| First Name | Andrew |
|---|---|
| Last Name | Cullen |
| Email Address | andrew.cullen@penske.com |
| Affiliation | |
| Subject | Comments on Proposed Low Carbon Fuel Standard Amendments |
| Comment | Dear California Air Resources Board:
Thank you for the opportunity to provide comments on the California
Air Resources Board (CARB) Proposed Low Carbon Fuel Standard (LCFS)
Amendments. Penske Truck Leasing Co., L.P. ("Penske") is a
nationwide leader in low-emission transportation with a
company-wide commitment to a comprehensive transition to
zero-emission vehicles (ZEVs). We share CARB's greenhouse gas
reduction goals and federal air quality objectives; therefore, we
are excited to offer our expertise and insights into these proposed
amendments.
Please see our attached comments responding to the draft LCFS
amendments, including changes in EV third party verification,
infrastructure crediting, and forklift reporting criteria. Our
comments underscore the challenges and opportunities inherent in
the transition to ZEVs, and we hope to continue partnering with
agencies to streamline requirements and goals across multiple
programs to better support this critical technology.
Sincerely,
Andrew Cullen
Senior Vice President - Fuels and Facility Services, Penske |
| Attachment | www.arb.ca.gov/lists/com-attach/6791-lcfs2024-UCBSMVM8WHgEaQBl.pdf |
| Original File Name | Penske LCFS Program Changes Comment Letter_February 2024.pdf |
| Date and Time Comment Was Submitted | 2024-02-19 13:57:27 |
If you have any questions or comments please contact Clerk of the Board at (916) 322-5594.