|
The email from Matthew Holmes of the National Rural Water Association (NRWA) to Sarah Greenwalt at the EPA discusses the FY18 appropriations request and follows up on a recent meeting regarding technical assistance grants, highlighting ongoing negotiations for a cooperative agreement and upcoming grant announcements.
|
2017 |
— |
ED_002061_00107700
Sarah Greenwalt
|
2 |
|
The email exchange between Sydney Hupp, Executive Scheduler at the EPA, and Sam Wade from the National Rural Water Association discusses scheduling a meeting with Administrator Pruitt, including a request for details to populate the Administrator's calendar.
|
2017 |
— |
ED_002061_00107723
Sarah Greenwalt
|
4 |
|
The email from Matthew Holmes of the National Rural Water Association thanks EPA Administrator Pruitt for a meeting and discusses ongoing negotiations for a cooperative agreement related to technical assistance grants for small water systems, while also mentioning the upcoming release of a new round of grants.
|
2017 |
— |
ED_002061_00108050
Sarah Greenwalt
|
2 |
|
The email correspondence between Tracy Mehan of the American Water Works Association and Macara Lousberg from the U.S. EPA discusses the invitation for EPA Administrator Pruitt to speak at the AWWA's ACE '17 conference, confirming that he is unavailable and that no substitute will be sought.
|
2017 |
— |
ED_002061_00107792
Sarah Greenwalt
|
2 |
|
The letter from U.S. Senators urges EPA Administrator Scott Pruitt to allocate technical assistance funding to organizations under the Grassroots Rural and Small Community Water Systems Assistance Act to support small and rural communities in complying with water safety regulations.
|
2017 |
— |
ED_002061_00108031
Sarah Greenwalt
|
2 |
|
The National Rural Water Association is requesting $15,000,000 for the EPA's technical assistance competitive grant program in the FY2017 appropriations bill, which is overseen by the Interior, Environment, and Related Agencies subcommittees in both the Senate and House.
|
2017 |
— |
ED_002061_00108051
Sarah Greenwalt
|
2 |
|
The email exchange between Ryan Thompson of Akin Gump and Alexander Dominguez of the EPA discusses scheduling a meeting for the AXPC on July 13, 2017.
|
2017 |
— |
ED_002061_00107503
Sarah Greenwalt
|
3 |
|
The email exchange between Sarah Greenwalt of the EPA and Matthew Holmes of the NRWA discusses scheduling a meeting on May 16, 2017, to continue their collaboration following a previous meeting with Administrator Pruitt.
|
2017 |
— |
ED_002061_00108775
Sarah Greenwalt
|
2 |
|
The email from A.J. Ferate to Sarah Greenwalt discusses the final list of attendees for a breakfast meeting scheduled for November 16, 2017, involving various individuals connected to the EPA and legal matters.
|
2017 |
— |
ED_002061_00106337
Sarah Greenwalt
|
1 |
|
The email exchange between Don Parrish and Sarah Greenwalt discusses scheduling a meeting related to the Sierra Club v. EPA case (18cv3472 NDCA) on May 22, 2017.
|
2017 |
— |
ED_002061_00107656
Sarah Greenwalt
|
1 |
|
The email from Mary Jo Tomalewski of CropLife America informs Valerie Washington that Jay Vroom and three colleagues will be meeting with her.
|
2017 |
— |
ED_002061_00107762
Sarah Greenwalt
|
1 |
|
Sarah A. Greenwalt, a Senior Advisor at the U.S. Environmental Protection Agency, is requesting a quick phone call with David Chung regarding the Sierra Club v. EPA case.
|
2017 |
— |
ED_002061_00108637
Sarah Greenwalt
|
1 |
|
The email exchange between Don Parrish and Sarah Greenwalt discusses scheduling a call, with Greenwalt indicating she has been with the EPA Administrator, related to the Sierra Club v. EPA case.
|
2017 |
— |
ED_002061_00107939
Sarah Greenwalt
|
1 |
|
The American Water Works Association (AWWA) is urging the U.S. Congress to include measures in the upcoming Farm Bill that promote collaboration between farmers and water utilities to protect drinking water sources and address water quality issues caused by excess nutrients.
