Respondent conducted abatement activities in six (6) target housing addresses in New York between November 2018 and October 2019. The firm failed to notify EPA of these abatement activities, which is a violation of the Lead-Based Paint Activities (Lead Abatement) Rule. Respondent was offered an Expedited Settlement Agreement (ESA) under the Lead-based Paint ESA Policy, will pay a civil penalty and submit a written response on how they will amend business practices to better comply with EPA regulations regarding notification.