|
Attachment A from the Department of Energy, sent on August 1, 2017, includes correspondence among multiple officials including Nicholas Dinunzio and Bernard McNamee.
|
2017 |
DOE-HQ-2025-02714-F |
0033127
|
1 |
|
An email sent on August 1, 2017, by an unspecified sender to multiple recipients, including William Boyle and Nicholas Dinunzio, regarding the cancellation of an exploratory meeting, marked as high importance.
|
2017 |
DOE-HQ-2025-02714-F |
0033129
|
1 |
|
Attachment B from the Department of Energy, sent on August 1, 2017, includes communications among multiple officials including Nicholas Dinunzio and Bernard McNamee.
|
2017 |
DOE-HQ-2025-02714-F |
0033128
|
1 |
|
Attachment A from the Department of Energy, sent on August 4, 2017, includes communication among multiple officials including Nicholas Dinunzio and Bernard McNamee.
|
2017 |
DOE-HQ-2025-02714-F |
0033131
|
1 |
|
An email from Nicholas Dinunzio on July 10, 2017, regarding an exploratory meeting, was sent to multiple recipients including Cyrus Nezhad and Theodore Garrish, with Alex Polonsky copied.
|
2017 |
DOE-HQ-2025-02714-F |
0033130
|
1 |
|
Attachment B from the Department of Energy, sent on August 4, 2017, includes communication among multiple officials including Nicholas Dinunzio and Bernard McNamee.
|
2017 |
DOE-HQ-2025-02714-F |
0033132
|
1 |
|
An email from Nicholas Dinunzio on July 10, 2017, regarding an exploratory meeting, was sent to multiple recipients including Cyrus Nezhad and Theodore Garrish, with Alex Polonsky copied.
|
2017 |
DOE-HQ-2025-02714-F |
0033133
|
1 |
|
Attachment B, sent on August 8, 2017, includes correspondence among Department of Energy officials including Cyrus Nezhad, Theodore Garrish, and Sylvia Saltzstein regarding an unspecified subject.
|
2017 |
DOE-HQ-2025-02714-F |
0033135
|
1 |
|
Attachment A from the Department of Energy, sent on August 8, 2017, includes correspondence to multiple recipients regarding an unspecified subject.
|
2017 |
DOE-HQ-2025-02714-F |
0033134
|
1 |
|
An email from Nicholas Dinunzio on July 10, 2017, regarding an exploratory meeting, was sent to multiple recipients including Bernard McNamee and Cyrus Nezhad, with Alex Polonsky copied.
|
2017 |
DOE-HQ-2025-02714-F |
0033136
|
1 |
|
Attachment A from the Department of Energy, sent on July 28, 2017, includes correspondence among multiple officials regarding an unspecified subject.
|
2017 |
DOE-HQ-2025-02714-F |
0033137
|
1 |
|
Attachment B from the Department of Energy, sent on July 28, 2017, includes correspondence addressed to multiple officials, including Nicholas Dinunzio and Bernard McNamee.
|
2017 |
DOE-HQ-2025-02714-F |
0033138
|
1 |
|
An email from Nicholas Dinunzio on July 10, 2017, regarding an exploratory meeting, was sent to multiple recipients including Bernard McNamee and Cyrus Nezhad.
|
2017 |
DOE-HQ-2025-02714-F |
0033139
|
1 |
|
Connor's Law, introduced by Rep. Dave Taylor (R-OH) in 2017, aims to enforce English language proficiency requirements for commercial driver's license holders to enhance road safety following the death of Connor Dzion in a truck accident involving a driver unable to read warning signs.
|
2017 |
OST-2025-1200 |
0024513
|
1 |
|
CWA NPDES Compliance Evaluation Inspection Report for Hyponex Corporation, conducted by EPA Region 5 on March 22 and 25, 2021, detailing compliance issues and findings related to NPDES Permit Number OH0107077.
|
2017 |
EIP EPA Enforcement Records |
—
|
26 |
|
Attachment B of FOIA request 2025-EPA-04193 contains questions for the EPA regarding the appropriateness of the IRIS ethylene oxide risk assessment models, comparing EPA's and TCEQ's methodologies and emphasizing biological plausibility and statistical considerations.
