Document aJyMkzkv1dmenY91DoOGoOqDM

To: Pruitt, Scott[Pruitt.Scott@epa.gov] Cc: Dravis, Samantha[dravis.samantha@epa.gov]; Shapiro, Mike[Shapiro.Mike@epa.gov]; Tim Pickettfti mpickett@frontierwater.com] From: James Peterson Sent: Thur 5/4/2017 7:52:29 PM Subject: Request for Meeting Regarding ELG Rule FWS Letter to EPA Administrator May 4, 2017.pdf Mr. Pruitt, please see attached letter requesting a meeting in order to provide additional technical and commercial data to assist EPA during re-consideration of the ELG rule. Regards, James Peterson P.E. Co-Founder and CEO A' W- WATER SYSTEMS 0 619.328.9999x 102 I D 619.344.8656 3442 Sutherland St, San Diego, CA 92110 www.FrontierWater.com 17cv1906 Sierra Club v. EPA 6/22 Production ED 001523 00007728-00001 May 4, 2017 VIA E-MAIL Scott Pruitt Administrator Environmental Protection Agency Office of the Administrator 1101A 1200 Pennsylvania Avenue, N.W. Washington, DC 20460 RE: ELG Steam Electric Rule Stay Dear Mr. Pruitt, I am writing to request a meeting with EPA in order introduce Frontier Water Systems and provide additional supporting data as it pertains to the ELG rule and associated administrative stay during this period of potential re-consideration. We depend on EPA to maintain consistent and reasonable objectives and urge you to preserve the spirit of the rule, while considering our valuable commercial and technical feedback. Frontier Water Systems is an American clean coal technology company dedicated to the cost effective treatment of selenium and metals from FGD wastewater and coal ash ponds. Since prior to promulgation of the rule, Frontier has been working side by side with several major coal burning utilities in order to develop the next generation bioreactor for ELG compliance. As a result, Frontier has invested millions of dollars towards numerous successful field pilot studies covering eight different major utilities, and has received orders for two FGD wastewater treatment facilities designed with guarantees to meet ELG guidelines. We can provide experience, data, completed engineering designs and costing for pre-fabricated equipment that covers a range of water qualities, flows and fuel sources. We are an example of the private American engineering and environmental innovation required to deliver clean coal, protect our nations waters and preserve jobs. If you or your staff is available for an in person meeting the week of May 15th, we would welcome the opportunity to share additional material for EPA's consideration. Regards, James Peterson P.E. Co-Founder and CEO Frontier Water Systems iamespeterson@frontierwater.com Direct: (619) 344-8656 Cc: Samantha Dravis, Associate Administrator Cc: Michael H. Shapiro, Acting Assistant Administrator for Water www.frontierwater.com 17cv1906 Sierra Club v. EPA - 6/22 Production ED 001523 00007729-00001