Document 85Rg2bjg6wKZqGOwxBJ0zpkK
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Williams, Quinn L - DNR [Quinn.Williams@wisconsin.gov] 6/9/2017 3:15:25 PM Bennett, Tte [/o=ExchangeLabs/ou=Exchange Administrative Group (FYDIBOHF23SPDLT)/cn=Recipients/cn=lfa92542f7ca4d01973bl8b2fllb9141-Bennett, El] RE: next steps for VTA discussion
Sorry Tate - try again.
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Quinn L, Williams Chief Legal Counsel Director - Bureau of Legal Services Wisconsin Department of Natural Resources ( S ) phonj p v
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From: Bennett, Tate [mailto:Bennett.Tate@epa.gov]
Sent: Friday, June 09, 2017 10:15 AM To: Williams, Quinn L - DNR Cc: Dominguez, Alexander
Subject: Re: next steps for VTA discussion
Hey Quinn! We keep getting a busy signal. Is there a better number?
On Jun 8, 2017, at 12:28 PM, Williams, Quinn L - DNR <Quinn.Williams@wisconsin.gov> wrote:
That would be great!
What times work for all of you?
We are committed to service excellence. Visit our survey at http://dnr.wi.gov/customersurvey to evaluate how I did.
Quinn L. Williams
Chief Legal Counsel
Director - Bureau of Legal Services
Wisconsin Department of Natural Resources
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Ex. 6
]
Sierra Club v. EPA 18cv3472 NDCA
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Ex. 6
( B ) e-mail: quinn.williams@wisconsin.gov
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From: Dominguez, Alexander rmailto:dominquez.alexander(S)epa.qovl Sent: Thursday, June 08, 2017 11:24 AM To: Williams, Quinn L - DNR Cc: Greenwait, Sarah; Bennett, Tate Subject: RE: next steps for VTA discussion
Thanks Sarah.
Quinn - Looping in Tate as well. We'd be more than happy to set up a call for tomorrow if you would like.
Alex
Alex Dominguez Policy Analyst to the Senior Advisor to the Administrator for Air and Radiation U.S. Environmental Protection Agency 1200 Pennsylvania Ave., N.W. Washington, D.C. 20460
From: Greenwalt, Sarah Sent: Wednesday, June 7, 2017 11:26 PM To: Williams, Quinn L - DNR <Quinn.Williams@wisconsin.gov>; Dominguez, Alexander <domlnguez.alexander@epa.gov> Subject: Re: next steps for VTA discussion
I am overseas on a work trip and will not return for another few days. If you'd like to discuss tomorrow I would encourage you to contact my senior policy analyst, Alex, who is cc'ed here.
Best, Sarah
Sent from my IPhone
On Jun 8, 2017, at 1:09 AM, Williams, Quinn L - DNR <Quinn.Williams@wisconsin.gov> wrote:
You around for a quick cali?
Sierra Club v. EPA 18cv3472 NDCA
Tier 10
ED 002061 00067101-00002
We are committed to service excellence. Visit our survey at http://dnr.wi.gov/customersurvey to evaluate how I did.
Quinn L, Williams Chief Legal Counsel Director - Bureau of Legal Services Wisconsin Department of Natural Resources ( li) phone:! Ex. 6 j ( S ) fax: ! Ex. 6 ! " ' (13) e-mail: quinn.williams@wisconsin.gov CONFIDENTIALITY: This message may contain information which, by law, is privileged, confidentialorexemptfromdisclosure. Contact the sender for permission prior to disclosing the contrats of this message to any other person
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From: Greenwalt, Sarah mailto:qreenwalt.sarah@epa.qovl Sent: Wednesday, June 07, 2017 11:50 AM To: Williams, Quinn L - DNR Subject: Re: next steps for VTA discussion
Thank you for this information.
Sent from my iPhone
On Jun 7, 2017, at 3:01 AM, Williams, Quinn L - DNR <Quinn.Williams(5)wisconsin.gov> wrote:
Hi Sarah.
See below. For our ongoing discussions.
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Quinn t Williams Chief Legal Counsel Director - Bureau of Legal Services Wisconsin Department of Natural Resources ( * ) phone: [____ Ex. 6___ ( li) fax:! Ex. 6 ( E ) e-mail; quinn.williams@wisconsin.gov CONFIDENTIALITY: This message may contain information which, by law, is privileged, confidential or exempt from disclosure. Contact the s-'Wer for poracssion prior to disclosing pm convents of this rrn-ssago to any other person
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Sierra Club v. EPA 18cv3472 NDCA
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notify us by reply e-mail or by teiephone and immediately delete this message and any/all of Its attachments.
