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<br />, <br /> <br />-5- <br /> <br />V. <br />There are currently two open Administrative Orders out against the <br />Permittee (A.O. Docket Nos. VI-R3-097 and VI-R3-l9l). The requirements <br />of these Orders are essentially the same. In a letter dated December 9, <br />1983, the Permittee asked for a compliance date extension from the January I, <br />19R4, stipulated date in Administrative Order Docket No. VI-83-l9l. <br /> <br />VI. <br /> <br />Issuance of this ORDER does not preclude the pursuit of additional enforce- <br />ment action for the violations cited herein. <br /> <br />ORDER <br /> <br />Based on the foregoing FINDINGS OF VIOLATION and pursuant to the authority <br />vested in the Administrator under Section 309(a)(3) and (a)(4) of the Act <br />[33 USC 1319(a)(3)], and duly delegated to the Regional Administrator, <br />Region 6, and duly redelegated to the undersigned Director, Water Manage- <br />ment Division, Region 6, it is ORDERED: <br /> <br />A. That the Permittee submit to this Agency, no later than July I, <br /> <br /> <br />1984, a comprehensive correction plan for the expeditious elimination of <br /> <br /> <br />all noncomplying discharges from the subject facility, and the elimination <br /> <br /> <br />of the unauthorized bypass/overflow into Pine Creek. Such plan shall <br /> <br /> <br />include a critical path schedule for the achievement of compliance within <br /> <br /> <br />the shortest time possible. <br />