10/30/2020 |
Laura |
Chu Wiens |
Pittsburghers for Public Transit |
Pittsburgh |
Pennsylvania |
Please see attached sign on letter Please see attached sign on letter |
PA Transit Riders' Response to Proposed Commitments Ensuring Equity and Environmental Justice.pdf |
10/30/2020 |
Jordan |
Stutt |
Acadia Center |
Boston |
Massachusetts |
The attached comments on behalf of 172 organizations from across the 13 TCI jurisdictions state our support for an ambitious and equitable TCI program that includes strong safeguards and... read more The attached comments on behalf of 172 organizations from across the 13 TCI jurisdictions state our support for an ambitious and equitable TCI program that includes strong safeguards and guarantees for overburdened and underserved communities. |
Regional TCI MOU Comments_10_30_2020_Signatories.pdf |
11/2/2020 |
Rob |
Underwood |
Energy Marketers of America |
ARLINGTON |
Virginia |
Please see attached comments from the Energy Marketers of America regarding TCI. Please see attached comments from the Energy Marketers of America regarding TCI. |
EMA_TCI_Comments.pdf |
11/12/2020 |
Jordan |
Stutt |
Acadia Center |
Boston |
Massachusetts |
The attached comments are a re-submission of comments previously submitted on 10/30/2020, now on behalf of 200 organizations from across the 13 TCI jurisdictions, stating our support for an... read more The attached comments are a re-submission of comments previously submitted on 10/30/2020, now on behalf of 200 organizations from across the 13 TCI jurisdictions, stating our support for an ambitious and equitable TCI program that includes strong safeguards and guarantees for overburdened and underserved communities. |
Regional TCI MOU Comments_11_12_2020_Signatories.pdf |
11/12/2020 |
Patrick |
Kelly |
API |
Washington |
District of Columbia |
See attached. See attached. |
API Comment to TCI 11.20.pdf |
11/20/2020 |
Peter |
La Fountain |
BlueGreen Alliance |
Washington |
District of Columbia |
Please find attached comments from the BlueGreen Alliance, the Labor Network for Sustainability, and the New Jersey Work Environment Council, regarding proposed TCI equity commitments. Please find attached comments from the BlueGreen Alliance, the Labor Network for Sustainability, and the New Jersey Work Environment Council, regarding proposed TCI equity commitments. |
BGA LNS NJWEC TCI Comments.pdf |
11/20/2020 |
Ellen |
Valentino |
MAPDA |
Annapolis |
Maryland |
please see the enclosed. please see the enclosed. |
Comments on TCI Nov 2020.pdf |
11/22/2020 |
2Bridge |
CDX |
membership organization |
Brandywine |
Maryland |
Lack of grassroots community engagement, on a cap & trade program. The farce of using Prince George's County Ej Commission as any sort of representation of community engagement and/or... read more Lack of grassroots community engagement, on a cap & trade program. The farce of using Prince George's County Ej Commission as any sort of representation of community engagement and/or participation. |
TCI & PgCtyCommission_Final.pdf |
11/30/2020 |
Thomas |
Matuszko |
Berkshire Regional Planning Commission |
Pittsfield |
Massachusetts |
See attached letter See attached letter |
BRPC TCI Comments - 11.27.20 -Final.pdf |
12/21/2020 |
Andrew |
Kambour |
The Nature Conservancy |
Arlington |
Virginia |
Please see the attached file for The Nature Conservancy's comments on equity provisions in the TCI program. read more Please see the attached file for The Nature Conservancy's comments on equity provisions in the TCI program. |
TNC TCI equity comments 12-21-20.pdf |
5/20/2019 |
Daniel |
Gage |
NGVAmerica |
Washington |
District of Columbia |
NGVAmerica is the national trade organization dedicated to the development of a growing, profitable, and sustainable market for vehicles and carriers powered by clean, affordable and abundant... read more NGVAmerica is the national trade organization dedicated to the development of a growing, profitable, and sustainable market for vehicles and carriers powered by clean, affordable and abundant natural gas or biomethane. Our 200-plus member companies produce, distribute, and market natural gas and biomethane, manufacture and service natural gas vehicles, engines, and equipment, and operate fleets powered by clean-burning gaseous fuels across North America.
