5/9/2021 |
Sarah |
Vickers |
Virginia Interfaith Power & Light |
Alexandria |
Virginia |
I call for the TCI-P Model Rule to include (1) a minimum investment amount to ensure overburdened and underserved communities in Virginia receive a greater-then-proportional share of investments... read more I call for the TCI-P Model Rule to include (1) a minimum investment amount to ensure overburdened and underserved communities in Virginia receive a greater-then-proportional share of investments from the program, (2) integration of air quality commitments across Virginia, and (3) robust empowerment of Virginia's Equity Advisory Body. |
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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 |
8/13/2021 |
Ellen |
Valentino |
Mid-Atlantic Petroleum Distributors Assn. |
Annapolis |
Maryland |
See enclosed document See enclosed document |
Comments on TCI Aug 2021.pdf |
5/4/2021 |
Joe |
Bared |
Citizen |
Arlington |
Virginia |
We don't want to pay any more taxes. The carbon that the government wants to reduce is political. You should stop spreading falsehood about carbon emission.
The Government should... read more We don't want to pay any more taxes. The carbon that the government wants to reduce is political. You should stop spreading falsehood about carbon emission.
The Government should protect us the people not take advantage of us by robbing us with taxes on a fake issue trumped up by big government and big industry, equivalent to fascism.
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- |
5/5/2021 |
Joan |
McIntyre |
Individual |
Arlington |
Virginia |
I support a strong TCI-P Model Rule that (1) ensures meaningful climate action to address Virginia's largest driver of our climate crisis, (2) directs significant investments to correcting... read more I support a strong TCI-P Model Rule that (1) ensures meaningful climate action to address Virginia's largest driver of our climate crisis, (2) directs significant investments to correcting historic inequities in overburdened and underserved communities; and (3) affords Virginia the opportunity for a cleaner, healthier transportation system. I call for the TCI-P Model Rule to include (1) a minimum investment amount to ensure overburdened and underserved communities in Virginia receive a greater-then-proportional share of investments from the program, (2) integration of air quality commitments across Virginia, and (3) robust empowerment of Virginia's Equity Advisory Body. Rapidly reducing carbon emissions from transportation through more robust public transit and multimodal options and conversion of vehicles to electric or zero-carbon fuels is essential to avoiding the worst consequences of the climate crisis. |
- |
5/7/2021 |
Laura |
Cofsky |
Individual |
Arlington |
Virginia |
I support a strong TCI-P Model Rule that (1) ensures meaningful climate action to address Virginia's largest driver of our climate crisis, (2) directs significant investments to correcting... read more I support a strong TCI-P Model Rule that (1) ensures meaningful climate action to address Virginia's largest driver of our climate crisis, (2) directs significant investments to correcting historic inequities in overburdened and underserved communities; and (3) affords Virginia the opportunity for a cleaner, healthier transportation system. |
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5/7/2021 |
Leslie |
Louden |
Arlington, VA resident |
Arlington |
Virginia |
I strongly support the TCI-P Model Rule as an essential next step on the road to decarbonization.
A 2018 report from the Intergovernmental Panel on Climate Change (IPCC) confirms that... read more I strongly support the TCI-P Model Rule as an essential next step on the road to decarbonization.
A 2018 report from the Intergovernmental Panel on Climate Change (IPCC) confirms that meeting the Paris Agreement's 1.5-degree target will require cutting GHG emissions roughly in half by 2030, and achieving net zero emissions by 2050. Achieving these reductions will be challenging. A recent forecast from the United Nations' World Meteorological Organization finds "a 20% chance that global temperatures will be 1.5 degrees Celsius (2.7 Fahrenheit) higher than the pre-industrial average in at least one year between 2020 and 2024."
We simply no longer have the luxury of time. I respectfully encourage adoption of the TCI-P Model Rule now to ensure durable, sustained, and necessary reductions in GHG pollution. Thank you.
