Air Toxics and the Clean Air Act

Clean Air Act Section 112, hazardous air pollutants, air toxics standards, MACT, and NESHAP records.

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Summary Year FOIA ID Number Production ID Pages
The EPA has scheduled an in-person external meeting with the American Chemistry Council on April 10, 2025, to discuss relevant topics. 2025 2025-EPA-04193 1146
VNG.co LLC submitted comments to the EPA regarding the Mid-Term Evaluation of greenhouse gas emissions standards for model years 2022-2025 light-duty vehicles, highlighting the significant role of natural gas vehicles (NGVs) and the need for their inclusion in regulatory assessments due to their potential to reduce emissions significantly. 2022
ED_002061_00082370
Brittany Bolen
26
The email from John Rayfield, Republican Staff Director for the Subcommittee on Coast Guard and Maritime Transportation, discusses the conveyance of Coast Guard property at Point Spencer, Alaska, in relation to Subtitle C of Title V of the Coast Guard Authorization Act of 2016. 2019 10
The email discusses the overdue conveyance of Coast Guard property at Point Spencer, Alaska, as mandated by the Coast Guard Authorization Act of 2016, with Stephen Wackowski from the Department of the Interior coordinating next steps following a conversation with John Rayfield. 2019 12
The email discusses EPA Administrator Scott Pruitt's support for year-round E15 sales following a meeting with Kansas farmers, highlighting the agency's commitment to the Renewable Fuel Standard and the need for a notice and comment rulemaking process to grant the RVP waiver under the Clean Air Act. 2018
ED_002061_00013841
13 Tier
1
The EPA declines to provide further comments on the penalties related to the Clean Air Act for YW, referring to previously provided information. 2018
ED_002061_00019188
13 Tier
6
The document outlines the Environmental Protection Agency's (EPA) Fiscal Year 2018 budget justification, emphasizing a strategy to return to its core mission of protecting human health and the environment while engaging with various partners to create effective regulations. 2018
ED_002061_00157988
Aaron Ringel
756
The document outlines an agenda for an August 16, 2018 meeting between the Environmental Protection Agency Region VIII, the Wyoming Department of Environmental Quality Air Quality Division, and the Wyoming Mining Association to discuss air quality issues, specifically focusing on the EPA's position on Exceptional Event demonstration packages from Wyoming. 2018
ED_002061_00091503
Patrick Davis
10
The meeting summary details discussions between the US EPA and Utah Departments of Agriculture and Food regarding challenges and suggestions for improving the implementation of Nutrient Management Plans under the Clean Water Act, emphasizing the need for simplification and state-level guidance. 2018
ED_002061_00092158
Patrick Davis
3
The email from Hayley Ford at the Environmental Protection Agency discusses arranging a meeting between EPA Administrator Pruitt and representatives from Shintech Corporation, coordinating with Will Lovell from the Office of Policy. 2018
ED_002061_00119072
William Lovell
1
The U.S. EPA and DOT proposed the Safer Affordable Fuel-Efficient (SAFE) Vehicles Rule for Model Years 2021-2026 to revise fuel economy and greenhouse gas emissions standards, aiming to enhance vehicle affordability and safety while inviting public comment on various regulatory options. 2018
ED_002061_00072655
Tate Bennett
11
The email discusses the EPA's efforts to advance clean air regulations under Acting Administrator Andrew Wheeler, highlighting a memorandum from President Trump directing the agency to implement air quality standards efficiently while separating scientific judgments from policy decisions. 2018
ED_002061_00028247
13 Tier
3
The meeting summary details a discussion between the US EPA and Utah Departments of Agriculture and Food regarding challenges and suggestions for improving the implementation of Nutrient Management Plans under the Clean Water Act, emphasizing the need for simplification and state-level guidance. 2018
ED_002061_00091638
Patrick Davis
3
The New Jersey Department of Environmental Protection's Bill O'Sullivan communicated with EPA's Bill Wehrum regarding concerns raised at NACAA meetings about the public health risks of methyl bromide fumigation and the need for the EPA to evaluate and potentially regulate this source category under MACT standards. 2018
