Portland Cement Association
EPARulemakingEPA-HQ-RCRA-2008-0329

Notice of Proposed Rulemaking - Identification of Non-Hazardous Secondary Materials That Are Solid Waste

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Last modified
Apr 16, 2024
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closed 5271d ago
Portland Cement Association filings
13

Activity

Portland Cement Association filed 13 comments on this docket between Feb 4, 2009 and Feb 23, 2012. 190 other organizations filed here. The comment window closed 5271d ago.

What Portland Cement Association filed (13)

Feb 23, 2012· Comment submitted by Andrew T. O'Hare, Vice President, Regulatory Affairs, Portland Cement Association (PCA)· EPA-HQ-RCRA-2008-0329-1924

Enclosed are the comments and four supporting appendices submitted by Portland Cement Association to the above-referenced docket. A copy of our comments and appendices is also being submitted to docket EPA-HQ-OAR-2003-0119.

Sep 8, 2011· Comment submitted by Richard G. Stoll, Foley & Lardner LLP on behalf of Andrew T. O'Hare, Vice President, Regulatory Affairs, Portland Cement Association (PCA)· EPA-HQ-RCRA-2008-0329-1842

Email comment

Aug 17, 2011· Comment submitted by Andrew T. O'Hare, Vice President, Regulatory Affairs, Portland Cement Association (PCA)· EPA-HQ-RCRA-2008-0329-1840

Comment

Oct 7, 2010· Comment submitted by Andrew T. O'Hare, Vice President, Regulatory Affairs, Portland Cement Association (PCA)· EPA-HQ-RCRA-2008-0329-1684

Filed on regulations.gov — full text not in the inline record.

Aug 25, 2010· Comment submitted by Tyrone P. Wilson, Director, Regulatory Affairs, Energy & Environment, Portland Cement Association (PCA)· EPA-HQ-RCRA-2008-0329-1431

Filed on regulations.gov — full text not in the inline record.

Aug 12, 2010· Comment submitted by Tyrone P. Wilson on behalf of Andrew T. O'Hare, Vice President Regulatory Affairs, Portland Cement Association (PCA)· EPA-HQ-RCRA-2008-0329-1140

Please accept the attached files N through T in support of the Portland Cement Association's comments on EPA's "Identification of Non-Hazardous Secondary Materials That Are Solid Waste" proposed rule. More attachments will follow. T. Wilson

Aug 12, 2010· Comment submitted by Tyrone P. Wilson on behalf of Andrew T. O'Hare, Vice President Regulatory Affairs, Portland Cement Association (PCA)· EPA-HQ-RCRA-2008-0329-1138

See attached comments and files from Portland Cement Association. Along with PCA's comments are attachments A - G. More attachments will follow. T. Wilson

Aug 12, 2010· Comment submitted by Tyrone P. Wilson on behalf of Andrew T. O'Hare, Vice President Regulatory Affairs, Portland Cement Association (PCA)· EPA-HQ-RCRA-2008-0329-1141

Please accept the attached files U through Z in support of the Portland Cement Association's comments on EPA's "Identification of Non-Hazardous Secondary Materials That Are Solid Waste" proposed rule. More attachments will follow. T. Wilson

Aug 12, 2010· Comment submitted by Tyrone P. Wilson on behalf of Andrew T. O'Hare, Vice President Regulatory Affairs, Portland Cement Association (PCA)· EPA-HQ-RCRA-2008-0329-1142

Please accept the attached files AA through DD in support of the Portland Cement Association's comments on EPA's "Identification of Non-Hazardous Secondary Materials That Are Solid Waste" proposed rule. More attachments will follow. T. Wilson

Aug 12, 2010· Comment submitted by Tyrone P. Wilson on behalf of Andrew T. O'Hare, Vice President Regulatory Affairs, Portland Cement Association (PCA)· EPA-HQ-RCRA-2008-0329-1143

Please accept the attached files EE through GG in support of the Portland Cement Association's comments on EPA's "Identification of Non-Hazardous Secondary Materials That Are Solid Waste" proposed rule. T. Wilson

Aug 12, 2010· Comment submitted by Tyrone P. Wilson on behalf of Andrew T. O'Hare, Vice President Regulatory Affairs, Portland Cement Association (PCA)· EPA-HQ-RCRA-2008-0329-1139

Please accept the attached files H-M in support of the Portland Cement Association's comments on the "Identification of Non-Hazardous Secondary Materials That Are Solid Waste" proposed rule. More attachments will follow. T. Wilson

Feb 4, 2009· Comment submitted by Tyrone P. Wilson, Director, Regulatory Affairs, Energy and Environment, Portland Cement Association (PCA)· EPA-HQ-RCRA-2008-0329-0351

Attention Docket ID No. EPA-HQ-RCRA-2008-0329. To Whom It may Concern: Please find supporting documentation Attachment III (Air Emissions Data Summary for Portland Cement Pyroprocessing Operations Firing Tire-Derived Fuels) regarding the Portland Cement Association's submission to the above Docket Number concerning Advanced Notice of Proposed Rulemaking (ANPRM) On Identification Of Non-Hazardous materials That Are Solid Waste. Tyrone Wilson, Ph.D. Director, Regulatory Affairs, Energy & Environment Portland Cement Association 500 New Jersey Avenue, NW Seventh Floor Washington, DC 20001 Tel:202-408-9494 x 124 Fax:202-408-0877 Email: twilson@cement.org

Feb 4, 2009· Comment submitted by Tyrone P. Wilson, Director, Regulatory Affairs, Energy and Environment, Portland Cement Association (PCA)· EPA-HQ-RCRA-2008-0329-0352

Attention Docket ID No. EPA-HQ-RCRA-2008-0329. To Whom It may Concern: Please find attached comments and supporting documentation regarding the Portland Cement Association's submission to the above Docket Number concerning Advanced Notice of Proposed Rulemaking (ANPRM) On Identification Of Non-Hazardous materials That Are Solid Waste. Tyrone Wilson, Ph.D. Director, Regulatory Affairs, Energy & Environment Portland Cement Association 500 New Jersey Avenue, NW Seventh Floor Washington, DC 20001 Tel:202-408-9494 x 124 Fax:202-408-0877 Email: twilson@cement.org

Abstract

OSWER must determine which non-hazardous materials are "solid wastes" so that the Office of Air and Radiation can promulgate the Commerical and Industrial Solid Waste Incineration (CISWI) MACT standards of the Clean Air Act (CAA) sections 112 and 129.

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