Comment Log Display

Here is the comment you selected to display.

Comment for Statewide Truck and Bus Regulation 2008 (truckbus08) - 45 Day.

First NameJon
Last NameLevine
Email Addressjon@jblmoving.com
AffiliationAtlas Van Lines
SubjectProposed on-road diesel truck regulations that will impose significant costs on our indust
Comment
November 26th , 2008


The Honorable Governor Arnold Schwarzeneggar
State Capitol Building
Sacramento, CA 95814

Dear Governor Schwarzeneggar:

The California Air Resources Board (CARB) is currently considering
the adoption of an on-road diesel truck and bus regulation that, if
implemented as presently drafted would have a profound, negative
impact on California’s economy.

I want to be clear:  JBL Moving & Storage is very supportive of
reducing particulate matter (PM) and NOx emissions from diesel
engines.  There is no disagreement that we need to work
collectively to improve the state’s air quality and all of us want
to provide as healthy an environment as possible for our families,
our employees and all Californians.  However, in its current form,
the Board’s proposed regulation places a significant economic risk
on my business today. My business is already reeling from
unprecedented financial turmoil.

CARB is proposing this multi-billion dollar regulation during the
worst economic crisis since the Great Depression.  California
truckers, particularly moving companies like my own, are struggling
to make ends meet in the face of a massive slow down in the
residential real estate market.  The proposed legislation will
require my businesses to spend dollars that I don’t have, in a
market where there is virtually no access to capital for my
business.

Companies like those represented by the CMSA are being asked to
dispose of equipment and assets before their useful life has been
completed and purchase new equipment before it would otherwise be
acquired.  A combination of this proposed rule and the state of the
economy have left the trade-in or resale value of our equipment
worth pennies on the dollar.  Many CMSA member companies and others
like us simply don’t have the resources or access to capital to
retrofit our engines. Several of the CMSA members may be forced to
sell off there trucks at a loss or shut their companies’ doors,
ultimately costing jobs and revenue to the state’s economy.

Many of California’s trucking companies have already begun the
process of retrofitting or replacing their fleets, whether in the
normal course of their business cycle or in anticipation of these
regulations.  However, the smaller owner/operators – those with
fleets of five trucks or less – who make up more than 55 percent of
all trucks registered in the state, will be severely hampered by
the costs of retrofitting or replacing trucks that, in some cases,
are the sole assets of their family-owned businesses.

Given the multi-billion dollar cost of this regulation – and the
current volatile economic environment – I urge you to support the
alternative proposal proposed by the Driving Toward a Cleaner
California (DTCC) Coalition that would give companies the
opportunity to comply in the most reasonable timeframe and flexible
manner possible while still attaining aggressive emission
reductions.

In fact, CARB’s own analysis of our DTCC alternative confirms that
the DTCC alternative proposal achieves roughly similar emissions
benefits to the proposed regulation in the long-term.

We must be careful not to forfeit California’s economy and ability
to move goods across the state, build construction projects and bus
our children to and from school for the sake of protecting our
environment.  I look forward to working with you, CARB,
environmental organizations, the Legislature and other stakeholders
to accomplish these goals.

Sincerely,




Jon Levine
President
JBL Moving & Storage
20333 Corisco Street
Chatsworth, CA 91311
(818)888-6683
jon@jblmoving.com 

Attachment
Original File Name
Date and Time Comment Was Submitted 2008-11-26 11:43:56

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


Board Comments Home