We've compiled and archived letters and other official correspondence from EWG to government agencies, elected officials, industry associations and companies.
Displaying 81 - 100 of 254
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 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.
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 CVS on New Truth in Advertising Initiative
EWG sent a letter to CVS praising its new truth in advertising initiative for cosmetic products. The letter, also sent by mail, was penned following CVS’s announcement.
EWG’s Letter to Live Water on Recent Company Publicity
EWG sent a letter to Live Water regarding recent brand publicity. The letter, also sent by mail, was penned following several inquiries about their product and the “raw water” movement.
EWG Asks Toyota to Issue Recall on “Partnership” Claimed by EPA
Attached is a letter by EWG to the Chief Executive Officer of Toyota Motor North America on their recently announced partnership with the Environmental Protection Agency. EWG calls on Toyota backtrack...
EWG Comments on EPA Methods to Set Goal Level for Perchlorate in Tap Water
EWG’s public comments to the Environmental Protection Agency’s Office of Drinking Water urge it to protect American children from perchlorate exposure by establishing a Maximum Contaminant Level Goal...
EWG Comments on Pyrethroid/Pyrethrin Insecticide Risk Assessments
EWG’s public comments to the Environmental Protection Agency’s Office of Pesticides demand it fully consider the risks of low-dose exposures to pyrethroid pesticides during pregnancy and childhood...
EWG Comments on Scoping of First 10 Chemicals Under TSCA Review
Attached are EWG’s comments on how the EPA should scope the first 10 chemicals it will review under the revised Toxic Substances Control Act.
EWG, Other Groups’ Letter Supports San Francisco Ordinance Requiring Disclosure of Antibiotics in Meat
Attached is a letter signed by EWG in support of proposed legislation that would require large grocery chains in San Francisco to report antibiotic use policies associated with their fresh meat and...
EWG’s Comments to the California Office of Environmental Health Hazard Assessment on 1,2-DCE in Drinking Water
Below and attached are EWG’s comments to the California Office of Environmental Health Hazard Assessment in support of a proposed update of the public health goals for Cis-/Trans- 1,2-Dichloroethylene...
EWG Urges EPA to Ban Unnecessary Uses of Bee-Killing Pesticides
EWG and 122,210 supporters write to EPA’s pesticide office urging it to ban all unnecessary uses of neonicotinoid insecticides as it completes its assessment of their ecological effects. Canada and...