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5/7/2021 |
Becky |
Daiss |
self |
Arlington |
Virginia |
I am writing in strong support of the TCI-P as a much needed collaborative effort to put a brake on carbon emissions while investing in cleaner, more equitable and resilient transportation systems... read more I am writing in strong support of the TCI-P as a much needed collaborative effort to put a brake on carbon emissions while investing in cleaner, more equitable and resilient transportation systems. I am also writing to stand against fossil fuel interests that are quite predictably lining up to oppose this first-of-its-kind initiative because they don’t want to be held accountable for the pollution from the fuel they sell. We must finally hold the line against the environmental destruction that the fossil fuel industry has wrought. Virginia has made great strides in supporting renewable energy, protecting clean air and cutting pollution in the process.
TCI ensures that these efforts don’t stop at the state-line, that we’re working collaboratively with our neighbors to the north and south to address climate change while making investments that cut pollution, protect public health, safeguard vulnerable communities, and advance a modern, sustainable transportation system. This is a must do. |
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5/7/2021 |
Steven |
Gillard |
Parent and Presbyterian Ruling Elder |
Arlington |
Virginia |
I support TCI-P as an effort to lower emission from the transportation sector and to raise revenue to fund the infrastructure we need to further reduce emissions and to support frontline... read more I support TCI-P as an effort to lower emission from the transportation sector and to raise revenue to fund the infrastructure we need to further reduce emissions and to support frontline communities who are disproportionately affected by pollution from transportation. I support efforts that recognize that market mechanisms can benefit environmental justice efforts and have the potential to build a broad base of political support. As a Christian and a dad I want to take aggressive action to give my kids a livable future and to steward God's beautiful creation. |
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5/7/2021 |
Jim |
Lindsay |
None |
Arlington |
Virginia |
Transportation emissions are a huge driver of climate change, accounting for nearly half of Virginia’s carbon output, while also emitting toxic air pollution that falls disproportionately on low-... read more Transportation emissions are a huge driver of climate change, accounting for nearly half of Virginia’s carbon output, while also emitting toxic air pollution that falls disproportionately on low-income populations and communities of color.
The Transportation and Climate Initiative Program (TCI-P) is a welcome step forward to addressing this major source of pollution, while steering needed investments in a modern, sustainable transportation system.
Funding provided by the TCI-P could help with ongoing efforts to put more electric vehicles on the road in Virginia along with equitably distributed charging infrastructure across the state.
The TCI-P also presents the opportunity to drive investments in a cleaner transportation system in the communities that have suffered the most from vehicle pollution. While the model rule calls for at least 35 percent of TCI proceeds to go toward frontline, impacted communities, here in Virginia I would hope we go above and beyond that benchmark, investing at least half of our TCI revenue in programs and infrastructure that will lower this disproportionate pollution burden.
I hope this important framework moves forward for the good of our climate, our health and our future.
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5/7/2021 |
Andrew |
Kambour |
The Nature Conservancy |
Arlington |
Virginia |
Please see the attached file for The Nature Conservancy's comments on the TCI-P Draft Model Rule read more Please see the attached file for The Nature Conservancy's comments on the TCI-P Draft Model Rule |
TNC Comments - TCI Draft Model Rule 5-7-21.pdf |
5/7/2021 |
Sharon |
Shutler |
Climate & Clean Energy Working Group, Virginia Grassroots Coalition |
Arlington |
Virginia |
I strongly support TCI-P. Transportation emissions are a major contributor to climate change and in Virginia, amount to nearly half of Virginia’s carbon output. The science is clear and the... read more I strongly support TCI-P. Transportation emissions are a major contributor to climate change and in Virginia, amount to nearly half of Virginia’s carbon output. The science is clear and the clock is ticking. We must aggressively address emissions from this sector if we hope to make real progress on combatting climate change.
TCI-P will also help reduce harmful air pollutants emitted by transportation sources. Accordingly to the American Lung Association, while these pollutants impact the health of everyone, they have a disproportionate impact on low-income populations and communities of color.
TCI-P generated funding will allow Virginia to invest in a modern, sustainable transportation system. It will support ongoing efforts to increase the electric vehicles and ensure adequate and equitably distributed charging infrastructure throughout the Commonwealth.