Several NGVAmerica member company representatives and I attended TCI’s April 30th Technical Workshop in Boston and participated via live stream in TCI’s May 15th Workshop in Newark. I provide these comments on behalf of our industry to compliment those discussions.
NGVAmerica endorses strategies that support the transition to low-carbon transportation fuels, including geologic and renewable natural gas. Converting the Northeast and Mid-Atlantic regions’ heavy- and medium-duty freight and transit transportation network to natural gas accelerates the transition to a low-carbon transportation future. Further, cap-and-invest program resources invested in natural gas technologies would significantly and immediately benefit all communities, particularly those underserved by current transportation options and overburdened by pollution.
Cleaner Air Starts with Cleaner Trucks and Buses
Increased use of natural gas as a transportation fuel provides immediate and significant criteria and toxic air pollutant reductions. Fact: the cleanest commercially-available heavy-duty engine in the world is powered by natural gas now and for the foreseeable future. Designed, built, and manufactured in America by Cummins Westport, this engine is certified to a 0.02 g/bhp-hr. standard, making it 90 percent cleaner than the EPA’s current NOx emissions requirement and 90 percent cleaner than the cleanest diesel engine. And in real-life study, these engines emitted lower NOx emissions than certified. Replacing just one traditional diesel-burning heavy-duty truck with one new Ultra Low-NOx natural gas truck is the emissions equivalent of removing 119 traditional combustion engines cars off our roads. Heavy-duty equals heavy impact.
Carbon-Neutral/Negative Freight with RNG
Natural gas engines offer significant climate change benefits. Compared to diesel, natural gas engines fueled with geologic natural gas reduce CO2 and greenhouse gas emissions by up to 17 percent. When fueled with renewable natural gas (RNG or biomethane) captured from agricultural, food, landfill or wastewater, even greater CO2 and greenhouse gas benefits are achieved, up to 125 percent lower than diesel. Fueling with RNG is carbon-neutral, even carbon-negative, depending on the feed stock. No better commercially-available and deployable alternative fuel option currently exists for the heavy-duty sector.
Address Noise Pollution
Natural gas vehicle technology affordably addresses noise pollution in urban neighborhoods. A U.S. Department of Energy study identified significant noise reduction benefits as a motivator for many refuse collection truck operators in accepting the technology, citing up to 10 decibels quieter than their diesel counterparts. A 2016 in-use study of diesel and CNG urban transit buses in Serbia found considerable reductions in noise pollution when powered by CNG.
Invest Impactfully
Investments in Ultra Low-NOx and Near Zero emission natural gas vehicle technologies greatly impact underserved and marginalized communities. Natural gas transportation provides the largest and most cost-effective reductions in transportation-related pollutants than any other powertrain option commercially-available today or near-term.
As such, investments in RNG-fueled trucks and transit buses accessing ports, cities, and densely-populated neighborhoods are the most immediate and fiscally-responsible investment to clean our air and combat climate change. Communities get more clean vehicles having greater clean air and climate impact for the money with natural gas than with any other alternative fuel option, especially electric. No other transportation fuel is as sustainable, adaptive, and competitive across all applications and vehicle classes. And heavy-duty natural gas trucks are not demonstration science projects; they are proven, scalable, and on U.S. roads today.
Natural gas fueling pays into the federal highway trust fund and is ready-right-now technology. It is road-tested and backed by a mature network of manufacturers, servicers, and suppliers coast-to-coast. An established refueling infrastructure of 2,000 stations already exists.
