3/24/2021 |
Thomas |
Modzelewski |
Citizen |
New York |
New York |
Please see attached Comment Letter Please see attached Comment Letter |
TCI-P Comment Letter Submission_TJM.pdf |
4/6/2021 |
Ellen |
Kennedy |
none |
San Diego |
California |
Please see the attached letter. Please see the attached letter. |
TCI-P-Comment Letter-Kennedy.docx |
4/6/2021 |
Nicole |
Wong |
Dream Corps Green For All |
Oakland |
California |
Please see the attached "Equity Advisory Body Principles" submitted by RACCE, Transit Forward Philadelphia, BlueGreen Alliance, Dream Corps Green For All, Pittsburghers for Public... read more Please see the attached "Equity Advisory Body Principles" submitted by RACCE, Transit Forward Philadelphia, BlueGreen Alliance, Dream Corps Green For All, Pittsburghers for Public Transit, Clean Air Council, NAACP New York State Conference, Virginia State Conference NAACP, Transport Hartford, Chispa Maryland, and Make the Road CT. |
Equity Advisory Body Principles_Model Rule Comments 4-6-21.pdf |
4/7/2021 |
Jordan |
Stutt |
Acadia Center |
Boston, MA |
Massachusetts |
Please find the attached comments on the TCI-P Draft Model Rule and plan for public engagement, submitted on behalf of 84 transportation, health, environmental, business, and community... read more Please find the attached comments on the TCI-P Draft Model Rule and plan for public engagement, submitted on behalf of 84 transportation, health, environmental, business, and community organizations. We offer feedback intended to ensure an equitable and ambitious TCI program.
Thank you for leadership on this issue. |
Joint Comments_TCI-P Model Rule and Public Engagement_4_7.pdf |
4/13/2021 |
Eleanor |
Fort |
Dream Corps Green For All |
Boston |
Massachusetts |
Please see Green For All's attached public comment in response to the Draft TCI-P Model Rule and Update on Public Engagement Planning documents. Thank you for your consideration. read more Please see Green For All's attached public comment in response to the Draft TCI-P Model Rule and Update on Public Engagement Planning documents. Thank you for your consideration. |
GFA Model Rule and Update on Public Engagement Planning Comment Letter 4_13_21 (1).pdf |
4/14/2021 |
Will |
Scott |
NC Conservation Network |
Raleigh |
North Carolina |
See attached our comments on the Model Rule. See attached our comments on the Model Rule. |
2021.4.14 NC Conservation Network TCI_Model_Rule_Comments.docx |
4/20/2021 |
Rebecca |
Newberry |
BlueGreen Alliance |
Buffalo |
New York |
Please accept our attached comments. Please accept our attached comments. |
BGA_NJWEC TCI Draft Model Rule Comment.pdf |
4/20/2021 |
Ellen |
Benitez |
MAPDA |
Annapolis |
Maryland |
The proposed Transportation Climate Initiative (TCI) Model Rule is unlikely to reduce carbon dioxide emissions from motor vehicles by a targeted 66 million tons a year by 2032. In fact, using... read more The proposed Transportation Climate Initiative (TCI) Model Rule is unlikely to reduce carbon dioxide emissions from motor vehicles by a targeted 66 million tons a year by 2032. In fact, using real-world examples from California, the Rule may have no impact at all on emissions. It is clear, however, that gasoline and diesel fuel prices will rise under the Model Rule. Fuel distributors must buy emission allowances under the Model Rule, and the cost will be passed onto consumers at the pump. TCI’s Model Rule is actually a regressive tax costing all families about the same. TCI will cost each family thousands of dollars over the next decade, and those in poverty are least able to absorb those costs. In addition, the Model Rule establishes a fixed budget of available allowances by year (pg. 44) and fuel can’t be delivered without an allowance. If TCI estimates of program success are wrong, and fuel demand doesn’t fall as expected, needed fuel can’t be delivered. TCI could plunge the region into motor fuel shortages and 1970’s style lines at the pump.
