1. SECTION 309 OF THE CLEAN WATER ACT ( CWA) , 33 U.S.C. SECTION 1319. 2. IBP, INCORPORATED, A FOREIGN PROFIT CORPORATION 2 MILES SOUTHEAST OF PALESTINE ON FM 323 PALESTINE, ANDERSON COUNTY, TEXAS 75802 3. RESPONDENT WAS IN VIOLATION OF SECTION 301 OF THE CWA BY: 1) NUMEROUS UNAUTHORIZED DISCHARGES OF PROCESS WASTEWATER FROM ITS FACILITY WITHOUT AN NPDES PERMIT SINCE 1992; 2) FAILURE TO OBTAIN AN NPDES DISCHARGING PERMIT; AND 3) THE COMMINGLING OF STORM WATER WITH PROCESS WASTWATER SYSTEMS. FURTHER, IBP VIOLATED SECTION 301 AND ITS NPDES STORM WATER MULTI-SECTOR GENERAL PERMIT FOR INDUSTRIAL ACTIVITY BY: 1) FAILING TO CONDUCT QUARTERLY MONITORING STORM WATER DISCHARGES DURING SEPT. 29, 1996 THROUGH SEPT. 29, 1997; 2) FAILING TO CONDUCT THE QUARTERLY VIS- UAL EXAMINATIONS DURING BOTH THE SECOND AND THIRD QUAR- TERS OF 1997; 3) FAILING TO SIGN AND CERTIFY THE STORM WATER POLLUTION PLAN; 4) FAILING TO DEVELOP A SITE DRAIN- AGE MAP; 5) FAILING TO ADDRESS STORM WATER CROSS CONNECT- IONS TO THE WASTEWATER TREATMENT SYSTEM AND RETURN IRRI- GATION WATER IN THE TAILWATER CONTROL PONDS; 6) FAILING TO DEVELOP AND IMPLEMENT CONTROLS FOR PROCESS WASTEWATER DISCHARGES IN THE STORM WATER STREAMS AT THE PLANT AND IN THE WASTEWATER IRRIGATION FIELDS; 7) FAILING TO PROVIDE DOCUMENTATION THAT ANY EMPLOYEE T