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Message From: Sent: To: CC: Subject: Bolen, Brittany [/0=EXCHANGELABS/OU=EXCHANGE ADMINISTRATIVE GROUP (FYDIBOHF23SPDLT)/CN=RECIPIENTS/CN=31E872A691114372B5A6A88482A66E48-BOLEN, BRIT] 5/23/2017 4:46:57 PM Michael K. Henry [mhenry@alpinegroup.com] Carolyn Inge (lnge.Carolyn@epa.gov) [/o=ExchangeLabs/ou=Exchange Administrative Group (FYDIBOHF23SPDLT)/cn=Recipients/cn=7f763e42702a4f468cdf42323ee94520-Cinge]; Kirne, Robin [/o=ExchangeLabs/ou=Exchange Administrative Group (FYDIBOHF23SPDLT)/cn=Recipients/cn=7ef7b76087a6475b80fc984ac2dd4497-RKime] RE: Meeting Request Hi Mike, Thanks for your email. Please work with Carolyn (cc'd) on scheduling a meeting. Best, Brittany B rittany Bolen Deputy Associate Administrator, Office of Policy U S. Environmental Protection Agency (202) 564-3291 Bolen.Briftanv@epa.gov From: Michael K. Henry [mailto:mhenry@alpinegroup.com] Sent: Monday, May 22, 2017 2:12 PM To: Bolen, Brittany <bolen.brittany@epa.gov> Subject: Meeting Request Brittany- Hope all is well with the move to EPA! Any chance you have time in the next week or so to meet with me and a client, the Rubber Manufacturers Association (RMA)? We would like to come in and discuss issues in your purview relative to the domestic tire manufacturers - including the nanomaterial reporting rule, residual risk and technology review, Phase 2 rule, biomass and TSCA implementation. Following are some bullets from a letter they transmitted in May, just to give you some color of what's currently on their radar. Do you have time to meet with us? Thanks! ! Sierra Club v. EPA 18cv3472 NDCA Tier 7 ED 002061 00084419-00001 Mike RMA encourages EPA to meet the court deadline (2018 or 2020) for completing the RTR review of the Tire MACT RMA members are committed to effective implementation of the Frank R. Lautenberg Chemical Safety for the 21st Century Act (LCSA). RMA recommends that EPA stay the effective date of the nanomaterial reporting rule until guidance is issued to clarify reporting obligations in the rule. RMA encourages EPA to accept RM A's petition for reconsideration of the Phase 2 rule and issue technical corrections to address the issues raised. RMA recommends that EPA designate biomass as carbon neutral and remove the burden of ASTM testing to determine the biogenic fraction of tire-derived fuel (TDF). Sierra Club v. EPA 18cv3472 NDCA Tier 7 ED 002061 00084419-00002