Respondent imported outboard motors and bicycle engine kits on or about August 29, 2020. Authorized federal inspectors examined the Subject Engines and did not observe any Emission Control Information (ECI) labels on the Subject Engines. When requested to provide EPA Form 3520-21 and Certificates of Conformity for the Subject Engines, the broker responded on behalf of the importer that no Certificates of Conformity can be provided. No relevant Certificates of Conformity were found in EPA?s databases. The EPA has found no further evidence indicating the Subject Engines are certified, exempt or otherwise excluded from coverage under Title II the Clean Air Act (CAA) and its implementing regulations. Accordingly, by importing the Subject Engines, Respondent has committed 305 violations of CAA Sections 203(a)(1) and 213(d), 42 U.S.C. 7522(a)(1) and 7547(d), and the regulations codified at 40 C.F.R. 1068.101(a)(1) and (b)(5).