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The email from Madeline Morris of the Office of the Administrator requests Leonard Leo of the Federalist Society to complete an external meeting request form to facilitate scheduling a meeting in New York City.
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2017 |
— |
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2 |
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The document outlines the details for a keynote speech by Paul Bailey, President and CEO of ACCCE, at their Summer Board Meeting on June 29, 2017, including event logistics and the role of the EPA.
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2017 |
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4 |
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The email correspondence between EPA officials and a Siemens representative discusses logistical arrangements for a meeting scheduled on June 27, 2017, including security protocols.
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2017 |
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20 |
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The email exchange between Elizabeth Reicherts of Siemens and Madeline Morris from the EPA discusses scheduling a meeting for June 27, 2017, and coordinating logistics for the attendees.
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2017 |
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18 |
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The email correspondence involves Amy Chiang from Honeywell coordinating a meeting with EPA Administrator Scott Pruitt on June 28th, discussing attendee lists and contact information.
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2017 |
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6 |
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The U.S. Environmental Protection Agency received a meeting request for Administrator E. Scott Pruitt to serve as a keynote speaker at an event hosted by the Federalist Society's New York City Lawyers Chapter during the week of October 16, 2017.
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2017 |
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2 |
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The email exchange between Troy Lyons from the EPA and Summer Bravo from Xcel Energy discusses planning a site visit to one of Xcel's coal plants in Minnesota, with a focus on scheduling during the August-September timeframe and addressing the interest of Xcel's executives in the visit.
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2017 |
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4 |
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The email exchange between Troy Lyons from the EPA and Summer Bravo from Xcel Energy discusses the scheduling of a site visit and a potential meeting with the EPA Administrator, indicating that arrangements are still pending as of June 2017.
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2017 |
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5 |
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The email exchange between Troy Lyons of the EPA and Elizabeth Reicherts of Siemens discusses arranging a meeting with the EPA Administrator for Siemens' CEO and managing board on June 27, 2017.
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2017 |
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3 |
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The email from Troy Lyons of the U.S. Environmental Protection Agency acknowledges receipt of information regarding a letter from Udall and others to Senators Roberts and Stabenow related to the Sierra Club v. EPA case.
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2017 |
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1 |
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The email from James Tobin of the National Association of Home Builders is an automatic reply regarding his absence, related to the Sierra Club v. EPA case.
|
2017 |
— |
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1 |
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The email exchange between Summer Bravo of Xcel Energy and Troy Lyons of the EPA discusses the scheduling of a site visit and a potential meeting with the EPA Administrator, with Bravo seeking updates to inform her CEO ahead of an upcoming event.
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2017 |
— |
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5 |
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The email exchange between Summer Bravo of Xcel Energy and Troy Lyons of the EPA discusses logistical details regarding a meeting scheduled for June 27, 2017, with Bravo indicating they are waiting for an escort to leave their current area.
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2017 |
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2 |
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The email exchange between Summer Bravo of Xcel Energy and Troy Lyons of the EPA discusses a meeting scheduled for the afternoon of June 27, 2017.
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2017 |
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2 |
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Xcel Energy's Summer Bravo reached out to EPA's Troy Lyons to discuss hosting a site visit for the Administrator and provided an overview of the company's commitment to clean energy and emissions reduction.
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2017 |
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2 |
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The document is a letter from the Sierra Club to the U.S. Senate Committee on Agriculture, Nutrition & Forestry, urging the EPA to commit to specific actions regarding pesticide regulations to facilitate the expedited reauthorization of the Pesticide Registration Improvement Act (PRIA).
