Laws & Regulations
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Guidance on Notice to Public and Commenters in Clean Water Act Class II Administrative Penalty Proceedings
The Clean Water Act requires that the Administrator provide public notice of the proposed issuance of an order assessing a Class I or II penalty.
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Interim Significant Noncompliance Policy for Clean Water Act Violations Associated with CSOs, SSOs, CAFOs, and Storm Water Point Sources
This policy addresses significant noncompliance violations associated with CSOs, SSOs, CAFOs, and storm water point source discharges.
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Consent Decree: Exxon Mobil Corporation and Exxonmobil Oil Corporation
This is the consent decree for ExxonMobil Corporation
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Letter to Speaker of the House for Arizona, Extending Option Three of the Addendum to Mobile Source Enforcement Memorandum 1A
EPA is granting a two model year extension of option three, contingent on the alternative fuel vehicle converter taking steps to certify under option one by model year 2002.
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Consent Decree Under Hyundai Construction Equipment Americas, Inc. And Hyundai Heavy Industries Co., Ltd.
This is the consent decree for Hyundai Construction Equipment Americas, Inc. And Hyundai Heavy Industries Co., Ltd.
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Consent Decree for The City Of Meridian, Mississippi
This is the consent decree for The City Of Meridian, Mississippi
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Indianapolis Power & Light Company Consent Decree
This is the consent decree for Indianapolis Power & Light Settlement
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TRW Vehicle Safety Systems, Inc. Hazardous Waste Settlement
TRW's Vehicle Safety Systems resolved charges that it violated hazardous waste laws at its airbag manufacturing plant in Queen Creek, AZ.
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Memorandum: Individual Liability of Corporate Officers as Operators Under RCRA
Provides information about individual liability of corporate officers as operators under the Resource Conservation and Recovery Act.
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Memorandum re: Enforcement Response Policy for Asbestos abatement Projects - Worker Protection Rule, November 14, 1989
Establishes enforcement procedures and civil penalty schedules that the Environmental Protection Agency will use in response to violation of the rule by public employers subject to it.
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Implementation Guidance for Off-Site Waste and Recovery Operations (OSWRO) NESHAP: Interrelationships With Other Related EPA Air Rules
The OSWRO NESHAP is a set NESHAP applicable to certain facilities that operate waste management and recovery processes for materials received from off-site.
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Fuel Waiver for Gasoline Sulfur Cap for Texas, September 30, 2005
This is a fuel waiver for the 300 parts per million per gallon cap on sulfur in gasoline for ExxonMobil Corporation's Baytown refinery located in Houston
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Memorandum: RCRA Regulatory Status of Contaminated Ground Water
This is a response to a September 19, 1986 memorandum regarding the regulatory status of ground water contaminated with hazardous waste leachate.
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Policy: Issuance of Final Supplemental Environmental Projects
This memorandum issues the Final Supplemental Environmental Projects Policy.
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Supplemental Environmental Projects (SEP) Policy
Reiteration about EPA's Supplemental Environmental Projects (SEPs) Policy
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Guidance for Determining Whether a Project is Profitable, When to Accept Profitable Projects as Supplemental Environmental Projects, and How to Value Such Projects
This memorandum advises enforcement personnel of a change in the Supplemental Environmental Projects (SEP) Policy.
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Fourth Amendment to Consent Decree: BP Exploration & Oil Co., et al: Civil No. 2:96 CV 095 RL
This is the fourth amendment to the BP Exploration & Oil Co.
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Consent Decree: United States of America, et al. v. PSEG Fossil, LLC
This is a PSEG Fossil LLC Clean Air Act Coal Fired Power Plant settlement resolving Clean Air Act violations.
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Consent Decree: United States of America, et al. v. South Carolina Public Service Authority (Santee Cooper)
Consent Decree with South Carolina Public Service Authority for violations of Clean Air Act.
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Consent Decree: United States of America v. Tampa Electric Company (TECO): Civil Action No. 99-2524-CIV-T-23F
Consent Decree with Tampa Electric Company for violations of Clean Air Act New Source Review requirements