Does Turo Require a Security Deposit
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Issue Brief: Peer-To- Peer Car Sharing
Peer-to- Peer Car Sharing What is Peer-to-Peer Car Sharing? Peer-to-peer (P2P) car sharing refers to sharing privately-owned vehicles, for money, over an internet platform operated by a third-party. It is often referred to as “Airbnb for cars,” highlighting its similarity to other business models in the “sharing economy.” The most prominent P2P car sharing company is Turo, which is available in every state but New York. How does P2P Car Sharing Compare to Traditional Car Rental? Traditional car rental companies say there is no difference between them and P2P car rental companies because they provide the same service — the temporary transfer of a vehicle, without a driver, for money. But car sharing companies say they are not like car rental companies because they do not own cars, set rates, or arrange for delivery. Instead, they say they are technology companies providing platforms to facilitate private transactions and charging fees for that access (see public hearing testimony, Connecticut Senate Bill (SB) 216 (2020)). What is the Issue for Lawmakers? The National Conference of State Legislatures (NCSL) cites promoting innovation, greater consumer choice, and car ownership expense reduction as some of the benefits to P2P car sharing. But this business model is a challenge for states because it often falls into a legal gray area. P2P car sharing companies may not be legally considered car rental companies, and Source: Turo existing state laws related to car rental safety, insurance, and taxation may not neatly apply to the business model. Therefore, states are increasingly considering how P2P car sharing operates within their existing regulatory schemes and deciding whether, and if so how, the business should be regulated. -
Who Has Your Back? 2016
THE ELECTRONIC FRONTIER FOUNDATION’S SIXTH ANNUAL REPORT ON Online Service Providers’ Privacy and Transparency Practices Regarding Government Access to User Data Nate Cardozo, Kurt Opsahl, Rainey Reitman May 5, 2016 Table of Contents Executive Summary........................................................................................................................... 4 How Well Does the Gig Economy Protect the Privacy of Users?.........................4 Findings: Sharing Economy Companies Lag in Adopting Best Practices for Safeguarding User Privacy....................................................................................5 Initial Trends Across Sharing Economy Policies...................................................6 Chart of Results.................................................................................................................................... 8 Our Criteria........................................................................................................................................... 9 1. Require a warrant for content of communications............................................9 2. Require a warrant for prospective location data................................................9 3. Publish transparency reports............................................................................10 4. Publish law enforcement guidelines................................................................10 5. Notify users about government data requests..................................................10 6. -
Understanding Collaborative Consumption Business Model: Case of Car Sharing Systems
2016 International Conference on Materials, Manufacturing and Mechanical Engineering (MMME 2016) ISBN: 978-1-60595-413-4 Understanding Collaborative Consumption Business Model: Case of Car Sharing Systems Li-hua WU School of Information Management, Beijing Information Science & Technology University, Beijing, China Keywords: Collaborative consumption, Car sharing, Business model. Abstract. Collaborative consumption models are increasingly prevalent across the world due to their environmental, social and economic benefits. To understand how collaborative consumption models run in practice, this paper performs an investigation on five car sharing systems which are successful startups built on collaborative consumption. A