ED_002061_00181059
13 Tier
1
The email from Jeff Small, Executive Director of the Congressional Western Caucus, requests urgent endorsements and key votes on priority amendments for the Interior Appropriations Bill, emphasizing the need for support by 5 p.m. Eastern on July 18, 2018. 2018
ED_002061E_00003445
13 Tier
5
The U.S. Chamber of Commerce is requesting the EPA to extend the review period for New York's Clean Air Act Section 126 petition, which seeks to impose stricter nitrogen oxide emissions limits on over 350 facilities, to ensure public participation in the decision-making process. 2018
ED_002061_00161501
Justin Schwab
3
The email from Bill Wehrum of the EPA discusses the concerns raised by the NACAA regarding the public health risks associated with methyl bromide fumigation and indicates plans to follow up with Peter and his team on the matter. 2018
ED_002061_00184213
13 Tier
2
The email from Americans for Limited Government discusses President Trump's aggressive actions on trade and immigration, including tariffs and military deployment to the southern border, while also expressing support for EPA Chief Scott Pruitt and criticizing Special Counsel Robert Mueller's conduct. 2018
ED_002061_00003591
Michael Abboud
8
The Wisconsin Department of Natural Resources submitted a response to the U.S. Environmental Protection Agency, urging the designation of all areas of Wisconsin as attainment for the 2015 ozone National Ambient Air Quality Standard, citing evidence that elevated ozone levels are primarily due to external factors beyond the state's control. 2018
ED_002061_00176082
Kenneth Wagner
48
The American Coatings Association expressed concerns to the EPA regarding the potential for increased regulatory burdens on the coatings industry during the Residual Risk and Technology Review of the Miscellaneous Coatings Manufacturing MACT standard. 2018
ED_002061_00118134
William Lovell
6
The American Wood Council (AWC) praised the Environmental Protection Agency's (EPA) clarification of New Source Review (NSR) emissions accounting procedures, which aims to streamline the permitting process by considering both emissions reductions and additions simultaneously, benefiting both business and the environment. 2018
ED_002061_00073209
Tate Bennett
2
The document is a court opinion regarding the Sierra Club's petition to vacate a 1980 Environmental Protection Agency rule related to state implementation plans under the Clean Air Act, in the context of a lead problem in Arecibo, Puerto Rico, where Energy Answers Arecibo, LLC is seeking to build a waste incinerator. 2018
ED_002061_00162552
Justin Schwab
12
Kohler Co. representatives expressed concerns to EPA officials regarding the proposed non-attainment designation for Sheboygan County, Wisconsin, related to the 2015 Ozone NAAQS and discussed the impact on their manufacturing operations. 2018
ED_002061_00161108
Justin Schwab
1
The document is a letter from a stakeholder to Bill Wehrum, Assistant Administrator of the EPA, recommending the elimination of labeling requirements for E15 fuel that distinguish between pre-2001 and newer passenger vehicles, arguing that such labeling discourages the use of E15 even in approved vehicles. 2018
ED_002061_00183735
Bill Wehrum
2
The American Chemistry Council's Formaldehyde Panel expressed concerns to the EPA regarding the revised formaldehyde IRIS assessment, emphasizing the need for it to incorporate a mode of action framework and address scientific shortcomings identified in previous drafts. 2018
ED_002061_00183779
Bill Wehrum
3
The email from David M. (Max) Williamson discusses scheduling a working session with EPA officials regarding the resolution of the biogenic CO2 issue, indicating interest from the agricultural community. 2018
ED_002061_00161319
Justin Schwab
5
The email from Enesta Jones at the EPA clarifies the civil and criminal penalties imposed on Volkswagen for Clean Air Act violations, correcting a misconception about the penalty amount per vehicle and providing links to relevant documents. 2018
ED_002061_00019704
13 Tier
4
The email from Americans for Limited Government discusses the vulnerability of U.S. critical infrastructure to hidden backdoor threats from imported Chinese hardware and suggests that President Trump could address this issue by imposing heavy tariffs on such technology components. 2018
ED_002061_00002920
Michael Abboud
9
