Author Topic: Did vindictive rat Petrelli go berserk?  (Read 445 times)

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Did vindictive rat Petrelli go berserk?
« on: Today at 11:57:46 AM »
seems like he got TRIGGERED when many praised Mark Ford!        ngc3 ngc3 ngc3 ngc3 ngc3 ngc3 ngc3 

Ignorance Is Bliss

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Re: Did vindictive rat Petrelli go berserk?
« Reply #1 on: Today at 12:00:21 PM »
Many? 5????  ngc3 ngc3 ngc3 ngc3 ngc3 ngc3 Didn't Mark Ford go berserk when Dave Yarock sent me a horse!  ngc3 ngc3 ngc3 ngc3 ngc3 ngc3 ngc3 ngc3 ngc3 ngc3 ngc3 ngc3 ngc3 ngc3 ngc3 ngc3 ngc3 ngc3

Overview of Company
Defendants Mark Ford, Mark Ford Stables, Inc., Mark Ford Stage Road Property, Inc., and Ford Equine, Ltd. (collectively, “Defendants”) own and operate two sites for horse boarding and horse training in Wallkill, NY: the Slaughter Road Site and the Ford Equine Site.

Violations
The consent decree resolves violations of CWA § 301 at the two sites for discharge of fill material and process wastewater into waters of the U.S. without the appropriate CWA §§ 402 and 404 permits, and violations of terms and conditions of a construction stormwater permit issued under § 402. Specifically, the violations alleged for both sites include: (1) the discharge of fill material into approximately 26 acres of wetlands,1,900 linear feet of Crystal Run Creek, a perennial tributary of the Wallkill River, and 900 linear feet of an unnamed tributary of the Walkill River, without a § 404 permit; and (2) discharges of pollutants from a concentrated animal feeding operation (CAFO) to Crystal Run Creek without a § 402 permit. At the Slaughter Road Site only, there were violations of a State Pollutant Discharge Elimination System (SPDES) construction general permit (CGP).

Injunctive Relief
The consent decree requires Defendants to comply with all applicable requirements of the CWA, and all associated permits. In particular, the following is required:

Wetlands: Defendants must hire a Qualified Wetlands Professional (QWP) to prepare a comprehensive mitigation plan. The plan will require Defendants to restore and/or create approximately 18 acres of wetlands between both sites; restore approximately 1,460 linear feet of Crystal Run Creek to its approximate original alignment at the Slaughter Road Site; and restore approximately 900 linear feet of the unnamed tributary to the Wallkill River at the Ford Equine Site. The decree also requires long-term protection of the stream and wetland restoration and creation areas in the form of a deed restriction or other instrument.
CAFO: Defendants will cease unauthorized CAFO discharges and comply with applicable federal and state CAFO regulations, including hiring a certified planner to develop a nutrient management plan and develop appropriate best management practices. Defendants must also apply for applicable permit coverage.
Construction Stormwater: The CGP was terminated in 2018, so there is no injunctive relief associated with the construction stormwater violations. If Defendants do intend to perform any construction activities, they must comply with all applicable laws and permits.
Pollutant Impacts
The straightening of Crystal Run Creek and the filling of its wetlands destroyed important floodplain areas. These activities limited the wetland and floodplain areas’ abilities to provide wildlife habitat, filter pollutants, and store floodwaters.

Pollutants most commonly associated with animal waste include nutrients (nitrogen and phosphorus), pathogens (bacteria), organic matter, solids, and oxygen depleting substances, all of which contribute to water quality impairment in U.S. waterbodies. Other potential environmental and human health risks include transmission of disease-causing bacteria and parasites associated with food and waterborne diseases, fish advisories, and algal blooms.

Sediment-laden runoff from construction activities can result in increased turbidity and decreased oxygen in receiving waters, which in turn results in loss of in-stream habitat for fish and other aquatic species. Sediment can kill fish directly, destroy spawning beds, suffocate fish eggs and bottom dwelling organisms, and block sunlight resulting in reduced growth of beneficial aquatic grasses.

