|
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 |
|
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 |
|
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 |
|
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 |
|
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 |
|
EPA's December 20, 2024 letter outlines compliance extension requests from Dow for Projects #1 and #2, including installation of water scrubbers and Purge Glycol Reactors, with various deadlines extending to December 12, 2027.
|
2024 |
2025-EPA-04883 |
0020533–0020537
|
5 |
|
EPA correspondence dated December 20, 2024, outlines Dow's compliance extension requests for two projects, including a flare system and a Purge Glycol Reactor, with termination dates set for July 15, 2027, and December 12, 2027, respectively.
|
2024 |
2025-EPA-04883 |
0020562–0020566
|
5 |
|
Request for Presidential Exemption submitted by Brian C. DeBusk, CEO of DeRoyal Industries, Inc., regarding compliance with the EPA's Ethylene Oxide Emissions Standards for Sterilization Facilities, citing supply chain issues and national security concerns, dated March 2024.
|
2024 |
2025-EPA-04883 |
0024958–0024962
|
5 |
|
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 |
|
EPA's December 20, 2024 letter outlines compliance information for Projects #1 and #2 involving the installation of water scrubbers and Purge Glycol Reactors, with extension termination dates set for July 15, 2027, and December 12, 2027.
|
2024 |
2025-EPA-04883 |
0005206
|
1 |
|
EPA correspondence dated April 1, 2025, from Walter Tamukong grants an extension for steel manufacturers under National Emission Standards, citing acceptable risk levels, and includes referenced documents supporting a Presidential exemption request.
|
2024 |
2025-EPA-04883 |
0005376–0005377
|
2 |
|
Email correspondence dated April 2, 2025, from AirAction to Sarah Douglas and Debra Jezouit corrects an email address for submitting Confidential Business Information related to a Presidential Exemption under the Clean Air Act.
|
2024 |
2025-EPA-04883 |
0005488–0005489
|
2 |
|
National Emission Standards for Hazardous Air Pollutants for Taconite Iron Ore Processing, EPA Docket No. OAR, published in the Federal Register on March 6, 2024, with contact information for Walter Tamukong at Cleveland-Cliffs Inc.
|
2024 |
2025-EPA-04883 |
0005565
|
1 |
|
National Emission Standards for Hazardous Air Pollutants technology reviews for various manufacturing facilities, including iron and steel, lime, and coke ovens, were detailed in communications from Walter Tamukong of Cleveland-Cliffs Inc. dated September 10, 2025.
|
2024 |
2025-EPA-04883 |
0005567
|
1 |
|
National Emission Standards for Hazardous Air Pollutants regarding Taconite Iron Ore Processing, published in the Federal Register on March 6, 2024, with contact information for Walter Tamukong of Cleveland-Cliffs Inc.
|
2024 |
2025-EPA-04883 |
0005570
|
1 |
|
A letter dated September 10, 2025, from Candace Childers, Vice President of ALCON Research Ltd., requests a Presidential Exemption for Ethylene Oxide Emission Standards for Sterilization Facilities, addressed to Administrator Zeldin.
|
2024 |
2025-EPA-04883 |
0005576
|
1 |
|
EPA correspondence dated September 10, 2025, from Walter Tamukong grants an extension for steel manufacturers under National Emission Standards for Hazardous Air Pollutants, citing acceptable risk levels and includes three supporting Congressional letters.
|
2024 |
2025-EPA-04883 |
0005584
|
1 |
|
Cleveland-Cliffs Inc. requested a two-year Presidential exemption from compliance with the National Emission Standards for Hazardous Air Pollutants for its facilities, citing acceptable risk assessments by the EPA, in correspondence dated September 10, 2025.
|
2024 |
2025-EPA-04883 |
0005587
|
1 |
|
A letter from the Sierra Club to the EPA discusses the importance of the gasoline distribution industry for national security and requests a Presidential Exemption for sources affected by the National Emission Standards for Hazardous Air Pollutants established in the Gasoline Distribution Rule issued on May 8, 2024.
|
2024 |
2025-EPA-04883 |
0005590
|
1 |
|
EPA's interim release for FOIA request 2025-EPA-04883 discusses emission monitoring requirements for vapor combustion units, concerns about contractor availability for LDAR programs, and compliance challenges for gasoline loading facilities under the 2024 NESHAP revisions.
|
2024 |
2025-EPA-04883 |
0005592
|
1 |
|
The EPA's interim release for FOIA ID 2025-EPA-04883 discusses revisions to VRU emission standards, reducing the averaging period from 6 to 3 hours, and assesses the attainability of 2027 standards for gasoline cargo compartment vapor tightness.
