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06-2026-3548Administrative - FormalFinal Order IssuedFY 2026· Region 06

EPA v. Southwest Shipyard, L.P.-Houston, TX-RMP AOC-FY 2026

Case summary

EPA conducted an investigation of the Facility on April 30, 2026, to determine Respondent's compliance with Section 112(r) of the CAA, 42 U.S.С. ? 7412(г), and 40 C.F.R. Part 68. Respondent is required to submit an RMP at least once every five years from the date of its initial submission or most recent update pursuant to 40 C.F.R. ? 68.190(b)(1) and to comply with the Program 2 prevention requirements. Based upon the information gathered during the Investigation, EPA determined that the Respondent violated certain provisions of the CAA.

Defendants (1)

  • Southwest Shipyard, L.PNamed in complaintNamed in settlement

Facilities (2)

  • SOUTHWEST SHIPYARD

    18310 MARKET ST, CHANNELVIEW, TX, 77530

    Registry ID: 110000463533

  • SOUTHWEST SHIPYARD

    18310 MARKET ST, CHANNELVIEW, TX, 77530

    Registry ID: 110000463533

Statutes cited

  • CAA 112[R][7]Prevention of Accidental Release/Risk Management Plans (RMPs)

Enforcement conclusions (1)

  • Southwest Shipyard, L.P.-Houston, TX-RMP AOC-FY 2026entered 2026-06-29

    Primary law: CAA

Timeline (2 milestones)

  • 2026-06-29Final Order Issued
  • 2026-07-02Enforcement Action Data Entered

Case metadata

EPA activity ID
3605003559
Case number
06-2026-3548
Lead agency
EPA
Branch
ECDSC
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 06-2026-3548 . Bulk data: ICIS-FEC download summary.

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