|
2017 |
— |
ED_002061_00106664
Sarah Greenwalt
|
2 |
|
The email exchange between Sarah Greenwalt from the EPA and representatives from the National Rural Water Association discusses the allocation of $12.7 million in FY2017 appropriations for technical assistance to small and rural communities under the Safe Drinking Water Act, emphasizing the need for EPA to dedicate these funds to compliance support.
|
2017 |
— |
ED_002061_00107675
Sarah Greenwalt
|
2 |
|
The email exchange between Ryan Thompson from Akin Gump and Alexander Dominguez from the EPA discusses scheduling a meeting for the AXPC on July 14, 2017.
|
2017 |
— |
ED_002061_00107506
Sarah Greenwalt
|
2 |
|
The email correspondence between David Fotouhi from the U.S. Environmental Protection Agency and Chris Hornback from NACWA discusses scheduling a call regarding wastewater blending and bypass issues.
|
2017 |
— |
ED_002061_00108059
Sarah Greenwalt
|
3 |
|
The email exchange between H.J. Reed of Phillips 66 and Sarah Greenwalt of the EPA discusses a recent meeting and suggests contacting Shauna Peters regarding an upcoming Congressional Reception in Washington, D.C. on September 14, 2017.
|
2017 |
— |
ED_002061_00107492
Sarah Greenwalt
|
1 |
|
The email from Sarah Greenwalt of the U.S. Environmental Protection Agency discusses the support for dedicating $12.7 million in FY2017 appropriations for technical assistance to small and rural communities under the Safe Drinking Water Act, following a meeting with Mike Keegan from Rural Water.
|
2017 |
— |
ED_002061_00108705
Sarah Greenwalt
|
2 |
|
The Wisconsin Department of Natural Resources is sharing draft guidance on Voluntary Treatment Areas (VTAs) and comments from EPA Region 5, seeking a discussion on the matter.
|
2017 |
— |
ED_002061_00107614
Sarah Greenwalt
|
1 |
|
The email from Nephi Cole to Alexander Dominguez and others discusses logistics for a meeting at the EPA regarding air and water policy, with instructions for arrival and contact information for escorting to the meeting.
|
2017 |
— |
ED_002061_00107044
Sarah Greenwalt
|
1 |
|
The email exchange between Cassandra Torstenson from the North Dakota Office of the Governor and Sarah Greenwalt from the U.S. Environmental Protection Agency discusses the submission of comments related to water and cross-cutting issues, with Torstenson indicating they will send their comments the following week.
|
2017 |
— |
ED_002061_00107466
Sarah Greenwalt
|
1 |
|
The email from Sarah Greenwalt to Jim Macey discusses a follow-up on the MS4 issue related to the Sierra Club v. EPA case.
|
2017 |
— |
ED_002061_00106471
Sarah Greenwalt
|
1 |
|
The email from Rashid G. Hallaway informs Sarah Greenwalt and Alexander Dominguez that he and Joe Sutherland are preparing a memorandum regarding their request for the UAA and mentions Joe's recent panel discussion where IDEM Commissioner Bruno Piggot expressed support for the UAA.
|
2017 |
— |
ED_002061_00106793
Sarah Greenwalt
|
1 |
|
The email from Paul Balserak to EPA officials discusses the legal interpretation of groundwater discharges as point sources under the Clean Water Act, highlighting a split in court decisions and suggesting that the EPA clarify the Act's intent regarding this issue.
|
2017 |
— |
ED_002061_00106944
Sarah Greenwalt
|
2 |
|
The email exchange between Spencer Abraham and Sarah Greenwalt discusses scheduling a follow-up call regarding issues related to the Sierra Club v. EPA case, with Greenwalt representing the U.S. Environmental Protection Agency.
|
2017 |
— |
ED_002061_00106223
Sarah Greenwalt
|
2 |
|
The email exchange between Lee Forsgren of the EPA and John Dabbar of ConocoPhillips discusses a meeting to further explore the USCG alternative compliance program for environmental and safety regulations, following a conversation with EPA Administrator Pruitt.