It is also important to note that while 34 U.S. states produce geologic natural gas, the potential to produce renewable natural gas exists in every U.S. state and the District of Columbia by taking the problem of fugitive methane gas created from organic waste, capturing it, then using it to fuel traditionally heavy-carbon freight and transit transportation applications. In addition to its clean air and climate benefits, the development of RNG facilities also supports the agriculture industry with new revenue streams, addresses the Northeast’s solid waste issue, and impacts watershed management efforts and nitrogen runoff concerns.
Geologic and renewable natural gas is a 100 percent domestic fuel, unlike limited electric vehicle battery components that are controlled by foreign interests and mostly sourced from conflict countries like the Democratic Republic of the Congo.
More than four in ten Americans live in communities with dangerously dirty air. According to the American Lung Association, that number continues to rise, from 125 million in 2017 to nearly 141.1 million today. Cap-and-invest program investments in natural gas vehicle technologies offer the most proven, cost-effective, and immediate way to promote a low carbon transportation future, clean our air, and provide more affordable, accessible, and reliable transportation opportunities for marginalized and underserved communities.
Thank you for your consideration.
|
NGVA TCI comments FINAL 5 20 19.pdf |
5/16/2019 |
Marc |
Breslow |
Climate XChange |
Boston |
Massachusetts |
see same attached as a PDF, with graphics
HOW TO SIMULTANEOUSLY REACH EMISSION TARGETS
AND ADVANCE EQUITY IN THE
TRANSPORTATION & CLIMATE INITIATIVE ... read more see same attached as a PDF, with graphics
HOW TO SIMULTANEOUSLY REACH EMISSION TARGETS
AND ADVANCE EQUITY IN THE
TRANSPORTATION & CLIMATE INITIATIVE
Marc Breslow, Ph.D., Policy and Research Director
Jonah Kurman-Faber, Research Associate
SUMMARY
STRICT CAP LEVELS: Most TCI states have adopted goals to achieve an 80 percent reduction in emissions by 2050, compared to 1990 levels. The cap levels for 2030 and beyond must be sufficient to reach this goal, which means at least a 40 percent reduction in transportation emissions by 2030.
UNSUPPRESSED ALLOWANCE PRICES: Allowance prices must be allowed to reach whatever levels are necessary to achieve this reduction, except under extraordinary circumstances. To suppress the allowance price, either through an oversupply of allowances or an unreasonably low-price ceiling, is to threaten the environmental integrity of the program.
PROTECT VULNERABLE POPULATIONS: In order to justify price containment mechanisms that are sufficiently high that they do not allow the cap to be violated, TCI states should concentrate on returning revenue to low and moderate-income households, as well as environmental justice (EJ) communities, in order to ameliorate the impacts of the program on their cost of living. This can be done by (1) targeting investments to address the needs of their communities for low-carbon transportation and to reduce health impacts from fossil-fuel transport, and (2) returning a portion of the money to them through rebates and tax cuts.
HIGHER ALLOWANCE PRICES WILL CAUSE EMISSIONS TO DROP: Higher allowance prices will by themselves, apart from the impact of investments, cause emissions to drop, over ten years or more.
- - - - - - - - - - - - - - - - - - - - - - - - - - - - - - - - - - - - - - - - - - - - - -
CAP LEVEL MUST BE SET AT A 40% REDUCTION OR MORE BY 2030
Our coalition, the Massachusetts Campaign for a Clean Energy Future, has two basic principles for an acceptable carbon pricing policy:
• Achieve, in combination with other policies, the state’s GHG reduction mandates;
• Ensure that the vast majority of low-income, and most moderate-income, people come out ahead or even from the combination of carbon pollution charges and use of the resulting revenues for rebates/tax cuts and reinvestment.
Massachusetts, as with most of the states that are part of the TCI, has a legally-mandated target to reduce emissions by at least 80 percent by 2050. To keep on track to get to 80 percent these states must reduce emissions by 40 to 45 percent by 2030.
