CAFO issued 9/22/2004, assessing a penalty of $4,466. Respondent did not provide the purchasers with an EPA-approved lead hazard information pamphlet before each such purchaser was obligated to purchase target housing. In violation of 40 C.F.R. Section 745.107(a)(a). Respondent did not include, as an attachment to the contracts to purchase target housing, the required Lead Warning Statement . In violation of 40 C.F.R. Section 745.113(a)(1). Respondent did not include, as an attachment to the contracts to purchase target housing, a statement disclosing the presence of known lead-based paint and/or lead-base paint hazards or a statement indicating no knowledge of the presence of lead-based paints and/or lead-based paint hazards. In violation of 40 C.F.R. 745.113(a)(2). Respondent did not include, as an attachment to, the contracts to purchase target housing, a list of any records or reports available to the Respondent pertaining to lead-based paint and/or lead base paint hazards in the housing, or an indication that no such records were available. In violation of 40 C.F.R. Section 745.113(a)(3). Respondent did not permit the purchasers a 10-day period to conduct a risk assessment or inspection for the presence of lead-based paint and/or lead base paint hazards. In violation of 40 C.F.R. Section 745.110(a). Respondent failed to include, as an attachment to the contracts, a statement by the purchasers of an opportunity to conduct a risk assessment or inspection pursua