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Comment 43 for Low Carbon Fuel Standard Public Workshop to Discuss Potential Regulation Revisions (lcfs-wkshp-oct20-ws) - 1st Workshop.
First Name: Matt
Last Name: Rynearson
Email Address: MRynearson@pinalenergyllc.com
Affiliation:
Subject: Carbon Dioxide Utilization from Ethanol Plants
Comment:
Please See Attachment: Pinal Energy is requesting CARB to consider how carbon dioxide (CO2) from ethanol fermentation can displace fossil CO2 in commercial applications and lower the carbon intensity (CI) score for an ethanol fuel pathway. CO2 captured from industrial processes is used in many industries and should be considered as a co-product for fuel pathways where it can be showed to displace the use of fossil carbon dioxide. Adding CO2 as a co-product will allow the merchant CO2 market to effectively compete with that of the captive CO2 market.
Attachment: www.arb.ca.gov/lists/com-attach/45-lcfs-wkshp-oct20-ws-Wz5TIVI7ADIKYlM8.docx
Original File Name: Ethanol Carbon Dioxide Utilization.docx
Date and Time Comment Was Submitted: 2020-11-05 11:06:26
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