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Dunlap, David [David.Dunlap@kochps.com] 5/26/2017 2:07:33 PM Beck, Nancy [/o=ExchangeLabs/ou=Exchange Administrative Group (FYDIBOHF23SPDLT)/cn=Recipients/cn=168ecb5184ac44de95a913297f353745-Beck, Nancy] RE: TSCA rules
Now if can just get the program its necessary funding? Ya know any ORD programs from which you could appropriate funds?
David D. Dunlap j Director, Environmental Regulatory Affairs Koch Companies Public Sector
Culture eats strategy for breakfast - Peter Drucker
From: Beck, Nancy [mailto:Beck.Nancy@epa.gov] Sent: Friday, May 26, 2017 10:01 AM To: Dunlap, David <David.Dunlap@kochps.com> Subject: RE: TSCA rules
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Thanks for the input David! I totally agree with you that we wont be able to pull this off working alone!
Regards, Nancy
Nancy B. Beck, Ph.D., DABT Deputy Assistant Administrator, OCSPP P: 202-564-1273
M: r 1 ^ 6 H
becE'na'ncy;@epa.gov
From: Dunlap, David [maih:o:David.Dunlap@kochps,coml Sent: Thursday, May 25, 2017 10:25 AM To: Beck, Nancy <Beck.Nancy@ep3.gov> Subject: TSCA rules
One general note for you as the Agency finalizes the risk assessment rule.
Simply put, the goal of TSCA is to manage risk from chemicals used in commerce. Everyone should agree on this. But this won't truly happen in any broad way at the minimum pace laid out in the legislation. For the LCSA to truly meet its potential and serve the public's needs (minimize risk without stifling innovation), TSCA must work with pace and efficiency. Not everyone may agree with this premise, but I certainly do. For this to happen the Agency must treat industry as an equal and trusted stakeholder and find cooperative (not coercive) ways to leverage industry's financial and knowledge base in a way that meets our common goal of low risk (for the intended use) and effective products/chemicals for the businesses and the public. A good start will be through an industry nomination process that encourages rather than penalizes or disadvantages industry generated risk assessments. New TSCA will only be successful if the Agency can incentivize industry to do much of the work in assessing both high and low risk chemicals.
Sierra Club v. EPA 18cv3472 NDCA
Tier 1
ED 002061 00044853-00001
Regards,
DDD
David D. Dunlap j: Director, Environmental Regulatory Affairs Koch Companies Public Sector
Culture eats strategy for breakfast - Peter Drucker
From: Beck, Nancy [mailto:Beck.Nancy@epa.gov1 Sent: Wednesday, May 17, 2017 10:25 AM To: Dunlap, David <David.Duniap@kochps.com> Subject: RE: CDR
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Thank you. This is not the first time I'm hearing concerns about CDR.
Nancy
Nancy B. Beck, Ph.D., DABT
Deputy Assistant Administrator, OCSPP
P: 202-564-1273
M:
Ex. 6
beck.nancy@epa.gov
From: Dunlap, David [mailto:David.Dunlap@kochps.com1 Sent: Wednesday, May 17, 2017 10:22 AM To: Beck, Nancy <8eck.NancY@epa.gov> Subject: CDR
I remember now.
All stakeholders should be focused on making sure EPA gets accurate data. Without accurate data, EPA cannot make proper Section 5 and 6 decisions.
Data quantity does not equate to data QAULITY or even data useability!
DDD
Sierra Club v. EPA 18cv3472 NDCA
Tier 1
ED 002061 00044853-00002