The Respondent failed to properly apply for Permit coverage under the TPDES - MSGP. Respondent is not authorized to discharge storm water associated with an industrial activity, and has been doing so at least since December 1, 2014 to the present. Respondent has not been treating its process waste streams in accordance with Permit required treatment technology (CMS Plant was not functional from May 2012 to January 2016). ACO requires the Respondent to resubmit an adequately prepared and complete TPDES Application for coverage under the TPDES - MSGP and repair and make the CMS Plant fully functional for proper treatment of facility's process waste streams.