Document dDnRZNdqxQyzvzgqxp09RXeQ

Message From: Sent: To: CC: Subject: Segal, Scott [scott.segal@bracewell.com] 6/11/2018 3:00:27 PM Ross, David P [/o=ExchangeLabs/ou=Exchange Administrative Group (FYDIBOHF23SPDLT)/cn=Recipients/cn=119cd8b52ddl4305a84863124ad6d8a6-Ross, David] Penman, Crystal [/o=ExchangeLabs/ou=Exchange Administrative Group (FYDIBOHF23SPDLT)/cn=Recipients/cn=93662678a6fd4d4695c3df22cd95935a-Penman, Crystal]; Wyman, Christine [christine.wyman@bracewell.com]; Wyleczuk-Stern, Elizabeth [elizabeth.wyleczuk-stern@bracewell.com] Meeting Request on 401 and Pipelines Dave - Scott Segal over at Bracewell LLP here. A belated congratulations on the new position, and a belated thanks for the great work coming out of OW on WOTUS and other topics. I work on a range of environmental issues and I look forward to working with you, particularly on the intersection between environmental policy and energy policy. If I can ever be of assistance, please let me know. At your earliest convenience, I'd like to schedule some time for you to meet with folks representing the Interstate Natural Gas of America Association (INGAA) to discuss natural gas pipelines and permitting, and Section 401 of the Clean Water Act in particular. There have been a few recent developments in the law and policy affecting 401 implementation - namely two federal Circuit court decisions and the Administration's One Federal Decision policy. We'd like to share our ideas on how these developments can promote predictability in the Section 401 process. And of course, we were glad to see the issue mentioned in the recent Unified Agenda. As you may know, INGAA is the trade organization advocating regulatory and legislative positions of importance to the natural gas pipeline industry in North America. It is comprised of 25 members, representing the vast majority of the interstate natural gas transmission pipeline companies in the U.S. and comparable companies in Canada. INGAA's members operate approximately 200,000 miles of pipelines. In other meetings we've had with senior Agency officials, this 401 issue seems to have emerged as a priority. We'd like to speak to you as soon as we can. Perhaps sometime in early July? Thanks, ss/ SCOTT SEGAL Partner scott.segal@policyres.com T:l Ex.' j| F :+1.800.4043970 POLICY RESOLUTION GROUP | BRACEWELL LLP 2001 M Street NW, Suite 900 | Washington, D.C. | 20036-3310 policyres.com | profile [ download v-card CONFIDENTIALITY STATEMENT This message is sent by a law firm and may contain information that is privileged or confidential, if you received Sierra Club v. EPA 18cv3472 NDCA Tier 3/4 ED 002061 00159676-00001 this transmission in error, plea.se notify the sender by reply e-mail and delete the message and any attachments. Sierra Club v. EPA 18cv3472 NDCA Tier 3/4 ED 002061 00159676-00002