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Comment for General Comments for the GHG Scoping Plan (sp-general-ws) - 1st Workshop.
First Name: Jill
Last Name: Blaisdell
Email Address: ablaisdell@earthlink.net
Affiliation:
Subject: California Air Resources A.B. 32
Comment:
Two years ago, Governor Schwarzenegger signed the boldest global warming law in U.S. history, A.B. 32. Since then, the California Air Resources Board (CARB) has been at work on a blueprint of policies and measures needed to cut global warming pollution by 30% by 2020, as required by the law. We need a well-designed cap-and-trade program. Cap-and-trade puts an absolute limit on pollution from some of California's largest sources and guarantees the environmental results we need. Our message: CARB should include as many sources as possible in a cap-and-trade system. We support CARB's preliminary thinking that 80% of California's global warming pollution would be under a cap-and-trade system by 2020. We need an "Indirect Source Rule" (ISR) to control emissions from development projects. What is an ISR? Developers measure indirect (mostly vehicle and energy use) pollution from construction and operation of projects and ensure that equivalent reductions occur so the project's impacts are limited. Our message: CARB should require California's local air districts to develop ISRs to control emissions from new developments. We need a new Renewable Portfolio Standard (RPS) to increase clean energy in our state. An RPS is a requirement that a percentage of all energy sold in California be generated from renewable sources (solar, wind, biomass, etc). California's current RPS target is 10% by 2010. Our message: We support CARB's preliminary recommendation that the state immediately adopt a 33% RPS by 2020.
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Date and Time Comment Was Submitted: 2008-09-29 15:25:28
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