Health and Environmental Benefits
The restoration of Crystal Run Creek and its surrounding wetland areas will help to improve the water quality of Crystal Run Creek and the Wallkill River by filtering pollutants and potentially mitigate flooding downstream during storms. The restoration and creation of wetlands at both sites will also provide wildlife habitat.

It is also anticipated that the injunctive relief required in this proposed settlement will reduce the amount of pollutants entering the affected waters of the U.S., including nutrients (nitrogen and phosphorus), pathogens, organic matter, solids, and oxygen depleting substances.

Civil Penalty
Defendants will pay a penalty of $200,000 within 30 days of the Effective Date of the consent decree.


https://www.epa.gov/system/files/documents/2023-08/markford-cd.pdf
https://www.cbc.ca/news/canada/prince-edward-island/pei-covered-bridge-owner-mark-ford-jeff-gillis-suspension-1.7545214
https://youtu.be/vnqUC1ZCbow?si=hE7ITKA9of8lC7ov
https://youtu.be/6sHOQjeHzwo?si=MhGdUBGWKfx2NE7z
https://youtu.be/mzLsNuLmg5c?si=1xsVmccoQWpaK_bS




https://freeimage.host/i/CccLhZv][/url]






And Dean Hoffman  tmbz1

AND WON'T STOP ME!!!! Bahahahaahaaa

ScrapeThePaint

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Re: Did vindictive rat Petrelli go berserk?
« Reply #2 on: Today at 12:01:09 PM »
seems like he got TRIGGERED when many praised Mark Ford!        ngc3 ngc3 ngc3 ngc3 ngc3 ngc3 ngc3

He is going NUTS! Posting long paragraphs and photos that make no sense, anywhere he sees Mark's name, on any thread!!!!!!! Somebody should check in on him, this isn't normal. Seems like some Obsessive behaviors going on. WE LOVE MARK FORD!

Ignorance Is Bliss

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Re: Did vindictive rat Petrelli go berserk?
« Reply #3 on: Today at 12:03:25 PM »
Overview of Company
Defendants Mark Ford, Mark Ford Stables, Inc., Mark Ford Stage Road Property, Inc., and Ford Equine, Ltd. (collectively, “Defendants”) own and operate two sites for horse boarding and horse training in Wallkill, NY: the Slaughter Road Site and the Ford Equine Site.

Violations
The consent decree resolves violations of CWA § 301 at the two sites for discharge of fill material and process wastewater into waters of the U.S. without the appropriate CWA §§ 402 and 404 permits, and violations of terms and conditions of a construction stormwater permit issued under § 402. Specifically, the violations alleged for both sites include: (1) the discharge of fill material into approximately 26 acres of wetlands,1,900 linear feet of Crystal Run Creek, a perennial tributary of the Wallkill River, and 900 linear feet of an unnamed tributary of the Walkill River, without a § 404 permit; and (2) discharges of pollutants from a concentrated animal feeding operation (CAFO) to Crystal Run Creek without a § 402 permit. At the Slaughter Road Site only, there were violations of a State Pollutant Discharge Elimination System (SPDES) construction general permit (CGP).

Injunctive Relief
The consent decree requires Defendants to comply with all applicable requirements of the CWA, and all associated permits. In particular, the following is required:

Wetlands: Defendants must hire a Qualified Wetlands Professional (QWP) to prepare a comprehensive mitigation plan. The plan will require Defendants to restore and/or create approximately 18 acres of wetlands between both sites; restore approximately 1,460 linear feet of Crystal Run Creek to its approximate original alignment at the Slaughter Road Site; and restore approximately 900 linear feet of the unnamed tributary to the Wallkill River at the Ford Equine Site. The decree also requires long-term protection of the stream and wetland restoration and creation areas in the form of a deed restriction or other instrument.
CAFO: Defendants will cease unauthorized CAFO discharges and comply with applicable federal and state CAFO regulations, including hiring a certified planner to develop a nutrient management plan and develop appropriate best management practices. Defendants must also apply for applicable permit coverage.
Construction Stormwater: The CGP was terminated in 2018, so there is no injunctive relief associated with the construction stormwater violations. If Defendants do intend to perform any construction activities, they must comply with all applicable laws and permits.
Pollutant Impacts
The straightening of Crystal Run Creek and the filling of its wetlands destroyed important floodplain areas. These activities limited the wetland and floodplain areas’ abilities to provide wildlife habitat, filter pollutants, and store floodwaters.

