|
Byron R. Brown from the EPA is coordinating a meeting with Brent de Jong of Castlelake to discuss the Mississippi Phosphates site, emphasizing the Administrator's focus on land cleanup programs.
|
2017 |
— |
ED_002061_00088426
Byron Brown
|
2 |
|
Byron R. Brown from the U.S. Environmental Protection Agency is confirming a scheduled conference call with Brent DeJong and Kirsten Djadoo to discuss Mississippi Phosphates.
|
2017 |
— |
ED_002061_00088422
Byron Brown
|
1 |
|
The email correspondence discusses the EPA's opening of nominations for key science boards, specifically addressing eligibility criteria for in-house scientists to serve on the Advisory Boards.
|
2017 |
— |
ED_002061_00086970
Byron Brown
|
2 |
|
The letter from U.S. Senators to EPA Administrator Scott Pruitt requests reconsideration of the classification of iron ore mining as high risk under CERCLA 108(b) due to its low environmental impact and existing state regulations in Minnesota.
|
2017 |
— |
ED_002061_00086622
Byron Brown
|
1 |
|
The EPA meeting on June 20, 2017, discussed the AISI's recommendation to include iron ore mining in the list of low-risk mining classes excluded from the hardrock mining definition under CERCLA 108b, highlighting the industry's reliance on the domestic steel sector and its recent economic challenges.
|
2017 |
— |
ED_002061_00086721
Byron Brown
|
4 |
|
The EPA is urged by the AISI to include iron ore mining in the list of low-risk mining classes excluded from the hardrock mining definition in the CERCLA 108b proposal, highlighting the industry's reliance on the domestic steel sector and its recent economic challenges.
|
2017 |
— |
ED_002061_00086797
Byron Brown
|
4 |
|
The email exchange between Paul Balserak of the American Iron and Steel Institute and Byron Brown from the EPA discusses scheduling challenges and communication delays related to their ongoing collaboration.
|
2017 |
— |
ED_002061_00086895
Byron Brown
|
1 |
|
The email from Leland Frost of the National Association of Manufacturers to Byron Brown discusses a potential meeting to chat further after their previous encounter at a reception.
|
2017 |
— |
ED_002061_00087112
Byron Brown
|
1 |
|
The email exchange involves Mandy Gunasekara from the EPA coordinating a call with Paul Balserak from the American Iron and Steel Institute, facilitated by Byron Brown, to discuss air policy matters.
|
2017 |
— |
ED_002061_00087191
Byron Brown
|
2 |
|
The email correspondence between Rashid G. Hallaway and Byron Brown of the EPA discusses scheduling a meeting to discuss the CCR rule with Paul Bailey, CEO of the American Coalition for Clean Coal Electricity.
|
2017 |
— |
ED_002061_00087332
Byron Brown
|
1 |
|
The email from Rashid G. Hallaway to Byron Brown thanks him for a meeting and mentions a follow-up regarding potential compliance costs and requirements related to the Sierra Club v. EPA case.
|
2017 |
— |
ED_002061_00087233
Byron Brown
|
1 |
|
The email exchange between Paul Balserak of the American Iron and Steel Institute and Byron Brown of the EPA discusses scheduling a meeting to address several issues.
|
2017 |
— |
ED_002061_00087405
Byron Brown
|
2 |
|
The email from Kenneth Wagner, a Senior Advisor at the EPA, discusses a follow-up on a meeting regarding the CCR Rule with Santee Cooper representatives, highlighting the importance of engaging with stakeholders.
|
2017 |
— |
ED_002061_00087516
Byron Brown
|
1 |
|
Rashid G. Hallaway from HHQ Ventures arranged a meeting with Byron Brown, Deputy Chief of Staff for Policy at the EPA, to discuss the CCR rule with Paul Bailey, CEO of the American Coalition for Clean Coal Electricity.
|
2017 |
— |
ED_002061_00087471
Byron Brown
|
1 |
|
The email from Paul Balserak discusses a meeting with Barnes Johnson regarding CERCLA 108b hardrock mining, addressed to Byron Brown.
