Title: American Chemistry Council et al. 6.8.2012 ltr.
Abstract: 6/8/2012 letter from American Chemistry Council, American Coke and Coal Chemicals Institute, America Forest & Paper Association, American Foundry Society, American Iron and Steel Institute, American Petroleum Institute, American Wood Council, Brick Industry Association, Celanese Corp., Council of Industrial Boiler Owners, Delaware Solid Waste Authority, KapStone Paper and Packaging Corporation, Manufacturers and Chemical Industry Council of North Carolina, National Association of Clean Water Agencies, National Solid Wastes Management Association, Portland Cement Association, Rubber Manufacturers Association, The County Sanitation Districts of Los Angeles County, Utility Solid Waste Activities Group and Waste Management; to Mathy Stanislaus, Assistant Administrator, Office of Solid Waste and Emergency Response, USEPA regarding the Regulatory Status of Gases that are not Contained in a Container
Comment
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Title: Comment
Cover page
View Attachment:
Title: Cover page
Lafarge North America 6.17.2011 letter
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Title: Lafarge North America 6.17.2011 letter
Abstract: Letter dated 6/17/011 from Craig S. Campbell, Vice President, Environment & Government Affairs, Cement Division, Lafarge North America; to Lisa P. Jackson, Administrator, USEPA regarding the Petition for New Rulemaking to Amend Final RCRA Rule for Non-Hazardous Secondary Materials (NHSM)
Lafarge North America 8.29.2011 CISWI letter
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Title: Lafarge North America 8.29.2011 CISWI letter
Abstract: 8/29/2011 Letter from Richard G. Stoll, Attorneys at Law, Foley & Lardner LLP on behalf of Lafarge North America Inc.; to Gina McCarthy Assistant Administrator for Air and Radiation, USEPA regarding Upcoming Rulemaking for Commercial and Industrial Solid Waste Incineration Units (CISWI), Need for Coordination on Non-Hazardous Secondary Material (NHSM) Issues.
Lafarge North America 8.29.2011 petition
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Title: Lafarge North America 8.29.2011 petition
Abstract: 8/29/2011 Letter from Richard G. Stoll, Attorneys at Law, Foley & Lardner LLP on behalf of Lafarge North America Inc.; to Mathy Stanislaus, Assistant Administrator Solid Waste and Emergency Response, USEPA regarding Lafarge North America Inc. Petition to Amend Non-Hazardous Secondary Materials (NHSM) Rule.
Details Information
Attachments:
American Chemistry Council et al. 6.8.2012 ltr.
View Attachment:Comment
View Attachment:Cover page
View Attachment:Lafarge North America 6.17.2011 letter
View Attachment:Lafarge North America 8.29.2011 CISWI letter
View Attachment:Lafarge North America 8.29.2011 petition
View Attachment:Comments
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