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Comment #38 for Public Workshop to Discuss Potential Changes to the Low Carbon Fuel Standard
(lcfs-wkshp-jul22-ws) - 1st Workshop

First Name: Graham
Last Name: Noyes
Email Address: graham@noyeslawcorp.com
AffiliationNLC for Koloma, Inc.
SubjectKoloma Comments Pertaining to Hydrogen LCFS Regulatory Recommendations
Comment

Attached please find the comments of Koloma, Inc. regarding recommended changes to the LCFS regulatory structure that would enable the more rapid expansion of hydrogen consistent with the Draft 2022 Scoping Plan Update and California's 2030 and 2045 climate goals.   Koloma's comment makes the following recommendations:

*Book-and-Claim Accounting for Hydrogen in Transportation Applications

*Book-and-Claim Accounting for Hydrogen Used as a Process Energy in Facilities

*Expansion of the Tier 1 Calculator to Recognize More Hydrogen Pathways and Fuels Containing Hydrogen

*Recognition and Valuation of Carbon Mineralization for CCS

*Expanding Hydrogen Refueling Infrastructure for Medium and Heavy-Duty Vehicles

Koloma's complete comment is attached.   Please contact me if there are any issues with the transmission, or for any discussions relating to these comments.  Koloma appreciates the opportunity to provide comments to CARB regarding the LCFS regulatory changes.

Best Regards,

Graham Noyes

Noyes Law Corporation for Koloma, Inc.

www.fuelandcarbonlaw.com 

Attachment www.arb.ca.gov/lists/com-attach/43-lcfs-wkshp-jul22-ws-AmkAaQBtBTkFblQ1.pdf

Original File Name: Koloma Comment RE LCFS Rulemaking 7 August 2022 Final.pdf

Date and Time Comment Was Submitted: 2022-08-08 11:03:29


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