|
2024 |
2025-EPA-04883 |
0005593
|
1 |
|
The EPA's interim release for FOIA ID 2025-EPA-04883, dated September 10, 2025, discusses GVEA's request for a two-year Presidential Exemption from MATS emissions limits due to national security concerns and technical infeasibility.
|
2024 |
2025-EPA-04883 |
0005597
|
1 |
|
Email from Ccorgianna R. Stenger, Assistant Manager at Keystone-Conemaugh Projects, dated September 10, 2025, discusses the evaluation of new PM monitor technologies and the potential impact of the 2024 MATS rule on electric grid reliability.
|
2024 |
2025-EPA-04883 |
0005631
|
1 |
|
The EPA document discusses challenges in calibrating PM Continuous Emission Monitoring Systems (CEMS) for coal-fired units, emphasizing the incompatibility of the pending 0.01 lb/MMBtu emission limit with current calibration methodologies.
|
2024 |
2025-EPA-04883 |
0005633
|
1 |
|
A letter from Gcor2ianna R. Stenger, Assistant Manager at Keystone-Conemaugh Projects, submitted to the EPA on September 10, 2025, requests an extension of compliance deadlines for nonmercury metal emissions technologies, citing national security concerns regarding electric grid reliability.
|
2024 |
2025-EPA-04883 |
0005634
|
1 |
|
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 November 22, 2024 letter from the Vinyl Institute to the EPA argues that the agency incorrectly calculated the dioxin and furan emission limit for process vents, violating Section 112(d)(3) of the Clean Air Act.
|
2024 |
2025-EPA-04883 |
0005642
|
1 |
|
A follow-up letter from the Vinyl Institute dated November 22, 2024, discusses concerns regarding EPA's methodology for setting emission limits based on a limited number of facilities under Section 112 of the Clean Air Act.
|
2024 |
2025-EPA-04883 |
0005643
|
1 |
|
A follow-up letter from the Vinyl Institute dated November 22, 2024, discusses the EPA's flawed estimation of chlorinated compound emissions from CMPUs, referencing data from a September 19, 2024 meeting.
|
2024 |
2025-EPA-04883 |
0005644
|
1 |
|
A November 22, 2024 letter from the Vinyl Institute discusses EPA's criteria for identifying six prevalent chlorinated SOCMI chemicals and raises concerns about the rationale for limiting the dataset to these chemicals in relation to Dioxins and Furans emissions.
|
2024 |
2025-EPA-04883 |
0005645
|
1 |
|
A follow-up letter from the Vinyl Institute dated November 22, 2024, discusses the implications of chlorinated emissions on compliance with EPA's D/F limits, identifying 25 facilities potentially subject to the HON limit based on their chlorinated emissions.
|
2024 |
2025-EPA-04883 |
0005646
|
1 |
|
Vinyl Institute's follow-up letter dated November 22, 2024, critiques EPA's final HON rule for inadequate stakeholder engagement regarding fenceline monitoring action levels and highlights the exclusion of key facilities in the emissions analysis.
|
2024 |
2025-EPA-04883 |
0005647
|
1 |
|
A November 22, 2024 letter from the Vinyl Institute discusses concerns regarding EPA's pressure vessel leak provisions and the implications of no detectable emissions requirements under the finalized HON rule, referencing specific technical details and previous comments.
|
2024 |
2025-EPA-04883 |
0005649
|
1 |
|
Vinyl Institute's November 22, 2024, follow-up letter details concerns regarding EPA's exclusion of certain emission data from analysis and provides revised emission release characteristics for a facility, indicating modeled concentrations exceed action levels.
|
2024 |
2025-EPA-04883 |
0005648
|
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 |
|
A follow-up letter dated November 22, 2024, from Domenic DeCaria of the Vinyl Institute thanks the EPA for considering additional points regarding the HON rule, referencing FOIA request 2025-EPA-04883.
|
2024 |
2025-EPA-04883 |
0005652
|
1 |
|
The EPA finalized changes to Clean Air Act rules regulating coke production on July 5, 2024, establishing new emission limits and compliance deadlines for existing facilities, while SunCoke operates multiple plants supplying nearly 40% of U.S. coke.
|
2024 |
2025-EPA-04883 |
0005654
|
1 |
|
EPA's 2025-EPA-04883 FOIA release discusses the technological and financial challenges SunCoke faces in meeting new MACT floor emission limits for hazardous air pollutants at its facilities.