The email from Scott Brenner discusses concerns regarding the EPA's restrictive practices on locomotive emission credits, highlighting the need for broader options for suppliers and potential changes to improve market competition, particularly in light of General Electric's dominant position in the certification process. 2018
ED_002061_00181234
13 Tier
3
The email correspondence between Robin Kime from the EPA and Carolyn Slaughter from the American Public Power Association discusses the cancellation of participation by Samantha in the APPA Legislative Rally and seeks recommendations for alternative attendees from the EPA. 2018
ED_002061_00122084
William Lovell
2
The email correspondence involves the EPA's Office of Air and Radiation discussing the reconsideration of the Brick/Clay MACT rule, with Jeffrey Longsworth requesting updates and a meeting for the TCNA Executive Director. 2018
ED_002061_00182605
13 Tier
3
The Alliance of Automobile Manufacturers is addressing the Office of Information and Regulatory Affairs regarding the anticipated Notice of Proposed Rulemaking to revise Corporate Average Fuel Economy and Greenhouse Gas Emissions standards for light-duty vehicles, following the conclusion of the Mid-Term Evaluation by the EPA and USDOT. 2018
ED_002061_00182301
Bill Wehrum
7
The email from Jahan Wilcox discusses the proposed and final renewable fuel volume requirements for 2018-2020, including specific gallon targets for cellulosic biofuel, biomass-based diesel, advanced biofuel, and renewable fuel, as part of the Environmental Protection Agency's regulatory process. 2018
ED_002061_00013295
13 Tier
4
The document details a Presidential Memorandum directing the EPA to efficiently implement air quality standards under the Clean Air Act, emphasizing reduced regulatory burdens for domestic manufacturing, as announced by EPA Administrator Scott Pruitt. 2018
ED_002061_00016729
13 Tier
4
The Air Stewardship Coalition requests the U.S. Environmental Protection Agency to extend by six months the proceedings related to a petition from the New York Department of Environmental Conservation that seeks additional emissions reductions from numerous industrial facilities under the Clean Air Act. 2018
ED_002061_00162388
Justin Schwab
13
The Renewable Fuels Association and other organizations petition the EPA to reconsider the annual standard equations and periodic reviews related to the Renewable Fuel Standard Program, citing impacts on producers of renewable fuels. 2018
ED_002061_00180876
Bill Wehrum
23
The email correspondence between Sam Scales of Ford Motor Company and Tate Bennett of the EPA discusses a scheduled call regarding the Clean Air Act (CAFE) at 11 am. 2018
ED_002061_00072767
Tate Bennett
1
The email discusses the EPA's proposal to repeal the Clean Power Plan, citing concerns about its economic impacts and the agency's authority under the Clean Air Act, while also mentioning an extended comment period and listening sessions for public input. 2018
ED_002061_00004602
13 Tier
1
The Renewable Fuels Association and other stakeholders submitted a cover letter and memorandum to EPA official Bill Wehrum, advocating for the extension of the 1.0 psi Reid Vapor Pressure allowance to gasoline blends containing 15 percent ethanol, citing existing legal authority under the Clean Air Act. 2018
ED_002061_00182949
Bill Wehrum
1
The email from David Darling to EPA officials expresses the American Coatings Association's concerns regarding the Miscellaneous Coatings Manufacturing (MCM) Residual Risk and Technology Review, urging the EPA to consider their issues with the rulemaking process and to ensure the rule is technically sound and fair. 2018
ED_002061_00182413
Bill Wehrum
1
The document outlines suggested discussion points for the Environmental Protection Agency's Region VIII Administrator regarding the revision of 40 CFR Part 61 Subpart W, advocating for the removal of regulations on fluid retention impoundments and heap leaching, citing existing regulations and minimal risks associated with these facilities. 2018
ED_002061_00091505
Patrick Davis
2
The meeting summary details discussions between the US EPA and Colorado Departments of Agriculture regarding stakeholder feedback on environmental regulations, particularly focusing on the Clean Water Act, SDWA compliance challenges for CAFOs, and the need for streamlined permitting processes for water storage projects. 2018
ED_002061_00092155
Patrick Davis
4
The email correspondence involves the EPA coordinating a meeting between Justin Schwab and Kevin Messner from AHAM to discuss refrigerants, specifically regarding charge size and a court ruling, during the March 6-8, 2018 timeframe. 2018
