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04-2004-4766Administrative - FormalClosedFY 2004· Region 04

EPA v. RYLAND HOMES (WENTWORTH)

Unilateral Administrative Order Without Adjudication

Case summary

4/7/04 - COMPLIANCE ORDER ISSUED. VIOLATION: RYLAND HOMES STATED IN A FACSIMILE ON AUGUST 12, 2003, TO SAIC, THAT A NOTICE OF INTENT (NOI) WAS SUBMITED FOR THE FACILITY ON AUGUST 24, 2001. NEITHER EPA NOR FDEP HAVE A RECORD OF RECEIPTS OF THE NOI IN THEIR RESPECTIVE DATABASES. A NOI IS REQUIRED BY PART II.A.2 OF THE NPDES PERMIT AND MUST BE SUBMITTED AT LEAST TWO DAYS PRIOR TO COMMENCEMENT OF CONSTRUCTION. NO POSTING OF THE NOI OR A DESCRIPTION OF THE WORK TO BE COMPLETED WAS FOUND AT THE SITE AS REQUIRED BY PART II.C.2 OF THE NPDES PERMIT. ORDER REQUIRES: WITHIN 7 CALENDAR DAYS, RYLAND HOMES SHALL SUBMIT AN INDIVIDUAL PERMIT APPLICATION OR A NOI FOR COVERAGE OF THE FACILITY UNDER THE FDEP PERMIT. A COPY OF THE PERMIT APPLICATION OR NOI SHALL BE PROVIDED TO EPA AND FDEP. IF RYLAND HOMES MAINTAINS A COPY OF A PERMIT COVERAGE NOTICE ISSUED BY EPA FOR WENTWORTH, THEN RYLAND HOMES SHALL SUBMIT A COPY OF SUCH NOTICE TO BOTH EPA AND FDEP. SHOULD CONSTRUCTION AT THE WESTCHESTER SITE BE COMPLETE, THEN RYLAND HOMES SHALL COMPLETE A NOT AND PROVIDE A COPY TO BOTH EPA AND FDEP. WITHIN 30 DAYS, RYLAND HOMES SHALL DEVELOP AND IMPLEMENT A SWPPP. WITHIN 40 CALENDAR DAY, RYLAND HOMES SHALL PROVIDE WRITTEN CERTIFICATION THAT IT HAS DEVELOPED AND IMPLEMENTED ITS SWPPP, THAT IT KEEPS A COPY OF THE SWPPP ON SITE OR AN ACCESSIBLE LOCATION, AND THAT ITS BMP PLAN COMPLIES WITH PART V OF THE FDEP PERMIT. WITHIN 7 CLENDAR DAYS, RYLAND HOMES SHALL IMPLEMENT MAINTENANCE PROVISIONS AT ITS FACILITY TO ENSURE THAT TIMELY MAINTENANCE OF VEGETATION, EROSION AND SEDIMENT CONTROLS, STORM WATER MANAGEMENT PRACTICES, AND OTHER PROTECTIVE MEASURES AND BMPs SO THEY WILL REMAIN IN GOOD AND EFFECTIVE OPERATING CONDITION BY PROVIDING INLET PROTECTION TO ALL INLET/OUTLET STRUCTURES AND BY PROVIDING ADEQUATE STREET CLEANING SERVICES. WITHIN 14 CALENDAR DAY, RYLAND HOMES SHALL PROVIDE WRITTEN CERTIFICATION DESCRIBING THE CONTROLS IT HAS INSTALLED, INCLUDING LOCATIONS. IMMEDIATELY, RYLAND HOMES MUST INSTITUTE AN INSPECTION PROGRAM AT ITS FACILITY WHICH COMPLIES WITH PART V.D.4 OF THE FDEP PERMIT FOR INSPECTING: ALL POINTS OF DISCHARGE TO SURFACE WATERS OR TO A MS4; DISTURBED AREAS OF THE CONSTRUCTION SITE THAT HAVE NOT FULLY STABILIZED; AREAS USED FOR STORAGE OF MATERIALS THAT ARE EXPOSED TO PRECIPITATION; STRUCTURAL CONTROLS; AND LOCATIONS WHERE VEHICLES ENTER OR EXIT THE SITE, AT LEAST ONCE EVERY 7 CALENDAR DAYS AND WITHIN 24 HOURS AFTER ANY STORM EVEN OF 0.5 INCHES OR GREATER. WITHIN 14 CALENDAR DAYS, RYLAND HOMES SHALL SUBMIT WRITTEN CERTIFICATION THAT THE INSPECTION PROGRAM HAS BEEN INSTITUTED AT ITS FACILITY. RYLAND HOMES SHALL ENSURE THAT REPORTS OF INSPECTIONS ARE KEPT IN ACCORDANCE WITH PART V.D.4 OF THE FDEP PERMIT. EVERY 30 CALENDAR DAYS, FOR A PERIOD OF 3 MONTHS, RYLAND HOMES SHALL SUBMIT COPIES OF ALL INSPECTION REPORTS MADE FOR ITS FACILIT

Defendants (1)

  • RYLAND HOMESNamed in settlement

Facilities (1)

  • WENTWORTH

    CLARKE ROAD, OCONEE, FL, 34761

    Registry ID: 110017721508

Statutes cited

  • CWA 301/402NPDES Permit Violations

Enforcement conclusions (1)

  • RYLAND HOMES (WENTWORTH)entered 2004-04-07

    Primary law: CWA

Timeline (3 milestones)

  • 2004-04-07Final Order Issued
  • 2004-07-01Enforcement Action Data Entered
  • 2007-01-01Enforcement Action Closed

Case metadata

EPA activity ID
122185
Case number
04-2004-4766
Lead agency
EPA
EPA region
04
Voluntary self-disclosure
No
Primary statute
NPDES Permit Violations

Sourced verbatim from EPA ECHO Enforcement Case Report for case 04-2004-4766 . Bulk data: ICIS-FEC download summary.

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