Laws & Regulations
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Instructions and Form for Hazardous Waste Generators, Transporters and Treatment, Storage and Disposal Facilities to Obtain an EPA Identification Number (EPA Form 8700-12/Site Identification Form)
This booklet is designed to help you determine if you are subject to requirements under the Resource Conservation and Recovery Act (RCRA) for notifying the U.S. Environmental Protection Agency (EPA) of your regulated waste activities.
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Biennial Hazardous Waste Report
Federal regulations require large quantity generators to submit a report (EPA form 8700-13A/B) every two years regarding the nature, quantities and disposition of hazardous waste generated at their facility.
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How Do I Find Hazardous Waste Management Facilities in My Area?
Hazardous waste information is maintained in the Resource Conservation and Recovery Act Information (RCRAInfo), a national program management and inventory system of hazardous waste handlers.
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Environmental Justice Grants FOIA Records Repository and External Civil Rights Docket
Environmental Justice Grants FOIA Records Repository
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Mirant Canal Station Final NPDES Permit
Information and documents on the Mirant Canal Station Final NPDES Permit
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Memorandum Of Understanding Between The U.S. Environmental Protection Agency and Grambling State University
This Memorandum of Understanding (MOU) is made and entered into by Grambling State University (GSU) and the U.S. Environmental Protection Agency (EPA) Region 6 and the Office of Enforcement and Compliance Assurance (OECA).
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Bangor, Maine Clean Water Act (CWA) Settlement
Clean Air Act (CAA) settlement for J. R. Simplot Company with plants in California, Idaho and Wyoming.
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Lead-Based Paint Graduated Penalty Approach Policy
This is the Lead-Based Paint Graduated Penalty Approach Policy.
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Options for Limiting the Potential to Emit (PTE) of a Stationary Source Under Section 112 and Title V of the Clean Air Act (CAA)
Outlines available approaches to establishing potential to emit limitations and implements a transition policy
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2018 Clean Air Act Vehicle and Engine Enforcement Case Resolutions
2018 Enforcement case resolutions such as expedited settlement agreements, administrative settlement agreements, administrative penalty orders, consent agreements and final orders, and consent decrees are listed by respondent name below.
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Green Diesel Administrative Settlement Agreements
In response to the NOVs, the EPA has entered the following administrative settlement agreements to resolve alleged civil violations arising from the use of invalid biomass-based diesel RINs.
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Absolute Fuels Administrative Settlement Agreements
In response to the NOVs, the EPA has entered the following administrative settlement agreements to resolve alleged civil violations arising from the use of invalid biomass-based diesel RINs.
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Consent Decree: Minnesota Power
This is the consent decree for Minnesota Power
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Consent Decree: Dow Chemical Company Settlement
This is the consent decree for Dow Chemical.
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Memorandum: EPA Enforcement of RCRA-Authorized State Hazardous Waste Laws and Regulations
A state with an Authorized Resource Conservation and Recovery Act program may be unable or unwilling to take enforcement action deemed critical by the Environmental Protection Agency.
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The Enforcement Response Policy for Reporting and Recordkeeping Rules and Requirements for TSCA Sections 8, 12, and 13
Provides information about reporting and recordkeeping requirements for Sections 8
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Clean Water Act Section 505, Effect of Prior Citizen Suit Adjudications or Settlement on the United States Ability to Sue for Same Violations
This memo clarifies that the United States is not stopped from suing a violator on the same violations for separate or additional relief after a citizen suit has been initiated or concluded.
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Interim Status Groundwater Monitoring Requirements
Provides information about interim status groundwater monitoring requirements.
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Enforcement Response Policy for Section 313 of the Emergency Planning Community Right-To-Know Act (1986) and Section 6607 of the Pollution Prevention Act (1990), February 24, 2017 (Amended)
The purpose of this policy is to ensure that enforcement actions for violations of Section 313 of EPCRA and the PPA are arrived at in a fair, uniform, and consistent manner.
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Supplemental Guidance to the Interim Clean Water Act Settlement Penalty Policy (March 1, 1995) for Violations of the Construction Storm Water Requirements
This is the penalty policy for violations of the construction storm water requirements.