Document 6BkjgnQ2q9XyOOVkZ4aJaMJLd
UNITED STATES ENVIRONMENTAL PROTECTION AGENCY REGION 6
1201 ELM STREET, SUITE 500 DALLAS, TEXAS 75270
February 16, 2023
CERTIFIED MAIL-RETURN RECEIPT REQUESTED:
Robert Parkman d/b/a United Water Association P.O. Box 746 Brinkley, AR 72021
Re: PWS ID Number: AR0000654 Administrative Order; Docket Number: SDWA-06-2023-1226
Dear Mr. Parkman:
Enclosed is an Administrative Order (Order) issued by the United States Environmental Protection Agency, Region 6 (EPA) concerning the United Water Association Public Water System (PWS). The Order requires Robert Parkman (Respondent) to comply with the provisions set forth in the attached Order. The EPA requests that you immediately confirm receipt of this Order by a response e-mail to doupnik.sami@epa.gov.
This Order is being issued to the Respondent for violation of the Safe Drinking Water Act (Act), 42 U.S.C. 300f, et seq., and its implementing regulations, 40 C.F.R. Part 141. The EPA finds that the Respondent owns or operates the public water system identified in the Order and is therefore subject to the Consumer Confidence Report (CCR) Rule and the Lead and Copper Rule (LCR).
Recently, EPA was informed by the Arkansas Department of Health (ADH) that the Respondent failed to do the following: 1) provide the Consumer Confidence Report (CCR) to customers for the calendar year 2020; 2) provide lead and copper sample results to customers at the locations from where the samples were collected during the monitoring period of June-September 2021; and 3) provide public education information and materials to customers on ways to reduce their exposure to lead following a lead action level exceedance in the month of February 2022. Therefore, EPA is now ordering the Respondent to provide the CCR, the lead and copper sample results, and the public education materials to customers, and to submit documentation to EPA and ADH through the issuance of this action.
This Order does not assess a monetary penalty; however, it does require compliance with the CCR rule as set forth in 40 C.F.R. 141.151-141.155, and the LCR as set forth in 40 C.F.R. 141.80-141.93. Please be aware that failure to comply with this Order may subject the Respondent to additional enforcement action by EPA, including the initiation of legal proceedings to seek monetary penalties.
Re: Robert Parkman d/b/a United Water Association
2
Administrative Order
If you need assistance, or have questions regarding the Order, please contact Sarni Doupnik, of my staff, at (214) 665-7495. Pursuant to Section 1414(a)(2)(B) of the Safe Drinking Water Act, a copy of this letter is being provided as a notice to Mr. John W. Martin, Monroe County Judge, as the appropriate local official.
Sincerely,
Digitally signed by Seager, Cheryl Date: 2023.02.16 13:38:09 -06'00'
Cheryl T. Seager, Director Enforcement and
Compliance Assurance Division
Enclosure
ec: lance.jones@arkansas.gov robin.michaels@arkansas.gov mistry.jatin@epa.gov brown.jamesr@epa.gov monroecountyjudge@gmail.com
UNITED STATES ENVIRONMENTAL PROTECTION AGENCY
REGION6
In the Matter of
Robert Parkman d/b/a United Water Association
Respondent PWS ID #AR0000654
Docket No. SDWA-06-2023-1226
ADMINISTRATIVE ORDER
STATUTORY AUTHORITY
The following findings are made, and an Administrative Order issued, under the authority vested in the Administrator of the United States Environmental Protection Agency (EPA), by Section 1414(g) of the Safe Drinking Water Act (the Act), 42 U.S.C. 300g-3(g). The Administrator delegated the authority to issue this Order to the Regional Administrator of EPA Region 6, who delegated such authority to the Director of Enforcement and Compliance Assurance Division.
FINDINGS 1. Robert Parkman (Respondent) is a "person," as defined by Section 1401(12) of the Act, 42 U.S.C.
300f(12).
2. At all times relevant to the violations alleged herein (relevant time period), Respondent owned or operated a public water system (PWS), as defined by Section 1401(4) of the Act, 42 U.S.C. 300f(4), located in Hunter, Monroe County, Arkansas (facility), designated as PWS Identification Number AR0000654, and known as the United Water Association.
3. During the relevant time period, Respondent's PWS served as a "community water system", as defined by Section 1401(15) of the Act, 42 U.S.C. 300f(15) and is subject to the requirements of the Act, 42 U.S.C. 300g-1, and its implementing regulations, 40 C.F.R. Part 141.
