Marilyn Bardet: Petcoke pollution in Benicia, photos going back to 1995

[See also: Baykeeper notice of intent to sue Amports; Video and photos at Port of Benicia show fossil fuel polluter in the act; Cracking Down on Refinery Emissions – all about “cat crackers”]
Petcoke pollution, Port of Benicia. Photo by San Francisco Baykeeper
Email from Benicia activist Marilyn Bardet, October 7, 2021

On the Baykeeper article with drone video and photos of petcoke pollution at Port of Benicia

Marilyn Bardet

I first heard a report about the petroleum coke plume spreading on the Strait from Benicia’s port on KQED radio yesterday, and now the Vallejo Sun (online news source—see link above)) has run an article that includes a drone video of what appears to be a plume from a coke ship at the Valero dock. Clearly, this can’t be a “first” incident. Thanks to Roger Straw,’s catch, the Benicia Independent ran the story yesterday.

The revelation is no surprise to me, although I’ve never had a drone to capture from the air what I’ve witnessed with my own eyes and photographed from near the port. In 1995, I snapped a picture of a “dust cloud” wafting up into the air from petcoke being dumped into the open hull of a coke ship. That “cloud” had been visible to the naked eye on a misty grey day. I’d reported this to the Air District then, (with photos taken from old camera) and similarly, over the years, to no avail. Petcoke is unregulated by Fed-EPA. (see “why” below).

I also took photos in 2013-2014 of coke trains traveling from the refinery along Bayshore Rd, and I’ve collected petcoke off railroad ties that had sifted out from the hopper cars’ undercarriage (from which hinged flanges open up for dumping coke onto underground conveyor belt at the port, which is then trasferred to the petcoke silos. (see photos below). The coke can still be seen along the tracks–proof of how coke gets airborne from its transport from trains to silos to ships’ hulls.

Petcoke is a dangerous particulate (PM 10 and PM 2.5) that settles on the water and all around the lower Arsenal area in the vicinity of the arts community and Arsenal Historic District. Tiniest invisible particles blow around, becoming part of the carbon grit that settles on cars, window sills, etc. etc.

As most of you know, I’ve railed for years, since 1995, about how petroleum coke is a serious airborne pollutant in our local environment. In 1995, Koch Carbon Industries (subsidiary of Koch Industries) came to Benicia proposing to build a mega-industrial 24/7 petcoke storage and shipping terminal operation that was to serve all five Bay Area refineries including Exxon Benicia (now Valero). That project would have been disastrous for Benicia, creating a massive “toxic coke dump” at our port, with all the cumulative consequences to public health and the environment. We, the public, fought the project fiercely and forced Koch Industries to abandon their proposed “Coke Domes” project. But they went up river and built a smaller coke terminal in Pittsburg instead— speaking of environmental injustice).

If you read no further, the announcement yesterday underscores my point, made over many years and currently, that residential development in the lower Arsenal should not be allowed, because doing so would deliberately create an environmental injustice: the area is inherently industrial and dangerous and polluted by the various specific operations of Valero and Amports. Check it out! Active crude oil pipelines run from the refinery behind our historic Officers’ Row and Clocktower to the Valero tanker dock, (located just east of the Clocktower); petroleum coke is is transferred from the refinery two or three times per week by train along Bayshore Rd to Valero’s petcoke shipping dock (immediately adjacent to Amports’ car import dock); diesel exhaust contributes toxic gases to the air from ships’ engines running while in port and on the Strait. To my knowledge, the cumulative amount of pollution produced everyday in the vicinity of the port has not been calculated.

ABOUT PETCOKE

Petcoke collected from train tracks along Bayshore Road in Benicia (Marilyn Bardet, Oct 9, 2013)

For those of you not sure about how petcoke is produced and why it’s dangerous to human health: Petroleum coke is the name given to the residue left in the hydrocracker processing unit during the refining of crude oil’s distillates. This residue is an oily, black crumbly carbon substance that must be scraped out of the hydrocracker everyday, and transfered to a “coker” for more processing. to create what’s called “petcoke”. The heavier (dirtier) crude oil refined, the more coke residue is created. The coker unit at Valero transforms the coal-like rocks into a fluffed up powdery-fine granular particulate which is marketed as a product, sold mainly to Asia as a cheap fuel for use in place of more expensive coal in steel furnaces and for other domestic uses. With few exceptions, petcoke cannot be used as a fuel in the US.