|
2017 |
— |
ED_002061_00106131
Sarah Greenwalt
|
1 |
|
Rachel Jones from the National Association of Manufacturers is reaching out to Sarah Greenwalt regarding a G20 issue that needs attention, suggesting a call to discuss it further.
|
2017 |
— |
ED_002061_00107490
Sarah Greenwalt
|
1 |
|
The email correspondence involves the EPA's Sarah Greenwalt coordinating a call with Santee Cooper's Elizabeth Warner and others regarding the Sierra Club v. EPA case.
|
2017 |
— |
ED_002061_00107295
Sarah Greenwalt
|
3 |
|
The email from Jim Macy of the Nebraska government discusses necessary public notice and rule changes related to the Sierra Club v. EPA case, highlighting concerns about the approval of updated statutory processes by regional headquarters.
|
2017 |
— |
ED_002061_00106468
Sarah Greenwalt
|
1 |
|
The City of Flint's Public Participation Plan, revised on March 27, 2017, outlines the engagement process for the community in selecting a new drinking water source in compliance with the EPA's Amended Order, detailing public involvement in the alternatives analysis and decision-making regarding the Flint Water Treatment Plant and its backup supply.
|
2017 |
— |
ED_002061_00110165
Sarah Greenwalt
|
3 |
|
The EPA communicated with Flint City Councilperson Kate Fields regarding the recommendation from Mayor Weaver to continue using Great Lakes Water Authority water as the primary source for Flint, emphasizing the need for a safe transition and public health considerations.
|
2017 |
— |
ED_002061_00110162
Sarah Greenwalt
|
2 |
|
The email exchange between Sarah Greenwalt from the U.S. Environmental Protection Agency and Megan Berge from Baker Botts discusses scheduling a lunch meeting on July 5, 2017, amidst ongoing legal work related to the Washington State Climate Program.
|
2017 |
— |
ED_002061_00107589
Sarah Greenwalt
|
3 |
|
The email from Sarah Greenwalt, a Senior Advisor at the U.S. Environmental Protection Agency, confirms a lunch meeting with Megan Berge from Baker Botts at Pret a Manger on July 5, 2017.
|
2017 |
— |
ED_002061_00108655
Sarah Greenwalt
|
1 |
|
The email exchange between Sarah Greenwalt from the EPA and Megan Berge from Baker Botts discusses scheduling a lunch meeting on July 5, 2017, to discuss professional matters.
|
2017 |
— |
ED_002061_00108649
Sarah Greenwalt
|
3 |
|
The Offshore Operators Committee, American Petroleum Institute, and National Ocean Industries Association submitted comments to the EPA regarding the proposed NPDES General Permit for oil and gas extraction in the Gulf of Mexico, emphasizing their commitment to balancing energy development with environmental protection.
|
2017 |
— |
ED_002061_00107378
Sarah Greenwalt
|
265 |
|
The Wisconsin Department of Natural Resources (DNR) submitted draft guidelines to the EPA for improving Vegetated Treatment Areas (VTAs) to better manage runoff from Concentrated Animal Feeding Operations (CAFO) feed storage areas.
|
2017 |
— |
ED_002061_00107617
Sarah Greenwalt
|
2 |
|
The Flint City Council, represented by Councilperson Kate Fields, formally expresses its disapproval of Mayor Weaver's designation of water sources for Flint, MI, citing falsified reports to the EPA and a lack of communication regarding water issues.
|
2017 |
— |
ED_002061_00110164
Sarah Greenwalt
|
29 |
|
Owen McDonough from the National Association of Home Builders is coordinating a meeting with Sarah Greenwalt and Tom Ward for November 9th, 2017.
|
2017 |
— |
ED_002061_00106403
Sarah Greenwalt
|
1 |
|
The email correspondence involves the U.S. Environmental Protection Agency discussing scheduling a meeting to address issues raised in a prior discussion, with participants including Sarah Greenwalt and Alexander Dominguez coordinating with Rashid G. Hallaway and Joe Sutherland.
