|
A February 25, 2025 letter from Edda Emmanuelli Perez, General Counsel of the U.S. Government Accountability Office, to Gregory Cote of the U.S. Department of Transportation requests clarification on the implications of a recent executive order suspending electric vehicle infrastructure funding.
|
2025 |
OST-2025-1105 |
0008506–0008508
|
3 |
|
The American Association of Airport Executives submitted regulatory reform recommendations to the U.S. Department of Transportation and FAA in March 2025, advocating for streamlined processes and reduced overregulation in airport capital improvement projects.
|
2025 |
OST-2025-1105 |
0008885–0008908
|
24 |
|
Email from Scott J. Cameron to Nathan S. Watson on February 6, 2025, discussing the need to prepare plans for recent Secretarial Orders due within 15 days, while Cameron is away until February 19.
|
2025 |
DOI-2025-004517 |
0016739
|
1 |
|
Email from Frances Bourne to Hannah Matesic and others on June 17, 2025, includes a letter to Secretary Duffy concerning the Association of American Railroads' pending safety waiver request on visual track inspections.
|
2025 |
OST-2025-1200 |
0027809
|
1 |
|
Email from Beatrix Dalton, Legislative Assistant to Senator Blumenthal, sent on July 14, 2025, to OST officials, attaching a letter urging Secretary Duffy to expedite NHTSA's rulemaking on child safety related to hot cars.
|
2025 |
OST-2025-1200 |
0027846
|
1 |
|
On July 14, 2025, Senator Richard Blumenthal urged U.S. Transportation Secretary Sean Duffy to expedite the National Highway Traffic Safety Administration's overdue rule to prevent child vehicular heatstroke deaths.
|
2025 |
OST-2025-1200 |
0027847
|
1 |
|
Email from Yoshka Munyon to Hannah Matesic on April 28, 2025, regarding Congressman Scott Fitzgerald's letter to Secretary Duffy requesting DOT rulemaking for HSIP funding to enhance safety for Vulnerable Road Users.
|
2025 |
OST-2025-1200 |
0027869
|
1 |
|
Email from Yoshka Munyon to Hannah Matesic on April 28, 2025, regarding a letter from Congressman Scott Fitzgerald to Secretary Duffy, requesting DOT rulemaking for HSIP funding to enhance safety for Vulnerable Road Users.
|
2025 |
OST-2025-1200 |
0028202
|
1 |
|
Email from Ariel S. Wolf to Steven Bradbury and Greg Cote on May 2, 2025, discussing the critical need for regulatory exemptions for driverless commercial motor vehicle services following Aurora's announcement of operations in Texas.
|
2025 |
OST-2025-1200 |
0028465–0028466
|
2 |
|
Email correspondence from Pete Meachum, Chief of Staff at OST, to Ken Reidy on July 28, 2025, regarding the status of Buy America waivers and a follow-up on managing the process.
|
2025 |
OST-2025-1200 |
0028567
|
1 |
|
On April 24, 2025, Congressman Pete Stauber submitted a letter to Acting Administrator Kochman of the U.S. Department of Transportation's PHMSA, expressing support for proposed rulemaking on hazardous materials transportation regulations.
|
2025 |
OST-2025-1200 |
0028664–0028665
|
2 |
|
On July 7, 2025, Ryan Snyder of FMCSA issued an extension of emergency declaration No. 2025-008 for Texas, providing regulatory relief from 49 CFR Parts 390-399 due to severe storms and flooding.
|
2025 |
OST-2025-1200 |
0028741–0028743
|
3 |
|
Federal Motor Carrier Safety Administration issued Extension of Emergency Declaration No. 2025-008 on July 7, 2025, providing regulatory relief for commercial motor vehicle operations in Texas due to severe storms and flooding.
|
2025 |
OST-2025-1200 |
0028744–0028746
|
3 |
|
On July 15, 2025, Hannah Matesic of the OST forwarded an email detailing U.S. Transportation Secretary Sean P. Duffy's announcement of significant updates to NEPA procedures aimed at expediting infrastructure projects.
