EPA v. U.S. PENITENTIARY - LEWISBURG
Case summary
THIS SELF-AUDIT WAS SUBMITTED AS PART OF THE SELF-AUDIT AGREEMENT BETWEEN THE FEDERAL BUREA OF PRISONS AND EPA REGION III. INCLUDES VIOLATION OF CAA SECTION 608, CWA SPCC PLAN VIOLATION, CWA 301 AND 402 FOR ISSUES RELATED TO ITS PRETREATMENT, RCRA GENERATOR REQUIREMENTS WITH RESPECT TO HAZAROUD WASTE AND UNIVERSAL WASTE, AND EPCRA SECTION 312.
Defendants (1)
- U.S. PENITENTIARY LEWISBURGNamed in settlement
Facilities (1)
U.S. PENITENTIARY - LEWISBURG
2400 ROBERT F. MILLER DRIVE, LEWISBURG, PA, 17837
Registry ID: 110032620572
Statutes cited
- EPCRA 312 — Emergency and Hazardous Chemical Inventory Forms
- CWA 301/402 — NPDES Permit Violations
- CWA 311J — SPCC and/or Federal Response Plan Violations
- RCRA 3002 — Standards Applicable to Generators of Hazardous Waste
- CAA 608 — National Recycling & Emission Reduction Program
Enforcement conclusions (1)
U.S. PENITENTIARY - LEWISBURGentered 2009-03-31
Primary law: CAA
Timeline (2 milestones)
- 2009-03-31Final Order Issued
- 2009-04-09Enforcement Action Data Entered
Case metadata
- EPA activity ID
- 1400038887
- Case number
- 03-2009-6023
- Lead agency
- EPA
- EPA region
- 03
- Voluntary self-disclosure
- Yes
- Primary statute
- Emergency and Hazardous Chemical Inventory Forms
Sourced verbatim from EPA ECHO Enforcement Case Report for case 03-2009-6023 . Bulk data: ICIS-FEC download summary.
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