First Name: | Mitch |
---|---|
Last Name: | Sears |
Email Address: | msears@cityofdavis.org |
Affiliation | City of Davis |
Subject | Investment of Cap-and-Trade Proceeds - Local Government Involvement |
Comment |
Chairperson Nichols: I attended the May 24, 2012 Public Consultation Meeting on Investment of Auction Funds from California Cap-and-Trade Program on behalf of the City of Davis but was unable to speak due to the limited time allocated to public comment (too many speakers). The following comments were prepared by the City of Davis for the meeting: Chairperson Nichols, Board Members, the City of Davis appreciates the opportunity to provide comment on this important issue. The City's Mayor, Joe Krovoza, was unable to attend today's meeting due to scheduling conflicts but is very engaged in this topic and brings a unique perspective as both the City's Mayor and the Director of Development for the UC Davis Energy Efficiency Center and Institute for Transportation Studies. The City wanted to make two simple comments, but first some context. In Davis, better than 20% of work trips are by bicycle, more than double the amount of the next best city in the United States. The City is the birthplace of Title 24, which has gone on to save Californians billions of dollars. Davis is also home of the 1st utility scale grid tied solar power plant in the country. This context is provide to emphasize that the City has been implementing energy reducing programs for decades - it understands how to start and maintain programs that improve the community and reduce GHG. In addition, the majority of GHG emissions in California come from activities that happen in its cities (50-70% of GHG comes from activates related to consumers - LBNL, 2012). The City would like to make two comments: one general and one specific. 1. The City believes that local governments are uniquely positioned to play a significant role in implementing AB 32. There are more than 100 local climate actions plans in CA that have been vetted and adopted by communities in every part of the state. The plans are essentially pre-existing investment plans that the State can quickly and efficiently activate through Cap-and-Trade investments. 2. More specifically, the City would like to highlight the critical role of social innovation at the local level and how it connects to statewide GHG Reduction strategies. We submit this 2012 White Paper (attached), Local Carbon Reduction Initiatives, in support of the proposition that the State's GHG emission targets cannot be achieved without a robust, strategic demand side strategy designed to fully integrate with technological innovation and current supply side programs. The City calls your attention to the involvement of Lawrence Berkeley National Labs in this white paper as an example of the caliber of organizations that are directly engaged in this issue and view it as a critical part of a solution set for statewide GHG reductions. One of LBNL's conclusions is that focusing solely on technology, markets, and policy in climate mitigation strategies is incomplete without including human and social factors, which can be major drivers for technology adoption, policy adoption, and market creation. Davis and its partners encourage the ABR and its staff to directly include local jurisdictions with long-term experience in implementing GHG reduction programs in this critically important discussion. Thank you again for the opportunity to provide comment. |
Attachment |
www.arb.ca.gov/lists/investmentplan-ws/12-investing_ca_cap_and_trade_revenues_in_local_carbon_reduction_initiatives_v1.2.pdf Original File Name: Investing CA Cap and Trade Revenues in Local Carbon Reduction Initiatives v1.2.pdf
Date and Time Comment Was Submitted: 2012-06-05 09:36:43 |
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