Legislature(2023 - 2024)BUTROVICH 205

05/02/2023 01:30 PM Senate TRANSPORTATION

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* first hearing in first committee of referral
+ teleconferenced
= bill was previously heard/scheduled
+= SB 127 TAXATION: VEHICLE RENTALS, SUBPOENAS TELECONFERENCED
Moved CSSB 127(TRA) Out of Committee
-- Public Testimony --
*+ HB 128 OIL TERMINAL FACILITY TELECONFERENCED
Heard & Held
-- Invited & Public Testimony --
**Streamed live on AKL.tv**
                  HB 128-OIL TERMINAL FACILITY                                                                              
                                                                                                                                
2:09:58 PM                                                                                                                    
CHAIR   KAUFMAN  reconvened   the  meeting   and   announced  the                                                               
consideration of CS FOR  HOUSE BILL NO. 128(TRA) "An Act relating                                                               
to  the  operation of  a  tank  vessel  or oil  barge  as  an oil                                                               
terminal facility;  relating to  the definition  of 'oil terminal                                                               
facility'; and providing for an effective date."                                                                                
                                                                                                                                
He noted  that this was the  first hearing and  the intention was                                                               
to hear the introduction,  take invited and public testimony, and                                                               
hold the bill for further consideration.                                                                                        
                                                                                                                                
2:10:19 PM                                                                                                                    
BUDDY  WHITT, Staff,  Representative  Kevin McCabe,  Alaska State                                                               
Legislature,   Juneau,   Alaska,  introduced   HB   128   with  a                                                               
PowerPoint.  He  began  with  slide  2, highlighting  the  bolded                                                               
language in subsection (b) of 18 AAC 75.432.                                                                                    
                                                                                                                                
[Original punctuation provided.]                                                                                                
                                                                                                                                
     18AAC75.432                                                                                                                
                                                                                                                                
     (a)  For a  crude or  non-crude oil  terminal facility,                                                                    
     the plan holder shall  maintain or have available under                                                                    
     contract within  the plan holder's  region of operation                                                                    
     or another approved  location, sufficient oil discharge                                                                    
     containment, storage,  transfer, and cleanup equipment,                                                                    
     personnel,  and  other  resources  to  (1)  contain  or                                                                    
     control and  clean up within  72 hours  that portion of                                                                    
     the response planning  standard volume that enters open                                                                    
     water; and (2) contain  or control within 72 hours, and                                                                    
     clean up  within the shortest  possible time consistent                                                                    
     with  minimizing   damage  to  the   environment,  that                                                                    
     portion of  the response planning  standard volume that                                                                    
     enters a  receiving environment other  than open water.                                                                
     (b) The  response planning standard  volume for a crude                                                                
     or  non-crude oil  terminal  facility is  equal  to the                                                                
     capacity  of  the  largest  oil  storage  tank  at  the                                                                
     facility  covered   by  the  plan,   unless  there  are                                                                
     specific  natural  or  manmade conditions  outside  the                                                                
     facility   which  could  place   the  facility   at  an                                                                
     increased  risk of  an oil  discharge affecting  one or                                                                
     more   storage  tanks.  (c)   For  an   increased  risk                                                                
     described  in   (b)  of  this   section,  the  response                                                                    
     planning  standard volume is  equal to the  capacity of                                                                    
     all of  the potentially  affected oil storage  tanks at                                                                    
     the  facility.  The plan  must  set out  the  basis for                                                                    
     selecting  the  storage tanks  and  the  volume  of oil                                                                    
     planned for  in the response. (d)  The department will,                                                                    
     in its  discretion, reduce  the requirements  of (b) of                                                                    
     this  section, by a  percentage up  to that  shown, for                                                                    
     each of  the following prevention measures  in place at                                                                    
     the  facility:  (1) alcohol  and  drug  testing  of key                                                                    
     personnel:  5  percent;   (2)  an  operations  training                                                                    
     program  with a  professional  organization  or federal                                                                    
     certification  or licensing of program  participants: 5                                                                    
     percent; (3)  on-line leak detection  systems for tanks                                                                    
     and piping:  5 percent; (4) a  sufficiently impermeable                                                                    
     secondary  containment  area  with  a  dike capable  of                                                                    
     holding  the  contents  of  the  largest tank,  or  all                                                                    
     potentially  affected tanks  in  the case  of increased                                                                    
     risk, and precipitation:  60 percent; (5) for secondary                                                                    
     containment  as described  in (4)  of  this subsection,                                                                    
     designed   with    the   following   enhancements,   an                                                                    
     additional  allowance for  (A) cathodic  protection: 10                                                                    
     percent;  (B)   fail-safe  valve   piping  systems:  15                                                                    
     percent; or  (C) impervious containment  area extending                                                                    
     under  the full  area of  each storage  tank  or double                                                                    
     bottoms  with  leak  detection:  25  percent;  and  (6)                                                                    
     containment outside  the secondary containment area: 10                                                                    
     percent.                                                                                                                   
                                                                                                                                
