Announcements and Schedules
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Letter to Mr Ruch Responding to RFC 10003
Letter to Mr Ruch Responding to RFC 10003 on rescinding and correcting printed and online information found on the EPA Coal Combustion Products Partnerships website regarding greenhouse gas emissions and reductions.
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Request for Correction 10003
Letter from Jeff Rush requesting rescinding and correction online and printed information regarding alleged greenhouse gas emissions reductions resulting from "beneficial use" of coal combustion waste products.
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Re: Request for Correction of Influential Scientific Information Contained in National Ambient Air Quality Standards for Ozone
Request for correction persuant to section 515(a) of the Treasury and General Government Appropriations Act for Fiscal Year 2001 on behalf of the NAM
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Request for Reconsideration: Ozone NAAQS Notice of Proposed Rulemaking and Supporting Documents - Part 5
Part of the request for reconsideration documents containing Ozone NAAQS Notice of Proposed Rulemaking and Supporting Documents
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Accotink Creek High Flow Frequency Analysis 1989-2009 Hydrologic Years
High Frequency Analysis of Accotink Creek, comparing TMDL Report flow rate and USGS Station Data.
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David W Schnare Public Comment and Request for Correction #10009
Public comments and request for correction by David W Schnare in regards to the EPA report "Draft Benthic TMDL Development" at Accotink Creek, Virginia.
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Request for Correction 10008 Endangerment Findings for Greenhouse Gases
Request for correction by Peabody Energy Company for the EPA to correct temperature data in "Endangerment and Cause or Contribute Findings for Greenhouse Gases" under Section 202(a) of the Clean Air Act
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Letter to Mr Dolan on the Status of the Methanol Toxicological Review
Letter to Mr Dolan on the Status of the Methanol Toxicological Review
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Request for Correction 12001 Analyses Associated with the Impact of Biofuels: 90 day Extension Request
Letter to Ms. Brill on the status of rfc 12001 and requesting an extension of 90 days for a response
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Letter to Mr Mowrey and Mr Zygmont on the Status of RFC 13001
Letter to Mr Mowrey and Mr Zygmont on the Status of RFC 13001 notifying that the review will be completed within the next three weeks
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Letter to Mr Ruch Responding to RFC 13002
Letter to Mr Ruch Responding to RFC 13002 on removing A Scoping-Level Field Monitoring Study of Synthetic Turf Fields and Playgrounds
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Reponse to Halogenated Solvents Industry Alliance's November 5, 2013 RFC on the Johnson et al., 2003 Study
Reponse to November 5, 2013 RFC on the Johnson et al., 2003 Study
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Request for Correction of Information Concerning the U.S. Environmental Protection Agency's EPAct/V2/E-89 Fuel Effects Study and Motor Vehicle Emissions Simulator Model (MOVES2014) Docket ID Nos. EPA"420-R-13-002, FRL-9917-26-OAR
Petition for the US EPA to correct information concerning motor vehicle fiel emissions represented in the Motor Vehicle Emissions Simulator model (MOVES2014) and the EPAct/V2/E-89 fuel effects study (EPAct study)1 on which it is based
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2025 Discharge Monitoring Report - Quality Assurance (DMR-QA) Study 45
This letter initiates the 2025 Discharge Monitoring Report - Quality Assurance (DMR-QA) Study 45
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Letter to Mr Mowrey on the status of RFR 13001
Notification to Mr Mowrey that the EPA's goal is to provide a final status update within 90 business days
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Re: Request from the Phthalate Esters Panel of the American Chemistry Council for correction of EPA's Action Plan for Phthalate Esters
Request for Correction Reporting Numerous Factual Errors Contained in the EPA's Phthalates Action Plan Issued December 2009
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Letter to Ms. Molly A. O'Neill from John Engler on behalf of The National Association of Manufacturers
A letter from the NAM to the EPA that accompanied a request for reconsideration in accordance with the procedures set forth in Section 8.6 of EPA's Information Quality Guidelines
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Dissecting EPA's Response to the Problems of Self-Administration and Self-Reporting Respiratory Function Tests
Table comparing sections of EPA's Response to the Non Sequiturs and Errors contained in that section of the response
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Letter from J Andrew Doyle on Concerns about National Public Awareness Campaign on Childhood Lead Poisoning
Claim that the print and video information and depictions used in the childhood lead poisoning PSAs are misleading and misrepresent the paint industry
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Response to Request for Correction #10009
EPA is currently reviewing the public comments received.