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2017 |
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2 |
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The email exchange between Troy Lyons of the EPA and Jason Schendle discusses the demands from Jonathan Black that must be met for the EPA to lift a hold related to PRIA IV, with Lyons planning to escalate the matter to Nancy for further consideration.
|
2017 |
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1 |
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The email exchange between Troy Lyons of the EPA and Jason Schendle discusses the lack of updates regarding the PRIA process and the nomination of a chemical candidate.
|
2017 |
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1 |
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The email from Darrell Henry of the Western Caucus Foundation urges action against Senate Democrats, particularly Chuck Schumer, for blocking the confirmation of nominees essential for the new Interior Department leadership, emphasizing the need for Western progress.
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2017 |
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3 |
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The Western Caucus Foundation is hosting a holiday reception for members of the Senate and Congressional Western Caucuses on December 13, 2017, in Washington, D.C.
|
2017 |
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3 |
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The Western Caucus Foundation is hosting a holiday reception for members of the Senate and Congressional Western Caucuses on December 13, 2017, in Washington, D.C., and is requesting RSVPs.
|
2017 |
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3 |
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The email discusses the planning of a bipartisan Salon event on December 6, 2017, organized by the American Council for Capital Formation, where the EPA Administrator will lead a roundtable discussion, with a request for suggestions on inviting Congressional Democrats.
|
2017 |
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2 |
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The email from Darrell Henry of the Western Caucus Foundation urges action against New York Senator Chuck Schumer for allegedly obstructing the confirmation of nominees essential for the leadership of the Interior Department, emphasizing the need for progress in the West.
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2017 |
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3 |
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Courtney Briggs from the National Association of Home Builders is introducing Brian Vanderbloemen, who has joined SAS's government affairs team, to Troy Lyons.
|
2017 |
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1 |
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The email from Brian Vanderbloemen discusses a connection facilitated by Courtney Briggs between him and Troy Lyons from the EPA regarding a potential meeting, as Vanderbloemen has recently joined the government affairs team at SAS.
|
2017 |
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2 |
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The American Iron and Steel Institute submitted comments to the U.S. Environmental Protection Agency regarding the evaluation of existing regulations and their impact on the steel industry's ability to operate and expand facilities.
|
2017 |
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34 |
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The email correspondence involves Rachel Jones from the National Association of Manufacturers coordinating with EPA officials regarding a meeting, confirming that Mandy Gunasekara will attend in place of another participant.
|
2017 |
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3 |
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The email from Paul Balserak of the American Iron and Steel Institute discusses the submission of public comments regarding EPA regulations and outlines attendees for an upcoming meeting with EPA representatives.
|
2017 |
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6 |
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The email correspondence between Robin Kime of the EPA and Paul Balserak of the American Iron and Steel Institute discusses the submission of regulatory reform comments and preparations for an upcoming meeting regarding the steel industry.
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2017 |
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6 |
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The email from Kevin Messner of the Association of Home Appliance Manufacturers discusses an upcoming meeting with the EPA regarding the implications of a court ruling on HFC regulations for the appliance industry.
|
2017 |
— |
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2 |
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The Aluminum Association submitted comments to the Environmental Protection Agency regarding the evaluation of existing regulations, highlighting the economic significance and employment impact of the U.S. aluminum industry.
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2017 |
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11 |
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The email from Albert Kelly discusses Honeywell's appreciation for the CERCLA Task Force's recommendations and invites the Task Force to participate as speakers at the upcoming Mega-Superfund Site Symposium on September 7, 2017, in Philadelphia.
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2017 |
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2 |
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The email exchange between Albert Kelly and Rashid Hallaway discusses their appreciation for a constructive meeting and the willingness of Hallaway's company to provide engineers and consultants for further assistance, related to a project involving the EPA.
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2017 |
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1 |
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The email from Albert Kelly discusses a meeting invitation for Troy with Region 2 officials regarding ongoing issues with the EPA, as conveyed by Benjamin E. Quayle, who requests a joint meeting if problems persist after the meeting.
|
2017 |
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1 |
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The email from Albert Kelly, a Senior Advisor at the EPA, discusses a follow-up call regarding Troy Chemical's concerns with the EPA's proposed Administrative Order on Consent (AOC) for their Newark manufacturing site, indicating that Region 2 is unlikely to agree to most of Troy's requests.
