| First Name | C.C. |
|---|---|
| Last Name | Song |
| Email Address | ccs@greenlining.org |
| Affiliation | Greenlining Institute |
| Subject | Crucial Modifications are Needed CARB’s Proposed CAP-and-Trade Rules |
| Comment | The Greenlining Institute would like to commend Chairman Nichols and the Members of the Board for taking a monumental first step in crafting cap-and-trade regulations. While Greenlining supports CARB’s broader efforts, we are offering some suggestions on how to improve the proposed regulations and shape CARB’s ongoing implementation of a cap-and-trade program. Please see attachment for Greenlining's comment. |
| Attachment | www.arb.ca.gov/lists/capandtrade10/243-greenlining_cap_and_trade_comment.pdf |
| Original File Name | Greenlining Cap and Trade Comment.pdf |
| Date and Time Comment Was Submitted | 2010-12-09 12:03:16 |
If you have any questions or comments please contact Clerk of the Board at (916) 322-5594.