1. SECTIONS 308(A) AND 309(A) OF THE CLEAN WATER ACT ( CWA ) 33 U.S.C. SECTIONS 1318(A) AND 1319(A). 2. BALSER HOMES, INC., A TEXAS CORPORATION COLLEY CONSTRUCTION, A TEXAS CORPORATION DAVID K. MOORE CONSTRUCTION CO., INC., A TEXAS CORP. GARY ROOTS CONSTRUCTION, INC., A TEXAS CORPORATION T. A. FAIRHURST & ASSOCIATES, A TEXAS CORPORATION SOUTHERN GABLE HOMES, LLC, A TEXAS CORPORATION FACILITY: THE WOODS 3311 WOODS BOULEVARD TYLER, SMITH COUNTY, TEXAS 75707 3. RESPONDENT BALSER HOMES, INC. WAS IN VIOLATION OF SECTION 301 OF THE CWA BY FAILING TO APPLY FOR A NPDES STORM WATER PERMIT AND OPERATING WITH AN UNCOMPLETE SWPPP; RE- SPONDENT COLLEY CONSTRUCTION WAS IN VIOLATION OF SECTION 301 OF THE CWA BY VIOLATING THE TERMS AND CONDITIONS OF ITS PERMIT BY AN INADEQUATE OR INCOMPLETE SWPPP, AND NO CONTROL MEASURES; RESPONDENT DAVID K. MOORE CONSTRUCTION WAS IN VIOLATION OF SECTION 301 OF THE CWA BY FAILING TO APPLY FOR A NPDES STORM WATER PERMIT AND FAILING TO IM- PLEMENT A SWPPP; T. A. FAIRHURST & ASSOCIATES WAS IN VIO- LATION OF SECTION 301 OF THE CWA BY VIOLATING THE TERMS AND CONDITIONS OF THE PERMIT BY FAILING TO PREPARE AND IMPLEMENT A SWPPP; RESPONDENT GARY ROOT CONSTRUCTION COM- PANY WAS IN VIOLATION OF SECTION