|
2025 |
OST-2025-1200 |
0028762–0028764
|
3 |
|
On February 11, 2025, Transportation Committee Republicans, led by Chairman Sam Graves, released a statement following a hearing on Clean Water Act permitting reforms aimed at reducing delays in infrastructure projects.
|
2025 |
OST-2025-1200 |
0008315–0008319
|
5 |
|
Email from John Malcolm of The Heritage Foundation to Steven Bradbury at DOT, dated June 4, 2025, discusses comments submitted regarding regulatory reform under Executive Order 14219, referencing two DOT programs deemed unconstitutional.
|
2025 |
OST-2025-1200 |
0011930–0011936
|
7 |
|
A release from the Department of Transportation outlines provisions regarding vessel documentation, eligibility for certificates, and rulemaking procedures related to commercial maritime regulations and standards, dated December 1, 2025.
|
2025 |
OST-2025-1200 |
0012196–0012197
|
2 |
|
A rulemaking committee is established to review and recommend updates to commercial maritime regulations, including vessel design, operation standards, and merchant mariner credentialing, as outlined in FOIA request OST-2025-1200.
|
2025 |
OST-2025-1200 |
0012198–0012199
|
2 |
|
On February 10, 2025, multiple financial associations sent a letter to Acting Director Russ Vought urging the withdrawal of a proposed rule expanding the Fair Credit Reporting Act, citing legal concerns and insufficient data.
|
2025 |
OMB-2025-825 |
0022048–0022049
|
2 |
|
Email correspondence between Andrea Woods of the U.S. Department of Energy and Thomas Catenacci of the Washington Free Beacon discusses Secretary Wright's remarks and inquiries regarding DOE's review of a waiver related to solar panel standards, dated February 5 and February 27, 2025.
|
2025 |
DOE-HQ-2025-02714-F |
—
|
17 |
|
On February 14, 2025, Chuck Chaitovitz of the U.S. Chamber of Commerce emailed EPA Administrator Lee Zeldin proposing PFAS principles and policy recommendations, urging the withdrawal of hazardous substance designations for PFOA and PFOS under CERCLA.
|
2025 |
2025-EPA-04193 |
—
|
22 |
|
Email from Anne Steckel of the Renewable Natural Gas Coalition to EPA Administrator Lee Zeldin on March 7, 2025, includes a letter addressing the 2024 cellulosic biofuel volume requirements and opposing a proposed waiver.
|
2025 |
2025-EPA-04193 |
—
|
9 |
|
On February 11, 2025, Kristen Fuchs of the Texas Oil and Gas Association emailed EPA Administrator Lee Zeldin, urging the expedited approval of Class VI well permits to support carbon capture and storage initiatives in Texas.
|
2025 |
2025-EPA-04193 |
—
|
3 |
|
The American Forest & Paper Association submitted recommendations to the EPA in April 2024 regarding the reconsideration of the PM NAAQS rule, urging a review of its economic impacts and compliance with Executive Orders 14219 and 14154.
|
2024 |
2025-EPA-04193 |
0001216–0001224
|
9 |
|
A December 5, 2024 letter from the American Forest & Paper Association to President-elect Trump outlines the industry's contributions to the U.S. economy and urges regulatory reforms to support job growth and sustainability.
|
2024 |
2025-EPA-04193 |
0001298–0001307
|
10 |
|
A letter dated June 14, 2024, from Senators Sherrod Brown, Mike Braun, Robert P. Casey Jr., J.D. Vance, Amy Klobuchar, and Todd Young urges EPA Administrator Michael S. Regan to grant petitions for reconsideration and stays of three final rules affecting the U.S. steel industry.
|
2024 |
2025-EPA-04883 |
0020519–0020520
|
2 |
|
On March 17, 2025, Mcibao Zhuang of the Ethylene Oxide Sterilization Association submitted a letter to EPA Administrator Lee Zeldin requesting immediate action on the Sterilizer Rule due to its stringent emission standards impacting medical device sterilizers.
