DOI — Department of the Interior

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Summary Year FOIA ID Number Bates / Custodian Pages
The Bureau of Land Management (BLM) is planning to rescind a Permanent Instruction Memorandum regarding the consideration of greenhouse gas emissions and climate change effects in NEPA reviews, in light of the withdrawal of CEQ guidance, and aims to clarify the challenges of quantifying indirect emissions. 2017 1
The Bureau of Land Management (BLM) is planning to rescind a Permanent Instruction Memorandum regarding the consideration of greenhouse gas emissions and climate change effects in NEPA reviews, in light of the withdrawal of CEQ guidance, and aims to clarify the challenges of quantifying downstream emissions outside its jurisdiction. 2017 2
The Bureau of Land Management (BLM) is rescinding a Permanent Instruction Memorandum regarding the consideration of greenhouse gas emissions and climate change effects in NEPA reviews, following the withdrawal of CEQ guidance, and plans to issue clarified guidance to address challenges in quantifying indirect emissions. 2017 2
The Bureau of Land Management is finalizing its response to Executive Order 13783, with a draft divided into two parts for review and edits by Michael Nedd. 2017 43
The Bureau of Land Management (BLM) has revised its draft report on Executive Order 13783 regarding energy policy based on feedback from the Executive Secretary. 2017 85
The Bureau of Land Management (BLM) finalized and approved a report related to Executive Order 13783, focusing on energy policy, as communicated in internal emails among BLM officials. 2017 16
The Bureau of Land Management (BLM) is issuing a Permanent Instruction Memorandum to clarify the consideration of greenhouse gas emissions and climate change effects in National Environmental Policy Act (NEPA) reviews, following the withdrawal of previous guidance by the Council on Environmental Quality. 2017 3
The Bureau of Land Management (BLM) is revising its report on Executive Order 13783 in response to comments from leadership, with a deadline for submission by the end of the day. 2017 2
The U.S. Geological Survey (USGS) submitted a final assessment plan report in response to Secretarial Order No. 3352, outlining updated resource assessments for energy production in the North Slope of Alaska, specifically in the National Petroleum Reserve-Alaska and the Arctic National Wildlife Refuge. 2017 8
The memo from the United States Geological Survey (USGS) outlines a joint plan with the Bureau of Land Management (BLM) and the Bureau of Ocean Energy Management (BOEM) to update resource assessments in the National Petroleum Reserve-Alaska and the Arctic National Wildlife Refuge in response to Secretarial Order No. 3352, aimed at enhancing Alaskan energy production. 2017 14
The email correspondence from the U.S. Geological Survey discusses budget adjustments for the Arctic National Wildlife Refuge (ANWR) for 2018, including potential reductions in contractor support and salaries, and the need to identify funding sources within the agency. 2017 4
The U.S. Geological Survey is compiling a list of its top 10 priorities that align with the Secretary's goals, focusing on measurable and attainable outcomes for projects to be completed during the current administration. 2017 15
The email from Dee Williams of the USGS discusses an invitation for David Houseknecht to deliver a keynote address at the United States-Canada Northern Oil and Gas Research Forum in Anchorage, focusing on recent geological discoveries and their implications for petroleum management in the region. 2017 4
The US Geological Survey discusses potential funding mechanisms for sampling wells around the Arctic National Wildlife Refuge (ANWR) in order to analyze geochemical data, highlighting a possible $825K obligation for FY2017. 2017 1
The Department of the Interior directed the ASLM, ASWS, and USGS to submit a joint plan within 30 days for updating oil and natural gas resource assessments of Alaska's North Slope, focusing on federal lands and incorporating new geological data. 2017 11
The Department of the Interior directed the ASLM, ASWS, and USGS to submit a joint plan within 30 days for updating oil and natural gas resource assessments of Alaska's North Slope, emphasizing federal lands and new geological data. 2017 1
The Department of the Interior is directing the ASLM, ASWS, and USGS to submit a joint plan within 30 days for updating oil and natural gas resource assessments of Alaska's North Slope, specifically targeting federal lands. 2017 1
The Department of the Interior directed the ASLM, ASWS, and USGS to submit a joint plan within 30 days for updating oil and natural gas resource assessments in Alaska's North Slope, emphasizing federal lands. 2017 1
The Department of the Interior, specifically Katharine MacGregor, directed the ASLM, ASWS, and USGS to submit a joint plan within 30 days for updating oil and natural gas resource assessments of Alaska's North Slope, including new geological data considerations. 2017 1
