|
The email from Ryan Jackson at the EPA discusses the August 30, 2017 Daily Environment Report, highlighting issues related to Hurricane Harvey's impact on energy facilities, air pollution regulation clarity concerns raised by the EPA's Science Advisory Board, and personnel changes within the agency.
|
2017 |
EPA-HQ-2017-008402 |
—
|
3 |
|
The email from Lisa Ceglia of Smiths Group to EPA officials Ryan Jackson and Troy Lyons requests a meeting on September 27, 2017, to discuss the Methane re-proposal and upcoming regulations with John Donatiello, VP of Global products.
|
2017 |
EPA-HQ-2017-008402 |
—
|
2 |
|
The email discusses the severe air quality issues in California due to wildfires and mentions EPA Administrator Scott Pruitt's upcoming meeting with senators, including Chuck Grassley, to address concerns over the Renewable Fuel Standard and its impact on biofuels.
|
2017 |
EPA-HQ-2017-008402 |
—
|
3 |
|
The email from Charles Brittingham at the EPA requests a meeting with Administrator Pruitt on May 16th to discuss air quality challenges and funding issues with the South Coast Air Quality Management District.
|
2017 |
EPA-HQ-2017-008402 |
—
|
3 |
|
The EPA's August 23, 2017, EHS State Regulatory Alert discusses proposed amendments to California's air quality regulations, including new lead emissions standards and changes to volatile organic compound control measures, with public workshops and comment deadlines outlined.
|
2017 |
EPA-HQ-2017-008402 |
—
|
6 |
|
The email from Dave Flannery of Steptoe & Johnson discusses scheduling a meeting between the Midwest Ozone Group and the EPA Administrator to address key issues related to ozone concentrations and regulatory deadlines.
|
2017 |
— |
ED_002061_00142831
Madeline Morris
|
4 |
|
The EPA is involved in discussions regarding a stalled bill to expand E15 gasoline sales, with key concerns raised by Senator Tom Carper about RIN market transparency and potential ozone emissions, as various senators express differing support and opposition.
|
2017 |
EPA-HQ-2017-008402 |
—
|
2 |
|
Texas Attorney General Ken Paxton expressed support for the EPA's decision to delay the implementation of the ozone rule in a communication dated June 6, 2017.
|
2017 |
— |
ED_002061_00078410
Tate Bennett
|
3 |
|
The email from the EPA's Sydney Hupp discusses logistical arrangements for a meeting between Administrator Pruitt and the Institute of Clean Air Companies (ICAC) scheduled for May 4, 2017, including room setup and attendee security requirements.
|
2017 |
EPA-HQ-2017-008402 |
—
|
3 |
|
The email from Ryan Jackson at the EPA highlights key environmental news, including UN discussions on air pollution, a Senate confirmation for the Army Corps nominee, and a Colorado decision on water pollution limits proposed by Freeport-McMoRan.
|
2017 |
EPA-HQ-2017-008402 |
—
|
11 |
|
The email from Dave Flannery to Madeline Morris and Mandy Gunasekara at the EPA discusses scheduling a meeting for the Midwest Ozone Group with the Administrator to address key issues related to ozone concentrations, state obligations, and a petition regarding the CSAPR Update.
|
2017 |
EPA-HQ-2017-008402 |
—
|
6 |
|
The email from Patrick Davis of the Environmental Protection Agency discusses a summary of air quality regulations impacting the metalcasting industry, which was shared by Daniel Oman following a meeting with the American Foundry Society.
|
2017 |
— |
ED_002061_00091932
Patrick Davis
|
2 |
|
The email exchange between Troy Lyons of an unspecified agency and Chad Calvert from Noble Energy discusses concerns regarding the EPA's language in the 2017 appropriations bill related to ozone regulations and its potential impact on legislative relief for 2008 reclassifications.
|
2017 |
— |
ED_002061_00140500
Troy Lyons
|
1 |
|
The document is an undeliverable email notification regarding the EPA's decision to extend the deadline for the 2015 Ozone NAAQS area designations, sent from Tate Bennett to James Ross at the New Mexico State agency.
|
2017 |
— |
ED_002061_00067854
Tate Bennett
|
4 |
|
The email from Preston Cory of the U.S. Environmental Protection Agency discusses a scheduled call with Wisconsin DNR staff regarding background information on Racine County and the 2015 Ozone Standard.
