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Comment 19 for Proposed Low Carbon Fuel Standard Amendments (lcfs2024) - 15-1.

First NameGraham
Last NameNoyes
Email Addressgraham@noyeslawcorp.com
AffiliationNoyes Law Corporation for Raizen
SubjectRaizen's Comments on Proposed 15-Day Changes
Comment
Dear Clerk of the Board,

Attached please find Raizen's comments regarding the proposed
15-Day Changes to the Low Carbon Fuel Standard.  Below is a brief
summary of these comments.  Please contact me regarding any
questions or issues regarding the filing.  Thank you for your
assistance.

The recent modifications proposed by the California Air Resources
Board (CARB) to the Low Carbon Fuel Standard (LCFS) regulations
(the "15-Day Changes") present significant implications for biofuel
producers globally. As one of the leading ethanol producers in
Brazil, Raízen is deeply invested in the LCFS and broadly supports
these changes, which will accelerate carbon intensity (CI) and
petroleum reduction, phase in sustainability requirements, and
promote advanced biofuels. From Raízen's standpoint, these changes
resonate with our commitment to sustainability and innovation.
These changes also have the potential to expand the global
sustainable fuels market but to execute the revised LCFS
effectively, it will be critical for CARB to work with stakeholders
as CARB interprets and implements the sustainability and
certification requirements. 

Best Regards,

Graham Noyes for Raizen
Noyes Law Corporation
419 Broad Street, Suite E
Nevada City, CA  95959
www.fuelandcarbonlaw.com 
(530)264-7157 Direct
graham@noyeslawcorp.com 

Attachment www.arb.ca.gov/lists/com-attach/7305-lcfs2024-AXMAZwRsWHELaAhm.pdf
Original File NameRaizen’s Comments on 15 Day Changes FINAL.pdf
Date and Time Comment Was Submitted 2024-08-23 10:29:09

If you have any questions or comments please contact Clerk of the Board at (916) 322-5594.


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