Agency Briefing Material | EPA Presentation. EPA's PFAS Action Plan. Dr. Jennifer McLain and Dr. Andrew Gillespie (PDF) |
Agency Briefing Material | EPA Presentation. SAB Consultation - Updating EPA's Cancer and non-Cancer Risk Assessment Guidance. Dr. Edward Ohanian and Dr. David Bussard (PDF) |
Agency Briefing Material | EPA Presentation. Strengehening Transparency in Regulatory Science Rulemaking. Dr. Maria Doa (PDF) |
Agency Follow-up | EPA Responses to SAB Questions Concerning the Proposed Rule Strengthening Transparency in Regulatory Science (PDF) |
Agency-provided Background Material | Agency Charge: Actions Related to Updating EPA Guidelines for Carcinogen and Noncancer Assessment Advisory (PDF) |
Agency-provided Background Material | EPA Update on Office of Air and Radiation Spring 2018 Regulatory Agenda (PDF) |
Agency-provided Background Material | Supporting Material: Letter from EPA Administrator Andrew Wheeler to Dr. Michael Honeycutt and Members of the SAB about Review of Planned Regulatory Actions. April 19, 2019 (PDF) |
Agency-provided Background Material | Supporting Material: Memorandum from EPA Adminstrator Andrew Wheeler to EPA Assistant Administrators - Increasing Consistency and Transparency in the Rulemaking Process. may 13, 2019 (PDF) |
Agency-provided Background Material | Supporting Material: Proposed Rule Titled Revised Definition of "Waters of the United States" (FR 84 4154). (PDF) |
Agency-provided Background Material | Supporting Material: Proposed Rule Titled Strengthening Transparency in Regulatory Science (FR 83 18768) (PDF) |
Committee-Developed or Provided Background Material | Additional Questions for EPA from SAB Members on Science and Transparency Rule Issues of Secure Access to Confidential Business Information (CBI) and Personally Identifying Information (PII) (PDF) |
Committee-Developed or Provided Background Material | Background Document on Blood Testing for PFAS. (PDF) |
Committee-Developed or Provided Background Material | Preparation for Chartered Science Advisory Board (SAB) Discussion of EPA's Proposed Waters of the U.S. (WOTUS) Rule (PDF) |
Committee-Developed or Provided Background Material | Preparations for Chartered Science Advisory Board (SAB) Discussions of EPA Planned Agency Actions and their Supporting Science in the Spring 2018 Regulatory Agenda (PDF) |
Committee-Developed or Provided Background Material | Proposed EPA Science Advisory Board Project: Scientific Issues in Identifying, Estimating, and Validating the Co-Benefits of Clean-Air Regulations. (PDF) |
Committee-Developed or Provided Background Material | Science Advisory Board Work Group Questions for EPA Concerning the Proposed Rule Strengthening Transparency in Regulatory Science. (PDF) |
Information provided by Chartered SAB Liaison | Comments from Barbara Morrissey on Updating EPA Risk Assessment Guidance (PDF) |
List of public speakers | Registered Public Speakers (PDF) |
Presentation by Registered Public Speaker | Presentation on Actions Related to Updating EPA Guidelines for Carcinogen and Noncancer Assessment from Penelope A. Fenner-Crisp (PDF) |
Presentation by Registered Public Speaker | Written Statement from Bernard Goldstein (Revised June 5, 2019), Environmental Protection Network. (PDF) |
Presentation by Registered Public Speaker | Written Statement from Christopher Frey, North Carolina State University (PDF) |
Presentation by Registered Public Speaker | Written Statement from Genna Reed, Union of Concerned Scientists (PDF) |
Presentation by Registered Public Speaker | Written Statement from John Bachmann (PDF) |
Presentation by Registered Public Speaker | Written Statement from Mr. Ted Steichen, American Petroleum Institute (PDF) |
Presentation by Registered Public Speaker | Written Statement from Penelope A. Fenner-Crisp (PDF) |
Public comment submitted to the SAB Staff Office | Additional Comments from Penelope A. Fenner-Crisp on Updating Risk Assessment Guidelines (PDF) |
Public comment submitted to the SAB Staff Office | Attachment #5 to Public Comments from Earthjustice (PDF) |
