FEBRUARY 2, 2022 - CONSENT AGREEMENT AND FINAL ORDER ISSUED: On April 8, 2021, EPA and FDEP conducted a RCRA compliance evaluation inspection (CEI). At the time of the inspection, the Facility appeared to have violated some requirements of RCRA. The inspectors observed six (6) 55-gallon containers, two (2) 10-gallon containers, and a 5-gallon container of Solvent Contaminated Wipes, and at least one aerosol can in the general trash. The inspectors determined that Respondent had not made an adequate hazardous waste determination for the Solvent contaminated wipes and aerosol can. The inspectors observed the Respondent managing an open 55-gallon container of paint-related hazardous waste, identified by facility personnel as EPA waste code D00I, in the SAA located in the Ink Dispensing Room. The inspectors observed the Respondent managing a 55-gallon SAA container of paint-related hazardous waste, identified as EPA waste code D001, located in the Ink Dispensing Room. The inspectors observed the Respondent storing paint-related hazardous waste, identified as EPA waste code D00l, in an open 55-gallon container in the CAA located in the Printing Department. The records did not include the Printing Department CAA as being an area where inspections occurred. In the Mounting Room and Film Production Area, on eight (8) different occasions, weekly inspections were not recorded with the longest gap occuring between November 12, 2019 through December 18, 2019. The inspectors did not obser