| Comment | Note: This comment was uploaded to the docket by CARB staff on
behalf of the commenter (comment was received via email).
"Hi Elizabeth and Rajinder, please see attached word document for
suggested edits to the proposed O&G amendment with supporting
rationale. We tried to keep it focused (changes in red font).
Happy to elaborate when we talk. For reference, I'm also attaching
the Carbon Mapper/RMI joint input to EPA's O&G Supplemental rule. I
think our comments on EPA's proposed Super Emitter Response Program
may have some overlap with CARB's program but I'm not suggesting
that it be expanded further.
Cheers,
Riley"
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