|
On April 1, 2025, the Edison Electric Institute submitted a white paper outlining concerns regarding groundwater monitoring deadlines for CCR management units, recommending an extension of the deadline to August 2029 to accommodate regulatory requirements.
|
2026 |
2025-EPA-04193 |
0000940–0000941
|
2 |
|
Request for Extension of Compliance submitted by Fernando Frollini on February 26, 2025, seeks a one-year extension for the Seadrift Operations site to comply with MACT rule requirements, detailing two projects involving vent gas scrubbers and Purge Glycol Reactor systems.
|
2026 |
2025-EPA-04193 |
0001071–0001080
|
10 |
|
Request for Extension of Compliance submitted by Fernando Frollini on February 26, 2025, seeks a one-year extension for Seadrift Operations to meet regulatory requirements related to ethylene oxide emissions, with compliance expected by July 15, 2027.
|
2026 |
2025-EPA-04883 |
0020528–0020532
|
5 |
|
EPA FOIA record 2025-EPA-04883 details compliance extension requests by Dow for the installation of Purge Glycol Reactors, specifying project timelines, wastewater streams, and associated regulatory requirements with termination dates set for July 15 and December 12, 2027.
|
2026 |
2025-EPA-04883 |
0005208
|
1 |
|
LCLA Site Director Steve Parker submitted a letter to the EPA on September 10, 2025, requesting a one-year extension to the July 15, 2026 compliance deadline for fenceline monitoring and EO requirements, citing national security and economic concerns.
|
2026 |
2025-EPA-04883 |
0005662
|
1 |
|
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 |
|
Email from Cole Killian to John Rich dated February 6, 2025, discusses proposed changes to expedite permitting for short-term interim power solutions.
|
2025 |
2025-EPA-05146 |
0031139–0031141
|
3 |
|
On April 11, 2025, the American Coatings Association submitted recommendations to EPA officials Nancy Beck and Lynn Dekleva regarding potential TSCA and EPCRA regulatory reforms, advocating for rescission and modification of specific reporting requirements.
|
2025 |
2025-EPA-04193 |
0000522–0000530
|
9 |
|
Email from Michael Kafka of Duke Energy to Steven Cook at EPA on April 15, 2025, requesting a follow-up meeting regarding Roxboro facility data and discussing Duke Energy's petition for rulemaking related to the legacy CCR rule.
|
2025 |
2025-EPA-04193 |
0000569–0000571
|
3 |
|
Email from Tawny Bridgeford of the National Mining Association to Steven Cook at EPA on March 14, 2025, sharing comments opposing a petition for rulemaking related to phosphogypsum and process wastewater, including attached letters of opposition.
|
2025 |
2025-EPA-04193 |
0000678
|
1 |
|
On March 24, 2025, a coalition of organizations, including the Alliance for Automotive Innovation and the U.S. Chamber of Commerce, submitted comments to EPA Director Elissa Reaves regarding the proposed rule on PFAS additions to the Toxics Release Inventory.
|
2025 |
2025-EPA-04193 |
0000962–0000964
|
3 |
|
Email from Peter Whitfield of Sidley Austin LLP to Alexander Dominguez at EPA on March 6, 2025, regarding concerns from clients about the Renewable Fuel Standard compliance deadline and the potential need for assurances on deadline extensions.
|
2025 |
2025-EPA-04193 |
0001037
|
1 |
|
Email from Kari Mavian of Dow to EPA's Abigale Tardif on March 5, 2025, includes follow-up letters requesting an extension of the compliance date for the HON rule and support for a reconsideration petition.
|
2025 |
2025-EPA-04193 |
0001081–0001082
|
2 |
|
On March 4, 2025, Louis Vega, President of Dow North America, submitted a letter to Abigale Tardif at the EPA requesting a one-year extension for compliance deadlines related to the HON rule, citing significant operational challenges and the need for reconsideration of the rule's provisions.
|
2025 |
2025-EPA-04193 |
0001083–0001087
|
5 |
|
On March 4, 2025, Union Carbide Corporation submitted a letter to Abigale Tardif at the EPA requesting a one-year extension of compliance deadlines for the HON rule, citing significant operational challenges and potential facility shutdowns.
