|
Email from Ryan Jackson of the American Chemistry Council to Michael Abboud at EPA on February 14, 2025, discusses the auto sector's significance to chemistry and invites Abboud to a reception on March 4.
|
2025 |
2025-EPA-04193 |
—
|
176 |
|
Email from Liz Williamson of Balch & Bingham LLP to Travis Voyles at EPA on April 7, 2025, discusses AEPCO's response to the EPA's Show Cause Letter regarding alleged violations of the Coal Combustion Residuals Rule.
|
2025 |
2025-EPA-04193 |
—
|
9 |
|
Joseph Craft of Alliance Resource Partners emailed Ashley Brown at the EPA on March 2, 2025, to submit a completed meeting information form for a discussion on U.S. electricity supply chain issues, requesting a meeting on March 4 or 5, 2025.
|
2025 |
2025-EPA-04193 |
—
|
17 |
|
Email from Ryan Yates of the American Farm Bureau Federation to Travis Voyles at EPA on February 10, 2025, includes a letter from AFBF President Zippy Duvall congratulating Administrator Lee Zeldin and requesting a meeting to discuss agricultural regulatory concerns.
|
2025 |
2025-EPA-04193 |
—
|
17 |
|
Email from Michael Wery Garcia of Chevron to Wesley Carpenter at EPA on February 13, 2025, includes a congratulatory letter from CEO Mike Wirth to Administrator Lee Zeldin regarding his confirmation.
|
2025 |
2025-EPA-04193 |
—
|
6 |
|
On February 4, 2025, Jennifer Golinsky Baseman of the American Gas Association emailed EPA Administrator Lee Zeldin, attaching a letter from CEO Karen Harbert congratulating him and requesting an introductory meeting.
|
2025 |
2025-EPA-04193 |
—
|
52 |
|
Email from Devin Watkins of the Competitive Enterprise Institute to Eric Amidon at EPA on February 11, 2025, regarding the case Competitive Enterprise Institute, et al v. EPA, discussing the implications of a motion to hold the case in abeyance.
|
2025 |
2025-EPA-04193 |
—
|
18 |
|
Email from Jeff Blackwood of CropLife America to EPA's Eric Amidon on February 18, 2025, transmitting a letter from CEO Alexandra Dunn to Administrator Lee Zeldin congratulating him on his confirmation and expressing support for collaboration on pesticide regulation.
|
2025 |
2025-EPA-04193 |
—
|
26 |
|
Email correspondence from Ashley Brown at the EPA on February 28, 2025, regarding scheduling for Administrator Zeldin's participation in the Portland Cement Association's fly-in event on April 1-2, 2025.
|
2025 |
2025-EPA-04193 |
—
|
11 |
|
Email from Megan Toomey of Talen Energy to Travis Voyles at EPA on March 31, 2025, requesting a follow-up meeting regarding Coal Combustion Residuals (CCR) regulations, with an attached advocacy paper.
|
2025 |
2025-EPA-04193 |
—
|
3 |
|
Email correspondence from Jaide Barja of the EPA to Victoria Ellington and Preston Howey of Senator Cruz's office on April 11, 2025, regarding scheduling a meeting with EPA Administrator Zeldin and planning a trip to Midland, Texas.
|
2025 |
2025-EPA-04193 |
—
|
20 |
|
Email correspondence dated February 10, 2025, between Susana Hildebrand of Vistra Corp and Steven Cook of the EPA discusses scheduling a meeting to address concerns regarding the CCR regulations, with proposed dates of February 19 and 20.
|
2025 |
2025-EPA-04193 |
—
|
8 |
|
An email from Ashley Brown at the EPA on February 21, 2025, confirms attendance details for the Western Governors Association breakfast meeting scheduled for February 22, 2025, with Administrator Zeldin and staffer Sarah Talmage.
|
2025 |
2025-EPA-04193 |
—
|
34 |
|
On July 1, 2024, Brooks M. Smith of Troutman Pepper Hamilton Sanders LLP submitted a petition to EPA Administrator Michael S. Regan on behalf of Duke Energy Corporation, requesting reconsideration of specific provisions in the 2024 Coal Combustion Residual Rule.
