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5 . The facility now maintains a duplicate copy of the records <br /> described in paragraph 4 , above . <br /> 6 . Because of the transient nature of military service , the <br /> facility has historically not listed the names and home phone <br /> numbers of the emergency coordinators in the contingency plan . <br /> Instead , the contingency plan provides that inquires be directed <br /> to the facility emergency notification center . The center is <br /> operated twenty-four hours day by the facility fire <br /> department . <br /> 7 . The facility has added a list of emergency coordinators as <br /> Change 1 , to its Hazardous Substance Spill Contingency Plan . <br /> The list includes the names , addresses and home and work <br /> telephone numbers of the emergency coordinators . <br /> 8 . With respect to Para. 2 . 4 , the Respondent notes that <br /> though there was a delay in processing the appropriate paper <br /> work , the waste was transported and subsequently disposed of <br /> in accordance with applicable laws and regulations . <br /> 9 . The Respondent maintains that all the requirements set <br /> out in the Schedule for Compliance , in the Order , have <br /> already been met . <br /> 10 . In defense of the proposed penalty and the provisions of <br /> the Penalties for Noncompliance (Para. 3 . 16) section of the <br /> Order , the Respondent maintains that the waiver of sovereign <br /> immunity contained in the Resource Conservation and Recovery <br /> Act does not obligate the Federal Government to pay penalties <br /> or fines . In the absence of such requirement , Federal <br /> instrumentalities are not authorized to expend appropriated <br /> funds in payment of these penalties or fines (See , U. S . V . <br /> Washington , 872 F2d 874 (CA 9th Cir . <br />