EPA v. WORLD WIDE AUTOMOTIVE, INC.
Final Order No Penalty
Case summary
The NOD is based on self-disclosures provided by Worldwide Automotive, Inc. ( Worldwide ), for violations of Sections 311, 312 and 313 of EPCRA, and its implementing regulations at 40 C.F.R. Parts 370 and 372. The Worldwide facility is located at 4260 Entre Court, Chantilly, VA 20151-2100 ( Facility ). In a letter to EPA dated March 19, 2002, and in subsequent responses to EPA inquiries, Worldwide disclosed that the Facility had failed to submit Material Safety Data Sheets and Tier II Reports to the LEPC, SERC, and the local fire department for copper which had been stored at the Facility in quantities greater than 10,000 pounds. In addition, Worldwide also disclosed that it had failed to submit Toxic Chemical Release Inventory Forms (Forms A and/or Forms R) for copper, for the reporting years 1997 through 2001, as required by Section 313 of EPCRA. The total gravity-based civil penalty for these violations would be $135,647.00. However, Worldwide satisfied all of the conditions of EPA's Self-Disclosure Policy and the amount of economic benefit gained is insignificant; therefore, EPA waived the gravity-based civil penalty for the disclosed violations
Defendants (1)
- WORLD WIDE AUTOMOTIVE, INC.Named in complaintNamed in settlement
Facilities (1)
WORLD WIDE AUTOMOTIVE, INC.
4260 ENTRE CT, CHANTILLY, VA, 22021
Registry ID: 110013761045
Statutes cited
- EPCRA 313 — Toxic Chemical Release Reporting (TRI)
- EPCRA 312 — Emergency and Hazardous Chemical Inventory Forms
- EPCRA 311 — Material Safety Data Sheets (MSDS)
Enforcement conclusions (1)
World Wide Automotive, Incentered 2002-10-29
Primary law: EPCRA
Timeline (4 milestones)
- 2002-03-29Enforcement Action Data Entered
- 2002-10-29Final Order Issued
- 2002-10-29Enforcement Action Closed
- 2002-10-29Complaint Filed/Proposed Order
Case metadata
- EPA activity ID
- 19928
- Case number
- 03-2002-0146
- Lead agency
- EPA
- HQ division
- TOX
- Branch
- 3RC10
- EPA region
- 03
- Multimedia
- No
- Voluntary self-disclosure
- Yes
- Primary statute
- Toxic Chemical Release Reporting (TRI)
Sourced verbatim from EPA ECHO Enforcement Case Report for case 03-2002-0146 . Bulk data: ICIS-FEC download summary.
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