AUGUST 22, 2022 - CONSENT AGREEMENT: On February 9, 2021, EPA and SCDHEC conducted a RCRA compliance evaluation inspection (CEI) at Respondent's Facility. EPA mailed Respondent an Opportunity to Show Cause Letter (Show Cause Letter) and a CEI Report documenting its findings from the February 9, 202 l inspection. On April 24, 202 l, Respondent provided its Response to the Show Cause Letter and CEI Report. On May 14, 2021, EPA issued a Request for Information to the Respondent, pursuant to Section 3007 of RCRA, 42 U.S.C. ? 6927.
At the time of the CEI, the inspectors determined that the Respondent's contingency plan included a list of emergency equipment at the Facility and a brief outline of the capabilities for each item on the list, but that the plan did not include the location of each item on the list.
At the time of the CEI, the inspectors determined that the Respondent's quick reference guide included a map of the Facility, but the map did not indicate where hazardous wastes are generated and routes for accessing these wastes or the location of the water supply.
At the time of the CEI, the inspectors determined that no hazardous waste training was provided to employees during calendar years 2019 and 2020, because the Respondent could not provide records of annual hazardous waste training for those years.
At the time of the CEI, the inspectors determined that the Respondent's hazardous waste training records did not include the name(s) of employees filling eac