|
2016 |
2025-EPA-04193 |
0000178–0000191
|
14 |
|
Attachment B of FOIA request 2025-EPA-04193 contains questions for the EPA regarding the appropriateness of the IRIS ethylene oxide risk assessment model compared to the TCEQ model, emphasizing biological plausibility and statistical considerations.
|
2016 |
2025-EPA-04193 |
0007450–0007463
|
14 |
|
A 2016 EPA document argues that all SunCoke facilities should be classified as "existing sources" under the Clean Air Act, citing case law and challenging the agency's proposed emission limits for the Jewell facility as flawed and unachievable.
|
2016 |
2025-EPA-04883 |
0005694
|
1 |
|
Test report detailing 2016 ICR data from SunCoke Middletown facility, criticizing EPA's use of limited data and methodology for establishing MACT floor limits, dated November 2017.
|
2016 |
2025-EPA-04883 |
0005706
|
1 |
|
Email from SunCoke to the EPA regarding the proposed reconsideration of National Emission Standards for Hazardous Air Pollutants, expressing concerns about compliance requirements and the elimination of exemptions for startup, shutdown, and malfunction, dated July 12, 2016.
|
2016 |
2025-EPA-04883 |
0005726
|
1 |
|
A 2016 document critiques EPA's methods for establishing new emissions limits for heat non-recovery plants, arguing they are arbitrary and lack scientific merit due to reliance on inappropriate data sources and obsolete testing methods.
|
2016 |
2025-EPA-04883 |
0005744
|
1 |
|
A comment letter from SunCoke dated 2016 critiques the EPA's new MACT floor emission limits for IINR plants, arguing they are based on insufficient data and do not account for variability in coal composition.
|
2016 |
2025-EPA-04883 |
0005745
|
1 |
|
The 2016 Renewable Fuel Standard (RFS) remand document discusses EPA's proposal to retain the total renewable fuel standard in response to a D.C. Circuit ruling, detailing implications for 500 million RINs and compliance for obligated parties.
|
2016 |
2024-EPA-05254 |
0002390–0002393
|
4 |
|
Attachment 2 outlines program concepts for the Department of Energy to de-risk next-generation geothermal projects, emphasizing the need for non-dilutive capital and a structured approach to mitigate investment risks associated with resource confirmation.
|
2016 |
DOE-HQ-2025-02714-F |
0021480–0021481
|
2 |
|
The August 18, 2016 article discusses the Massachusetts Supreme Judicial Court's ruling against the Access Northeast pipeline project, overturning a gas-electric harmonization plan approved by the Department of Public Utilities, impacting long-term capacity contracts for electric distribution companies.
|
2016 |
DOE-HQ-2025-02714-F |
0027168–0027170
|
3 |
|
Meeting Information Request Form submitted to the U.S. Department of the Interior by Paul Singarella of ProCo LLC on January 16, 2016, regarding a proposed meeting about water supply infrastructure in the western U.S. and its relevance to a report due April 20.
|
2016 |
DOI-2025-004517 |
0016743–0016745
|
3 |
|
The Center for Healthy and Efficient Mobility (CHEM), established by the Texas A&M Transportation Institute in 2016, focuses on advancing transportation efficiency and public health while addressing road safety through partnerships and innovative research.
|
2016 |
OST-2025-1200 |
0028463–0028464
|
2 |
|
ORDER FOR COMPLIANCE issued by James Chow, Director of EPA's Enforcement and Compliance Assurance Division, mandates the Town of Duxbury to enact a compliant post-construction stormwater management ordinance by June 30, 2025, following non-compliance with the 2016 MS4 Permit.
|
2016 |
EIP EPA Enforcement Records |
—
|
3 |
|
ORDER FOR COMPLIANCE issued by James Chow, Director of EPA Region 1, to Michael Blanchard, Town Administrator of Dover, MA, mandates the enactment of a compliant post-construction stormwater management ordinance by June 30, 2025.
