Document bKDxyzxdJgnwdX52EnD7387Z
For standards set or revised under CAA Section 112(f) and all corresponding requirements (including monitoring requirements), the exemption should apply as of April 6, 2026 (the compliance deadline for those standards);
For standards set or revised under CAA Section 112(d) and all corresponding requirements (including monitoring requirements), the exemption should apply as of April 5, 2027 (the compliance deadlines for those standards).
As explained further in the attached letter submitted to EPA on March 17 on behalf of the Ethylene Oxide Sterilization Association (EOSA), the technology necessary to implement the standards is not available because manufacturers cannot guarantee that existing emissions control equipment will enable sources to meet the new standards; there is not a sufficient supply of the necessary technology; and there are not enough experienced installation professional and technical experts to install and test that equipment within the current compliance timeframes.
As also explained further in EOSA's March 17 letter, it is in the national security interests of the United States to issue the requested exemption because if some facilities choose to cease operations rather than attempt compliance (which is likely), that will disrupt the supply of sterilized medical devices, raise the cost of those devices, and/or force medical suppliers or providers to source sterilized medical devices from abroad.
Please don't hesitate to let me know if any additional information is needed. [International Sterilization Laboratory] appreciates EPA's attention to this important matter and urges EPA to recommend that the President issue the requested exemption as quickly as possible.
Sincerely,
Steve Walter Vice President ISL International Sterilization Laboratory Phone: 941-378-6649 Cell: 813-843-2124 Email: swalter@ISL-FL.com
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Sierra Club FOIA 2025-EPA-04883
ED_018388_00005688-00002
SC_EVERSPLIT0005471
Message
From:
Sent: To: Subject:
AirAction [/O=EXCHANGELABS/OU=EXCHANGE ADMINISTRATIVE GROUP (FYDIBOHF23SPDLT)/CN=RECIPIENTS/CN=FA78B98923384078995E04A73D258D83-AIRACTION] 4/1/2025 9:00:40 PM Kacenjar, Allen A. [allen.kacenjar@squirepb.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 CBIAepa.gov
Thank you.
From: AirAction Sent: Tuesday, April 1, 2025 11:21AM To: Kacenjar, Allen A. <allen.kacenjar@squirepb.com> Subject: RE: Presidential Exemption Request - Indorama Ventures Oxides, LLC
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 OBlq_2),epa.go inbox or in hardcopy to:
USEPA, OAQPS CORE CBI Office 4930 Old Page Road Durham, NC 27703
From: Kacenjar, Allen A. <
Sent: Monday, March 31, 2025 5:51PM
To: AirAction < .,rAction@epa.gov>
Cc: Szabo, Aaron <Szabo.Aarc
>; Tardif, Abigale (Abbie) <Tardif.Abigale@epa.gr- >; Donahue, Sean
<donahue.sean@epa.gov>; Dominguez, Alexander <43,,rninguez.alexanderf-- -nv>; Tsirigotis, Peter
<Tsirigotis.Peter@epa.gov>; Lassiter, Penny <' _issiter.Penny@epa.gov>; Bouchard, Andrew
<Bouchard.Andrew@epa.gov>; Lessard, Patrick <'
'Iatrick@epa.gov>; Ed Gunderson
<P -1
_
ma.r >; Leonardo M Guglielmi <le-" -dmi@us.indorama.net>
Subject: Presidential Exemption Request - Indorama Ventures Oxides, LLC
Caution: This email originated from outside EPA, please exercise additional caution when deciding whether to open attachments or click on provided links.
Dear Administrator Zeldin:
On behalf of our client, Indorama Ventures Oxides, LLC, attached please find a request for Presidential Exemption under 42 U.S.C. 7412(i)(4) from the New Source Performance Standards for the Synthetic Organic Chemical Manufacturing Industry and National Emission Standards for Hazardous Air Pollutants (NESHAP) for the Synthetic Organic Chemical Manufacturing Industry (SOCMI) and Group I & II Polymers and Resins Industry ("HON Rule").
Sierra Club FOIA 2025-EPA-04883
ED_018388_00005690-00001
SC_EVERSPLIT0005472