ED_002061_00165074
Justin Schwab
3
The American Petroleum Institute submitted comments to the EPA regarding proposed changes to the Audit Policy for new owners of oil and natural gas exploration and production facilities, expressing concerns that the Draft Agreement may not effectively address existing barriers to its use. 2018
ED_002061_00180618
Bill Wehrum
11
The email from Blake Schindler of Cassidy's office discusses a Senate letter addressed to Secretary Chao and Administrator Pruitt regarding the Sierra Club v. EPA case, emphasizing the importance of addressing concerns related to the Clean Air Act. 2018
ED_002061E_00034839
Troy Lyons
1
The U.S. Environmental Protection Agency is considering a request for Administrator Scott Pruitt to keynote the AAPCA 2018 Spring Meeting, focusing on Clean Air Act priorities, scheduled for April 4-6, 2018, in Lexington, KY. 2018 3
The EPA denied a petition to regulate concentrated animal feeding operations (CAFOs) under the Clean Air Act, citing ongoing actions to address emissions and emphasizing a strategy focused on evaluating emissions and implementing best management practices. 2018
ED_002061_00019890
13 Tier
3
The Environmental Protection Agency (EPA) is reviewing its regulations on startup, shutdown, and malfunction (SSM) provisions in certain manufacturing rules, with the American Coatings Association expressing concerns that removing these provisions could hinder compliance during malfunction periods. 2018
ED_002061_00118133
William Lovell
4
The document is a calendar overview for Bill Wehrum at the EPA, detailing his scheduled meetings and discussions related to the Renewable Fuel Standard (RFS) and other Office of Air and Radiation (OAR) issues from November 2017 to February 2018. 2018 571
The email from Molly Block discusses the possibility of granting a Renewable Volume Obligation (RVP) waiver for E15 under the Clean Air Act, as mentioned by EPA Administrator Pruitt, and outlines the criteria and process for small refinery hardship exemptions. 2018
ED_002061_00030352
13 Tier
2
The email from Enesta Jones discusses the EPA's decision to review the National Emission Standards for Hazardous Air Pollutants (NSPS) for residential wood heaters due to concerns about compliance testing and its impact on manufacturers, particularly small businesses. 2018
ED_002061_00025151
13 Tier
2
BP expresses concerns to the EPA regarding the agency's expansion of small refinery exemptions under the Renewable Fuel Standard, arguing that it violates the Clean Air Act and undermines the program's goals. 2018
ED_002061_00182247
Bill Wehrum
4
The email from Enesta Jones at the EPA discusses the agency's assessment changes regarding nonattainment areas in Wisconsin, explaining the state's role in providing additional information and clarifying that the EPA does not publish recommendations for pollution reduction strategies, as states must develop their own plans under the Clean Air Act. 2018
ED_002061_00016541
13 Tier
2
The document outlines the objectives and specific issues discussed in a March 7, 2018 meeting by the Independent Petroleum Association of America (IPAA) regarding federal air regulations affecting oil and natural gas production, advocating for a more predictable regulatory system, state delegation initiatives, and reconsideration of existing regulations and standards. 2018
ED_002061_00058044
Tate Bennett
2
The American Fuel & Petrochemical Manufacturers petitioned the U.S. Environmental Protection Agency to waive the 2017 cellulosic biofuel volumetric requirements due to a shortfall in domestic production, requesting a reduction of approximately 83.6 million ethanol-equivalent gallons from the mandated amount. 2018
ED_002061_00181754
Bill Wehrum
8
The document from the Texas Industry Project discusses the implications of a U.S. Court of Appeals ruling on the EPA's ozone implementation rule, clarifying that the ruling does not invalidate Texas's separate redesignation actions for the Houston-Galveston-Brazoria (HGB) and Dallas-Fort Worth (DFW) areas, and outlines the process for Texas to submit additional plan elements for EPA review 2018
ED_002061_00162415
Justin Schwab
5
Anadarko Petroleum Corporation's environmental attorney, Julia Jones, requests participation in an upcoming EPA roundtable meeting focused on Clean Air Act enforcement activities related to the oil and gas industry. 2018
