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Environmental Compliance Assistance Workshop for Colleges and Universities September 13-14, 2005 Chapel Hill, NC.

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Presentation on theme: "Environmental Compliance Assistance Workshop for Colleges and Universities September 13-14, 2005 Chapel Hill, NC."— Presentation transcript:

1 Environmental Compliance Assistance Workshop for Colleges and Universities September 13-14, 2005 Chapel Hill, NC

2 What You Don’t Know Could Hurt You By David Abbott Multimedia Technical Authority U. S. Environmental Protection Agency, Region 4 abbott.david@epa.gov

3 Is your Facility ready for a Compliance Inspection?

4 History Colleges & Universities are subject to the same environmental laws and regulations, penalties and bad press if found in non-compliance High rate of non-compliance identified Significant releases identified Past low inspection priority

5 University Initiative Several EPA Regions have participated to one degree or another starting around 1999 Fines issued have ranged from $30K to over $1M Compliance assistance, incentives, audit policy, enforcement

6 Environmental Aspects/Impacts Hazardous Waste? Asbestos, lead paint? Wastewater treatment plant? Drinking water plant? Incinerators, boilers or power plants? Under or above-ground oil storage tanks? (Fleet & maintenance operations) Refrigerant issues?

7 Environmental Aspects/Impacts Pesticide use/storage in Ag programs? Toxic chemical storage – TRI? Wetlands on campus? Construction? Emergency Generators/transformers? Paint Booths? Universal wastes? Bulbs, CRT’s? Solid waste? Radioactive waste?

8 Where Do Compliance Problems Occur? Laboratories Art Departments Boiler Rooms & Power Plants Maintenance Facilities? Ag? New Construction – Wetlands? Universal Wastes? Bulbs, CRT’s Automotive Fleets

9 So …… Is your Facility ready for a Compliance Inspection?

10 EPA Audit Policy

11 Purpose To encourage regulated entities to voluntarily discover, disclose correct and prevent violations of federal environmental requirements.

12 General Information Incentives for Self Policing: Discovery, Disclosure, Correction and Prevention of Violations 65 FR 19,617 (April 11, 2000) – Promulgated Effective May 11, 2000 www.epa.gov/compliance/incentives/ auditing/auditpolicy.html

13 Incentives under Policy Penalty mitigation No recommendation for criminal prosecution No routine requests for audit reports

14 Conditions of the Audit Policy Entities that satisfy all the following conditions are eligible for 100% penalty mitigation. Entities that satisfy all but the first condition -- systematic discovery -- are eligible for 75% penalty mitigation

15 Conditions of Policy cont. 1. Systematic discovery of the violation through an environmental audit or a compliance management system 2. Voluntary discovery, that is, not through a legally required monitoring, sampling or auditing procedure.

16 Conditions of Policy cont. 3. Prompt disclosure in writing to EPA within 21 days of discovery or any shorter time required by law. Discovery occurs when any officer, director, employee or agent of the facility has an objectively reasonable basis for believing that a violation has or may have occurred.

17 Conditions of Policy cont. 4. Independent discovery and disclosure, before EPA likely would have identified the violation through its own investigation or based on information from a third party. 5. Correction and remediation within 60 days, in most cases, from date of discovery.

18 Conditions of Policy cont. 6. Prevent recurrence of violation. 7. Repeat violations are not eligible, that is violations that occurred within the past 3 years at the same facility or as part of a pattern of violations within the past 5 years at facilities owned or operated by the same company.

19 Conditions of Policy cont. 8. Certain violations are not eligible -- those that result in serious actual harm, that may have presented an imminent and substantial endangerment, or that violate specific terms of an administrative or judicial order or consent agreement. 9. Cooperation by the disclosing entity is required.

20 Corporate Audit Agreements Allows an entity such as a college or university to plan a facility-wide audit with advance understanding with EPA regarding schedules and disclosures Key benefit is extended schedule for disclosures beyond 21-day requirement for routine disclosures

21 Audit Protocols Developed by EPA to assist entities in developing compliance audits Provide detailed regulatory checklists in easy to understand question format Protocols cover: CERCLA, CWA, EPCRA, FIFRA, RCRA, TSCA, SDWA

22 To make a disclosure under Policy Contact EPA Region where entity or facility is located Where multiple Regions are involved, contact EPA HQ For criminal violations, contact Regional Criminal Investigation Division, EPA HQ, or US Department of Justice

23 For more information contact Becky Allenbach, Region 4 404.562.9687 Leslie Jones, EPA HQ 202.564.5123 James “J.T.” Morgan, EPA HQ, Criminal Investigations Division 202.564.7684

24 Region 4 Process for Audit Disclosures Letter acknowledging receipt of disclosure within 30 days of submitting disclosure. EPA review: Determine if disclosure meets nine criteria of Policy. Request additional information, if needed. Determine whether penalty mitigation is appropriate.

25 Region 4 Contact for Audit Policy Disclosures Becky B. Allenbach, Chief Enforcement & Compliance Planning & Analysis Branch Office of Environmental Accountability (404) 562-9687 (404) 562-9598 (fax) Allenbach.Becky@epa.gov US EPA Region 4 61 Forsyth Street Atlanta, Georgia 30303


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