Burning petcoke as a fuel contributes to global warming, every bit as much as burning coal or any other fossil fuel. It is also hugely dangerous to human health when inhaled. The coke particulates contain heavy metals, depending on the source of crude oil being refined on any given day. Nickel is a carcinogen when inhaled. PM2.5 particulates of petcoke lodge in the lungs and send other toxic gas molecules—which have piggy-backed onto airborne petcoke particulates—into the bloodstream, thus cumulatively affecting circulatory, heart and lung functions from chronic, daily, low-level exposures breathing airborne petcoke. Of course, petcoke ending up in the water on a regular basis can be ingested by fish and waterfowl and other organisms, contaminating the Strait. Much more investigation of this issue is urgently needed!

Petcoke plume in Carquinez Strait, Benicia. Photo by San Francisco Baykeeper

The sad, unethical fact is that long ago the oil industry lobbied Fed-EPA to exempt petcoke from regulation as a toxic waste, arguing that petcoke becomes a marketable “finished product” when further processed, and therefore belongs in the same category that includes gasoline, kerosene, diesel, and all other liquid distillates produced by refineries. As more and more heavy crude is being refined in California, our refineries will be producing much more petcoke for export as fuel for burning….

To date, the Bay Area Air Quality Management District (BAAQMD) responds to residents’ complaints about petcoke only if it is visible as an opaque dust cloud when backlit in the air! (This was told to me by BAAQMD staff member).

I hope this helps everyone understand why petcoke is a human health and environmental danger, and why we should NOT be allowing residential development in the lower Arsenal Historic District, for all the enviro reasons cited above. Period!

Please share with your friends!

On the side of public health and safety, social and environmental justice,

Yours truly,
???? Marilyn

On the cusp of Indigenous Peoples Day (October 11th)

Hey Colonizers

Art by Ruben Guadalupe Marquez

Women’s Foundation California, by Torre Freeman, October 6, 2021

If that greeting stings a little bit, this message is for you.

We’re on the cusp of Indigenous Peoples Day (October 11th) and Thanksgiving is right around the corner too. So let’s chat about how we can decolonize our feminism (and everything else too).

Maybe you’re upset that I called you a colonizer, maybe you feel defensive, maybe you’re rolling your eyes because you already know. Whatever your response, if I’ve engendered some big feelings, I’m hopeful that those feelings will inspire you to keep reading. How about we collectively agree to stop it with gentleness that reinforces white fragility.

I want to acknowledge that I’m a white ciswoman and it is not my place to speak for Indigenous People; there’s an endless list of folks who’s stories and perspectives should be heard before mine. But the burden shouldn’t fall solely on the Indigenous community to lead us along this journey of decolonization.

As an intersectional feminist and a person that works for a feminist organization, these are the exact conversations I want to have with our community- How do we show up for Indigenous people? How do we educate ourselves about the reality of American history? How do we lift up Indigenous stories? How do we defetishize our relationship to Indigenous culture? How do we Thanksgiving or do we Thanksgiving at all? How do we rematriate the land? How do we authentically continue these decolonization efforts throughout the year and not just when it’s trending on social media?

For us to heal from the horrors of our colonial past (and present), most of us, as descendants of colonizers, have to acknowledge the ugliest corners of our history and dismantle the mythologies around the pilgrim and “Indian” story. As we approach Indigenous People’s Day we’re committing to radical honesty and fostering a deep understanding of colonialism and how we are (still) perpetuating colonizer violence. From this place of understanding, let us take action to celebrate Indigenous stories, educate our children and our loved ones, give reparations, and support Indigenous artists, changemakers, farmers, and businesses in a deliberate effort to return what we have stolen.

Here’s a few things you can do right now to further this effort:

  1. Native Land Digital – Benicia, CA. (Click image to enlarge. Go here for interactive display.)

    Acknowledge whose land you’re on. Which traditional territories are you residing on? Learn about and honor their enduring relationship to the land. WFC is based on stolen Lisjan Ohlone land. This land (like all land) carries Indigenous stories, knowledge and belongs to the true stewards of our earth.“Land acknowledgements can be a powerful entry point for deeper engagement in the work of rematriation but are also often token or rhetorical acts of performative allyship. Here are a few resources to learn more about how to make land acknowledgements in a way that support real Indigenous sovereignty.” 