|
2024 |
2025-EPA-04193 |
0000572
|
1 |
|
Duke Energy Corporation submitted a petition for rulemaking to EPA Administrator Michael Regan on July 7, 2025, requesting reconsideration of specific provisions in the 2024 Coal Combustion Residuals Rule regarding closed CCR units.
|
2024 |
2025-EPA-04193 |
0000573–0000674
|
102 |
|
On July 7, 2025, the American Coatings Association submitted a letter to EPA officials Nancy Beck and Lynn Dekleva addressing delays in the TSCA New Chemical Review Program and requesting improvements to the PMN review process.
|
2024 |
2025-EPA-04193 |
0000531–0000534
|
4 |
|
On December 9, 2024, the U.S. Chamber of Commerce Coalition submitted comments to EPA Assistant Administrator Michal Freedhoff regarding the proposed addition of certain PFAS to the Toxics Release Inventory, expressing concerns about scientific justification and regulatory implications.
|
2024 |
2025-EPA-04193 |
0000965–0000978
|
14 |
|
External Meeting Request Form dated March 4, 2025, submitted by the American Forest & Paper Association to discuss air regulatory priorities with EPA's OAR leadership, requesting a hybrid meeting on April 9, 2025.
|
2024 |
2025-EPA-04193 |
0000248
|
1 |
|
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 |
|
Duke Energy's April 1, 2024, Fast Facts report outlines the company's operations, including serving 8.4 million electric customers across six states and its commitment to achieving net-zero carbon emissions by 2050.
|
2024 |
2025-EPA-04193 |
0000362–0000363
|
2 |
|
On May 16, 2024, the Superfund Settlements Project, RCRA Corrective Action Project, National Mining Association, and American Petroleum Institute submitted comments to the EPA regarding the "Updated Residential Soil Lead Guidance for CERCLA Sites and RCRA Corrective Action Facilities," expressing concerns over the lack of public comment prior to its finalization.
|
2024 |
2025-EPA-04193 |
0000810–0000821
|
12 |
|
Economic analysis submitted by Policy Navigation Group in April 2024 evaluates EPA's updated soil lead guidance under CERCLA and RCRA, estimating annual social costs between $6.5 billion and $34 billion.
|
2024 |
2025-EPA-04193 |
0000822–0000857
|
36 |
|
Technical comments prepared by Ramboll Americas on the January 2024 USEPA Updated Residential Soil Lead Guidance, submitted under FOIA request 2025-EPA-04193, detail recommendations for integrating recent research findings related to lead exposure and soil contamination.
|
2024 |
2025-EPA-04193 |
0000858–0000889
|
32 |
|
Report from Ramboll dated January 2024 comments on the Benchmark Dose model code and modeling results for the EPA's draft IRIS Toxicological Review of Inorganic Arsenic, identifying deficiencies and requesting additional transparency.
|
2024 |
2025-EPA-04193 |
0000914–0000925
|
12 |
|
On April 5, 2024, representatives from the American Chemistry Council, American Fuel and Petroleum Manufacturers, American Petroleum Institute, and US Chamber of Commerce sent a letter to EPA officials Michal Freedhoff and David Uhlmann addressing concerns regarding changes to supplier notification requirements for per- and polyfluoroalkyl substances under the Emergency Planning and Community Right-to-Know Act.
|
2024 |
2025-EPA-04193 |
0000979–0000981
|
3 |
|
On March 18, 2024, the EPA provided an overview of the downstream review process for Enbridge's Line 5 pipeline relocation, detailing interactions with USACE and the Bad River Band regarding water quality concerns under Clean Water Act Section 401.
|
2024 |
2025-EPA-04193 |
0001155–0001157
|
3 |
|
External Meeting Request Form submitted on March 4, 2025, by the American Forest & Paper Association to discuss air regulatory priorities with EPA's OAR leadership, scheduled for April 9, 2025.