The Department of the Interior directed the ASLM, ASWS, and USGS to submit a joint plan within 30 days for updating oil and natural gas resource assessments of Alaska's North Slope, including new geological data considerations. 2017 1
The email exchange between USGS officials discusses the preparation of a one-page summary on North Slope energy assessments and outlines the financial obligations for related projects in fiscal years 2017, 2018, and 2019, as part of a report for the Secretary of the Interior. 2017 75
The email exchange between Michael Gieryic of the U.S. Department of the Interior and David Houseknecht discusses a map related to the National Petroleum Reserve in Alaska (NPR-A) for a briefing for Secretary Zinke, highlighting recent discoveries in lease tracts. 2017 1
The email exchange between Michael Gieryic of the U.S. Department of the Interior and David Houseknecht discusses a map related to the National Petroleum Reserve in Alaska (NPR-A) for a briefing with Secretary Zinke, highlighting recent discoveries in lease tracts. 2017 1
The email exchange between Heather Saucier and David Houseknecht discusses the timeline for decisions regarding the opening of parts of the National Petroleum Reserve in Alaska (NPRA) and the Arctic National Wildlife Refuge (ANWR) following an announcement from the Department of the Interior. 2017 11
The email exchange between Heather Saucier and David Houseknecht discusses the timeline for decisions regarding the opening of parts of the National Petroleum Reserve in Alaska (NPRA) and the Arctic National Wildlife Refuge (ANWR) following an announcement from the Department of the Interior. 2017 1
The document is a meeting information request form from the U.S. Department of the Interior's Office of the Assistant Secretary for Water & Science, submitted by Paul Singarella of ProCo LLC, seeking to schedule a meeting regarding infrastructure solutions for water supplies in the western U.S. and referencing a deadline related to a memo from President Trump. 2016 3
The document discusses President Trump's business interests in Dubai, including the opening of the Trump International Golf Club and the ongoing construction of a Trump-branded golf course, while also noting his reluctance to embark on his first foreign trip as president. 2016 2
The Bureau of Ocean Energy Management (BOEM) is advised to clarify and improve its discussion of Marine Protected Areas (MPAs) in the Draft Programmatic Environmental Impact Statement (DPEIS), particularly regarding the definitions and implications of various MPAs, as their current characterization may lead to significant economic losses for leaseholders due to proposed closures. 2016 2
The document critiques the Bureau of Ocean Energy Management's (BOEM) Draft Programmatic Environmental Impact Statement (DPEIS) for its unclear acoustic analysis methods and failure to adequately justify the predicted impacts on marine mammals, particularly low-frequency (LF) and mid-frequency (MF) cetaceans. 2016 2
The document discusses objections from associations regarding proposed reductions in geological and geophysical exploration activities authorized by BOEM, arguing that these reductions lack legal basis and contradict existing mandates under the Outer Continental Shelf Lands Act (OCSLA) and the Marine Mammal Protection Act (MMPA). 2016 2
The document critiques the Draft Programmatic Environmental Impact Statement (DPEIS) by the National Oceanic and Atmospheric Administration (NOAA) for its inadequate Marine Mammal Effects Analysis related to seismic activities, arguing that it lacks scientific integrity, relies on inaccurate assumptions, and fails to consider necessary mitigation measures as required by the National Environmental Policy Act (NEPA). 2016 2
The Bureau of Ocean Energy Management (BOEM) discusses the long-term use of seismic air gun technology in U.S. waters, asserting that it has not adversely affected marine animal populations or commercial fishing, supported by extensive monitoring and research funding. 2016 2
The document discusses the Democratic Party's strategy for the 2018 elections, highlighting the challenges faced by moderate Democrats in Trump-friendly districts and the efforts of Senate Minority Leader Chuck Schumer and House Minority Leader Nancy Pelosi to promote a jobs package, while also noting John Sullivan's positive reception among State Department staff as he prepares to oversee restructuring efforts within the agency. 2016 2
The document critiques Appendix K of a government report for introducing unscientific concepts and metrics related to sound effects on marine life, particularly Bryde's whales, without adequate peer review or evidence, and calls for its elimination. 2016 2
The Bureau of Ocean Energy Management (BOEM) is advised to revise Appendix L of the Draft Programmatic Environmental Impact Statement (DPEIS) to align with the Settlement Agreement, as the economic impacts of Alternatives B-G could jeopardize the viability of geological and geophysical (G&G) activities in the Gulf of Mexico. 2016 2
