First Name | Graham |
---|---|
Last Name | Noyes |
Email Address | graham@noyeslawcorp.com |
Affiliation | Noyes Law Corporation for Raizen |
Subject | Raizen'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 Name | Raizen’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.