EPA v. BIRMINGHAM-SOUTHERN COLLEGE
Source Agrees
Case summary
12/24/14 - NOTICE OF DETERMINATION ISSUED. IN AN OCT 28, 2008 LETTER TO EPA, THE COLLEGE DISCLOSED POTENTIAL VIOLATIONS OF THE CWA, EPCRA, RCRA, AND TSCA. THE DISCLOSURES DETERMINED BY EPA TO BE FEDERAL VIOLATIONS WERE CORRECTED BY FEB 2, 2009, FOLLOWING AN EPA-APPROVED EXTENSION. DISCLOSURES OF THE UST REGS WERE DETERMINED BY EPA NOT TO BE VIOLATIONS OF ANY FEDERALLY ENFORCED REGS.
Defendants (1)
- BIRMINGHAM-SOUTHERN COLLEGENamed in settlement
Facilities (1)
BIRMINGHAM SOUTHERN COLLEGE
900 ARKADELPHIA ROAD, BIRMINGHAM, AL, 35254
Registry ID: 110025695317
Statutes cited
- CWA 301 — NPDES Discharge without a Permit
- RCRA 3005 — Permits for Treatment, Storage, or Disposal of Hazardous Waste
- EPCRA 312 — Emergency and Hazardous Chemical Inventory Forms
- CWA 311J — SPCC and/or Federal Response Plan Violations
- TSCA 6-PCBS — PCBS
- EPCRA 311 — Material Safety Data Sheets (MSDS)
- RCRA 3002 — Standards Applicable to Generators of Hazardous Waste
Enforcement conclusions (1)
BIRMINGHAM-SOUTHERN COLLEGEentered 2013-12-24
Primary law: RCRA
Timeline (3 milestones)
- 2013-12-24Final Order Issued
- 2013-12-24Enforcement Action Closed
- 2014-03-25Enforcement Action Data Entered
Case metadata
- EPA activity ID
- 3400222509
- Case number
- 04-2009-9114
- Lead agency
- EPA
- EPA region
- 04
- Voluntary self-disclosure
- Yes
- Primary statute
- NPDES Discharge without a Permit
Sourced verbatim from EPA ECHO Enforcement Case Report for case 04-2009-9114 . Bulk data: ICIS-FEC download summary.
This is legal information, not legal advice. Laws vary by jurisdiction and change frequently. Always verify current law with official sources and consult a licensed attorney in your jurisdiction for advice on your specific situation.