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04-2012-4750Administrative - FormalClosed SupersededFY 2012· Region 04

EPA v. MURRAY, KY, CITY OF, PUBLIC WORKS DEPARTMENT (BEE CREEK WWTP)

Superseded by Another Enforcement Action

Case summary

11/8/11 - ADMINISTRATIVE ORDER ISSUED. DMRs SUBMITTED TO KDEP BY MURRAY INDICATE THAT MURRAY HAS DISCHARGED POLLUTANTS IN VIOLATION OF THE EFFLUENT LIMITATIONS ESTABLISHED IN ITS PERMIT IN 164 INSTANCES DURING THE PERIOD FROM DEC 31, 2006 THRU JUNE 31, 2011. EFFLUENT PARAMETERS VIOLATED INCLUDE CARBONACEOUS BIOCHEMICAL OXYGEN DEMAND (CBOD), TOTAL SUSPENDED SOLIDS (TSS), TOTAL PHOSPHOROUS, TOTAL RESIDUAL CHLORINE (TRC), FECAL COLIFORM, TSS % REMOVAL, E.COLI, AMMONIA-NITROGEN, AND TOXICITY. ON DEC 24, 2008, KY ENERGY AND ENVIRONMENT CABINET ISSUED AN AGREED ORDER THAT COVERED THE VIOLATIONS THAT OCCURRED DURING THE TIMEFRAME FROM DEC 31, 2006 THRU DEC 22, 2007. ON APR 26, 2011, THE CABINET SENT A CLOSURE LETTER TO MURRAY TERMINATING THE AGREED ORDER. ON APR 14, 2011, EPA SENT A NOTICE OF VIOLATION LETTER TO MURRAY REGARDING THE EFLUENT VIOLATIONS DESCRIBED ABOVE. AS A RESULT, EPA AND MURRAY HELD A SHOW CAUSE MEETING ON JULY 14, 2011. THIS ORDER ADDRESSES THE VIOLATIONS NOT COVERED IN THE CABINET'S AGREED ORDER, FOCUSING INSTEAD ON THE TIMEFRAME FROM FEB 29, 2008 THRU JUNE 3, 2011. DURING THIS TIME, MURRAY VIOLATION CWA 301(a) IN THAT MURRAY DISCHARGED WASTEWATER CONTAINING POLLUTANTS TO THE NAVIGABLE WATERS NOT IN COMPLIANCE WITH ITS NPDES PERMIT. MURRAY FAILED TO COMPLY WITH THE EFFLUENT LIMITATIONS AND REQUIREMENTS OF ITS PERMIT FOR CBOD, TSS, TOTAL PHOSPHOROUS, TRC, FECAL COLIFORM, TSS % REMOVAL, E.COLI, AND AMMONIA-NITROGEN. ORDER REQUIRES: A. WITHIN 3 MONTHS, SUBMIT TO EPA FOR REVIEW AND APPROVAL A CORRECTIVE ACTION PLAN (CAP) TO ADDRESS AND ELIMINATE EFFLUENT VIOLATIONS AT THE WWTP, AND RETURN TO COMPLIANCE. THE CAP SHALL INCLUDE AN EXPEDITIOUS TIMELINE OF IMPLEMENTATION NOT TO EXCEED 3 YEARS. UPON APPROVAL OF THE CAP, THE ACTIONS AND TIMEFRAMES SET FORTH IN THE CAP SHALL BE ENFORCEABLE UNDER THIS ORDER. B. FOR THE DURATION OF THIS ORDER, SUBMIT QUARTERLY PROGRESS REPORTS: i. CONTAINING A LIST OF PERMIT EFFLUENT LIMIT EXCEEDANCES THAT OCCURRED DURING THE QUARTER, AND ii. SUMMARIZING ALL ACTIONS TAKEN AND PROGRESS MADE IN ACHIEVING THE GOALS OF THE CAP, ONCE EPA HAS APPROVED THE CAP. THE FIRST QTRLY REPORT SHALL BE DUE 15 DAYS AFTER THE END OF THE THIRD FULL MONTH AFTER THE EFFECTIVE DATE OF THE ORDER. SUBSEQUENT QTRLY REPORTS ARE DUE WITHIN 15 DAYS OF THE END OF EACH THREE MONTH PERIOD.

Defendants (1)

  • MURRAY, NC, CITY OF, PUBLIC WORKS DEPARTMENTNamed in settlement

Facilities (4)

  • BEE CREEK WWTP

    90 CC LOWRY DR, MURRAY, KY, 42071

    Registry ID: 110000759732

  • BEE CREEK WWTP

    90 CC LOWRY DR, MURRAY, KY, 42071

    Registry ID: 110000759732

  • BEE CREEK WWTP

    90 CC LOWRY DR, MURRAY, KY, 42071

    Registry ID: 110000759732

  • BEE CREEK WWTP

    90 CC LOWRY DR, MURRAY, KY, 42071

    Registry ID: 110000759732

Statutes cited

  • CWA 301/402NPDES Permit Violations

Enforcement conclusions (1)

  • MURRAY, KY, CITY OF, PUBLIC WORKS DEPARTMENT (BEE CREEK WWTP)entered 2011-11-08

    Primary law: CWA

Timeline (4 milestones)

  • 2011-11-08Final Order Issued
  • 2011-11-22Enforcement Action Data Entered
  • 2012-07-18NPDES Closed
  • 2012-07-18Enforcement Action Closed

Case metadata

EPA activity ID
2600076023
Case number
04-2012-4750
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 04-2012-4750 . 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.