comparative analysis framework including service pattern, convenience, revenue stream and reputation system is developed. Then the business models of car sharing system are shaped along these four dimensions. The insights gained in this study can help car sharing operators to promote their services further through considering key issues of various business models and constructing a reasonable business model portfolio for their car sharing systems. Introduction In recent years, collaborative consumption as an important socio-economic model has been experiencing a rapid growth across the world in virtue of digital and social networking technologies. One of well-known examples of successful startups built on collaborative consumption is car sharing service. In car sharing, consumers access cars owned by companies or private car owners for short-term periods by paying per use. A number of professional vehicle rental networks like Zipcar, Turo, Buzzcar, Getaground et al. demonstrated how speedily new collaborative ventures were able to grow up by meeting members’ temporarily leasing needs. Also, car manufacturers have started to develop and commercialize their own car sharing systems, such as Car2go by Daimler, DriveNow by BMW and Mu by Peugeot. -
Networking Transportation
Networking Transportation April 2017 CONNECTIONS G R E A TER PHIL A D ELPHI A E N G A GE, C OLL A B O R A T E , ENV I S ION The Delaware Valley Regional Planning Commission is dedicated to uniting the region’s elected officials, planning professionals, and the public with a common vision of making a great region even greater. Shaping the way we live, work, and play, DVRPC builds consensus on improving transportation, promoting smart growth, protecting the environment, and enhancing the economy. We serve a diverse region of nine counties: Bucks, Chester, Delaware, Montgomery, and Philadelphia in Pennsylvania; and Burlington, Camden, Gloucester, and Mercer in New Jersey. DVRPC is the federally designated Metropolitan Planning Organization for the Greater Philadelphia Region — leading the way to a better future. The symbol in our logo is adapted from the official DVRPC seal and is designed as a stylized image of the Delaware Valley. The outer ring symbolizes the region as a whole while the diagonal bar signifies the Delaware River. The two adjoining crescents represent the Commonwealth of Pennsylvania and the State of New Jersey. DVRPC is funded by a variety of funding sources including federal grants from the U.S. Department of Transportation’s Federal Highway Administration (FHWA) and Federal Transit Administration (FTA), the Pennsylvania and New Jersey departments of transportation, as well as by DVRPC’s state and local member governments. The authors, however, are solely responsible for the findings and conclusions herein, which may not represent the official views or policies of the funding agencies. -
City and County of San Francisco
1 DENNIS J. HERRERA, State Bar#l39669 City Attorney ELECTRONICALLY 2 YVONNE R. MERE, StateBar#l73594 Chief of Complex and Affirmative Litigation F I L E D 3 OWEN J. CLEMENTS, State Bar#l41805 Superior Court of California, County of San Francisco KRISTINE A. POPLAWSKI, State Bar#l60758 4 KENNETH M. WALCZAK, State Bar #247389 12/06/2019 MARC PRICE WOLF, State Bar #254495 Clerk of the Court BY: RONNIE OTERO 5 Deputy City Attorneys Deputy Clerk 1390 Market Street, 6th Floor 6 San Francisco, California 94102-5408 Telephone: (415) 554-3944 7 Facsimile: (415) 437-4644 E-Mail: [email protected] 8 kristine. [email protected] kenneth. [email protected] 9 [email protected] 10 Attorneys for Plaintiff PEOPLE OF THE STATE OF CALIFORNIA, acting by and through DENNIS 11 J. HERRERA AS CITY ATTORNEY OFSAN FRANCISCO and Cross-Defendant CITY AND 12 COUNTY OF SAN FRANCISCO 13 SUPERIOR COURT OF THE STATE OF CALIFORNIA 14 COUNTY OF SAN FRANCISCO 15 UNLIMITED JURISDICTION 16 PEOPLE OF THE STATE OF CALIFORNIA, Case No. CGC-18-563803 acting by and through DENNIS J. HERRERA 17 AS CITY ATTORNEY OF SAN Reservation No: 012050302-17 FRANCISCO, 18 MEMORANDUM OF POINTS AND AUTHORITIES IN SUPPORT OF 19 Plaintiff, SAN FRANCISCO'S AND THE PEOPLE'S MOTION FOR SUMMARY ADJUDICATION 20 vs. OF THE FIRST AND SIXTH CLAIMS IN TURO'S FIRST AMENDED 21 TURO INC., and DOES 1-100, inclusive, CROSS-COMPLAINT FOR DECLARATORY RELIEF AND THE SIXTEENTH 22 Defendants. AFFIRMATIVE DEFENSES IN TURO'S VERIFIED AMENDED ANSWER 23 TUROINC., Hearing Date: February 21, 2020 24 Hearing Judge: Hon. -
