| First Name | Rod |
|---|---|
| Last Name | Miller |
| Email Address | rmiller@folsom.ca.us |
| Affiliation | |
| Subject | Comment on Definition Change “Automotive Service Provider (ASP)” |
| Comment | Comment: The definition change makes it unclear whether or government maintenance providers are regulated pursuant to the proposed regulation. Please clarify whether or not non-"business" entities such as governments are regulated. Government fleet pools commonly have infrequent use hence underinflated tires. What example does CARB set if its fleet is unaffected by this regulation? |
| Attachment | |
| Original File Name | |
| Date and Time Comment Was Submitted | 2009-10-23 10:54:01 |
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