Figure 1: Massachusetts Percent Emission Cuts from 1990
As the leading source of greenhouse gas emissions, transportation must get on the same track as electricity, building, and industrial fuels and cut emissions by at least 40 percent by 2030, and by about two-thirds by 2040.
Thus, Climate XChange proposes that the TCI adopt a cap of at least a 40 percent reduction in transportation emissions for 2030, compared to 1990 levels. Since TCI is only expected to cover ground transport, other sectors such as air travel must be addressed with complementary policies.
Given the state of the global warming crisis worldwide, any reduction of less than 40 percent as a target, and as the level to which the TCI emissions cap is set, is simply unacceptable.
ALLOWANCE PRICES MUST REFLECT WHATEVER PRICE IS NECESSARY TO STAY UNDER THE CAP TRAJECTORY
The objection to a tight cap level is that it could lead to higher than acceptable allowance prices. Typically, cap-and-trade systems have suppressed allowance prices by setting the initial cap excessively high and allowing polluters to bank excess allowances for future years. Alternatively, program designers can choose to suppress costs by setting a cost containment reserve and/or price ceiling very low. Both decisions could compromise the program’s ability to achieve a 40 percent reduction by 2030.
Rather than threaten the integrity of the program, governments can spend their revenue in such a way that the allowance price can rise as high as needed, while holding vulnerable populations harmless. There are two ways to do this:
1. Invest the money in appropriate ways for both individual households and communities – via public transit, incentives for electric vehicles, charging stations, etc. California has established strong equity requirements in their investment program, and estimates that 57 percent of projects are benefiting disadvantaged communities. Whether this spending will fully counteract the impact of rising prices for fuels, address existing burdens from fossil-fuel based transportation, and address cross-sectional issues such as public health and improvement of mass transit is yet to be seen. Our organization is currently conducting a study on California’s equity requirements and spending programs. TCI must fully investigate to what degree investment spending can cover the increased costs of the program, rectify prior burdens of disadvantaged households, and improve equity for such communities.
2. To the degree that spending money on investments is not sufficient, for either low/moderate income or EJ families, the TCI states must return the money to households, with a higher proportion going to vulnerable populations, presumably via rebates, tax credits, or other methods. In California, about 35 percent of its total cap-and-trade allowance value is being returned to households (via equal rebates per household on electric and natural gas bills) and small businesses, while 15 percent is directly allocated to particular industries. About 36 percent of the total revenue goes to transportation investments and 9 percent to other climate-related investments. See Figure 2 below:
Figure 2: California’s Use of Allowance Value from Cap-and-Trade I
From: Regional Cap and Trade: Lessons from the Regional Greenhouse Gas Initiative and Western Climate Initiative, Jonah Kurman-Faber and Marc Breslow, Climate XChange, 2018
Given that TCI will only cover transportation, it would be appropriate to use a substantial portion of the revenues for rebates/tax cuts for low and moderate income households, and possibly for higher-income households – to the extent that their costs cannot be effectively covered by investments in their communities.
Such rebates/tax cuts would effectively negate the argument against higher allowance prices. A variety of studies have shown how this can be done at the state and federal level, including our own studies for Massachusetts and Maryland. See Figure 3 below, which shows the impacts on the bottom 20 percent of households from House Bill 1726 in Massachusetts, based solely on rebates.
Figure 3: Impacts on the bottom 20 percent of households from House Bill 1726 in Massachusetts, based solely on rebates
HIGHER ALLOWANCE PRICES WILL CUT EMISSIONS FURTHER
We understand that the primary purpose of TCI is to provide incentive money for clean transportation. But of course, as with all cap-and-trade systems, raising prices is expected to cut demand for fuel. Georgetown’s 2015 study, even with low allowance prices, estimated small cuts as higher prices induce drivers to buy more fuel-efficient cars, to switch to electric vehicles, and to drive less. With higher allowance prices the reductions in emissions will be greater.