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2017 |
— |
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1 |
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The email from Albert Kelly discusses a recent update regarding Troy's execution of an Administrative Order on Consent (AOC) with EPA Region 2, indicating ongoing concerns but a desire to move forward collaboratively.
|
2017 |
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1 |
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The email exchange between Albert Kelly, Senior Advisor to the EPA Administrator, and Congressman Benjamin E. Quayle discusses scheduling a call regarding the Superfund Task Force Report related to Troy Corp.
|
2017 |
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3 |
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The email correspondence between Albert Kelly of the EPA and Amy S. Plaster of CMS Energy discusses scheduling a meeting regarding a Superfund site and a visit to a pumped hydro storage facility.
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2017 |
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3 |
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The email correspondence between Albert Kelly of the EPA and Amy S. Plaster of CMS Energy discusses scheduling a meeting to address issues related to a Superfund site and a visit to a pumped hydro storage facility.
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2017 |
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3 |
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The memorandum from the Ad-Hoc Industry Natural Resource Management Group to the Department of Commerce requests the review and potential modification or repeal of NOAA's Natural Resource Damage Assessment regulations due to their lengthy resolution times and significant transaction costs for companies involved.
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2017 |
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6 |
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The memorandum from the United States Environmental Protection Agency's Regulatory Reform Officer discusses a request from the Ad-Hoc Industry Natural Resource Management Group to review the inter-relationship between EPA policies and the Natural Resource Damage Assessment regulations of the Department of the Interior and NOAA, aiming to identify opportunities for more cost-effective management of natural resource damages at Superfund sites.
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2017 |
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3 |
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The memorandum from HHQ Ventures, LLC outlines Troy's concerns regarding EPA Region 2's proposed Administrative Order on Consent for the Remedial Investigation of the Troy Plant Site, highlighting inconsistencies between the AOC and the Statement of Work that could hinder a streamlined remediation process.
|
2017 |
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3 |
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The email from Benjamin E. Quayle to Albert Kelly informs that Troy has executed the AOC with Region 2 and expresses a desire to address ongoing concerns while moving towards a resolution.
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2017 |
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1 |
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The email from Michelle Hale at the EPA discusses Scott Pruitt's decision to rescind the "Waters of the United States" rule, which expanded federal regulation of water bodies under the Clean Water Act, framing it as a restoration of order rather than a shake-up.
|
2017 |
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4 |
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The email correspondence between Michelle Hale from the EPA and Jim Stengle from NGEAO discusses a request for Scott Pruitt to be the keynote speaker at the NGEAO annual meeting on September 13, 2017.
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2017 |
— |
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2 |
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The email from Michelle Hale at the EPA discusses the request for Scott Pruitt to be the keynote speaker at the NGEAO annual meeting on September 13, 2017, and indicates that she is forwarding the request to the scheduling team.
|
2017 |
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1 |
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The email from Michelle Hale at the EPA discusses the uncertainty of Scott Pruitt's speaking engagement at the NGEAO in September and suggests contacting Sydney Hupp for further information.
|
2017 |
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1 |
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The email from Matt Chambers of the National Association of Manufacturers requests contact information for Ron Smisek, head of security at The Phoenician, to coordinate security details for Mr. Pruitt's upcoming visit.
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2017 |
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1 |
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The email correspondence between Michael Mittelholzer of the National Association of Home Builders and Michelle Hale from the Environmental Protection Agency discusses a meeting request with Administrator Pruitt, with Hale confirming the invitation and indicating follow-up in April.
|
2017 |
— |
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2 |
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The National Association of Home Builders (NAHB) congratulates Scott Pruitt on his confirmation as Administrator of the U.S. Environmental Protection Agency and expresses a desire to collaborate on environmental policies that balance ecological protection with economic considerations for the home building industry.
