On December 6, 2017, Respondent violated 40 C.F.R. 147.2912 when the well failed an (MIT). On May 4, 2018, Respondent violated 40 C.F.R 147.2912 and 147.2903 (b) when an inspection showed that the well had not successfully completed an MIT and the well was still connected to the wellhead. A July 20, 2018, inspection confirmed the well still did not have mechanical integrity, was not plugged or converted to production use. Respondent violated regulations set forth at 40 C.F.R. 147.2903(b), 147.2909 and 147.2905 by maintaining a well in a manner that could allow the movement of fluid that contains contaminates into USDWs and failing to permanently plug & abandon an injection well within one year of ceasing injection. 9.11.2020: Final Order issued.