1. SECTION 309(G) OF THE CLEAN WATER, SECTION 325(C) OF THE EMERGENCY PLANNING COMMUNITY RIGHT-TO-KNOW ACT, AND SEC- TION 1414(G)(3) OF THE SAFE DRINKING WATER ACT. 2. OCCIDENTIAL CHEMICAL CORPORATION DEER PARK, TEXAS 3. RESPONDENT WAS IN VIOLATION OF SECTIONS 301 AND 308 OF THE CWA BY FAILURE TO INSTALL CEM, LACK OF STORMWATER MONITORING, AND FAILURE TO MEET STORMWATER PERMIT RE- QUIREMENTS, SECTION 1412 OF THE SDWA BY FAILURE TO CON- DUCT SDWA MONITORING, AND SECTION 313 OF THE EPCRTKA BY INCOMPLETE REPORTING TO LEPC UNDER SARA. 4. RELIEF SOUGHT PURSUANT SECTION 309(G) OF THE CWA, SECTION 325(C) OF EPCRTKA AND SECTION 1414(G)(3) OF THE SDWA HAVE NOT BEEN FORMALIZED OR COMPLETED. 5. THIS CASE ENTERED UNDER THE EPA'S FINAL POLICY STATEMENT FOR SELF-POLICING: DISCOVERY, DISCLOSURE, CORRECTION, AND PREVENTION OF VIOLATIONS, 60 FED. REG. 66706 (DEC. 22, 1995) ( AUDIT POLICY ).