Shared-Use Mobility Services Literature Review
Shared-Use Mobility Services: Literature Review Prepared by the Central Transportation Planning Staff for the Massachusetts Department of Transportation Shared-Use Mobility Services Literature Review Project Manager Michelle Scott Project Principal Annette Demchur Graphics Jane Gillis Kate Parker O’Toole Cover Design Kate Parker O’Toole The preparation of this document was supported by the Federal Transit Administration through MassDOT 5303 contracts #88429 and #94643. Central Transportation Planning Staff Directed by the Boston Region Metropolitan Planning Organization. The MPO is composed of state and regional agencies and authorities, and local governments. March 2017 Shared-Use Mobility Services—Literature Review March 2017 Page 2 of 84 Shared-Use Mobility Services—Literature Review March 2017 ABSTRACT This document provides an overview of shared-use mobility services, which involve the sharing of vehicles, bicycles, or other transportation modes, and provide users with short-term access to transportation on an as-needed basis. The report defines various types of shared-use mobility services and describes companies and service providers that operate in Greater Boston. It also includes a review of literature on the following topics: • Who is using shared-use mobility services? For example, many users are in their 20s and 30s, and use of these services tends to increase with income and education level. • When and why are they used, and how have these services affected riders’ mobility? The services can vary in terms of how they help users meet their mobility needs. For example, carsharing users report using these services to run errands, while ridesourcing users frequently take them for social or recreational trips. -
Consumer EV Education Lessons Learned
16mm Consumer EV Education Lessons Learned - A Pacific Northwest approach to E-Mobility - Zach Henkin1 Anne Ramzy 2 1) Deputy Director at Forth, 1450 NW 18th Avenue, Suite 240, Portland Oregon USA (E-mail: [email protected]) 21450 NW 18th Avenue, Suite 240, Portland Oregon USA ([email protected]) ABSTRACT: The Northwest Electric Showcase Project is an effort led by Forth seeking to double the amount of electric vehicles sold in Oregon and Washington by 2020. This work, funded by the US Department of Energy, will use a variety of strategies to expand consumer awareness for electric vehicle viability including; a permanent storefront in Downtown Portland adjacent to the city’s Electric Avenue, numerous “pop up” ride and drive events throughout Oregon and Washington, and an adaptive digital marketing and media campaign engineered to increase awareness and participation for electric vehicles and test drive events. KEY WORDS: sustainability, infrastructure, marketing, education, implementation Washington on a sustainable path to increase sales more than 1. INTRODUCTION tenfold, to at least 15% of all new cars sold by 2025. The project’s The Pacific Northwest Electric Showcasei has emerged as a interim goal is to at least double electric vehicle adoption rates by natural next step for Forth and its partners, building on its strong 2019, which translates into annual sales of 9,000 PEVs per year in history of success in advancing electric vehicle deployment in the Washington and 5,500 per year in Oregon, which also translates region. Forth, formerly known as Drive Oregon, is a nonprofit into total PEV sales of 33,000 in the two states over the funding’s 501c6 trade organization with an affiliated 501c3, the Forth three-year performance period. -
DRAFT Technical Methodology to Estimate GHG