|
2024 |
2025-EPA-04883 |
0025019–0025024
|
6 |
|
A letter dated November 22, 2024, from the Vinyl Institute to Penny Lassiter of the EPA discusses the group's concerns regarding the Agency's New Source Performance Standards and requests reconsideration of the HON Rule following a September 2024 meeting.
|
2024 |
2025-EPA-04883 |
0005641
|
1 |
|
A follow-up letter from the Vinyl Institute dated November 22, 2024, discusses concerns regarding EPA's leak detection and repair requirements for volatile organic liquid storage vessels, emphasizing the challenges of timely repairs for pressure vessels.
|
2024 |
2025-EPA-04883 |
0005650
|
1 |
|
A November 22, 2024 follow-up letter from the Vinyl Institute to the EPA discusses concerns regarding the monitoring and repair requirements for pressure vessels under the HON rule, emphasizing the need for time to address leaks and the costs associated with compliance.
|
2024 |
2025-EPA-04883 |
0005651
|
1 |
|
On July 5, 2024, the EPA finalized changes to Clean Air Act rules regulating coke production, establishing new emission limits and compliance deadlines for existing facilities, while asserting that current standards adequately protect public health.
|
2024 |
2025-EPA-04883 |
0005668
|
1 |
|
On September 3, 2024, Perkins Coie submitted a petition for reconsideration and request for stay regarding EPA's final rule on hazardous air pollutants for coke ovens, on behalf of SunCoke Energy Inc., to Administrator Michael S. Regan.
|
2024 |
2025-EPA-04883 |
0005733
|
1 |
|
On July 5, 2024, the EPA finalized a rule establishing 17 new MACT floor emission limits for Hazardous Air Pollutants, affecting SunCoke's operations, with a compliance deadline of December 5, 2025.
|
2024 |
2025-EPA-04883 |
0005778
|
1 |
|
Denka Performance Elastomer LLC's Environmental Affairs Manager, Chris Meyers, outlines challenges in meeting EPA's Section 112 standards, citing a lack of available technology and requesting a two-year extension for compliance due to safety and installation concerns.
|
2024 |
2025-EPA-04883 |
0005829
|
1 |
|
The EPA's Copper Rule, issued on May 13, 2024, faced a petition for reconsideration from Freeport-McMoRan Inc. on July 12, 2024, which remains unresolved as of February 3, 2025.
|
2024 |
2025-EPA-04883 |
0005909
|
1 |
|
On March 31, 2025, PPES submitted a request for a two-year exemption from the revised particulate matter standard due to technological unavailability and operational challenges associated with compliance, as outlined in their detailed justification.
|
2024 |
2025-EPA-04883 |
0005974
|
1 |
|
Indorama Ventures submitted concerns regarding EPA's hazardous air pollutant regulations, citing challenges with ethylene oxide detection, costly emission controls, and compliance deadlines in a letter dated September 10, 2025, under FOIA ID 2025-EPA-04883.
|
2024 |
2025-EPA-04883 |
0005999
|
1 |
|
Indorama Ventures Oxides LLC submitted an extension request on October 13, 2024, seeking a two-year compliance period extension for emission control projects mandated by the EPA's final rule on hazardous air pollutants, effective July 15, 2024.
|
2024 |
2025-EPA-04883 |
0006002
|
1 |
|
Indorama's compliance schedule for emission control projects at the Port Neches Facility includes planned construction starting October 1, 2024, with completion by March 31, 2029, while acknowledging potential delays and the need for additional relief from EPA compliance deadlines.
|
2024 |
2025-EPA-04883 |
0006006
|
1 |
|
The EPA's interim release for FOIA request 2025-EPA-04883 discusses the environmental and economic implications of the Lime Rule, arguing that compliance is not feasible with available technology and poses national security risks.
|
2024 |
2025-EPA-04883 |
0006024
|
1 |
|
Declaration by Dale E. Lebsack, Jr., President of Talen Montana, submitted in USCA Case #24-1190 on June 27, 2024, supporting petitioners' motion to stay a final rule.
