| Comment | Hello,
The California Association of Sanitation Agencies appreciates this
opportunity to comment on the modified text of the proposed
amendments to both the CTR and EICG posted by CARB, in support of
harmonizing these efforts and developing a strategy through which
the wastewater sector can respond. We want to thank CARB for
engaging in discussions and look forward to working collaboratively
with CARB and CAPCOA to establish a formal approach that can
quantify actual emissions from our member facilities. Please
contact me if you have any questions regarding our comment letter.
Regards,
Sarah A. Deslauriers
CASA
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