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06-2002-1754Administrative - FormalClosedFY 2002· Region 06

EPA v. BLUEGREEN SOUTHWEST ONE, L.P., A TEXAS CORPORATION

Final Order With Penalty

Penalty assessed

$16,000

Case summary

1. SECTION 309(G) OF THE CLEAN WATER ACT ( CWA ), 33 U.S.C. SECTION 1319(G). 2. BLUEGREEN SOUTHWEST ONE, L.P., A TEXAS CORPORATION FACILITY: WATERSTONE ON THE GUADALUPE FM 3351 AT EDGEFALLS ROAD BOERNE, KENDALL COUNTY, TEXAS 78015 3. RESPONDENT WAS IN VIOLATION OF SECTION 301 OF THE CWA BY VIOLATING THE CONDITIONS AND REQUIREMENTS OF ITS PERMIT BY HAVING INADEQUATE SWPPP, NO STORM WATER EROSION CON- TROLS IN PLACE AND NO PERMIT DOCUMENTATION POSTED AT EN- TRANCE TO THE SUBDIVISION. 4. RELIEF SOUGHT PURSUANT TO SECTION 309(G) OF THE CWA, EPA PROPOSED A CIVIL PENALTY UP TO 427,500 FOR THE VIOLATIONS CITED.

Defendants (1)

  • BLUEGREEN SOUTHWEST ONE, L.P.Named in complaintNamed in settlement

Facilities (1)

  • WATERSTONE ON THE GUADALUPE SUBDIVISION

    FM 3351 AT EDGEFALLS RD, BOERNE, TX, 78006

    Registry ID: 110006796547

Statutes cited

  • CWA 301NPDES Discharge without a Permit

Enforcement conclusions (1)

  • BLUEGREEN SOUTHWEST ONE, L.P.entered 2002-04-19

    Primary law: CWA

    Federal penalty: $16,000

Timeline (4 milestones)

  • 2002-01-22Complaint Filed/Proposed Order
  • 2002-01-24Enforcement Action Data Entered
  • 2002-04-19Final Order Issued
  • 2002-06-25Enforcement Action Closed

Case metadata

EPA activity ID
41923
Case number
06-2002-1754
Lead agency
EPA
HQ division
WAT
Branch
6RC-E
EPA region
06
Multimedia
No
Voluntary self-disclosure
No
Primary statute
NPDES Discharge without a Permit

Sourced verbatim from EPA ECHO Enforcement Case Report for case 06-2002-1754 . 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.