Official Correspondence

We've compiled and archived letters and other official correspondence from EWG to government agencies, elected officials, industry associations and companies.

Areas of Focus

Areas of Focus

Displaying 61 - 80 of 243

EWG Comments on the California’s OEHHA Draft Public Health Goals for Trihalomethanes

Attached is the letter of comments sent by EWG to the state of California in support of OEHHA’s proposed public health goals for disinfection byproducts trihalomethanes in drinking water.

EWG Comments on EPA's Draft Human Health Risk Assessment for Atrazine and Draft Cumulative Human Health Risk Assessment for Triazine Herbicides

Attached are EWG's comments to Environmental Protection Agency on the agency's draft human health risk assessment for atrazine and draft cumulative human health risk assessment for triazine herbicides...

EWG Letter to PepsiCo on Glyphosate in Oat-Based Foods Marketed to Children

Attached is a letter sent by EWG to the CEO of PepsiCo detailing recent testing that found the herbicide glyphosate in oat-based their foods marketed to children.

EWG Letter to General Mills on Glyphosate in Oat-Based Foods Marketed to Children

Attached is a letter sent by EWG to the CEO of General Mills detailing recent testing that found the herbicide glyphosate in oat-based their foods marketed to children.

EWG’s Comments on EPA’s National Leadership Summit and Engagement on PFAS Chemicals

Here is EWG's comment letter in response to EPA's National Leadership Summit and Engagement on PFAS chemicals.

EWG Comments on ATSDR Draft Toxicological Profile for PFAS

Attached are EWG’s comments to the Agency for Toxic Substances and Disease Registry, or ATSDR, on its draft toxicological profile on per- and polyfluoroalkyl substances, often referred to as PFAS. EWG...

EWG Comments on EPA's Problem Formulation for the Risk Evaluation for Asbestos

Attached are EWG's comments on EPA’s problem formulation for the risk evaluation of asbestos.

EWG Comments to USDA on Proposed GMO Labeling Rule

EWG wrote comments to U.S. Department of Agriculture Secretary Sonny Perdue, urging increased transparency as the agency implements its proposed labeling rule for genetically engineered foods.

EWG’s Letter to FDA on Antibiotic-Resistant Bacteria in Meat

Attached is EWG’s letter to Food and Drug Administration Commissioner Scott Gottlieb to express concern over the high level of antibiotic-resistant bacteria being detected in supermarket meat.

EWG Comments on Peer Review of NTP's Draft Technical Reports on Cellphone Radiation

EWG submits comments on the peer review of the National Toxicology Program's draft technical reports on cellphone radio-frequency radiation. The external peer reviewers strengthened the conclusions of...

Public Interest Organizations Call on HHS to Release PFAS Toxicological Profile

Attached is a letter submitted by more than 50 public interest organizations calling on the Department of Health and Human Services to release a recent toxicological profile by the Agency for Toxic...

EWG Comments to EPA Urging Full-Scale Science Review of Glyphosate

EWG's comments on the Environmental Protection Agency's Draft Risk Assessment for Glyphosate urge the agency to assess the full body of research indicating the Monsanto herbicide Roundup can increase...

EWG Comments to the California Department of Toxic Substances Control on Proposed Priority Listing of PFASs in Carpets and Rugs

EWG has submitted comments to the California Department of Toxic Substances Control on the agency's proposed listing of carpets and rugs containing PFAS chemicals as a priority product for review as...

EWG Comments to NTP on Cellphone Radiation Study

EWG submits comments on the National Toxicology Program's draft technical reports on cellphone radio-frequency radiation. EWG finds that these studies are relevant to human health, and increase the...

EWG’s Letter to Calif. OEHHA on Proposed Safe Level for Haloacetic Acids

EWG submits comments to California’s Office of Environmental Health Hazard Assessment in support of two proposed No Significant Risk Levels for bromochloroacetic acid and bromodichloroacetic acid. EWG...

EWG’s Letter to N.J. for Stronger PFC Restrictions for Water

EWG submits comments to New Jersey’s Department of Environmental Protection in support of the state’s proposal to lower the Maximum Contaminant Level for PFOS in drinking water. EWG also urges the...

EWG’s Comments to EPA on Chemical Review Prioritization

With these comments, EWG advises the Environmental Protection Agency to not focus its limited time and resources protecting the bottom lines of chemical companies by creating long lists of “low...

EWG’s Comments to EPA on The Agency’s New Chemical Assessment System

With these comments, EWG advises the Environmental Protection Agency to focus on establishing a new chemicals assessment system that would put public health first and especially prioritize the...

EWG’s Letter to FDA on Rodan + Field’s Misleading Cosmetics Claims

EWG sent a letter to the Food and Drug Administration urging the agency to stop Rodan + Fields from making misleading claims about harmful ingredients in its products.

EWG’s Letter to California AG on Rodan + Field’s Misleading Cosmetics Claims

EWG sent a letter to California Attorney General Xavier Becerra urging the state to stop Rodan + Fields from making misleading claims about harmful ingredients in its products.

Media Inquiries

If you are a member of the press, our communications team will connect you with the right EWG expert. Please contact one of our communications staff to schedule interviews with or comments from our researchers, analysts and other experts.

Join EWG's online community of 30 million. Sign up today to receive email updates.