The document discusses the Bureau of Ocean Energy Management's (BOEM) Draft Programmatic Environmental Impact Statement (DPEIS) regarding exclusion zones and shutdown procedures for marine mammals during seismic operations, emphasizing the need for evidence-based exclusion zones and clarifying the lack of shutdown requirements for dolphins. 2016 2
The document is a critique by Dr. Jill Lewandowski regarding the biased assumptions and inaccuracies in the effects analysis of the Draft Programmatic Environmental Impact Statement (DPEIS) conducted by an unspecified agency, highlighting that the exposure modeling significantly overestimates potential impacts on marine life. 2016 2
The document discusses the recruitment efforts by House Majority Leader Kevin McCarthy and California Republican Party Chairman Jim Brulte to persuade San Diego Mayor Kevin Faulconer to run for governor, amidst a competitive field of Republican candidates. 2016 2
The document discusses various media appearances and statements by President Trump's legal team and Senator Marco Rubio regarding the ongoing investigation by the special counsel, emphasizing that Trump is not under investigation and addressing concerns about potential firings related to the inquiry. 2016 2
The document discusses the Community Catalyst Action Fund's launch of a significant advertising campaign targeting Republican senators regarding Obamacare repeal, while also highlighting the competitive Georgia special election between Democrat Jon Ossoff and Republican Karen Handel as a potential indicator for the upcoming midterm elections. 2016 2
The document discusses the National Marine Fisheries Service's (NMFS) use of acoustic thresholds to assess potential harassment of marine animals under the Marine Mammal Protection Act (MMPA), highlighting concerns about the accuracy of these thresholds and the implications for animal welfare. 2016 2
The document critiques the Bureau of Ocean Energy Management's (BOEM) Draft Programmatic Environmental Impact Statement (DPEIS) for failing to adequately evaluate the environmental impacts of geophysical surveys in the Gulf of Mexico, urging corrections before finalizing the statement to avoid significant inconsistencies with regulatory processes. 2016 2
The document from the National Oceanic and Atmospheric Administration (NOAA) discusses the impact of seismic surveys on marine life, concluding that such activities do not harm fish populations or commercial fisheries, and emphasizes the importance of coordination with the U.S. Coast Guard to prevent disruptions to fishing operations. 2016 2
The document critiques the Bureau of Ocean Energy Management's (BOEM) economic analysis of proposed Alternatives E1, E2, and F regarding the potential impacts of oil and gas exploration activities, arguing that the agency's justifications for minimizing these impacts are flawed and misleading. 2016 2
The document discusses concerns raised by Dr. Jill Lewandowski regarding the impracticality of shutdown measures for marine mammals during seismic operations in the Gulf of Mexico, specifically requesting the Bureau of Ocean Energy Management (BOEM) to clarify that such requirements are not included in the final Programmatic Environmental Impact Statement (PEIS). 2016 2
The document is a critique from various associations directed at the Bureau of Ocean Energy Management (BOEM), arguing that the Draft Programmatic Environmental Impact Statement (DPEIS) inaccurately assesses the impact of seismic surveying on marine mammals, claiming it relies on flawed worst-case scenarios and lacks scientific support, thus violating the National Environmental Policy Act (NEPA). 2016 2
The document is a communication from Dr. Jill Lewandowski urging the Bureau of Ocean Energy Management (BOEM) to adopt only the mitigation measures in Alternative A and eliminate proposed seasonal restrictions for seismic surveys in coastal waters, citing a lack of scientific support and the closure of a related unusual mortality event. 2016 2
The document critiques the Bureau of Ocean Energy Management's (BOEM) Draft Programmatic Environmental Impact Statement (DPEIS) for its inaccurate and overly conservative analysis of the impacts of seismic activities on marine mammals, arguing that it violates NEPA standards by relying on flawed assumptions and failing to consider the best available information. 2016 2
The document is a critique by associations of the Bureau of Ocean Energy Management's (BOEM) Draft Programmatic Environmental Impact Statement (DPEIS), arguing that its conclusions about the impacts of seismic activities on marine mammals are based on an unlawful "worst case analysis" and flawed assumptions, contrary to NEPA regulations. 2016 2
The International Association of Geophysical Contractors and other industry associations submitted comments to the Bureau of Ocean Energy Management regarding the Draft Programmatic Environmental Impact Statement for geological and geophysical activities on the Gulf of Mexico Outer Continental Shelf. 2016 2
The document discusses the Bureau of Ocean Energy Management's (BOEM) authorization of geological and geophysical (G&G) activities under the Outer Continental Shelf Lands Act (OCSLA) to expedite exploration and development of offshore resources while addressing environmental safeguards and national energy needs. 2016 2
