2023 |
 |
Joint OTC/NESCAUM Comments on EPA’s Proposed Multi-Pollutant Emissions Standards for Model Years 2027 and Later Light-Duty and Medium-Duty Vehicles July 5, 2023 |
 |
Joint OTC/NESCAUM Comments on EPA’s Proposed GHG Emissions Standard for Heavy-Duty Vehicles - Phase 3 June 16, 2023 |
 |
OTC Technical Input to EPA on CAA Sec. 129 Emission Standards for Large Municipal Waste Combustors May 15, 2023 |
 |
Joint OTC/NESCAUM Comments on Proposed EPA National Enforcement and Compliance Initiatives for Fiscal Years 2024–2027 March 13, 2023 |
2022 |
 |
OTC MSC Letter to EPA Seeking Prompt EPA Action on CA Truck Waiver Requests October 24, 2022 |
 |
OTC Testimony to EPA on California Truck Waiver Requests June 30, 2022 |
 |
OTC Comments on EPA’s Proposed FIP Addressing Regional Ozone Transport for the 2015 Ozone NAAQS June 21, 2022 |
 |
Joint OTC/MANE-VU Comments on EPA’s Proposed Heavy-Duty Engine and Vehicle Standards May 16, 2022 |
2021 |
 |
OTC MSC Letter to EPA and CEQ on Heavy-Duty Vehicle NOx Emissions Standards October 22, 2021 |
 |
OTC MSC Comments on EPA Reconsideration of Previous Waiver Withdrawal for California Advanced Clean Car Program July 6, 2021 |
 |
OTC MSC Comments on NHTSA Proposed Rule on CAFE Preemption June 10, 2021 |
 |
Letter to Administrator Regan regarding working together with states to solve regional ozone transport issues March 12, 2021 |
 |
Joint OTC/NESCAUM Comments on EPA Tampering Policy and Request for Information Regarding 1986 Catalyst Policy February 11, 2021 |
2020 |
 |
OTC Comments on EPA's Proposed Revised CSAPR Update Rule December 14, 2020 |
 |
OTC Comments on EPA's Proposed Ozone NAAQS Review Action October 1, 2020 |
 |
OTC Letter to EPA on Delay of Hearing on Section 184c Recommendation September 15, 2020 |
 |
OTC Letter to EPA on Highway Truck NOx Emission Standards June 3, 2020 |
 |
Comments to EPA on ANPR Control of Air Pollution from New Motor Vehicles: Heavy-Duty Engine Standards February 20, 2020
|
2019 |
 |
OTC letter to EPA to address the need to update federal enforcement policy regarding purchase, installation, and use of AMCC August 28, 2019
|
 |
OTC letter to EPA supporting updated NOx standards for highway trucks August 28, 2019
|
 |
OTC Letter to EPA Assistant Administrator Wehrum Concerning Good Neighbor SIPS January 29, 2019
|
2018 |
 |
OTC Letter to EPA requesting update of enforcement policy for AMCC December 31, 2018
|
 |
OTC Comments on the EPA's Proposed Determination Regarding Good Neighbor Obligations for the 2008 Ozone National Ambient Air Quality Standard (CSAPR Close-Out) August 31, 2018
|
 |
Letter to Administrator Wheeler regarding working together with states to solve regional ozone transport issues August 20, 2018
|
 |
Letter to EPA Administrator Pruitt Concerning Repeal of Emission Requirements for Glider Vehicles, Glider Engines, and Glider Kits January 5, 2018
|
2017 |
 |
Letter to EPA Administrator Pruitt Concerning the Federal Aftermarket Catalytic Converter Enforcement Policy August 21, 2017
|
 |
Comments on Funding for NOAA's Air Resources Laboratory July 11, 2017
|
 |
Transmittal of Resolution Concerning S. 263, HR. 806, and S. 452 to Senators Capito and Whitehouse and Representatives Shimkus and Tonko June 6, 2017
|
 |
Comments on the NODA of EPA's Preliminary Interstate Ozone Transport Modeling Data for the 2015 Ozone NAAQS April 6, 2017
|
 |
Comments on the Proposed Rule on the Implementation of the 2015 Ozone NAAQS February 13, 2017
|
2016 |
 |
