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Comment 121 for Low Carbon Fuel Standard - Policy and Regulatory Development (lcfs-policy-ws) - 7th Workshop.


First Name: Jamie
Last Name: Lutch
Email Address: admin@simplefuels.com
Affiliation: Simple Fuels Biodiesel

Subject: Draft Low Carbon Fuel Standard (LCFS) Regulation – Jan. workshop
Comment:
Dear Ms. Singh:

I am a owner of a small biodiesel production facility in Plumas
County.

I write today to comment on the draft LCFS regulation as discussed
at the January 30, 2009 workshop and to encourage an accelerated
timeline for Biodiesel and other diesel alternatives. 

I appreciate the change made in the implementation timeline from
the December workshop to begin implementation in 2011 but request
more be done.  According to the California Energy Commission,
California is using 43+million gallons of Biodiesel per year. 
California has nine Biodiesel plants operating, with an estimated
total production capacity of 63 million gallons per year; another 4
plants are idle and at least one is under construction.  The
existing infrastructure is more than capable of meeting the demands
of a one percent reduction in carbon intensity beginning January
2010.  Furthermore, according to the California Energy Commission,
the current AB 118 investment plan will allocate funding towards
the development of biodiesel blending and distribution
infrastructure.  I strongly recommend ARB to revise the
implementation timeline for the diesel fuel pool to include more
aggressive decreases in carbon beginning in 2010.

Thank you for your consideration of these comments.  Should you
have any questions or need additional information please  email
me.

Sincerely,

Jamie Lutch
Owner
Simple Fuels Biodiesel


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Date and Time Comment Was Submitted: 2009-02-18 08:37:55



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