Pollutants most commonly associated with animal waste include nutrients (nitrogen and phosphorus), pathogens (bacteria), organic matter, solids, and oxygen depleting substances, all of which contribute to water quality impairment in U.S. waterbodies. Other potential environmental and human health risks include transmission of disease-causing bacteria and parasites associated with food and waterborne diseases, fish advisories, and algal blooms.

Sediment-laden runoff from construction activities can result in increased turbidity and decreased oxygen in receiving waters, which in turn results in loss of in-stream habitat for fish and other aquatic species. Sediment can kill fish directly, destroy spawning beds, suffocate fish eggs and bottom dwelling organisms, and block sunlight resulting in reduced growth of beneficial aquatic grasses.

Health and Environmental Benefits
The restoration of Crystal Run Creek and its surrounding wetland areas will help to improve the water quality of Crystal Run Creek and the Wallkill River by filtering pollutants and potentially mitigate flooding downstream during storms. The restoration and creation of wetlands at both sites will also provide wildlife habitat.

It is also anticipated that the injunctive relief required in this proposed settlement will reduce the amount of pollutants entering the affected waters of the U.S., including nutrients (nitrogen and phosphorus), pathogens, organic matter, solids, and oxygen depleting substances.

Civil Penalty
Defendants will pay a penalty of $200,000 within 30 days of the Effective Date of the consent decree.


https://www.epa.gov/system/files/documents/2023-08/markford-cd.pdf
https://www.cbc.ca/news/canada/prince-edward-island/pei-covered-bridge-owner-mark-ford-jeff-gillis-suspension-1.7545214
https://youtu.be/vnqUC1ZCbow?si=hE7ITKA9of8lC7ov
https://youtu.be/6sHOQjeHzwo?si=MhGdUBGWKfx2NE7z
https://youtu.be/mzLsNuLmg5c?si=1xsVmccoQWpaK_bS




https://freeimage.host/i/CccLhZv][/url]






And Dean Hoffman  tmbz1
AND WON'T STOP ME!!!! Bahahahaahaaa

ScrapeThePaint

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Re: Did vindictive rat Petrelli go berserk?
« Reply #4 on: Today at 12:04:20 PM »
Many? 5????  ngc3 ngc3 ngc3 ngc3 ngc3 ngc3 Didn't Mark Ford go berserk when Dave Yarock sent me a horse!  ngc3 ngc3 ngc3 ngc3 ngc3 ngc3 ngc3 ngc3 ngc3 ngc3 ngc3 ngc3 ngc3 ngc3 ngc3 ngc3 ngc3 ngc3

Overview of Company
Defendants Mark Ford, Mark Ford Stables, Inc., Mark Ford Stage Road Property, Inc., and Ford Equine, Ltd. (collectively, “Defendants”) own and operate two sites for horse boarding and horse training in Wallkill, NY: the Slaughter Road Site and the Ford Equine Site.

Violations
The consent decree resolves violations of CWA § 301 at the two sites for discharge of fill material and process wastewater into waters of the U.S. without the appropriate CWA §§ 402 and 404 permits, and violations of terms and conditions of a construction stormwater permit issued under § 402. Specifically, the violations alleged for both sites include: (1) the discharge of fill material into approximately 26 acres of wetlands,1,900 linear feet of Crystal Run Creek, a perennial tributary of the Wallkill River, and 900 linear feet of an unnamed tributary of the Walkill River, without a § 404 permit; and (2) discharges of pollutants from a concentrated animal feeding operation (CAFO) to Crystal Run Creek without a § 402 permit. At the Slaughter Road Site only, there were violations of a State Pollutant Discharge Elimination System (SPDES) construction general permit (CGP).

