Document 93wOeVG3KEwqL0XRj2OZvgQpe

Message From: Sent: To: CC: Subject: Catherine G abbyi x. 6 j 8/3/2017 4:56:46 PM StClair, Christie [/o=ExchangeLabs/ou=Exchange Administrative Group (FYDIBOHF23SPDLT)/cn=Recipients/cn=06618c5ed0e744a3bfe8443360018c26-StClair/ Ch] Press [/o=ExchangeLabs/ou=Exchange Administrative Group (FYDIBOHF23SPDLT)/cn=Recipients/cn=b293283291dc44eOb5dlc36be9281d8a-Press] Re: Press Inquiry about Coal Ash Super. Thank you again. Cathy Catherine labby I Journalist Ex. 6 |@cathyclabby On Aug 3, 2017, at 12:44 PM, StClair, Christie <StClair.Christie@epa.gov> wrote: Hi Catherine, Thanks fo r your email. I do handle coal ash, but this rule falls under our w ater team . One of my colleagues w ill be in touch. C h ristie From: C atherine Clabby [i Ex. 6 Sent: Thursday, August 03, 2017 12:16 PM To: StClair, C hristie <S tC lair.C hristie@ epa.gov> Subject: Press In q u iry a b o u t Coal Ash Hi Christie. Thank you in advance for your help. I'm trying to sort our what type of revisions are being considered for the Steam Electric Power Generating Effluent Guidelines - 2015 Final Rule. I see that the EPA has already announced a plan to "postpone the compliance dates for the new, and more stringent, best available technology economically achievable ("BAT") effluent limitations and pretreatment standards for each of the following wastestreams: Fly ash transport water, bottom ash transport water, flue gas desulfurization ("FGD") wastewater, flue gas mercury control wastewater, and gasification wastewater. These compliance dates would be postponed until EPA completes reconsideration of the 2015 Rule." Have new deadlines been established? What further revisions are being considered to the rule? Best wishes, Cathy Sierra Club v. EPA 18cv3472 NDCA Tier 13 ED 002061 00028262-00001 9[' Ex. 6 ,._._CMierine_.CIal}by I Journalist Ex. 6 @cathyclabby Sierra Club v. EPA 18cv3472 NDCA Tier 13 ED 002061 00028262-00002