Comments on the Cross State Air Pollution Proposed Rule Update for the 2008 Ozone NAAQS February 1, 2016
|
2015 |
 |
CSAPR rule update for 2008 Ozone NAAQS testimony December 17, 2015
|
 |
Comments on the NODA concerning transport modeling for the 2008 Ozone NAAQS October 23, 2015
|
 |
Comments on the EPA's Proposed Heavy-duty Greenhouse Gas Standards September 30, 2015
|
 |
Comments on Proposed Ozone NAAQS March 17, 2015
|
 |
OTC and MANEVU Guidance Comments March 13, 2015
|
2014 |
 |
Transmittal of OTC SmartWay Statement to EPA December 30, 2014
|
 |
Comments to the EPA to prioritize an update to the federal Aftermarket Catalytic Converter policy Sent June 14, 2014
|
 |
OTC Consumer Products Model Rule Package Submitted to EPA on March 31, 2014
|
 |
Comments on the Retention of NOx Emission Standards in Emission Control Areas January 31, 2014
|
2013 |
 |
Comments to EPA on the Proposed Ozone Implementation Rule September 4, 2013
|
 |
Comments to EPA on the Proposed Tier 3 Regulation July 1, 2013
|
2012 |
 |
Comments on Proposed Termination of NWS Air Quality Predictions November 26, 2012
|
 |
Comments to EPA on proposed amendments to the RICE NESHAP and NSPS concerning Offshore Sources
|
 |
Comments to EPA on proposed amendments to the RICE NESHAP and NSPS August 9, 2012
|
 |
OTC Comments on "Guidance on Removing Stage II Gasoline Vapor Control Programs from State Implementation Plans and Assessing Comparable Measures."
|
 |
Comments to Mobile Source Committee March 21, 2012 Meeting
|
|
-
Pennsylvania Waste Industries Association (PWIA) Nonroad Anti-Idling |
|
-
Clean Air Council Nonroad Anti-Idling |
|
-
GenOn Nonroad Anti-Idling |
|
-
API Nonroad Anti-Idling |
|
-
Delaware Solid Waste Authority Nonroad Anti-Idling |
|
-
Public Service Electric & Gas Company Nonroad Anti-Idling |
|
-
SWEPI LP Nonroad Anti-Idling |
|
|
 |
Comments to Stationary Area Source Committee March 21, 2012 Meeting
|
|
-
Accellent Solvent Degreasers Model Rule |
|
-
Clean Air Council Consumer Products & Solvent Degreasers Model Rules |
|
-
Land, Air, Water Legal Solutions Solvent Degreasers Model Rule |
|
-
American Coatings Association Consumer Products Model Rule |
|
-
Consumer Specialty Products Association Consumer Products Model Rule |
|
-
Smith Aldridge Consumer Products & Solvent Degreasers Model Rules |
|
-
3M Solvent Degreasers Model Rule |
|
|
 |
OTC Comments on EPA's Proposed Ozone Classifications Submitted March 15, 2012
|
2011 |
 |
OTC Comments on EPA's Proposed Oil/Gas Rule Submitted November 21, 2011
|
 |
Response Letter to the Honorable Thomas R. Carper, U.S. Senate November 8, 2011
|
|
-
Letter to OTC from the Honorable Thomas R. Carper, U.S. Senate November 4, 2011 |
|
|
 |
OTC Comments on EPA's Proposed Widespread Use Rule September 13, 2011
|
 |
Comments to Mobile Source Committee September 8, 2011 Meeting
|
|
-
Shell Nonroad Anti-Idling |
|
-
Praxair Nonroad Anti-Idling |
|
-
PSEG Nonroad Anti-Idling |
|
-
Marcellus Shale Coalition Nonroad Anti-Idling |
|
-
Associated General Contractors of NJ Nonroad Anti-Idling |
|
-
Associated General Contractors of NJ Nonroad Anti-Idling |
|
|
 |
Comments to Stationary Area Source Committee September 8, 2011 Meeting
|
|
-
INGAA Comments Followup Natural Gas Compressor Prime Movers |
|
-
American Coatings Association MVMERR Proposal |
|
-
South Coast Air Quality Management District Consumer Products Model Rule |
|
-
Fairchild Comments Solvent Degreasing Rule |
|
-
John Durkee Comments Solvent Degreasing Rule |
|
-
Keteca Comments Solvent Degreasing Rule |
|
-
