Document MM4KzLML6eVDZ1drvmqr1DV6M

Message From: Sent: To: CC: Subject: Longsworth, Jeffrey [Jeffrey.Longsworth@btlaw.com] 2/14/2018 4:00:45 PM Lewis, Josh [/o=ExchangeLabs/ou=Exchange AdministrativeGroup (FYDIBOHF23SPDLT)/cn=Recipients/cn=b22dld3bb3f84436a524f76ab6c79d7e-JOLEWIS] Wehrum, Bill [/o=ExchangeLabs/ou=Exchange Administrative Group (FYDIBOHF23SPDLT)/cn=Recipients/cn=33d96ae800cf43a3911d94a7130b6c41-Wehrum, Wil] Brick/Clay MACT rule reconsideration Josh, I represent the Tile Council of North America. TCNA wants to ascertain the status of the Brick/Clay MACT rule reconsideration and convey their positions regarding that matter. I've reached out to staff in OAQPS in RTP (identified in Administrator Pruitt's November 1, 2017 reconsideration letter), and have not had any success. I saw AA Bill Wehrum last week at Susan Bodine's ceremonial swearing in and he said to reach out to you if I was having trouble getting any responses. Can you tell me the status of that reconsideration rulemaking? Bill also indicated that he had talked with but never met the Executive Director of TCNA, Eric Astrachan. Eric will be in DC the week of March 5 and would very much appreciate any opportunity to meet with Bill or appropriate staff in DC (any day except March 6, I believe). Thank you for your time and any information regarding the status of the MACT reconsideration or opportunity to meet with EPA in early March. Respectfully, Jeffrey Longsworth j Partner te 500, Washington, DC 20006-4523 Fax: (202) 289-1330 BARNES & T H O R N B U R G nr Atlanta 1Chicago 1Dallas j Delaware | Indiana j Los Angeles I Michigan j Minneapolis | Ohio 1Washington, D.C CONFIDENTIALITY NOTICE: This email and any attachments are for the exclusive and confidential use of the intended recipient. If you are not the intended recipient, please do not read, distribute or take action in reliance upon this message. If you have received this in error, please notify us immediately by return email and promptly delete this message and its attachments from your computer system. We do not waive attorney-client or work product privilege by the transmission of this message. Sierra Club v. EPA 18cv3472 NDCA Tier 13 ED 002061 00181981-00001