|
2016 |
EIP EPA Enforcement Records |
—
|
3 |
|
ORDER FOR COMPLIANCE issued by James Chow, Director of EPA's Enforcement and Compliance Assurance Division, mandates the Town of Kingston to enact a compliant post-construction stormwater management ordinance by June 30, 2025, following violations of the 2016 MS4 Permit.
|
2016 |
EIP EPA Enforcement Records |
—
|
3 |
|
ORDER FOR COMPLIANCE issued by James Chow, Director of EPA's Enforcement and Compliance Assurance Division, to David A. Genereux, Town Administrator of Leicester, MA, requiring the town to enact a compliant post-construction stormwater management ordinance by June 30, 2025.
|
2016 |
EIP EPA Enforcement Records |
—
|
3 |
|
An Order for Compliance issued by James Chow of EPA Region 1 on April 7, 2025, mandates the Town of Hatfield to enact a post-construction stormwater management ordinance by February 2, 2026, due to non-compliance with the 2016 MS4 Permit.
|
2016 |
EIP EPA Enforcement Records |
—
|
3 |
|
On April 18, 2025, James Chow, Director of the EPA's Enforcement and Compliance Assurance Division, issued an Order for Compliance to Holbrook Town Administrator Michael McGovern, mandating the enactment of a compliant post-construction stormwater management ordinance by January 9, 2026.
|
2016 |
EIP EPA Enforcement Records |
—
|
3 |
|
Order for Compliance issued by James Chow, Director of EPA Region 1, to Town Administrator Michael A. Maresco on April 18, 2025, requiring Marshfield, MA, to enact a post-construction stormwater management ordinance by November 10, 2025, due to non-compliance with the 2016 MS4 Permit.
|
2016 |
EIP EPA Enforcement Records |
—
|
3 |
|
Talen Energy's 2015 report criticizes the EPA's Coal Combustion Residual regulations, arguing they threaten U.S. energy production and calling for immediate action by the Trump Administration to revise these policies.
|
2015 |
2025-EPA-04193 |
0007652–0007653
|
2 |
|
EPA's proposed rule for benzene monitoring at coke oven facilities requires fenceline measurements and root cause analyses for exceedances, while excluding offsite emissions as outliers, contradicting CAA Section 112.
|
2015 |
2025-EPA-04883 |
0005715
|
1 |
|
EPA's interim release regarding FOIA ID 2025-EPA-04883 discusses SunCoke's concerns about the proposed benzene sampling frequency reduction to 0.3 ug/m3, arguing it could lead to inaccurate data and adverse monitoring implications.
|
2015 |
2025-EPA-04883 |
0005720
|
1 |
|
NorthWestern Energy's report outlines its dependence on market purchases for electricity during peak demand, noting rising prices and reduced availability due to recent closures of several power plants in Montana and the Pacific Northwest.
|
2015 |
2025-EPA-04883 |
0006149
|
1 |
|
NorthWestern Energy's report details its independent evaluation process for selecting proposals to meet short-duration power needs, including a 50 MW battery facility near Billings, while noting transmission limitations and the transition from being a net energy exporter following plant closures.
|
2015 |
2025-EPA-04883 |
0006151
|
1 |
|
Chet M. Thompson, President and CEO of the American Fuel & Petrochemical Manufacturers, details his background and the association's role in advocating for U.S. refining and petrochemical industries.
|
2015 |
2024-EPA-05254 |
0000340
|
1 |
|
DRAFT press release from the EPA outlines the proposed replacement for the Clean Power Plan, emphasizing state flexibility in emissions guidelines and projected benefits including a reduction in CO2 emissions and compliance costs.
|
2015 |
2024-EPA-05254 |
0000792–0000794
|
3 |
|
Event log detailing significant regulatory actions and announcements by the EPA from May 2015 to July 2018, including proposed and final Renewable Volume Obligations (RVOs) and key meetings involving EPA Administrator Scott Pruitt.
|
2015 |
2024-EPA-05254 |
0000926
|
1 |
|
Email correspondence from SunCoke to the EPA dated September 10, 2025, discusses the futility of fenceline monitoring at IINR facilities, citing a decade of data from the Haverhill facility and proposing revisions to the EPA's monitoring frequency requirements.