Injunctive Relief
The consent decree requires Defendants to comply with all applicable requirements of the CWA, and all associated permits. In particular, the following is required:

Wetlands: Defendants must hire a Qualified Wetlands Professional (QWP) to prepare a comprehensive mitigation plan. The plan will require Defendants to restore and/or create approximately 18 acres of wetlands between both sites; restore approximately 1,460 linear feet of Crystal Run Creek to its approximate original alignment at the Slaughter Road Site; and restore approximately 900 linear feet of the unnamed tributary to the Wallkill River at the Ford Equine Site. The decree also requires long-term protection of the stream and wetland restoration and creation areas in the form of a deed restriction or other instrument.
CAFO: Defendants will cease unauthorized CAFO discharges and comply with applicable federal and state CAFO regulations, including hiring a certified planner to develop a nutrient management plan and develop appropriate best management practices. Defendants must also apply for applicable permit coverage.
Construction Stormwater: The CGP was terminated in 2018, so there is no injunctive relief associated with the construction stormwater violations. If Defendants do intend to perform any construction activities, they must comply with all applicable laws and permits.
Pollutant Impacts
The straightening of Crystal Run Creek and the filling of its wetlands destroyed important floodplain areas. These activities limited the wetland and floodplain areas’ abilities to provide wildlife habitat, filter pollutants, and store floodwaters.

Pollutants most commonly associated with animal waste include nutrients (nitrogen and phosphorus), pathogens (bacteria), organic matter, solids, and oxygen depleting substances, all of which contribute to water quality impairment in U.S. waterbodies. Other potential environmental and human health risks include transmission of disease-causing bacteria and parasites associated with food and waterborne diseases, fish advisories, and algal blooms.

Sediment-laden runoff from construction activities can result in increased turbidity and decreased oxygen in receiving waters, which in turn results in loss of in-stream habitat for fish and other aquatic species. Sediment can kill fish directly, destroy spawning beds, suffocate fish eggs and bottom dwelling organisms, and block sunlight resulting in reduced growth of beneficial aquatic grasses.

Health and Environmental Benefits
The restoration of Crystal Run Creek and its surrounding wetland areas will help to improve the water quality of Crystal Run Creek and the Wallkill River by filtering pollutants and potentially mitigate flooding downstream during storms. The restoration and creation of wetlands at both sites will also provide wildlife habitat.

It is also anticipated that the injunctive relief required in this proposed settlement will reduce the amount of pollutants entering the affected waters of the U.S., including nutrients (nitrogen and phosphorus), pathogens, organic matter, solids, and oxygen depleting substances.

Civil Penalty
Defendants will pay a penalty of $200,000 within 30 days of the Effective Date of the consent decree.


https://www.epa.gov/system/files/documents/2023-08/markford-cd.pdf
https://www.cbc.ca/news/canada/prince-edward-island/pei-covered-bridge-owner-mark-ford-jeff-gillis-suspension-1.7545214
https://youtu.be/vnqUC1ZCbow?si=hE7ITKA9of8lC7ov
https://youtu.be/6sHOQjeHzwo?si=MhGdUBGWKfx2NE7z
https://youtu.be/mzLsNuLmg5c?si=1xsVmccoQWpaK_bS




https://freeimage.host/i/CccLhZv][/url]






And Dean Hoffman  tmbz1

Why do you keep posting the same nonsense in every thread that has to do with Ford? What condition do you have?

Ignorance Is Bliss

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Re: Did vindictive rat Petrelli go berserk?
« Reply #5 on: Today at 12:08:54 PM »
Overview of Company
Defendants Mark Ford, Mark Ford Stables, Inc., Mark Ford Stage Road Property, Inc., and Ford Equine, Ltd. (collectively, “Defendants”) own and operate two sites for horse boarding and horse training in Wallkill, NY: the Slaughter Road Site and the Ford Equine Site.

Violations
The consent decree resolves violations of CWA § 301 at the two sites for discharge of fill material and process wastewater into waters of the U.S. without the appropriate CWA §§ 402 and 404 permits, and violations of terms and conditions of a construction stormwater permit issued under § 402. Specifically, the violations alleged for both sites include: (1) the discharge of fill material into approximately 26 acres of wetlands,1,900 linear feet of Crystal Run Creek, a perennial tributary of the Wallkill River, and 900 linear feet of an unnamed tributary of the Walkill River, without a § 404 permit; and (2) discharges of pollutants from a concentrated animal feeding operation (CAFO) to Crystal Run Creek without a § 402 permit. At the Slaughter Road Site only, there were violations of a State Pollutant Discharge Elimination System (SPDES) construction general permit (CGP).