  2. Attend a local or virtual event in celebration of Indigenous People’s Day (consult Google or your local tribal headquarters for events near you).
  3. Donate to Indigenous-led organizations that are working to  uphold Indigenous rights and land practices. Our grant partner Sogorea Te’ Land Trust is an urban Indigenous women-led land trust in the California Bay Area working to return Indigenous land to Indigenous hands. Check out their Shuumi Land Tax calculator. 
  4. Make a ruckus change Columbus Day to Indigenous Peoples Day. Columbus Day should be abolished and Indigenous Peoples Day should have Federal Holiday status.
  5. Learn more about the #LandBack movement & get involved.
  6. Consider thoughtful ways to honor and celebrate Indigenous people this Thanksgiving. Start the conversation with family about how and what you’re celebrating, learn together about the real history of Thanksgiving.
  7. Deepen your knowledge around the epidemic of gender-based violence experienced by Indigenous women and two spirit people through the critical and radical work of organizations like the Sovereign Bodies Institute.
  8. Decolonize your social media feed – follow Indigenous creators – share their stories. Here’s a few accounts we recommend:

Depending on what kind of overachiever you are – you may accomplish all the things on the above list, or just one, or two things. Whatever way you show up to this conversation and these learnings, please remember, this is not some kind of woke Olympics – justice is not an event where we’re competing for a gold medal. But we can strive to grow in our knowledge, support, and celebrations of Indigenous/Native communities, their contributions, their stewardship, and their stories.

Hopefully you leave this blog, take action, and share in this feeling: there is momentum building as we continue this process of learning, unlearning, and relearning. I can’t help but feel a little sanguine (& that’s a big deal for this full-time cynic here), that we are moving toward a new beginning, that the Indigenous People of this world could someday be reunited with what belongs to them. Until that day comes- keep learning, keep listening, keep changing and keep Maya Angelou’s refrain on repeat: “Do the best you can until you know better. Then when you know better, do better.”

Solano County reports only 82 new COVID infections (but transmission remains HIGH)


By Roger Straw, Wednesday, October 6, 2021

Wednesday, October 6: Solano County reports 82 new infections, 13 in Benicia

Solano County COVID dashboard SUMMARY:
[Sources: see below.]

DEATHS: Solano reported no new COVID-related deaths todaySolano deaths over the course of the pandemic now total 305The County reported 32 COVID deaths over the last 32 days.

CASES: The County reported 82 new COVID cases over the last two days, 41 per day.  AGES: 13 of these 82 cases (16%) were youth and children under 18.  59% were age 18-49, 21% were age 50-64, and only 6% were 65+.

COMMUNITY TRANSMISSION RATE: Over the last 7 days, Solano has seen 451 new cases, down from 639 on Monday but still just barely in the CDC’s population-based definition of a HIGH transmission rate.

(CDC FORMULA: Based on Solano County population of 449,432, the CDC would rate us in “SUBSTANTIAL” transmission with 225 cases over the last 7 days.  Double that, or 450 cases in the last 7 days would rank us in “HIGH” transmission.  Reference: CDC’s “Level of SARS-CoV-2 Community Transmission”.]

ACTIVE CASES: Solano’s 467 ACTIVE cases is down from Monday’s 514, but still far above our summer rates.

POSITIVE TEST RATE:  Solano’s 7-day average percent positivity rate was only 6.2% today, down from Monday’s 6.7%.  COMPARE: today’s California rate is 1.9% and today’s U.S. rate is 6.3%[Source: Johns Hopkins Coronavirus Tracking Center]

HOSPITALIZATIONS:

CURRENT hospitalizations were down today from 53 to 50 persons, and still in the range we saw during the winter surge.

ICU Bed Availability is up today, from 23% to 29%, but still in the yellow danger zone.  Again, we are in the worrisome range we saw during the winter surge.

Ventilator Availability is down today from 53% to 49%, still in the range of last February’s winter surge.

TOTAL hospitalizations: Solano County’s TOTAL hospitalized over the course of the pandemic must be independently discovered in the County’s occasional update of hospitalizations by Age Group and by Race/Ethnicity.  The County did not update its Hospitalizations charts today.  See below.  The differing race/ethnicity numbers indicate a number of persons whose race/ethnicity was not given or recorded.

