THE CEI WAS CONDUCTED AS PART OF REG 2'S UNIVERSITY INITI- ATIVE. VIOLATIONS WERE OBSERVED AND CONFIRMED TO INCLUDE THOSE DESCRIBED ABOVE. THE FACILITY FAILED TO PERFORM THOSE REQUIREMENTS THAT EXEMPT A LARGE QUANTITY GENERATOR FROM THE PERMITTING REQUIREMENTS, ALONG WITH OTHER BASIC GENERATOR REQUIREMENTS SUCH AS PERFORMANCE OF HAZARDOUS WASTE DETERMINATIONS ON ITS SOLID WASTES. INJUNCTIVE RELIEF INCLUDES REQUIRING HAZARDOUS WASTE DETERMINATIONS ON THE GENERATOR'S SOLID WASTES AND COMPLIANCE WITH THOSE REQUIREMENTS WHICH WILL ALLOW THE FACILITY TO CONTINUE OPERATING WITHOUT OBTAINING A TSD PERMIT.
SEPs: Pollution Prevention/Equipment/Technology Modifications (Spray booth and silk screening) and Environmental Compliance Promotion (High School outreach).
Note: there are various RCRA program numbers used by Pratt at their facilities (both in NYC and Brooklyn). In addition, some of the addresses can be slightly different but are actually a different entrance or floor. Because of this there can sometimes be more than one FRS number and RCRA number associated with the same facility. All the information for the two facilities, in this case, can be found on the Case Conclusion Data Sheet.