Comment – Updated interim guidance on the destruction and disposal of PFAS
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PEER | June 29, 2026
Comments on EPA's 2026 interim guidance on the destruction and disposal of perfluoroalkyl and polyfluoroalkyl substances (PFAS ...
Comment – FWS Proposed Rule on Management of the National Wildlife Refuge System
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PEER | June 4, 2026
Comments on U.S. Fish and Wildlife Service Proposed Rule Regarding Management of the National Wildlife Refuge System ...
Letter re: Amendment to North Atlantic Right Whale Vessel Strike Reduction Rule
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PEER | June 2, 2026
PEER strongly opposes deregulatory action to replace the current North Atlantic right whale seasonal speed restrictions with alternative management areas and advanced, technology-based strike-avoidance measures ...
Letter opposing H.R.7695 – Roadless Rule Invalidation
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PEER | May 20, 2026
DESCRIPTION: Letter opposing H.R.7695 which would strip vital protections from 45 million acres of wild forests on our public lands by invalidating the Roadless Area Conservation Rule. TO: Chair Tiffany, Ranking Member Neguse and members of the Federal Lands Subcommittee FROM: 350 ...
Letter re: Lafayette Park Project Congressional Oversight
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PEER | April 28, 2026
Letter to Congress re: Congressional oversight of a renovation project being led by the National Park Service at Lafayette Park ...
Comment – FCC approval for Blue Origin orbital data center satellites
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PEER | April 20, 2026
Comments objecting the Federal Communications Commission's approval for over fifty thousand Blue Origin orbital data center satellites ...