Document o9Nj5Vnd4ZzEeLe2pJdwbxemo

Message From: Sent: To: Subject: Attachments: Todd Parfitt [todd.parfitt@wyo.gov] 4/26/2018 2:45:46 AM Ross, David P [/o=ExchangeLabs/ou=Exchange Administrative Group (FYDIBOHF23SPDLT)/cn=Recipients/cn=119cd8b52ddl4305a84863124ad6d8a6-Ross, David] WOTUS Followup Cottonwood Creek JDs_map.pdf; Cottonwood Creek text.docx; Storm CatJDs_map.pdf; Storm Cat text.docx Dave, As a follow up to our discussions on the WOTUS rule in early March, I have attached some examples of how the 2015 rule would greatly increase what would be considered WOTUS in Wyoming (Over 800% increase in one watershed example). Also note in the example the discrepancy between ACOE and EPA past interpretations of what is WOTUS and the impact to state programs. Thanks Todd Todd Parfitt Director Department o fEnvironmental Quality 200 W. 17th St. 4th Floor Cheyenne, WY 82002 Ex. 6 | todd.parfitt@wyo. gov \<m : \ n r uw jhiss E-Mail to and from me, in connection with the transaction of public business, is subject to the Wyoming Public Records Act and may be disclosed to third parties. Sierra Club v. EPA 18cv3472 NDCA Tier 10 ED 002061 00160312-00001