|
2017 |
— |
ED_002061_00087845
Byron Brown
|
1 |
|
Byron R. Brown, Deputy Chief of Staff for Policy at the U.S. Environmental Protection Agency, reached out to Martin Doern from Xcel Energy to share contact information following a recent meeting.
|
2017 |
— |
ED_002061_00088191
Byron Brown
|
1 |
|
The email exchange involves Byron Brown, Deputy Chief of Staff for Policy at the U.S. Environmental Protection Agency, expressing appreciation for the challenges faced by a former EPA employee, in the context of the Sierra Club v. EPA case.
|
2017 |
— |
ED_002061_00088033
Byron Brown
|
1 |
|
The email from Eric Brown, Deputy Director of Federal Relations for the State of Michigan, discusses the submission of a list of drinking water and wastewater projects to the EPA as part of the White House's infrastructure initiative.
|
2017 |
— |
ED_002061_00087812
Byron Brown
|
2 |
|
The email from Todd D. Young of U.S. Steel discusses an update regarding the company's request for mediation on the Regional Haze Federal Implementation Plan (FIP) for Taconite, following the denial of petitions for reconsideration by the previous administration, and is addressed to Byron Brown at the EPA.
|
2017 |
— |
ED_002061_00086856
Byron Brown
|
3 |
|
The email from Holland & Knight discusses the delivery of a Portland Harbor Sampling Plan summary to EPA Region 10, indicating that the potentially responsible party (PRP) group is open to proceeding with cleanup work on a parallel track, while the region is considering a longer five-year sampling plan.
|
2017 |
— |
ED_002061_00086393
Byron Brown
|
1 |
|
The email from Dimitri Karakitsos of Holland & Knight LLP to Byron Brown discusses a call regarding a letter to the EPA related to the Sierra Club v. EPA case.
|
2017 |
— |
ED_002061_00086494
Byron Brown
|
1 |
|
The email from Mandy Gunasekara of the EPA discusses scheduling a conference call regarding Fitzgerald Trucking for Tuesday at 10 AM, coordinating with other participants.
|
2017 |
— |
ED_002061_00086399
Byron Brown
|
2 |
|
The email from Mandy Gunasekara of the EPA discusses scheduling a call with attorneys regarding heavy-duty truck issues in preparation for an upcoming meeting.
|
2017 |
— |
ED_002061_00086278
Byron Brown
|
2 |
|
The email correspondence between T.A. Hawks of Monument Policy Group and Byron Brown of the EPA discusses scheduling a meeting to follow up on Bloom Energy's request for a manufacturing process unit exemption under RCRA.
|
2017 |
— |
ED_002061_00086508
Byron Brown
|
2 |
|
The email from Holland & Knight LLP discusses the Sierra Club v. EPA case (18cv3472 NDCA) and includes attachments related to the Rooftop Caucus scheduled for June 29, 2017.
|
2017 |
— |
ED_002061_00086661
Byron Brown
|
1 |
|
The email from Dimitri Karakitsos of Holland & Knight LLP is a follow-up regarding the Sierra Club v. EPA case, checking in on the usefulness of previously sent information and offering further assistance.
|
2017 |
— |
ED_002061_00086505
Byron Brown
|
1 |
|
The email from Todd D. Young discusses the denial of U.S. Steel's petitions related to environmental regulations, specifically referencing a response from the EPA and mentioning a legal case involving the Sierra Club.
|
2017 |
— |
ED_002061_00086678
Byron Brown
|
1 |
|
The IPC-Association Connecting Electronic Industries expresses concerns about the Draft Situation Assessment Report regarding a negotiated rulemaking process to limit Chemical Data Reporting Requirements for certain inorganic byproducts under the Toxic Substances Control Act, emphasizing the need for accurate background information and proper interpretation of statutory requirements.
|
2017 |
— |
ED_002061_00086829
Byron Brown
|
3 |
|
The email from Dimitri Karakitsos of Holland & Knight LLP is a request for a quick call regarding the Sierra Club v. EPA case (18cv3472 NDCA).
|
2017 |
— |
ED_002061_00086845
Byron Brown
|
1 |
|
The document discusses a Baseline Study related to the Remedial Design for the Portland Harbor remediation project, organized by the EPA and scheduled for June 27, 2017, at the Central Library in Portland, OR.
