1. SECTION 113 OF THE CLEAN AIR ACT ( CAA ), 42 U.S.C. SECTION 7413. 2. LION OIL COMPANY, AN ARKANSAS CORP., A STATIONARY SOURCE,1000 MCHENRY, P.O. BOX 7005, EL DORADO, UNION COUNTY, ARKANSAS 71721-7005. 3. RESPONDENT WAS IN VIOLATION OF SECTION 111 OF THE CAA, STANDARDS OF PERFORMANCE FOR NEW STATIONARY SOURCES (NSPS) BY: 1) FAILURE TO MONITOR SO2 OR H2O VIA CEM AS REQUIRED; 2) FAILURE TO EQUIP TANK AA WITH THE APPROPRIATE TYPE OF PRIMARY SEAL; 3) FAILURE TO PERFORM SEAL GAP MEASUREMENTS FOR TANK 88 AS REQUIRED; 4) FAILURE TO NOTIFY THE ADMINISTRATOR 30 DAYS IN ADVANCE OF REQUIRED SEAL GAP MEASUREMENTSFOR TANK 88 TO AFFORD THE ADMINISTRATOR AN OPPORTUNITY TO HAVE AN OBSERVER PRESENT AS REQUIRED; 5) FAILURE TO FURNISH THE ADMINISTRATOR WITH ANNUAL SEAL GAP MEASUREMENTS (NOT INITIAL) FOR TANK 88 AS REQUIRED; 6) FAILURE TO HAVE TANK 88 SAMPLING PORT CLOSED AS REQUIRED; 7) FAILURE TO ENSURE THAT THE ROOF OF TANK 88 WAS FLOATING ON THE LIQUID AT ALL TIMES AS REQUIRED; 8) FAILURE TO HAVE ACCESSIBLE AT THE TIME OF THE INSPECTION REPORTS DESCRIBING AND CERTIFYING CONTROL EQUIPMENT, AS WELL AS SEAL GAP MEASUREMENTS FOR TANK 88 AS REQUIRED; 9) FAILURE TO NOTIFY THE ADMINISTRATOR 30 DAYS IN ADVANCE OF REQUIRED SEAL GAP MEASUREMENTS BY TANK 103 TO AFFORD THE ADMINISTRATOR AN OPPORTUNITY TO HAVE OBSERVER PRESENT AS REQUIRED; 10) FAILURE TO PERFORM INITIAL AND SUBSEQUENTLY REQUIRED SEAL GAP MEASUREMENTS FOR TANK 103 AS REQUIRED; 11) FAILURE TO FURNISH THE ADMINISTRATOR WITH A REPORT