Our own studies, and those done for other states, such as the Maryland Commission on Climate Change’s (MCCC), have estimated these changes. It is important to remember, that just as with mass transit investment, it takes a number of years for these impacts to show up, as they primarily influence the demand for new vehicles. Since it takes up to 15 years for vehicles to be discarded, it will take a long time for the impacts of higher prices to fully come into effect.
The study done for the MCCC, by Energy+Environmental Economics, estimated that higher carbon prices would cause a 9 percent reduction in energy consumption by 2030 and 35 percent by 2050.
CONCLUSIONS
To summarize, we conclude that:
STRICT CAP LEVELS: The cap levels for 2030 and beyond must be sufficient to reach the 80 percent or greater reductions in overall emissions that most TCI states have adopted; and this means a cap level for 2030 that is at least 40 percent below the 1990 level.
UNSUPPRESSED ALLOWANCE PRICES: Cost containment mechanisms must allow allowance prices to reach whatever levels are necessary to achieve the caps, except in extraordinary circumstances. With high allowance prices, a portion of the revenue should be returned to vulnerable customers to counteract the increase without violating the environmental integrity of the program.
PROTECT VULNERABLE POPULATIONS: In order to justify a strict cap and price containment mechanisms that are sufficiently high that they do not allow the cap to be violated, TCI states should concentrate on returning revenue to low and moderate-income households, as well as environmental justice communities, in order to ameliorate the impacts of the program on their cost of living and to reduce health impacts from fossil-fuel transport. This can be done by (1) targeting investments to address the needs of their communities and (2) returning a portion of the money to them through rebates and/or tax cuts.
HIGHER ALLOWANCE PRICES WILL CAUSE EMISSIONS TO DROP: Higher allowance prices will by themselves, apart from the impact of investments, cause emissions to drop, over ten years or more.
|
Climate XChange TCI Comment Letter 5.15.19.pdf |
5/14/2019 |
Mark |
Kresowik |
Sierra Club |
Washington |
District of Columbia |
Thank you, please find attached comments from 39 environmental, health, scientific, transportation, social service, and business organizations committed to advancing modern, clean, accessible, and... read more Thank you, please find attached comments from 39 environmental, health, scientific, transportation, social service, and business organizations committed to advancing modern, clean, accessible, and low-carbon transportation in the Northeast and Mid-Atlantic on the first workshop held on April 30th. |
Advocate Group Comments on 4_30 TCI Workshop.pdf |
5/14/2019 |
Donald M. |
Goldberg |
Climate Law & Policy Project |
Chevy Chase |
Maryland |
|
CLPP comments on TCI.pdf |
5/23/2019 |
Alex |
DePillis |
Vermont Agency of Agriculture |
Montpelier |
Vermont |
Hello,
I'm listening to the 5/23 webinar, and mostly watching the TCI process somewhat from the periphery. Here are my comments and my interest.
Comments:... read more Hello,
I'm listening to the 5/23 webinar, and mostly watching the TCI process somewhat from the periphery. Here are my comments and my interest.
Comments:
I support how the analysis of baseline transportation looked at EIA's NEM as well as other sources. My impression is that EIA's predictions have been very poor, missing some big trends, especially longer-term trends, like growth of renewable energy.
Given my interest in heavy-duty fleets (see below), I look forward to hearing more about something other than EVs, and how those non-EV options would be monetized in TCI. Looking at modeling done for Vermont's Comprehensive Energy Plan, climate goals are reached with biofuels, not just electrification. I assume that GHG emissions from heavy-duty and medium-duty fleets are non-trivial in the Northeast, and electrification in these fleets seems immature compared to passenger EVs and light-duty EVs. What can you do to model this the medium-duty and heavy-duty sector?? E.g. what are the recent history and trends for natural gas and RNG, in usage and in which types of vehicles? I assume DOE's AFDC has the data.
