Laserfiche WebLink
Article 3. New Underground Storage Tank Design, Construction, and <br /> Monitoring Requirements <br /> UPDATE OF INITIAL STATEMENT OF REASONS <br /> The State Water Resources Control Board (State Water Board) has made non- <br /> substantial modifications to the proposed regulations for the purpose of meeting <br /> requirements for incorporating by reference the 2019 version of American Society and <br /> Testing Materials (ASTM) standard D7467 for diesel containing up to 20 percent <br /> biodiesel (1320). The State Water Board did not identify that it was incorporating by <br /> reference ASTM standard D7467 in the Initial Statement of Reasons. The State Water <br /> Board is hereby incorporating by reference ASTM standard D7467 in the proposed <br /> regulations. A copy of ASTM standard D7467 may be obtained from ASTM <br /> International's web site at astm.org/Standards/D7467.htm. <br /> Incorporating ASTM standard D7467 by reference is necessary because the standard is <br /> a 22-page, technical, copyrighted document. Therefore, it would be cumbersome, <br /> unduly expensive, and otherwise impractical to publish the document in the California <br /> Code of Regulations. <br /> The modifications to the proposed regulations to incorporate by reference ASTM <br /> standard D7467 in the proposed regulations do not materially alter any requirement, <br /> right, responsibility, condition, prescription, or other regulatory element of any California <br /> Code of Regulations provision (i.e., changes without regulatory effect). Consequently, <br /> no additional notice or public comment period was required. <br /> SUMMARY AND RESPONSE TO COMMENTS RECEIVED DURING THE 45-DAY <br /> COMMENT PERIOD FROM MAY 10, 2019 TO JULY 1, 2019 <br /> List of Comment Letters <br /> Public Comments Regarding Biodiesel UST Regulations <br /> Commenter Commenter: Submitted by: <br /> Number: <br /> 1 California Advanced Biofuels Alliance and Tyson Keever and <br /> National Biodiesel Board Shelby Neal <br /> 2 California Fuels and Convenience Alliance Samuel Bayless <br /> 3 Renewable Energy Group Scott Hedderich <br /> 4 General Public (This comment letter is a copy Greg Jones <br /> of the same form letter, or of similar text, in <br /> support of the proposed regulations that the <br /> State Water Board received from 68 other <br /> individuals) <br /> General Comments <br /> Comment Summary 1: Commenters expressed their support for the proposed <br /> regulations. (Commenter Numbers 1, 2, 3, & 4) <br />