From: 
Tunno, Brett J <BJTunno@uss.com>
Sent:
Monday, February 3, 2020 4:48 PM
To: 
Jones, DonnaLee <Jones.Donnalee@epa.gov>; Raymond, Gabrielle <graymond@rti.org>
Cc:
Scheetz, Jonelle S <JSScheetz@uss.com>; Michalik, Sarah K <skmichalik@uss.com>
Subject: 
RE: [External]-August 2019 QA/QC Review of Enclosure 1 Information for EPA 2016 ICR for selected Coke Manufacturing facilities


Good afternoon Dr. Jones,

Attached are U. S. Steel's comments on the Enclosure 1 spreadsheet.

Thanks,

Brett Tunno, DrPH, CPH
Environmental Affairs 
United States Steel Corporation
Office: 412-433-5767
Cell: 412-944-6167
Email: bjtunno@uss.com 


<< USS-Coke-Enclosure-1-Questionnaire ICR-draft summary-review-August-5-2019-USS Comments.xlsx >>



From: Jones, DonnaLee <Jones.Donnalee@epa.gov> 
Sent: Tuesday, August 6, 2019 4:54 PM
To: Tunno, Brett J <BJTunno@uss.com>; Scheetz, Jonelle S <JSScheetz@uss.com>
Cc: GABRIELLE RAYMOND <graymond@rti.org>; Jones, DonnaLee <Jones.Donnalee@epa.gov>
Subject: [External]-August 2019 QA/QC Review of Enclosure 1 Information for EPA 2016 ICR for selected Coke Manufacturing facilities


Hello  -  Attached is your company's information supplied to EPA for the 2016 Information Collection Request (ICR) in one Excel file and your facility's diagrams in a "zipped" file.

Thank you again for your efforts in providing your facility information. Now is the time to correct, update, or add to your responses from 2016 for Enclosure 1. 
Please add a duplicate column with corrected information and any comments. Highlight the heading in the duplicate column YELLOW and use red font, as in the example in the next worksheet. If there are no changes, you do not need to do anything. See example corrections in the next worksheet called "Example-Edits."  We will assume any data without a comment is correct for your facility in 2016 or the year indicated in the question. 

Keep in mind we are NOT asking you to update your responses to 2019, but only to correct or supply information related to your 2016 facility and 2016 test data (if applicable). However, you may voluntarily provide any additional information for 2019, if you so choose, and label accordingly. Please make sure you indicate the year of the additional information with any new information.

Note clarification for Part IV, Q25 and Q27: This pertains to ALL pollution control equipment (for ALL air pollution, including both air toxics AND criteria pollutants, such as sulfur dioxide, nitrogen dioxide, carbon monoxide, etc.)

If you have any questions, please first send an email to both Gabrielle Raymond,  the RTI Contractor, and me at the email addresses below. If we need to speak on the phone, we can follow-up with a call, but we need an email first to ensure contact.
graymond@rti.org
jones.donnalee@epa.gov  

Note that we will be summarizing CBI data in Enclosure 1 separately at some not yet determined point in the future. However, we will be sending you your Enclosure 2 data soon, hopefully by mid to end of August. The review of Enclosure 1 likely will not take that long for most of the Coke facilities, so I advise you to review Enclosure 1 soon so that you can focus on Enclosure 2 when it arrives.

_____________________________________________________________
Regards,
Donna Lee Jones, Ph.D.
Senior Technical Advisor, Metals Sector
U. S. Environmental Protection Agency
Office of Air Quality Planning and Standards
Sector Policies and Programs Division / Metals & Inorganic Chemicals Gr (D 243-02)
Research Triangle Park, NC  27711  Tele:  (919)  541-5251  Fax  (919)  541-3207
~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~
"Reasonableness never fails to be appreciated."  - anon.





