May 23, 2008
Mr. Raymond Chavira, Air Planning Office
U.S. Environmental Protection Agency, Region IX
75 Hawthorne Street
San Francisco, California 94105
Re: Docket No. EPA-R09-OAR-2008-0313
Dear Mr. Chavira:
Western Growers and California Farm Bureau Federation support the proposed
rulemaking that allows EPA to approve a revision of the California State
Implementation Plan submitted by the California Air Resources Board on
November 30, 2007 regarding reduction of emissions of volatile organic
compounds in Ventura County.
Western Growers is an agricultural trade association whose members from
Arizona and California grow, pack and ship ninety percent of the fresh fruit, nuts
and vegetables grown in California and seventy five percent of those commodities
in Arizona. This totals about half of the nation’s fresh produce.
California Farm Bureau Federation is California’s largest farm organization,
comprised of 53 county Farm Bureaus currently representing approximately
91,000 members. Farm Bureau strives to protect and improve the ability of farmers
and ranchers engaged in production agriculture to provide a reliable supply of food
and fiber through responsible stewardship of California’s resources.
We are appreciative of the California Department of Pesticide Regulation’s (DPR)
efforts to authorize phased-in compliance for the Ventura Non-Attainment Area.
The phase-in approach in the revised regulations and Appendix H is critical, as it
will help mitigate adverse economic and environmental impacts in the Ventura
region. The SIP revision would substitute emission reductions from other sources
of reactive organic gases (ROG) for a portion of the emission reductions
committed to in the 1994 SIP for pesticides. There would be no “backsliding” from
the overall 1994 SIP commitments for Ventura County, because all of the ROG
emission reductions committed to in the 1994 SIP would still be achieved.
Without this proposed EPA rule-making economic harm to Ventura County’s
agricultural community could likely occur this year. We do not believe further
reductions can be achieved through further implementation of Best Available
Control Technology, therefore, the only feasible and viable means of assistance to
the Ventura County farming industry is the adoption and finalization of this
proposed rule-making by the U.S. EPA in the most expeditious manner possible.
Western Growers Association and California Farm Bureau Federation appreciate
the opportunity to comment on the proposed rule making and respectfully request
an expeditious implementation of the proposed action.
Sincerely,
Erin Field
CA Government Affairs Manager
Western Growers
1415 L Street, Suite 1060
Sacramento, CA 95814
Cynthia Cory
Director, Environmental Affairs
California Farm Bureau Federation
1127 11th Street, Suite 626
Sacramento, CA 95814
Comment from CA Farm Bureau Federation and Western Growers, Cynthia Cory and Erin Field, on FR Doc # E8-08812
This is comment on Proposed Rule
Revisions to the California State Implementation Plan; Pesticide Element; Ventura County
View Comment
Related Comments
View AllPublic Submission Posted: 06/02/2008 ID: EPA-R09-OAR-2008-0313-0011
May 23,2008 11:59 PM ET
Public Submission Posted: 06/02/2008 ID: EPA-R09-OAR-2008-0313-0014
May 23,2008 11:59 PM ET
Public Submission Posted: 06/02/2008 ID: EPA-R09-OAR-2008-0313-0016
May 23,2008 11:59 PM ET
Public Submission Posted: 06/02/2008 ID: EPA-R09-OAR-2008-0313-0015
May 23,2008 11:59 PM ET
Public Submission Posted: 06/02/2008 ID: EPA-R09-OAR-2008-0313-0010
May 23,2008 11:59 PM ET