|
2014 |
2025-EPA-04883 |
0005719
|
1 |
|
Email correspondence dated September 10, 2025, discusses Ameren's request for a two-year compliance exemption from the MATS rule due to challenges in meeting new PM emissions standards and the associated costs of compliance technology.
|
2014 |
2025-EPA-04883 |
0005799
|
1 |
|
EPA correspondence discusses Colstrip's particulate matter Continuous Emissions Monitoring System (PM CEMS) challenges, including variability issues and compliance monitoring requirements under its Title V Operating Permit, dated September 2020.
|
2014 |
2025-EPA-04883 |
0006122
|
1 |
|
On March 3, 2014, the U.S. Department of Energy announced the elimination or reduction of 47 regulations aimed at cutting costs and enhancing consumer freedom, projected to save $11 billion and reduce regulatory text by over 125,000 words.
|
2014 |
DOE-HQ-2025-02714-F |
0021579–0021581
|
3 |
|
On March 3, 2014, the U.S. Department of Energy announced a proposal to eliminate or reduce 47 regulations aimed at saving an estimated $11 billion, as part of a deregulatory effort under President Trump's Executive Order.
|
2014 |
DOE-HQ-2025-02714-F |
0021583–0021585
|
3 |
|
Comments submitted by the American Gas Association on October 6, 2022, regarding the Department of Energy's proposed energy conservation standards for consumer furnaces, addressing procedural errors and impacts on energy efficiency programs.
|
2014 |
DOE-HQ-2025-02714-F |
0014100–0014213
|
114 |
|
Stipulation and Order of Settlement filed on February 13, 2025, in United States v. Stericycle, Inc., resolves civil claims against Stericycle for Resource Conservation and Recovery Act violations occurring between May 5, 2014, and April 6, 2020.
|
2014 |
EIP EPA Enforcement Records |
—
|
11 |
|
A report detailing the five-year ethanol demand history from the EIA, indicating a current blending rate of 9.87% and projecting domestic ethanol supply trends through 2018.
|
2013 |
2024-EPA-05254 |
0000918
|
1 |
|
The 2012 EPA report on methane regulation for marginal wells outlines the characteristics and economic impact of approximately 750,000 marginal oil and gas wells, detailing the agency's regulatory framework under the Clean Air Act and the implications of the 2022 Methane Tax.
|
2012 |
2025-EPA-04193 |
0001288–0001293
|
6 |
|
The U.S. Environmental Protection Agency (EPA) amended testing requirements in 40 CFR 63 Subpart UCUCU, increasing PM sampling volume for PM CEMS correlation validation, as discussed in comments submitted by GVEA regarding compliance challenges with new emission standards.
|
2012 |
2025-EPA-04883 |
0005598
|
1 |
|
SunCoke submitted a Petition for Reconsideration and Stay Pending Reconsideration to the EPA on September 10, 2025, arguing that the agency failed to provide adequate notice and opportunity for public comment on the Final Rule, violating the Administrative Procedure Act.
|
2012 |
2025-EPA-04883 |
0005738
|
1 |
|
A 2012 communication from Luminant argues for exemptions from the MATS rule's revised PM standard and CEMS requirements, citing national security concerns related to energy generation capacity and grid reliability, referencing President Trump's Executive Orders 14154 and 14156.
|
2012 |
2025-EPA-04883 |
0005923
|
1 |
|
EPA's interim release dated September 10, 2025, discusses Oak Grove Management's request for a two-year exemption from the MATS RTR mercury standard, citing unavailability of required technology and national security interests.
|
2012 |
2025-EPA-04883 |
0005926
|
1 |
|
Cynthia Vodopivec, Senior Vice President of Environmental, Health & Safety at Sierra Club, submitted comments regarding the MATS RTR's impact on energy generation and national security, referencing President Trump's Executive Orders 14154 and 14156, on September 10, 2025.
|
2012 |
2025-EPA-04883 |
0005929
|
1 |
|
Comments submitted by Luminant regarding the MATS rule highlight significant costs and market limitations associated with compliance, emphasizing the national security implications of energy generation capacity and grid reliability as outlined in President Trump's Executive Orders.
