Document Nko5Za3pnxgE2DEXDqgj9ZrR

Region 6 - Enforcement & Compliance Assurance Division INSPECTION REPORT Inspection Date(s): Media Program: Regulatory Program(s) Company Name: Facility Name: Facility Physical Location: (city, state, zip code) Mailing address: (city, state, zip code) County/Parish: Facility Phone Number Facility Contact: 3/04/2020 Water Brine - CWA Rebel Producing, LLC Shaw No. 2 32.063405, -94.962232 Kilgore, Texas 75652 110 FM 382 Ballinger, Texas 76821 Rusk County 903-983-0030 Main Office FRS Number: Identification/Permit Number: Media Identifier Number: NAICS: SIC: N/A TXU011257 N/A 21111 1311 Personnel participating in inspection: Kent W. Sanborn EPA 6 ECDWE Environmental Engineer EPA Lead Inspector Signature/Date Supervisor Signature/Date Kent W. Sanborn Digitally signed by Kent W. Sanborn DN: cn=Kent W. Sanborn, o, ou=6EN-WR, email=sanborn.kent@epa.gov, c=US Date: 2020.04.02 09:48:03 -05'00' Kent W. Sanborn GUY TIDMORE Digitally signed by GUY TIDMORE DN: c=US, o=U.S. Government, ou=Environmental Protection Agency, cn=GUY TIDMORE, 0.9.2342.19200300.100.1.1=68001003655426 Date: 2020.04.02 13:53:03 -05'00' Guy Tidmore Date 2 APR 2020 Date 6ENFORM-020-R8.2 (02/12/2020) 1 Section I - INTRODUCTION Rebel Producing, LLC / Shaw No. 2 Inspection Date: 03/04/2020 PURPOSE OF THE INSPECTION EPA Region 6 inspector K.W. Sanborn visited the Rebel Producing, LLC oil and gas facility located near Kilgore, Texas on 03/04/2020 for an unannounced inspection. There were no representatives of Rebel Producing, LLC present for the inspection. The inspection was conducted by authority of the Clean Water Act and the Safe Drinking Water Act to determine compliance with the Environmental Protection Agency (EPA) regulations. FACILITY DESCRIPTION This facility is known as the Shaw No. 2. This facility has a state identified number; RRC No. 05473. Section II - OBSERVATIONS I observed that the containment area was half full of fluids during the inspection and the drainpipe had a plug in it. There was no vegetation damage outside the secondary containment. Section III - AREAS OF CONCERN There were fluids in the secondary containment area that needed to be removed. Section IV - FOLLOW UP EPA water enforcement will refer this to EPA Region 6 SPCC program. Section V - LIST OF APPENDICES N/A 2