|
2017 |
— |
ED_002061_00086912
Byron Brown
|
1 |
|
The email from Dimitri Karakitsos of Holland & Knight LLP discusses a follow-up on Superfund issues, specifically related to Indiana, and requests a meeting with Byron Brown from the EPA to discuss the matter further.
|
2017 |
— |
ED_002061_00087092
Byron Brown
|
1 |
|
The email correspondence between Rich Gold of Holland & Knight and Byron Brown of the EPA discusses scheduling a meeting with executives from the Orange County Water District.
|
2017 |
— |
ED_002061_00087203
Byron Brown
|
2 |
|
The email from Donald K. Shandy discusses a summary of issues and concerns related to the Phase 2 engine rule for the EPA, indicating ongoing communication and consideration of these matters.
|
2017 |
— |
ED_002061_00087315
Byron Brown
|
1 |
|
The U.S. Environmental Protection Agency is presenting a draft sampling plan for the Portland Harbor site, which requires private parties to conduct a new Remedial Investigation estimated to take at least five years and cost between $25-30 million.
|
2017 |
— |
ED_002061_00087452
Byron Brown
|
1 |
|
The EPA's June 13, 2017 email outlines the Draft Baseline Sampling Plan for the Portland Harbor Superfund Site, emphasizing collaboration with local stakeholders to accelerate cleanup and redevelopment efforts following the Record of Decision.
|
2017 |
— |
ED_002061_00087455
Byron Brown
|
2 |
|
The U.S. Environmental Protection Agency is assessing the situation to establish a negotiated rulemaking process aimed at limiting chemical data reporting requirements for certain inorganic byproducts under the Toxic Substances Control Act.
|
2017 |
— |
ED_002061_00086828
Byron Brown
|
26 |
|
The email correspondence involves scheduling a meeting regarding Fitzgerald Trucking, with participants from the EPA and legal representatives, highlighting conflicts in availability for a key attendee.
|
2017 |
— |
ED_002061_00087938
Byron Brown
|
3 |
|
The email from Rich Gold to Byron Brown discusses the delivery of a draft Pre-RD Group Scoping Memo to the EPA, involving multiple stakeholders from various companies.
|
2017 |
— |
ED_002061_00088051
Byron Brown
|
2 |
|
The email involves Byron Brown from the EPA discussing a meeting with Mr. Herrgott while coordinating with Dimitri Karakitsos from Holland & Knight regarding a potential catch-up between 3:30 and 4 PM.
|
2017 |
— |
ED_002061_00088171
Byron Brown
|
1 |
|
Byron Brown from the EPA informs Dimitri Karakitsos from Holland & Knight that he is in a meeting and will be available after 4:30 PM to discuss matters related to the CEQ.
|
2017 |
— |
ED_002061_00088166
Byron Brown
|
1 |
|
Byron Brown from the EPA confirms a lunch appointment with Dimitri Karakitsos from Holland & Knight, suggesting a time change from 12:15 PM to 12:00 PM.
|
2017 |
— |
ED_002061_00088153
Byron Brown
|
2 |
|
Byron Brown from the EPA is coordinating with Dimitri Karakitsos from Holland & Knight regarding updates on NPL litigation and the Bissel issue, indicating a potential meeting to discuss flexible solutions that were previously vetoed by headquarters.
|
2017 |
— |
ED_002061_00088336
Byron Brown
|
2 |
|
The email from Paul Balserak of the American Iron and Steel Institute discusses two letters from congressional representatives urging the EPA to abandon the Obama-era CERCLA Rule affecting the iron ore mining industry, highlighting concerns over regulatory burdens.
|
2017 |
— |
ED_002061_00086621
Byron Brown
|
4 |
|
The U.S. Small Business Administration's Office of Advocacy submitted comments to the EPA urging the withdrawal of proposed financial responsibility requirements for the hardrock mining industry, arguing that the regulations would impose unnecessary costs on small mines already adequately regulated by existing state and federal programs.
|
2017 |
— |
ED_002061_00086634
Byron Brown
|
18 |
|
The Iron Mining Association of Minnesota submitted comments to the EPA opposing proposed financial responsibility regulations under CERCLA 108(b) for the hardrock mining industry, arguing that the requirements would impose undue financial burdens on iron ore mining operations without public benefit.