Technical Methodology to Estimate Greenhouse Gas Emissions for San Diego Forward: The 2021 Regional Plan and Sustainable Communities Strategy from the San Diego Association of Governments Introduction California Senate Bill 375 (Steinberg, 2008) (SB 375) requires that metropolitan planning organizations (MPOs) submit a description of the technical methodology they intend to use to estimate the greenhouse gas (GHG) emissions from their Sustainable Communities Strategy (SCS) to the California Air Resources Board (CARB). This technical methodology is submitted in compliance with Government Code § 65080(b)(2)(J)(i) and reflects the best available information as of February 2021. San Diego Forward: The 2021 Regional Plan (2021 Regional Plan) serves as the long-range planning document for the San Diego region, and it also functions as the Regional Transportation Plan (RTP) and SCS, which will comply with state and federal regulations including SB 375 and federal air quality conformity. This report describes the proposed technical methodology to estimate GHG emissions for the 2021 Regional Plan. Components currently under development are noted in this report. San Diego Association of Governments (SANDAG) staff will provide information to CARB on those components as they are finalized. SANDAG has completed two Regional Plan/SCS cycles to date, adopting the latest SCS (San Diego Forward: The 2015 Regional Plan) in October 2015. CARB accepted that SANDAG’s first SCS (2050 Regional Transportation Plan) and second SCS (San Diego Forward: The 2015 Regional Plan) if implemented, would meet or exceed the applicable targets of 7% reduction for 2020 and 13% reduction for 2035 relative to 2005. The target achievement for the 2050 Regional Transportation Plan was estimated at 14% for 2020 and 13% for 2035. -
Arbitration Clause Issues in Sharing Economy Contracts
Journal of Dispute Resolution Volume 2017 Issue 1 Article 15 2017 Arbitration Clause Issues in Sharing Economy Contracts Carissa Laughlin Follow this and additional works at: https://scholarship.law.missouri.edu/jdr Part of the Dispute Resolution and Arbitration Commons, and the Law and Economics Commons Recommended Citation Carissa Laughlin, Arbitration Clause Issues in Sharing Economy Contracts, 2017 J. Disp. Resol. (2017) Available at: https://scholarship.law.missouri.edu/jdr/vol2017/iss1/15 This Comment is brought to you for free and open access by the Law Journals at University of Missouri School of Law Scholarship Repository. It has been accepted for inclusion in Journal of Dispute Resolution by an authorized editor of University of Missouri School of Law Scholarship Repository. For more information, please contact [email protected]. Laughlin: Arbitration Clause Issues in Sharing Economy Contracts Arbitration Clause Issues in Sharing Economy Contracts CARISSA LAUGHLIN* I. INTRODUCTION The “sharing economy” generates a new form of economic activity through digital platforms, allowing people to create and share goods and services with one another. Representative of a generational shift in consumer values and purchasing preferences, the sharing economy is diverse, and continues to grow every day with different types of online applications that provide goods, services, rides, vacation stays, money, clothes, and more to consumers in ways previously unimagined. Transformative in some respects, overhyped in others,1 the sharing economy -
ELECTRIC VEHICLES and the CALIFORNIA GRID a R EPOR T BY: Anand R
ELECTRIC VEHICLES AND THE CALIFORNIA GRID A R EPOR T BY: Anand R. Gopal Julia Szinai P RODUCED BY: Next 10 JUL Y 20 1 8 We would like to acknowledge the contributions of Max Baumhefner (NRDC), Eric Cutter (Energy + Environmental Economics), and Alan Jenn (Institute of Transportation Systems, UC Davis) for excellent, constructive and detailed reviews of the brief. The authors would like to thank Colin Sheppard and Nikit Abhyankar of Lawrence Berkeley National Laboratory who supported vehicle grid analysis that was used in this brief. NEXT 10 TABLE OF CONTENTS | 3 I. EXECUTIVE SUMMARY 4 II. INTRODUCTION 7 California’s Mobility – Infrastructure – Charging – Grid Nexus 8 III. MOBILITY TRENDS 11 Historical trends in the United States 13 Automated Vehicles 14 Mobility-on-Demand Services 15 Electric Medium-Duty Vehicles and Heavy-Duty Vehicles 17 IV. CHARGING INFRASTRUCTURE DEPLOYMENT POLICIES 18 Types of Chargers 20 Historical and Current Charging Infrastructure Deployment 20 Charing Infrastructure Costs 23 Investment Pathways to Support Charging Infrastructure Expansion 25 ELECTRIC VEHICLE CHARGING STRATEGIES AND GRID SERVICES 29 Unmanaged Charging Behavior and Managed Charging Strategies 30 Grid Services from Managed Charging Strategies 31 Managed Charging Experiences to Date 31 V. ELECTRIC VEHICLE GRID SERVICES AND IMPACTS IN CALIFORNIA 36 Types of Impacts 37 Grid Scenarios with Increased Stationary Storage & Distributed 41 Energy Resources VI. POLICY CONSIDERATIONS 43 Goals, Metrics, and Policy Recommendations 46 VII. CONCLUSION 48 VIII. APPENDIX 51 NEXT 10 EXECUTIVE SUMMARY | 4 I. Executive Summary TRANSPORTATION is the single largest source of greenhouse gas (GHG) emissions in the state of California, as in many other ma- jor economies throughout the world. -
