| Comment | I have provided input that there are discrepancies and errors in
and between the ISOR, the SRIA, and the proposed rule. I request
that those documents be updated to correct the discrepancies and
logic failures (e.g... annual emission reduction being greater than
annual emissions, rule motivation attributed to environmental
justice concerns but unsupported by documented AB 617 CERPs in the
EJ communities, and more...). To the extent the rule might be
changed to address the comments of myself and others, I request
that the public be given 45 days to analyze the changes and provide
comment. This is reasonable considering that individual members of
the public and owner/managers of small businesses do not have
sufficient time and resources as do large corporations and the
State of California to devote to analyzing the rule.
This rule making is an excellent example of the difficulty that
small businesses have in working with California regulators.
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