| Comment | The California Wastewater Climate Change Group appreciates the
opportunity to comment on the Potential Amendments to the
California Cap on Greenhouse Gas Emissions and Market-Based
Compliance Mechanisms and we appreciate the leadership of the
California Air Resources Board on climate change issues. The focus
of this comment letter is the potential consequence of the amended
language in § 95101(b)(2) of the Regulation for the Mandatory
Reporting of Greenhouse Gas Emissions.
Please contact me if you have any questions at (925)705-6404 or
sdeslauriers@carollo.com. We welcome the opportunity to further
discuss the wastewater community’s position.
Regards,
Sarah Deslauriers
CWCCG Program Manager
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