Please see comments from 350 Bay Area attached. Our 3 main
points:
1. This draft plan fails to ensure that California will
meet the SB 32 requirement to reduce 40% GHGs by 2030.
2. We strongly support the concerns and recommendations
made by the Environmental Justice Advisory Committee (EJAC) on the
draft plan
3. The modeling and economic analyses for the Scoping
Plan are unrealistic and based on biased and non-transparent
assumptions
These points are backed up
with detailed calculations and analysis in our comments and
appendices, along with specific recommendations on how to address
these issues.