ON AUGUST 26, 1999, NEXTLINK NOTIFIED EPA THAT IT INTENDED T O CONDUCT A SYSTEMATIC EVALUATION OF ITS COMPLIANCE IWTH EPC RA AND SPILL PREVENTION CONTROL AND COUNTERMEASURE (SPCC) RE QUIREMENTS AND TO SELF-DISCLOSE ANY VIOLATIONS THAT IT MIGHT FIND. ON MARCH 1, 2000, NEXTLINK REPORTED THAT IT HAD DISC OVERED NONCOMPLINACE WITH EPCRA AT 61 FACILITIES, NONCOMPLIN ACE WITH CWA SPCC REQUIREMENTS AT 13 FACILITIES, NONCOMPLINA CE WITH CAA SIP REQUIREMENTS AT 17 FACILITIES AND NONCOMPLIA NCE WITH RCRA FINANCIAL ASSURANCE AT 1 FACILITY. NEXTLINK HAS SUBMITTED EPCRA FILINGS, PREPARED SPCC PLANS, A PPLIED FOR STATE PERMITS OR EXEMPTIONS, AND PUT INTO PLACE T HE FINANCIAL ASSURANCE LETTER REQUIRED BY RCRA.