1. SECTION 113 OF THE CLEAN AIR ACT ( CAA ), 42 U.S.C. SEC- TION 7413. SECTION 309 OF THE CLEAN WATER ACT ( CWA ), 33 U.S.C. SECTION 1319. SECTION 3008(A) OF THE RESOURCE CONSERVATION AND RECOVERY ACT ( RCRA ), 42 U.S.C. SECTION 6928(A). SECTION 16 OF THE TOXIC SUBSTANCES CONTROL ACT ( TSCA ), 15 U.S.C. SECTION 2615. 2. MOTIVA ENTERPRISES LLC P.O. BOX 712 PORT ARTHUR, JEFFERSON COUNTY, TEXAS 77640 3. RESPONDENT WAS IN VIOLATION OF 111 AND 112 OF THE CAA BY: 1) FAILURE TO REPAIR LEAKS WITHIN 15 DAYS; 2) FAILURE TO COMPLY WITH THE RECORDKEEPING REQUIREMENTS ON 18 UNITS; 3) FAILURE TO INCLUDE EXEMPTED WASTE IN ITS ANNUAL RE- PORTS (TAB); 4) FAILURE TO EQUIP ITS ADSORPTION CONTROL DEVICE WITH THE REQUIRED DEVICE; 5) FAILURE TO MONITOR ITS CARBON ADSORPTION SYSTEM USING AN ESTABLISHED SCHED- ULE; 6) HAVING A VALVE ON THE PPU THAT WAS OPEN-ENDED; AND 7) HAVING THREE VALVES IN THE ALKYLATION UNIT THAT WERE OPEN-ENDED; VIOLATIONS OF SECTION 301 OF THE CWA: 1) IMPROPER SAMPLING; 2) UNPERMITTED OUTFALL; 3) INADEQUATE OPERATION AND MAINTENANCE; AND 4) INCOMPLETE STORM WATER POLLUTION PREVENTION PLAN; VIOLATIONS OF SECTION 3005 OF RCRA BY: 1) OPERATING A HAZARDOUS