If the oxygenate program remains in effect in California after CARB fuel in 1996, would we still need to identify the type and amount of oxygenate to meet the oxygenated program transfer document requirements? or will we be exempt for these record keeping
See More Frequent Questions about Fuels Registration, Reporting, and Compliance Help. With regard to RFG product transfer documentation requirements as applied to California gasoline, § 80.81(c)(9) of the regulations exempts California gasoline (as defined in § 80.81(a)(2)) produced or imported subsequent to March 1, 1996 from the product transfer documentation…