Respondent owns and operates a cheese manufacturing facility. On March 22, 2022, EPA inspected the Facility to evaluate compliance with CERCLA Section 103, EPCRA Sections 304-312, and the GDC of CAA Section 112(r). Based upon the information gathered during the Inspection and subsequent investigation, EPA determined that Respondent violated certain provisions of CERCLA, EPCRA, and the CAA.
At all times relevant to this CA/FO, Respondent has and had 10,000 pounds or more of anhydrous ammonia in one or more processes at the Facility.
ALLEGED VIOLATIONS OF LAW