# ESA/Omaha Standard, LL
> **Administrative - Formal** · FY2023 · — · Final Order With Penalty
## Case
- **Activity ID:** `3603576354`
- **Case Number:** 07-2023-0059
- **Type:** Administrative - Formal
- **Lead:** EPA
- **Outcome:** Final Order With Penalty
- **Penalty assessed:** —
- **Cost recovery:** —
- **Compliance action $:** —
- **Multimedia (multi-env):** —
## Defendants
- Omaha Standard, LLC (complaint) (settlement)
## Summary

&#8203;&#8203;Omaha Standard, LLC (ï¿½Respondentï¿½) is the owner or operator at 3501 S. 11th Street Council Bluffs, Iowa 51501 (ï¿½Facilityï¿½). The EPA conducted a compliance evaluation inspection, on April 13-14, 2022. The EPA alleges that Respondent violated the following requirements of the RCRA hazardous waste management program. 
&#8203;a. Failure to label universal waste lamp container was not labeled with the words ï¿½universal waste lamp(s),ï¿½ or ï¿½waste lamp(s),ï¿½ or ï¿½used lamp(s)ï¿½, 40 CFR 273.14(e) (NOPF No. 1). 
&#8203;b. Failure to perform a weekly inspection of the CAAs as required by 40 CFR 262.16(b)(2)(iv) (NOPF No. 2). Not included in penalty. 
&#8203;c. Failure to label hazardous waste accumulation container with an accumulation start date as required by 40 CFR 262.16(b)(6)(C) (NOPF No. 3). 
&#8203;d. Failure to label hazardous waste accumulation container with the words ï¿½hazardous wasteï¿½ as required by 40 CFR 262.16(b)(6)(A) (NOPF No. 4). 
&#8203;e. Failure to label hazardous waste accumulation container with an indication of the nature of the hazard as required by 40 CFR 262.16(b)(6)(B) (NOPF No. 5). 
&#8203;f. Failure to label hazardous waste accumulation container with all applicable waste codes as required by 40 CFR 262.11(g) (NOPF No. 6). Not included in penalty. 
&#8203;g. Failure to close hazardous waste accumulation container as required by 40 CFR 262.16(b)(2)(iii)(A) (NOPF No. 7)&#8203;

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