|
2025 |
2025-EPA-04193 |
0001088–0001090
|
3 |
|
On March 7, 2025, Brendan Mascarenhas of the American Chemistry Council emailed Abigale Tardif at the EPA to express gratitude for a February 18 meeting regarding the HON final rule and attached a letter outlining concerns related to President Trump's Executive Order on regulatory requirements.
|
2025 |
2025-EPA-04193 |
0001109–0001110
|
2 |
|
Email from Raymond B. Ludwiszewski to EPA officials Aaron Szabo, Abigale Tardif, and Alexander Dominguez on February 19, 2025, discussing the legal analysis of the ACC II waiver and its review under the CRA, with an attached document.
|
2025 |
2025-EPA-04193 |
0001113
|
1 |
|
EPA's February 2025 Notice of Decision grants California a Clean Air Act waiver for Advanced Clean Cars II regulations, mandating zero emissions for new vehicles by 2035, and asserts this decision is not subject to the Congressional Review Act.
|
2025 |
2025-EPA-04193 |
0001114–0001123
|
10 |
|
A letter dated March 11, 2025, from Greg Ferrara, President and CEO of the National Grocers Association, to EPA Administrator Lee Zeldin, requests amendments to HFC regulations due to their financial impact on independent grocers amid rising food prices.
|
2025 |
2025-EPA-04193 |
0001232–0001233
|
2 |
|
Meeting notes from the March 10, 2025, Producers Association-EPA discussion address the reconsideration of Subparts OOOOb and OOOOc, focusing on emissions profiles and operational challenges of marginal wells, as well as the implications of EPA's LDAR regulations.
|
2025 |
2025-EPA-04193 |
0001282–0001287
|
6 |
|
Consent Decree Questions and Answers from the EPA outline procedures for producers to access their Agricultural Compliance Agreements (ACAs), address confidentiality concerns, and clarify permitting obligations under the Clean Air Act, dated July 7, 2025.
|
2025 |
2025-EPA-04193 |
0001338–0001341
|
4 |
|
Email correspondence from Alexander Dominguez to Jordan Christman and Michael Abboud on March 18, 2025, regarding support for California waivers, including a letter to Congress and coordination for signatories.
|
2025 |
2025-EPA-04193 |
0006828–0006831
|
4 |
|
Email from Alexander Dominguez of the EPA on March 18, 2025, regarding a multi-stakeholder letter of support for California waivers, including attachments and correspondence with Jordan Christman from API.
|
2025 |
2025-EPA-04193 |
0006917–0006920
|
4 |
|
On February 27, 2025, the American Chemistry Council requested EPA Administrator Lee Zeldin to withdraw proposed significant new use rules (SNURs) on 18 chemical substances due to concerns over scientific basis and regulatory appropriateness.
|
2025 |
2025-EPA-04193 |
0006941–0006945
|
5 |
|
Email from Kristen Fuchs to EPA Secretary Lee Zeldin on February 11, 2025, urging expedited permitting for Class IV wells to promote carbon capture and sequestration in Texas, with an attached letter from Texas business groups.
|
2025 |
2025-EPA-04193 |
0007085
|
1 |
|
Email from Anne Steckel of the Renewable Natural Gas Coalition to EPA Administrator Lee Zeldin on April 11, 2025, regarding proposed volume requirements for the Renewable Fuel Standard program for 2026, with an attached letter.
|
2025 |
2025-EPA-04193 |
0007470
|
1 |
|
On February 21, 2025, EPA Administrator Lee Zeldin announced the decision to allow expanded year-round access to E15 fuel in Midwestern states, responding to requests from governors and aiming for regulatory certainty ahead of the summer driving season.
|
2025 |
2025-EPA-04193 |
0007488–0007489
|
2 |
|
On February 22, 2025, Brian Levey emailed EPA officials Jessica Kramer and Sean Donahue to inform them of the Utility Water Act Group's petition for rulemaking regarding the 2024 ELG Rule, attaching the petition document.
|
2025 |
2025-EPA-04193 |
0007496–0007497
|
2 |
|
On February 21, 2025, Brian R. Levey of Hunton Andrews Kurth LLP submitted a petition to EPA Administrator Lee M. Zeldin, requesting a reconsideration and administrative stay of the 2024 Supplemental Effluent Limitations Guidelines for the Steam Electric Power Generating Point Source Category.