The document is a critique by Dr. Jill Lewandowski regarding the Draft Programmatic Environmental Impact Statement (DPEIS) from the Bureau of Ocean Energy Management (BOEM), arguing that it inaccurately overestimates the impact of geological and geophysical (G&G) activities on marine mammals and proposes impractical mitigation measures that contradict established scientific findings. 2016 2
The document discusses a campaign by the Illinois Policy Institute, backed by conservative donors, to encourage Illinois government workers to leave their unions by paying fair-share fees, coinciding with a Supreme Court case that could weaken public-sector unions. 2016 2
The document discusses the challenges faced by Congressional Republicans in passing a health-care plan, highlighting a procedural hearing on risk-sharing pools as a minimal effort to show progress, while also mentioning Ivanka Trump's outreach to Planned Parenthood for potential dialogue on abortion issues. 2016 2
The document discusses tensions within the Republican Party regarding health care reform, highlighting a disagreement between Senate Majority Leader Mitch McConnell and Senator Rob Portman over the pace of entitlement reform, as well as the stalled GOP agenda and diminishing media coverage of health care issues. 2016 2
The document discusses the Senate Intelligence Committee's investigation into potential financial improprieties related to the Trump campaign's connections to Russia, highlighting the recent receipt of over 2,000 financial documents from the Treasury Department following negotiations. 2016 2
The document discusses preparations by the Republican National Committee (RNC) and former Trump administration officials for the anticipated fallout from James Comey's testimony, with the White House directing media inquiries to outside counsel Marc Kasowitz's office. 2016 2
The document is a report prepared by IHS Global Inc. for Monroe Energy, LLC in April 2016, detailing obligated and non-obligated party lists related to oil markets and downstream consulting. 2016 HQ2017008402 77
The U.S. Environmental Protection Agency (EPA) responded to the U.S. Army Corps of Engineers regarding the Florida Department of Transportation's project 2015-01094, addressing concerns about compliance with the Clean Water Act Section 404(b)(1) Guidelines and considering new information provided by the Florida Department of Transportation. 2016 HQ2017008402 2
The Environmental Protection Agency (EPA) approved a revision to Arizona's state implementation plan regarding the Cholla Power Plant's best available retrofit technology requirements and withdrew the corresponding federal implementation plan provisions. 2016 HQ2017008402 60
The National Highway Traffic Safety Administration (NHTSA) partially granted a petition for rulemaking from the Alliance of Automobile Manufacturers and the Association of Global Automakers to consider amendments to the Corporate Average Fuel Economy (CAFE) regulations, opting for a notice and comment approach rather than a direct final rule. 2016 HQ2017008402 2
The National Association of Home Builders submitted comments to the U.S. Environmental Protection Agency regarding the Section 610 review of the Lead-Based Paint Activities and the Renovation, Repair, and Painting Program rule amendments. 2016 HQ2017008402 47
The document is a master list of 202 "rack sellers" identified by Valero from various sources, including market research and federal excise tax forms, as of April 2016, with details on corporate entities and their subsidiaries. 2016 HQ2017008402 2
The EPA is urged to grant petitions to expand the regulatory definition of "obligated party" under the Renewable Fuel Standard to align the point of obligation with compliance, aiming to alleviate financial burdens on merchant refiners and preserve jobs in the industry. 2016 HQ2017008402 2
Berkshire Hathaway Energy outlines its support for scientifically-based environmental regulations and emphasizes the importance of regulatory certainty in collaboration with the EPA, while advocating for respect for state authorities in environmental decision-making. 2016 HQ2017008402 5
The American Home Furnishings Alliance and other industry associations are urging the Trump Administration to improve or eliminate the EPA's Formaldehyde Emissions Standards for Composite Wood Products, citing concerns over supply chain disruptions, increased consumer prices, and potential job losses. 2016 HQ2017008402 3
The Environmental Protection Agency (EPA) is issuing a direct final rule to amend the National Emission Standards for Hazardous Air Pollutants from the Portland Cement Manufacturing Industry, allowing an alternative compliance method due to the unavailability of hydrogen chloride calibration gases for continuous emissions monitoring systems. 2016 HQ2017008402 18
The U.S. Environmental Protection Agency denied a petition from the National Association of Home Builders regarding the reconsideration of renovator recertification requirements established in a February 2016 rule, citing untimeliness and procedural issues under the Administrative Procedure Act and the Toxic Substances Control Act. 2016 HQ2017008402 14
