Feb 20, 2015· Comment submitted by Julia M. Rege, Director, Environment & Energy, Association of Global Automakers, Inc. (Global Automakers) and Stacy Tatman, Manager, Environmental Affairs, Alliance of Automobile Manufacturers (Alliance)· EPA-HQ-OPPT-2013-0225-0044
Please find attached Global Automaker's letter requesting an extension on the public comment period for the proposed Significant New Use Rule on Long Chain Perfluoroalkyl Carboxylate and Perfluoroalkyl Sulfonate Chemical Substances.