ED_002061_00176848
Kenneth Wagner
1
The email correspondence from the EPA's Josh Lewis discusses the status of the reconsideration of the Brick/Clay MACT rule and mentions a meeting request from the Tile Council of North America. 2018
ED_002061_00182637
13 Tier
2
The letter from the Western Governors' Association to the U.S. Environmental Protection Agency requests improved consultation with states regarding air quality policy and the Exceptional Events Rule, emphasizing the need for meaningful exchanges before finalizing decisions that affect state Clean Air Act programs. 2018
ED_002061_00180598
2
The document outlines the details for the 21st Annual Energy, Utility & Environment Conference (EUEC 2018) organized by EUEC, including the call for papers, speaker format, and attendance statistics, to be held from March 5-7, 2018, in San Diego, CA. 2018
ED_002061_00184174
1 Tier
41
The EPA communicated that it would not comment on pending litigation regarding a lawsuit from Washington and other states over Clean Air Act violations, as requested by a reporter from KUOW. 2018
ED_002061_00017620
13 Tier
1
The U.S. Environmental Protection Agency responds to a request from Illinois Communications Director Tricia Braid regarding the need to update the lifecycle greenhouse gas emissions analysis for corn starch ethanol, indicating that changes would have limited impact on the Renewable Fuel Standard due to existing exemptions under the Clean Air Act. 2018
ED_002061_00161532
Justin Schwab
3
On June 18, 2018, the EPA is set to approve Oklahoma's application to operate a state permit program for regulating the disposal of coal combustion residuals, marking the first such approval under new authority granted by Congress in 2016. 2018
ED_002061E_00008471
4
Myron Ebell of the Competitive Enterprise Institute announces the Cooler Heads Coalition's upcoming strategy meeting on June 11, discusses the anticipated notice of proposed rulemaking regarding fuel economy regulations, and celebrates the anniversary of the U.S. withdrawal from the Paris climate agreement. 2018
ED_002061_00267800
Richard Yamada
6
The email from Bill Wehrum of the EPA discusses a meeting with representatives from the Renewable Fuels Association and others regarding the legal authority to extend the Reid Vapor Pressure waiver to E15 gasoline blends. 2018
ED_002061_00184315
Bill Wehrum
1
Denka Performance Elastomer LLC announced the operation of a Regenerative Thermal Oxidizer (RTO) at its LaPlace facility as part of a $30 million emissions reduction project mandated by an Administrative Order on Consent with the Louisiana Department of Environmental Quality, aimed at significantly lowering chloroprene emissions. 2018
ED_002061_00269304
Richard Yamada
2
The document discusses the Trump administration's proposal to freeze fuel efficiency standards for vehicles from 2022 to 2025 and revoke California's Clean Air Act waiver, as communicated by EPA and NHTSA officials during a conference call. 2018
ED_002061_00156001
Aaron Ringel
3
The document outlines suggested discussion points for the Environmental Protection Agency's Region VIII Administrator regarding proposed revisions to 40 CFR Part 61 Subpart W, advocating for the removal of regulations on fluid retention impoundments and heap leaching in uranium mining, citing existing regulations and minimal risks associated with these facilities. 2018
ED_002061_00089323
Patrick Davis
2
The EPA is inviting the Environmental Council of the States to participate in FY 2020 engagement meetings on July 18, 2018, to discuss state priorities and collaborative strategies for environmental protection as part of the agency's planning and budgeting process. 2018
ED_002061_00259279
Andrew Wheeler
6
The document is a letter from representatives of the renewable fuels industry to the EPA's Assistant Administrator William Wehrum, discussing the agency's legal authority to extend the 1.0 psi Reid Vapor Pressure allowance for gasoline blends containing 15 percent ethanol and providing a legal memorandum supporting this interpretation. 2018
ED_002061_00182950
Bill Wehrum
2
The email from Enesta Jones to Juli Berwald discusses the regulation of CFCs under the Montreal Protocol and the Clean Air Act, explaining the concept of "banks" of ozone-depleting substances and providing resources for assessing their quantities. 2018
ED_002061_00030014
13 Tier
3