I urge you to support for this critical framework to help stave off the worst of the climate crisis, allow us to invest in a modern cleaner transportation system, and improve the health in communities hurt the most by transportation related pollution.
Thank you,
Sharon Shutler
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- |
5/7/2021 |
Sharon |
Shutler |
Climate & Clean Energy Working Group, Virginia Grassroots Coalition |
Arlington |
Virginia |
I strongly support TCI-P. Transportation emissions are a major contributor to climate change and in Virginia, amount to nearly half of Virginia’s carbon output. The science is clear and the... read more I strongly support TCI-P. Transportation emissions are a major contributor to climate change and in Virginia, amount to nearly half of Virginia’s carbon output. The science is clear and the clock is ticking. We must aggressively address emissions from this sector if we hope to make real progress on combatting climate change.
TCI-P will also help reduce harmful air pollutants emitted by transportation sources. Accordingly to the American Lung Association, while these pollutants impact the health of everyone, they have a disproportionate impact on low-income populations and communities of color.
TCI-P generated funding will allow Virginia to invest in a modern, sustainable transportation system. It will support ongoing efforts to increase the electric vehicles and ensure adequate and equitably distributed charging infrastructure throughout the Commonwealth.
I urge you to support for this critical framework to help stave off the worst of the climate crisis, allow us to invest in a modern cleaner transportation system, and improve the health in communities hurt the most by transportation related pollution.
Thank you,
Sharon Shutler
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- |
5/7/2021 |
Mark |
Morgan |
Energy Marketers of America |
Arlington |
Virginia |
EMA Comments EMA Comments |
EMA_TCI_Comments (2).pdf |
5/7/2021 |
Cathy |
Saunders |
Lewinsville Faith in Action |
Arlington |
Virginia |
The plan strikes me as a sensible step toward reducing particulate emissions, especially in communities near highways (which tend to be minority and/or low income) and toward reducing greenhouse... read more The plan strikes me as a sensible step toward reducing particulate emissions, especially in communities near highways (which tend to be minority and/or low income) and toward reducing greenhouse gas emissions. Any increase in gas prices would be small in comparison to the normal fluctuations, and the combined revenue and cost savings in other areas (including health care) would more than offset those costs. I strongly favor the plan. |
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5/10/2021 |
Sybil |
Bullock |
Break Free From Plastic |
Arlington |
Virginia |
I call for the TCI-P Model Rule to include (1) a minimum investment amount to ensure overburdened and underserved communities in Virginia receive a greater-than-proportional share of investments... read more I call for the TCI-P Model Rule to include (1) a minimum investment amount to ensure overburdened and underserved communities in Virginia receive a greater-than-proportional share of investments from the program, (2) integration of air quality commitments across Virginia, and (3) robust empowerment of Virginia's Equity Advisory Body. |
- |
5/7/2021 |
Rachel |
Levy |
Virginia Interfaith Power & Light member |
Ashland |
Virginia |
[I/we] call for the TCI-P Model Rule to include (1) a minimum investment amount to ensure overburdened and underserved communities in Virginia receive a greater-then-proportional share of... read more [I/we] call for the TCI-P Model Rule to include (1) a minimum investment amount to ensure overburdened and underserved communities in Virginia receive a greater-then-proportional share of investments from the program, (2) integration of air quality commitments across Virginia, and (3) robust empowerment of Virginia's Equity Advisory Body." |
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9/7/2021 |
Kevin |
Tobin |
Independent |
Avon |
Connecticut |
