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05-2022-5008Administrative - FormalFinal Order IssuedFY 2022· Region 05

EPA v. GREEN BAY METRO SEWERAGE DIST - ACO

Case summary

GBMSD exceeded the 40 CFR Part 60 Subpart LLLL mercury emissions limit at its fluidized bed sewage sludge incinerator (SSI). The limit exceedance was the result of GBMSD?s inability to operate its SSI mercury control device, a granulated activated carbon system (GAC), as it was significantly damaged by a fire during the startup of the unit. Once the GAC system was repaired, GBMSD conducted a mercury emissions test at the SSI and demonstrated compliance with the Subpart LLLL limit. GBMSD will be signing an Administrative Consent Order requiring it to, among other things, ensure that GBMSD continues to have on-site a replacement supply of granulated activated carbon, which is an integral part of the system for controlling mercury.

Defendants (1)

  • GREEN BAY METRO SEWERAGE DISTNamed in settlement

Facilities (1)

  • GREEN BAY METRO SEWERAGE DIST

    2231 N QUINCY ST, GREEN BAY, WI, 543021248

    Registry ID: 110000850810

Statutes cited

  • CAA 111New Source Performance Standards

Enforcement conclusions (1)

  • GREEN BAY METRO SEWERAGE DIST - ACOentered 2022-02-16

    Primary law: CAA

Timeline (2 milestones)

  • 2022-02-16Final Order Issued
  • 2022-02-18Enforcement Action Data Entered

Case metadata

EPA activity ID
3602999764
Case number
05-2022-5008
Lead agency
EPA
EPA region
05
Voluntary self-disclosure
No
Primary statute
New Source Performance Standards

Sourced verbatim from EPA ECHO Enforcement Case Report for case 05-2022-5008 . 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.