2:12:29 PM                                                                                                                    
MR. WHITT moved to slide 3 relating to 18 AAC 75.432. Response                                                                
planning standards for oil terminal facilities. He highlighted                                                                
the bolded language in the last sentence.                                                                                       
                                                                                                                                
     18AAC75.432(b) with proposed language                                                                                      
                                                                                                                                
     (b) The  response planning standard  volume for a crude                                                                    
     or  non-crude oil  terminal  facility is  equal  to the                                                                    
     capacity  of  the  largest  oil  storage  tank  at  the                                                                    
     facility  covered   by  the  plan,   unless  there  are                                                                    
     specific  natural  or  manmade conditions  outside  the                                                                    
     facility   which  could  place   the  facility   at  an                                                                    
     increased  risk of  an oil  discharge affecting  one or                                                                    
     more  storage  tanks.  For  vessels  operating  as  oil                                                                
     terminal facilities,  the response planning standard is                                                                
     based on the entire storage capacity of the vessel.                                                                    
                                                                                                                                
2:12:48 PM                                                                                                                    
MR. WHITT continued to slide 4, "Alaska Fuel Storage and                                                                        
Handling Association response to proposed change.                                                                               
                                                                                                                                
     Delete the  language added/proposed. What  exactly is a                                                                    
     "vessel  operating  as oil  terminal facility"?  Please                                                                    
     define  and provide  parameters  when a  VESSEL (barge,                                                                    
     NTV  or TV)  is  considered an  OIL TERMINAL  FACILITY.                                                                    
     Under the new requirements,  would the RPS of a 120,000                                                                    
     bbl.  non crude barge  be 120,000  bbl.? Why  isn't the                                                                    
     15% reduction  (for calculating RPS  of non-crude barge                                                                    
     or tank vessel) utilized  since these are VESSELS. Does                                                                    
     DEC  consider  vessels  moored  offshore  for  transfer                                                                    
     operations,  to  be  a  greater  threat than  a  vessel                                                                    
     transiting from  port to port?  Please provide examples                                                                    
     (real  world) of  how a  double-hulled vessel  or barge                                                                    
     will lose its entire cargo.                                                                                                
                                                                                                                                
2:14:07 PM                                                                                                                    
MR. WHITT moved to slide 5,         Department of Environmental                                                                 
Conservation response (1/6/2023).                                                                                               
                                                                                                                                
     The definition  in 18  AAC 75.990 and  AS 46.04.900(14)                                                                    
     for  "oil terminal  facility"  answers  the commenter's                                                                    
     question.  The definition  of  "oil terminal  facility"                                                                    
     includes  "a vessel,  other than  a nontank  vessel, is                                                                    
     considered  an oil  terminal facility  only when  it is                                                                    
     used to make  a ship-to ship transfer  of oil, and when                                                                    
     it is  traveling between the place  of the ship-to-ship                                                                    
     transfer  of oil  and  an oil  terminal  facility[.]" A                                                                    
     vessel   that  falls   under  the   definition   in  AS                                                                    
     46.04.900(14)  is subject  to the  requirements  for an                                                                    
     oil terminal facility,  including the requirement at 18                                                                    
     AAC  75.430(c)(1).   The   proposed  edit  to   18  AAC                                                                    
     75.432(b)  provides  additional  clarity  and  will  be                                                                    
     retained.                                                                                                                  
                                                                                                                                
2:14:39 PM                                                                                                                    
MR. WHITT moved to slide 6,         AS 46.04.900(14)     Current                                                                
Statutory Definition of "Oil Terminal Facility                                                                                  
                                                                                                                                