|
2017 |
— |
ED_002061_00086798
Byron Brown
|
2 |
|
The email from Lee Forsgren of the EPA discusses coordinating with Alaska's Department of Natural Resources on maritime issues, specifically regarding a sinking ship, and indicates that Crystal Penman will arrange a meeting to address the matter.
|
2017 |
— |
ED_002061_00086202
Byron Brown
|
2 |
|
The email from Paul Balserak of the American Iron and Steel Institute thanks Byron Brown for discussing CERCLA 108b hardrock mining issues and offers to provide further information on iron ore mining concerns.
|
2017 |
— |
ED_002061_00086995
Byron Brown
|
1 |
|
The memorandum from Tom Sorel, Director of the North Dakota Department of Transportation, to the Environmental Protection Agency discusses the state's urgent infrastructure needs totaling over $2.6 billion for various roadway projects and advocates for a formula-based funding approach to efficiently address these needs.
|
2017 |
— |
ED_002061_00086871
Byron Brown
|
3 |
|
The email exchange between Aaron Cutler and Byron Brown discusses scheduling a meeting to gather information about the future of the EPA SmartWay program and the California waiver, as well as to address technical issues related to testing methodologies in the program.
|
2017 |
— |
ED_002061_00086570
Byron Brown
|
2 |
|
Holland & Knight is hosting a Rooftop Par-tee on June 29, 2017, for members of its Public Policy & Regulation Group, while ensuring compliance with House and Senate ethics rules related to the event.
|
2017 |
— |
ED_002061_00086663
Byron Brown
|
2 |
|
The email from Patrick Davis of the Environmental Protection Agency indicates that he will not attend a call regarding a discussion with the IPC CEO and suggests that Nancy Beck is better suited to address the topic.
|
2017 |
— |
ED_002061_00086744
Byron Brown
|
4 |
|
The Environmental Protection Agency denies petitions from U.S. Steel Corporation requesting reconsideration and stay of final rulemakings related to Regional Haze and Best Available Retrofit Technology emission limits for taenite facilities in Michigan and Minnesota.
|
2017 |
— |
ED_002061_00086679
Byron Brown
|
14 |
|
The email from Brent de Jong discusses the need for a systematic reappraisal of the uses of phosphogypsum, highlighting environmental concerns and regulatory needs, in the context of a technical call involving multiple stakeholders.
|
2017 |
— |
ED_002061_00086814
Byron Brown
|
5 |
|
The EPA organized a planning meeting on May 9-10, 2017, to discuss the Chemical Data Reporting (CDR) for Inorganic Byproducts and the Negotiated Rulemaking Committee's mandate, including industry reporting practices and regulatory requirements under CDR, TRI, and RCRA.
|
2017 |
— |
ED_002061_00086830
Byron Brown
|
2 |
|
The email from Steve Ingham of SmartTruck Aero to Byron Brown discusses their support for the alignment of aerodynamic technologies with GHG Phase 2 regulations and offers assistance to the EPA.
|
2017 |
— |
ED_002061_00087001
Byron Brown
|
1 |
|
The email from Holland & Knight LLP discusses an upcoming public meeting by the EPA regarding a baseline study, scheduled for June 27, 2017, related to the Sierra Club v. EPA case.
|
2017 |
— |
ED_002061_00086911
Byron Brown
|
1 |
|
John Ward is proposing to Byron Brown that the EPA incorporate information about coal ash recycling into the EPA museum, suggesting a meeting with relevant agency personnel to discuss this idea.
|
2017 |
— |
ED_002061_00087075
Byron Brown
|
1 |
|
The email exchange between Byron Brown of the EPA and Aaron Cutler of Hogan Lovells discusses a meeting arrangement and expresses gratitude for their prior discussion.
|
2017 |
— |
ED_002061_00087028
Byron Brown
|
1 |
|
The email from Holland & Knight LLP discusses the Sierra Club v. EPA case and includes a document related to the Environmental Protection Agency, indicating legal correspondence regarding the case.
