Samuel Adams Brewery is the owner and operator of the facility at 1625 Central Parkway, Cincinnati, OH. Samuel Adams Brewery Co. merged with American Craft Brewery, LLC, the respondent, on January 1, 2014, and respondent is the surviving entity of that merger. Samuel Adams Brewery produced, used or stored anhydrous ammonia at the facility. On October 12, 2011 about 2:19 am, approximately 664 lbs of anhydrous ammonia spilled into the ambient air of the facility. Samuel Adams knew that the release was above the reportable quantity. Respondent notified the NRC of the release on June 5, 2014, but failed to notify the NRC as soon as it had knowledge of the release. Samuel Adams failure to immediately notify the NRC of the release is a violation of Section 103(a) of CERCLA. Samuel Adams notified the Ohio SERC of the release on March 16, 2012 at 9:14 am, but did not notify the SERC immediately after it had knowledge of the release, a violation of Sect. 304(a) of EPCRA. The company notified the LEPC of the release on March 27, 2012 through the written follow-up report, but did not immediately notify the LEPC, which is a violation of Sect. 304(a) of EPCRA. The company also did not provide the SERC written follow-up notice of the release as soon as practicable, which is a violation of Sect. 304(c). The company also did not provide the LEPC with written follow-up notice of the release to the LEPC, which is a violation of Sect.304(c) of EPCRA. Respondent is liable for violations of Sect