|
2024 |
2025-EPA-04883 |
0005656
|
1 |
|
SunCoke requested a two-year exemption from compliance with the MACT floor emission limits established in the Coke Ovens Rule for main and bypass vent stacks, citing technological infeasibility and safety concerns, in correspondence dated September 10, 2025.
|
2024 |
2025-EPA-04883 |
0005657
|
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 |
|
EPA's interim release for FOIA request 2025-EPA-04883 discusses the technological and financial challenges SunCoke faces in meeting new MACT floor emission limits for hazardous air pollutants at its facilities, citing costs potentially exceeding $99 million.
|
2024 |
2025-EPA-04883 |
0005670
|
1 |
|
SunCoke submitted a request to the EPA on September 10, 2025, for a two-year exemption from compliance with MACT floor emission limits for coke ovens and bypass vent stacks due to technological infeasibility.
|
2024 |
2025-EPA-04883 |
0005671
|
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 |
|
Email correspondence dated September 3, 2024, among Aimee Ford, Shae McPhee, Aron Schnur, and Heidi Knight regarding Sierra Club FOIA request 2025-EPA-04883.
|
2024 |
2025-EPA-04883 |
0005734
|
1 |
|
EPA proposed to amend the NEST IAP and NESHAP for Coke Oven Batteries, with stakeholders, including SunCoke, requesting a 45-day extension for public comments due to the complexity of the rules and extensive supporting documents, which EPA denied.
|
2024 |
2025-EPA-04883 |
0005739
|
1 |
|
EPA's interim release for FOIA request 2025-EPA-04883 discusses MACT floor limits for 17 hazardous air pollutants, addressing comments from SunCoke and detailing the agency's rationale for differing standards in the Final Rule.
|
2024 |
2025-EPA-04883 |
0005741
|
1 |
|
EPA's interim release regarding FOIA ID 2025-EPA-04883 discusses concerns raised by SunCoke about the adequacy of MACT floor emission limits for Bypass/Waste Heat Stacks, citing insufficient data and the need for reevaluation of these limits.
|
2024 |
2025-EPA-04883 |
0005746
|
1 |
|
SunCoke's comment letter dated February 19, 2024, addresses EPA's Final Rule on emission limits, arguing that the agency incorrectly stated no alternate work practices were proposed and conflicts with startup and shutdown requirements.
|
2024 |
2025-EPA-04883 |
0005750
|
1 |
|
SunCoke requests the EPA to stay the effectiveness of the Final Rule set for July 5, 2024, pending reconsideration and judicial review, citing potential unnecessary compliance costs and procedural violations.
|
2024 |
2025-EPA-04883 |
0005761
|
1 |
|
EPA's interim release for FOIA request 2025-EPA-04883 discusses SunCoke's likelihood of success in contesting the agency's inadequate public comment period of 45 days for complex rule amendments, contrary to statutory requirements.
|
2024 |
2025-EPA-04883 |
0005762
|
1 |
|
SunCoke's request to the EPA argues for a stay of the Final Rule's compliance requirements pending judicial review, citing potential economic harm to the coke industry and job losses in disadvantaged areas.
|
2024 |
2025-EPA-04883 |
0005769
|
1 |
|
Declaration by John Quanci, Vice President of Technology at SunCoke Energy, Inc., supporting a motion for stay pending review in case No. 24-1287 against the EPA, filed on September 30, 2024.
|
2024 |
2025-EPA-04883 |
0005774
|
1 |
|
USCA Case #24-1287, filed on 09/30/2024, includes a statement from a SunCoke executive detailing their educational background, professional experience, and familiarity with SunCoke's facilities and operations.
|
2024 |
2025-EPA-04883 |
0005775
|
1 |
|
USCA Case #24-1287 filed on September 30, 2024, includes a declaration discussing SunCoke's heat recovery process and its environmental advantages, emphasizing the importance of metallurgical coke in steel production.
|
2024 |
2025-EPA-04883 |
0005776
|
1 |
|
USCA Case #24-1287 filed on September 30, 2024, discusses differences between ByP and HNR facilities in chemical recovery and notes EPA's recognition of SunCoke's cokemaking process as the industry MACT.
|
2024 |
2025-EPA-04883 |
0005777
|
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 |
|
USCA Case #24-1287 filed on 09/30/2024 critiques the EPA's Final Rule on MACT floor emissions, citing multiple errors that render compliance unachievable for SunCoke, necessitating immediate costly testing and control installations.