The Future of Mobility Ride-Hailing and New Businesses to Fuel $7Tn+
EQUITY RESEARCH | June 4, 2019 | 6:25 AM EDT The following is a redacted version of the original report. See inside for details. THE FUTURE OF M BILITY Ride-hailing and new businesses to fuel $7tn+ global mobility market The next 10 years of mobility will bring more change in the way that people and products move than any decade since the invention of the automobile. Emerging technologies and business models like ride-hailing and sharing, autonomous driving and delivery, micro-mobility and even eVTOL (flying cars, finally) stand to disrupt profit pools that we estimate exceed $700bn, and venture backed startups and incumbents will attempt to address over $7tn in spend- ing. Given the size of the opportunity, it should come as no surprise that access to capital has created a hyper competi- tive environment marked by massive operating losses driven by marketing, subsidies, incentives, and capital in- vestment. As this environment matures and rationalizes, we expect consolidation that will lead to profitability, the establishment of category leaders, and significant opportunities for investors. Heath P. Terry, CFA Daniel Powell Piyush Mubayi Frank Jarman David Tamberrino, CFA Adam Hotchkiss +1 212 357-1849 +1 917 343-4120 +852 2978-1677 +1 212 902-7537 +1 212 357-7617 +1 212 902-3941 [email protected] [email protected] [email protected] [email protected] [email protected] [email protected] Goldman Sachs & Co. LLC Goldman Sachs & Co. LLC Goldman Sachs (Asia) L.L.C. Goldman Sachs & Co. LLC Goldman Sachs & Co. LLC Goldman Sachs & Co.LLC Goldman Sachs does and seeks to do business with companies covered in its research reports. -
Expanding Access to Electric Mobility in the United States
www.theicct.org BRIEFING DECEMBER 2017 Expanding access to electric mobility in the United States This briefing summarizes policies and actions that are expanding access to electric transportation in the United States. We highlight low-income and apartment dwellers where applicable and include actions to expand access to electric mobility more generally that are not explicitly targeting these groups. Practices that support electric vehicle adoption and broaden awareness about and access to electric mobility are included. INTRODUCTION Growth in the electric vehicle market continues globally and in the United States. Global cumulative electric vehicle sales surpassed 2 million units in early 2017. The United States accounts for about one-quarter of the global market with more than half a million sales through 2016. Preliminary half-year 2017 data reflect continued growth in the United States with year-over-year sales growth of about 40%.1 Several governments have aggressive electric vehicle adoption targets and continue to support the transition to electric drive to help achieve goals targeting oil reduction, industrial development, climate change, and local air quality. At the same time, many governments are committed to creating equitable mobility solutions across their entire resident populations. As the electric vehicle market develops, proactive governments, utilities, and other stakeholders increasingly seek to capture a broader set of prospective consumers 1 Alliance of Automobile Manufacturers. (2017). ZEV Sales Dashboard. Retrieved from https://autoalliance.org/ energy-environment/zev-sales-dashboard/ Prepared by: Peter Slowik and Michael Nicholas. This work was conducted for The 11th Hour Project of the Schmidt Family Foundation. Fanta Kamakaté, Nic Lutsey, Alvaro Sanchez, Clarrissa Cabansagan, and Brett Williams provided critical reviews on an earlier version of the report.