Reference document ID: EPA-HQ-OAR-2010-0107-0100.1
Action to Ensure Authority of State and Local Air Permit Programs to Regulate All Pollutants Elsewhere Subject to Regulation Under the Clean Air Act
Activity
Portland Cement Association filed 4 comments on this docket between Oct 1, 2010 and Nov 3, 2010. 14 other organizations filed here. The comment window closed 5766d ago.
What Portland Cement Association filed (4)
Enclosed are the comments of the Portland Cement Assocaition (PCA) to this docket in response to EPA's proposed federal implementation plan (FIP) and companion SIP-Call. In addition to responding to the specific issues raised by the FIP NPRM, as we previously advised EPA, PCA's comments supplement the comments which PCA filed on October 4, 2010 in response to the SIP-Call NPRM. Includd with our comments is a chart listing the 53 appendices which PCA is submiting to the docket with these comments. However, because of the number of appendices we are submitting (and the number of pages they entail), a hard-copy of the appendices, together with a hard-copy-duplicate of these comments, will separately submitted to this docket by hand-delivery rather than electronically.
To the Docket: Attached please find the comments of Portland Cement Association re Docket ID RPA-HQ-OAR-2010-0107 in opposition to EPA's proposed SIP-Call.
PUBLIC COMMENT
Abstract
Address states' PSD and Title V regulations that would not automatically cover greenhouse gases (GHGs)
View on regulations.gov →Co-filers (14)
See everyone who commented →- Portland Cement AssociationTHIS ORG4 filings · confidence 97%
- Jackson Walker L.L.P. on behalf of Gulf Coast Lignite Coalitiontrade assoc.2 filings · confidence 85%
- National Environmental Development Association's Clean Air Project (NEDA/CAP)trade assoc.2 filings · confidence 85%
- Renewable Fuels Associationtrade assoc.2 filings · confidence 97%
- American Farm Bureau Federationtrade assoc.1 filing · confidence 97%
- Basin Electric Power Cooperativeunverified attribution1 filing · confidence 70%
- LLP on behalf of Gulf Coast Lignite Coalitiontrade assoc.1 filing · confidence 85%
- LLP on behalf of National Climate Coalitiontrade assoc.1 filing · confidence 85%
- National Association of Manufacturers (NAM)trade assoc.1 filing · confidence 97%
- National Mining Associationtrade assoc.1 filing · confidence 97%
- on behalf of the Gulf Coast Lignite Coalitiontrade assoc.1 filing · confidence 85%
- on behalf of The National Climate Coalitiontrade assoc.1 filing · confidence 85%
- Portland Cement Association (PCA)trade assoc.1 filing · confidence 85%
- Troutman Sanders LLP on behalf of Peabody Energy Companyunverified attribution1 filing · confidence 70%
- Wyoming Outdoor Counciltrade assoc.1 filing · confidence 85%