EPA v. Snead's, Inc.
Final Order With Penalty
Case summary
* No training on the operation and maintenance of equipment to prevent discharges. * No training on discharge proecedure protocols. * Spill prevention briefings are not scheduled and conducted periodically. * Adequate raecords (or NPDES permit records) of drainage from diked areas not maintained. *Drainage from undiked areas do not lfow into catchment basins ponds, or lagoons, or no diversion systems to retain or return a discharge to the facility. * Aboveground tanks are not subject to visual inspections. * Aboveground valves, piping and appurtenances are not inspected regularly.
Defendants (1)
- Snead's, Inc.Named in complaintNamed in settlement
Facilities (1)
SNEAD'S, INC.
700 HOLMES ROAD, HOUSTON, TX, 77045
Registry ID: 110022327258
Statutes cited
- CWA 311J — SPCC and/or Federal Response Plan Violations
Enforcement conclusions (1)
Snead's, Inc.entered 2005-03-25
Primary law: CWA
Federal penalty: $1,000
Timeline (4 milestones)
- 2004-03-31Enforcement Action Data Entered
- 2005-03-25Enforcement Action Closed
- 2005-03-25Complaint Filed/Proposed Order
- 2005-03-25Final Order Issued
Case metadata
- EPA activity ID
- 114836
- Case number
- 06-2004-4330
- Lead agency
- EPA
- Branch
- 6SF-R
- EPA region
- 06
- Voluntary self-disclosure
- No
- Primary statute
- SPCC and/or Federal Response Plan Violations
Sourced verbatim from EPA ECHO Enforcement Case Report for case 06-2004-4330 . 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.