Respondent?s failure to have a permit for the Shore Tank Farm Facility during the time periods during 2018 and 2019 that Respondent was generating over 1,000 kilograms of
hazardous waste, and storing hazardous waste, is a violation of 30 T.A.C. ? 335.2 [40 C.F.R.
270.1(b)]. Respondent?s failure to have an emergency response training program for the Shore Tank Farm Facility meeting the requirements set forth in 40 C.F.R. ? 264.16(a)(3)(i)-(vi),
or ensure that Shore Tank Farm Facility employees received HAZWOPER training, pursuant to
40 C.F.R. ? 264.16(a)(4), is a violation of 30 T.A.C. ? 335.152 [40 C.F.R. ? 264.16(a)]. Respondent?s failure to have a contingency plan specific to the Shore Tank Farm Facility and failure to designate emergency responders and emergency equipment specific to the
Shore Tank Farm Facility are violations of 30 T.A.C. ? 335.152 [40 C.F.R. ? 264.52].