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2017 |
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1 |
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The email from Sydney Hupp of the EPA discusses a request for Administrator Pruitt to speak at a meeting organized by the American Iron and Steel Institute and the Steel Manufacturers Association, and includes a request for the recipient to complete an event form to streamline scheduling.
|
2017 |
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1 |
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Michael Mittelholzer from the National Association of Home Builders is requesting assistance in transmitting two letters to EPA Administrator Scott Pruitt, one thanking him for a recent meeting and the other praising the President for an Executive Order on the "Waters of the United States" rule, while also inquiring about the Administrator's availability to address their Board of Directors during their Midyear meetings in June.
|
2017 |
— |
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1 |
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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.
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2017 |
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3 |
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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.
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2017 |
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2 |
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The email is an automatic reply from Thomas Ward of the National Association of Home Builders, indicating his absence from the office and providing contact information for urgent matters related to State Wetland Protection.
|
2017 |
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1 |
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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 |
— |
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2 |
|
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 |
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|
27 |
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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 |
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1 |
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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 |
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1 |
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The email from Lee Forsgren of the EPA provides comments on the Senator's draft SRF-WIFIA legislation, highlighting concerns that setting the interest rate at half the Treasury rate would significantly reduce infrastructure yield due to high subsidy calculations.
|
2017 |
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1 |
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The email from Lee Forsgren discusses a miscommunication regarding the timing of a call, indicating he is driving to Norfolk and can be reached on his personal cell phone, related to the Sierra Club v. EPA case.
|
2017 |
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1 |
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The email from Michael K. Henry discusses the implications of a federal court ruling regarding the Clean Water Act's applicability to rail transportation, highlighting concerns over the potential expansion of the National Pollution Discharge Elimination System (NPDES) program and the unresolved issue of preemption under the Interstate Commerce Commission Termination Act (ICCTA).
|
2017 |
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4 |
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The email from Eva Birk of the National Association of Home Builders discusses scheduling a meeting with Lee Forsgren regarding NPDES 402 stormwater issues following their conversation at WEFTEC.
|
2017 |
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1 |
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The email correspondence involves Jeff More from the Alpine Group coordinating a meeting with Lee Forsgren and Crystal Penman regarding the drafting of the SRF WIN Act, which Senator Boozman plans to introduce soon.
|
2017 |
— |
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2 |
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The email correspondence involves the EPA coordinating a meeting with Kevin Shafer from MMSD regarding biosolids regulation in EPA Region 5, with scheduling discussions for a conference call on November 9, 2017.
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2017 |
— |
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3 |
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The email exchange between Michael K. Henry and Lee Forsgren discusses their plans to meet for dinner at Hunan at 7:30 PM, with no significant agency-related decisions or actions mentioned.
|
2017 |
— |
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1 |
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The Milwaukee Metropolitan Sewerage District (MMSD) is addressing compliance issues raised by the EPA regarding its Milorganite production at the Jones Island Water Reclamation Facility, specifically concerning temperature documentation and fecal coliform sampling, while negotiating terms for an Administrative Order on Consent.
|
2017 |
— |
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4 |
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The Milwaukee Metropolitan Sewerage District (MMSD) is requesting a meeting with the EPA to discuss concerns regarding new monitoring and reporting requirements being enforced through an Administrative Order by EPA Region 5, and proposes addressing these issues in the upcoming discharge permit reissuance.
|
2017 |
— |
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1 |
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The email exchange among EPA officials discusses scheduling a meeting regarding biosolids regulation in EPA Region 5, specifically involving Kevin Shafer from the Milwaukee Metropolitan Sewerage District (MMSD).
|
2017 |
— |
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3 |
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The National Association of Home Builders (NAHB) expressed gratitude to EPA Administrator Scott Pruitt for a meeting discussing improvements to the Clean Water Act's stormwater inspection and enforcement processes, highlighting the need for streamlined permitting and a more educational approach to compliance.
