| Comment | The California Wastewater Climate Change Group (CWCCG) appreciates
the opportunity to comment on the Potential Amendments to the
Regulation for the Mandatory Reporting of Greenhouse Gas Emissions
and we appreciate the leadership of the California Air Resources
Board (CARB) on climate change issues. The focus of our comment
letter is the amended language in § 95101(b)(2).
Please review our attached comments and 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.
Sincerely,
Sarah Deslauriers
CWCCG Program Manager
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