|
2025 |
2025-EPA-04193 |
0007498–0007543
|
46 |
|
On February 27, 2025, the American Chemistry Council requested EPA Administrator Lee Zeldin to withdraw proposed significant new use rules for 18 chemical substances due to concerns over scientific basis and regulatory appropriateness.
|
2025 |
2025-EPA-04193 |
0007687–0007691
|
5 |
|
Email from Daniel J. Feith of Sidley Austin LLP to Travis Voyles at EPA on March 7, 2025, discussing a stay request for the TCE Rule under TSCA, with attachments related to the request.
|
2025 |
2025-EPA-04193 |
0007755–0007756
|
2 |
|
Email from Luke Wallwork of Miller Strategies to Michael Abboud at EPA on April 15, 2025, inquiring if Class VI permits are included in the Executive Order regarding modernizing permitting technology.
|
2025 |
2025-EPA-08249 |
0030479–0030484
|
6 |
|
On February 26, 2025, Union Carbide Corporation submitted additional information to EPA's Mary Greene regarding their request for an extension of compliance time for ethylene oxide provisions related to two projects at their Seadrift, Texas operations.
|
2025 |
2025-EPA-04883 |
0020527
|
1 |
|
February 26, 2025 letter to the EPA submits additional information regarding the Request for Extension of Compliance Time for UCC/Dow Seadrift, Texas Operations, detailing process vents, wastewater streams, and relevant regulatory citations.
|
2025 |
2025-EPA-04883 |
0020543
|
1 |
|
On February 20, 2025, Nattaya Boonsombat of St. Charles Operations submitted a request to EPA's Mary Greene for a one-year extension to comply with ethylene oxide regulations, detailing two specific projects and their compliance timeline.
|
2025 |
2025-EPA-04883 |
0020555–0020556
|
2 |
|
Email from Mike Collins to the Air Quality Management Team, dated March 28, 2025, requesting an exemption under Section 112(I)(4) of the Clean Air Act due to operational challenges affecting compliance.
|
2025 |
2025-EPA-04883 |
0020597
|
1 |
|
Email from Paula McCain of Westlake US 2 LLC to EPA's AirAction team on March 31, 2025, requesting a Presidential Exemption for compliance with the HON rule for their facility in Louisiana, with an attached detailed request letter.
|
2025 |
2025-EPA-04883 |
0020604–0020605
|
2 |
|
Email from Lisa Martine Jenkins to the EPA's AirAction team on March 28, 2025, requesting information about the evaluation metrics for temporary pollution exemptions under new air pollution rules.
|
2025 |
2025-EPA-04883 |
0020894
|
1 |
|
A February 26, 2025 letter to the EPA details additional information requested for an extension of compliance time regarding UCC/Dow Seadrift, Texas operations, including project specifics and regulatory citations.
|
2025 |
2025-EPA-04883 |
0005198
|
1 |
|
Dow Chemical Company requests an extension until December 12, 2027, for scrubber monitoring, recordkeeping, and compliance reporting requirements under EPA regulations, allowing time for installation and performance testing.
|
2025 |
2025-EPA-04883 |
0005207
|
1 |
|
Dow Chemical Company requested an extension of compliance deadlines for the Purge Glycol Reactor project under 40 CFR 63.151(f), proposing new dates of July 15, 2027, and December 12, 2027, to complete performance demonstrations and monitoring parameters.
|
2025 |
2025-EPA-04883 |
0005209
|
1 |
|
On June 14, 2024, Senators Sherrod Brown, J.D. Vance, Mike Braun, Joe Manchin, Robert P. Casey, Jr., Amy Klobuchar, Shelley Moore Capito, and Todd Young urged EPA Administrator Michael S. Regan to reconsider three rules affecting the U.S. steel industry, citing concerns over economic competitiveness and emissions.
|
2025 |
2025-EPA-04883 |
0005216–0005217
|
2 |
|
A December 18, 2023 letter from Senators Sherrod Brown, Mike Braun, Robert P. Casey, Jr., J.D. Vance, Amy Klobuchar, and Todd Young to EPA Administrator Michael S. Regan expresses concerns about proposed EPA rules affecting the steel industry, urging reconsideration and a stay to ensure regulations are feasible and do not harm jobs.
