Shumais Qasim connects US facilities under a fresh EPA enforcement action with the remediation operators who close them out, before the order’s deadlines become the next penalty.
Federal enforcement data, updated as it publishes. This is the market I watch.
- →451 new federal EPA enforcement actions opened against US facilities in the last 60 days
- →76 of those landed in the past two weeks
- →Three facilities cited inside ten days for the same chemical release reporting failure
- →$8.0M in federal penalties assessed across 49 states
Sourced from EPA ECHO federal enforcement case data: complaints filed and final orders issued.
No deal to point at yet — so here’s exactly what I put in motion.
- Cited facility → remediation operator When a complaint or a final order lands, the abatement clock starts. I put a vetted remediation operator in the room inside the week, while the deadlines are still movable.
- Operator → the facilities who just learned they need one If you close out environmental findings for a living, I bring you the sites that got the order this month, not the ones who might need you someday.
Building in the open. I’m working alongside myoProcess — a vetted B2B partner trusted across $1B+ in transactions — while I route my first introductions in this lane. My first closed match replaces this paragraph.
What I see in this market that outsiders miss.