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Cases — 4355466

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Cases — 4355466

Cases · As of Oct 2, 2026

Cases — 4355466: 1 outgoing connections shown. Point at anyone to see how they are linked.Showing bounded source connections. Dates come from the held records; missing relationships remain unknown.

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As of Oct 2, 2026.

Activity name
LKQ CORPORATION, AND LKQ SOUTHEAST, INC.,
Case number
04-2022-0307
Case name
LKQ CORPORATION, AND LKQ SOUTHEAST, INC.,
Region code
04
Fiscal year
2022
Activity type code
AFR
Activity type desc
Administrative - Formal
Activity status code
CLS
Activity status desc
Closed
Activity status date
2023-03-02
Lead agency
EPA
Case status date
2023-03-02
Enforcement outcome code
ECP
Enforcement outcome desc
Final Order With Penalty
Voluntary self disclosure
false
Multimedia flag
false
Summary text
FEBRUARY 6, 2023 - CONSENT AGREEMENT On April 28, 2021, the EPA and EPD performed a Compliance Stormwater Evaluation Inspection (CSWEI) to evaluate Respondents' management of stormwater at the Facility to assess compliance with the CWA, the regulations promulgated thereunder at 40 C.F.R. ? 122.26, and the Permit. At the conclusion of the April 28, 2021, CSWEI, the EPA submitted an Information Request Letter ( Information Request ), pursuant to Section 308 of the CWA, 33 U.S.C. ? 1318, to the Respondents' Facility to assess compliance with the CWA, the regulations promulgated thereunder at 40 C.F.R. ? 122.26, and the Permit. On May 12, 2021, the Respondents sent a letter in response to the EPA's Information Request. On July 9, 2021, the EPA issued the Notice of Violation and Opportunity to Show Cause (to the Respondents) pursuant to section 309(a) of the CWA, 33 U.S.C ? 1319. On August 17, 2021, the EPA held, and Respondents participated in, a show cause meeting. Based on the CSWEI of the Facility and review of the information provided in response to the Information Request and Show Cause meeting, EPA's inspectors observed the following: (a) After the facility's expansion in 2019, an updated NOI was not submitted by the Respondents until April 2021. This was well after the Permit's requirement of updating the NOI prior to commencing of discharges from modifications. (b) The Respondents' Stormwater Pollution Prevention Plan (SWPPP) failed to provide a schedule for housekeeping measures and inappropriately established outfalls and treatment ponds in jurisdictional waters. (c) pH monitoring at the site was not performed within the timetable established by the regulations. (d) The Respondents failed to meet the inspection and maintenance requirements of the Permit. Specifically, inspections did not include evaluations of all pollution sources and pollution control measures and failed to document the times of inspections and whether corrective measues were taken in response to findings. Based on the CSWEI, the information obtained from the Jntormatlon Request, and mtormatlon received at the show cause meeting, the Respondents have violated Section 301 of the CWA, 33 U.S.C. ? 1311, due to Respondents' failure to comply with the Permit and the CWA implementing regulations.
Created at
2026-10-02T02:02:59.061315+00:00
Updated at
2026-10-02T02:02:59.061315+00:00