Violation 1: Maintenance records documenting the date and type of service for three refrigeration units owned and operated by Northampton Community College containing more than 50 pounds of refrigerant were not maintained, in violation of 40 C.F.R. �� 82.166(k).
Violation 2: Certification of refrigerant recovery and recycling equipment owned and operated by Northampton Community College was not submitted to EPA as required by 40 C.F.R. �� 82.162(a), in violation of 40 C.F.R. �� 82.162(a).
Violation 3: Northampton Community College used registered pesticides inconsistent with the labeling of said registered pesticides, in violation of Section 12(a)(1)(G) of FIFRA, 7 U.S.C. �� 136j(a)(1)(G).
Violation 4: Northampton Community College, an ���onshore facility��� within the meaning of Section 311(a)(10) of the Act, 33 U.S.C. �� 1321(a)(10), and 40 C.F.R. �� 112.2 and a ���non-transportation��� facility within the meaning of 40 C.F.R. �� 112.2, Appendix A thereto, and 36 Fed. Reg. 24,080 (1971), and engaged in storing or consuming oil or oil products, which, due to their location, could reasonably be expected to discharge oil in harmful quantities within the meaning of 40 C.F.R. Part 110 without a Spill Control and Countermeasure (SPCC) Plan in violation of the Section 311(j) of the CWA, 33 U.S.C. �� 321(j) and 40 C.F.R. �� 112.3(b).
Violation 5: Northampton Community College failed to make waste determ