Document QJLn9nKK0J7Gd0oqpEGpo0aO4

Message From: Sent: To: CC: Subject: Culleen, Lawrence E. [Lawrence.Culleen@apks.com] 6/7/2017 3:44:10 PM Beck, Nancy [/o=ExchangeLabs/ou=Exchange Administrative Group (FYDIBOHF23SPDLT)/cn=Recipients/cn=168ecb5184ac44de95a913297f353745-Beck, Nancy] Marshall, Venus [/o=ExchangeLabs/ou=Exchange Administrative Group (FYDIBOHF23SPDLT)/cn=Recipients/cn=dbd81al8f6ad447f90b8abbcb90fe9db-Venus Ashton] RE: meeting request Thank you. I look forward to seeing you again soon. I've sent Ms. Marshall additional information concerning potential dates that would work well for such a meeting. Larry From: Beck, Nancy [ mailto:Beck.Nancy@epa.gov] Sent: Wednesday, June 07, 2017 11:38 AM To: Culleen, Lawrence E. Cc: Marshall, Venus S ubject: RE: meeting request Larry, Venus Marshall can assist in setting up a meeting. Regards, Nancy Nancy B. Beck, Ph.D., DABT Deputy Assistant Administrator, OCSPP P: 202-564-1273 ,-------------------------------- j I Ex. 6Personal Privacy (PP) j '''becRThanTyPepa.gov From: Culleen, Lawrence E. [mailto:Lawrence.Culleen@apks.com] Sent: Wednesday, June 7, 2017 11:29 AM To: Beck, Nancy <Beck.Nancy@epa.gov> Subject: meeting request Nancy - I am interested in setting up a meeting with you concerning the proposed TSCA paint stripper rule. We represent W.M. Barr & Company, an employee-owned small business that is the country's largest producer of consumer-use paint strippers that contain methylene chloride and which are sold in retail centers and home & hardware stores nation-wide. We have submitted detailed comments on the proposed Section 6(a) paint strippers regulation which, as you may know, will effectively ban Barr's retail-size paint strippers on the basis of certain assumptions and conclusions that we do not believe are scientifically supported by the record. Barr's President has asked me to approach you directly because the CEO and one or more members of the company's Board of Directors intend to travel to Washington so they can make you personally aware of the jeopardy their enterprise faces if the rule if finalized as proposed. The Agency's economic assessment greatly underestimates the impacts the rule will have on Barr and other small businesses that formulate paint strippers and the many thousands of small business residential remodeler/contractors that rely on retail-size paint strippers containing methylene chloride. UnfortLinately, Agency staff have erroneously conckided that there Sierra Club v. EPA 18cv3472 NDCA Tier 12 ED 002061 00043243-00001 are technically and economically feasible alternatives to methylene chloride paint stripers which information in the public literature (and data Barr has provided to EPA staff) contradict. I intend to reach out today to your scheduler to try to arrange such a meeting the week of July to or 17th. However, I want you to feel free to contact me directly to confer further about the purpose of our meeting and the substantive aspects of the comments Barr timely submitted during the public comment period. Thank you in advance for your consideration and any assistance you can provide in setting up such a meeting. Larry Lawrence E. Culleen Partner Arnold & Porter Kaye Scholer LLP 601 Massachusetts Ave., NW |Washington | DC 20001-3743 T: +1 202.942.5477 | F: +1 202.942.5999 lawrence.culleen@apks.com |www.apks.com This communication may contain information that its legally privileged, confidential or exempt boro disclosure. If you are not the intended recipient, please note the? any dissemination, distribution, or copying of this communication is strictly prohibited. Anyone who receives this message in error should noniy the sender immediately Py telephone ot by return e-rnaii and delete it from his or her computer. For more inlormation about Arnold & Porter Kaye Scholar LLP. click here: This commun-cation may contain information brat is legally privileged, confidential or exempt bore disclosure. If you ere not tire intended recipient, please note that any dissemination, distribution, or espying of this communication is strictly prohibited. Anyone who receives this message -n error should nobly the sender immediately Py telephone or by return e-rnaii and delete it from his or her computer. For more inlormation about Arnold & Porter Kaye Scholer LLP. click here: http;PvvWW.spks,coro Sierra Club v. EPA 18cv3472 NDCA Tier 12 ED 002061 00043243-00002