ALLEGED VIOLATIONS. EPA alleges that between July 1, 2015 and September 26, 2016, Respondent violated CWA Section 301(a), 33 U.S.C. § 1311(a) on at least six (6) days by discharging pollutants from a point source into waters of the United States without NPDES permit authorization.
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Sources: Consent Agreement and Final Order, Consent Agreement and Final Order
ALLEGED VIOLATIONS. EPA alleges that between 23. Between July 125, 2015 2012 and September 26July 10, 20162017, Respondent violated CWA Section 301(a), 33 U.S.C. § 1311(a) ), on at least six seventy-seven (677) days by discharging pollutants from a point source into waters of the United States without NPDES permit authorization.
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Sources: Consent Agreement and Final Order
ALLEGED VIOLATIONS. EPA alleges that between Between July 1, 2015 and September 26December 13, 2016, 2017 Respondent violated CWA Section 301(a), 33 U.S.C. § 1311(a) ), on at least six (6) 37 days by discharging pollutants from a point source into waters of the United States without NPDES permit authorization.
Appears in 1 contract
Sources: Consent Agreement and Final Order
ALLEGED VIOLATIONS. EPA alleges that between July 1Between May 4, 2015 2017 and September 26May 11, 20162020, Respondent violated CWA Section section 301(a)) of the CWA, 33 U.S.C. § 1311(a) ), on at least six (6) 63 days by discharging pollutants from a point source sources into waters of the United States without NPDES permit authorization.
Appears in 1 contract