|
2017 |
— |
ED_002061_00106745
Sarah Greenwalt
|
2 |
|
The email exchange between Paul Balserak of the American Iron and Steel Institute and Sarah Greenwalt of the U.S. Environmental Protection Agency discusses the implications of Conduit Theory on groundwater discharges being treated as point sources under the Clean Water Act, highlighting the split in court decisions on this matter.
|
2017 |
— |
ED_002061_00106930
Sarah Greenwalt
|
2 |
|
The email correspondence involves staff from the U.S. Environmental Protection Agency discussing the rescheduling of a meeting due to a conflict, with Alexander Dominguez coordinating with Rashid G. Hallaway and Joseph Sutherland.
|
2017 |
— |
ED_002061_00106808
Sarah Greenwalt
|
3 |
|
The email correspondence involves the EPA coordinating a meeting with external parties, including Rashid G. Hallaway and Joseph Sutherland, while discussing scheduling conflicts and providing a conference line for the meeting.
|
2017 |
— |
ED_002061_00106803
Sarah Greenwalt
|
3 |
|
The American Iron and Steel Association (AISI) is requesting the Environmental Protection Agency (EPA) to clarify that the Clean Water Act (CWA) does not regulate discharges to groundwater, even if connected to surface water, and seeks guidance or rulemaking to confirm that National Pollutant Discharge Elimination System (NPDES) permits are not required for such discharges.
|
2017 |
— |
ED_002061_00107142
Sarah Greenwalt
|
2 |
|
The email from Timothy Charters of the National Ocean Industries Association discusses filing comments on the Region 6 NPDES permit issue and seeks advice on engaging effectively with EPA leadership regarding the technical aspects of the matter.
|
2017 |
— |
ED_002061_00107377
Sarah Greenwalt
|
1 |
|
Rita Hite from the American Forest Foundation follows up with Sarah Greenwalt regarding an EPA procurement issue related to forest products, attaching a background paper for discussion.
|
2017 |
— |
ED_002061_00107279
Sarah Greenwalt
|
1 |
|
The letter from industry representatives to Dr. Dennis Lee Forsgren of the EPA requests a revision of the 2016 effluent limitation guidelines for unconventional oil and gas wastewater, citing concerns over the definition of "unconventional," procedural flaws, and environmental impacts, while supporting a petition for reconsideration and an administrative stay of the rule.
|
2017 |
— |
ED_002061_00105798
Sarah Greenwalt
|
11 |
|
The email exchange between Paul Balserak of the American Iron and Steel Institute and Sarah Greenwalt of the EPA discusses scheduling a meeting regarding conduit theory and conductivity, suggesting potential time slots for the week of July 17-21, 2017.
|
2017 |
— |
ED_002061_00107367
Sarah Greenwalt
|
2 |
|
The email exchange between Sarah Greenwalt of the EPA and Elizabeth Warner of Santee Cooper discusses scheduling a call regarding the Sierra Club v. EPA case, with coordination involving other parties.
|
2017 |
— |
ED_002061_00108630
Sarah Greenwalt
|
3 |
|
The email correspondence involves Ryan Thompson from Akin Gump requesting a meeting with EPA representatives, including Sarah Greenwalt, regarding Effluent Limitations Guidelines (ELGs) for unconventional oil and gas, with coordination assistance from Alexander Dominguez and Valerie Washington.
|
2017 |
— |
ED_002061_00106041
Sarah Greenwalt
|
2 |
|
The email from Kristin Moore of the City of Flint clarifies that Mayor Weaver's announcement regarding water sources was a recommendation rather than a designation and refutes claims made by City Councilwoman Kate Fields about falsifying reports to the EPA.
|
2017 |
— |
ED_002061_00110163
Sarah Greenwalt
|
3 |
|
Quinn L. Williams from the Wisconsin Department of Natural Resources discusses next steps regarding the VTA (Voluntary Transfer Agreement) with Sarah Greenwalt from the EPA in a series of emails.
