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29. EPA therefore alleges that Respondent is in continuing violation of 40 C.F.R. <br /> §§ 144.84(b)(2) and 144.88(a)(1). <br /> 30. Pursuant to section 1423(c)(1)of the SDWA,42 U.S.C. § 300h-2(c)(1), EPA may <br /> issue an order requiring compliance against any person who violates the SDWA or any <br /> requirement of an applicable UIC program. <br /> V. COMPLIANCE PROVISIONS <br /> 31. Based on the foregoing findings and pursuant to EPA's authority under section <br /> 1423(c)(1) of the SDWA, 42 U.S.C. §300h-2(c)(1), in order to come into compliance with the LCC <br /> closure requirements of the UIC program, Respondent agrees and is hereby ORDERED to <br /> complete the following work: <br /> A. Planning <br /> 32. Respondent shall conduct a review of potential projects that meet the <br /> requirements listed in Sections V.B and V.C. Respondent shall complete the following <br /> milestones as part of the review and planning process: <br /> a. Feasibility Evaluation Report.Within 60 days of execution of this Consent <br /> Order, Respondent shall evaluate the feasibility of potential projects that would meet the <br /> requirements of Sections V.B and V.0 and submit for EPA's approval a Feasibility Report <br /> identifying the project options evaluated,the factors considered and the feasibility of each <br /> project option. A project shall be considered feasible if Respondent has the legal authority to <br /> implement the project and the project meets the requirements of Hawai'i Administrative Rules <br /> Title 11, Chapter 62. At a minimum Respondent shall evaluate the feasibility of the following <br /> four project options for the communities of Pahala and Na'alehu (i) package plants and new <br /> 6 <br />