Comments following the November 6, 2017 Public Workshop on the California Air Resources Board Preliminary Draft of Potential Regulatory Amendments to the Low Carbon Fuel Standard (LCFS)

  • Author(s): Noah Bucon
  • Date: December 4th, 2017 | Comment | 4 Pages

  • Comments in response to the potential regulatory amendments to the Low Carbon Fuel Standard. The intent of these comments is to provide information on industry best practices in regard to the treatment of Renewable Energy Certificates (RECs) in the fuel pathway involving the use of renewable energy to charge electric vehicles, specifically the use of RECs to substantiate renewable energy usage and therefore prevent double counting of environmental attributes, as referenced in the California Public Utilities Code.

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