Articles
Selecting an enforcement action settlement type to conclude a lien
Entering a Notice of Determination (NOD) as a formal enforcement action
OECA reporting “no GPRA results available” in FY2009 for Compliance Assistance GPRA Measures 988 and 992 (02.25.2009)
Administrative penalty conclusion by default definition, and how to receive accomplishment credit
ICIS NPDES EPA and State Inspection Reports
Counting Environmental Benefits from CWA/NPDES Brine Cases(09.07.2010)
Potentially Responsible Party (PRP) definition
List of operators used for filtering ad hoc reports
First Interim Release for ICIS 2.0 Implemented Today (e-mail David H.) 11-20-06
Federal Facility Agreements: Entering CERCLA 120(e) FFAs into ICIS (03.22.2010)
CWA Municipal Settlements and Supplemental Environmental Projects (SEPS) Memorandum 11-04-05
Administrative conclusion by settlement definition, and how to receive credit
"Point of Entry Control Remedy" definition and how it applies to the VCMA measure (2003)
Adding pollutant reductions to the complying action/cost recovery screen
Guidance on Reporting Volume of Contaminated Media Addressed and Injunctive Relief Value for Certain Types of CERCLA 107 and/or 122 Cashout Settlements
Activity Type (2020-12-29)
Single Event Violation Data Entry Guide for ICIS-NPDES for Regional Pilot (03.30.2007)
Expanding the Use of SEPs Memorandum (6-11-2003)
Linking NPDES violations to a Formal Enforcement Action
FE&C National report logic