We applaud the removal of Footnote 1 from the renewable energy industry.
We applaud the use of the more common Size Standard of employee count.
We believe the 500 Size is appropriate as the renewable industries have a wide range of companies involved, from very large energy companies to single-person entities.
The process of activating the new NAICS codes for renewable energy seems unnecessarily complicated. Why are the new Size Standards separated in time from activating the codes? Why not apply the Size Standards on 1Oct when the new codes become available?
Comment on FR Doc # 2012-17441
This is comment on Proposed Rule
Small Business Size Standards: Utilities
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