THE FACILITY HAD A 6000 GALLON TANK WHICH HAD RELEASES FROM OVERFILLING, INADEQUATE SECONDARY CONTAINMENT, AND THE TANKS ROOF WAS COLLAPSED INWARD. LQG TO TSD. ECAB CONDUCTED A RCRA COMPLIANCE EVALUATION INSPECTION (CE I) ON DECEMBER 11, 1998. ECAB EXTENDED AN INVITATION TO PARTICIPATE TO OHIO EPA WHO DECLINED. ACV'S OFFICE IS LOCA- TED ON A CONTIGENT PROPERTY THAT IS SEPARATED BY A PUBLIC ACCESS STREET. THIS REQUIRES ACV TO SUBMIT TWO NOTIFICATION S OF HAZARDOUS WASTE ACTIVITIES FOR ITS OPERATIONS. PLANT # 1 HAD BEEN ASSIGNED EPA ID #OHD 000 716 951. PLANT #1 WAS INSPECTED ON THE MORNING OF DECEMBER 11TH AND FOUND TO BE GENERATING HAZARDOUS WASTE AS A SMALL QUANTITY GENERATOR. PLANT #1 WAS DEDICATED TO METAL STAMPING AND THE MANUFACTUR- ING OF OVER THE ROAD TRUCK CABS AND MANAGED ITS HAZARDOUS WASGE IN CONTAINTERS. WASTE GENERATED AT PLANT #1 WERE ACCUMULATED ON-SITE AND MOVED TO PLANT #2. THE FINDINGS OF THIS INSPECTION WERE NOT PART OF THIS FORMAL ENFORCEMENT ACTION. ECAB CONDUCTED THE INSPECTION ON PLANT #2 IN THE AFTERNOON OF DECEMBER 11TH. PLANT #2 WAS DEDICATED TO THE PREPARATION AND PAINTING OF TRUCKS. AFTER CLEANING THE FABRICATED METAL A BLACK E-COAT WAS APPLIED BY DIPPING THE CAB IN A TANK. WASTE FROM THE E-COAT PROCESS WAS COLLECTED AS A NON-HAZAR- DOUS SLUDGE. ACV FOLLOWED THIS STEP BY APPLYING GREY WATER BASED PAINT FOR PRIMER IN A BOOTH.