EPA v. MARVIN YOUNG ENTERPRISES, INC.
Final Order With Penalty
Case summary
10/14/10 - CONSENT AGMT AND FINAL ORDER ISSUED, ASSESSING A PENALTY OF $1,185, DUE WITHIN 30 DAYS. ALLEGATIONS: REQUIREMENTS FOUND AT 40 CFR 144.28(g)(2)(iv)(A) STATE THAT A DEMONSTRATION OF MECHANICAL INTEGRITY, PURSUANT TO 146.8, SHALL OCCUR AT LEAST ONCE EVERY 5 YEARS FOR ACTIVE WELLS. THESE ACTIVE SUBJECT WELLS ARE OVERDUE FOR MECHANICAL INTEGRITY DEMONSTRATION REQUIREMENTS AS FOLLOWS: PETE MORGAN #9 - DUE 9/14/09 - DONE 5/5/10 PETE MORGAN #4 - DUE 9/14/09 - DONE 5/5/10 PETE MORGAN #6 - DUE 9/14/09 - DONE 5/5/10. THEREFORE, RESPONDENT VIOLATED 40 CFR 144.28(g)(2)(iv)(A) AND THE SDWA BY FAILING TO DEMONSTRATE THE MECHANICAL INTEGRITY OF THE ACTIVE SUBJECT WELLS AT LEAST ONCE EVEYR 5 YEARS. IN ACCORDANCE WITH 40 CFR 144.28(c)(2)(iv), EPA REQUIRES THAT AFTER A CESSATION OF INJECTION FOR 2 YEARS, THE OWNER OR OPERATOR OF A RULE-AUTHORIZED UNDERGROUND INJECTION WELL SHALL DEMONSTRATE THE MECHANICAL INTEGRITY OR CLOSE, PLUG AND ABANDON THE WELL. THE LEE ROY WELLS NO 1 INJECTION WELL WAS DISCOVERED BY THE RESPONDENT, WHO REPORTED THE FINDING TO EPA. AN INSPECTION WAS CONDUCTED ON MAY 5, 2010, DOCUMENTING THE LOCATION OF THE WELL. THE SUBJECT WELL HAS NEVER BEEN TESTED FOR MECHANICAL INTEGRITY. THEREFORE, RESPONDENT IS IN VIOLATION OF 40 CFR 144.28(c)(2)(iv) AND THE SDWA FOR FAILURE TO DEMONSTRATE THE MECHANICAL INTEGRITY OR PROPERLY CLOSE, PLUG AND ABANDON THE SUBJECT INACTIVE WELL. THE FOLLOWING ACTIVE SUBJECT WELL IS OVERDUE FOR MECHANICAL INTEGRITY DEMONSTRATION REQUIREMENTS AS FOLLOWS: LITTLE PAGE #9 - DUE 12/2/09 - DONE 5/5/10 THEREFORE, RESPONDENT VIOLATED 40 CFR 144.51(a), ITS PERMIT AND THE SDWA BY FAILING TO TIMELY DEMONSTRATE THE MECHANICAL INTEGRITY OF THE ACTIVE SUBJECT WELL. THE FOLLOWING INACTIVE WELL IS OVERDUE FOR MECHANICAL INTEGRITY DEMONSTRATION REQUIREMENTS AS FOLLOWS: LEE ROY WELLS #10 - PRIOR MIT 11/5/03; NEXT MIT - 5/27/10. THEREFORE, RESPONDENT VIOLATED 40 CFR 144.51(a), IT PERMIT, AND THE SDWA BY FAILING TO TIMELY DEMONSTRATE THE MECHANICAL INTEGRITY OF THE INACTIVE WELL OR PLUG AND ABANDON THE WELL.
Defendants (1)
- MARVIN YOUNG ENTERPRISES, INC. (SB)Named in complaintNamed in settlement
Facilities (6)
PETE MORGAN #9 UIC WELL
LAT/LONG: 37.11643 / -87.32245, HOPKINSVILLE, KY, 42240
Registry ID: 110043253635
LEE ROY WELLS #1 UIC WELL
LAT/LONG: 37.10048 / -87.35913, HOPKINSVILLE, KY, 42240
Registry ID: 110043253626
LITTLE PAGE #9 UIC WELL
LAT/LONG: 37.08390 / -87.35649, HOPKINSVILLE, KY, 42240
Registry ID: 110043253662
PETE MORGAN #6 UIC WELL
LAT/LONG: 37.11600 / -87.32508, HOPKINSVILLE, KY, 42240
Registry ID: 110043253653
LEE ROY WELLS #10 UIC WELL
LAT/LONG: 37.09633 / -87.36048, HOPKINSVILLE, KY, 42240
Registry ID: 110043253671
PETE MORGAN #4 UIC WELL
LAT/LONG: 37.118040 / -87.32534, HOPKINSVILLE, KY, 42240
Registry ID: 110043253644
Statutes cited
- SDWA 1422/1423 — UIC Regulations Classes I - V
Enforcement conclusions (1)
MARVIN YOUNG ENTERPRISES, INC.entered 2010-10-14
Primary law: SDWA
Federal penalty: $1,185
Timeline (4 milestones)
- 2010-10-14Complaint Filed/Proposed Order
- 2010-10-14Final Order Issued
- 2010-12-20Enforcement Action Data Entered
- 2011-08-23Enforcement Action Closed
Case metadata
- EPA activity ID
- 2200035321
- Case number
- 04-2011-1002
- Lead agency
- EPA
- EPA region
- 04
- Voluntary self-disclosure
- No
- Primary statute
- UIC Regulations Classes I - V
Sourced verbatim from EPA ECHO Enforcement Case Report for case 04-2011-1002 . Bulk data: ICIS-FEC download summary.
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