First Name | Jacklyn |
---|---|
Last Name | Montgomery |
Email Address | jacklyn@calact.org |
Affiliation | CALACT |
Subject | ICT Considerations: Revisions Needed |
Comment | Hello Chairwoman Nichols et al: Attached to this note is the California Association for Coordinated Transportation's (CALACT)comments on the proposed Innovative Clean Transit rule. We appreciate the direction, forethought, and support the Air Resources Board has given to clean transit. We also very much appreciate the time the Air Resources Board staff has given to CALACT & our members in developing the proposed regulation. Our primary concern when it comes to any rule change will be the vibrancy and continuity of the important public service our 330 members provide to their communities. We believe that public transit can help take cars off the road and reduce congestion, and that public mobility options enhances the quality of life of a community as a whole. As such, we hope that the Air Resources Board will consider the attached comments in the rule making process and continue to work with CALACT and transit agencies in building a better and more robust public transit future. Regards, Jacklyn Montgomery |
Attachment | www.arb.ca.gov/lists/com-attach/670-ict2018-BWZXMFM+U2EEYQF1.docx |
Original File Name | CalACT ICT Comment Letter Final.docx |
Date and Time Comment Was Submitted | 2018-09-24 12:50:08 |
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