Document NEEqxem262kB0vb356nL1M5kQ

Message From: Sent: To: CC: Subject: Davis, Patrick [/0=EXCHANGELABS/OU=EXCHANGE ADMINISTRATIVE GROUP (FYDIBOHF23SPDLT)/CN=RECIPIENTS/CN=7FCA02D1EC544FBBBD6FB2E7674E06B2-DAVIS, PATR] 9/12/2017 6:27:55 PM Bridgeford, Tawny [TBridgeford@nma.org] Brooks, Becky [/o=ExchangeLabs/ou=Exchange Administrative Group (FYDIBOHF23SPDLT)/cn=Recipients/cn=6f369a2ef33e4a87af349210a3915a57-BBrooks] RE: Introductions and Request for Meeting Hi Tawny, Indeed, I remember being disappointed to have missed you when you came by last month. Thank you for restarting the conversation. Please coordinate with Becky Brooks to find a convenient time. Thanks, Patrick Davis Environmental Protection Agency Deputy Assistant Administrator, Office of Land and Emergency Management 202-564-3103 office Information sent to this email address may be subject to FOIA. From: Bridgeford, Tawny [mailto:TBridgeford@nma.org] Sent: Tuesday, September 12, 2017 2:20 PM To: Davis, Patrick <davis.patrick@epa.gov> Subject: Introductions and Request for Meeting Mr. Davis: Good afternoon! I am the Deputy General Counsel and Vice President of Regulatory Affairs at the National Mining Association (NMA). Last month we met with Barnes Johnson and members of the team to discuss NMA's concerns with and positions regarding the proposed CERCLA financial responsibility rule for the hardrock mining industry. Unfortunately, our scheduled member fly-in did not coordinate well with your schedule at the time and we asked to move forward with the meeting with the OLEM staff. We would like to correct that scheduling issue and hopefully find a time to introduce ourselves in person and provide a quick overview of who we are and our members' priority issues under OLEM. CERCLA financial responsibility is our number one priority, but we are involved in several other issues as well (e.g., coal ash, chemical security, etc.). Please let me know if you have time over the next few weeks to meet in person. Look forward to hearing from you. Regards, Tawny Tawny Bridgelord Deputy General Counsel 8< vice President, Regulatory Affairs National Mwing Association 101 Constitution Ave NVA Suits 500 East Sierra Club v. EPA 18cv3472 NDCA Tier 2 ED 002061 00091416-00001 Ex. 6 LtKnag57a(5ma^ro Sierra Club v. EPA 18cv3472 NDCA Tier 2 ED 002061 00091416-00002