EPA and Respondent agreed to a CAFO for violations of CERCLA 103, failure to notify NRC in a timely fashion, and for violations of EPCRA 304/311/312failure to notify SERC, failure to file written notice to SERC, and written notice to LEPC. A civil penalty of $6,329 was agreed to for the CERCLA violation and a penalty of $$14,086.00 for EPCRA violations. In addition a SEP was agreed to be installed, at no less than $100,000.