|
2017 |
— |
ED_002061_00087102
Byron Brown
|
1 |
|
The email exchange between Aaron Cutler and Byron Brown discusses a meeting scheduled for the following morning, with Brown, the Deputy Chief of Staff for Policy at the U.S. Environmental Protection Agency, inquiring about any materials to review in advance.
|
2017 |
— |
ED_002061_00087118
Byron Brown
|
1 |
|
The Oregon Department of Environmental Quality urges the Environmental Protection Agency to expedite the implementation of the Record of Decision for the Portland Harbor Superfund Site to address significant health and environmental risks from contamination.
|
2017 |
— |
ED_002061_00087104
Byron Brown
|
3 |
|
The email from Rich Gold of Holland & Knight discusses a recent meeting regarding the cleanup efforts involving potentially responsible parties (PRPs) and the need for input from tribes and the Oklahoma Department of Environmental Quality (ODEQ), while expressing concerns about the scope and timeline of the proposed plans.
|
2017 |
— |
ED_002061_00087130
Byron Brown
|
1 |
|
The document is an initial opening brief filed by Aimco Michigan Meadows Holdings, LLC and Genuine Parts Company in the U.S. Court of Appeals for the D.C. Circuit, challenging a decision made by the United States Environmental Protection Agency.
|
2017 |
— |
ED_002061_00087093
Byron Brown
|
70 |
|
The email from Rosemarie Kelley of the EPA's Office of Civil Enforcement informs Brent de Jong about the appropriate contact in the Office of Radiation and Indoor Air for inquiries regarding the re-use of phosphogypsum due to its radioactivity.
|
2017 |
— |
ED_002061_00087192
Byron Brown
|
5 |
|
The email from Rob Lehman of WilmerHale to EPA officials discusses seeking insights on next steps regarding gliders in the context of the Sierra Club v. EPA case.
|
2017 |
— |
ED_002061_00087325
Byron Brown
|
1 |
|
The email from T.A. Hawks of Monument Policy Group to Byron Brown discusses a follow-up on a request for a manufacturing process unit exemption under RCRA related to Bloom Energy, seeking to schedule a meeting to discuss the status of the request.
|
2017 |
— |
ED_002061_00087351
Byron Brown
|
2 |
|
The document is a memorandum from Fitzgerald Truck Parts to the EPA discussing issues with the Phase 2 Emissions and Fuel Efficiency Standards for Medium- and Heavy-Duty Engines and Vehicles, specifically arguing that glider vehicles should not be classified as "new" vehicles under the regulation.
|
2017 |
— |
ED_002061_00087316
Byron Brown
|
7 |
|
The email from T.A. Hawks of Monument Policy Group to Byron Brown discusses a follow-up on a request for a manufacturing process unit exemption under RCRA related to Bloom Energy, seeking to schedule a conversation about the status of the request.
|
2017 |
— |
ED_002061_00087432
Byron Brown
|
1 |
|
The email discusses the EPA's draft sampling plan for the Portland Harbor, highlighting concerns about the plan's extensive timeline and costs, and indicating that private parties are being asked to redo the remedial investigation.
|
2017 |
— |
ED_002061_00087400
Byron Brown
|
1 |
|
Todd D. Young from the EPA is following up with Byron Brown regarding a court deadline related to the Sierra Club v. EPA case after Administrator Pruitt's remarks at a joint steel association meeting.
|
2017 |
— |
ED_002061_00087629
Byron Brown
|
1 |
|
The email from Kenneth Kastner of Hogan Lovells to Byron Brown discusses a meeting with Bloom Energy and includes an attachment of the 1990 RCRA Hotline Summary referenced in a previous memo related to the Sierra Club v. EPA case.
|
2017 |
— |
ED_002061_00087677
Byron Brown
|
1 |
|
The email from Paul Balserak discusses planning a meeting regarding steel issues with Samantha and invites Byron Brown to participate, while Balserak is currently traveling in Taiwan.
|
2017 |
— |
ED_002061_00086372
Byron Brown
|
1 |
|
The email from Leland Frost of the National Association of Manufacturers informs recipients about the invitation to NAM's holiday party and requests RSVPs due to capacity limits.