|
2024 |
2025-EPA-04883 |
0006165
|
1 |
|
Comments submitted by NorthWestern on August 8, 2023, regarding New Source Performance Standards for Greenhouse Gas Emissions, including attachments labeled as NorthWestern GHG Rule Comments, are referenced in USCA Case #24-1190.
|
2024 |
2025-EPA-04883 |
0006258
|
1 |
|
On March 28, 2024, Steve Friend, Plant Manager of American Bituminous Power Partners, L.P., submitted a request to EPA Administrator Lee Zeldin for a compliance extension until July 6, 2029, regarding emission standards for the Grant Town Power Plant.
|
2024 |
2025-EPA-04883 |
0012766–0012768
|
3 |
|
On May 30, 2025, Giovanni R. Sanchez Cruz of Steri-Tech Inc requested a two-year exemption from emission standards under the Clean Air Act for the Sterilizer Rule, citing technology availability issues and potential impacts on medical device supply.
|
2024 |
2025-EPA-04883 |
0014902
|
1 |
|
A report prepared for the Biogenic CO2 Coalition by Dermot Hayes evaluates the land use impacts of proposed reforms to EPA's CO2 emissions permitting programs, estimating a global increase in corn demand and associated land use changes.
|
2024 |
2024-EPA-05254 |
0001769–0001777
|
9 |
|
On August 22, 2024, the American Gas Association, American Public Gas Association, and National Propane Gas Association submitted comments to Julia Hegarty at the U.S. Department of Energy regarding the Energy Conservation Standards for Consumer Water Heaters, urging a restart of the rulemaking process.
|
2024 |
DOE-HQ-2025-02714-F |
0014307–0014317
|
11 |
|
On November 14, 2024, the U.S. Army Corps of Engineers issued a validated permit (No. LRB-2021-00420) to Rachel Silva of Alle-Catt Wind Energy LLC for a wind energy facility in Allegany, Cattaraugus, and Wyoming Counties, New York.
|
2024 |
OST-2025-1200 |
0024603–0024604
|
2 |
|
Privileged draft attorney work product dated July 7, 2025, outlines recommendations for the Biden Administration regarding the implementation of the Clean Water Act and the definition of "Waters of the United States" in light of the Supreme Court's Sackett decision.
|
2023 |
2025-EPA-04193 |
0001160–0001162
|
3 |
|
On September 14, 2023, Tera L. Fong of the EPA responded to Lisa Connolly of Enbridge Energy regarding a site visit on August 29-30, 2023, discussing technical discussions about the 404 permit application for the Enbridge Line 5 realignment.
|
2023 |
2025-EPA-04193 |
0001175–0001176
|
2 |
|
A December 6, 2023 letter from Senators Sherrod Brown, J.D. Vance, and others to EPA Administrator Michael S. Regan expresses concerns over three proposed rules affecting the steel industry, arguing they could harm domestic production and national security.
|
2023 |
2025-EPA-04883 |
0020517–0020518
|
2 |
|
Memo from Rae Cronmiller dated June 16, 2023, discusses EPA's decision to increase emission limits and forgo PM CEMS in the Portland Cement rule due to measurement uncertainties and correlation requirements.
|
2023 |
2025-EPA-04883 |
0005625
|
1 |
|
EPA's interim release for FOIA request 2025-EPA-04883 discusses the inadequacy of a 45-day comment period for proposed amendments to air quality standards, citing violations of the Clean Air Act and the Administrative Procedure Act.
|
2023 |
2025-EPA-04883 |
0005689
|
1 |
|
SunCoke requests a 45-day extension for public comment on EPA's proposed rule changes, arguing that the agency violated the APA by failing to publish the proposed rule language in the Federal Register and misclassifying its existing facilities as 'new sources'.
|
2023 |
2025-EPA-04883 |
0005691
|
1 |
|
On December 18, 2023, the Congressional Steel Caucus, led by its Chairman and Vice Chairman, expressed concerns to EPA Administrator Michael S. Regan regarding proposed emission standards that may threaten the competitiveness of the American steel industry.