Halogenated Solvents Industry Alliance Comments Solvent Degreasing Rule |
|
-
NORA Comments Solvent Degreasing Rule |
|
-
Zestron Follow-up Comments Solvent Degreasing Rule |
|
-
Stoner, Inc. Comments Consumer Products Model Rule |
|
-
Spectra Energy Comments Natural Gas Compressor Prime Movers |
|
-
Solar Turbines Comments Natural Gas Compressor Prime Movers |
|
-
Kyzen Comments Solvent Degreasing Rule |
|
-
WM Barr Consumer Products Model Rule |
|
-
3M and Crest Ultrasonic Comments Solvent Degreasing Rule |
|
-
MECA Comments Natural Gas Compressor Prime Movers |
|
-
Gas Turbines Association Comments Natural Gas Compressor Prime Movers |
|
-
Marcellus Shale Coalition Comments Natural Gas Compressor Prime Movers |
|
-
Transco Comments Natural Gas Compressor Prime Movers |
|
-
American Coatings Association Consumer Products Model Rule |
|
-
Safety Kleen Comments Solvent Degreasing Rule |
|
-
BFK Solutions Addendum Solvent Degreasing Rule |
|
-
Consumer Specialty Products Association Comments Consumer Products Model Rule |
|
-
3R Comments Solvent Degreasing Rule |
|
-
American Chemistry Council Consumer Products Model Rule |
|
-
INGAA Comments Natural Gas Compressor Prime Movers |
|
-
SWEPI (Shell) Comments Natural Gas Compressor Prime Movers |
|
-
3R Emails Solvent Degreasing Rule |
|
-
PSEG Comments Solvent Degreasing Rule |
|
-
AGC Comments Solvent Degreasing Rule |
|
-
BFK Solutions Comments Solvent Degreasing Rule |
|
-
Dominion Comments Natural Gas Compressor Prime Movers |
|
-
Lyondell Comments Solvent Degreasing Rule and Consumer Products Rule |
|
-
Zestron Comments Solvent Degreasing Rule |
|
|
 |
OTC Recommendations on Expanded Weight-of-Evidence (WOE) for Attainment Demonstrations June 17, 2011
|
 |
Recommended Federal Aftermarket Catalytic Converter Program (FACCP) April 8, 2011
|
 |
OTC Requests Advanced Notice from EPA of Proposed Rulemaking for the Second Clean Air Transport Rule March 18, 2011
|
 |
Recommended definition of "emergency" stationary engines February 14, 2011
|
2010 |
 |
OTC Comments on proposed Transport Rule October 1, 2010
|
 |
OTC Comments on EPA Proposed Ozone NAAQS 2010 Written comments March 22,2010
|
 |
OTC Statement on the Proposed Clean Air Amendments of 2010 February 9, 2010
|
 |
OTC Testimony to EPA on Ozone NAAQS Reconsideration February 2, 2010
|
2009 |
 |
OTC Additional Recommendation on CAIR Replacement Rule September 10, 2009
|
 |
OTC Technical Support Materials September 10, 2009
|
 |
OTC and LADCO Joint Letter to EPA on CAIR Replacement Rule September 2, 2009
|
 |
OTC Testimony to EPA on C3 Marine Engine Rule July 8, 2009
|
 |
Statement of the OTC Calling on the EPA to Update its Policy on Motor Vehicle Aftermarket Catalytic Converters June 10, 2009
|
 |
State Collaborative Framework to address Section 110 (a)(2)(D) - cover letter March 10, 2009
|
 |
State Collaborative Framework to address Section 110 (a)(2)(D) March 10, 2009
|
2008 |
 |
100 Days Letter to Obama Transition team with cover letter to new Administrator November 21, 2008
|
 |
OTC Comments on NSR Hourly Test Proposal November 10, 2008
|
 |
OTC Comments on CAIR Vacatur July 25, 2008
|
2007 |
 |
OTC Comments on Proposed NAAQS for Ozone, October 5, 2007
|
 |
OTC Comments on VOC Reactivity in Aeorsol Coatings, August 29, 2007
|
 |
OTC Governors Comment on Proposed NAAQS, October 9, 2007
|
 |
OTC Testimony on the Establishing a New National Ambient Air Quality Standard for Ozone, August 30,2007
|
 |
OTC comments on Reconsideration of Final Phase 2 8-hour Implementation Rule
|
2006 |
 |