|
2017 |
— |
ED_002061_00129980
Troy Lyons
|
2 |
|
The email from Ryan Jackson at the EPA discusses the White House's directive for agencies to propose regulatory cost budgets for fiscal year 2018, ongoing litigation regarding methane standards for landfills, and personnel news related to state environmental leadership.
|
2017 |
EPA-HQ-2017-008402 |
—
|
2 |
|
The email correspondence from the EPA discusses a meeting request from Boyden Gray Associates to meet with Administrator Pruitt regarding ethanol policy and Clean Air Act regulations.
|
2017 |
EPA-HQ-2017-008402 |
—
|
6 |
|
The email correspondence from the EPA's Sydney Hupp discusses rescheduling a meeting with Administrator Pruitt to discuss revolutionary technologies aimed at improving energy efficiency and air quality, originally planned for late March, to May 10 or 11 due to a change in Maxim Pasik's travel plans.
|
2017 |
EPA-HQ-2017-008402 |
—
|
5 |
|
The email from Ryan Jackson at the EPA discusses various challenges and developments related to the agency's regulatory actions, including legal barriers to delaying ozone standard designations, anticipated expedited reviews for TSCA regulations, and concerns over Attorney General Jeff Sessions' policy affecting environmental settlements.
|
2017 |
EPA-HQ-2017-008402 |
—
|
5 |
|
Robert Hermanson from BP is inquiring Troy Lyons at the EPA about the statutory language referenced by Administrator Pruitt regarding the establishment of the Ozone Cooperative Compliance Task Force, as he is unable to locate it in the FY 2017 omnibus bill.
|
2017 |
— |
ED_002061_00127780
Troy Lyons
|
1 |
|
The email from Rahul Thaker, an Environmental Engineer at NCDENR Division of Air Quality, confirms details regarding his participation in a panel session at the Air & Waste Management Association's 2017 Annual Conference, including presentation guidelines and deadlines.
|
2017 |
EPA-HQ-2017-008402 |
—
|
2 |
|
The email from Chris Hessler of AJW, Inc. to EPA officials discusses issue briefs developed by the ICAC in response to Administrator Pruitt's inquiries, highlighting topics such as ozone monitoring and potential technology exports, and suggests a follow-up meeting to explore mutual interests.
|
2017 |
EPA-HQ-2017-008402 |
—
|
55 |
|
The email correspondence involves David Harlow from the EPA expressing gratitude to John Kinsman of the Edison Electric Institute for his contributions to the Air Quality Subcommittee, highlighting a successful initial meeting.
|
2017 |
— |
ED_002061_00183733
Bill Wehrum
|
2 |
|
The email correspondence between Sydney Hupp of the EPA and Bill Becker of the National Association of Clean Air Agencies discusses the invitation for EPA Administrator Pruitt to attend their meeting on May 1st in Washington, D.C., with both parties expressing interest in the Administrator's participation.
|
2017 |
EPA-HQ-2017-008402 |
—
|
4 |
|
The EPA issued a regulatory alert on August 14, 2017, announcing the approval of revisions to the California and Connecticut State Implementation Plans (SIPs) concerning air quality standards and emissions regulations.
|
2017 |
EPA-HQ-2017-008402 |
—
|
7 |
|
The document is a communication from the Environmental Protection Agency regarding a petition related to the Cross-State Air Pollution Rule, specifically addressing regulatory actions and compliance issues.
|
2016 |
— |
ED_002061_00069327
Tate Bennett
|
3 |
|
The EPA's Office of Policy held a roundtable on May 9th to discuss various regulatory topics including the proposed denial of petitions regarding the RFS Point of Obligation and formaldehyde emission standards, with participation from multiple industry representatives.
|
2016 |
EPA-HQ-2017-008402 |
—
|
1 |
|
The U.S. Environmental Protection Agency issued a Notice of Violation to MGPI of Indiana, LLC for ongoing violations of the Clean Air Act's Non-Attainment New Source Review requirements at their Lawrenceburg facility, offering them a chance to discuss compliance measures.
|
2016 |
— |
ED_002061_00163758
Justin Schwab
|
13 |
|
The Midwest Ozone Group has submitted a Petition for Administrative Review to the EPA, requesting reconsideration of the Cross-State Air Pollution Rule Update for the 2008 Ozone NAAQS due to perceived technical and legal flaws in the final rule issued on October 26, 2016.