|
2012 |
2025-EPA-04883 |
0005933
|
1 |
|
Comments submitted to the EPA regarding the MATS RTR highlight concerns over the reliability and cost of PM Continuous Emissions Monitoring Systems (CEMS) and argue for national security exemptions from compliance due to potential impacts on energy generation and grid stability.
|
2012 |
2025-EPA-04883 |
0005938
|
1 |
|
Comments submitted by Luminant regarding the MATS RTR emphasize the national security implications of compliance costs and the potential impact on energy generation capacity and grid reliability, referencing Executive Orders from January 2025.
|
2012 |
2025-EPA-04883 |
0005950
|
1 |
|
Cynthia Vodopivec, Senior Vice President of Environmental Health and Safety at Sierra Club, submitted a request for exemptions from the MATS RTR on September 10, 2025, citing national security concerns regarding energy generation and grid reliability.
|
2012 |
2025-EPA-04883 |
0005955
|
1 |
|
Indorama's compliance request for a four-year extension to meet emission control standards at its Port Neches Facility, citing the need for additional time and referencing EPA's statutory authority under 42 U.S.C. 7412.
|
2012 |
2025-EPA-04883 |
0006003
|
1 |
|
Hugo Generating Station submitted a 2012 Presidential Exemption Request to the EPA, arguing that compliance with the Final Rule's continuous monitoring requirements for fPM emissions is infeasible due to technology limitations and emphasizing the importance of energy grid reliability.
|
2012 |
2025-EPA-04883 |
0006060
|
1 |
|
EPA's 2012 proposal to tighten the surrogate fPM emission standard for coal-fired EGUs from 0.030 lb/MMBtu to 0.010 lb/MMBtu lacks sufficient basis as it does not identify new control technologies or practices, violating statutory authority under 42 U.S.C. 7412(d)(6).
|
2012 |
2025-EPA-04883 |
0006105
|
1 |
|
NorthWestern Energy reported limited available transmission capacity for imports on Path 80 and Path 18, with ongoing challenges in managing generation and loads as of February 23, 2023.
|
2012 |
2025-EPA-04883 |
0006154
|
1 |
|
NorthWestern Energy's 2012 report details the indefinite postponement of the Mountain States Transmission Intertie project due to permitting challenges, alongside anticipated costs for compliance with proposed regulations affecting the Colstrip facility.
|
2012 |
2025-EPA-04883 |
0006157
|
1 |
|
Overview of the Mercury and Air Toxics Standards (MATS) since the 2012 final rule, including emissions changes, benefits, and costs, as part of FOIA request 2025-EPA-04883.
|
2012 |
2025-EPA-04883 |
0006300
|
1 |
|
The 2012 report details Minnkota's mercury control strategies, including the use of Potassium Iodide fuel additives and non-halogenated PAC injection at the Young Station, which combusts lignite coal sourced from BNI Coal Inc.
|
2012 |
2025-EPA-04883 |
0006368
|
1 |
|
The 2012 MATS mercury emission limitation allowed lignite power plants to manage higher mercury emissions due to variable coal quality, as noted in the EPA FOIA record 2025-EPA-04883.
|
2012 |
2025-EPA-04883 |
0006371
|
1 |
|
EPA's assessment indicates that lignite units may not meet the New Mercury Limitation of 1.2 lb/TBtu, while citing the effectiveness of brominated activated carbon for achieving over 90 percent mercury control, referencing a 2012 memorandum and a technical publication.
|
2012 |
2025-EPA-04883 |
0006374
|
1 |
|
Appendix B summarizes recent PSD permits for new natural gas combined cycle (NGCC) plants, detailing applicable greenhouse gas (GHG) limits and emission rates, with data sourced from various EPA records as of March 17, 2014.
|
2012 |
2024-EPA-05254 |
0001197
|
1 |
|
Email from EPA regarding the Presidential Exemption under Section 112 of the Clean Air Act for San Miguel Electric Cooperative, Inc., detailing emission standards, compliance challenges, and technical feasibility issues related to mercury and particulate matter emissions.