|
2023 |
2025-EPA-04883 |
0005876
|
1 |
|
A December 6, 2023 letter from U.S. Senators to EPA Administrator Michael Regan expresses concerns about three proposed rules on steel manufacturing, arguing they could harm the domestic steel industry and national security.
|
2023 |
2025-EPA-04883 |
0005896
|
1 |
|
On August 28, 2023, the National Propane Gas Association, American Public Gas Association, Rinnai America Corporation, and American Gas Association submitted comments to the Department of Energy regarding proposed energy conservation standards for consumer water heaters, expressing concerns about potential anticompetitive impacts and effects on small businesses.
|
2023 |
DOE-HQ-2025-02714-F |
0020180–0020185
|
6 |
|
Notice of proposed rulemaking from the U.S. Department of Energy regarding amended energy conservation standards for consumer water heaters, published in the Federal Register on July 28, 2023, with a public meeting scheduled for September 13, 2023.
|
2023 |
DOE-HQ-2025-02714-F |
0020056–0020175
|
120 |
|
Public Notice from the U.S. Army Corps of Engineers dated May 31, 2023, soliciting comments on Alle-Catt Wind Energy, LLC's application for a Section 404 permit affecting wetlands in Allegany, Cattaraugus, and Wyoming Counties, New York, with comments due by June 30, 2023.
|
2023 |
OST-2025-1200 |
0024587–0024602
|
16 |
|
EPA's interim release for FOIA ID 2025-EPA-04883 details the agency's court-ordered reviews of coke oven regulations, including the issuance of information collection requests in 2022 and the complexities surrounding the proposed and final rules due by 2024.
|
2022 |
2025-EPA-04883 |
0005737
|
1 |
|
The Fertilizer Institute submitted an opposition on March 29, 2021, to the EPA regarding a petition for rulemaking on the regulation of phosphogypsum and process wastewater, asserting that existing regulations are sufficient and additional federal oversight is unnecessary.
|
2021 |
2025-EPA-04193 |
0000694–0000793
|
100 |
|
SunCoke Energy, Inc. submitted comments on May 22, 2021, regarding the Proposed Rule for IINR facilities, expressing concerns about unnecessary requirements and flawed assumptions, as communicated by counsel Heidi P. Knight.
|
2021 |
2025-EPA-04883 |
0005730
|
1 |
|
Ron Chittim, Vice President of the American Petroleum Institute, submitted a letter on January 13, 2021, to EPA Administrator Andrew Wheeler urging reconsideration of small refinery exemptions for the 2019 compliance year due to competitive concerns.
|
2021 |
2024-EPA-05254 |
0002293
|
1 |
|
Notification dated November 14, 2024, from the U.S. Army Corps of Engineers regarding Department of the Army Permit No. LRB-2021-00420 issued to Alle-Catt Wind Energy LLC for construction of a wind energy facility in New York, outlining compliance requirements and appeal options.
|
2021 |
OST-2025-1200 |
0024605–0024609
|
5 |
|
SunCoke's comment letter on the EPA's Final Rule, dated September 10, 2025, critiques the agency's expedited process and argues that the new emission limits are based on unreliable data and violate procedural rights.
|
2020 |
2025-EPA-04883 |
0005740
|
1 |
|
SunCoke's comments on the EPA's Proposed Rule criticized the establishment of new MAC-I floor emission limits as arbitrary, citing the agency's own findings that existing emissions posed acceptable risks and arguing that the limits would impose significant costs.
|
2020 |
2025-EPA-04883 |
0005763
|
1 |
|
On September 9, 2020, John Bode of the Corn Refiners Association sent a petition for rulemaking to EPA Administrator Andrew Wheeler and Assistant Administrator Anne Idsal, requesting that CO2 emissions from agricultural feedstocks be classified as de minimis and not subject to PSD and Title V regulations.
