Environmental Compliance Manager

v1.0.0

Identify applicable EPA and state environmental regulations, track permits, assess compliance risk, prepare inspection checklists, and generate reporting cal...

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Purpose & Capability
Name and description align with the SKILL.md content (regulatory mapping, permit tracking, inspection checklists, reporting calendar, risk scoring). There are no unexpected binaries, env vars, or credentials required that would be inconsistent with an advisory/compliance assistant.
Instruction Scope
Runtime instructions are limited to asking for facility details, classifying requirements, producing checklists/calendars/risk scores, and generating corrective actions. They do not instruct the agent to read local files, system credentials, or transmit data to unknown endpoints. The guidance is domain-specific and scoped to compliance tasks.
Install Mechanism
This is an instruction-only skill with no install specification and no code files. Nothing will be written to disk or fetched at install time by the skill itself.
Credentials
No environment variables, credentials, or config paths are requested. The skill's functionality (regulatory guidance and templates) does not require secrets or external service tokens.
Persistence & Privilege
always is false and the skill is user-invocable. It does not request persistent system presence or modifications to other skills or system-wide settings.
Assessment
This skill appears coherent and low-risk as packaged: it only contains instructional content and asks for no installs or credentials. Before using, consider: 1) don't paste confidential facility or personal data into an agent you don't control — the skill will ask for facility details and those could be retained or sent by the platform/LLM; 2) verify time-sensitive regulatory items (penalty amounts, deadlines, state-specific rules) against official EPA/state sources or legal counsel, since regulations change; 3) the README links to commercial AfrexAI pages—if you plan to purchase additional packs, confirm the vendor and data handling; and 4) if you need the agent to interact with your internal systems (permit databases, monitoring logs), require explicit, minimal credentials scoped for that integration rather than pasting sensitive credentials into prompts. If you want higher assurance, ask the publisher for source provenance (who maintains/regulates the content) or request that the skill include references/URLs for each rule it cites.

Like a lobster shell, security has layers — review code before you run it.

clean-air-actvk97d0qm2x5baqjz8a192xx4yrn81sj05compliancevk97d0qm2x5baqjz8a192xx4yrn81sj05environmentalvk97d0qm2x5baqjz8a192xx4yrn81sj05epavk97d0qm2x5baqjz8a192xx4yrn81sj05hazardous-wastevk97d0qm2x5baqjz8a192xx4yrn81sj05latestvk97d0qm2x5baqjz8a192xx4yrn81sj05manufacturingvk97d0qm2x5baqjz8a192xx4yrn81sj05rcravk97d0qm2x5baqjz8a192xx4yrn81sj05regulatoryvk97d0qm2x5baqjz8a192xx4yrn81sj05
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Updated 1mo ago
v1.0.0
MIT-0

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:

  1. Regulatory Mapping — Identifies which EPA programs apply (Clean Air Act, Clean Water Act, RCRA, CERCLA, EPCRA, TSCA) plus state-level requirements
  2. Permit Tracking — Catalogs required permits (air emissions, stormwater NPDES, hazardous waste generator, SPCC plans) with renewal dates and compliance deadlines
  3. Inspection Readiness — Generates pre-inspection checklists based on facility type, common citation areas, and recent enforcement trends
  4. Reporting Calendar — Maps all mandatory reporting deadlines: TRI Form R, Tier II, DMRs, biennial hazardous waste reports, GHG reporting, air emissions inventories
  5. Violation Risk Assessment — Scores current compliance posture against common violation categories with estimated penalty exposure
  6. Corrective Action Plans — Generates remediation steps for identified gaps with priority ranking by penalty risk

Regulatory Coverage

Federal Programs

ProgramStatuteKey RequirementsPenalty Range
Clean Air Act (CAA)42 USC §7401Title V permits, NESHAP, NSPS, PSD/NSR$25,000-$75,000/day
Clean Water Act (CWA)33 USC §1251NPDES permits, stormwater, pretreatment$25,000-$64,618/day
RCRA42 USC §6901Hazardous waste ID, storage, disposal, manifests$37,500-$70,117/day
CERCLA (Superfund)42 USC §9601Reporting, cleanup liability, cost recoveryStrict liability, no cap
EPCRA42 USC §11001TRI reporting, Tier II, emergency planning$25,000-$75,000/violation
TSCA15 USC §2601Chemical 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)

CategoryQuantityRequirements
Very Small (VSQG)<220 lbs/monthBasic labeling, no time limit, no manifest
Small (SQG)220-2,200 lbs/month270-day storage, manifests, contingency plan
Large (LQG)>2,200 lbs/month90-day storage, full contingency, biennial report

By Emissions Source (CAA)

CategoryThresholdRequirements
Minor SourceBelow major thresholdsState permit, basic recordkeeping
Synthetic MinorAccepted limits below majorFederally enforceable limits, monitoring
Major Source>100 tpy any HAP, >10/25 HAPTitle 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

ReportFrequencyDeadlineAgencyApplies If
TRI Form RAnnualJuly 1EPA>10 employees + threshold chemicals
Tier IIAnnualMarch 1SERC/LEPCAny OSHA threshold chemical on-site
Biennial Hazardous WasteEvery 2 yearsMarch 1 (even years)EPA/StateLQG status
Title V Compliance CertAnnualPer permitStateMajor source
DMR (Discharge Monitoring)Monthly/QuarterlyPer permitEPA/StateNPDES permit holder
GHG ReportingAnnualMarch 31EPA>25,000 MT CO2e/year
Air Emissions InventoryAnnual/BiennialPer stateStateAir permit holders
SPCC Plan ReviewEvery 5 yearsRollingEPA>1,320 gal aboveground or >42,000 gal underground oil

Violation Risk Scoring

Rate each area 1-5 (1=fully compliant, 5=critical gap):

CategoryWeightScoreWeighted
Permit currency20%__
Waste management20%__
Reporting timeliness15%__
Recordkeeping15%__
Training10%__
Spill prevention10%__
Air emissions10%__
Total100%_/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.


Built by AfrexAI — AI agents that run your operations. Browse our full context pack library for industry-specific agent configurations starting at $47.

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