     (14)  "oil  terminal  facility"  means  an  onshore  or                                                                    
     offshore   facility    of   any   kind,   and   related                                                                    
     appurtenances,   including  a   deepwater   port,  bulk                                                                    
     storage facility,  or marina, located  in, on, or under                                                                    
     the  surface  of  the  land  or waters  of  the  state,                                                                    
     including  tide and  submerged land,  that is  used for                                                                    
     the purpose  of transferring, processing,  refining, or                                                                    
     storing oil; a vessel,  other than a nontank vessel, is                                                                    
     considered  an oil  terminal facility  only when  it is                                                                    
     used to  make a ship-to-ship transfer  of oil, and when                                                                    
     it is  traveling between the place  of the ship-to-ship                                                                    
     transfer of oil and an oil terminal facility;                                                                              
                                                                                                                                
MR. WHITT noted that concern was raised the existing definition                                                                 
was too ambiguous.                                                                                                              
                                                                                                                                
2:17:11 PM                                                                                                                    
MR. WHITT continued to slide 7, "18 AAC 75.990(76)  Regulatory                                                                  
definition of "oil terminal facility.                                                                                           
                                                                                                                                
     "oil  terminal facility"  has the  meaning given  in AS                                                                    
     46.04.900  and  includes   vessels  classified  as  oil                                                                    
     terminal facilities under 18 AAC 75.280                                                                                    
                                                                                                                                
MR. WHITT stated that the purpose of slide 7 is ensure the                                                                      
committee understands that there are clear differences between                                                                  
an oil terminal facility and a vessel.                                                                                          
                                                                                                                                
2:17:24 PM                                                                                                                    
MR. WHITT moved to slide 8, "18 AAC 75.280 Classification as an                                                                 
oil terminal facility                                                                                                           
                                                                                                                                
     18  AAC  75.280  Classification   as  an  oil  terminal                                                                    
     facility                                                                                                                   
                                                                                                                                
     (a)  If a  vessel  is  to operate  as  an oil  terminal                                                                    
     facility  as  defined at  AS  46.04.900,  the owner  or                                                                  
     operator   shall   submit   a   written   request   for                                                                    
     classification  of  the   vessel  as  an  oil  terminal                                                                    
     facility   to   the   department.   The   request   for                                                                    
     classification must include the                                                                                            
     (1) name of the owner or operator;                                                                                         
     (2) vessel name and official number;                                                                                       
     (3) oil storage capacity of the vessel;                                                                                    
     (4) type of product carried as cargo; and                                                                                  
     (5)  period  of time  during  which the  classification                                                                    
     will apply.                                                                                                                
     (b) Upon receipt of a request under                                                                                        
     (a)  of  this  section,  the  department will  issue  a                                                                    
     certificate  to the vessel,  classifying the  vessel as                                                                    
     an  oil terminal  facility for  the  prescribed period.                                                                    
     (c)   If  the   capacity  of   the  vessel   for  which                                                                    
     classification   is  requested  is   more  than  10,000                                                                    
     barrels  of noncrude  oil, the  owner or  operator must                                                                    
     meet  the financial  responsibility requirements  of 18                                                                  
     AAC 75.235(a)(2)  and the oil  discharge prevention and                                                                  
     contingency plan requirements of AS 46.04.030.                                                                           
                                                                                                                                
2:17:38 PM                                                                                                                    
MR. WHITT moved to slide 9.                                                                                                     
                                                                                                                                
     •  Alaska  Statutes require  land-based  oil  terminals                                                                    
        and vessels that deliver oil as cargo to have oil                                                                       
       spill response plans known as "contingency plans"                                                                        
                                                                                                                                
     •  Land-based terminals  have a planning  standard that                                                                    
        requires equipment to respond to a spill from their                                                                     
        largest tank.                                                                                                           
                                                                                                                                
     •  Vessel  operators  have  a  planning  standard  that                                                                    
        requires equipment to respond to spill from a                                                                           
        percentage of their total cargo.                                                                                        
                                                                                                                                
     •  The planning standards differ  because responding to                                                                    
        a spill on land is different than on water.                                                                             
                                                                                                                                
        Comingling and lack of clarity regarding the                                                                            
        definition "oil terminal facility" is causing                                                                           
        concern among fuel delivery vessel operators in                                                                         
        Alaska                                                                                                                  
                                                                                                                                
2:18:38 PM                                                                                                                    
MR. WHITT continued to slide 10.                                                                                                
                                                                                                                                
