California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its 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 Tracy
642 Auburn Ave
Melbourne, FL 32901
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Phoebe Puppione
5600 Graves Ave.
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,
Stephanie Z.
Do Not Wish to Give
Do Not Wish to Give, FL 33433
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its 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 Polanka
5222 Trojan Ave Apt 110
San Diego, CA 92115
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Merl and Judy Collins
3915 Castleman Street
Riverside, CA 92503
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its 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 Strauss
2233 Bigelow Avenue
Simi, CA 93065
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
House Michael
3906 19th St
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,
Debra Medley
3906 19th 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,
Tiffany Manchip
PO Box 1456
Graeagle, CA 96103
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its 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 Stout
312 Ordal Hall
Tacoma, WA 98444
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its 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 Ogilvie
879 47th 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,
Kris Bell
928 Eureka Ave
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,
Robyn Reichert
11631 Puerto Blvd
Boynton Beach, FL 33437
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its 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 Harney
545 Oak Street
Winnetka, IL 60093
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its 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. Belt
5437 Broadmoor
Alexandria, VA 22315
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its 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 Jonas
17059 Rio Maria Road
Lakeside, CA 92040
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Judy Dunn
PO Box 1612
Raceland, LA 70394
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Nicholas Simmons
1976 Lake Dr
Cardiff By The Sea, 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,
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,
Salma Ahsanuddin
2562 Bouck Avenue
New York City, NY 10469
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its 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 Sipe
1969 Wisteria Ct NW
Salem, OR 97304
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its 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 Beitz
1141 Oliver Ave
San Diego, CA 92109-5138
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Volha Lukyanenka
154 East Zoranne Dr
Farmingdale, NY 11735
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
kim skrobiza
531 turfwood lane
solana beach, CA 92075
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its 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 johns
po box 22193
tampa, FL 33622
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its 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 and NANCY Diaz
8037 Duluth Avenue
Highland, IN 46322
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
lesley graham
8200 cypress st
laurel, MD 20707
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its 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 Knight
4207 Stoney Knoll Ln
Katy, TX 77494
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its 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 %pa_first_name% Chris Atrosh
4828 51st Ave S
Seattle, WA 98118
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations. Minimum fuel efficiency
standards need to be implemented, like what was abandoned in the
mid 1990s.
I urge you to improve the following aspects of the plan before
it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its 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 Hessel
1315 A St.
# 309
Hayward, CA 94541
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Brett Ryan Bonowicz
2376 Canyon Drive
Los Angeles, CA 90068
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Lorilyn Froerer
123 Kinman Ave
Goleta, CA 93117
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Madeline Graham
3488 Mandeville Canyon Rd.
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,
John Kohler
217 Fairlawn Avenue
Daly City, CA 94015
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Curtis Speck
2622 McAllister St
San Francisco, CA 94118
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Clayton Cole
1276 Eastwood Ave
Highland Park, IL 60035
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Sonja Smith
316 N. Ridgewood Place
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,
Margaret H
16856 Edgar Street
Pacific Palisade, 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,
Susanne Mallard
4029 Vista Grande Dr
San Diego, CA 92115
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its 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 Teso
144 W.36th St.
Tuscon, 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,
Camille Da Rocha
419 N 11th 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,
Tyler Brewer
2424 Gazebo Dr.
Apt. F
Morrisville, NC 27560
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Harrison Rhodes
419 Ridgeview Ave
Elizabethtown, PA 17022
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Sherry Piatt
307 Tipton House Road
P.O.Box 636
Arnold, CA 95223
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Lorraine Priceman
21545 Erwin Street Unit 91
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,
Maurice Robinson
880 Apollo Street
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,
rachel temme
460 N. Main St.
Thomaston, GA 30286
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Lawrence Thompson
945 North Serrano Ave.
Apt. # 205
Los Angeles, CA 90029
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Isaac Thornhill
1820 Jolinda Dr
Columbus, IN 47203
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Annette goings
14 Ludlow Court
pawleys island, SC 29585
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Dawn Revett
1380 Utah 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,
Cindy Schneider
5623 Guthrie Place
Davis, CA 95618
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its 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 Jones
81 Calle De Los Ositos
Carmel Valley, CA 93924
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Susaan Aram
1361 Terrace Way
1361 Terr. Way
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,
maja viteskic
10514 n. 57th avenue
glendale, AZ 85302
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Charley Engelking
HC 68 Box 30
Capitan, NM 88316
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Sheryl Tribolet
685 Spring St, #201
Friday Harbor, WA 98250
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its 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 Fletcher
15 Montclair Court
Cary, IL 60013
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Gina Gennaro
1309 polly ann
Tempe, AZ 85281
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its 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 Marcum
3097 Stelling Court
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,
Sherre Sullivan
214 1/2 Solar St
Bristol, VA 24201
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its 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 Friedman
230 Old Pickard Road
Concord, MA 01742
Concord, MA 01742
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Greg Kimber
58 Brookside Ave # 1
Jamaica Plain, MA 02130
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its 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 Graham
4105 S Tustin Dr
Palmer, AK 99645
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its 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 95401-5214
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Deb Medlock
16145 E. Powderhorn Drive
Fountain Hills, AZ 85268
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its 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 Tomulonis
Monterey Bay Aquarium
886 Cannery Row
Monterey, CA 93940
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its 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 Roy
1522 Walnut Street
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,
Shannon Rodriguez
116 Deer Creek Ct. #5
Jefferson, WI 53549
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Tammy Johnson
7412 Shadow Bend Drive
Fort Worth, TX 76137
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its 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 Marius Ciceron
511 San Ysidro
SAN YSIDRO, CA 92173
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its 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 Bordner
1932 Grace Ave Apt 9
Hollywood, CA 90068
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Harvey Kaiser
50 Mohonk Rd
High Falls, NY 12440
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
ellen fuller
PO box 154
Tesuque, NM 87574
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Janette Halvorson
19751 River Rd Apt J
Gladstone, OR 97027
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its 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 Gallagher
5103 Green Timbers Dr
Humble, TX 77346
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Pamela Anderson
1752 Wrights Mill Rd
Auburn, AL 36830
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its 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 Lou Rynkiewicz
P.O.Box 625
Congress, AZ 85332
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Arthur Ungar
517 Silverado Dr
Lafayette, CA 94549
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its 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 Bry
1517 11th St Apt 9
Santa Monica, CA 90401
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Carson Rhodes
135 Lanie Lane
Tarboro, NC 27886-8159
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its 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 edwards
1315 utah st
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,
Michael Beall
Osage Ave.
