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Comment 29 for 2022 Scoping Plan Update - Short-Lived Climate Pollutants Workshop (sp22-slcp-ws) - 1st Workshop.
First Name: Graham
Last Name: Noyes
Email Address: graham@noyeslawcorp.com
Affiliation: Noyes Law Corporation for Drylet, Inc.
Subject: Immediate Opportunity to Speed Methane Reductions in Dairy Sector
Comment:
Summary: Drylet, Inc. ("Drylet") appreciates this opportunity to provide comments on the California Air Resources Board's (CARB) 2022 Scoping Plan Update. I am writing to recommend that to respond to the urgent necessity of achieving short-lived climate pollutant ("SLCP") emission reductions, the California Air Resources Board ("CARB") should fully exercise its existing Low Carbon Fuel Standard ("LCFS") authority. In particular, CARB should exercise its discretion to review and confirm the beneficial impact of innovative technologies that enhance the performance of anaerobic digester facilities that have existing LCFS pathways. By exercising the discretion inherent to its LCFS authority, CARB can facilitate substantial additional reductions of SLCP emissions even before the 2022 Scoping Plan process is complete. Thank you for the opportunity to participate in this proceeding. If there are any questions relating to this comment or problems regarding transmission, please contact me. Best Regards, Graham Graham Noyes Noyes Law Corporation 401 Spring Street, Suite 205 Nevada City, CA 95959 (530)264-7157 Direct graham@noyeslawcorp.com
Attachment: www.arb.ca.gov/lists/com-attach/30-sp22-slcp-ws-UjYAdF0lWGdQMwdz.pdf
Original File Name: Drylet SLCP SP Comment 22 Sept 2021 FINAL PDF.pdf
Date and Time Comment Was Submitted: 2021-09-22 17:49:38
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