This case's violations were incomplete process safety information (safe upper and lower limits and consequence of deviation for high pressure receiver vessel, high temperature vessel and compressors), failure to update emergency contact information in Facility?s risk management plan, and incomplete recordkeeping (management of change and pre-startup safety review related to a process change) under the Chemical Accident Prevention Program at 40 C.F.R. Part 68.
This CAFO will not be accompanied by an Agreement on Consent Order as the Facility is back in compliance. The facility provided records that demonstrated compliance during the 113-conference meeting.