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Cynthia E. Vodopivec, P.E. SVP -- Environmental, Health & Safety Vistra Corp. CyntY:.vodopivecvT,vistracorp.com m. 860-604-4844 Sierra Club FOIA 2025-EPA-04883 ED_018388_00005739-00002 SC_EVERSPLIT0005492 Message From: Sent: To: Subject: AirAction [/O=EXCHANGELABS/OU=EXCHANGE ADMINISTRATIVE GROUP (FYDIBOHF23SPDLT)/CN=RECIPIENTS/CN=FA78B98923384078995E04A73D258D83-AIRACTION] 4/2/2025 12:07:13 PM Jenn DeArmitt [jenn@resilite.com] CORRECTION: Updated email address for CBI related to the Presidential Exemption In the previous email, an incorrect email address was provided for the submission of electronic Confidential Business Information (CBI). The email address should be: OAQPS CBI@),epa.gov Thank you. From: AirAction Sent: Tuesday, April 1, 2025 9:58 AM To: Jenn DeArmitt <jenn@resilite.com> Subject: RE: Presidential Exemption: Clean Air Act Section 112(i)(4): Resilite Sports Products, Inc. (Resilite)" 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 CBI@epa.gov inbox or in hardcopy to: USEPA, OAQPS CORE CBI Office 4930 Old Page Road Durham, NC 27703 From: Jenn DeArmitt <jenn@resilite.com> Sent: Monday, March 31, 2025 4:41PM To: AirAction <AirAction@epa.gov> Subject: Presidential Exemption: Clean Air Act Section 112(i)(4): Resilite Sports Products, Inc. (Resilite)" I Caution: This email originated from outside EPA, please exercise additional caution when deciding whether to open attachments or click on provided links. To Whom It May Concern: Resilite requests an exemption of the requirements specified in the Plan Approval 49-00004A issued on May 21, 2024 by the Pennsylvania Department of Environmental Protection being administered under authority by the United States Environmental Protection Agency under Title V of the Clean Air Act. The Plan Approval requires that Resilite install and operate a regenerative thermal oxidizer (RTO) to control volatile organic compound (VOC) emissions from Resilite's mat surface coating operations, as part of the federally mandated Reasonably Available Control Technology (RACT) requirements. Sierra Club FOIA 2025-EPA-04883 ED_018388_00005741-00001 SC_EVERSPLIT0005493