The purchase of 'allowances' does not adequately serve the purpose of reducing emissions. This cost is simply passed down to the consumer; ultimately wreaking havoc on GDP. There needs... read more The purchase of 'allowances' does not adequately serve the purpose of reducing emissions. This cost is simply passed down to the consumer; ultimately wreaking havoc on GDP. There needs to be major tax 'incentives' to produce cleaner energy and reduce GHG. If 'clean energy' becomes synonymous with 'profitability', then the stated goals of this plan are much more likely to succeed. Simply incorporating additional costs only hurts the very people you're trying to protect and is not really an equitable solution on its own. There are many who do wish to 'go green', but the startup is simply too cost prohibitive. Please add financial INCENTIVES to this plan, as the money made from 'allowances' (over the course of inflation that comes with this type of activity) will ultimately end up being next to worthless. The fact is, we should have cut out GHG a LONG time ago. We are already overdue and the fact that corporations can just pay-up and that somehow makes it ok is an insult to our planet, voting citizens and our children. The earth doesn't work that way. 'Paid-for emissions' are still emissions. Greener energy should be a REQUIREMENT, at this point. Gas stations change their pricing constantly, and drivers who commute are not going to stop driving. Since, COVID, driving has even become many individuals full-time job. And electric vehicles provide no benefit to our environment if the electricity they use still comes from the burning of fossil fuels. Consumers still require energy. Added costs, simply get passed down to the end-users who have even less means to make an impact. Ultimately, change rests in the hands of the producers of that energy. As such, clean energy production should be mandated, if not strongly encouraged through credits and tax incentives. Simply taxing emissions, as we've already witnessed over the years, does absolutely NOTHING to produce the desired change this policy lays out. Please provide the 'carrot' AND 'the stick' to ensure our children have a habitable world to live in. |
- |
5/7/2021 |
Brian |
O'Malley |
On behalf of 14 signatories including the Central Maryland Transportation Alliance |
Baltimore |
Maryland |
Please see the attached letter signed by 14 organizations in Maryland. Please see the attached letter signed by 14 organizations in Maryland. |
Joint Comments_ TCI-P Draft Model Rule and Public Engagement - Maryland Advocates.pdf |
8/13/2021 |
Brian |
O'Malley |
On behalf of 13 signatories including the Central Maryland Transportation Alliance |
Baltimore |
Maryland |
Joint Comments: TCI-P Draft Policy Statements
August 13, 2021
To: TCI Leadership Team: Kathleen Theoharides, Secretary, Massachusetts Executive Office of Energy and... read more Joint Comments: TCI-P Draft Policy Statements
August 13, 2021
To: TCI Leadership Team: Kathleen Theoharides, Secretary, Massachusetts Executive Office of Energy and Environmental Affairs and R. Earl Lewis, Jr., Deputy Secretary, Maryland
Department of Transportation TCI Executive Policy Committee: Marty Suuberg, Commissioner, Massachusetts Department of Environmental Protection and Roger Cohen, Senior Advisor to the Secretary, Pennsylvania Department of Transportation
TCI Technical Analysis Workgroup: Christine Kirby, Assistant Commissioner, Massachusetts Department of Environmental Protection and Chris Hoagland, Economist, Climate Change Division, Maryland Department of the Environment
TCI Investment and Equity Workgroup: Garrett Eucalitto, Deputy Commissioner, Connecticut Department of Transportation, Kate Fichter, Assistant Secretary, Massachusetts Department of Transportation, Kirsten Rigney, Legal Director, Connecticut Department of Energy and Environmental Protection and Dan Sieger, Undersecretary of Environmental Affairs, Massachusetts Executive Office of Energy and Environmental Affairs
TCI Outreach and Communications Workgroup: Chris Bast, Chief Deputy, Virginia Department of Environmental Quality and Elle O'Casey, Director of Communications and Outreach, Vermont Agency of Natural Resources
Governors and Other State Officials: Connecticut, Delaware, New Hampshire, New Jersey, New York, North Carolina, Maryland, Massachusetts, Pennsylvania, Rhode Island, Vermont, Virginia
Mayor and Other City Officials: District of Columbia
The undersigned organizations and individuals are based in Maryland and have been following the process to develop the Transportation and Climate Initiative Program (TCI-P). We urge you to ensure that the TCI-P is effective and equitable. To those ends many of the undersigned individuals and organizations submitted comments individually and/or jointly on the Draft Model Rule in May. We also reviewed and discussed the package of updates and new materials released for public comment in June. We offer comments and recommendations on the following aspects of the program and ask you to revise the draft policy statements and/or the Model Rule to better address them.