|
2011 |
2025-EPA-04883 |
0025040–0025043
|
4 |
|
The 2011 technical memorandum critiques EPA's assumptions regarding emissions reductions and cost estimates for the Jewell facility, asserting significant underestimations and methodological errors in calculating necessary capital investments and operational efficiencies.
|
2011 |
2025-EPA-04883 |
0005698
|
1 |
|
SunCoke's comments on EPA's proposed MACT floor regulations detail anticipated costs exceeding $474.9 million for capital investments and $66 million annually, citing the need for extensive testing and modifications to comply with new HAP emission limits.
|
2011 |
2025-EPA-04883 |
0005766
|
1 |
|
Robert McLennan, President and CEO of Minnkota Power Cooperative, submitted a declaration detailing his qualifications and responsibilities in support of a motion for a stay pending review, dated 2011.
|
2011 |
2025-EPA-04883 |
0006362
|
1 |
|
The 2010 report from Minnkota details testing results indicating that brominated powdered activated carbon (PAC) does not effectively reduce mercury emissions to meet the EPA's New Mercury Limitation of 1.2 lb/TBtu at the Young Station.
|
2010 |
2025-EPA-04883 |
0006316
|
1 |
|
Minnkota's report details the inability of Units 1 and 2 to meet the New Mercury Limitation under the revised MATS RTR, citing insufficient technology and the need for significant investment in further testing and equipment.
|
2010 |
2025-EPA-04883 |
0006317
|
1 |
|
The ACI Fuel 2010 Article presents a chart of mercury removal test results from DOE systems, noting limitations in data representation and concluding that achieving over 90% mercury removal across the lignite industry is unsupported.
|
2010 |
2025-EPA-04883 |
0006375
|
1 |
|
An interim release from the EPA dated 2010 indicates that Minnkota's recent testing results show MRY cannot meet the New Mercury Limitation at full load, with projected mercury removal rates significantly below EPA's expectations.
|
2010 |
2025-EPA-04883 |
0006378
|
1 |
|
EPA Administrator Lee Zeldin announced on July 7, 2025, a comprehensive deregulatory initiative involving 31 actions aimed at advancing President Trump's executive orders, including reconsiderations of various environmental regulations affecting energy and manufacturing sectors.
|
2009 |
2025-EPA-04193 |
0000274–0000304
|
31 |
|
The 2009 article "Loper Bright and the Ascendancy of the Cost-Benefit State" by Paul R. Noel discusses the implications of the Supreme Court's decision in Loper Bright Enterprises v. Raimondo on regulatory practices and cost-benefit analysis.
|
2009 |
2025-EPA-04193 |
0007590–0007600
|
11 |
|
The Hugo Generating Station's MATS Presidential Exemption Request from WFEC outlines challenges in meeting the revised fPM emissions standard by 2027 due to unavailable technology and operational variability, dated September 10, 2025.
|
2009 |
2025-EPA-04883 |
0006058
|
1 |
|
A list of attendees and their affiliations for an event related to the oil and gas industry, including notable figures such as John Barrasso, Chairman of the U.S. Senate Environmental & Public Works Committee, dated 2009.
|
2009 |
2024-EPA-05254 |
0000617–0000622
|
6 |
|
A guest list from a 2009 event includes notable attendees such as Secretary Doug Burgum, Governor Bill Lee, and Amanda Eversole from the American Petroleum Institute, detailing their affiliations and roles.
|
2009 |
DOI-2025-004517 |
0013036–0013039
|
4 |
|
The 2009 Maryland Greenhouse Gas Emissions Reduction Act Plan outlines strategies for reducing GHG emissions in the transportation sector, aiming for a 50% reduction from 2006 levels by 2030, with updates expected by the end of 2023.
|
2009 |
2025-0576 |
—
|
3 |
|
An event request form submitted to the EPA by Thomas Kuhn for Acting Administrator Andrew Wheeler to speak at the Edison Electric Institute's Fall Board of Directors Conference on September 5, 2008, detailing the event's purpose, audience, and logistics.
|
2008 |
2024-EPA-05254 |
0000394–0000396
|
3 |
|
A 2007 EPA document discusses the agency's failure to propose standards for eight unregulated hazardous air pollutants (HAP) and critiques its arbitrary setting of MACT floor limits, as argued by SunCoke in a petition likely to succeed on the merits.