Oklahoma Cogeneration, LLC petitions the U.S. Environmental Protection Agency for reconsideration of the "Cross-State Air Pollution Rule Update for the 2008 Ozone NAAQS" to recalculate nitrous oxide allowance allocations for its power plant, citing reliance on unrepresentative data that leads to significant allowance shortfalls. 2016 HQ2017008402 10
The document critiques the U.S. Environmental Protection Agency's (EPA) 2017 changes to the Risk Management Program (RMP) rule, arguing that the agency did not adequately justify the new regulatory requirements or demonstrate their effectiveness in improving chemical safety, despite receiving significant public opposition. 2016 HQ2017008402 2
The National Highway Traffic Safety Administration and the Environmental Protection Agency received a petition from the Alliance of Automobile Manufacturers and the Association of Global Automakers requesting a Direct Final Rule to address inconsistencies and inefficiencies between the Corporate Average Fuel Economy and greenhouse gas emissions regulations. 2016 HQ2017008402 21
Kinder Morgan Energy Partners, L.P. submitted a letter to EPA Administrator Gina McCarthy on November 16, 2016, opposing proposed changes to the point of obligation under the Renewable Fuel Standard, arguing that such changes would create market uncertainty and complicate regulatory enforcement. 2016 HQ2017008402 2
The U.S. Environmental Protection Agency received a letter from UPS opposing Valero's petition to change the definition of obligated parties under the Renewable Fuels Standards, citing concerns that such a shift would hinder renewable fuel adoption and highlighting flaws in the current RFS program. 2016 HQ2017008402 5
PCS Phosphate Company, Inc. submitted an Amended Petition for Reconsideration and Petition for Rulemaking to the U.S. Environmental Protection Agency to revise the MACT Floor Standard for mercury emissions from existing phosphate rock calciners. 2016 HQ2017008402 17
The U.S. Environmental Protection Agency is reviewing a petition from PCS Phosphate Company, Inc. for reconsideration of the final rule regarding phosphoric acid manufacturing and phosphate fertilizer production standards, as acknowledged in a letter from the Office of Air Quality Planning and Standards. 2016 HQ2017008402 3
The IPC--Association Connecting Electronics Industries is urging EPA Administrator-Designee Scott Pruitt to address regulatory burdens on manufacturers to enhance competitiveness and encourage recycling of industrial byproducts. 2016 HQ2017008402716 6
The Interagency Working Group on Social Cost of Greenhouse Gases, involving multiple U.S. government agencies, issued a Technical Support Document in August 2016 to update the social cost of carbon estimates based on expert advice and public comments, while addressing recommendations from the National Academies of Sciences regarding uncertainty in these estimates. 2016 BLM201800412 35
The document is a petition from the Alliance of Automobile Manufacturers and the Association of Global Automakers to the National Highway Traffic Safety Administration and the Environmental Protection Agency, requesting a Direct Final Rule to address inconsistencies and inefficiencies between the Corporate Average Fuel Economy and greenhouse gas emissions regulations. 2016 HQ2017008402716 22
The document discusses the updated estimates of the social cost of carbon (SCC) by the Department of Economics at Yale University, presenting a revised DICE model that calculates the SCC at $31 per ton of CO2 for 2015, with projections of a 3% annual increase through 2050. 2016 BLM201800412 8
The Bureau of Land Management (BLM) is discussing materials related to the internal comments and action plans for revising the BLM Mitigation Manual and Handbook, including compensatory mitigation strategies and decision-making instruments. 2016 BLM201800412 90
The National Bureau of Economic Research working paper by Matthew J. Kotchen discusses the theoretical foundations of the social cost of carbon (SCC) and the complexities surrounding the use of global versus domestic SCC in regulatory impact analysis, emphasizing the challenges of achieving international consensus on SCC values. 2016 BLM201800412 30
The Environmental Protection Agency is encouraging nominations for the White House Leadership Development Program, aimed at high-potential GS-15 employees, to enhance their leadership skills through cross-agency initiatives, with applications due by May 9, 2016. 2016 HQ2017008402 2
The U.S. Environmental Protection Agency received comments from Compsys and Structural Composites regarding their proposed rule on the protection of stratospheric ozone, specifically requesting a temporary allowance for the use of HFC-134a in their composite production processes until January 1, 2025. 2016 HQ2017008402 7
The document from the EPA lists various Premanufacture Notices (PMNs) received between June 1 and June 30, 2016, detailing the projected review dates, manufacturers, and intended uses of new chemical substances. 2016 HQ2017008402 2
