pg 4 Paragraph III.B
According to a letter dated April 7, 2008, the Respondent failed to include H2S emission from the North and South Flare (3-77) in the permit application. The failure to include the H2S emissions from the North and South Flares in the permit application is a violation of LAC, 33:III.517.D.3.d, and La. R.S. 30:2057(A)(2).
pg 4 Paragraph III.B
According to a letter dated April 7, 2008, the Respondent failed to include H2S emission from the North and South Flare (3-77) in the permit application. The failure to include the H2S emissions from the North and South Flares in the permit application is a violation of LAC, 33:III.517.D.3.d, and La. R.S. 30:2057(A)(2).
pg 4 Paragraph III.B
According to a letter dated April 7, 2008, the Respondent failed to include H2S emission from the North and South Flare (3-77) in the permit application. The failure to include the H2S emissions from the North and South Flares in the permit application is a violation of LAC, 33:III.517.D.3.d, and La. R.S. 30:2057(A)(2).
Haron Leacetr, Px.D.
SECRETARY
Bossy JinpaL
GuvERNOR
State of Louisiana
DEPARTMENT OF ENVIRONMENTAL QUALITY
OFFICE OF ENVIRONMENTAL COMPLIANCE
August 29, 2008
CERTIFIED MAIL (7004 2510 0005 5767 5622)
RETURN RECEIPT REQUESTED
MURPHY OIL USA, INC.
c/o CT Corporation System
Agent of Service
5615 Corporate Boulevard, Suite 400B
Baton Rouge, Louisiana 70808
RE: CONSOLIDATED COMPLIANCE ORDER
& NOTICE OF POTENTIAL PENALTY
ENFORCEMENT TRACKING NO. AE-CN-08-0122
AGENCY INTEREST NO. 1238
Dear Sir:
Pursuant to the Lovisiana Environmental Quality Act (La. R.S. 30:2001, et_seq.), the
attached CONSOLIDATED COMPLIANCE ORDER & NOTICE OF POTENTIAL
PENALTY jis hereby served on MURPHY OIL USA, INC. (RESPONDENT) for the
violations described therein.
Compliance is expected within the maximum time period established by each part of the
COMPLIANCE ORDER. The violations cited in the CONSOLIDATED COMPLIANCE
ORDER & NOTICE OF POTENTIAL PENALTY could result in the issuance of a civil
penalty or other appropriate legal actions.
Any questions conceming this action should be directed to Stan Carpenter at
(225) 219-3760.
Sincerfly,
Dourdes Iturral
Administrator
Enforcement Division
LUSBC/sbe
AID No. 2500-00001
Attachment
Post Office Box 4312 * Baton Rouge, Louisiana 70821-4312 + Phone 225-219-3700 + Fax 225-219-4083,
wwrsdeqlovisinns gove: Murphy Oil USA, INC.
Lynn Bourgeois, Refinery Manager
P.O. Box 100
Meraux, Louisiana 70075STATE OF LOUISIANA
DEPARTMENT OF ENVIRONMENTAL QUALITY
OFFICE OF ENVIRONMENTAL COMPLIANCE
IN THE MATTER OF *
MURPHY OIL USA, INC. * ENFORCEMENT TRACKING NO.
ST. BERNARD PARISH :
ALT ID NO. 2500-00001 | AE-CN-08-0122
* AGENCY INTEREST NO.
PROCEEDINGS UNDER THE LOUISIANA * 1238
ENVIRONMENTAL QUALITY ACT, :
La. RS. 30:2001, ET SEQ. |
CONSOLIDATED
COMPLIANCE ORDER & NOTICE OF POTENTIAL PENALTY
‘The following CONSOLIDATED COMPLIANCE ORDER & NOTICE OF
POTENTIAL PENALTY is issued to MURPHY OIL USA, INC. (RESPONDENT) by the
Louisiana Department of Environmental Quality (the Department), under the authority granted
by the Louisiana Environmental Quality Act (the Act), La. R.S. 30:2001, et seq., and particularly
by La. RS. 30:2025(C), 30:2050.2 and 30:2050.3(B).
FINDINGS OF FACT
1
‘The Respondent owns and/or operates the Meraux Refinery, a petroleum production
facility, located at 2500 East St. Bemard Highway in Meranx, St. Bemard Parish, Louisiana. The
facility operates under Title V Permit No. 2500-00001-V3 issued on May 8, 2008. The facility
‘operated under Title V Permit No. 2500-00001-V2 issued on November 20, 2007, prior to the
issuance of its current Title V permit.