|
2007 |
2025-EPA-04883 |
0005764
|
1 |
|
EPA correspondence dated 2007 discusses the economic impacts and national security interests related to compliance exemptions for Freeport-McMoRan's Miami Smelter under the Clean Air Act's Copper Rule.
|
2007 |
2025-EPA-04883 |
0005913
|
1 |
|
On August 8, 2007, Hunton & Williams submitted comments on behalf of the Utility Air Regulatory Group regarding the EPA's Supplemental Notice of Proposed Rulemaking for emissions increases from electric generating units, including two attachments, to the EPA Docket Center.
|
2007 |
2024-EPA-05254 |
0000949–0001010
|
62 |
|
Comments submitted by Chris M. Hobson of Southern Company on August 8, 2007, regarding the EPA's Supplemental Notice of Proposed Rulemaking for emission increases at electric generating units, supporting an hourly emissions rate test.
|
2007 |
2024-EPA-05254 |
0001084–0001122
|
39 |
|
The 2007 report from the Oregon Department of Transportation outlines the state's coordinated effort to reduce greenhouse gas emissions in transportation, detailing legislative actions, goals for 2020, 2035, and 2050, and the development of the Statewide Transportation Strategy.
|
2007 |
2025-0576 |
—
|
7 |
|
EPA memorandum discusses the insignificance of HAP and mercury emissions from SunCoke's pushing operations, arguing against the need for additional emission limits or testing due to their de minimis nature.
|
2006 |
2025-EPA-04883 |
0005703
|
1 |
|
EPA's analysis of SunCoke's proposed emission limits for HRSG bypass/waste heat stacks indicates that the limits are based on an inadequate data set and may not be achievable due to technical and spatial constraints at the plants.
|
2006 |
2025-EPA-04883 |
0005709
|
1 |
|
A list of past honorees for various awards including Attorney of the Year and Citizen of the Year, covering recipients from 1968 to 2018, as documented in FOIA request 2024-EPA-05254.
|
2006 |
2024-EPA-05254 |
0002548–0002549
|
2 |
|
On April 21, 2025, Congressman Michael Baumgartner invited Secretary of Transportation Sean Duffy to visit Washington's 5th Congressional District to discuss local transportation infrastructure and challenges.
|
2006 |
OST-2025-1200 |
0027791–0027792
|
2 |
|
EPA Administrator Meeting Information Form dated February 25, 2005, requests a meeting between EPA Administrator and Mark Templin, Toyota COO, to discuss Electric Vehicle Mandates, with participants including Steve Ciccone.
|
2005 |
2025-EPA-04193 |
0007215–0007217
|
3 |
|
On January 10, 2005, the EPA finalized provisions related to SunCoke's heat-recovery cokemaking technology, which has consistently met emissions standards, while also detailing ongoing information collection requests and proposed amendments to regulations affecting coke oven source categories.
|
2005 |
2025-EPA-04883 |
0005683
|
1 |
|
A 2005 EPA document discusses the ambiguity in proposed amendments regarding the classification of SunCoke facilities as 'existing' or 'new' sources under the Clean Air Act, emphasizing the need for clarity in regulatory standards.
|
2005 |
2025-EPA-04883 |
0005692
|
1 |
|
EPA's April 15, 2005 Federal Register notice discusses the application of new source standards for emissions, clarifying that only facilities constructed after the proposal date would be considered 'new sources' under the Clean Air Act.
|
2005 |
2025-EPA-04883 |
0005693
|
1 |
|
SunCoke's communication to the EPA on September 10, 2025, requests a three-year extension for compliance with proposed emissions standards due to installation challenges and inadequate evaluation time for the ACI system at the Haverhill facility.
|
2005 |
2025-EPA-04883 |
0005708
|
1 |
|
CO2 emissions data for various countries and regions, including the United States and Canada, compiled in a report associated with FOIA request 2024-EPA-05254, detailing emissions in metric tons for the year 2005.
|
2005 |
2024-EPA-05254 |
0002420–0002469
|
50 |