8/10/20 - CONSENT AGMT ISSUED.
ALLEGATIONS:
ON FEB 12, 2009, EPA AND SCDHEC CONDUCTED A RCRA COMPLIANCE EVALUATION INSPECTION (CEI).
AT THE TIME OF THE CEI:
RESPONDENT WAS STORING HAZ WASTE IN CONTAINERS THAT WERE NOT LABELED WITH THE WORDS HAZARDOUS WASTE-FEDERAL LAW PROHIBITS IMPROPER DISPOSAL OR W/THE EPA HAZ WASTE NUMBER. EPA ALLEGES RESPONDENT VIOLATED RCRA SEC 3005 AND S.C. CODE ANN. 44-56-30, FOR STORING HAZ WASTE W/OUT A PERMIT OR INTERIM STATUS, BECAUSE RESPONDENT FAILED TO MEET THE 40 CFR 262.34(a)(3) AND S.C. CODE ANN. REGS 61.79.265.173(c) CONDITIONS OF THE 40 CFR 262.34(d) PERMIT EXEMPTION.
RESPONDENT WAS STORING HAZ WASTE IN 6 CONTAINERS NOT LABELED W/THE BEGINNING DATE OF ACCUMULATION. EPA ALLEGES THAT RESPONDENT VIOLATED RCRA SEC 3005 AND S.C. CODE ANN. 44-56-30, FOR STORING HAZ WASTE W/OUT A PERMIT OR INTERIM STATUS, BECAUSE RESPONDENT FAILED TO MEET THE 40 CFR 262.34(a)(2) AND S.C. CODE ANN. REGS. 61.79.262.34(a)(2) CONDITION OF THE 40 CFR 262.34(d) PERMIT EXEMPTION.
RESPONDENT WAS STORING ONE CONTAINER OF HAZ WASTE IN A SATELLITE ACCUMULATION AREA THAT WAS NOT LABELED WITH THE WORDS HAZ WASTE OR OTHER WORDS THAT IDENTIFIED THE CONTENTS OF THE CONTAINERS. EPA ALLEGES THAT RESPONDENT HAS VIOLATED RCRA SEC 3005 AND S.C. CODE ANN. 44-56-30 FOR STORING HAZ WASTE W/OUT A PERMIT OR INTERIM STATUS, BECAUSE RESPONDENT FAILED TO MEET THE 40 CFR 262.34(c)(1)(ii) AND S.C. CODE ANN. REGS 61-79.262.34(c)(1)(ii) CONDITION OF THE 40 CFR 262.34(d) PERMIT