|
2025 |
2025-EPA-04883 |
0005218–0005219
|
2 |
|
A February 26, 2025 letter to the EPA submits additional information regarding a request for an extension of compliance time for UCC/Dow Seadrift, Texas operations, detailing process vents, wastewater streams, and relevant regulatory citations.
|
2025 |
2025-EPA-04883 |
0005241
|
1 |
|
Malcolm Langlois of Anduril Industries requested a Presidential Exemption from National Emission Standards for Hazardous Air Pollutants for a proposed hazardous waste incinerator in McHenry, Mississippi, citing potential delays due to upcoming EPA rule changes.
|
2025 |
2025-EPA-04883 |
0005594
|
1 |
|
SunCoke requested a two-year exemption from the 0.0 percent leaking door requirement under the Coke Ovens Rule, citing national security interests related to domestic steel production and the critical role of its coke in various industries.
|
2025 |
2025-EPA-04883 |
0005672
|
1 |
|
The EPA's interim release for FOIA request 2025-EPA-04883 includes proposed rule changes regarding the treatment and release of coke oven gases, with specific definitions and requests for revisions from SunCoke regarding heat recovery steam generators and bypass stacks.
|
2025 |
2025-EPA-04883 |
0005728
|
1 |
|
EPA must reconsider the performance testing schedule under section 63.7321 for particulate matter emissions, as the current requirements may impose redundant testing burdens on regulated entities like SunCoke, which were not adequately consulted during the rulemaking process.
|
2025 |
2025-EPA-04883 |
0005752
|
1 |
|
EPA's interim release dated September 10, 2025, includes a request from SunCoke to revise the definition of 'acceptable makeup water' and addresses typographical errors and inconsistent definitions of 'coke oven battery' in regulatory guidelines.
|
2025 |
2025-EPA-04883 |
0005758
|
1 |
|
U.S. Environmental Protection Agency correspondence dated March 31, 2025, details BASF's request for relief from compliance deadlines due to the unavailability of necessary technology and outlines the affected facilities and compliance challenges.
|
2025 |
2025-EPA-04883 |
0005802
|
1 |
|
A March 31, 2025 letter from Traci L. Forrester, Executive Vice President of Cleveland-Cliffs Inc., requests a two-year exemption from compliance deadlines in the final 11&S Rule, citing national security concerns related to domestic steel production.
|
2025 |
2025-EPA-04883 |
0005816
|
1 |
|
On March 31, 2025, Trinity submitted a request to the EPA for an exemption related to sterilization operations, citing potential national security impacts and the need for timely compliance with new regulations affecting their medical device manufacturing.
|
2025 |
2025-EPA-04883 |
0005818
|
1 |
|
EPA's Final Rule mandates the installation of three permanent total enclosures for chloroprene emissions from specific sources, raising concerns from the Environmental Affairs Manager about the technical challenges and safety implications of compliance.
|
2025 |
2025-EPA-04883 |
0005843
|
1 |
|
A March 31, 2025 letter from U.S. Steel to Hon. Lee M. Zeldin outlines significant concerns regarding the technical feasibility and compliance challenges of the EPA's new Coke RTR Rule for hydrogen cyanide emissions.
|
2025 |
2025-EPA-04883 |
0005863
|
1 |
|
A letter dated September 10, 2025, from Senators Sherrod Brown, Mike Braun, Robert P. Casey Jr., J.D. Vance, Amy Klobuchar, and Todd Young urges the EPA to grant petitions for reconsideration and stay requests regarding new steel industry regulations to ensure they are feasible and do not harm jobs.
|
2025 |
2025-EPA-04883 |
0005874
|
1 |
|
On March 31, 2025, U.S. Steel submitted comments to EPA regarding the Taconite RTR Rule, arguing that the new mercury limits are unachievable and that the agency ignored critical data and cost impacts during rulemaking.
|
2025 |
2025-EPA-04883 |
0005887
|
1 |
|
Letter from Hon. Lee M. Zeldin dated March 31, 2025, critiques the EPA's new rules affecting the domestic steel industry, urging reconsideration based on cost, technical errors, and stakeholder collaboration.
|
2025 |
2025-EPA-04883 |
0005893
|
1 |
|
A letter dated September 10, 2025, from Senators Sherrod Brown, Mike Braun, Robert P. Casey Jr., J.D. Vance, Amy Klobuchar, and Todd Young to the EPA urges the agency to grant petitions for reconsideration and stay requests regarding new steel industry regulations to ensure they are feasible and do not harm domestic production.