FACE MASKS… Required for all in Benicia and Vallejo

Benicia City Council passed a citywide indoors mask mandate that went into effect on August 24 and includes everyone 4 years old and up when indoors in public places, even those of us who are vaccinated.  Benicia was joined by Vallejo on August 31.  In the Bay Area, Solano County REMAINS the only holdout against a mask mandate for public indoors spaces.

OLD NEWS BUT SIGNIFICANT – SOLANO COUNTY BOARD OF SUPERVISORS failed to consider an agendized proposal for a countywide MASK MANDATE on Tuesday, September 14.  The Board’s agenda called for discussion of an indoors mask mandate for all and a vaccination mandate for county workers.  The Board voted 4-1 to require county-run facilities in Vallejo and Benicia to abide by local mandates.  But the Board voted down the vaccination mandate 3-2, and failed to even consider the agendized question of a county-wide mask mandate.  The Solano Board of Supervisors joined with Dr. Bela Matyas in officially showing poor leadership on the COVID-19 pandemic.

Cases by City on Wednesday, October 6:
  • Benicia added 13 new cases today, a total of 1,460 cases since the outbreak began.  Benicia has seen 38 new cases over the last 7 days, continuing in the CDC’s definition of HIGH community transmission (defined as 28 or more cases, based on Benicia population).  [Note that Solano County is at a level of HIGH transmission, and Solano’s 6 other cities are likely also individually experiencing high or substantial transmission.]
  • Dixon added 6 new cases today, total of 2,493 cases.
  • Fairfield added 14 new cases today, total of 11,994 cases.
  • Rio Vista added 5 new case today, total of 576 cases.
  • Suisun City added 4 new cases today, total of 3,170 cases.
  • Vacaville added 13 new cases today, a total of 11,749 cases.
  • Vallejo added 27 new cases today, a total of 13,123 cases.
  • Unincorporated added 0 new cases today, a total of 139 cases (population figures not available).

HOW DOES TODAY’S REPORT COMPARE?  See recent reports and others going back to April 20, 2020 on my ARCHIVE of daily Solano COVID updates (an excel spreadsheet).


>>The data on this page is from the Solano County COVID-19 Dashboard.  The Dashboard is full of much more information and updated Monday, Wednesday and Friday around 4 or 5pm.  On the County’s dashboard, you can hover a mouse or click on an item for more information.  Note the tabs at top for “Summary, Demographics” and “Vaccines.”  Click here to go to today’s Solano County Dashboard.


Sources

Baykeeper notice of intent to sue Amports

By Roger Straw, October 6, 2021
[See also: Video and photos at Port of Benicia show fossil fuel polluter in the act; Marilyn Bardet – Petcoke pollution in Benicia, photos going back to 1995; Cracking Down on Refinery Emissions – all about “cat crackers”]

Summary and Details of the Pollution Lawsuit

Click image for full 20-page Notice of Intent

In a previous post, I shared the Baykeeper press release announcing the photo and video evidence of illegal polluting of the Carquinez Strait and San Francisco Bay by Benicia AMPORTS.

Here, I want to highlight the discoveries outlined in the 20-page legal notice issued by Baykeepers.

You may jump to the following sections below:

Summary and notice of 60 days to settle

Re: Notice of Ongoing Violations and Intent to File a “Citizen Suit” Under the Clean Water Act

To Whom It May Concern:

I am writing on behalf of San Francisco Baykeeper (“Baykeeper”) regarding violations of the Clean Water Act1 (“CWA” or “Act”) at the Amports Port of Benicia Terminal, owned and operated by Amports, Inc. (“Amports”) at 1997 Elm Road, Benicia, CA 94510 (“Facility”) and 1007 Bayshore Road, Benicia, CA 94510. The purpose of this letter (“Notice Letter”) is to put Amports on notice that, at the expiration of sixty (60) days from the date the Notice Letter is served, Baykeeper intends to file a “citizen suit” action against Amports in U.S. Federal District Court. The civil action will allege significant, ongoing, and continuous violations of the Act and California’s General Industrial Storm Water Permit2 (“General Permit”) at the Facility, including but not limited to, the direct deposition of petroleum coke (“petcoke”) into the water from the conveyance system, equipment, and ship, aerial deposition of petcoke directly to the water from the deck of the ship, and the uncontrolled discharge of polluted storm water to the Carquinez Strait, a part of the San Francisco Bay.