Injunctive Relief
The consent decree requires Defendants to comply with all applicable requirements of the CWA, and all associated permits. In particular, the following is required:

Wetlands: Defendants must hire a Qualified Wetlands Professional (QWP) to prepare a comprehensive mitigation plan. The plan will require Defendants to restore and/or create approximately 18 acres of wetlands between both sites; restore approximately 1,460 linear feet of Crystal Run Creek to its approximate original alignment at the Slaughter Road Site; and restore approximately 900 linear feet of the unnamed tributary to the Wallkill River at the Ford Equine Site. The decree also requires long-term protection of the stream and wetland restoration and creation areas in the form of a deed restriction or other instrument.
CAFO: Defendants will cease unauthorized CAFO discharges and comply with applicable federal and state CAFO regulations, including hiring a certified planner to develop a nutrient management plan and develop appropriate best management practices. Defendants must also apply for applicable permit coverage.
Construction Stormwater: The CGP was terminated in 2018, so there is no injunctive relief associated with the construction stormwater violations. If Defendants do intend to perform any construction activities, they must comply with all applicable laws and permits.
Pollutant Impacts
The straightening of Crystal Run Creek and the filling of its wetlands destroyed important floodplain areas. These activities limited the wetland and floodplain areas’ abilities to provide wildlife habitat, filter pollutants, and store floodwaters.

Pollutants most commonly associated with animal waste include nutrients (nitrogen and phosphorus), pathogens (bacteria), organic matter, solids, and oxygen depleting substances, all of which contribute to water quality impairment in U.S. waterbodies. Other potential environmental and human health risks include transmission of disease-causing bacteria and parasites associated with food and waterborne diseases, fish advisories, and algal blooms.

Sediment-laden runoff from construction activities can result in increased turbidity and decreased oxygen in receiving waters, which in turn results in loss of in-stream habitat for fish and other aquatic species. Sediment can kill fish directly, destroy spawning beds, suffocate fish eggs and bottom dwelling organisms, and block sunlight resulting in reduced growth of beneficial aquatic grasses.

Health and Environmental Benefits
The restoration of Crystal Run Creek and its surrounding wetland areas will help to improve the water quality of Crystal Run Creek and the Wallkill River by filtering pollutants and potentially mitigate flooding downstream during storms. The restoration and creation of wetlands at both sites will also provide wildlife habitat.

It is also anticipated that the injunctive relief required in this proposed settlement will reduce the amount of pollutants entering the affected waters of the U.S., including nutrients (nitrogen and phosphorus), pathogens, organic matter, solids, and oxygen depleting substances.

Civil Penalty
Defendants will pay a penalty of $200,000 within 30 days of the Effective Date of the consent decree.


https://www.epa.gov/system/files/documents/2023-08/markford-cd.pdf
https://www.cbc.ca/news/canada/prince-edward-island/pei-covered-bridge-owner-mark-ford-jeff-gillis-suspension-1.7545214
https://youtu.be/vnqUC1ZCbow?si=hE7ITKA9of8lC7ov
https://youtu.be/6sHOQjeHzwo?si=MhGdUBGWKfx2NE7z
https://youtu.be/mzLsNuLmg5c?si=1xsVmccoQWpaK_bS




https://freeimage.host/i/CccLhZv][/url]






And Dean Hoffman  tmbz1
AND WON'T STOP ME!!!! Bahahahaahaaa

ScrapeThePaint

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Re: Did vindictive rat Petrelli go berserk?
« Reply #6 on: Today at 12:16:56 PM »
Overview of Company
Defendants Mark Ford, Mark Ford Stables, Inc., Mark Ford Stage Road Property, Inc., and Ford Equine, Ltd. (collectively, “Defendants”) own and operate two sites for horse boarding and horse training in Wallkill, NY: the Slaughter Road Site and the Ford Equine Site.

