On or about April 19, 2019, an EPA inspector conducted an inspection of Respondent facility and discovered the following violations: 1. Respondent could not provide documentation that employees were informed of, or trained in, a change to the process prior to the startup of the process, a violation of 40 CFR 68.75(c). 2. The name and number of the emergency contact was inaccurate, as Monument did not update its emergency contact information until April 2019, prior to the inspection, but three months past the due date; therefore, Respondent violated 40 CFR 68.195.