Message
From:
Segal, Scott [scott.segal@bracewell.com]
Sent:
5/23/2017 8:59:12 PM
To:
Brown, Byron [/o=ExchangeLabs/ou=Exchange Administrative Group
(FYDIBOHF23SPDLT)/cn=Recipients/cn=9242d85c7df343d287659f840d730e65-Brown, Byro]
CC:
Beck, Nancy [/o=ExchangeLabs/ou=Exchange Administrative Group
(FYDIBOHF23SPDLT)/cn=Recipients/cn=168ecb5184ac44de95a913297f353745-Beck, Nancy]; Krenik, Edward
[edward.krenik@bracewell.com]
Subject:
Meeting Request: EPA Technical Correction of IRIS Quantitative Exposure Risk Value for Chloroprene
Attachments: DPE Transition Memo FINAL2.docx
Byron - attached for your review is memo prepared initially for transition regarding a mistaken IRS value that is being used inappropriately as a default value for regulation/enforcement. If uncorrected, it could endanger the last neoprene production facility in the US (LaPlace, LA)! The owner is Denka Performance Elastomer, LLC, or DPE, who purchased the plant from DuPont.
Ryan initially directed us to Nancy - who certainly knows IRIS well - and she thoughtfully reminded us that this is an ORD issue. But what is called for here is Request for Correction (RFC) to the IRIS listing, now out of date and inaccurate. Our current plan is to file the RFC the week of June 11.
Request: can you (and Nancy perhaps) sit down with the CEO of DPE, the plant manager from LaPlace, Ed Krenik, and me? The date would be June 9. Would that work? Thanks, ss/
SCOTT SEGAL
Partner
scott.segai@polic.yres.com
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POLICY RESOLUTION GROUP | BRACEWELL LLP 2001 M Street NW, Suite 900 | Washington, D.C. [ 20036-3310 policyres.com | profile [ downioad v-card
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