Document jgg96XK9BRx6DvjBd8G0demQR

UNITED STATES ENVIRONMENTAL PROTECTION AGENCY REGION 6 1201 ELM STREET, SUITE 500 DALLAS, TX 75270 January 12, 2022 Gordon Ganaway Director of EH&S Coterra Energy Inc 840 Gessner Road, Ste 1400 Houston, TX 77024 Sent via email: Gordon.ganaway@coterra.com RE: Resolute Natural Resources Co., LLC Permian Basin Facilities in Texas Consent Agreement and Final Order, Docket No.CAA-06-2021-3368 Dear Mr. Ganaway, On September 8, 2021, Resolute Natural Resources Co., LLC ("Resolute") entered into a Consent Agreement and Final Order ("CAFO"), Docket No. CAA-06-2021-3368, with the United States Environmental Protection Agency ("EPA") to resolve certain alleged violations of the Texas Administrative Code, which had been adopted into the Texas State Implementation Plan. Pursuant to the CAFO, Resolute agreed to specific requirements as outlined in paragraphs 33 and 37 - 39, to be completed as specified within the CAFO. 1. The deadline for paying penalty was October 8, 2021 (30 days from the CAFO date). Resolute paid penalty October 5, 2021. 2. The deadline for selecting an independent third-party auditor (the "Auditor") was October 8, 2021 (30 days from the CAFO date). Resolute selected the Auditor October 6, 2021. 3. The deadline for the Auditor to submit an audit report to EPA and Resolute was April 6, 2022 (210 days from the CAFO date). The auditor submitted the report April 6, 2022. 4. The deadline for sending a letter report to EPA ("Letter Report") was July 5, 2022 (300 days from the CAFO date). Resolute submitted the Letter Report July 1, 2022. EPA has received and reviewed your letter dated September 15, 2022, regarding Audit Response and Corrective Actions. EPA hereby confirms that you have completed all requirements under the CAFO satisfactorily. Should you have any questions regarding close-out of this CAFO, please contact Prince Nfodzo at nfodzo.prince@epa.gov or (214) 665-7491. Sincerely, DARRIN Digitally signed by DARRIN LARSON LARSON Date: 2023.01.12 11:30:17 -06'00' Darrin Larson Chief Air Enforcement Permitting Section Ec: Michel Miller, michael.miller@tceq.texas.gov 2