State Collaborative Letter to EPA on Small Engines, March 14, 2006
|
 |
Stakeholder Comments about Proposed Control Measures
|
2005 |
 |
OTC Testimony on EPA's FIP to Reduce Interstate Transport of NOX and SO2, September 15, 2005
|
 |
OTC Testimony to Senate Subcommittee on Clean Air, Climate and Nuclear Safety, January 26, 2005
|
|
-
Exhibit 1 |
|
-
Exhibit 2 |
|
-
Exhibit 3 |
|
|
 |
OTC Comments to EPA on the Air Quality Management Work Group Report January 4, 2005
|
2004 |
 |
OTC Comments on EPA's Draft NOx Guidance for Proposed Rule to Implement the 8-hour Ozone National Ambient Air Quality Standard September 29, 2004
|
 |
OTC Letter to EPA Administrator Leavitt on Small Engines September 15, 2004
|
|
-
EPA Response October 1, 2004 |
|
|
 |
OTC Comments on Availability of Additional Information for Proposed CAIR August 27, 2004
|
 |
OTC comments on National Paint and Coatings Association (NPCA) Request for Correction of Information August 18, 2004
|
 |
OTC Comments on the Supplemental Notice of Proposed Rulemaking (SNPR) for the Clean Air Interstate Rule (CAIR) July 26, 2004
|
 |
OTC Testimony on EPAs Clean Air Interstate Rule (CAIR) June 4, 2004
|
 |
OTC Comments on the Interstate Air Quality Rule (IAQR) Preamble March 30, 2004
|
 |
OTC Testimony on EPA''s Interstate Air Quality Rule (IAQR) Preamble February 25, 2004
|
|
-
Exhibit I |
|
-
Exhibit II |
|
|
2003 |
 |
OTC Comments on Proposed Rule To Implement The 8-Hour Ozone National Ambient Air Quality Standard (NAAQS) August 1, 2003
|
 |
OTC Testimony on Proposed Rule to Implement the 8-Hour Ozone National Ambient Air Quality Standard (NAAQS) July 1, 2003
|
2002 |
 |
OTC Comments on Standardization of Small Generator Interconnection Agreements and Procedures Rulemaking December 20, 2002
|
 |
OTC Letter to EPA in Support of Stringent Non-road Diesel Programs August 15, 2002
|
 |
OTC Comments on U.S. EPA proposal "Control of Emission of Air Pollution from New Marine Compression-Ignition Engines at or Above 30 Liters/Cylinder" (67 FR 37548-37608)
|
 |
OTC Letter to U.S. EPA regarding decision to delay implementation date of sources subject ''Section 126'' rule
|
 |
OTC proposal to U.S. EPA for implementing the eight-hour ozone standard
|
 |
OTC Letter to U.S. EPA regarding process and progress to date in developing its implementation approach for the eight-hour ozone standard
|
 |
OTC Comments on U.S. EPA proposal "Control of Emissions From Nonroad Large Spark Ignition Engines and Recreational Engines (Marine and Land-Based)" (66 FR 51098-51272)
|
 |
OTC Letter to U.S. EPA on its October 2001 Non-Road Diesel Emissions Standards Staff Technical Paper
|
2001 |
 |
Letter to Office of Management and Budget on EIA Proposed Confidentiality Policy October, 2001
|
 |
Testimony to U.S. EPA on its October 5, 2001 NPRM for Non-road Engines
|
 |
OTC Letter to EIA on Development of a Confidentiality of Electriciy Data Policy August 20, 2001
|
|
-
Letter to OMB Supporting EIA Confidentiality Policy October 5, 2001 |
|
|
 |
Letter to U.S. EPA and Department of Energy on OTC Statement of Principles to Encourage Energy Efficiency and Clean Energy Production and Use
|
 |
Letter to U.S. EPA and FAA on OTC Statement of Principles Regarding Strategies to Reduce Ozone-Causing Emissions From Airports & Aviation Activities
|
 |
OTC Comments on Draft NSR 90 Day Review Background Paper July 27, 2001
|
 |
OTC Comments on EIA Information Collection Activities May 14, 2001
|
 |
OTC Letter to Vice-President Cheney on Development of a National Energy Policy May 8, 2001
|