We submitted four comments in advance of the Environmental Protection Agency’s (EPA) January 2020 meeting of its Chartered Science Advisory Board (SAB). Our comments discuss:
- EPA’s proposed rule, Strengthening Transparency in Regulatory Science, which limits what scientific studies can be used in designing regulations
- SAB’s draft report on the analysis underlining EPA changes to auto emissions standards
- SAB’s draft report on EPA’s analysis of Mercury and Air Toxics Standards
- SAB’s commentary on the scope of waters federally regulated in the Clean Water Act