|
2017 |
— |
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2 |
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The email from Ben Grumbles confirms his attendance at the EPA's annual holiday party on December 17, 2017, along with his daughter, in response to an invitation from Susan Bodine.
|
2017 |
— |
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1 |
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The email from Jeff More to Crystal Penman of the U.S. Environmental Protection Agency discusses scheduling a meeting with Lee Forsgren to address rural water infrastructure and SRF Finance, suggesting alternative dates due to Forsgren's prior commitments.
|
2017 |
— |
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2 |
|
The National Association of Manufacturers submitted comments to the Environmental Protection Agency regarding the evaluation of regulations for potential repeal, replacement, or modification, emphasizing the need for a more flexible and responsive regulatory process.
|
2017 |
— |
—
|
20 |
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Patrick Davis from the Environmental Protection Agency communicated with Leland Frost of the National Association of Manufacturers regarding regulatory reform efforts at the EPA, thanking him for his input and comments on the matter.
|
2017 |
— |
—
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3 |
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The email exchange between Greg Bertelsen of the National Association of Manufacturers and Patrick Davis from the EPA discusses their meeting regarding the Risk Management Plan (RMP) rule.
|
2017 |
— |
—
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1 |
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The National Association of Manufacturers submitted comments to the EPA regarding regulatory reform efforts initiated under President Trump's Executive Order, as communicated by Leland Frost to Patrick Davis.
|
2017 |
— |
—
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3 |
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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 |
— |
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1 |
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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 |
— |
—
|
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 |
— |
—
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1 |
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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 |
— |
—
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2 |
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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 |
— |
—
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1 |
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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 |
— |
—
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1 |
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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 |
— |
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1 |
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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 |
— |
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|
37 |
|
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 |
— |
—
|
4 |
|
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 |
— |
—
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2 |
|
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 |
— |
—
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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 |
— |
—
|
18 |
|
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 |
— |
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1 |
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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 |
— |
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2 |
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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 |
— |
—
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1 |
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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 |
— |
—
|
1 |
|
Brittany Bolen of the EPA's Office of Policy is coordinating a meeting with Michael K. Henry from the Alpine Group and the Rubber Manufacturers Association to discuss regulatory issues affecting domestic tire manufacturers.
|
2017 |
— |
—
|
2 |
|
Brittany Bolen, Deputy Associate Administrator at the EPA, is coordinating a meeting related to the Sierra Club v. EPA case.
|
2017 |
— |
—
|
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 |
— |
—
|
1 |
|
The Rubber Manufacturers Association submitted comments to the U.S. Environmental Protection Agency supporting regulatory reform efforts outlined in Executive Orders 13771 and 13777, advocating for the repeal or modification of outdated regulations affecting tire manufacturers.
|
2017 |
— |
—
|
4 |
|
The National Lime Association submitted comments to the Environmental Protection Agency regarding potential regulatory reforms under Executive Order 13777, highlighting burdensome regulations affecting the lime industry and suggesting improvements.
|
2017 |
— |
—
|
9 |
|
The email from Michael K. Henry of the Alpine Group discusses preparations for a meeting with Brittany Bolen at the EPA regarding comments from the Rubber Manufacturers Association on existing regulations, while he informs that he will not attend due to mobility issues and will be represented by his partner, Greg Means.
|
2017 |
— |
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|
3 |
|
The email correspondence between Tate Bennett of the EPA and Rashid G. Hallaway discusses comments submitted by Southern Illinois Power regarding the evaluation of existing regulations that may hinder job creation or are deemed outdated, as part of the EPA's regulatory review process.
|
2017 |
— |
—
|
2 |
|
The email from the EPA discusses Administrator Scott Pruitt's statements regarding President Trump's decision to withdraw from the Paris Accord, highlighting its perceived benefits for small businesses and the U.S. economy.
|
2017 |
— |
—
|
5 |