1. SECTION 113 OF THE CLEAN AIR ACT ( CAA ), 42 U.S.C. SECTION 7413.
2. CHEVRON PHILLIPS CHEMICAL COMPANY, A DELAWARE CORP, 1400 JEFFERSON, PASADENA, HARRIS COUNTY, TEXAS 77506
3. RESPONDENT WAS IN VIOLATION OF SECTIONS 111 AND 112(R) OF THE CAA BY: 1) FAILURE TO IDENTIFY AND LOG COMPONENTS IN VOC SERVICE, AS REQUIRED (POLYETHYLENE UNIT #6); 2) FAILURE TO IDENTIFY AND LOG COMPONENTS IN VOC SERVICE, AS REQUIRED (POLYETHYLENE UNIT #7); 3) FAILURE TO IDENTIFY AND LOG COMPONENTS IN VOC SERVICE, AS REQUIRED (POLYETHYLENE UNIT #8; 4) FAILURE TO IDENTIFY AND LOG COMPONENTS IN VOC SERVICE, AS REQUIRED (POLYPROPYLENE HAC); 5) FAILURE TO IDENTIFY AND LOG COMPONENTS IN VOC SERVICE, AS REQUIRED (POLYPROPYLENE GPH); 6) FAILURE TO IDENTIFY AND LOG COMPONENTS IN VOC SERVICE, AS REQUIRED (NEOHEXENE UNIT); 7)FAILURE TO MAINTAIN RECORDS INDICATING VISUAL INSPECTIONS OF PUMPS IN VOC SERVICE WAS PERFORMED, AS REQUIRED; 8)FAILURE TO CORRECTLY SEAL OPEN-ENDED VALVES IN VOC SERVICE, AS REQUIRED (LOADING/UNLOADING RACK); 9) FAILURE TO CORRECTLY SEAL OPEN-ENDED VALVES IN VOC SERVICE, AS REQUIRED (NEOHEXENE UNIT); 10) FAILURE TO CORRECTLY SEAL OPEN-ENDED VALVES IN VOC SERVICE, AS REQUIRED (POLYETHYLENE UNIT 8); 11) FAILURE TO INCLUDE A REGULATED SUBSTANCE (CHLORINE) IN THE RMP REGISTRATION, AS REQUIRED; 12)FAILURE TO MEANINGFULLY CONSULT WITH EMPLOYEES ON THE DEVELOPMENT OF PROCESS SAFETY MANAGEMENT, AS REQUIRED; 13)FAILURE TO MAINTAIN ADEQUATE OPERATING PROCEDURES, AS REQUIRED; 14) FAILURE TO HAVE