12/17/2020 - CAFO ISSUED.
Based on the EPA' s review of the Respondent's records during the December 11, 2019, inspection, the EPA has determined that prior to offering and entering into a contract for lease of residential dwelling of target housing, the Respondent failed to: a. Provide the lessee with the EPA-approved lead hazard information pamphlet in violation of 40 C.F.R. ? 745.107(a)(l); b. Include as an attachment or within the contract to lease target housing, the appropriate Lead Warning Statement, in violation of 40 C.F.R. ? 745.1 B(b )(1 ); c. Include as an attachment or within the contract to lease target housing a statement by the lessor disclosing the presence of known lead-based paint and/or lead-based paint hazards in the target housing being leased or indicating no knowledge of the presence of leadbased paint and/or lead-based paint hazards in violation of 40 C.F.R. ? 745.113(b )(2); d. Include as an attachment or within the contract to lease target housing a statement by the agent involved in the transaction to lease target housing that the agent has informed the lessor of the lessor's obligations, and that the agent is aware of his their duty to ensure compliance in violation of 40 C.F.R. ? 745.1 l 3(b )(5), as promulgated at 61 Federal Register 9085 (March 6, 1996); and e. Include as an attachment or within the contract to lease target housing the signatures of the lessors, agents, and lessees, certifying to the accuracy of their statements, to the best