The Model Rule also moves motor fuel taxing authority from states to a non-governmental regional authority. We believe that ceding authority in this way is always a bad idea. Unlike traditional gasoline taxes, the revenue raised from allowance auctions will not go to maintaining and building highways in the local area. TCI plans to spend most of the money raised subsidizing electric vehicles, public transportation, and walking and biking trails. Electric vehicles weigh an extra thousand pounds, which adds more strain on highways, but pay no tax toward highway trust funds. States will have to raise gas taxes to make up for this revenue shortfall.
TCI claims 35% of funds will be spent on projects to bring more equity for low income communities (pg. 41), but the Model Rule is short on specifics. Urban areas already rely on public transportation. Subways and trains already run on electricity. Much of the nation’s bus fleet has already been transitioned from diesel to lower emitting natural gas and propane1. Replacing buses with electric versions that cost two to three times as much provides little additional value. Plans to add walking and biking trails in urban areas will likely find recreational use, but are unlikely to reduce commuting travel, especially in cold, wet weather.
The Model Rule establishes target emission allowance prices where allowances will be added or removed from the auction to control the auction price (pgs. 9-10). That is an engineered exercise to manipulate the price of emission allowances rather than a market-rate auction. TCI forecasts an average price that would add 11 cents to a gallon of gasoline in 2022, rising to 27 cents by 2032. TCI’s own worst case estimate pegs a surcharge as high as 41 cents2. At a minimum, TCI will cost a typical household $2,000 over the next decade, or about $187 a year3. The worst case scenario could cost households $414 in 2032, and total $4,550 by 2032. Low income rural families will be hurt the most, and the Model Rule offers no relief for those families.
Adding to the economic injustice, much of the money raised from the emission allowances will be used for subsidies for electric vehicles. Many studies show that electric vehicles are often bought by wealthy individuals for access to High Occupancy Vehicle lanes as a single occupant. The national Renewable Energy Laboratory estimates 86% of EVs are bought by people making over $60,000 a year4. TCI money will also be given as subsidies for public and private electric vehicle charging stations so those wealthy families can recharge their vehicles anywhere. Since over 80% of charging occurs overnight at home4, utilities are offering lower electric rates after 8 PM saving these wealthier families even more money.
TCI documents2 target a 6% reduction in emissions from an expected 2022 forecast level of 253 million tons, or 15 million tons per year emission savings by 2032 for twelve states and the District of Columbia. An emission allowance budget is established for each state. In the appendix of the September, 2020 TCI webinar a study by ICF International indicates only 11.8 million tons will be saved annually and that is partially offset by increased emission of 3.7 million tons from increased electric generation to power the increased number of electric vehicles. The actual emissions savings may only be 8 million tons per year, or 3%.
TCI is partially counting on higher prices to discourage driving, but travel necessity makes fuel use inelastic. A study by the U.S. Energy Information Agency5 found motor fuel prices would need to increase 25 to 50 percent to reduce driving by 1 percent, or to about $3.72/gallon in today’s dollars. The Model Rule forecasts a maximum price of 27 cent/per gallon which might only reduce emissions by about 0.2%, or 0.5 million tons.
Another flawed TCI assumption is a planned $4,000 subsidy per electric vehicle against a premium purchase price of $12,000 will stimulate sales by 10 million vehicles by 20322. This will use up to 80% of the expected emissions allowance auction revenue. TCI’s assumption does not connect with actual experience. Currently, there is a more generous federal subsidy of $7,500 per vehicle which has only stimulated sales of about 300,000 vehicles a year6. This translates to 3 million vehicles over ten years, for a CO2 reduction of about 2 to 5 million tons a year by 2032.
Considering the low impact of higher fuel prices on the miles people drive, and likely lower electric vehicle sales than forecasted, direct emission savings from TCI might only be about 2.5 to 5.5 million tons per year, a fraction of the 15 million ton forecast.
The big TCI forecast savings, 51 million tons, is supposed to come from federal programs for higher mile per gallon standards and alternative fuels. The US Energy Information Agency released its 2021 Annual Energy Outlook and only expects a 4% reduction in petroleum based transportation emissions between 2022 and 2032 equaling only a 10 million ton reduction in the TCI region by 20327.