Salazar School
Santa Fe, NM 87505
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its 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 Munley
79765 Aubrey Glen Court
Indio, CA 92201
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Felix Galbis-Reig
1420 W Abingdon Dr Apt 228
Alexandria, VA 22314
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Nichole Erickson
12666 Camwood Trail
Baxter, MN 56425
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its 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 Rasmussen
2452 Kenwood Ave
San Jose, CA 95128
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Margaret Lehmann
PO Box 324
Gallatin Gateway, MT 59730
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its 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 Woodard
18 West Notre Dame St
Glens Falls, NY 12801
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Frank Di Stefano
5472 Maemurray Dr.
Los Angeles, CA 90041/1449
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its 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 Moorer
508 Hilltop Pl
Muskogee, OK 74403
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
melissa kaczor
po box 77
camden wyoming, DE 19934
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Paloma Ibanez
3278 S Lindsey Loop
Flagstaff, AZ 86001
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
AND stop lowering air quality standards so you can build coal
fired power plants around our nations parks and protected areas.
What in the world are you thinking??? The EPA is suppose to
protect the environment not stress it to the limits. No one in
their right mind can understand your motives other than power
and greed. I hope you are replaced by Al Gore as soon as
possible!
Sincerely,
Susan Hartsfield MSN NP
226 Old Mill Bottom Road South
Annapolis, MD 21409
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
E Clark
29 Boardwalk One
Larkspur, CA 94939
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its 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 shepherd
1335 ella st
apt 15
san luis obispo, CA 93401
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Corey Easley
123 Cambridge Cove
Clinton, MS 39056
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
CJ Van
123 Fake Street
Springfield, CA 92833
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its 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 Joyce Gibbs
Apt 402
720 Vancouver Street
Victoria, BC V8V3V3
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its 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 Brown
1138 Norwalk Rd
Lemont, IL 60439
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Van Oxley
5494 College Avenue, apt. 4
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,
Pamela Inglese
630 Thorsen Lane
Batavia, IL 60510
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Pamela D. Rogge
4482 South Cole Street
Morrison, CO 80465
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Zigmund Connell
128 Water St
Apt 719
Leominster, MA 01453
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its 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 Pass
23 Willow Hill Road
St. Louis, MO 63124
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its 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 Moises
Jose L. Garza 2840-6
Col. Chepe Vera
Monterrey 64030
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Ellen Geisler
622 E. Riverdale
Orange, CA 92865
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Shirin Ader
4140 Workman Mill Road
Unit 146
Whittier, CA 90601
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its 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 Schmidt
2034 Hilltop Dr.
Arnold, MO 63010
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
sandy valencour
31628 122nd ave se
Auburn, WA 98092
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its 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 o'donohue
7430 2nd ave
detroit, MI 48202
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its 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 Wyss
4 Mulholland Court
Mission Viejo, CA 92692
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its 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 Johnson
2868 Ceekay Ct
Castro Valley, CA 94546-6714
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Sterly Dossmann
5810 Gillis Drive
San Antonio, TX 78240-3438
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its 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 Underwood
335 Filbert St
Half Moon Bay, CA 94019
California Air Resources Board
Attn: scopingpln08
1001 "I" Street, P.O. Box 2815
Sacramento, CA 95812
Dear California Air Resources Board members,
I commend the California Air Resources Board staff for
developing a strong proposed scoping plan for the Global Warming
Solutions Act (AB 32), but urge you to further strengthen the
plan to ensure that California's environment and economy are
protected for future generations.
Specifically, I urge you to improve the following aspects of the
plan before it is adopted in December:
** While the draft plan calls for a better regional planning
approach and would give people more choices to get out of their
cars, the board should further increase the global warming
pollution reduction target for land use to allow California to
realize the full benefits of better transportation and land use
planning;
** Additional regulations for the industrial sector,
particularly for refineries, should be included as a critical
element of the plan to ensure basic health protections in our
communities;
** Policies to address the forest sector should be
scientifically proven to reduce global warming pollution and
should also address end-use consumption of wood products, as
decomposition of wood products is the fastest growing area of
emissions in this sector.
** In order to ensure actual pollution reductions through the
state, offsets, if they are allowed, must be severely limited to
a very minor portion of the emission reductions to be achieved
by each polluter. Polluters also must be held responsible and
pay for their emissions through an auction, and the funds
collected must be used to invest in clean energy solutions and
further pollution reductions.
The Global Warming Solutions Act is a continuing example of
California's leadership. I urge you to incorporate the above
improvements into the scoping plan before its final adoption on
December 11th to ensure that California will create a clean
energy economy, spurring innovation, investment, job creation
and economic growth.
Sincerely,
Tosha Berman
2208 1/2 Ocean Park Bl.
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,
Maycie Newton
3060 E show low lake road
#1001
Show Low, AZ 85901