|
2016 |
EPA-HQ-2017-008402 |
—
|
38 |
|
The Midwest Ozone Group submitted a Petition for Administrative Review to the U.S. Environmental Protection Agency regarding the Cross-State Air Pollution Rule Update for the 2008 Ozone NAAQS, citing significant technical and legal flaws in the final rule issued on October 26, 2016.
|
2016 |
EPA-HQ-2017-008402 |
—
|
38 |
|
The American Home Furnishings Alliance and other industry associations are urging the Trump Administration to improve or eliminate the EPA's Formaldehyde Emissions Standards for Composite Wood Products, citing concerns over supply chain disruptions, increased consumer prices, and potential job losses.
|
2016 |
— |
ED_002061_00043951
Nancy Beck
|
3 |
|
The letter from Wisconsin Governor Scott Walker to EPA Administrator Gina McCarthy recommends that all counties in Wisconsin be designated as attainment for the 2015 ozone National Ambient Air Quality Standards, citing significant improvements in ozone levels and ongoing efforts to meet previous standards.
|
2016 |
— |
ED_002061_00069487
Tate Bennett
|
3 |
|
The EPA issued a set of principles and best practices aimed at enhancing the oversight and integrity of state permitting programs under the Clean Water Act, Clean Air Act, and Resource Conservation and Recovery Act, following a 2011 Inspector General's report, to foster collaboration and accountability between the agency and state environmental managers.
|
2016 |
— |
ED_002061_00178456
Kenneth Wagner
|
4 |
|
EPA Administrator Scott Pruitt visited Utah to discuss the agency's decision to revisit the state's 2015 regional haze plan and to rescind the 2015 Waters of the United States rule, emphasizing the importance of state involvement in environmental regulation.
|
2015 |
— |
ED_002061_00077310
Tate Bennett
|
3 |
|
The U.S. Environmental Protection Agency (EPA) is extending the deadline for initial area designations under the 2015 National Ambient Air Quality Standards (NAAQS) for ozone by one year to allow states more time to develop compliance plans and to establish an Ozone Cooperative Compliance Task Force for additional flexibility.
|
2015 |
— |
ED_002061_00067161
Tate Bennett
|
1 |
|
The document consists of questions directed to the EPA regarding the designation of Racine County under the Clean Air Act in relation to the 2015 ozone standard, including inquiries about potential designations, legal processes for changes, and the implications of data availability on those designations.
|
2015 |
— |
ED_002061_00129983
Troy Lyons
|
1 |
|
The Vinyl Institute submitted a letter to the U.S. EPA proposing a reconsideration of wastewater limits and compliance options for the National Emission Standards for Hazardous Air Pollutants related to polyvinyl chloride production, following discussions and data submissions regarding the PVC MACT.
|
2015 |
— |
—
|
19 |
|
The document discusses industry feedback to the Department of the Interior (DOI) regarding air quality modeling assumptions in the Gulf of Mexico (GOM) air quality study and suggests creating an industry workgroup to improve collaboration and regulatory outcomes.
|
2015 |
— |
—
|
2 |
|
The Vinyl Institute is requesting the U.S. Environmental Protection Agency to reconsider the pH calibration requirements under the National Emission Standards for Hazardous Air Pollutants for Polyvinyl Chloride production due to concerns about misunderstandings of industry processes that have led to overly burdensome regulations.
|
2015 |
— |
—
|
10 |
|
The Vinyl Institute PVC MACT Working Group submitted supplemental information to the U.S. EPA regarding the establishment of process vent limits for the reconsideration of National Emission Standards for Hazardous Air Pollutants for Polyvinyl Chloride and Copolymers Production.
|
2015 |
— |
—
|
6 |
|
The U.S. EPA is seeking input from the Vinyl Institute on proposed revisions to process vent definitions and subcategories for the National Emission Standards for Hazardous Air Pollutants related to polyvinyl chloride production, following discussions about the significant differences in vent streams between PVC-only and combined EDC/VCM facilities.
|
2015 |
— |
—
|
5 |
|
The Environmental Protection Agency is extending the deadline for initial area designations for the 2015 National Ambient Air Quality Standards for ozone by one year to allow for a thorough review of designation recommendations and recent air quality data.
|
2015 |
— |
ED_002061_00079140
Tate Bennett
|
2 |
|
The U.S. EPA is discussing proposed revisions to the process vent definitions and subcategories for the National Emission Standards for Hazardous Air Pollutants related to polyvinyl chloride production, following input from the Vinyl Institute's Working Group.