In addition, transportation emissions in the TCI region in 2018 were 347 million tons so reaching the 2022 target of 253 million tons would require a 27% reduction, or 94 million tons8. Between 2012 and 2018 emissions actually increased 9.5% as miles per gallon improvement was eclipsed by more miles traveled, and more vehicles on the road. It is unlikely the TCI region will meet the starting goal of 253 million tons by 2022.
Taking into account a higher emission starting point in 2022 and a slower contribution to emission reductions from federal programs by 2032, we believe the expected 51 million ton 2032 TCI target is a pipe dream. Based on TCI’s own documents it is actually possible there will be zero emissions reductions by 2032 even if all the regional target jurisdictions adopt TCI. Yet the number of allowances allowing fuel delivery will be reduced in lockstep with the TCI plan which assumes the 66 million ton TCI forecast reduction. The imbalance in available allowances compared to actual demand could lead to massive shortages of motor fuel.
In conclusion, TCI will likely fail to significantly reduce carbon dioxide emissions from motor fuels, but will raise fuel prices hurting the poor the most, while leaving states short of highway trust funds, and out of the loop in controlling taxes. Worst case, the plan may result in fuel shortages leading to panic and long lines at the pump. This is a bad idea for Maryland and Delaware.
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MAPDA Model Rule comments final .pdf |
4/20/2021 |
Sean |
Flynn |
Flynn's Truck Plaza |
Shrewsbury |
Massachusetts |
Please see the attached for our comments on Massachusetts and the TCIP Please see the attached for our comments on Massachusetts and the TCIP |
TCIPPublicComments.pdf |
4/21/2021 |
Anastasia |
Gordon |
Alliance for Clean Energy New York |
Albany |
New York |
Please find attached our comments on New York and the TCI-P Draft Model Rule and Public Engagement Plan. Please find attached our comments on New York and the TCI-P Draft Model Rule and Public Engagement Plan. |
ACE NY Comments on TCI-P Draft Model Rule and Public Engagement.pdf |
4/23/2021 |
kevin |
weeks |
Trucking Assn of Massachusetts |
Boston |
Massachusetts |
Please accept our comments in the attached document. Thank you. Please accept our comments in the attached document. Thank you. |
TCI P working document.pdf |
4/28/2021 |
Drew |
Stilson |
Environmental Defense Fund |
Washington |
District of Columbia |
EDF respectfully offers the attached comments and recommendations for consideration to the Draft Model Rule of the Transportation and Climate Initiative Program. We appreciate your consideration... read more EDF respectfully offers the attached comments and recommendations for consideration to the Draft Model Rule of the Transportation and Climate Initiative Program. We appreciate your consideration of these comments. |
EDF Comments on TCI Model Rule.pdf |
4/29/2021 |
Mason |
Emnett |
Exelon Corporation |
Washington |
District of Columbia |
Attached please see the comments of Exelon Corporation Attached please see the comments of Exelon Corporation |
20210429 TCI-P Comments - Exelon Corporation.pdf |
5/2/2021 |
Jennifer |
Kleindienst |
Self |
Middletown |
Connecticut |
Please see attached testimony. Please see attached testimony. |
2021 05 TCI-P Model Rule Public Comments.pdf |
5/5/2021 |
Sherrie |
Merrow |
Natural Gas Vehicles for America (NGVAmerica) |
Washington |
District of Columbia |
Please see letter in attached file.
Thank you,
Sherrie Merrow
NGVAmerica | smerrow@ngvamerica.org | 303.883.5121 Please see letter in attached file.
Thank you,
Sherrie Merrow
NGVAmerica | smerrow@ngvamerica.org | 303.883.5121 |
NGVA Comments on TCI-P Draft Model Rule - May 5 2021.pdf |
5/6/2021 |
john |
reese |
Shell Oil Products US |
houston |
Texas |
Please see attached comments on the draft model rule. Please see attached comments on the draft model rule. |
Shell Comments TCI Model Rule Final 5-6-21.pdf |
5/6/2021 |
Jeff |
Fromuth |
Resident within TCI jurisdiction |
Washington |
District of Columbia |
Please find comments attached. Please find comments attached. |
Comments on TCI-P Draft.docx |
5/7/2021 |
Brett |
Barry |
Clean Energy |
Newport Beach |
California |
Clean Energy greatly appreciates the opportunity to comment on the (TCI) Draft Model Rule for the TCI-Program (TCI-P). We also applaud your dedication to this long-term effort to meaningfully... read more Clean Energy greatly appreciates the opportunity to comment on the (TCI) Draft Model Rule for the TCI-Program (TCI-P). We also applaud your dedication to this long-term effort to meaningfully address transportation sector emissions and their negative effects on both air quality and climate change.