Violations
The consent decree resolves violations of CWA § 301 at the two sites for discharge of fill material and process wastewater into waters of the U.S. without the appropriate CWA §§ 402 and 404 permits, and violations of terms and conditions of a construction stormwater permit issued under § 402. Specifically, the violations alleged for both sites include: (1) the discharge of fill material into approximately 26 acres of wetlands,1,900 linear feet of Crystal Run Creek, a perennial tributary of the Wallkill River, and 900 linear feet of an unnamed tributary of the Walkill River, without a § 404 permit; and (2) discharges of pollutants from a concentrated animal feeding operation (CAFO) to Crystal Run Creek without a § 402 permit. At the Slaughter Road Site only, there were violations of a State Pollutant Discharge Elimination System (SPDES) construction general permit (CGP).

Injunctive Relief
The consent decree requires Defendants to comply with all applicable requirements of the CWA, and all associated permits. In particular, the following is required:

Wetlands: Defendants must hire a Qualified Wetlands Professional (QWP) to prepare a comprehensive mitigation plan. The plan will require Defendants to restore and/or create approximately 18 acres of wetlands between both sites; restore approximately 1,460 linear feet of Crystal Run Creek to its approximate original alignment at the Slaughter Road Site; and restore approximately 900 linear feet of the unnamed tributary to the Wallkill River at the Ford Equine Site. The decree also requires long-term protection of the stream and wetland restoration and creation areas in the form of a deed restriction or other instrument.
CAFO: Defendants will cease unauthorized CAFO discharges and comply with applicable federal and state CAFO regulations, including hiring a certified planner to develop a nutrient management plan and develop appropriate best management practices. Defendants must also apply for applicable permit coverage.
Construction Stormwater: The CGP was terminated in 2018, so there is no injunctive relief associated with the construction stormwater violations. If Defendants do intend to perform any construction activities, they must comply with all applicable laws and permits.
Pollutant Impacts
The straightening of Crystal Run Creek and the filling of its wetlands destroyed important floodplain areas. These activities limited the wetland and floodplain areas’ abilities to provide wildlife habitat, filter pollutants, and store floodwaters.

Pollutants most commonly associated with animal waste include nutrients (nitrogen and phosphorus), pathogens (bacteria), organic matter, solids, and oxygen depleting substances, all of which contribute to water quality impairment in U.S. waterbodies. Other potential environmental and human health risks include transmission of disease-causing bacteria and parasites associated with food and waterborne diseases, fish advisories, and algal blooms.

Sediment-laden runoff from construction activities can result in increased turbidity and decreased oxygen in receiving waters, which in turn results in loss of in-stream habitat for fish and other aquatic species. Sediment can kill fish directly, destroy spawning beds, suffocate fish eggs and bottom dwelling organisms, and block sunlight resulting in reduced growth of beneficial aquatic grasses.

Health and Environmental Benefits
The restoration of Crystal Run Creek and its surrounding wetland areas will help to improve the water quality of Crystal Run Creek and the Wallkill River by filtering pollutants and potentially mitigate flooding downstream during storms. The restoration and creation of wetlands at both sites will also provide wildlife habitat.

It is also anticipated that the injunctive relief required in this proposed settlement will reduce the amount of pollutants entering the affected waters of the U.S., including nutrients (nitrogen and phosphorus), pathogens, organic matter, solids, and oxygen depleting substances.

Civil Penalty
Defendants will pay a penalty of $200,000 within 30 days of the Effective Date of the consent decree.


https://www.epa.gov/system/files/documents/2023-08/markford-cd.pdf
https://www.cbc.ca/news/canada/prince-edward-island/pei-covered-bridge-owner-mark-ford-jeff-gillis-suspension-1.7545214
https://youtu.be/vnqUC1ZCbow?si=hE7ITKA9of8lC7ov
https://youtu.be/6sHOQjeHzwo?si=MhGdUBGWKfx2NE7z
https://youtu.be/mzLsNuLmg5c?si=1xsVmccoQWpaK_bS




https://freeimage.host/i/CccLhZv][/url]






And Dean Hoffman  tmbz1

You already posted this so many times. Nobody is looking at this and nobody cares. What’s the matter with you? Are you a child Who’s not getting enough attention?