|
2015 |
— |
—
|
5 |
|
The Environmental Protection Agency is extending the deadline for initial area designations related to the 2015 National Ambient Air Quality Standards for ozone by one year to allow for further review of designation recommendations and air quality data.
|
2015 |
— |
ED_002061_00067546
Tate Bennett
|
2 |
|
The Vinyl Institute submitted a letter to the U.S. EPA proposing a reconsideration of wastewater limits and compliance options for the National Emission Standards for Hazardous Air Pollutants related to polyvinyl chloride production, following discussions and previous submissions.
|
2015 |
— |
—
|
19 |
|
The document is a letter from the Attorneys General of several states to EPA Administrator Gina McCarthy expressing concerns that the proposed revision of the National Ambient Air Quality Standard for ozone is unachievable and urging the EPA to withdraw the proposed rule.
|
2015 |
— |
ED_002061_00069540
Tate Bennett
|
6 |
|
The Vinyl Institute is proposing revised definitions for resin types and processes related to Polyvinyl Chloride and Copolymers production to the U.S. EPA, following discussions aimed at clarifying National Emission Standards for Hazardous Air Pollutants.
|
2015 |
— |
—
|
4 |
|
The Vinyl Institute PVC MACT Working Group submitted supplemental information to the U.S. EPA regarding the approach for establishing process vent limits during the reconsideration of National Emission Standards for Hazardous Air Pollutants for Polyvinyl Chloride and Copolymers Production.
|
2015 |
— |
—
|
6 |
|
The email from the Vinyl Institute to the U.S. EPA seeks clarification on performance specifications for pH calibration monitoring equipment related to the National Emission Standards for Hazardous Air Pollutants for Polyvinyl Chloride and Copolymers Production (PVC MACT) following a conference call.
|
2015 |
— |
—
|
10 |
|
EPA Administrator Scott Pruitt visited Utah to discuss the agency's decision to rescind the 2015 WOTUS rule and to revisit Utah's regional haze plan, emphasizing the importance of state involvement in environmental regulation.
|
2015 |
— |
ED_002061_00077300
Tate Bennett
|
3 |
|
The Vinyl Institute PVC MACT Working Group submitted supplemental information to the U.S. EPA regarding the approach for establishing process vent limits during the reconsideration of National Emission Standards for Hazardous Air Pollutants for Polyvinyl Chloride and Copolymers Production.
|
2015 |
— |
—
|
6 |
|
The Vinyl Institute is proposing revised definitions for resin types and processes related to Polyvinyl Chloride and Copolymers in the National Emission Standards for Hazardous Air Pollutants, following discussions with the U.S. EPA's Office of Air Quality Planning and Standards.
|
2015 |
— |
—
|
4 |
|
The Environmental Protection Agency is extending the deadline for initial area designations for the 2015 National Ambient Air Quality Standards for ozone by one year to allow for further review of designation recommendations and air quality data, while also establishing an Ozone Cooperative Compliance Task Force to assist states in compliance efforts.
|
2015 |
— |
ED_002061_00078984
Tate Bennett
|
2 |
|
The Environmental Protection Agency is extending the deadline for initial area designations related to the 2015 National Ambient Air Quality Standards for ozone by one year to allow for further review of state recommendations and air quality data.
|
2015 |
— |
ED_002061_00078228
Tate Bennett
|
2 |
|
The Vinyl Institute is proposing revised definitions for resin types and processes related to Polyvinyl Chloride and Copolymers in the National Emission Standards for Hazardous Air Pollutants, following discussions with the U.S. EPA's Office of Air Quality Planning and Standards.
|
2015 |
— |
—
|
4 |
|
The document is a briefing paper from the EPA discussing recommendations regarding the designation of Racine County in relation to the 2015 ozone National Ambient Air Quality Standard, advocating for the county to be classified as attainment rather than nonattainment.
|
2015 |
— |
ED_002061_00129982
Troy Lyons
|
2 |
|
The Environmental Protection Agency is extending the deadline for initial area designations related to the 2015 National Ambient Air Quality Standards for ozone by one year to allow for a thorough review of designation recommendations and air quality data.
|
2015 |
— |
ED_002061_00067856
Tate Bennett
|
2 |
|
The Environmental Protection Agency is extending the deadline for initial area designations for the 2015 National Ambient Air Quality Standards for ozone by one year to allow for further review and consideration of state recommendations and air quality data.
