October 14, 2019 letter to Angeles Herrera, EPA Region 9, Assistant Director, Superfund Division, Federal Facilities and Site Cleanup Branch, commenting that the Navy's protectiveness determinations are inconsistent with EPA's guidance and unsupported by the facts. (32 pages)
Golden Gate University School of Law, "CERCLA Cleanup 2019.10.14 Letter to EPA re concurrence with FYR protectiveness" (2019). Environmental Law and Justice Clinic - Hunters Point Naval Shipyard Documents. 29.