
770 California St. #203
San Francisco, CA 94108
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
chad mallett
231 fred ruth zigler memorial dr
jennings, LA 70546
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
R.V. Burton
211 LeBrun Road
Eggertsville, NY 14226
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Lisa Jackson
1106 2nd Street, PMB 332
Encinitas, CA 92024
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Annie Belt
540 Bonita Ave., #203
Space 203
San José, CA 95116
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Diana Rodgers
154 Laurel Ave
Menlo Park, CA 94025
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Jeanette Brennan
6760 Bessie Watson Lane
Manassas, VA 20112
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Clinton Van Horn
403 Main St Apt 703
#703
San Francisco, CA 94105
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
laura lynch
167 hancock street
meriden, CT 06451
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Ashleigh Walker
23501 ladrillo st
woodland hills, CA 91367
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
William Meade
37518 Manchester St.
Palmdale, CA 93552
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Maya Kevin
2045 California St. #301
San Francisco, CA 94109
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Penny Krieger
385 Murphy Ave.
Apt. 306
Sebastopol, CA 95472
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Larry Dennis
35170 Garcia St.
Union City, CA 94587
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
lonna richmond
45 sunset way
muir beach, CA 94965
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Dana Westphal
4201 Lancelot Dr
Concord, CA 94521
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
phyllis rothman
1738 canfield
los angeles, CA 90035
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Sharon Templeton
816 Spring St
Santa Rosa, CA 95404
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Jacqueline Malamphy
1575 W. Warm Springs Rd
Apt 2924
Henderson, NV 89014
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
adam korrick
11716 hawthorne glen
grand blanc, MI 48439
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
mike pfeffer
225 mississippi st
san francisco, CA 94107
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Jim Phillips
33 Mazatlan Dr.
Sonoma, CA 95476-7324
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Lynne Harrington-Crick
5044 Park Rim Dr.
San Diego,, CA 92117
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Shannon York
1055 E Lassen Ave
#8
Chico, CA 95973
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Stephen O'Connor
528 Forward St.
La Jolla, CA 92037
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
Thank you in advance for your time and consideration.
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Laura Juszak
213 W Robinson Ave
San Diego, CA 92103
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Gabriel Sheets
1620 Shirley Street
Merced, CA 95341
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Alicia Campbell
46E Peninsula Ctr. #425
Rolling Hills Estates, CA 90274
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Lindsay Mugglestone
3023 Deakin St
Berkeley, CA 94705
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Robert Redding
31732 Via Ana
San Juan Capo, CA 92675
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Linda Morgan
2711 Mechanics Ave.
Savannah, GA 31404
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Carol von Sternberg
3170 Bloomfield Rd.
Sebastolpo, CA 95472
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Joana Baiao
rua azambuja n16 2dto
marinha grande
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Melanie Ade
Moldaustr. 12
Ludwigsburg 71638
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Robert Rutkowski
2527 Faxon Ct.
Topeka, KS 66605
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Amanda Landis-Hanna
2145 Stonecreek Place
Chula Vista, CA 91913
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Caroline Harzewski
866 Edgegrove Avenue
Staten Island, NY 10309
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Sharon Nutt
209 3rd St Apt 7
Sausalito, CA 94965
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Linda Truong
16447 Napa St
North Hills, CA 91343
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Cynthia Neuman
2781 Land Park Drive
Sacramento, CA 95818
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Lynne Fletcher
1377 strawberry hill road
Thousand Oaks, CA 91360
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Allison Osteen
1401 Holly Dr.
Perkasie, PA 18944
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Nolan Lansdale
6136 Franklin Avenue
Hollywood, CA 90028
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Ivo Calderin
7725 SW 88th Street, Apt. A-128
MIAMI, FL 33156
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Melanie Leavitt
3902 Cerrito Ave
Oakland, CA 94611
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Patricia Légaré
st-constant
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Patricia Fearey
20 Irwin Way, #738
Orinda, CA 94563
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Beth Dempsey
13868 Shirwaun Road
Apple Valley, CA 92307
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Joshua Mikael
542 Rialto Ave.
Venice, CA 90291
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Karl Costenbader
12675 Apricot Ln
Wilton, CA 95693
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Blake Wilson
37 Dunloe Road
Toronto, ON M4V2W4
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Erin Gall
12675 Apricot Ln
Wilton, CA 95693
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
mattioli antonio
sitio sao luiz
ave jacarandas sn
guatapara sp 14115- 000
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Alana Rivadeneyra
909 Lincoln Ave
Pomona, CA 91767-4141
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Millicent Cox
6044 Erlanger St
San Diego, CA 92122
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
eileen ferrer
696 wellesley dr
corona, CA 92879
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Carolyn Thomas
2916 32nd St.
San Diego, CA 92104
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
pinky jain pan
P.O. Box 14982
Santa Rosa, CA 95402
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Mark Campbell
141 S. Plymouth Blvd.
Los Angeles, CA 90004
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Alex Barber
6600 Warner Avenue #209
#209
Huntington Beach, CA 92647
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
David Jones
4168 24th St. #A
San Francisco, CA 94114
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Lucas Kramer
30 N. Sunset Ave
Freeport, IL 61032
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Ana Bikic
344 sw 30 rd
www.ecosymbolism.org
miami, FL 33129
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
daniel wolt
4883 hampsted ct.
new albany, OH 43054
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Lauren Spivey
6231 Fourmile Canyon Dr.
Boulder, CO 80302
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Charles Gillespie
4935 Sacramento Av
Homewood, CA 96141
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Jennifer Draeger
4406 Sea Harbour Dr.
Huntington Beach, CA 92649
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
sean Perry
91A Rose Ave
Mill Valley, CA 94941
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Lisa Catapano
111 Sutter Street, 20th floor
San Francisco, CA 94101
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Robin McCarthy
10 Chase Ave
Waterville, ME 04901