EPA received a tip/complaint alleging the Respondent was performing renovations at a property in Brooklyn, NY not following lead-safe work practices, a violation of the Renovation, Repair & Painting (RRP) Rule. The Respondent is an EPA-certified renovation firm, and employs at least one certified renovator. An Information Request Letter (IRL) was sent to the Respondent on July 28, 2011 and a response was received by EPA on August 25, 2011. The response failed to satisfy the recordkeeping requirements of the RRP Rule, and therefore EPA sought a penalty. During settlement, the Respondent produced additional records which resulted in a lower penalty amount.