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From: Crass, David A (22267) rmailto:DACrass@michaelbest.com1 Sent: Tuesday, June 06, 2017 1:39 PM To: Williams, Quinn L - DNR; Vebber, Lucas; Jordan K. Lamb; John
Holevoet (iholevoet@WIDBA.COM); 'Dzimmerman@wfbf.com' (Dzimmerman@wfbf.com)
Cc: Weigel, Brian M - DNR; Heilman, Cheryl W - DNR; Aquino, Mark D -
DNR; Michaud, Bernard J - DNR; Landretti, Jane R - DNR; Lowndes, MaryAnne - DNR; Voltz, Jeffrey R - DNR; Biersach, Pamela A - DNR
Subject: RE: next steps for VTA discussion
Quinn: Thank you for forwarding and I apologize my schedule has prevented me from attending the last couple of sessions. We were aware of this letter from Ms. Hyde because Pam and MaryAnne cited it to u s-a s well as EPA's February 19, 2016 report of the results of the third state enforcement review-- when we first met last Spring to discuss these issues as a basis for the Department's state-wide pronouncements and actions concerning VTAs and calf hutches. I'd ask you to consider the following about those EPA documents as relates to Wisconsin's position and response:
The EPA Documents concern conditions observed at 8 CAFOs in Wisconsin. We have nearly 300 Large CAFOs I believe, meaning the "sample size" was about 0.03%. It was on this sample size that Ms. Hyde's letter is based when she communicates that EPA has "concerns" about whether the effluent limitations for both the federal and state program are being met statewide. However, USEPA's February 2016 report summary simply concludes that there is the "potential for discharge" in the report entries summarized concerning manure storage, feed storage, VTA's, feed lot areas and calf hutch areas:
Category Stacking Areas of Manure, bagged feed, used bedding and feed. Feed Storage Areas
Vegetated Treatment Areas Feed Lot Areas
F in d in g s 5 of 6 facilities were found to be stackin bedding and/or feed in unsuitable areas the potential for runoff into a waterway. 7 out of 8 facilities had the potential for unauthorized discharges either from no containment, improperly designed, and/ improperly managed feed storage struc 4 out of the 6 facilities had unauthorizec discharges from the VTA. 2 out of the 2 had problems with inadeq no containment for their feedlot runoff, runoff had the potential to discharge to waters.
Sierra Club v. EPA 18cv3472 NDCA
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ED 002061 00067101-00004
Calf Hutch Areas
3 out of 3 had problems with runoff frorr hutch areas that had the potential to dis to surface waters.
Note with respect to VTAs the report notes "unauthorized discharges" from the production area but does not mention "...to navigable surface waters." All other entries simply mention a "potential" to discharge. Further to that, under the "next steps" column in the summary report, USEPA writes:
WDNR is transitioning from focusing on manure and process wastewater management and storage at the production site to placing additional emphasis on management of all wastestreams that have potential to discharge including production area storm water runoff, feed storage areas, calf hutch area, and vegetated treatment areas.
It is ironic that USEPA would focus on areas of "potential" discharge in Wisconsin when its own effluent guideline and permitting authority only applies to Large CAFOs that have an actual discharge to navigable surface waters. See, Waterkeeper Alliance, Inc. e ta l v. EPA, 399 F.3d 486(2d Cir. 2005). WDNR should point out to USEPA that its permitting program is more expansive than USEPA's, since Wisconsin Large CAFOs do not enjoy the option of self-determining that they are a "no discharge CAFO" and hence do not need a permit and since Wisconsin's program also requires groundwater protection. It seems to us inappropriate and a federal overreach for USEPA to suggest that a properly promulgated and incorporated technical design standard "does not ensure the required level of performance is being achieved" statewide when USEPA's own reports suggest only "potential discharges" that would not themselves trigger a permitting requirement under the federal program.
Thank you.
David A. Crass Partner Industry Group Chair, Agribusiness, Food & Beverage T :| Ex. 6 || michaelbest.com Michael Best & Friedrich LLP
-----Original Message----From: Williams, Quinn L - DNR [mailto:Quinn.Williams(5)wisconsin.gov1 Sent: Wednesday, May 31, 2017 12:33 PM To: Vebber, Lucas; Jordan K. Lamb; John Holevoet (iholevoet@WIDBA.COM); 'pzimmerman@wfbf.com1 (pzimmerman@wfbf.com); Crass, David A (22267) Cc: Weigel, Brian M - DNR; Heilman, Cheryl W - DNR; Aquino, Mark D DNR; Michaud, Bernard J - DNR; Landretti, Jane R - DNR; Lowndes, MaryAnne - DNR; Voltz, Jeffrey R - DNR; Williams, Quinn L - DNR; Biersach, Pamela A - DNR Subject: RE: next steps for VTA discussion
Sierra Club v. EPA 18cv3472 NDCA
Tier 10
ED 002061 00067101-00005
Hello everyone,
For those of you who may not have seen it, please see the attached letter from EPA regarding VTAs from March of 2016 that is relevant to the guidance/discussions.
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Quinn L. Williams
Chief Legal Counsel
Director - Bureau of Legal Services
Wisconsin Department of Natural Resources
(0 Phonj r y |
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U I
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(() e-mail: quinn.williams@wisconsin.gov
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Sierra Club v. EPA 18cv3472 NDCA
Tier 10
ED 002061 00067101-00006