|
2020 |
2024-EPA-05254 |
0001713
|
1 |
|
On September 9, 2020, the Biogenic CO2 Coalition submitted a petition to EPA Administrator Andrew Wheeler requesting a rulemaking to exempt carbon dioxide emissions from agricultural crops from PSD and Title V permitting requirements, citing scientific consensus on their carbon neutrality.
|
2020 |
2024-EPA-05254 |
0001714–0001723
|
10 |
|
Email from Mandy Gunasekara to Frank Macchiarola on March 24, 2020, acknowledges receipt of an API letter to Administrator Wheeler regarding compliance discretion and critical infrastructure, with attachments including letters to Wheeler and President Trump.
|
2020 |
2024-EPA-05254 |
0002305
|
1 |
|
Kurt Kovarik, Vice President of Federal Affairs at the National Biodiesel Board, wrote to EPA Administrator Andrew Wheeler on June 1, 2020, requesting clarity on small refinery exemption petitions and emphasizing the need for transparency and adherence to the 10th Circuit's ruling.
|
2020 |
2024-EPA-05254 |
0002313–0002316
|
4 |
|
Email from Allison Crittenden of the American Farm Bureau Federation on June 5, 2020, to EPA officials, attaching a letter from AFBF President Zippy Duvall regarding the Ninth Circuit Court's decision on dicamba product registrations.
|
2020 |
2024-EPA-05254 |
0002319
|
1 |
|
On June 9, 2020, Robin Bowen of the Corn Refiners Association emailed EPA Administrator Andrew Wheeler, requesting the inclusion of biogenic emissions questions in the upcoming proposed rulemaking for woody biomass, attaching a letter from John Bode.
|
2020 |
2024-EPA-05254 |
0002326
|
1 |
|
Email from Rebbie J. Riley, Executive Assistant at AFPM, dated March 24, 2020, to EPA officials including Mandy Gunasekara and Susan Bodine, regarding a request for conventional gasoline RVP/RFG volatility waivers, with an attached letter from Chet Thompson.
|
2020 |
2024-EPA-05254 |
0002357
|
1 |
|
Email from Frank Macchiarola to EPA officials Susan Bodine, Brittany Bolen, and Mandy Gunasekara on March 23, 2020, includes a letter to Administrator Wheeler regarding compliance discretion and critical infrastructure, along with a letter to President Trump.
|
2020 |
2024-EPA-05254 |
0002361
|
1 |
|
On March 20, 2020, Michael J. Sommers, President of the American Petroleum Institute, wrote to President Trump requesting recognition of critical infrastructure designations and temporary relief from non-essential compliance obligations due to the COVID-19 pandemic.
|
2020 |
2024-EPA-05254 |
0002372–0002374
|
3 |
|
On March 24, 2020, the American Fuel & Petrochemical Manufacturers submitted a petition to EPA Administrator Andrew R. Wheeler requesting reconsideration of the 2020 Renewable Fuel Standard rule due to a recent Tenth Circuit ruling affecting small refinery exemptions.
|
2020 |
2024-EPA-05254 |
0002380–0002386
|
7 |
|
Email correspondence between Richard Moskowitz, General Counsel for the American Fuel & Petrochemical Manufacturers, and Mandy Gunasekara of the EPA on March 24-26, 2020, discussing the AFPM's petition for reconsideration of the 2020 Renewable Fuel Standard rule.
|
2020 |
2024-EPA-05254 |
0002387–0002388
|
2 |
|
On March 20, 2020, Christopher Jahn, President and CEO of the American Chemistry Council, requested the EPA to exercise enforcement discretion regarding regulatory compliance due to challenges posed by the coronavirus crisis.
|
2020 |
2024-EPA-05254 |
0002395–0002396
|
2 |
|
On April 23, 2020, Rich Nolan, President & CEO of the National Mining Association, urged EPA Administrator Andrew Wheeler to implement regulatory reforms to support the mining industry amid COVID-19 economic challenges.
|
2020 |
2024-EPA-05254 |
0002481–0002484
|
4 |
|
On May 22, 2020, Geoff Cooper, President & CEO of the Renewable Fuels Association, urged EPA Administrator Andrew Wheeler to deny petitions from small refineries for Renewable Fuel Standard exemptions for past compliance years, citing legal and regulatory inconsistencies.