Air Quality Goals and Air Quality Monitoring
Disadvantaged communities usually have the worst air quality; therefore, the guiding principle must be to improve the air in those communities first.
The air quality monitoring plans in the draft policy documents are vague. The use of technical experts and inclusion of experts on the Equity Advisory Bodies in each state are very important steps. We respectfully suggest that the planned air quality monitoring be hyperlocal. Studies such as one looking at mobile emissions in Newark, New Jersey (attached) have provided valuable information on sources and levels of pollution in communities. However, they must often rely on modeling due to the lack of sufficient air quality monitoring. An approach worth considering is an amendment to the INVEST in America Act introduced in the House this session that calls for detailed monitoring in communities where pollution hotspots are located (see press release from the House Select Committee on the Climate Crisis). It is unclear what will be included in the final reconciliation package in Congress, so it is important that TCI jurisdictions have their own detailed plans.
Additionally, not all sources of air pollution will be affected by the TCI-P proposal. This includes air pollution from energy generation and air pollution blown in from outside jurisdictions. What modeling has been done to estimate the regional reductions with time that are to be expected? This would greatly help inform the program review to be conducted at three years to assess whether goals are being achieved or if they should be ratcheted up.
We realize that the initial goals of TCI are a compromise to enhance chances for adoption. However, with the release of the IPCC press report (attached) on August 9, 2021 indicating that the climate crisis is proceeding at a more rapid clip and that more drastic action is necessary, we respectfully request that the goals be readjusted now from the inception to be in-line with what is needed to stave off disaster. From the IPCC: In model pathways with no or limited overshoot of 1.5°C, global net anthropogenic CO2 emissions decline by about 45% from 2010 levels by 2030 within 40–60% interquartile range (see report on Global Warming of 1.5° C from the IPCC Intergovernmental Panel on Climate Change).
Public Engagement
This section has several guiding principles. The overarching principle, to allow communities to have a stake in the TCI process and own parts of it, seems to be missing. While an Equity Advisory Body is an important first step, it cannot single-handedly ensure equity within the TCI-P. There are established ways to work towards more comprehensive public engagement and mitigation of discriminatory impacts. With that in mind, we offer the following feedback for strengthening public engagement in the TCI-P.
Though equality and equity are distinct goals, TCI-P has an obligation to work towards both as a means of addressing disparities. To achieve this purpose, the Model Rule must more explicitly include specific Title VI Public Participation Guidelines, as required by USDOT Federal Transit Administration. There are specific criteria, guidelines, and programs that distinguish successful agency programs in ensuring meaningful public participation (see California EPA’s Public Participation Manual). The Model Rule should use Title VI as an example of what TCI-P jurisdictions should and should not do in engaging the public.
Community members need to know the levels of pollutants to which they are exposed, and agencies need to learn from the community the public health impacts they are experiencing in order to address the harm.
Agencies need to have a clear understanding of the proactive strategies, procedures, and desired outcomes for their public participation activities. Their public participation plan should be guided by an internal review of how, when, and why public involvement is critical.
The Model Rule should not only recommend specific actions to ensure meaningful public participation in transportation emissions decision-making but also note that there are important indicators for when a public participation program is not successful. If one or more of these indicators is present, the underlying cause(s) should be examined because there are reasons that these circumstances might occur, even if the program itself is sound. It is critical to the success of the program that gaps that result in less meaningful public participation be quickly identified and corrected.
The goal of any public participation process must be to empower communities to advance local residents’ causes, to educate the public, and to influence local policymakers through the voices of the local community affected residents. The program must give communities the power to decide and empower grassroots leaders to develop actionable strategic plans for environmental equality within the affected frontline and fenceline communities.
Additionally, we offer the following responses to the questions posed in the draft framework for public engagement.
1. Is anything missing from this proposed public engagement approach that is important to you?
Under Principle number 1), labor and youth should be particularly included. Youth face specific problems when riding public transit to school, and the school bus system is often overlooked. Also, “meaningful and effective public engagement” should be spelled out, with definitions and/or examples of what would make public engagement meaningful and what would make it effective.