|
2025 |
2025-EPA-04883 |
0005900
|
1 |
|
A letter dated March 31, 2025, from William F. Cobb, Vice President of Freeport-McMoRan, requests a two-year compliance extension citing national security risks related to dependence on foreign copper sources, addressed to EPA Administrator Zeldin.
|
2025 |
2025-EPA-04883 |
0005906
|
1 |
|
A March 31, 2025, letter requests a two-year exemption from the compliance date of the Taconite Rule, citing concerns from U.S. Senators and the United Steelworkers about the impact on the domestic steel industry and national security.
|
2025 |
2025-EPA-04883 |
0005990
|
1 |
|
Indorama Ventures submitted a request for a two-year extension of compliance with applicable standards and limitations for its facility in Port Neches, Texas, under FOIA ID 2025-EPA-04883.
|
2025 |
2025-EPA-04883 |
0005994
|
1 |
|
Indorama Ventures submitted a request for an extension under CAA 112(i)(3) to the EPA, detailing the unavailability of technology to meet the HON Rule's requirements for process and wastewater management, citing significant engineering and permitting challenges.
|
2025 |
2025-EPA-04883 |
0005995
|
1 |
|
Indorama Ventures submitted comments on the EPA's Final Rule regarding pressure relief devices (PRDs), detailing compliance challenges and safety concerns related to venting emissions from their Port Neches Facility, dated September 10, 2025.
|
2025 |
2025-EPA-04883 |
0005996
|
1 |
|
Indorama Ventures submitted concerns regarding EPA's final rule on ethylene oxide production, citing increased emissions and safety risks from frequent shutdowns, as well as the infeasibility of fenceline monitoring requirements.
|
2025 |
2025-EPA-04883 |
0005998
|
1 |
|
EPA correspondence regarding FOIA request 2025-EPA-04883 discusses Indorama's request for an extension of compliance deadlines for Emission Control Projects at the Port Neches Facility, citing the need for additional time to ensure safety and compliance with the Final Rule.
|
2025 |
2025-EPA-04883 |
0006004
|
1 |
|
A letter from Niall McConville, President of SABIC Mt. Vernon Manufacturing, dated September 10, 2025, requests a two-year extension for compliance with the EPA's HON final rule, citing significant capital expenditures and operational impacts.
|
2025 |
2025-EPA-04883 |
0006011
|
1 |
|
On March 28, 2025, Olympus Power, LLC requested a two-year Presidential exemption from the revised MATS rule emissions standard for Northampton Generating Unit 1, addressing changes in compliance methodology and emissions limits.
|
2025 |
2025-EPA-04883 |
0006013
|
1 |
|
On March 26, 2025, Bradley D. Kohn, Vice President of Martin Marietta Magnesia Specialties, authorized the National Lime Association to request a two-year presidential exemption from compliance with the Lime Rule for their major source lime plants.
|
2025 |
2025-EPA-04883 |
0006033
|
1 |
|
On March 26, 2025, Mark Plantan, General Counsel of Magnesita Refractories Company, authorized the National Lime Association to request a two-year presidential exemption from compliance with the Lime Rule for their York Plant, citing national security interests.
|
2025 |
2025-EPA-04883 |
0006036
|
1 |
|
A letter from Richard J. Shaffer, Asset Manager at Scrubgrass Reclamation Company LP, dated September 10, 2025, requests an extension for regulatory compliance regarding National Emission Standards for Hazardous Air Pollutants, citing financial burdens and energy reliability concerns.
|
2025 |
2025-EPA-04883 |
0006039
|
1 |
|
EPA's interim release regarding FOIA request 2025-EPA-04883 discusses the environmental and national security implications of the Lime Rule, arguing for an extension of the compliance date to July 16, 2029, due to the essential role of lime in various industries.
|
2025 |
2025-EPA-04883 |
0006055
|
1 |
|
EPA FOIA request 2025-EPA-04883 details Schuylkill Energy Resources, Inc.'s request for delayed compliance until July 6, 2029, for its St. Nicholas Cogeneration Project, citing technical and financial challenges in meeting stricter emission standards.