     It  appears  that   the  definition  of  "oil  terminal                                                                    
     facility" that  includes vessels that  transfer fuel to                                                                    
     smaller vessels  in state waters,  now requires vessels                                                                    
     that already  have oil spill plans to  now plan for and                                                                    
     acquire  tens of millions  of dollars of  new equipment                                                                    
     to   comply  with   oil   terminal  facility   planning                                                                    
     requirements.                                                                                                              
                                                                                                                                
     The   additional   requirements   and   the   financial                                                                    
     commitments to meet  them are a concern to stakeholders                                                                    
     because  those requirements  will  cost time  and money                                                                    
     which will be passed on to customers.                                                                                      
                                                                                                                                
2:19:30 PM                                                                                                                    
MR. WHITT moved to slide 11, "Sectional Analysis of House Bill                                                                  
128 Version U.                                                                                                                  
                                                                                                                                
     Section 1   Page 1,  lines 4 through 11   adds language                                                                  
     that an approved contingency  plan for a tank vessel or                                                                    
     oil  barge satisfies  the  requirement in  (a)  of this                                                                    
     section   for  contingency   plans  for   oil  terminal                                                                    
     facilities.                                                                                                                
                                                                                                                                
     Section 2    Page 1, line  12 through Page  2, line 6                                                                    
     adds  language that  proof of  financial ability  for a                                                                    
     tank  or   oil  barge  that  is   approved  under  this                                                                    
     subsection  satisfies the  requirements  of (a)  of the                                                                    
     section  for   proof  of  financial   ability  for  oil                                                                    
     terminal facilities.                                                                                                       
                                                                                                                                
     Section 3    Page 2, lines 12 through  26   changes the                                                                  
     definition of  oil terminal facility  to confirm to the                                                                    
     additions  of  sections one  and  two; specifying  that                                                                    
     when  a tank  vessel or  oil barge  are  operating with                                                                    
     approved  contingency  plans  and  proof  of  financial                                                                    
     ability,   they  are   not  considered   "oil  terminal                                                                    
     facilities".                                                                                                               
                                                                                                                                
     Section  4    Page  2,  line 27     Added an  immediate                                                                  
     effective date to the bill.                                                                                                
                                                                                                                                
2:21:21 PM                                                                                                                    
SENATOR MYERS  referred to the mention  of ship-to-ship transfer.                                                               
He  asked about  a  ship-to-shore  transfer. He  wondered  if the                                                               
transfer would qualify the ship as an oil terminal.                                                                             
                                                                                                                                
MR.  WHITT  deferred  the   question  to  the  experts  who  were                                                               
available to answer questions.                                                                                                  
                                                                                                                                
CHAIR KAUFMAN moved to invited testimony.                                                                                       
                                                                                                                                
2:22:20 PM                                                                                                                    
KEVIN  O'SHEA,  President,   Alaska  Fuel  Storage  and  Handlers                                                               
Alliance, Eagle  River, Alaska,  informed the  committee that the                                                               
alliance  was a  group  of petroleum  transporters  and terminals                                                               
operating throughout  the state of Alaska.  He explained that the                                                               
group  initially  expressed  concern  with  a  recent  regulation                                                               
change. The  concern was that  the new regulations  might lead to                                                               
problems with  insurance providers. Insurance  carriers might not                                                               
cover the alliance  because they would be  in direct violation of                                                               
the statutes and regulations.                                                                                                   
                                                                                                                                
SENATOR   MYERS   repeated  his   question   about   whether  the                                                               
legislation should apply to ship-to-shore transfer.                                                                             
                                                                                                                                
MR. O'SHEA responded  that if a vessel is  involved in a ship-to-                                                               
ship transfer  of greater than  10 thousand barrels  of fuel, the                                                               
ship is  classified as  a terminal.  He stated that  the transfer                                                               
requirement  would  apply   to  the  barges  traveling  into  the                                                               
villages.  He noted  that certain  barges  would be  considered a                                                               
terminal  at  certain  times, even  if  they  were  located  at a                                                               
terminal.                                                                                                                       
                                                                                                                                
2:24:39 PM                                                                                                                    
SENATOR MYERS offered his  understanding that Alaska produces jet                                                               
fuel  but does  not produce  aviation gas  (avgas). He  asked Mr.                                                               
O'Shea if that was the case.                                                                                                    
                                                                                                                                
MR. O SHEA said yes.                                                                                                            
                                                                                                                                
SENATOR  MYERS commented  that  if  this change  is  required for                                                               
ship-to-shore as  well as ship-to-ship,  then all  crop planes in                                                               
the state will be grounded this  summer if the bill doesn't pass.                                                               
                                                                                                                                