|
2017 |
— |
ED_002061_00108061
Sarah Greenwalt
|
4 |
|
The document is a letter to the EPA from various officials requesting the agency to review and approve petitions from the Governor of Maine and local entities to withdraw previous EPA actions regarding Maine's water quality standards and to repeal a final rule on those standards.
|
2017 |
— |
ED_002061_00107699
Sarah Greenwalt
|
2 |
|
The email correspondence involves Nephi Cole, a Policy Advisor for the Wyoming Governor's Office, reaching out to Sarah Greenwalt from the EPA to offer his expertise on technical details related to watersheds and stream orders, following a discussion with a mutual acquaintance.
|
2017 |
— |
ED_002061_00107936
Sarah Greenwalt
|
2 |
|
The email from Sarah Greenwalt at the U.S. Environmental Protection Agency discusses concerns regarding a draft response to a letter from Flint City Councilperson Kate Fields about water issues, indicating a need for review and approval before sending it out.
|
2017 |
— |
ED_002061_00110161
Sarah Greenwalt
|
2 |
|
The email correspondence between Alexander Dominguez of the EPA and Paul Balserak discusses the scheduling of a call regarding conductivity and the coordination of attendance with Sarah Greenwalt and Lee's office.
|
2017 |
— |
ED_002061_00107201
Sarah Greenwalt
|
2 |
|
The Environmental Protection Agency (EPA) is facing a legal challenge from the town of Marion, MA, regarding the validity of a Clean Water Act (CWA) permit that regulates groundwater contamination linked to surface waters, which could set a precedent for the agency's authority over groundwater under the Trump administration.
|
2017 |
— |
ED_002061_00107143
Sarah Greenwalt
|
2 |
|
The email from Paul Balserak discusses the preparation for an August 11, 2017, phone call regarding conduit theory, providing various attachments related to groundwater discharge regulations and NPDES permits for the EPA and Minnesota Pollution Control Agency.
|
2017 |
— |
ED_002061_00107141
Sarah Greenwalt
|
1 |
|
The email from Paul Balserak of the Steel Industry Association discusses significant scientific flaws in the draft conductivity guidance issued by the EPA, expresses concerns about its potential use in permitting decisions, and proposes a meeting with EPA officials to address these issues.
|
2017 |
— |
ED_002061_00107210
Sarah Greenwalt
|
1 |
|
GEI Consultants, Inc. evaluated the U.S. Environmental Protection Agency's methodology and data for establishing a conductivity benchmark in Ecoregion 50 of Minnesota, finding significant inconsistencies and flaws that undermine its validity.
|
2017 |
— |
ED_002061_00107211
Sarah Greenwalt
|
27 |
|
The email from Anthony L. Francois to EPA officials discusses follow-up actions regarding the repeal of the 2015 WOTUS Rule and the intention to adopt a new definition of Waters of the United States based on Justice Scalia's opinion in Rapanos v. U.S. following President Trump's Executive Order.
|
2017 |
— |
ED_002061_00107651
Sarah Greenwalt
|
3 |
|
The email correspondence involves the U.S. Environmental Protection Agency discussing the scheduling of a call regarding "conduit theory" with Paul Balserak from the American Iron and Steel Institute, following a meeting that included thanks for a productive discussion.
|
2017 |
— |
ED_002061_00107954
Sarah Greenwalt
|
2 |
|
Owen McDonough from the National Association of Home Builders follows up with Sarah Greenwalt from the EPA regarding a report on state wetland protection and expresses willingness to discuss it further.
|
2017 |
— |
ED_002061_00108419
Sarah Greenwalt
|
2 |
|
The email correspondence between Owen McDonough of the National Association of Home Builders and Sarah Greenwalt of the U.S. Environmental Protection Agency confirms a meeting scheduled for April 5, 2017, to discuss water policy issues.
|
2017 |
— |
ED_002061_00108313
Sarah Greenwalt
|
3 |
|
The email correspondence involves Alexander Dominguez from the EPA coordinating a meeting with Rashid G. Hallaway and Joseph Sutherland from Citizens Energy Group, confirming a time for Tuesday at 9:30 AM EST.