|
2025 |
2025-EPA-04883 |
0006077
|
1 |
|
Talen Montana submitted comments to the EPA on September 10, 2025, opposing the proposed elimination of quarterly stack testing and PM continuous parameter monitoring systems for coal-fired electric generating units, arguing for the retention of these compliance options.
|
2025 |
2025-EPA-04883 |
0006119
|
1 |
|
On March 28, 2025, Big Rivers Electric Corporation requested a two-year exemption from the 0.010 lb/mmBtu particulate matter emission limit for the D.B. Wilson Station, citing compliance challenges despite recent upgrades.
|
2025 |
2025-EPA-04883 |
0006297
|
1 |
|
Mark W. Bertram, Director of Environmental Services at Big Rivers Electric Corporation, submitted a request for a 2-year exemption from EPA's revised emission standards, citing concerns over measurement accuracy and regulatory uncertainty, dated September 10, 2025.
|
2025 |
2025-EPA-04883 |
0006298
|
1 |
|
Shell Chemical LP, represented by Kevin J. Poch, requested a two-year extension to meet SOCMI HON requirements due to ongoing planning and capital expenditures, with potential for further extensions pending EPA's reconsideration of regulatory provisions.
|
2025 |
2025-EPA-04883 |
0006402
|
1 |
|
On February 21, 2025, H. Max Kelln of Faegre Drinker submitted a petition to EPA Administrator Lee Zeldin requesting relief for medical device manufacturers from compliance burdens under the revised Ethylene Oxide NESHAP, citing concerns over implementation timelines and the need for clearer exemption processes.
|
2025 |
2025-EPA-04883 |
0007866–0007869
|
4 |
|
Email correspondence from March 25, 2025, among EPA staff, including Marguerite McLamb and Jon Witt, discussing edits to a response letter for a compliance date extension request related to Coke Ovens (case # 25-02821-AO-EX).
|
2025 |
2025-EPA-04883 |
0007888–0007893
|
6 |
|
Email correspondence dated March 25, 2025, among EPA officials, including Marguerite McLamb and Jon Witt, regarding the Coke Ovens Quill response for Penny Lassiter's signature, discussing edits and compliance date extension requests under the Clean Air Act.
|
2025 |
2025-EPA-04883 |
0007894–0007899
|
6 |
|
Email correspondence from Avivah Jakob to John Millett and others on March 25, 2025, discusses the signing and upcoming posting of the Iron and Steel administrative stay, with notifications planned for the following day.
|
2025 |
2025-EPA-04883 |
0007910–0007913
|
4 |
|
Email correspondence dated March 21, 2025, among EPA officials including Lea Anderson, Gautam Srinivasan, and Robin Dunkins regarding edits to a draft announcement for compliance extension requests under Section 112(i)(4), with a deadline for posting by Monday.
|
2025 |
2025-EPA-04883 |
0007971–0007972
|
2 |
|
Email correspondence dated March 25, 2025, among EPA officials including Sonam Gill and John Millett discusses the posting of an administrative stay related to the Iron and Steel sector, confirming it will be made public at noon.
|
2025 |
2025-EPA-04883 |
0008022–0008025
|
4 |
|
Malcolm Langlois of Anduril Industries requested a Presidential Exemption from the EPA regarding National Emission Standards for Hazardous Air Pollutants for a proposed hazardous waste incinerator in McHenry, Mississippi, citing national security needs and potential delays due to upcoming regulatory changes.
|
2025 |
2025-EPA-04883 |
0012413–0012414
|
2 |
|
A February 20, 2025 letter to the EPA details additional information submitted by UCC regarding compliance time extensions for operations at the Dow St. Charles facility, including project specifics and relevant regulatory citations.
|
2025 |
2025-EPA-04883 |
0012419
|
1 |
|
On February 20, 2025, Nattaya Boonsombat of Dow Chemical submitted a request to EPA's Mary Greene for a one-year extension until July 15, 2027, for compliance with ethylene oxide requirements at the St. Charles Operations in Hahnville, Louisiana.
|
2025 |
2025-EPA-04883 |
0012420–0012431
|
12 |
|
A December 6, 2023 letter from nine U.S. Senators, including Sherrod Brown and J.D. Vance, to EPA Administrator Michael Regan expresses concerns over three proposed rules affecting the steel industry, arguing they could harm domestic production and national security.