Ignorance Is Bliss

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Re: Did vindictive rat Petrelli go berserk?
« Reply #7 on: Today at 12:17:28 PM »
Overview of Company
Defendants Mark Ford, Mark Ford Stables, Inc., Mark Ford Stage Road Property, Inc., and Ford Equine, Ltd. (collectively, “Defendants”) own and operate two sites for horse boarding and horse training in Wallkill, NY: the Slaughter Road Site and the Ford Equine Site.

Violations
The consent decree resolves violations of CWA § 301 at the two sites for discharge of fill material and process wastewater into waters of the U.S. without the appropriate CWA §§ 402 and 404 permits, and violations of terms and conditions of a construction stormwater permit issued under § 402. Specifically, the violations alleged for both sites include: (1) the discharge of fill material into approximately 26 acres of wetlands,1,900 linear feet of Crystal Run Creek, a perennial tributary of the Wallkill River, and 900 linear feet of an unnamed tributary of the Walkill River, without a § 404 permit; and (2) discharges of pollutants from a concentrated animal feeding operation (CAFO) to Crystal Run Creek without a § 402 permit. At the Slaughter Road Site only, there were violations of a State Pollutant Discharge Elimination System (SPDES) construction general permit (CGP).

Injunctive Relief
The consent decree requires Defendants to comply with all applicable requirements of the CWA, and all associated permits. In particular, the following is required:

Wetlands: Defendants must hire a Qualified Wetlands Professional (QWP) to prepare a comprehensive mitigation plan. The plan will require Defendants to restore and/or create approximately 18 acres of wetlands between both sites; restore approximately 1,460 linear feet of Crystal Run Creek to its approximate original alignment at the Slaughter Road Site; and restore approximately 900 linear feet of the unnamed tributary to the Wallkill River at the Ford Equine Site. The decree also requires long-term protection of the stream and wetland restoration and creation areas in the form of a deed restriction or other instrument.
CAFO: Defendants will cease unauthorized CAFO discharges and comply with applicable federal and state CAFO regulations, including hiring a certified planner to develop a nutrient management plan and develop appropriate best management practices. Defendants must also apply for applicable permit coverage.
Construction Stormwater: The CGP was terminated in 2018, so there is no injunctive relief associated with the construction stormwater violations. If Defendants do intend to perform any construction activities, they must comply with all applicable laws and permits.
Pollutant Impacts
The straightening of Crystal Run Creek and the filling of its wetlands destroyed important floodplain areas. These activities limited the wetland and floodplain areas’ abilities to provide wildlife habitat, filter pollutants, and store floodwaters.

Pollutants most commonly associated with animal waste include nutrients (nitrogen and phosphorus), pathogens (bacteria), organic matter, solids, and oxygen depleting substances, all of which contribute to water quality impairment in U.S. waterbodies. Other potential environmental and human health risks include transmission of disease-causing bacteria and parasites associated with food and waterborne diseases, fish advisories, and algal blooms.

Sediment-laden runoff from construction activities can result in increased turbidity and decreased oxygen in receiving waters, which in turn results in loss of in-stream habitat for fish and other aquatic species. Sediment can kill fish directly, destroy spawning beds, suffocate fish eggs and bottom dwelling organisms, and block sunlight resulting in reduced growth of beneficial aquatic grasses.

Health and Environmental Benefits
The restoration of Crystal Run Creek and its surrounding wetland areas will help to improve the water quality of Crystal Run Creek and the Wallkill River by filtering pollutants and potentially mitigate flooding downstream during storms. The restoration and creation of wetlands at both sites will also provide wildlife habitat.

It is also anticipated that the injunctive relief required in this proposed settlement will reduce the amount of pollutants entering the affected waters of the U.S., including nutrients (nitrogen and phosphorus), pathogens, organic matter, solids, and oxygen depleting substances.

