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Riverhawk Company (SB)

Administrative - Formal · FY2011 · — · Source Agrees · 2600012139

Penalty
Cost recovery
Compliance action

Case

Case Number
02-2011-0810
Type
Administrative - Formal
Lead
EPA
Outcome
Source Agrees
Multimedia
Self-disclosure
Y

Defendants (1)

Summary

On June 30, 2010 Respondent in New Hartford, NY submitted a self disclosure under the Small Business Policy for a potential violation of the Clean Air Act (CAA). The facility reported that one of its small plating tanks would not have emission control devices installed by the effective date of the regulation, July 1, 2010 which is a requirement under National Emission Standards for Hazardous Air Pollutants (NESHAP), Area Source Standards for Plating and Polishing Operations. Pursuant to the Audit Policy and based on information provided, EPA has determined that the facility meets the conditions of the Audit Policy for 100% elimination of the total gravity-based penalties. Respondent corrected the CAA violations that were disclosed on the June 30, 2010 Audit Policy request.

Source

Authoritative
EPA ECHO
Machine
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