|
2017 |
— |
ED_002061_00086370
Byron Brown
|
1 |
|
The email correspondence between Byron Brown of the EPA and Paul Balserak discusses scheduling a meeting, including a separate invite for a meeting with Sarah Greenwait on June 20, 2017.
|
2017 |
— |
ED_002061_00086482
Byron Brown
|
1 |
|
The email from Kevin Bromberg of the SBA Office of Advocacy discusses the agency's comment letter regarding the withdrawal of the EPA's 108(b) proposal and outlines the need for further regulatory support and discussions on mining and other industries by the December 1, 2017 deadline.
|
2017 |
— |
ED_002061_00086633
Byron Brown
|
1 |
|
The letter from representatives of the U.S. iron ore mining industry to EPA Administrator Scott Pruitt expresses concerns about the inclusion of the iron ore industry in the proposed CERCLA 108(b) hardrock mining financial assurance regulations, arguing that it poses a low Superfund risk and should be excluded to protect jobs in Minnesota and Michigan.
|
2017 |
— |
ED_002061_00086623
Byron Brown
|
2 |
|
The email from Paul Balserak to Byron Brown discusses comments and materials submitted to the EPA regarding the CERCLA 108b proposed rule for hardrock mining, specifically addressing concerns about the inclusion of iron ore mining in high-risk categories and the potential compliance challenges for the industry.
|
2017 |
— |
ED_002061_00086794
Byron Brown
|
1 |
|
The Michigan Department of Environmental Quality expressed concerns to the U.S. Environmental Protection Agency regarding the proposed financial assurance rule under CERCLA for hardrock mining facilities, advocating for site-specific considerations rather than a one-size-fits-all approach.
|
2017 |
— |
ED_002061_00086799
Byron Brown
|
2 |
|
The American Iron and Steel Institute submitted comments to the U.S. Environmental Protection Agency opposing proposed financial responsibility requirements for iron ore mining under CERCLA 108(b), arguing that the regulations would impose unnecessary financial burdens on the industry.
|
2017 |
— |
ED_002061_00086795
Byron Brown
|
37 |
|
The email correspondence between Paul Balserak of the American Iron and Steel Institute and Byron Brown of the EPA discusses scheduling a meeting to address several issues.
|
2017 |
— |
ED_002061_00087720
Byron Brown
|
1 |
|
The email from the EPA discusses the agency's need for eight years and $100 million in data gathering, prompting a meeting cancellation on June 23, 2017.
|
2017 |
— |
ED_002061_00087530
Byron Brown
|
10 |
|
Byron Brown from the EPA is requesting assistance from Nick Goldstein and David Bauer in identifying "shovel ready" infrastructure projects that lack funding for the White House's infrastructure initiative.
|
2017 |
— |
ED_002061_00087839
Byron Brown
|
1 |
|
The email from Todd D. Young to Byron Brown inquires about the availability of information regarding the denial of petitions or refusal to mediate related to the Sierra Club v. EPA case.
|
2017 |
— |
ED_002061_00087958
Byron Brown
|
1 |
|
The email correspondence involves Heidi Hansen from the Alaska Department of Natural Resources (DNR) coordinating with Lee Forsgren from the Environmental Protection Agency (EPA) to discuss maritime issues, including ship disposal, and arranging a meeting with Crystal Penman.
|
2017 |
— |
ED_002061_00086191
Byron Brown
|
3 |
|
Byron Brown from the EPA is coordinating a phone meeting with Dimitrios Karakitsos from Holland & Knight to discuss Superfund issues, including a specific matter related to Indiana.
|
2017 |
— |
ED_002061_00088245
Byron Brown
|
2 |
|
The email from Dimitri Karakitsos of Holland & Knight LLP discusses the ongoing work related to the City of Portland's Superfund Tax Reinstatement Act Resolution and suggests a follow-up on potential updates regarding Indiana.
|
2017 |
— |
ED_002061_00088061
Byron Brown
|
1 |
|
The email from Byron Brown at the EPA indicates that the Office of Policy and Planning (OPP) and the Office of General Counsel (OGC) are reviewing the Sierra Club v. EPA case, with Patrick leading the effort and expected to provide updates soon.