|
2015 |
— |
ED_002061_00078515
Tate Bennett
|
2 |
|
The Wisconsin Department of Natural Resources (WDNR) submitted supplemental information to the EPA supporting Governor Walker's recommendation for Sheboygan County to be designated as "attainment" for the 2015 ozone NAAQS, based on data indicating that high ozone levels are primarily due to out-of-state emissions and are confined to a narrow lakeshore band.
|
2015 |
— |
ED_002061_00069488
Tate Bennett
|
3 |
|
The Vinyl Institute submitted a letter to the U.S. EPA proposing a reconsideration of wastewater limits and compliance options for the National Emission Standards for Hazardous Air Pollutants related to polyvinyl chloride production, following discussions and previous submissions.
|
2015 |
— |
—
|
19 |
|
The Environmental Protection Agency is extending the deadline for initial area designations for the 2015 National Ambient Air Quality Standards for ozone by one year to allow for further review of designation recommendations and air quality data.
|
2015 |
— |
ED_002061_00078642
Tate Bennett
|
2 |
|
The U.S. EPA is discussing proposed revisions to the process vent definitions and subcategories for the National Emission Standards for Hazardous Air Pollutants related to polyvinyl chloride production, following input from the Vinyl Institute's PVC MACT Working Group.
|
2015 |
— |
—
|
5 |
|
The US EPA's Office of Transportation and Air Quality released a document analyzing the significant increase in D6 renewable identification number (RIN) prices in 2013 under the Renewable Fuel Standard (RFS) program, attributing the rise to the growing renewable fuel requirements and its impact on retail fuel prices and merchant refiners.
|
2015 |
EPA-HQ-2017-008402 |
—
|
31 |
|
The email from the Vinyl Institute to the U.S. EPA seeks clarification on performance specifications for pH calibration monitoring equipment related to the National Emission Standards for Hazardous Air Pollutants for Polyvinyl Chloride and Copolymers Production (PVC MACT) following a conference call.
|
2015 |
— |
—
|
10 |
|
The Vinyl Institute is requesting the U.S. Environmental Protection Agency to reconsider the pH calibration requirements imposed under the National Emission Standards for Hazardous Air Pollutants for Polyvinyl Chloride production, citing misunderstandings about industry processes that have led to overly burdensome regulations.
|
2015 |
— |
—
|
10 |
|
The email from the Vinyl Institute to the U.S. EPA seeks clarification on performance specifications for pH calibration monitoring equipment related to the National Emission Standards for Hazardous Air Pollutants for Polyvinyl Chloride and Copolymers Production (PVC MACT) following a conference call.
|
2015 |
— |
—
|
10 |
|
The email correspondence from the U.S. Environmental Protection Agency discusses the health benefits and cost-effectiveness of the Clean Power Plan, specifically addressing claims related to asthma attacks and premature deaths due to soot and smog reductions.
|
2014 |
EPA-HQ-2017-008402 |
—
|
5 |
|
The Vinyl Institute submitted supplemental information to the U.S. EPA regarding the reconsideration of National Emission Standards for Hazardous Air Pollutants for Polyvinyl Chloride and Copolymers Production, emphasizing the need for data-driven emission performance estimates to support the PVC industry while complying with the Clean Air Act.
|
2014 |
— |
—
|
29 |
|
The email correspondence from the U.S. Environmental Protection Agency discusses the health benefits and cost-effectiveness of the Clean Power Plan, specifically addressing claims related to asthma attacks and premature deaths due to soot and smog reduction.
|
2014 |
EPA-HQ-2017-008402 |
—
|
5 |
|
The Vinyl Institute submitted supplemental information to the U.S. EPA regarding the reconsideration of National Emission Standards for Hazardous Air Pollutants for Polyvinyl Chloride and Copolymers Production, emphasizing the need for accurate data to inform the PVC MACT rule while supporting industry growth.
|
2014 |
— |
—
|
29 |
|
The Vinyl Institute submitted supplemental information to the U.S. EPA regarding the reconsideration of National Emission Standards for Hazardous Air Pollutants for Polyvinyl Chloride and Copolymers Production, emphasizing the need for accurate emissions data to inform regulatory decisions.