|
2017 |
— |
ED_002061_00106741
Sarah Greenwalt
|
2 |
|
The email from Rashid G. Hallaway discusses a follow-up regarding Citizens Energy's consent decree and proposes a meeting with EPA officials Sarah Greenwalt and Alexander Dominguez to discuss a memorandum on the legal justification for issuing a UAA.
|
2017 |
— |
ED_002061_00106031
Sarah Greenwalt
|
1 |
|
The Wisconsin Department of Natural Resources (DNR) is discussing comments from the EPA regarding the Feed Storage Area Runoff Controls for Concentrated Animal Feeding Operations (CAFOs) guidance document, highlighting concerns about existing CAFOs and the need for immediate action on pollutant discharges.
|
2017 |
— |
ED_002061_00107619
Sarah Greenwalt
|
3 |
|
The email from Rachel Lattimore of CropLife America discusses a recent 9th Circuit decision related to the Endangered Species Act (ESA) and expresses gratitude for a meeting with Sarah Greenwalt from the EPA, while indicating that further details will be provided later.
|
2017 |
— |
ED_002061_00107998
Sarah Greenwalt
|
1 |
|
The EPA Region 5 provided comments and recommendations to the Wisconsin Department of Natural Resources regarding the draft guidance for Feed Storage Area Runoff Controls for Concentrated Animal Feeding Operations (CAFOs), emphasizing the need for immediate measures to prevent pollutant discharges from vegetative treatment areas.
|
2016 |
— |
ED_002061_00107616
Sarah Greenwalt
|
3 |
|
The U.S. Environmental Protection Agency reviewed the Minnesota Pollution Control Agency's draft NPDES/SDS permit for the Minntac Tailings Basin Area, expressing concerns that it fails to adequately address discharges to surface waters and calling for a permit that includes specific actions and timelines to meet water quality standards.
|
2016 |
— |
ED_002061_00107144
Sarah Greenwalt
|
6 |
|
The document discusses John Fleck's book "Water is for Fighting Over-- and Other Myths About Water in the West," which offers a hopeful perspective on the management of the Colorado River and challenges prevailing myths about water governance in the West.
|
2016 |
— |
ED_002061_00108058
Sarah Greenwalt
|
3 |
|
The document discusses the challenges faced by water utilities in addressing affordability while implementing customer assistance programs and funding infrastructure improvements, as highlighted by the American Water Works Association and Black & Veatch reports.
|
2016 |
— |
ED_002061_00106699
Sarah Greenwalt
|
5 |
|
The document discusses the transformation of the United States into a natural gas exporter due to advancements in hydraulic fracturing and the shale gas boom, highlighting the role of the Department of Energy and the impact on energy production and international markets.
|
2016 |
— |
ED_002061_00106613
Sarah Greenwalt
|
2 |
|
The EPA expressed concerns regarding Minnesota's preliminary discharge permit for a tailings basin managed by U.S. Steel, arguing that it would unlawfully allow pollutant discharges to surface water through groundwater seepage, highlighting a significant debate over groundwater regulation and its implications for water quality standards.
|
2015 |
— |
ED_002061_00107145
Sarah Greenwalt
|
2 |
|
The Wisconsin Department of Natural Resources is discussing guidelines to improve the performance of Vegetated Treatment Areas (VTAs) for controlling contaminated runoff from feed storage areas at Concentrated Animal Feeding Operations (CAFOs) in response to concerns from the U.S. EPA.
|
2015 |
— |
ED_002061_00107618
Sarah Greenwalt
|
14 |
|
The U.S. EPA's National Center for Environmental Assessment reviewed a 2015 evaluation by Johnson and Johnson on the impact of mining effluents on specific conductance levels in northeast Minnesota waters, suggesting that similar ionic mixtures could harm local benthic macroinvertebrates as seen in Appalachian streams.
|
2015 |
— |
ED_002061_00107212
Sarah Greenwalt
|
11 |
|
The Minnesota Pollution Control Agency is advised by the Environmental Law Group that seepage from the Cliffs Erie Tailings Basin should be regulated under a Minnesota State Disposal System permit rather than a National Pollution Discharge Elimination System permit, despite potential hydrologic connections to surface waters.