|
2024 |
2025-EPA-04193 |
0001267
|
1 |
|
On December 20, 2024, multiple agricultural organizations submitted a request to EPA Administrator Michael S. Regan for a 180-day extension to comment on the draft AP-42 emissions estimating methods for animal feed operations, citing the need for further study of recent model changes.
|
2024 |
2025-EPA-04193 |
0001329–0001331
|
3 |
|
Email from Lauren Lurkins to EPA officials on May 3, 2024, outlines questions from the 'barnyard' group regarding the Air Consent Agreement and related permitting issues under the Clean Air Act.
|
2024 |
2025-EPA-04193 |
0001332–0001335
|
4 |
|
Email correspondence dated September 24, 2024, from Venus Welch-White of the EPA to Michael Formica of the National Pork Producers Council regarding responses from OECA to questions about air consent agreements, with attachments included.
|
2024 |
2025-EPA-04193 |
0001336–0001337
|
2 |
|
The American Chemistry Council's May 2024 report, "Chemistry and Automobiles Driving the Future," details a 31% increase in average chemistry value per North American automobile over the past decade, reaching $4,371 in 2023.
|
2024 |
2025-EPA-04193 |
0006855–0006881
|
27 |
|
A December 5, 2024 letter from the American Forest & Paper Association to President-elect Trump outlines the industry's contributions to the economy and urges regulatory reforms to enhance competitiveness and job growth.
|
2024 |
2025-EPA-04193 |
0007580–0007589
|
10 |
|
On September 20, 2024, the U.S. Environmental Protection Agency filed an unopposed motion for voluntary remand in USCA Case #23-1096, allowing reconsideration of an order related to eighteen premanufacture notices submitted by Chevron USA, Inc.
|
2024 |
2025-EPA-04193 |
0007670–0007686
|
17 |
|
Comments submitted by the American Fuel & Petrochemical Manufacturers on March 18, 2025, regarding the EPA's proposed pre-prioritization of 22 chemical substances under the Toxic Substances Control Act, advocating for six chemicals, including hydrogen fluoride, to be classified as low priorities.
|
2023 |
2025-EPA-04193 |
0000999–0001007
|
9 |
|
Comments submitted by Lee Salamone, Senior Director of the American Chemistry Council Plastics Division, on August 18, 2023, regarding proposed significant new use rules for certain chemical substances, emphasizing concerns about impurities and the definition of feedstocks.
|
2023 |
2025-EPA-04193 |
0007656–0007669
|
14 |
|
On March 6, 2023, Enbridge's Lisa Connolly requested a meeting with EPA officials Debra Shore and Tera L. Fong to discuss the Line 5 Wisconsin Segment Relocation Project and its environmental impact assessments.
|
2023 |
2025-EPA-04193 |
0001177–0001184
|
8 |
|
Index of enclosed documents related to Washington Works CWA compliance, including an Administrative Order on Consent issued to Chemours on April 24, 2023, and various correspondence and legal filings through March 2025.
|
2023 |
2025-EPA-04193 |
0000366–0000505
|
140 |
|
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 |
|
Report titled 'Comments on the External Review Draft of the IRIS Toxicological Review of Inorganic Arsenic' prepared by Ramboll in December 2023, addressing deficiencies in the USEPA's draft review and requesting an extension of the comment period.
|
2023 |
2025-EPA-04193 |
0000890–0000913
|
24 |
|
A letter dated April 6, 2023, from Tera L. Fong of the EPA to Lisa Connolly of Enbridge acknowledges Connolly's March 6, 2023, request for an in-person meeting regarding the Line 5 Wisconsin Segment Relocation Project.
|
2023 |
2025-EPA-04193 |
0001174
|
1 |
|
On August 11, 2023, Lisa Connolly of Enbridge renewed a request for a meeting with EPA officials Debra Shore and Tera L. Fong to discuss the Line 5 Wisconsin Segment Relocation Project and address EPA's comments.
