Document RproNZ22d12xGZ82yKyKX56o7
From:
Bridgeford, Tawny
[TBridgeford@nma.org]
ent:
3/14/2025 3:53:31PM
o:
Cook, Steven
[cook.steven@epa.gov]
object:
NMA Comments on
Phosphogypsum
Petition
ttachments:NMA Letter Opposing
RCRA-TSCA Phosphate
Petition (Final & Sent to
EPA) (Apr. 26,
2021).pdf; FINAL TFI
Opposition to RCRA
and TSCA Rulemaking
Petition (Mar. 29 2021)
(004). pdf
Caution: This email originated from outside EPA, please exercise additional caution when deciding whether to open attachments or click on provided links.
Appreciated your time yesterday discussing Good Samaritan implementation. We are excited to support this next phase in creating a pilot program that will result in essential benefits to communities impacted by abandoned mine lands.
Separately, wanted to share the National Mining Association's letter opposing the petition for rulemaking filed with the U.S. Environmental Protection Agency on Feb. 8, 2021, which seeks the promulgation of certain rules pursuant to RCRA, TSCA, and the APA, related to phosphogypsum and process wastewater from phosphoric acid production. The Fertilizer Institute submitted a more extensive opposition response. I've attached their letter if you do not already have it.
Tawny
NMA
National Mining Association
Tawny Bridgeford General Counsel & Senior Vice President, Regulatory Affairs National Mining Association 101 Constitution Ave. NW, Suite 500 East Washington, D.C. 20001
Direct: (202) 463-2629 Cell: (202) 731-8339 tbridgeford@nma.org
Sierra Club FOIA Request: 2025-EPA-04193
ED_018475D_00002951-00001
SC_FOIA_0000678