From the Investigation and a review of Respondent's response to EPA's Request for
Information, EPA determined that for the periods that Respondent operated as a LQG at the
Slay Facility and for the years identified, Respondent failed to maintain adequate
training for its employees, maintain adequate emergency preparedness, and provide for a
complete contingency plan, in violation of the pertinent requirements of
TEX.ADMIN.CODE ? 335, Subchapter C [40 C.F.R. ? 265].