The U.S. Chamber of Commerce's Global Energy Institute discusses Administrator Pruitt's memorandum on reforming the National Ambient Air Quality Standards (NAAQS) and introduces the "EnergyInnovates" initiative to highlight advancements in energy efficiency. 2018
ED_002061_00268097
Richard Yamada
4
The Association of Air Pollution Control Agencies (AAPCA) invited William Wehrum, Assistant Administrator of the EPA's Office of Air and Radiation, to speak at their 2018 Fall Business Meeting in Raleigh, North Carolina, focusing on Clean Air Act issues. 2018
ED_002061_00181066
Bill Wehrum
1
The Western Governors' Association is urging the U.S. Environmental Protection Agency to enhance cooperative federalism in air quality management and recognize state authority under the Clean Air Act to address unique air quality challenges in the Western United States. 2018
ED_002061_00181999
4
The document outlines the mission and research authorization of the US EPA's Office of Research and Development (ORD), detailing its budget, staffing, and the legal framework under which it conducts environmental research relevant to the Sierra Club v. EPA case. 2018
ED_002061_00174277
Kenneth Wagner
14
The email from Dan Byers to Richard Yamada provides updates on recent actions by the EPA and other agencies regarding fuel efficiency standards, methane regulations, and various energy policy litigations, including the announcement of revisions to light-duty vehicle fuel efficiency standards by EPA Administrator Scott Pruitt. 2018
ED_002061_00268807
Richard Yamada
2
The email from Dan Byers to Brittany Bolen provides updates on fuel efficiency standards and energy litigation, highlighting key actions by the EPA, FERC, and NHTSA, including the completion of the Midterm Evaluation process for light-duty vehicle GHG standards. 2018
ED_002061_00083957
Brittany Bolen
2
The email from Enesta Jones discusses the status and authority of a Memorandum of Understanding (MOU) between the EPA and the UN Environment Program regarding cooperation on environmental issues, confirming its validity under the Trump administration and citing relevant legal authorities for such agreements. 2018
ED_002061_00027839
13 Tier
4
The email from Robert Daguillard at the EPA addresses a media request from CBS News regarding the agency's review of scientific developments related to air pollution calculations and highlights the significant reduction in VOC emissions and ground-level ozone due to EPA clean air protections. 2018
ED_002061_00019902
13 Tier
2
The document is a motion filed by the Alliance of Automobile Manufacturers to intervene in support of the Environmental Protection Agency in ongoing legal proceedings regarding the review of greenhouse gas standards for model years 2022-2025. 2018
ED_002061_00082328
Brittany Bolen
12
The American Coatings Association is requesting a meeting with the EPA to discuss regulatory reform efforts related to MON/MACT rules, an aerosol coatings petition, and the Smart Sectors program. 2018
ED_002061_00118135
William Lovell
1
The U.S. Environmental Protection Agency (EPA) proposed new biofuel requirements for 2019, maintaining corn ethanol volumes at 15 billion gallons and increasing the advanced biofuel standard, while meeting Congressional deadlines. 2018
ED_002061_00050676
3
The document is a letter from various electric industry associations to William L. Wehrum at the EPA, discussing the agency's intent to address its Final Supplemental Finding for the Mercury and Air Toxics Standards (MATS) and the ongoing transition in the electric power sector towards cleaner energy sources. 2018
ED_002061_00182053
Bill Wehrum
4
The letter from the Governor of Maine to EPA Administrator Pruitt expresses concerns about the EPA's requirement for Maine to adopt the Control Techniques Guideline for Industrial Cleaning Solvents, arguing it imposes unnecessary burdens on the state without clear benefits to public health or the environment, and announces Maine's intention to request removal from the Ozone Transport Region due to its attainment status. 2018
ED_002061_00171333
Kenneth Wagner
2
The email from David Fischer of the American Chemistry Council requests a meeting with EPA Assistant Administrator Wehrum to discuss the role of science in Clean Air Act decision-making. 2018
ED_002061_00181771
Bill Wehrum
1
The American Public Power Association invited Samantha Dravis from the EPA to speak at a panel discussion on Cooperative Federalism under the Clean Air Act during their 2018 Legislative Rally in Washington, D.C. 2018
ED_002061_00122118
William Lovell
