afrexai-epa-compliance
v1.0.0识别适用的EPA及州环境法规,跟踪许可证,评估合规风险,准备检查清单并生成报告
Installation
Environmental Compliance Manager
Assess, track, and maintain environmental regulatory compliance across EPA, state agencies, and industry-specific requirements. Built for manufacturing, construction, energy, logistics, and any business with environmental obligations.
What It Does
When given facility details, operations type, or specific environmental concerns, this skill:
- Regulatory Mapping — Identifies which EPA programs apply (Clean Air Act, Clean Water Act, RCRA, CERCLA, EPCRA, TSCA) plus state-level requirements
- Permit Tracking — Catalogs required permits (air emissions, stormwater NPDES, hazardous waste generator, SPCC plans) with renewal dates and compliance deadlines
- Inspection Readiness — Generates pre-inspection checklists based on facility type, common citation areas, and recent enforcement trends
- Reporting Calendar — Maps all mandatory reporting deadlines: TRI Form R, Tier II, DMRs, biennial hazardous waste reports, GHG reporting, air emissions inventories
- Violation Risk Assessment — Scores current compliance posture against common violation categories with estimated penalty exposure
- Corrective Action Plans — Generates remediation steps for identified gaps with priority ranking by penalty risk
Regulatory Coverage
Federal Programs
| Program | Statute | Key Requirements | Penalty Range |
|---|---|---|---|
| Clean Air Act (CAA) | 42 USC §7401 | Title V permits, NESHAP, NSPS, PSD/NSR | $25,000-$75,000/day |
| Clean Water Act (CWA) | 33 USC §1251 | NPDES permits, stormwater, pretreatment | $25,000-$64,618/day |
| RCRA | 42 USC §6901 | Hazardous waste ID, storage, disposal, manifests | $37,500-$70,117/day |
| CERCLA (Superfund) | 42 USC §9601 | Reporting, cleanup liability, cost recovery | Strict liability, no cap |
| EPCRA | 42 USC §11001 | TRI reporting, Tier II, emergency planning | $25,000-$75,000/violation |
| TSCA | 15 USC §2601 | Chemical inventory, new chemical review, PFAS | $25,000-$50,000/day |
State Programs
- Delegated authority states (most EPA programs)
- State-specific: California (CEQA, Prop 65, CARB), Texas (TCEQ), New York (DEC), Florida (DEP)
- Multi-state operations: identify overlapping requirements
Facility Classification Matrix
By Generator Status (RCRA)
| Category | Quantity | Requirements |
|---|---|---|
| Very Small (VSQG) | <220 lbs/month | Basic labeling, no time limit, no manifest |
| Small (SQG) | 220-2,200 lbs/month | 270-day storage, manifests, contingency plan |
| Large (LQG) | >2,200 lbs/month | 90-day storage, full contingency, biennial report |
By Emissions Source (CAA)
| Category | Threshold | Requirements |
|---|---|---|
| Minor Source | Below major thresholds | State permit, basic recordkeeping |
| Synthetic Minor | Accepted limits below major | Federally enforceable limits, monitoring |
| Major Source | >100 tpy any HAP, >10/25 HAP | Title V permit, MACT/NESHAP, annual compliance cert |
Inspection Readiness Checklist
Universal (All Facilities)
- [ ] Environmental policy posted and current
- [ ] Permits displayed/accessible (air, water, waste)
- [ ] Training records for environmental staff (within 12 months)
- [ ] Spill prevention plan current and reviewed annually
- [ ] Emergency contact list posted at all chemical storage areas
- [ ] Container labeling correct (contents, hazard, accumulation start date)
- [ ] Secondary containment intact, no cracks or standing liquid
- [ ] Storm drains labeled "No Dumping — Drains to [water body]"
- [ ] Waste manifests filed and accessible (3-year minimum, 5-year recommended)
- [ ] Air monitoring/emissions records current
Hazardous Waste Specific
- [ ] EPA ID number current and posted
- [ ] Satellite accumulation areas compliant (<55 gal/1 quart acutely hazardous)
- [ ] Weekly inspections of storage areas documented
- [ ] Contingency plan updated within last year
- [ ] Land disposal restriction notifications on file
- [ ] Used oil storage clearly labeled, no mixing with hazardous waste
Stormwater Specific
- [ ] SWPPP current and on-site
- [ ] Quarterly visual inspections documented
- [ ] Benchmark monitoring results within limits
- [ ] BMPs maintained (silt fences, drain covers, berms)
- [ ] No Exposure Certification current (if applicable)
Reporting Calendar Template
| Report | Frequency | Deadline | Agency | Applies If |
|---|---|---|---|---|
| TRI Form R | Annual | July 1 | EPA | >10 employees + threshold chemicals |
| Tier II | Annual | March 1 | SERC/LEPC | Any OSHA threshold chemical on-site |
| Biennial Hazardous Waste | Every 2 years | March 1 (even years) | EPA/State | LQG status |
| Title V Compliance Cert | Annual | Per permit | State | Major source |
| DMR (Discharge Monitoring) | Monthly/Quarterly | Per permit | EPA/State | NPDES permit holder |
| GHG Reporting | Annual | March 31 | EPA | >25,000 MT CO2e/year |
| Air Emissions Inventory | Annual/Biennial | Per state | State | Air permit holders |
| SPCC Plan Review | Every 5 years | Rolling | EPA | >1,320 gal aboveground or >42,000 gal underground oil |
Violation Risk Scoring
Rate each area 1-5 (1=fully compliant, 5=critical gap):
| Category | Weight | Score | Weighted |
|---|---|---|---|
| Permit currency | 20% | _ | _ |
| Waste management | 20% | _ | _ |
| Reporting timeliness | 15% | _ | _ |
| Recordkeeping | 15% | _ | _ |
| Training | 10% | _ | _ |
| Spill prevention | 10% | _ | _ |
| Air emissions | 10% | _ | _ |
| Total | 100% | _/5.0 |
Risk Tiers: - 1.0-2.0: Low risk — maintain current program - 2.1-3.0: Moderate — address gaps within 90 days - 3.1-4.0: High — immediate corrective action, consider voluntary disclosure - 4.1-5.0: Critical — retain environmental counsel, self-audit before next inspection
Penalty Mitigation Factors
EPA considers these when calculating fines: 1. Good faith efforts to comply (documented environmental management system) 2. Voluntary disclosure before inspection (can reduce penalty 75-100%) 3. History of compliance (no prior violations in 5 years) 4. Ability to pay (financial hardship documentation) 5. Environmental justice impact (proximity to disadvantaged communities increases scrutiny) 6. Cooperation during investigation 7. Supplemental Environmental Projects (SEPs) — can offset 50-80% of penalty
Usage
Provide: - Facility type and location (state matters for delegated programs) - Operations description (manufacturing processes, chemicals used, waste generated) - Current permits and their expiration dates - Last inspection date and any outstanding violations - Number of employees and annual revenue (for penalty context)
The skill maps your regulatory universe, scores your compliance posture, and generates a prioritized action plan with deadlines.
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