|
2014 |
— |
ED_002061_00107146
Sarah Greenwalt
|
29 |
|
The United States District Court for the Western District of Washington ruled on a lawsuit brought by environmental organizations against the U.S. Department of the Interior and the Fish and Wildlife Service, challenging regulations that allegedly undermined the agencies' responsibilities under the Endangered Species Act in relation to the Federal Insecticide, Fungicide, and Rodenticide Act.
|
2014 |
— |
ED_002061_00108000
Sarah Greenwalt
|
37 |
|
The document discusses environmental pollution in China, highlighting the severe contamination of soil and air quality, as reported by authors Kahn and Zheng, and emphasizes the economic impact and challenges faced by the Chinese government in addressing these issues.
|
2013 |
— |
ED_002061_00108020
Sarah Greenwalt
|
2 |
|
The document discusses various court cases regarding the Clean Water Act's jurisdiction over hydrologically connected groundwater, specifically focusing on rulings from the District of Puerto Rico and the First Circuit Court of Appeals related to environmental contamination and permit decisions by the U.S. Army Corps of Engineers.
|
2009 |
— |
ED_002061_00106945
Sarah Greenwalt
|
14 |
|
The letter from Congress requests EPA Administrator Scott Pruitt to facilitate the issuance of a Use Attainability Analysis for the City of Indianapolis' Combined Sewer Overflow Long Term Control Plan, which is crucial for compliance with a 2006 consent decree and improving local water quality.
|
2006 |
— |
ED_002061_00105611
Sarah Greenwalt
|
4 |
|
The MJB&A Permitting and Infrastructure Coalition submitted comments to the U.S. Environmental Protection Agency regarding regulatory reform under Executive Order 13777, advocating for a review and potential modification of the Clean Water Rule to provide clearer definitions of jurisdictional waters for energy infrastructure projects.
|
2006 |
— |
ED_002061_00107872
Sarah Greenwalt
|
3 |
|
The American Water Works Association is hosting an annual conference in Philadelphia focused on addressing aging infrastructure and funding needs in the water sector, featuring expert discussions on financial trends, public-private partnerships, and affordability issues.
|
2004 |
— |
ED_002061_00108127
Sarah Greenwalt
|
4 |
|
The document discusses the evolving roles of government, the private sector, and NGOs in environmental management and climate policy, emphasizing the need for collaborative approaches and private action in response to inadequate governmental efforts, as articulated by G. Tracy Mehan III and others.
|
1997 |
— |
ED_002061_00105460
Sarah Greenwalt
|
2 |
|
The Minnesota Pollution Control Agency's NPDES/SDS Permit Program Fact Sheet outlines the distinctions between various types of water discharges and establishes conditions and limits for managing industrial process wastewater, stormwater, and domestic wastewater effluent under state and federal regulations.
|
— |
— |
ED_002061_00107147
Sarah Greenwalt
|
2 |
|
The National Association of Clean Water Agencies is evaluating the creation of a federal Low-Income Water Ratepayer Assistance Program to help low-income households afford water utility bills and facilitate infrastructure investment in the water sector.
|
— |
— |
ED_002061_00108055
Sarah Greenwalt
|
16 |
|
The Environmental Protection Agency's Region 5 clarifies the application of Effluent Limitations Guidelines for Concentrated Animal Feeding Operations (CAFOs) regarding vegetative treatment areas in correspondence with the Wisconsin Department of Natural Resources.
|
— |
— |
ED_002061_00107615
Sarah Greenwalt
|
2 |
|
The document is an External Meeting Request Form for U.S. Environmental Protection Agency Administrator E. Scott Pruitt, detailing the process for requesting his attendance or speaking engagement at events.
|
— |
— |
ED_002061_00107724
Sarah Greenwalt
|
1 |
|
Troy Olsen from Woodford is following up with Sarah regarding comments on the EPA's proposed rule, expressing willingness to meet in D.C. to discuss their concerns.
|
— |
— |
ED_002061_00106495
Sarah Greenwalt
|
1 |