First Name: | Chris |
---|---|
Last Name: | Fitz |
Email Address: | cfitz@mclw.org |
Affiliation | Exec, LandWatch Monterey County |
Subject | Climate Change Draft Scoping Plan |
Comment |
LandWatch Monterey County appreciates the opportunity to provide comments on the Climate Change Draft Scoping Plan. LandWatch is dedicated to preserving Monterey County’s economic vitality, high agricultural productivity, and the health of our environment by encouraging greater public participation in planning. Our comments follow: Land Use Vehicle miles traveled (VMT) is projected to increase by 66% between 2006 and 2030 (“2007 California Motor Vehicle Stock, Travel, Fuel Forecasts”, Caltrans, May 2008). This increase is significantly greater than forecasts for population growth during the same period of 32%. Travel growth is related to greater car ownership, increased trip-making and longer commutes. All these issues are fundamentally related to land use and urban sprawl. Reducing travel would be addressed by Local Government Actions and Regional GHG Targets. It is estimated that this voluntary measure would reduce emissions by 2 MMTCO2E or 1% of the total recommended reductions. The Scoping Plan should assign more emission reductions to this sector. Additionally, emission reduction targets should be enforceable through regional planning efforts or indirect source review rules that are legally enforceable through air pollution control districts. The Scoping Plan should also include greater funding from State transportation funds for public transit and other forms of alternative transportation. Transit funding from government funds has continually declined throughout the years - a trend that needs to be reversed if California is to reduce single occupancy travel and reduce GHG emissions. Sustainable Forests The Sustainable Forests measure shows a 5 MMTCO2E reduction. Emissions reductions are to be achieved through such measures as forest management and protecting forest land using the CEQA process. Regarding the latter, the Plan should require amendments to CEQA Guidelines to require offsets when forest lands are replaced by emission increasing activities, i.e., development. Agriculture Emission reductions for agriculture are voluntary. Increased water efficiency, greater reliance on organic farming and reduced use of petroleum based pesticides and fertilizers are areas that should be addressed by the agricultural sector. Additionally, enforceable emission reductions should be required of this sector. Thank you for the opportunity to comment on the Draft Plan. |
Attachment |
Original File Name:
Date and Time Comment Was Submitted: 2008-07-30 07:43:07 |
If you have any questions or comments please contact Office of the Ombudsman at (916) 327-1266.