CHAIR KAUFMAN asked the sponsor if he'd like to comment.                                                                        
                                                                                                                                
2:25:49 PM                                                                                                                    
REPRESENTATIVE   KEVIN   MCCABE,   District   30,  Alaska   State                                                               
Legislature,  Juneau,  Alaska, explained  ed  that  the  bill was                                                               
brought  to the  House  Transportation Standing  Committee  by an                                                               
Alaska  fuel  handlers group  that  utilizes  barges  to transfer                                                               
fuel. The  group identified  an issue with  the existing language                                                               
in the statute  language. The legislation  simply tightens up the                                                               
language to the stakeholder's satisfaction.                                                                                     
                                                                                                                                
CHAIR  KAUFMAN  clarified  that the  group  was  the Alaska  Fuel                                                               
Storage and Handlers Alliance (AFSHA).                                                                                          
                                                                                                                                
REPRESENTATIVE  MCCABE  thanked  the  committee  for hearing  the                                                               
bill.                                                                                                                           
                                                                                                                                
CHAIR  KAUFMAN  asked  Mr.   O'Shea  if  he  had  any  additional                                                               
commentary on the bill.                                                                                                         
                                                                                                                                
2:27:48 PM                                                                                                                    
MR. O'SHEA stated  support for the current  version of HB 128 and                                                               
expressed hope  that the committee  would help  resolve the issue                                                               
for the industry by passing the bill from committee.                                                                            
                                                                                                                                
2:28:31 PM                                                                                                                    
MR. WHITT responded  to Senator Myers's  question by pointing out                                                               
that  vessels are  only considered  oil terminal  facilities when                                                               
they  are performing  ship-to-ship  duties  or are  enroute  to a                                                               
ship-to-ship  transfer. He stated  that the AFSHA  performs other                                                               
types of fuel delivery as  well and only in certain instances are                                                               
they considered oil terminal  facilities. He suggested Jim Butler                                                               
confirm that point.                                                                                                             
                                                                                                                                
2:29:31 PM                                                                                                                    
JIM  BUTLER, Council  for the  Alaska  Fuel Storage  and Handlers                                                               
Alliance,  Kenai,  Alaska,  shared  an example  illustrating  the                                                               
ambiguity the  regulations cause operators.  The example involved                                                               
a barge  that is loaded in  Nikiski, Alaska and  travels to Dutch                                                               
Harbor.  The barge  has  a planning  standard that  has  been met                                                               
since it was  adopted in the early  1990s. The hypothetical issue                                                               
involved  that  same barge  that  might  leave  Dutch  Harbor and                                                               
travel to Nome where fuel  is unloaded in a ship-to-ship transfer                                                               
to smaller vessels  that travel up the river.  At this point, the                                                               
planning   standard  would   change   significantly,   making  it                                                               
physically impossible to  have the proper equipment available. In                                                               
the  event  of a  casualty,  even  if a  ship  complied  with the                                                               
contingency  plan  as  a  "tank  barge,"  there  might  still  be                                                               
problems  with insurance  coverage.  Under  that definition,  the                                                               
barge could  have morphed into  a terminal so  the other measures                                                               
apply.  He noted  an increase  over the  last several  years with                                                               
ship-to-ship  transfers operating  in  Western Alaska  because of                                                               
the  source of  fuel that  comes  in to  support  the residential                                                               
communities throughout the region.                                                                                              
                                                                                                                                
MR.  BUTLER  thanked  Representative  McCabe  and  his staff  for                                                               
navigating  through  lawyers,  the  Department  of  Environmental                                                               
Conservation, and  industry to arrive at  a workable solution. He                                                               
pointed  out that  Section  3 clarifies  that when  a  vessel has                                                               
contingency  plans and  financial responsibilities  in  place, it                                                               
does not  convert into  a different  entity when  delivering fuel                                                               
one  way versus  another. He  appreciated  Section 4  because the                                                               
fuel delivery season  is beginning and the  safe delivery of fuel                                                               
is on everybody's mind.  He hoped to eliminate confusion with the                                                               
statute, the agency, or the industry.                                                                                           
                                                                                                                                
2:32:24 PM                                                                                                                    
CHAIR  KAUFMAN noted  that  Ms.  Larson was  available  to answer                                                               
questions                                                                                                                       
                                                                                                                                
