EPA v. Superior Pipeline-Hemphill Gas Plant-Canadian, TX-RMP AOC-FY2020
Final Order No Penalty
Case summary
On July 9, 2019, EPA Region 6 conducted an on-site CAA 112(r) and 40 CFR Part 68 inspection of the Facility. During EPA's inspection of the Facility, EPA determined that there were two areas of concern relating to Respondent's implementation of, and compliance with, the requirements of the CAA Section 112(r) and 40 CFR Part 68, including training issues pursuant to 68.71(b) and compliance audits pursuant to 68.79(a). Both areas of concern in the inspection report involved were addressed by the Facility, during or and immediately after the inspection.
Defendants (1)
- Superior Pipeline Company, LLCNamed in complaintNamed in settlement
Facilities (1)
HEMPHILL GAS PLANT
IN CANADIAN AT THE INTX OF E MAIN ST AND E CHEYENN, CANADIAN, TX, 79014
Registry ID: 110043811168
Statutes cited
- CAA 112[R][7] — Prevention of Accidental Release/Risk Management Plans (RMPs)
Enforcement conclusions (1)
Superior Pipeline-Hemphill Gas Plant-Canadian, TX-RMP AOC-FY2020entered 2020-02-13
Primary law: CAA
Timeline (6 milestones)
- 2020-02-11Complaint Filed/Proposed Order
- 2020-02-13Final Order Issued
- 2020-02-20Enforcement Action Data Entered
- 2020-02-21Compliance Achieved
- 2020-03-26Air Resolved
- 2020-03-26Enforcement Action Closed
Case metadata
- EPA activity ID
- 3602116238
- Case number
- 06-2020-3327
- Lead agency
- EPA
- Branch
- ECDAC
- EPA region
- 06
- Voluntary self-disclosure
- No
- Primary statute
- Prevention of Accidental Release/Risk Management Plans (RMPs)
Sourced verbatim from EPA ECHO Enforcement Case Report for case 06-2020-3327 . 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.