In the Matter of" Robert Parkman d/b/a United Water Association Docket Number: SDWA-06-2023-1226
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4. During the relevant time period, Respondent's PWS was subject to the requirements of the National Primary Drinking Water Regulations (NPDWR) including the Consumer Confidence Report Rule as set forth in 40 C.F.R. 141.151-141.155, and the Lead and Copper Rule as set forth in 40 C.F.R. 141.80-141.93.
5. The Arkansas Department of Health (ADH) has primacy for the NPDWR. ADH referred this system to EPA for enforcement on August 30, 2022.
6. Pursuant to 40 C.F.R. 141.151-141.155, Respondent must provide annual Consumer Confidence Reports to its customers.
7. Respondent violated 40 C.F.R. 141.151-141.155 by failing to provide the Consumer Confidence Report to customers for the calendar year 2020.
8. Pursuant to 40 C.F.R. 141.85, Respondent must provide lead and copper sample results to customers from where the samples were collected following each six (6) month monitoring period.
9. Respondent violated 40 C.F.R. 141.85 by failing to provide lead and copper sample results to customers at the locations from where the samples were collected during the months of June through September 2021.
10. Pursuant to 40 C.F.R. 141.85, Respondent must provide public education information and materials to customers on ways to reduce their exposure to lead following a lead action level exceedance.
11. Respondent violated 40 C.F.R. 141.85 by failing to provide public education information and materials to customers following a lead action level exceedance in the month of February 2022.
SECTION 1414(g) COMPLIANCE ORDER Based on the foregoing findings and pursuant to the authority of Section 1414(g) of the Act, 42 U.S.C. 300g-3(g), EPA orders that Respondent immediately take the following actions:
A. Within thirty (30) days of receipt of this Order, Respondent shall provide the Consumer Confidence Report to its customers, EPA, and ADH in accordance with 40 C.F.R. 141.151-141.155.
In the Matter of" Robert Parkman d/b/a United Water Association Docket Number: SDWA-06-2023-1226
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B. Within thirty (30) days of receipt of this Order, Respondent shall provide lead and copper sample results to customers at the locations from where the samples were collected during the monitoring period of June-September 2021, in accordance with 40 C.F.R. 141 .85 . Respondent shall also provide documentation to EPA and ADH within forty (40) days of this Order.
C. Within thirty (30) days of receipt of this Order, Respondent shall provide public education information and materials to customers on ways to reduce their exposure to lead following a lead action level exceedance, in accordance with 40 C.F.R. 141.85. Respondent shall also provide documentation to EPA and ADH within forty (40) days of this Order.
D. The reporting required by this Order must be provided by Respondent to EPA and ADH at the following addresses:
Sarni Doupnik Water Resources Section Enforcement and Compliance Assurance Division U.S. EPA, Region 6 1201 Elm Street, Suite 500 Dallas, TX 75270 (214) 665-7495 doupnik.sami@epa.gov
Robin Michaels Arkansas Department of Health Compliance and Enforcement Engineering Section 4815 W Markham St. Little Rock, AR 72205 robin.michaels@arkansas.gov
GENERAL PROVISIONS
This Order is effective upon receipt by a representative of the PWS.
Respondent may seek federal judicial review of the Order pursuant to Chapter 7 of the Administrative
Procedure Act, 5 U.S.C. 701-706.
This Section 1414(g) Compliance Order does not constitute a waiver, suspension, or modification of the requirements of 40 C.F.R. Part 141 or other applicable federal and state requirements, which remain in full force and effect. Issuance of this Section 1414(g) Compliance Order is not an election by EPA to forego any civil or any criminal action otherwise authorized under the Act.
In the Matter of Robert Parkman d/b/a United Water Association Docket Number: SDWA-06-2023-1226
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Violation of any term of this Section 1414(g) Order or the Act may subject the Respondent to an administrative civil penalty ofup to $47,061 under Section 1414(g) of the Act, 42 U.S.C. 300g-(g), or a civil penalty of not more than $67,544 per day per violation, assessed by an appropriate United States District Court under Section 1414(g)(3)(A) of the Act, 42 U.S.C. 300g-3(g)(3)(A).
This Order shall be binding on the PWS cited herein and all its successors and assignees. No change in ownership of the PWS shall alter the responsibility of the PWS under this Order.
February 16, 2023 Date
Digitally signed by Seager, Cheryl Date: 2023.02.16 13:39:28 -06'00'
Cheryl T. Seager, Director Enforcement and Compliance Assurance Division
In the Matter of Robert Parkman d/b/a United Water Association Docket Number: SDWA-06-2023-1226
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