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Message From: Sent: To: Subject: AirAction [/O=EXCHANGELABS/OU=EXCHANGE ADMINISTRATIVE GROUP (FYDIBOHF23SPDLT)/CN=RECIPIENTS/CN=FA78B98923384078995E04A73D258D83-AIRACTION] 4/2/2025 3:33:49 PM Brett Sago (US) [bsago@eastman.com] RE: HON Presidential Exemption: Eastman Chemical Company - Longview, Texas Facility Thank you for emailing the AirAction mailbox to request a Presidential Exemption under section 112(i)(4) of the Clean Air Act and for engaging with EPA in advancing President Trump's Executive Orders and Powering the Great American Comeback. We have received your email and will be in contact soon. If you have Confidential Business Information (CBI) that you'd like to submit, please submit it in electronic version to the .r,wPs Ldow.vpa.gt, inbox or in hardcopy to: USEPA, OAQPS CORE CBI Office 4930 Old Page Road Durham, NC 27703 From: Brett Sago (US) <bsago@eastman.com> Sent: Monday, March 31, 2025 5:51PM To: AirAction <AirAction@epa.gov> Cc: Szabo, Aaron <Szabo.Aaron@epa.gov>; Tardif, Abigale (Abbie) <Tardif.Abigale@epa.gov>; Donahue, Sean <donahue.sean@epa.gov>; Dominguez, Alexander <dominguez.alexander@epa.gov>; Tsirigotis, Peter <Tsirigotis.Peter@epa.gov>; Lassiter, Penny <Lassiter.Penny@epa.gov>; Lessard, Patrick <Lessard.Patrick@epa.gov>; Bouchard, Andrew <Bouchard.Andrew@epa.gov> Subject: HON Presidential Exemption: Eastman Chemical Company - Longview, Texas Facility I Caution: This email originated from outside EPA, please exercise additional caution when deciding whether to open attachments or click on provided links. Presidential Exemption: New Source Performance Standards for the Synthetic Organic Chemical Manufacturing Industry and National Emission Standards for Hazardous Air Pollutants for the Synthetic Organic Chemical Manufacturing Industry and Group I & II Polymers and Resins Industry (89 Fed. Reg. 42932) (HON): Eastman Chemical Company -- Longview, Texas Facility Please see the attached request for the above referenced Presidential Exemption. Eastman is ready and willing to provide an unredacted, confidential business information-containing version of this letter upon EPA's request. Thank you. Brett Sago (he/him/his) I EASTMAN Vice President & Assistant General Counsel, HSES Legal Services and Global Product Stewardship & Regulatory Affairs Office: 423-229-4827 I Cell: 423-677-3464 Email bsagoaeastman.com Note. The information transmitted is intended only for the person or entity to which it is addressed and may contain confidential and/or privileged material. Any review, retransmission, dissemination or other use of, or taking ofany action in reliance upon, this information by persons or entities other than the intended recipient is prohibited. If you received this in error please contact the sender and delete the material from any computer. Sierra Club FOIA 2025-EPA-04883 ED_018388_00005697-00001 SC_EVERSPLIT0005173