# C.F. GOLLOTT AND SON SEAFOOD, INC.
> **Administrative - Formal** · FY2021 · — · Final Order No Penalty
## Case
- **Activity ID:** `3602487618`
- **Case Number:** 04-2021-0303
- **Type:** Administrative - Formal
- **Lead:** EPA
- **Outcome:** Final Order No Penalty
- **Penalty assessed:** —
- **Cost recovery:** —
- **Compliance action $:** —
- **Multimedia (multi-env):** —
## Defendants
- C.F. GOLLOTT AND SON SEAFOOD, INC. (settlement)
## Summary

20210120 - ADMINISTRATIVE COMPLIANCE ORDER ON CONSENT ISSUED.

ALLEDGED VIOLATIONS

On January 31, 2020, Gollott, through its counsel, submitted a response to the EPA?s January 9, 2020 CEI Report. On or about April 1, 2020, the EPA sent a Notice of Potential Violations (NOPV) to Gollott for potential violations identified during the CEI. The NOPV noted potential effluent limitation violations of the 2014 NPDES Permit. Specifically, Gollott violated the effluent limitations for Biochemical Oxygen Demand, 5-day (BOD5), Total Suspended Solids (TSS) and Oil and Grease as indicated in the discharge monitoring reports (DMRs) during the period covering April 1, 2017, through March 31, 2020.

On August 10, 2020, the EPA and representatives of Gollott held a conference call to discuss the exceedances of the new permit effluent limitations. Gollott confirmed that it exceeded the BOD5 effluent limitation for the Monthly Average in June 2020, which was the first month?s monitoring under the new, 2020 NPDES Permit.

On August 21, 2020, counsel for Gollott provided a letter documenting the information in Paragraph 12 above, as well as providing the latest correspondence between Gollott and the City of D?Iberville, Mississippi discussing the proposal to discharge the bin weep water to the City?s sewer system.

Gollott has violated Section 301(a) of the CWA, 33 U.S.C. ? 1311(a), in that Gollott has discharged pollutants to navigable waters not in compliance with its 2014 NPDES Perm

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*Source: [EPA ECHO](https://echo.epa.gov/) · AI Analytics · CC0 1.0*