|
2024 |
2025-EPA-04883 |
0005779
|
1 |
|
USCA Case #24-1287 filed on 09/30/2024 discusses SunCoke's argument that the EPA's MACT floor standards were based on insufficient data from 2016 and 2022, leading to potential severe harm for the company.
|
2024 |
2025-EPA-04883 |
0005780
|
1 |
|
USCA Case #24-1287 filed on 09/30/2024 includes data indicating that multiple SunCoke facilities, including HH1, failed to meet the MACT floor emissions limits for particulate matter and mercury.
|
2024 |
2025-EPA-04883 |
0005781
|
1 |
|
USCA Case #24-1287 filed on 09/30/2024 discusses EPA's failure to fully consider relevant data regarding SunCoke's compliance with MACT floor limits, impacting cost and compliance timelines.
|
2024 |
2025-EPA-04883 |
0005782
|
1 |
|
A court document filed on September 30, 2024, in USCA Case #24-1287 critiques the EPA's insufficient data and assumptions regarding SunCoke's compliance with MACT floor emissions limits for mercury.
|
2024 |
2025-EPA-04883 |
0005783
|
1 |
|
USCA Case #24-1287 filed on 09/30/2024 discusses EPA's challenges in setting MACT floor limits for emissions due to insufficient data, particularly for mercury and acid gases in SunCoke's operations.
|
2024 |
2025-EPA-04883 |
0005784
|
1 |
|
USCA Case #24-1287 filed on 09/30/2024 discusses EPA's failure to include relevant data in setting new MACT floor limits, impacting SunCoke's ability to comply with testing and control requirements.
|
2024 |
2025-EPA-04883 |
0005785
|
1 |
|
USCA Case #24-1287 filed on 09/30/2024 discusses SunCoke's incurred testing costs nearing $3 million and AECOM's role in assisting with environmental compliance and testing for HAPs across SunCoke's plants.
|
2024 |
2025-EPA-04883 |
0005786
|
1 |
|
USCA Case #24-1287 filed on 09/30/2024 discusses SunCoke's need to install emissions controls at its HH1 facility to comply with new MACT floor limits for mercury and particulate matter.
|
2024 |
2025-EPA-04883 |
0005787
|
1 |
|
USCA Case #24-1287 filed on September 30, 2024, details SunCoke's projected costs exceeding $59 million for mercury and particulate matter controls at HH1 to comply with emissions regulations by December 5, 2025.
|
2024 |
2025-EPA-04883 |
0005788
|
1 |
|
USCA Case #24-1287 filed on 09/30/2024 discusses projected compliance costs for SunCoke facilities, estimating a minimum of $62 million for immediate controls and potential increases to $99 million based on future testing results.
|
2024 |
2025-EPA-04883 |
0005789
|
1 |
|
USCA Case #24-1287 filed on September 30, 2024, discusses potential compliance costs for SunCoke, estimating up to $1.2 billion for facility upgrades by the December 5, 2025 deadline.
|
2024 |
2025-EPA-04883 |
0005791
|
1 |
|
USCA Case #24-1287 filed on 09/30/2024 discusses SunCoke's PAH emissions testing results from June 2017, indicating marginal compliance with MACT floor limits and potential costs of $260 million for necessary corrections.
|
2024 |
2025-EPA-04883 |
0005790
|
1 |
|
USCA Case #24-1287 filed on 09/30/2024 includes SunCoke's claims regarding compliance challenges with EPA's MACT floor limits, detailing specific emissions data and testing results from November 2020.
|
2024 |
2025-EPA-04883 |
0005792
|
1 |
|
USCA Case #24-1287 filed on 09/30/2024 discusses particulate matter emissions from IHO's bypass vent stacks, indicating that if the Final Rule were in effect, emissions would have exceeded limits in both 2020 and 2021.
|
2024 |
2025-EPA-04883 |
0005793
|
1 |
|
USCA Case #24-1287 filed on 09/30/2024 discusses safety risks associated with induced draft fans and vent stacks in relation to maintaining negative pressure during power failures.
|
2024 |
2025-EPA-04883 |
0005794
|
1 |
|
USCA Case #24-1287 filed on 09/30/2024 discusses SunCoke's compliance challenges with new MACT vent stack emissions limits and its critical role in supplying coke to the U.S. steel industry.
|
2024 |
2025-EPA-04883 |
0005795
|
1 |
|
USCA Case #24-1287, filed on September 30, 2024, discusses the critical role of SunCoke in the U.S. steel industry, noting its 40% share of domestic coke supply and advanced production facilities.