Under Principle number 2), it should be specified which channels of communication the TCI jurisdictions will be using to communicate with stakeholders, how they plan to communicate with non-English speakers, and what information they are planning to share with stakeholders besides where TCI proceeds will be spent.
Under Principle number 4), rather than simply recognizing a community's knowledge and expertise, they should also incorporate communities’ recommendations. This is key, as communities must have a say in the decisions that affect their lives.
Under Principle number 6), they should spell out what they mean by “build capacity” or how they plan on building this capacity.
Also, working with community connectors is key to reaching out to some populations that are hard to reach and could benefit immensely from improving our transportation infrastructure and reducing emissions from this sector. These connectors are groups that have agency, social capital, and the infrastructure to act and disseminate information (faith groups, youth, community serving organizations, justice groups in general, health groups). These are groups that are engaged in the community in other social issues such as health or youth, have cultural competency, and can be connectors.
2. Are there any aspects of the proposed approach that are particularly relevant or important to you?
All the principles are very important. There are two that we would highlight: number 5 as access and representation are key, especially for communities that have historically been underrepresented or not represented at all. And number 6), as there is a need for building capacity in communities that have been underrepresented. Building long-term capacity is critical to ensure long-term participation in this and other opportunities.
3. How could TCI-P jurisdictions provide additional opportunities and entry points for environmental justice, equity, and other stakeholders to meaningfully engage in the implementation of TCI-P?
There is a need to map out different communities across Maryland to make sure there is an opportunity for them to participate. Often, the same communities or advocates dominate the conversation, so mapping out stakeholders and communities from the onset will ensure broader engagement.
4. Does anything need to be added to these principles to guide each jurisdiction’s implementation of TCI-P to effectively target benefits for environmental, climate, and transportation justice communities, tribal communities, and other equity stakeholders (e.g., air quality improvement, access to reliable, low-cost transportation options)?
No additional comments.
Prioritizing Investment in Overburdened and Underserved Communities
Our current transportation system is deeply inequitable. The overarching guiding principle for TCI is, therefore, to overcome existing inequities in transportation impacts (such as noise and pollution) and inequities in access. As research from the Union of Concerned Scientists shows, Black and Brown communities face disproportionate exposure to and health harms from transportation vehicle pollution.
Low-income families and individuals across urban, rural, and suburban areas struggle to obtain safe and affordable transportation to work, school, medical appointments, recreation, and other needs. Many of these same overburdened and underserved communities are on the front lines of and most vulnerable to the impacts of climate change.
Given the attention to overburdened and underserved communities in the Draft Framework for Public Engagement and Draft TCI-P Model Implementation Plan, as well as in the goal of investing at least 35% of TCI expenditures in said communities, the way that these communities are identified is very important. While each jurisdiction’s Equity Advisory Board will play a role in developing the criteria for this definition, the TCI-P should suggest multiple points in that process where opportunities for meaningful input by each Equity Advisory Board will be added and ensure that each Equity Advisory Board has sufficient authority to establish or revise the definition. Additionally, the TCI-P should recommend a few major categories to consider the cumulative impacts of, such as air pollution burdens; at-risk groups; socioeconomic factors; access to jobs, schools, healthy foods and other destinations via auto and non-auto modes of transportation; and communities where a high percentage of workers spend at least 45 minutes commuting to work . The TCI-P jurisdictions should also identify data gaps and strategies to address them (e.g., air quality monitoring, access to jobs from suburban communities) as a part of TCI implementation to ensure these communities are identified with enough accuracy and spatial specificity.
Sincerely,
Archplan Inc.
Bikemore
Central Maryland Transportation Alliance
Chesapeake Physicians for Social Responsibility
Climate Law & Policy Project
Coalition for Smarter Growth
Indivisible Howard County
Maryland Conservation Council
Maryland League of Conservation Voters - Chispa Maryland
Maryland Sierra Club
Oncologists United for Climate & Health
Rails-to-Trails Conservancy
Unitarian Universalist Legislative Ministry of Maryland, Climate Change Task Force
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Joint Comments_TCI-P draft Policy Statements_Aug 13 2021.pdf |