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Comment 61 for Public Comments for LCFS pathway applications (tier2lcfspathways-ws) - 2nd Workshop.


First Name: Doug
Last Name: Verboon
Email Address: doug.verboon@co.kings.ca.us
Affiliation:

Subject: B106 Application Question
Comment:
My name is Doug Verboon, and I currently sit as the Chairman of the
Board for the Kings County Board of Supervisors. I am writing in
response to applications B104, B105, and B106, published on your
website for public comment. According to public data, the dairy
digesters affiliated with these three applications are currently
selling their power output to the local utilities under the
Bioenergy Market Adjusting Tariff (BioMAT). The CPUC-approved
language of the BioMAT contract requires generators to turn over to
the purchasing utility all Renewable Energy Credits (RECs, aka
Green Tags) associated with the power generated. However, the LCFS
program requires any RECs used for vehicle fueling need to be
retired by the pathway holder, to prevent double counting. Given
these two conflicting requirements for RECs, how has CARB
determined that no double counting is occurring? I represent Kings
County, which has multiple BioMAT generators and would like to know
what public, transparent process might exist (if any) that would
enable my constituents to participate in both programs.

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Date and Time Comment Was Submitted: 2020-11-25 14:29:45



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