Detailed list of violations

As described in detail below, Amports is liable for ongoing violations of the Act as a consequence of the Facility’s: (1) direct discharge of petcoke into the Carquinez Strait, both through deck washing and direct aerial deposition; (2) inaccurate use of SIC code designations to avoid coverage for regulated industrial activities under the General Permit; (3) failure to comply with the terms and conditions of the General Permit resulting in unpermitted storm water discharges, including but not limited to the preparation and implementation of a proper Storm Water Pollution Prevention Plan related to Amports’ petcoke loading operation, preparation and implementation of a Monitoring Implementation Plan, and compliance with technology-based Effluent Limitations.

60-day notice and offer of settlement

CWA section 505(b) requires that sixty (60) days prior to the initiation of a civil action under CWA section 505(a), a citizen must give notice of their intent to file suit. 33 U.S.C. § 1365(b). Notice must be given to the alleged violator, the U.S. Environmental Protection Agency (EPA), and the State in which the violations occur. As required by section 505(b), this Notice of Violation and Intent to File Suit provides notice to Amports of the violations that have occurred and which continue to occur at the Facility. After the expiration of sixty (60) days from the date of this Notice of Violation and Intent to File Suit, Baykeeper intends to file suit in federal court against Amports under CWA section 505(a) for the violations described more fully below.

During the 60-day notice period, Baykeeper would like to discuss effective remedies for the violations noticed in this letter. We suggest that you contact us as soon as possible so that these discussions may be completed by the conclusion of the 60-day notice period. Please note that it is our policy to file a complaint in federal court as soon as the notice period ends, even if discussions are in progress.

Background and photos

A. San Francisco Baykeeper

San Francisco Baykeeper (“Baykeeper”) is a non-profit public benefit corporation….

Members of Baykeeper reside in Benicia, California, as well as in many of the surrounding communities. Baykeeper’s members and supporters use and enjoy San Francisco Bay and other waters for various recreational, educational, and spiritual purposes. Baykeeper’s members’ use and enjoyment of these waters are negatively affected by the pollution caused by the Facility’s operations….

B. The Owner and/or Operator of the Facility

Amports, Inc. is a dba of APS West Coast Inc. and is identified as the owner and operator of the Benicia Port Terminal Company. All three entities have the same address, CEO, Secretary, CFO, and Controller.

C. The Facility’s Industrial Activities and Discharges of Petcoke and Other Pollutants

The Facility is a roughly 400-acre site which includes marine cargo loading equipment, the petcoke loading equipment and conveyor system, parking for cars, docking area and equipment for ships, silos to store petcoke, train car petcoke offloading area and equipment, vehicle maintenance, equipment cleaning, ship cleaning, ship maintenance, and other facilities. According to Amports’ 2015 Notice of Intent to comply with the General Permit under the Clean Water Act, at least 8 acres at the Facility consisted of areas that were exposed to storm water.

The Valero Benicia Refinery processes crude oil by separating it into a range of hydrocarbon components or fractions. Petroleum fractions include heavy oils and residual materials used to make asphalt or petcoke, mid-range materials such as diesel (heating oil), jet fuel, and gasoline, and lighter products, such as butane, propane, and fuel gases.

The petcoke is transported via rail to the Facility and is stored there in silos. Amports transfers the petcoke from the silos to a ship’s hold at the Facility’s dock by way of a covered conveyor system. During this process, the petcoke may escape in half a dozen or more ways.

First, petcoke spills off of the conveyor belt system and is deposited onto the wharf and directly into Carquinez Strait. This occurs while the crane boom is in the lowered position, and, as depicted below, continues as the boom is raised while the conveyor continues to operate.

March 2021

Second, petcoke is deposited onto the deck of the ship and into the water, potentially due to overspray from the loading mechanism or other operations, leaving visible plumes of petcoke that can be seen in the water.

February 2021

Third, at the conclusion of the loading, longshoremen hose off the deck of the ship, and the related loading equipment on and around the ship, cleaning the equipment and forcing contaminated runoff directly into the Carquinez Strait, again leaving visible plumes of petcoke that can be seen in the water.

February 2021

Fourth, as the ship is being loaded, large visible clouds of black particulate matter, presumably petcoke dust, drift through the air away from the ship before being directly deposited into the water and/or onto the nearby shoreline.

Additionally, petcoke may escape and be deposited onto the Facility or into the water during: (a) the offload from trains, (b) the movement of petcoke around the Facility, (c) storage at the Facility, (d) from equipment and vehicle cleaning, (e) from equipment and vehicle maintenance or repair, and (f) each time a sufficient rain event occurs due to the Facility’s discharge of pollutants from industrial activity in storm water, through direct discharges of industrial pollutants.