|
2014 |
— |
—
|
29 |
|
The U.S. EPA is requested to clarify certain provisions of the National Emission Standards for Hazardous Air Pollutants for Polyvinyl Chloride and Copolymers Production, particularly regarding venting requirements for storage vessels, to address confusion and ensure compliance within the industry.
|
2013 |
— |
—
|
28 |
|
The Vinyl Institute PVC MACT Working Group is requesting the U.S. EPA to clarify certain provisions of the National Emission Standards for Hazardous Air Pollutants for Polyvinyl Chloride and Copolymers Production, specifically regarding venting requirements for fixed roof storage vessels, to prevent confusion and ensure compliance within the industry.
|
2013 |
— |
—
|
28 |
|
The Vinyl Institute PVC MACT Working Group is requesting the U.S. EPA to clarify certain provisions of the National Emission Standards for Hazardous Air Pollutants for Polyvinyl Chloride production to address confusion and compliance issues without requiring substantive revisions to the rule.
|
2013 |
— |
—
|
28 |
|
The U.S. Environmental Protection Agency is being urged by U.S. Steel Corporation to reconsider the uniform regional haze limits imposed on its Minnesota facilities, following the agency's acknowledgment that such standards are not feasible based on new data and previous administrative and judicial petitions filed by U.S. Steel.
|
2013 |
— |
ED_002061_00086857
Byron Brown
|
3 |
|
The document discusses environmental pollution in China, highlighting the severe contamination of soil and air quality, as reported by authors Kahn and Zheng, and emphasizes the economic impact and challenges faced by the Chinese government in addressing these issues.
|
2013 |
— |
ED_002061_00108020
Sarah Greenwalt
|
2 |
|
The document is a petition submitted by the Vinyl Institute, Inc. to the U.S. Environmental Protection Agency requesting reconsideration and a stay of the final National Emission Standards for Hazardous Air Pollutants for Polyvinyl Chloride and Copolymers Production.
|
2012 |
— |
—
|
102 |
|
The Environmental Protection Agency (EPA) announced that it cannot finalize the cancellation of "group 2" uses of the organic arsenical monosodium methanearsonate (MSMA) for sod farms, golf courses, and highway rights of way, and will extend the deadlines for sale, distribution, and use of existing stocks due to the lack of a written determination by the December 31,
|
2012 |
— |
ED_002061_00051030
|
2 |
|
The document is a petition submitted by the Vinyl Institute, Inc. to the U.S. Environmental Protection Agency requesting reconsideration and a stay of the final National Emission Standards for Hazardous Air Pollutants for Polyvinyl Chloride and Copolymers Production.
|
2012 |
— |
—
|
102 |
|
The document is a petition submitted by the Vinyl Institute, Inc. to the U.S. Environmental Protection Agency requesting reconsideration and a stay of the final National Emission Standards for Hazardous Air Pollutants for Polyvinyl Chloride and Copolymers Production.
|
2012 |
— |
—
|
43 |
|
The EPA is evaluating whether the 2009 Endangerment Finding and the 2010 Tailpipe Rule should be reinterpreted to exclude biogenic emissions from the Clean Air Act's applicability, arguing that the original findings did not adequately address the science behind biogenic emissions.
|
2009 |
— |
ED_002061_00162566
Justin Schwab
|
18 |
|
The document outlines the professional background of William L. Wehrum, Jr., highlighting his roles at the U.S. Environmental Protection Agency related to air quality regulation and his current position at Hunton & Williams LLP focusing on environmental law.
|
2007 |
— |
ED_002061_00156513
Aaron Ringel
|
1 |
|
The Vinyl Institute is requesting the U.S. Environmental Protection Agency to reconsider the pH calibration requirements under the National Emission Standards for Hazardous Air Pollutants for Polyvinyl Chloride production, citing misunderstandings about industry processes that have led to overly burdensome regulations.
|
2000 |
— |
—
|
10 |
|
The document outlines the enforcement activities and regulatory responsibilities of the EPA Region 7, led by Acting Administrator Edward H. Chu, detailing state authorizations under the Clean Air Act, Clean Water Act, and Resource Conservation and Recovery Act, as well as specific program management for lead renovation and stormwater permitting across Iowa, Kansas, Missouri, and Nebraska.
|
1995 |
— |
ED_002061_00173856
Kenneth Wagner
|
1 |
|
The email from Fred Lucal requests comments from the EPA regarding criticisms of scientific studies influencing regulations, specifically mentioning the Better Evaluation of Science and Technology Act and examples of controversial studies related to air quality and pesticide regulation.
