Document r48d7VqdoVqB1zXrjw42GxEa

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Message From: Sent: To: CC: Subject: Jones, Enesta [/0=EXCHANGELABS/OU=EXCHANGE ADMINISTRATIVE GROUP (FYDIBOHF23SPDLT)/CN=RECIPIENTS/CN=65B8E6C6E5CA4A7A9AE85D98A4C8EEDB-EJONES02] 5/10/2018 11:39:41 PM ________________ Mark Hamstraj._________ Ex_._6________ ! Press [/o=ExchangeLabs/ou=Exchange Administrative Group (FYDIBOHF23SPDLT)/cn=Recipients/cn=b293283291dc44eOb5dlc36be9281d8a-Press] Re: EPA Inquiry Mark, On background: It is currently in interagency review. On May 10, 2018, at 4:17 PM, Mark Hamstra i Ex. 6 wrote: Hi Enesta -- I just wanted to follow up and see if the NPRM for the proposed revisions to Section 608 to reconsider non-exempt substitute refrigerants has been filed yet? Thanks, Mark On Tue, Apr 24, 2018 at 3:11 PM, Mark Hamstra 1 Ex. 6 wrote: ok thanks, this is helpful Enesta. On Tue, Apr 24, 2018 at 3:08 PM, Jones, Enesta <Jones.Enesta@epa.gov> wrote: Mark, On background: As noted in the Administrator's letter dated August 10, 2017 (found here: https://www.epa.gov/section608/letter-indicating-plans-revisit-some-aspects-fmal-rule). EPA is planning to issue a proposed rule to revisit aspects of the 2016 rule's extension of the refrigerant management regulations to substitutes. EPA is currently developing that proposal. There is a regulatory agenda entry for the proposal, which you can find here: https://www.reginfo.gov/public/do/eAgendaViewRule?pubId=201710&RIN=2060-AT81 On Apr 19, 2018, at 8:41 AM, Mark Hamstra i Ex. 6 iwrote: L____________________________________________________________! Thanks Enesta -- My deadline is next Friday, April 27. Do you think there might be updates you can share by that time? On Wed, Apr 18, 2018 at 5:21 PM, Jones, Enesta <Jones.Enesta@epa.gov> wrote: Hi Mark, we have your inquiry below. What's your firm deadline? I am writing an article for Accelerate America magazine based on your March 20 webinar about the Section 608 regulatory program, and I wanted to follow up about your mention of the fact that the EPA is developing a proposed rule that revisits aspects of the extension to cover non-exempt substitutes such as HFCs. Can you provide any more detail on what changes are being considered? Sierra Club v. EPA 18cv3472 NDCA Tier 13 ED 002061 00015893-00001 When do you expect the proposed new rule to be published? Best regards, Mark Hamstra Ex. 6 L______________________________________________________ l Linkedln Twitter Mark Ham stra Ex. 6 : i_______________________________________________________ ______________________ j ! Linkedln I Twitter _.M ark.H am stra_______________ Ex. 6 Linkedln I Twitter Mark Ham stra Ex. 6 Linkedln | Twitter Sierra Club v. EPA 18cv3472 NDCA Tier 13 ED 002061 00015893-00002