Public comment submitted to the SAB Staff Office | Clarifying Comments from Earthjustice for the Science Advisory Board's Consideration Following the June 2019 Meeting (PDF) |
Public comment submitted to the SAB Staff Office | Comment submitted by Jean Public (PDF) |
Public comment submitted to the SAB Staff Office | Comments from Academics, Scientists and Clinicians on the EPA Proposed Action Mercury and Air Toxics Standards (MATS) (PDF) |
Public comment submitted to the SAB Staff Office | Comments from Academics, Scientists and Clinicians on the EPA Proposed Rule "Strengthening Transparency in Regulatory Science" (PDF) |
Public comment submitted to the SAB Staff Office | Comments from Earthjustice for the Science Advisory Board's Consideration in Advance of Its June 2019 Meeting (PDF) |
Public comment submitted to the SAB Staff Office | Comments from Previous SAB Panel Members on the Proposed Rule, "Revised Definition of Waters of the United States." Submitted by Mazeika Sullivan, Ohio State University (PDF) |
Public comment submitted to the SAB Staff Office | Comments on Actions Related to Updating EPA Guidelines for Carcinogen and Noncancer Assessment (Revised June 5, 2019). Submitted by Penelope A. Fenner-Crisp. (PDF) |
Public comment submitted to the SAB Staff Office | Comments on EPA Advanced Notice of Proposed Rulemaking on Increasing Consistency and Transparency in Considering Costs and Benefits in the Rulemaking Process. Submitted by Ted Steichen, American Petroleum Institute (PDF) |
Public comment submitted to the SAB Staff Office | Comments on EPA request for SAB advice on updating the Guidelines for Carcinogen Risk Assessment and creation of guidelines for non-cancer risk assessment. Submitted by Jennifer Sass, Natural Resources Defense Council (PDF) |
Public comment submitted to the SAB Staff Office | Comments on EPA's Mercury and Air Toxics Reconsideration. Submitted by Jack Lienke, Institute for Policy Integrity, New York University Law School (PDF) |
Public comment submitted to the SAB Staff Office | Comments on EPA's Proposed Re-definition of "Waters of the United States." Submitted by Jon Devine, Natural Resources Defense Council (PDF) |
Public comment submitted to the SAB Staff Office | Comments on EPA's Proposed Waters of the U.S. Rule, Submitted by Bethany A. Davis Noll, Institute for Policy Integrity, New York University Law School (PDF) |
Public comment submitted to the SAB Staff Office | Comments on Issues Before the Science Advisory Board. Submitted by Michael Dourson, Toxicology Excellence for Risk Assessment (PDF) |
Public comment submitted to the SAB Staff Office | Comments on Proposed SAB Project - Scientific Issues in Identifying, Estimating, and Validating the Co-Benefits of Clean Air Regulations. Submitted by Alan Krupnick, Resources for the Future. (PDF) |
Public comment submitted to the SAB Staff Office | Comments on the EPA Proposed Rule: Strengthening Transparency in Regulatory Science. Submitted by Ted Steichen, American Petroleum Institute (PDF) |
Public comment submitted to the SAB Staff Office | Comments on the Proposed Rule, Strengthening Transparency in Regulatory Scienc. Submitted by Brittany Meyer, Michael J. Fox Foundation for Parkinson's Research (PDF) |
Public comment submitted to the SAB Staff Office | Comments on the SAFE Vehicles Rule for Model Years 2021-2026 Passenger Cars and Light Trucks. Submitted by Avi Zevin, Institute for Policy Integrity, New York University Law School (PDF) |
Public comment submitted to the SAB Staff Office | Comments on Updating EPA Guidelines for Carcinogen Risk Assessment and Creating Guidelines for Non-cancer Risk Assessment. Submitted by Jessica Ryman-Rasmussen, American Petroleum Institute (PDF) |
Public comment submitted to the SAB Staff Office | Public Comments from Scientists, Academics, and Health Professionsls on Updating EPA Guidelines for Carcinogen and Noncancer Assessment. Submitted by Veena Singula, University of California, San Francisco (PDF) |
Roster | Roster (PDF) |