|
1993 |
— |
ED_002061_00022385
13 Tier
|
1 |
|
The document outlines the Small Business Environmental Assistance Programs, established under the Clean Air Act Amendments of 1990, which provide free and confidential environmental compliance assistance to small businesses across the U.S. without federal funding.
|
1990 |
— |
ED_002061_00182941
Bill Wehrum
|
2 |
|
The document outlines the Small Business Environmental Assistance Programs established under the Clean Air Act Amendments of 1990, detailing their role in providing free and confidential environmental compliance assistance to small businesses across the U.S. without federal funding.
|
1990 |
— |
ED_002061_00174471
Kenneth Wagner
|
2 |
|
The document outlines Matthew L. Kuryla's extensive experience and contributions in implementing the Clean Air Act, particularly through his coordination of industry groups in Texas that developed innovative regulatory strategies to help the Houston area meet ozone standards.
|
1989 |
— |
ED_002061_00269012
Richard Yamada
|
3 |
|
The document is a request from the Truck and Engine Manufacturers Association urging the EPA to lead the development of a national low NOx rule for heavy-duty on-highway vehicles to streamline regulations, achieve real-world emissions reductions, and support California's ozone attainment efforts.
|
1988 |
— |
ED_002061_00259373
Andrew Wheeler
|
1 |
|
The document is a letter endorsing Bill Wehrum for nomination as the Assistant Administrator for Air and Radiation at the U.S. Environmental Protection Agency (EPA), highlighting his extensive experience and qualifications in Clean Air Act regulatory issues.
|
1986 |
— |
ED_002061_00157876
Aaron Ringel
|
2 |
|
The document discusses the nomination of Bill Wehrum by President Trump to serve as the Assistant Administrator for Air and Radiation at the U.S. Environmental Protection Agency (EPA), highlighting his extensive experience and qualifications in Clean Air Act regulatory issues.
|
1986 |
— |
ED_002061_00156504
Aaron Ringel
|
2 |
|
The Ozone Transport Commission is organizing a meeting and requesting registration information from attendees, including a fee structure for participation and materials, as communicated by Executive Director David C. Foerter.
|
1906 |
EPA-HQ-2017-008402 |
—
|
2 |
|
The email from David C. Foerter, Executive Director of the Ozone Transport Commission, discusses the registration process and fees for an upcoming meeting, including options for attendees who are not members of the EPA or OTC.
|
1906 |
EPA-HQ-2017-008402 |
—
|
2 |
|
The document outlines a speech by Mayor Karen Freeman-Wilson at a National League of Cities event, discussing the progress in air quality improvements, the challenges of balancing jobs and environmental concerns, and the importance of infrastructure funding from the EPA.
|
— |
— |
—
|
2 |
|
The document is a meeting request for EPA Administrator Scott Pruitt to visit Cummins Inc. headquarters to discuss engine technology and emissions standards following a prior meeting with the Truck and Engine Manufacturer's Association.
|
— |
— |
ED_002061_00064152
Tate Bennett
|
2 |
|
The document discusses regulatory barriers for E15 fuel under Section 211 of the Clean Air Act, specifically addressing the volatility requirements and potential solutions for overcoming these barriers as part of the Sierra Club v. EPA case.
|
— |
— |
ED_002061_00180451
Bill Wehrum
|
15 |
|
The document is a bill introduced in the Senate by Mr. Moran aimed at protecting the Prairie Grasslands Region, including the Tallgrass Prairie National Preserve, and amending the Clean Air Act to exclude data from prescribed fires when assessing air quality standards.
|
— |
— |
ED_002061_00067024
Tate Bennett
|
10 |
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The National Environmental Development Association's Clean Air Project submitted recommendations to the EPA for repealing or modifying over 40 Clean Air Act regulations that they argue impose excessive costs on U.S. manufacturers with minimal environmental benefits.
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26 |
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The document discusses the challenges posed by wildland fires in the context of the Sierra Club v. EPA case, highlighting their impacts on air quality, public health, and economic factors, while emphasizing the increasing frequency and severity of these fires and their associated health risks.
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ED_002061_00270545
Richard Yamada
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25 |
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The document outlines the agenda for the Association of Air Pollution Control Agencies' conference scheduled for April 4-6, 2018, in Lexington, Kentucky, focusing on disaster response and planning, with various presentations and panels.
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2 |