EPA v. Rezolex LTD DMR AO
Case summary
This Order is being issued to the Respondent for violations of the Clean Water Act (CWA) 33 U.S.C. 1251-1387. EPA finds that the Respondent owns or operates an industrial facility and violated its National Pollutant Discharge Elimination System (NPDES) permit by failing to submit Discharge Monitoring Reports (DMRs) documenting monitoring results, and submission of Exceedance Reports when appropriate, from 03/31/2019 to 03/31/2022. If there is no data for a monitoring period, Respondent is required to report in its DMR that there is No Data in accordance with Part 7.4. of the Storm Water Multi-Sector General Permit (MSGP) for Industrial Activities that became effective June 4, 2015 (2015 MSGP). On 09/06/2022, EPA notified Rezolex of the violations specified in the Order via telephone call. The Order does not assess a monetary penalty; however, it does require compliance with applicable federal regulations. The first compliance deadline is within thirty (30) days of receipt of this Order
Defendants (1)
- RezolexNamed in complaintNamed in settlement
Facilities (1)
REZOLEX LTD. CO
03 FORT SELDEN ROAD, RADIUM SPRINGS, NM, 88054
Registry ID: 110022777011
Statutes cited
- CWA 301/402 — NPDES Permit Violations
Enforcement conclusions (1)
Rezolex LTD DMR AOentered 2022-09-16
Primary law: CWA
Timeline (3 milestones)
- 2022-09-16Final Order Issued
- 2022-09-16Complaint Filed/Proposed Order
- 2022-09-26Enforcement Action Data Entered
Case metadata
- EPA activity ID
- 3603363842
- Case number
- 06-2022-1829
- Lead agency
- EPA
- Branch
- ECDW
- EPA region
- 06
- Voluntary self-disclosure
- No
- Primary statute
- NPDES Permit Violations
Sourced verbatim from EPA ECHO Enforcement Case Report for case 06-2022-1829 . 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.