Respondent performed renovation work in Brooklyn, New York. Upon review of Respondent?s response to an Information Request Letter issued by EPA and certification information provided by the Federal Lead Paint Program, it was determined that Respondent had not obtained EPA lead-safe certification prior to performing renovation activities and did not maintain the proper records to document compliance with the Renovation, Repair, and Painting (RRP) Rule. To settle this matter, the Respondent will pay a $3,000 penalty, and agree to maintain compliance going forward. Respondent has already registered their firm with EPA under the RRP Rule.