2:32:52 PM                                                                                                                    
TIFFANY  LARSON,  Director, Spill  Prevention  and  Response DEC,                                                               
Fairbanks,  Alaska, stated  that DEC  is  already doing  what the                                                               
bill  proposes  to  achieve  and  has  been  complying  with  the                                                               
required standards since  the statutes were enacted in the 1990s.                                                               
The legislation  does  not change  DEC's existing  practices. The                                                               
department's  only  concern  is  the  change  in  the  definition                                                               
section,  which is  considered substantive  law. Should  the bill                                                               
pass,  the department  will have  to look at  every place  in the                                                               
statute  that references  "oil terminal  facility"  and determine                                                               
the  implications. She  informed  the committee  that  the packet                                                               
from   the  department   included   letters   addressing  AFSHA's                                                               
concerns.                                                                                                                       
                                                                                                                                
2:34:18 PM                                                                                                                    
REPRESENTATIVE MCCABE  responded that AFSHA  brought the issue to                                                               
him because  of concerns about insurance  liability, not concerns                                                               
with  DEC. He  expressed  appreciation for  the  cooperative work                                                               
with  all  parties  and  specifically  for  the help  his  office                                                               
received from DEC.                                                                                                              
                                                                                                                                
2:35:35 PM                                                                                                                    
CHAIR KAUFMAN  opened public testimony  on HB 128.  Seeing no one                                                               
online  or in the  room who  wished to  testify he  closed public                                                               
testimony.                                                                                                                      
                                                                                                                                
2:36:16 PM                                                                                                                    
At ease.                                                                                                                        
                                                                                                                                
2:36:34 PM                                                                                                                    
CHAIR KAUFMAN reconvened the meeting.                                                                                           
                                                                                                                                
SENATOR TOBIN expressed her gratitude for the industry's concern                                                                
that their practices match statutory authority.                                                                                 
                                                                                                                                
2:37:34 PM                                                                                                                    
CHAIR KAUFMAN held HB 128 in committee.                                                                                         

Document Name Date/Time Subjects
SB 127 Sponsor Statement v. S 5.1.2023.pdf STRA 5/2/2023 1:30:00 PM
SB 127
SB 127 Explanation of Changes v. B to S.pdf STRA 5/2/2023 1:30:00 PM
SB 127
SB 127 STRA CS Work Draft v. S.pdf STRA 5/2/2023 1:30:00 PM
SB 127
SB 127 Legal Memo on Retroactive Collection Liability 4.28.23.pdf STRA 5/2/2023 1:30:00 PM
SB 127
HB 128 Sponsor Statement version U.pdf STRA 5/2/2023 1:30:00 PM
HB 128
HB 128 Sectional Analysis version U.pdf STRA 5/2/2023 1:30:00 PM
HB 128
HB128.Explanation of Changes.Version A to U.pdf HTRA 4/25/2023 1:00:00 PM
STRA 5/2/2023 1:30:00 PM
HB 128
CSHB128.Version.U.pdf HTRA 4/20/2023 1:00:00 PM
HTRA 4/25/2023 1:00:00 PM
STRA 5/2/2023 1:30:00 PM
HB 128
HB 128 Fiscal Note DEC 4.28.23.pdf STRA 5/2/2023 1:30:00 PM
HB 128
HB128.AS 46.04.030 and 040.pdf HTRA 3/30/2023 1:00:00 PM
STRA 5/2/2023 1:30:00 PM
HB 128
HB128.SupportingDocuments.18 AAC 75.432.pdf HTRA 3/30/2023 1:00:00 PM
STRA 5/2/2023 1:30:00 PM
HB 128
HB128.SupportDocument.18 AAC 75.280.pdf HTRA 3/30/2023 1:00:00 PM
STRA 5/2/2023 1:30:00 PM
HB 128
HB128.DEC SPAR Letter 2.17.23.pdf HTRA 3/30/2023 1:00:00 PM
STRA 5/2/2023 1:30:00 PM
HB 128
HB128.DEC SPAR Letter 3.3.23.pdf HTRA 3/30/2023 1:00:00 PM
STRA 5/2/2023 1:30:00 PM
HB 128
HB128.DEC SPAR Letter 4.4.23.pdf STRA 5/2/2023 1:30:00 PM
HB 128
HB 128 Presentation to STRA 5.2.23.pdf STRA 5/2/2023 1:30:00 PM
HB 128
SB 127 Amendment S.3.pdf STRA 5/2/2023 1:30:00 PM
SB 127