|
2025 |
2025-EPA-04883 |
0012502–0012504
|
3 |
|
A December 6, 2023 letter from Senators Sherrod Brown, Mike Braun, Robert Casey Jr., Shelley Moore Capito, J.D. Vance, Joe Manchin, Amy Klobuchar, and Todd Young to EPA Administrator Michael S. Regan expresses concerns about three proposed rules affecting the steel industry, arguing they could harm domestic production and national security.
|
2025 |
2025-EPA-04883 |
0012570–0012572
|
3 |
|
A letter dated June 14, 2024, from Senators Sherrod Brown, Mike Braun, Robert P. Casey Jr., J.D. Vance, Amy Klobuchar, and Todd Young to EPA Administrator Michael S. Regan urges reconsideration and stays of three EPA rules affecting the U.S. steel industry.
|
2025 |
2025-EPA-04883 |
0012573–0012575
|
3 |
|
On March 31, 2025, Sasol Chemicals (USA) LLC submitted a request to the EPA for a presidential exemption from compliance obligations under the New Source Performance Standards and NESHAP for the Synthetic Organic Chemical Manufacturing Industry, citing national security and economic concerns.
|
2025 |
2025-EPA-04883 |
0012612–0012615
|
4 |
|
On March 31, 2025, DuPont Specialty Products USA, LLC submitted a request to the EPA for a two-year extension to comply with New Source Performance Standards and NESHAP regulations for its diamine unit at the Pontchartrain Site in La Place, Louisiana.
|
2025 |
2025-EPA-04883 |
0012616–0012618
|
3 |
|
TotalEnergies Petrochemicals & Refining USA, Inc. submitted a request to the EPA on March 31, 2025, seeking a two-year extension for compliance with New Source Performance Standards and NESHAP for its facilities in Port Arthur, Texas.
|
2025 |
2025-EPA-04883 |
0012635–0012637
|
3 |
|
On March 26, 2025, Lhoist North America's CEO, Philip Niemann, authorized the National Lime Association to request a two-year presidential exemption from compliance with the Lime Rule for several major source lime plants.
|
2025 |
2025-EPA-04883 |
0012706
|
1 |
|
Email correspondence between Ben Lieberman and Lou Hrkman on April 17, 2025, discusses concerns regarding appliance regulations, including the impact of new standards on costs and performance, and references a pending legal complaint against DOE regulations.
|
2025 |
DOE-HQ-2025-02714-F |
0020051–0020052
|
2 |
|
Attachment 1 from the Edison Electric Institute outlines strategies to meet growing electricity demand while ensuring economic growth and national security, emphasizing the need for streamlined permitting and regulatory frameworks as of February 2025.
|
2025 |
DOE-HQ-2025-02714-F |
0021452–0021454
|
3 |
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Email from Jeremy Harrell of ClearPath to Lou Hrkman at the Department of Energy on April 22, 2025, following up on a meeting and including attachments related to a NEPA CatEx proposal and geothermal drilling concepts.
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2025 |
DOE-HQ-2025-02714-F |
0021477
|
1 |
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Email correspondence from Thomas Catenacci to Ben Dietderich on May 12, 2025, discusses a draft press release about the Energy Department's reduction of 47 regulations as part of a major deregulatory initiative.
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2025 |
DOE-HQ-2025-02714-F |
0021582
|
1 |
|
Email from Jon K. Raby to Ashley A. Johnson and Paris J. Curry on January 24, 2025, discussing the implications of SO 3415 on BLM Oil and Gas APDs and Rights-of-Ways.
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2025 |
DOI-2025-004517 |
0015768
|
1 |
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Email from Scott J. Cameron to Colin F. Williams and others on March 2, 2025, discussing mine permitting timelines and referencing USGS publications on resource assessments and permitting durations.
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2025 |
DOI-2025-004517 |
0013936–0013937
|
2 |
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Email from Gregory Wischer on February 19, 2025, to multiple recipients discussing a briefing on the financial assurance rule and related recommendations in BOEM's action plan.
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2025 |
DOI-2025-004517 |
0016084
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1 |
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Email from Charles M. Dankert to Steve G. Tryon and Gregory P. Zerzan on February 22, 2025, discussing DOI's plans in response to CEQ's Interim Final Rule and guidance regarding NEPA implementation.
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2025 |
DOI-2025-004517 |
0016280–0016281
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2 |