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Sierra Club FOIA 2025-EPA-04883
ED_018388_00005447-00002
SC_EVERSPLIT0005383
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AirAction [/O=EXCHANGELABS/OU=EXCHANGE ADMINISTRATIVE GROUP (FYDIBOHF23SPDLT)/CN=RECIPIENTS/CN=FA78B98923384078995E04A73D258D83-AIRACTION] 3/28/2025 6:41:22 PM Steve Adamietz [sadamietz@medxlpro.com] Ken Morse [kmorse@medxlpro.com] RE: Model Email to EPA Requesting Section 112(i)(4) Exemption for Sterilizer Rule
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From: Steve Adamietz <sadamietz@medxlpro.com> Sent: Friday, March 28, 2025 2:32 PM To: AirAction <AirAction@epa.gov> Cc: Ken Morse <kmorse@medxlpro.com> Subject: Model Email to EPA Requesting Section 112(i)(4) Exemption for Sterilizer Rule
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Re: Sterilizer Rule (89 FR 24090): MedXL, LLC
I write on behalf of MedXL, to request that the President issue a two-year exemption pursuant to his authority under CAA Section 112(i)(4) for all emission standards and associated requirements set or revised in EPA's April 4, 2024 National Emission Standardsfor Hazardous Air Pollutants: Ethylene Oxide Emissions Standards for Sterilization Facilities. Residual Risk and Technology Review, 89 FR 24090 (April 5, 2024) (Sterilizer Rule).
MedXL requests that the Presidential Exemption apply to the following facilities regulated by the Sterilizer Rule and all sources therein:
MedXL, 3204 Hale Road, Ardmore, Oklahoma 73401
MedXL requests that the President issue a two-year exemption as quickly as possible, but designate it as taking effect on the compliance deadlines for the standards in the Sterilizer. Rule. Specifically:
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).
Sierra Club FOIA 2025-EPA-04883
ED_018388_00005448-00001
SC_EVERSPLIT0005384