2
The email from Jim Macy of the Nebraska Department of Environmental Quality discusses the postponement of the State Review Framework (SRF) in collaboration with the U.S. EPA and various state agencies to enhance environmental enforcement under the Clean Water Act, Clean Air Act, and Resource Conservation and Recovery Act. 2018
ED_002061_00176784
Kenneth Wagner
2
The email from Jeffrey Longsworth to Josh Lewis and Bill Wehrum in February 2018 inquires about the status of the EPA's reconsideration of the Brick/Clay MACT rule and requests a meeting for TCNA's Executive Director, Eric Astrachan, during his visit to DC. 2018
ED_002061_00181981
13 Tier
1
The email from David M. (Max) Williamson to EPA officials expresses an apology for his perceived disrespectful behavior during a meeting regarding the Yeast MACT, emphasizing the importance of collaborative dialogue with the American Bakers Association. 2018
ED_002061_00180569
13 Tier
1
The International Brotherhood of Boilermakers, Iron Ship Builders, Blacksmiths, Forgers and Helpers expressed support for reforming the Renewable Identification Numbers (RINs) program under the EPA Renewable Fuel Standard due to its adverse impact on refineries and job security in industrial states. 2018
ED_002061_00259534
Andrew Wheeler
2
The document outlines discussion points for the Environmental Protection Agency's Region VIII Administrator regarding proposed revisions to 40 CFR Part 61 Subpart W, focusing on the regulation of fluid retention impoundments and heap leaching in the uranium industry, arguing that existing regulations are sufficient and that the proposed changes are unnecessary and unworkable. 2018
ED_002061_00092093
Patrick Davis
2
The document is a calendar for Bill Wehrum of the EPA, detailing his scheduled meetings and activities for April 2018, including discussions on the Endangered Species Act, the Indoor airPLUS Program, and ozone designations. 2018 176
The Department of the Interior is organizing a meeting on March 14, 2018, to discuss the State Historic Preservation Office's (SHPO) views on the current and draft revised Bulletin 38 regarding the analysis and nomination of Traditional Cultural Landscapes. 2018 3
The email from Samantha Dravis confirms her participation as a speaker at the American Public Power Association's 2018 Legislative Rally, where she will discuss Cooperative Federalism under the Clean Air Act, with coordination to be handled by Will Lovell. 2018
ED_002061_00122126
William Lovell
2
The American Coatings Association expressed concerns to the EPA regarding the potential for increased regulatory burdens on the coatings industry during the Residual Risk and Technology Review of the Miscellaneous Coatings Manufacturing MACT standards. 2018
ED_002061_00182414
Bill Wehrum
6
The email from Mark DeLaquil to Bill Wehrum discusses scheduling a meeting regarding the reconsideration of the NESHAP for secondary lead smelting, representing the Association of Battery Recyclers. 2018
ED_002061_00183282
1 Tier
1
The email from the EPA discusses the health risks associated with asbestos release during natural disasters and outlines the Asbestos NESHAP work practice standards aimed at minimizing environmental exposure, while also addressing the need for public notice in specific situations. 2018
ED_002061_00017384
13 Tier
4
The National Highway Traffic Safety Administration (NHTSA) is engaged in rulemaking to establish new fuel economy and greenhouse gas emission standards for light-duty vehicles for model years 2022-2025, amidst a conflict with California's existing standards, while exploring a compromise that allows automakers flexibility in exchange for stricter long-term regulations, and highlighting the potential of autonomous vehicle technology to enhance both safety and 2018
ED_002061_00183868
13
The document is a meeting request for EPA Administrator Scott Pruitt to discuss regulatory certainty for Shintech Corporation regarding the publication of the PVC MACT rule, which is crucial for their plans to construct a new plant and upgrade existing facilities. 2018
ED_002061_00119073
William Lovell
1
The California Air Resources Board is seeking public input on potential alternatives to clarify the "deemed to comply" provision for LEV III greenhouse gas emission regulations, amidst ongoing federal rulemaking discussions, as highlighted by the Alliance of Automobile Manufacturers' response advocating for a unified national program. 2018
ED_002061_00181714
Bill Wehrum
8