The deposition of petcoke and other pollutants into San Francisco Bay is harmful and deleterious to the Bay’s wildlife and communities. Petcoke is a petroleum byproduct and is known to contain pollutants including heavy metals such as copper, zinc, nickel, arsenic, mercury, and vanadium, all of which are harmful to aquatic life, including fish and birds.

Additionally, people exposed to petcoke pollutants can experience severe health problems like asthma, lung cancer, and heart disease.

Detailed harmful effects of Petcoke

The deposition of petcoke and other pollutants into San Francisco Bay is harmful and deleterious to the Bay’s wildlife and communities. Petcoke is a petroleum byproduct and is known to contain pollutants including heavy metals such as copper, zinc, nickel, arsenic, mercury, and vanadium, all of which are harmful to aquatic life, including fish and birds. Additionally, people exposed to petcoke pollutants can experience severe health problems like asthma, lung cancer, and heart disease.

Amports is permitted by the Bay Area Air Quality Management District (BAAQMD) to process and load 2 million tons of petcoke onto export ships over a 12-month period. Amports does not have any permits from the San Francisco Bay Regional Water Quality Control Board (“Regional Board”). Amports is not permitted to discharge petcoke directly into the Carquinez Strait. And Amports is also not permitted to discharge any storm water, directly or indirectly, that is the result of industrial activity, including water that is commingled with industrial discharges.

Baykeeper’s suit will allege that petcoke is deposited on the site with every instance of: petcoke being transported by rail to the site, petcoke offloading from a train at the Facility, and petcoke being handled and transported on the Facility’s premises. Additionally, Baykeeper will allege that petcoke enters the Carquinez Strait with every instance of: petcoke being loaded and/or oversprayed onto a ship docked at the Facility, petcoke-related equipment, including the conveyor systems, cranes, and ships, being maintained and/or cleaned, and each storm event at the Facility in excess of 0.1” of precipitation.

The discharge of pollutants from industrial facilities contributes to the impairment of surface waters and aquatic-dependent wildlife. These contaminated discharges can and must be controlled for ecosystems to regain their health and to protect public health. As part of its investigation of the Facility, Baykeeper observed and documented by video numerous instances of illegal discharges during Amports’ various activities and handling of marine cargo (specifically petcoke) at the Facility between November 2020 and March 2021.

Additionally, with every significant rainfall event, millions of gallons of polluted storm water originating from industrial operations such as the Facility pour into storm drains and local waterways. The consensus among agencies and water quality specialists is that storm water pollution accounts for more than half of the total pollution entering surface waters each year. Such discharges of pollutants from industrial facilities contribute to the impairment of downstream waters and aquatic dependent wildlife. These contaminated discharges can and must be controlled for the ecosystem to regain its health.


Click image for full 20-page notice

THE REMAINDER OF THE DOCUMENT is organized into the following sections, which you can study at length here.

II. THE CLEAN WATER ACT (p. 7)
A. The NPDES Permit Program (p. 7)
B. California’s General Industrial Storm Water Permit (p. 8)
C. The Facility’s Permit Enrollment Status (p. 12)
III. NAME AND ADDRESS OF NOTICING PARTY (p. 13)
IV. COUNSEL (p. 13)
V. VIOLATIONS OF THE ACT AND GENERAL PERMIT (p. 13)
A. Amports’ Direct, Non-Storm Water Discharges Without an
NPDES Permit (p. 14)
B. Amports’ Illegal Indirect Discharges Without An NPDES
Permit (p. 15)
C. Amports’ Illegal Storm Water Discharges (p. 15)
D. Violations of the Act and General Permit Reporting and
Monitoring Rules (p. 16)
E. Violations of the General Permit’s SWPPP Requirements (p.
17)
VI. RELIEF SOUGHT FOR VIOLATIONS OF THE CLEAN WATER
ACT (p. 17)
VII. CONCLUSION (p. 18)
ATTACHMENT 1: DATES OF ALLEGED EXCEEDANCES BY
AMPORTS FROM OCTOBER 4, 2016 TO OCTOBER 4, 2021
(p. 19)
ATTACHMENT 2: SERVICE LIST (p. 20)

For safe and healthy communities…