Rulemaking - Clean Fuel Standard Informal Comment Period #3

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Comment From: Nel Hydrogen (Kathy Ayers)

10/03/24 @ 11:59 PM
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Comment From: SkyNRG Americas, Inc. (Amy Malaki)

10/03/24 @ 10:59 PM
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Comment From: Friends of Toppenish Creek (Jean Mendoza)

10/03/24 @ 9:22 PM
Please accept and study these comments from the Friends of Toppenish Creek, an environmental non-profit group from Yakima County.
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Comment From: CleanFuture, Inc. (John Thornton)

10/03/24 @ 9:17 PM
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Comment From: RPMG LLC (Jesse Nowicki)

10/03/24 @ 6:56 PM
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Comment From: Clean Energy (Ryan Kenny)

10/03/24 @ 5:50 PM
Please find attached a letter from Clean Energy commenting on the proposed amendments to the Clean Fuel Standard update. We appreciate consideration of our views.
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Comment From: Promus Energy, LLC. (Dan Evans)

10/03/24 @ 4:09 PM
Please see attached document.
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Comment From: POET, LLC (Paul Townsend)

10/03/24 @ 3:38 PM
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Comment From: CALSTART and Members (Nicole Hutchinson)

10/03/24 @ 3:07 PM
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Comment From: Seattle City Light (Michael Breish)

10/03/24 @ 3:04 PM
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Comment From: Climate Solutions (Leah Missik)

10/03/24 @ 2:59 PM
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Comment From: Electric Vehicle Charging Asso... (Reed Addis)

10/03/24 @ 2:37 PM
Please find attached comments from the Electric Vehicle Charging Association for the Clean Fuel Standard's Third Informal Comment Period.
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Comment From: Western States Petroleum Assoc... (Antonio Machado)

10/03/24 @ 1:40 PM
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Comment From: Coalition for Renewable Natura... (Dana Adams)

10/03/24 @ 1:36 PM
Please see attached document for comments.
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Comment From: John P Rothlin (John Rothlin)

10/03/24 @ 1:06 PM
Attached please find comments submitted on behalf of Avista Corp.
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Comment From: Snohomish PUD (Suzanne Frew)

10/03/24 @ 1:02 PM
We own and operate fewer than 25 electric vehicle chargers. The proposed verification and validation protocol in the draft rulemaking is excessive and burdensome for a small number of chargers. Furthermore, the cost of verification compliance would f...
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Comment From: Powering America's Commercial ... (David Bonelli)

10/03/24 @ 12:44 PM
Please find attached the comments of Powering America's Commercial Transportation.
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Comment From: EVgo (Noah Garcia)

10/03/24 @ 11:48 AM
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Comment From: National Oilseed Processors As... (Kailee Tkacz Buller)

10/03/24 @ 10:18 AM
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Comment From: 3Degrees Group, Inc. (Helen Kemp)

10/03/24 @ 10:02 AM
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Comment From: Maas Energy Works (Dallas Spiecker)

10/03/24 @ 8:30 AM
Please see attached document for comment on Rulemaking - Clean Fuel Standard Informal Comment Period #3 - from Maas Energy Works.
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Comment From: Beta Analytic Inc. (Benjamin Kling)

10/03/24 @ 7:27 AM
Please see Beta's comments in the file attached. We appreciate the opportunity to share our perspective, thank you!
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Comment From: SRECTrade, Inc. (Becca Teigen)

10/02/24 @ 4:11 PM
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Comment From: Christianson PLLP (Kari Buttenhoff)

10/02/24 @ 11:44 AM
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Comment From: Twelve Benefit Corporation (Ira Dassa)

10/02/24 @ 8:00 AM
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Comment From: Rivian Automotive (Tom Van Heeke)

10/01/24 @ 11:51 AM
Rivian is pleased to submit the attached comments as part of this informal comment period on the CFS. Please reach out to me with any questions. Thanks for this opportunity to provide feedback.
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Comment From: Farm Power Northwest LLC (Kevin Maas)

9/30/24 @ 9:11 AM
We await the draft rules associated with the workshop update introducing "Proposal: Pre‐2023 projects would have their avoided methane credits phased out over time, with older projects receiving fewer credits." We want to remind Ecology that there a...
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Comment From: Smart Charging Technologies LL... (MAN ALTAHER)

9/30/24 @ 8:10 AM
Pls find attached comments by Smart Charging Technologies.
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Comment From: PineSpire (R Huggins)

9/27/24 @ 11:19 AM
thank you for considering PineSpire's comments
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Comment From: Chris Leyerle

9/18/24 @ 1:40 PM
1. Please clarify the 6,000 credit limit proposed in WAC 173.424.820(2)(b)(ii)--includes non-metered residential? Time period? Only EV credits or all credits?
2. The additionality proposal is burdensome and duplicative. The CFS should be focused on r...
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Comment From: Hammerschlag LLC (Roel Hammerschlag)

9/14/24 @ 10:45 AM
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