|
2020 |
2024-EPA-05254 |
0002493–0002496
|
4 |
|
A January 17, 2019 letter from Geoff Cooper, President and CEO of the Renewable Fuels Association, to EPA Administrator Andrew Wheeler requests expedited rulemaking for year-round E15 sales, separating it from RIN reform initiatives.
|
2019 |
2024-EPA-05254 |
0001617–0001618
|
2 |
|
On April 10, 2018, representatives from CropLife America and other organizations sent a letter to Secretaries Zinke, Ross, Perdue, and Administrator Pruitt, urging improvements in the interagency process for pesticide regulation and endangered species conservation.
|
2018 |
2024-EPA-05254 |
0000382–0000386
|
5 |
|
Email from Matthew Todd of the American Petroleum Institute to EPA's Peter Tsirigotis on September 24, 2018, requesting modifications to the Federal Implementation Plan for True Minor Sources in Indian Country.
|
2018 |
2024-EPA-05254 |
0000901
|
1 |
|
On September 24, 2018, Matthew Todd of the American Petroleum Institute submitted a letter to Peter Tsirigotis at the EPA proposing modifications to the Federal Implementation Plan for True Minor Sources in Indian Country to streamline the ESA/NHPA review process.
|
2018 |
2024-EPA-05254 |
0000902–0000904
|
3 |
|
Email from Janice Raburn of BP to Mandy Gunasekara at EPA on September 26, 2018, discussing BP's opposition to the extension of the 1# waiver to E15 and proposing quarterly compliance for RIN market transparency, with attached supporting documents.
|
2018 |
2024-EPA-05254 |
0000917
|
1 |
|
Edison Electric Institute Vice President Quinlan J. Shea, III submitted comments to EPA Acting Administrator Andrew Wheeler on October 31, 2018, regarding the proposed Affordable Clean Energy rule, emphasizing the need for state flexibility in compliance measures.
|
2018 |
2024-EPA-05254 |
0001153–0001195
|
43 |
|
Email from Christopher Guith of the U.S. Chamber of Commerce to Mandy Gunasekara at EPA on December 12, 2018, discussing the revised Waters of the United States definition and NET Power's innovative energy technology.
|
2018 |
2024-EPA-05254 |
0001560–0001562
|
3 |
|
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 |
|
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 |
|
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 |
|
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 |
|
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 |
|
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 |
|
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 |
|
SunCoke's comments on EPA's proposed rule changes argue against new opacity limits and pressure monitor requirements, citing excessive costs and lack of necessity, while asserting compliance with existing standards.
|
2004 |
2025-EPA-04883 |
0005724
|
1 |
|
A 2002 comment letter from SunCoke to the EPA requests revisions to definitions and emission limits in 40 C.F.R. 63 regarding coke oven operations, emphasizing inconsistencies and the need for clarity in regulatory language.
|
2002 |
2025-EPA-04883 |
0005759
|
1 |
|
A 2001 document from the EPA discusses SunCoke's concerns regarding the Proposed Rule's compliance costs and its impact on coke production, emphasizing the company's environmental performance and the inadequacy of the 45-day comment period.
|
2001 |
2025-EPA-04883 |
0005677
|
1 |
|
A comment letter dated October 26, 2018, from the Alliance of Automobile Manufacturers to the EPA and NHTSA addresses the proposed SAFE Vehicles Rule for Model Years 2021-2026, requesting stakeholder engagement and discussing regulatory implications of changing market conditions.
|
2000 |
2024-EPA-05254 |
0001203–0001404
|
202 |
|
Attachment 1 outlines hydropower policy recommendations from the Department of Energy to accelerate development and investment in hydropower, emphasizing actions for federal agencies to streamline permitting and support existing infrastructure, dated March 2025.
|
1998 |
DOE-HQ-2025-02714-F |
0021472–0021473
|
2 |