Submission Number: 1957
Submission ID: 23481
Submission UUID: 8bf434c4-7361-4961-8c28-af37f6f81d18

Created: Wed, 04/23/2025 - 11:48
Completed: Wed, 04/23/2025 - 11:49
Changed: Wed, 04/23/2025 - 13:19

Remote IP address: 73.41.247.145
Submitted by: Anonymous
Language: English

Is draft: No

Flagged: Yes


Submitted Comment
Graham Noyes
Nevada County Citizens
Input from Nevada County Citizens

Dear Dr. Sippola:

We, the undersigned citizens of Nevada County in our individual capacities, appreciate the opportunity to comment regarding the California Air Resources Board’s (“CARB”) Draft 596 Cement Strategy (the “Draft Strategy”). As residents of a county that has severe exposure to wildfire, we strongly encourage CARB to craft the SB 596 strategy in a manner that maximizes the utilization and sequestration of woody biomass and biochar. Our comment is organized into three sections:
1. The Importance of Maximizing the Use of Woody Biomass in Cement
2. Support for Principles for the Cement Strategy
3. Specific answers to Questions posed by CARB regarding the Draft Strategy.

Our full comment is attached. Thank you for the opportunity to provide input to this rulemaking.

N/A