Respondent indicated via Response to an Information Request Letter (IRL) that, due to an administrative error, a pre-abatement notification was not submitted to EPA. In the response to the IRL the Respondent included a copy of the abatement notification that was not properly processed for review. Relief requested is for payment of a penalty and for future compliance with the Lead-Based Paint Activities Rule. All abatements performed by the firm should now follow correct pre-abatement notification requirements.