THE LOWEST CARBON FUEL AVAILABLE
As North America’s largest provider of carbon negative vehicle fuel, Clean Energy is proud to deliver renewable natural gas (RNG) to the country’s leading fleets such as UPS, Waste Management, NYMTA, and Amazon. In 2020, the California Air Resources Board certified RNG as the first and only carbon negative fuel (-17.95 gCO2e/MJ ), based on the weighted average under the state’s Low Carbon Fuel Standard (LCFS). Individual RNG fuel pathways have been certified with carbon intensity scores as low as -532 gCO2e/MJ . It is important to note that the weighted average of battery electric power has a carbon intensity score in California of 16.6 gCO2e/MJ , thereby making RNG the lowest carbon fuel available.
With similar operational performance benefits as diesel trucks, in terms or range and payload, RNG vehicles are the leading technology for reducing carbon emissions from the medium and heavy-duty vehicle sector. In addition to providing climate change benefits, vehicles powered by near-zero engines and fueled with RNG can reduce NOx emissions by 90-99 percent and eliminate diesel particulate matter emissions.
LARGE-SCALE DEPLOYMENT CAPABLE
Whether its mass transit buses or long-haul trucks, renewable natural gas vehicles surpass all other alternative fuels in terms of operational deployment in the heavy-duty sector. For example, in early 2021 New York MTA, the nation’s largest mass transit authority, signed a contract to fuel 800 of their buses with RNG. LA Metro, the nations’ second largest mass transit authority operates over 2,300 RNG buses and recently placed an order for 300 more. In contrast, Toronto currently operates the largest electric-battery bus fleet in North America with a total of 60 buses. While every industry has their own studies, the proof is in the deployments.
EV technology has advanced over the past decade but is still not deployable on a large-scale. This is due to cost, performance, infrastructure, and upstream energy issues that may or may not be renewable. Additionally, the lack of availability for heavy duty applications is not expected to resolve itself in the near to mid-term.
PROVIDING RELIEF TO ENVIRONMENTAL JUSTICE COMMUNITIES NOW
The Draft Model Rule specifically addresses environmental justice communities by mandating 35 percent of the funds collected address air quality in said neighborhoods. This is a powerful and necessary policy. Many environmental justice communities are located around heavily industrialized areas which are often plagued by heavy diesel truck traffic. Clean Energy’s vast network of over 530 refueling stations are enabling trucking fleets to provide these communities immediate and effective relief today. National trucking fleets have taken the lead in deploying thousands of RNG trucks across the country with the most recent development being Amazon’s announcement to deploy over 700 RNG trucks across its national operations. Local and regional fleets in these communities also have independently started to adopt RNG, as evidenced by our Hunts Point station in the South Bronx where small fleets such as a local concrete company utilize this green fuel.
CONCLUSION
TCI can be a great success if states implement a program which focuses on results by not restricting the means. Electrification is a part of the solution, but electrification alone could guarantee diesel’s domination for decades along with the associated air pollution and carbon emissions. Large-scale deployments of RNG vehicles by leading national fleets provide clear evidence that to achieve significant emissions reductions now, RNG must play a significant role in the TCI-P. We look forward to continued participation in the process and request that the TCI organization place greater emphasis on the important role that renewable fuels play in our carbon free future.
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TCI Comments 5-7-21.docx |
5/7/2021 |
Matt |
Macunas |
Connecticut Green Bank |
Hartford |
Connecticut |
Letter attached Letter attached |
CGB Input_TCI Model Rule 050721.pdf |
5/7/2021 |
Kirk |
McCauley |
WMDA/CAR |
Bowie |
Maryland |
I have uploaded comments I have uploaded comments |
Comments on Proposed TCI Model Rule.pdf |