|
2024 |
2025-EPA-04883 |
0005796
|
1 |
|
USCA Case #24-1287 filed on September 30, 2024, includes a declaration by John Quanti regarding the financial impact of a proposed Final Rule on the coke industry and employment at SunCoke facilities.
|
2024 |
2025-EPA-04883 |
0005797
|
1 |
|
Denka Performance Elastomer LLC submitted a FOIA request on September 10, 2025, seeking a Presidential Exemption to extend compliance deadlines under the Clean Air Act for its Neoprene Production Facility in LaPlace, Louisiana, from July 15, 2026, to July 15, 2028.
|
2024 |
2025-EPA-04883 |
0005828
|
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 |
|
On September 10, 2025, Jeffrey R. Holmstead submitted a request to the President for a two-year extension for DPE's compliance with CAA Section 112 standards for its Neoprene Production Facility in LaPlace, Louisiana, citing national security interests.
|
2024 |
2025-EPA-04883 |
0005830
|
1 |
|
A declaration dated July 26, 2024, outlines significant cost estimates for LDAR and fenceline monitoring equipment, totaling $8.15 million, which the author argues exceed EPA's proposed figures.
|
2024 |
2025-EPA-04883 |
0005855
|
1 |
|
A June 14, 2024 letter from industry representatives to EPA Administrator Michael S. Regan requests reconsideration and stays of three EPA rules affecting the U.S. integrated steel industry, citing concerns over economic competitiveness and environmental impacts.
|
2024 |
2025-EPA-04883 |
0005873
|
1 |
|
A letter dated June 14, 2024, from the U.S. Senate to EPA Administrator Michael S. Regan urges reconsideration and stays of three EPA rules affecting the domestic integrated steel industry, citing concerns over economic competitiveness and environmental impacts.
|
2024 |
2025-EPA-04883 |
0005899
|
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 |
|
The EPA's interim release for FOIA request 2025-EPA-04883 discusses the increasing global demand for copper, emphasizing its critical role in electric vehicles and renewable energy projects, while also noting potential supply shortages.
|
2024 |
2025-EPA-04883 |
0005917
|
1 |
|
A report from Freeport-McMoRan discusses the projected shortfalls in global copper production by 2035, emphasizing the critical role of the Miami Smelter in U.S. national security and economy.
|
2024 |
2025-EPA-04883 |
0005918
|
1 |
|
Luminant submitted a request for a two-year exemption from the MATS RTR compliance standards for Martin Lake Units 1-3, citing unavailability of required technology and national security interests, as outlined in FOIA ID 2025-EPA-04883.
|
2024 |
2025-EPA-04883 |
0005921
|
1 |
|
Kincaid Generation submitted a request for a 2-year exemption from the fPM standard and PM CEMS requirement to the EPA, citing technological unavailability and high costs associated with compliance, as detailed in their correspondence dated September 10, 2025.
|
2024 |
2025-EPA-04883 |
0005931
|
1 |
|
EPA received a request from Miami Fort Power Company for a two-year exemption from the revised fPM standard and PM CEMS requirement due to technological unavailability, as outlined in FOIA request 2025-EPA-04883.
|
2024 |
2025-EPA-04883 |
0005936
|
1 |
|
EPA's interim release regarding FOIA request 2025-EPA-04883 discusses Coleto Creek's request for a two-year exemption from the fPM standard and PM CEMS requirement due to unavailability of necessary technology and national security interests.
|
2024 |
2025-EPA-04883 |
0005948
|
1 |
|
On March 31, 2025, Dynegy Midwest Generation, LLC submitted a request to the EPA for a two-year exemption from the fPM standard and PM CEMS requirement for Baldwin Units 1 & 2, citing technological unavailability and operational challenges.
|
2024 |
2025-EPA-04883 |
0005953
|
1 |
|
NERC's 2024 report highlights risks in the MISO region's power grid, noting that coal and gas generator retirements could impact energy reliability for military installations in South Dakota, including Ellsworth Air Force Base.
|
2024 |
2025-EPA-04883 |
0005962
|
1 |
|
Minnkota's testing indicates that the brominated PAC technology is ineffective for consistent mercury emissions control at Coyote Station, failing to meet the new compliance standards by the July 6, 2027 deadline.
|
2024 |
2025-EPA-04883 |
0005968
|
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.
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2024 |
2025-EPA-04883 |
0005974
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1 |
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Indorama Ventures submitted a letter to the EPA on March 16, 2024, requesting an extension of national emission standards for hazardous air pollutants related to ethylene oxide, citing national security risks and the critical nature of EO in manufacturing.
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2024 |
2025-EPA-04883 |
0005993
|
1 |
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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 |