The document discusses various topics, including the White House's plans for the National Day of Prayer, Vice President Mike Pence's push for religious-freedom legislation, President Trump's business ties in the Philippines, and a report revealing that the NSA collected over 151 million records of Americans' phone calls despite legal restrictions. 2015 2
The document discusses the Trump administration's plan to send a notification letter to Congress regarding the intention to renegotiate NAFTA, triggering a 90-day consultation period before official negotiations can begin. 2015 2
The document discusses industry feedback to the Department of the Interior (DOI) regarding air quality modeling assumptions in the Gulf of Mexico (GOM) air quality study and suggests creating an industry workgroup to improve collaboration and regulatory outcomes. 2015 2
The document discusses the Coalition for Affordable Prescription Drugs' message highlighting the role of Pharmacy Benefit Managers (PBMs) in providing affordable healthcare benefits and the significant savings generated through the use of generic medications. 2015 2
The document discusses various topics including a Gallup poll indicating increased public confidence in the government's ability to protect against terrorism, the recruitment of Andrew Weissmann to Special Counsel Robert Mueller's team for his expertise in persuading witnesses during investigations, and Mark Corallo's critical remarks on Twitter regarding President Trump and his family. 2015 2
The Environmental Protection Agency (EPA) has decided not to issue final regulations for financial responsibility requirements under CERCLA Section 108(b) for hardrock mining facilities, concluding that the risk of taxpayer-funded cleanups does not warrant such requirements. 2015 HQ2017008402 121
The United States Environmental Protection Agency (EPA) is responding to a permit application from the Florida Department of Transportation and Palm Beach County to fill 57.2 acres of freshwater wetlands for a roadway widening project along State Road 7, which would impact the Pond Cypress Natural Area and Grassy Waters Preserve, critical for local drinking water supply and ecological preservation. 2015 HQ2017008402 4
The American Petroleum Institute submitted comments to the U.S. Environmental Protection Agency regarding the draft Control Techniques Guidelines for the oil and natural gas industry, emphasizing the industry's significant reduction in methane emissions despite increased production. 2015 HQ2017008402 144
The email from Dennis Hedke to Samantha discusses his interest in a Senior Advisor position at the EPA, expressing his qualifications and desire to support Administrator Scott Pruitt's agenda to reverse previous EPA policies. 2015 HQ2017008402 1
The letter from Kansas State Representative Dennis E. Hedke to Dr. Terry Wallace of Los Alamos National Laboratory expresses concerns about misleading statements made during a presentation on energy security, specifically regarding predictions about global population and fishing populations. 2015 HQ2017008402 5
The Bureau of Land Management (BLM) is in the process of rescinding its final hydraulic fracturing rule from March 26, 2015, due to legal challenges and is proposing to revert to previous regulations while legislative efforts are underway to transfer regulatory authority to state agencies. 2015 OS201700602 25
The document is a petition for administrative reconsideration submitted to the U.S. Environmental Protection Agency by Compsys, Inc. and Structural Composites, Inc. regarding the final rule on stratospheric ozone substitutes under the Significant New Alternatives Policy Program. 2015 HQ2017008402 6
PCS Phosphate Company, Inc. submitted a Petition for Reconsideration and Request for Administrative Stay to the U.S. Environmental Protection Agency regarding the "Phosphoric Acid Manufacturing and Phosphate Fertilizer Production RTR and Standards of Performance for Phosphate Processing" final rule, citing unique grounds related to their facilities. 2015 HQ2017008402 626
The United States Environmental Protection Agency's Region 4 is responding to a permit application from the Florida Department of Transportation and Palm Beach County to fill 57.2 acres of freshwater wetlands for a roadway expansion project impacting the Pond Cypress Natural Area and Grassy Waters Preserve, which are crucial for local drinking water supply and ecological preservation. 2015 HQ2017008402 4
The Bureau of Land Management (BLM) is implementing Secretarial Order (S.O.) 3349, which focuses on promoting American energy independence by reviewing agency climate change actions, revoking S.O. 3330, and directing the identification of actions related to energy development and mitigation policies. 2015 BLM201800412 2
The Bureau of Land Management is discussing the Social Cost of Carbon (SCC) methodology and planning an updated literature review to assess region-specific damages and greenhouse gas estimates in light of a recent Executive Order. 2015 BLM201800412 3