|
2023 |
2025-EPA-04193 |
0001185–0001186
|
2 |
|
Proposed rule by the Environmental Protection Agency (EPA) on June 20, 2023, establishes significant new use rules (SNURs) for certain chemical substances under TSCA, requiring 90 days' notice before manufacturing or processing begins.
|
2023 |
2025-EPA-04193 |
0007692–0007706
|
15 |
|
A TSCA Section 5 Order issued by the EPA on November 9, 2023, authorizes Chevron U.S.A. Inc. to manufacture and process specified new chemical substances under conditions outlined in the order, following PMN submissions from June 2021.
|
2023 |
2025-EPA-04193 |
0007707–0007754
|
48 |
|
A letter from Ross Eisenberg, Vice President of the American Chemistry Council, to Andrew Liang of the National Economic Council, dated October 3, 2025, expresses support for regulatory reforms and requests the withdrawal of prior administration's plastics-related rules to enhance domestic manufacturing and recycling.
|
2022 |
2025-EPA-04193 |
0006946–0006949
|
4 |
|
On April 26, 2021, the National Mining Association submitted a letter to EPA Administrator Michael Regan opposing a petition for rulemaking regarding the regulation of phosphogypsum and process wastewater under RCRA and TSCA.
|
2021 |
2025-EPA-04193 |
0000679–0000693
|
15 |
|
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 |
|
Comments submitted by the American Fuel & Petrochemical Manufacturers on March 18, 2025, regarding the EPA's proposal to designate benzene as a high-priority substance under the Toxic Substances Control Act, raising concerns about exposure potential and prioritization criteria.
|
2018 |
2025-EPA-04193 |
0000984–0000988
|
5 |
|
Comments submitted by the American Fuel & Petrochemical Manufacturers on March 18, 2025, regarding the EPA's proposal to categorize styrene as a high priority under the Toxic Substances Control Act, arguing for its reclassification as low priority due to low exposure potential.
|
2018 |
2025-EPA-04193 |
0000994–0000998
|
5 |
|
Comments submitted by the American Fuel & Petrochemical Manufacturers on March 18, 2025, regarding the EPA's proposal to categorize ethylbenzene as a high priority for risk evaluation under the Toxic Substances Control Act, expressing concerns about exposure potential and prioritization criteria.
|
2018 |
2025-EPA-04193 |
0000989–0000993
|
5 |
|
External Meeting Request Form dated February 20, 2025, submitted by the American Coatings Association to discuss compliance solutions for the Aerosol Coatings Final Rule, with a meeting requested between February 24 and July 17, 2025.
|
2017 |
2025-EPA-04193 |
0001313
|
1 |
|
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 |
|
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 |
|
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 |
|
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 |
|
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 |
|
Attachment A discusses the 1994 Sterilizer Rule by the EPA, outlining its legal flaws, regulatory history, and potential harms to the medical device supply chain due to stringent ethylene oxide emissions standards.
|
1994 |
2025-EPA-04193 |
0000176–0000177
|
2 |
|
Attachment A discusses the 1994 Sterilizer Rule by the EPA, detailing its legal flaws, regulatory history, and potential harms to the medical device supply chain due to stringent emissions standards for ethylene oxide sterilization facilities.
|
1994 |
2025-EPA-04193 |
0007448–0007449
|
2 |
|
Email correspondence from Louis Baer of the Portland Cement Association to Chad McIntosh at the EPA on February 7, 2025, confirming a meeting to discuss cement industry priorities and collaboration with the new EPA political staff.
|
1981 |
2025-EPA-04193 |
0000198–0000200
|
3 |
|
EPA Administrator Meeting Information Form submitted by Karen Harbert of the American Gas Association and Lloyd Yates of NiSource Inc. requests a meeting with Administrator Zeldin to discuss policy priorities, proposing dates from March 3 to May 30, 2025.
|
1918 |
2025-EPA-04193 |
0006886–0006890
|
5 |
|
Administrative and production markings are present in this record, which contains no substantive text.
|
— |
2025-EPA-04193 |
—
|
2 |