My Interest:
Being in the agricultural sector, and with Vermont's biogas potential from dairy manure, I am intent on getting RNG produced and used as a way to support farms and offset GHG emissions. The Agency of Agriculture and others will analyze the statewide potential, using existing digesters, which process only 10% of Vermont's dairy manure, and new digesters. Back of the envelope, I estimate 500-1000 Class 8 trucks could be operated on RNG from Vermont's dairy manure.
Please remember that the global warming potential of methane is ~25x of CO2 in the 100-year time frame, but it is ~85x CO2 in the 25-year timeframe. Used in transportation, RNG from dairy manure is strongly carbon-negative: -276 gCO2e per MJ. Electricity is 20-40 gCO2e/MJ (see slides 7-9 of the attached presentation).
I'm glad to discuss as necessary.
I appreciate the opportunity, thank you.
Alex
|
a-new-energy-resource-for-america-organic-waste-to-biomethane.pdf |
5/23/2019 |
Connor |
Dolan |
Fuel Cell and Hydrogen Energy Assoc |
Washington |
District of Columbia |
Attached are some references and studies related to fuel cell vehicles and hydrogen that I believe would be valuable as this initiative continues.
I also wanted to direct you to the... read more Attached are some references and studies related to fuel cell vehicles and hydrogen that I believe would be valuable as this initiative continues.
I also wanted to direct you to the following Department of Energy presentation and program records on fuel cell cost projections for automotive and medium-duty vehicles.
https://www.hydrogen.energy.gov/pdfs/17008_levelized_cost_driving_future_icev.pdf
https://www.hydrogen.energy.gov/pdfs/16009_life-cycle_costs_midsize_ldv.pdf
https://www.energy.gov/sites/prod/files/2018/04/f51/fcto_webinarslides_2018_costs_pem_fc_autos_trucks_042518.pdf
Our Association and its members would be happy to provide your team with an in-depth briefing on fuel cell vehicles and hydrogen infrastructure to ensure that this program is as comprehensive as possible. Our members include the largest automakers investing and deploying fuel cell vehicles, industrial gas companies developing hydrogen stations and large-scale production plans, as well as other fuel cell and hydrogen manufacturers.
Should you have any further questions regarding fuel cells or hydrogen, please feel free to contact me at any time. |
TCI Research 2019-2-27.docx |
5/29/2019 |
Clifford |
Strawitch |
Citizens Climate Lobby |
Ellicott City |
Maryland |
I attach the PDF file of my response since it failed to upload yesterday (5/28) after many attempts. Please attach this to my response from yesterday. Thanks. I attach the PDF file of my response since it failed to upload yesterday (5/28) after many attempts. Please attach this to my response from yesterday. Thanks. |
Cliff Strawitch Response.pdf |
5/29/2019 |
Jason |
Frost |
Synapse Energy Economics |
Cambridge |
Massachusetts |
Please see the attached document. Please see the attached document. |
TCI Reference Case Assumptions Comments.pdf |
5/29/2019 |
Tony |
Dutzik |
Frontier Group |
Boston |
Massachusetts |
Please accept the attached comments regarding forecasting of vehicle-miles traveled in the reference case scenario. Please accept the attached comments regarding forecasting of vehicle-miles traveled in the reference case scenario. |
Frontier Group comments to TCI re reference case 052919.pdf |
5/29/2019 |
Bruce |
Ho |
Natural Resources Defense Council |
New York |
New York |
Please find attached comments from 16 environmental, health, scientific, transportation, and business organizations on the Reference Case assumptions presented on the May 23rd TCI webinar. Thank... read more Please find attached comments from 16 environmental, health, scientific, transportation, and business organizations on the Reference Case assumptions presented on the May 23rd TCI webinar. Thank you. |
Advocate Group Comments on 5_23 TCI Webinar.pdf |