|
2017 |
— |
ED_002061_00088145
Byron Brown
|
1 |
|
The scoping memorandum from Geosyntec Consultants outlines proposed pre-remedial design investigation studies for the Portland Harbor Superfund Site, aimed at refining sediment management areas and supporting the allocation of the selected remedy as part of the EPA's remediation efforts.
|
2017 |
— |
ED_002061_00088057
Byron Brown
|
29 |
|
Byron Brown from the EPA discusses scheduling a brief meeting with Dimitri Karakitsos from Holland & Knight after a CEQ meeting on October 12, 2017.
|
2017 |
— |
ED_002061_00088163
Byron Brown
|
1 |
|
The Environmental Protection Agency (EPA) proposed the 2018 Renewable Volume Obligations (RVOs) for the Renewable Fuel Standard, maintaining the conventional biofuel target at 15 billion gallons and signaling the administration's support for renewable fuels, while Growth Energy emphasizes the need for more certainty regarding advanced biofuel levels.
|
2017 |
— |
ED_002061_00088031
Byron Brown
|
2 |
|
The Florida Department of Environmental Protection submitted comments to the EPA regarding concerns over the proposed financial responsibility requirements under CERCLA, highlighting issues with risk information and potential impacts on state regulations for phosphate mining.
|
2016 |
— |
ED_002061_00087717
Byron Brown
|
11 |
|
The document is a submission of comments by a coalition of industry organizations to the U.S. Environmental Protection Agency regarding concerns over the proposed financial responsibility requirements under CERCLA 108(b) for the hard rock mining industry.
|
2015 |
— |
ED_002061_00086796
Byron Brown
|
28 |
|
The document discusses proposed regulatory changes by the U.S. Environmental Protection Agency to allow the importation of precious metal-bearing wastes for recycling, aiming to enhance the competitiveness of the American precious metals recycling industry by creating an exclusion under the Resource Conservation and Recovery Act.
|
2015 |
— |
ED_002061_00088022
Byron Brown
|
1 |
|
The U.S. Environmental Protection Agency is being urged by U.S. Steel Corporation to reconsider the uniform regional haze limits imposed on its Minnesota facilities, following the agency's acknowledgment that such standards are not feasible based on new data and previous administrative and judicial petitions filed by U.S. Steel.
|
2013 |
— |
ED_002061_00086857
Byron Brown
|
3 |
|
The Biogenic CO2 Coalition, supported by various agricultural associations, criticizes the EPA for regulating agricultural biogenic CO2 emissions as harmful pollutants, arguing that such actions impose unnecessary costs on farmers and users of farm products while undermining the economic potential of the bioeconomy.
|
2013 |
— |
ED_002061_00087398
Byron Brown
|
2 |
|
The document outlines NW Natural's ongoing efforts and collaboration with the EPA to implement the Record of Decision for the Portland Harbor Superfund Site, specifically focusing on the remedial design work for the Gasco site and the development of technical evaluations to support the project.
|
2001 |
— |
ED_002061_00087349
Byron Brown
|
2 |
|
The EPA's May 1990 RCRA/Superfund/OUST Hotline Monthly Report clarifies that the exemption under 40 CFR Section 261.4(c) for hazardous waste does not apply to a petroleum refining facility that disassembles a heat exchanger for off-site cleaning, as this could lead to potential hazardous waste releases.
|
1990 |
— |
ED_002061_00087678
Byron Brown
|
1 |
|
The City of Portland, led by Mayor Ted Wheeler, is supporting the reinstatement of the Superfund tax to alleviate the financial burden on taxpayers for cleaning up hazardous waste sites and expedite the cleanup process managed by the Environmental Protection Agency (EPA).
|
1980 |
— |
ED_002061_00088062
Byron Brown
|
2 |
|
The document outlines the estimated costs and scope of Phase 1 pre-design studies for a project involving sediment and fish contamination assessments, prepared by the EPA, with a total estimated cost ranging from $9,870K to $16,734K.
|
— |
— |
ED_002061_00086394
Byron Brown
|
2 |
|
The Environmental Protection Agency (EPA) outlines the general permit requirements for the transportation and disposal of vessels in the ocean, detailing necessary pre-disposal information and environmental considerations.
|
— |
— |
ED_002061_00087467
Byron Brown
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2 |