Letters December 6, 2022 Multi-Association Comments on EPA's Proposed Rule on TSCA Section 8(a)(7) Reporting and Recordkeeping Requirements for PFAS Letters November 23, 2022 Coalition Letter in Support of HALEU/LEU in Ukraine Supplemental Letters November 10, 2022 U.S. Chamber Comments on FERC's Notice of Proposed Rulemaking, “Duty of Candor” Letters November 7, 2022 Coalition Comments on EPA's Proposed Rule of the Designation of Perfluorooctanoic Acid (PFOA) and Perfluorooctanesulfonic Acid (PFOS) as CERCLA Hazardous Substances Letters October 31, 2022 Multi-Association Comments on EPA's Proposed Rule, “Accidental Release Prevention Requirements: Risk Management Programs Under the Clean Air Act; Safer Communities by Chemical Accident Prevention” Letters October 13, 2022 Comments of the U.S. Chamber of Commerce on Improvements to Generator Interconnection Procedures and Agreements under RM22-14-000 Letters October 6, 2022 U.S. Chamber Comments on the Bureau of Ocean Energy Management’s Proposed 2023-2028 National Outer Continental Shelf Oil and Gas Leasing Program and Draft Programmatic Environmental Impact Statement Letters October 3, 2022 Chambers Letter to President Biden Urging Support for Domestic Energy Production Letters September 7, 2022 Coalition Letter on Ratification of the Kigali Amendment to the Montreal Protocol Letters August 29, 2022 U.S. Chamber Comments to the Bureau of Land Management on the Willow Master Development Plan (MDP) Draft Supplemental Environmental Impact Statement (DSEIS) Previous page ‹ … Page 5 Page 6 Current page 7 Page 8 Page 9 … Next page ›
Letters December 6, 2022 Multi-Association Comments on EPA's Proposed Rule on TSCA Section 8(a)(7) Reporting and Recordkeeping Requirements for PFAS
Letters November 10, 2022 U.S. Chamber Comments on FERC's Notice of Proposed Rulemaking, “Duty of Candor”
Letters November 7, 2022 Coalition Comments on EPA's Proposed Rule of the Designation of Perfluorooctanoic Acid (PFOA) and Perfluorooctanesulfonic Acid (PFOS) as CERCLA Hazardous Substances
Letters October 31, 2022 Multi-Association Comments on EPA's Proposed Rule, “Accidental Release Prevention Requirements: Risk Management Programs Under the Clean Air Act; Safer Communities by Chemical Accident Prevention”
Letters October 13, 2022 Comments of the U.S. Chamber of Commerce on Improvements to Generator Interconnection Procedures and Agreements under RM22-14-000
Letters October 6, 2022 U.S. Chamber Comments on the Bureau of Ocean Energy Management’s Proposed 2023-2028 National Outer Continental Shelf Oil and Gas Leasing Program and Draft Programmatic Environmental Impact Statement
Letters October 3, 2022 Chambers Letter to President Biden Urging Support for Domestic Energy Production
Letters September 7, 2022 Coalition Letter on Ratification of the Kigali Amendment to the Montreal Protocol
Letters August 29, 2022 U.S. Chamber Comments to the Bureau of Land Management on the Willow Master Development Plan (MDP) Draft Supplemental Environmental Impact Statement (DSEIS)