Civil Penalty
Defendants will pay a penalty of $200,000 within 30 days of the Effective Date of the consent decree.


https://www.epa.gov/system/files/documents/2023-08/markford-cd.pdf
https://www.cbc.ca/news/canada/prince-edward-island/pei-covered-bridge-owner-mark-ford-jeff-gillis-suspension-1.7545214
https://youtu.be/vnqUC1ZCbow?si=hE7ITKA9of8lC7ov
https://youtu.be/6sHOQjeHzwo?si=MhGdUBGWKfx2NE7z
https://youtu.be/mzLsNuLmg5c?si=1xsVmccoQWpaK_bS




https://freeimage.host/i/CccLhZv][/url]






And Dean Hoffman  tmbz1
AND WON'T STOP ME!!!! Bahahahaahaaa

Calhoun

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Re: Did vindictive rat Petrelli go berserk?
« Reply #8 on: Today at 01:15:38 PM »
Mike,

You should have paid that stall rent

You should have gone to Kim's wedding.

But you did neither

Instead of facing life's challenges, you sat on a bucket for 40 years chain smoking

Now you jall you can do is just shit post on horse plop and wonder how you fucked up so
badly at life.

Ignorance Is Bliss

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Re: Did vindictive rat Petrelli go berserk?
« Reply #9 on: Today at 02:00:09 PM »
Mike,

You should have paid that stall rent

You should have gone to Kim's wedding.

But you did neither

Instead of facing life's challenges, you sat on a bucket for 40 years chain smoking

Now you jall you can do is just shit post on horse plop and wonder how you fucked up so
badly at life.

15 years in a chat forum pretending you've actually owned a racehorse.  ngc3

P.S. Catherine says hi!
AND WON'T STOP ME!!!! Bahahahaahaaa

ScrapeThePaint

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Re: Did vindictive rat Petrelli go berserk?
« Reply #10 on: Today at 02:35:47 PM »
Mike,

You should have paid that stall rent

You should have gone to Kim's wedding.

But you did neither

Instead of facing life's challenges, you sat on a bucket for 40 years chain smoking

Now you jall you can do is just shit post on horse plop and wonder how you fucked up so
badly at life.

I don’t know this guy Petrelli but it’s very obvious from all the nonsense that he posts that he’s seriously deranged and disturbed. He continues to post the same stuff over and over again in different threads like a child that needs attention. I’m curious where the administration is and why they are allowing this. It’s very sad. I hope Mike gets the help he so desperately needs.

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Re: Did vindictive rat Petrelli go berserk?
« Reply #11 on: Today at 03:02:35 PM »
Uh huh, more people know who I am outside the industry than know the industry even exists.  ngc3
Overview of Company
Defendants Mark Ford, Mark Ford Stables, Inc., Mark Ford Stage Road Property, Inc., and Ford Equine, Ltd. (collectively, “Defendants”) own and operate two sites for horse boarding and horse training in Wallkill, NY: the Slaughter Road Site and the Ford Equine Site.

Violations
The consent decree resolves violations of CWA § 301 at the two sites for discharge of fill material and process wastewater into waters of the U.S. without the appropriate CWA §§ 402 and 404 permits, and violations of terms and conditions of a construction stormwater permit issued under § 402. Specifically, the violations alleged for both sites include: (1) the discharge of fill material into approximately 26 acres of wetlands,1,900 linear feet of Crystal Run Creek, a perennial tributary of the Wallkill River, and 900 linear feet of an unnamed tributary of the Walkill River, without a § 404 permit; and (2) discharges of pollutants from a concentrated animal feeding operation (CAFO) to Crystal Run Creek without a § 402 permit. At the Slaughter Road Site only, there were violations of a State Pollutant Discharge Elimination System (SPDES) construction general permit (CGP).

Injunctive Relief
The consent decree requires Defendants to comply with all applicable requirements of the CWA, and all associated permits. In particular, the following is required:

Wetlands: Defendants must hire a Qualified Wetlands Professional (QWP) to prepare a comprehensive mitigation plan. The plan will require Defendants to restore and/or create approximately 18 acres of wetlands between both sites; restore approximately 1,460 linear feet of Crystal Run Creek to its approximate original alignment at the Slaughter Road Site; and restore approximately 900 linear feet of the unnamed tributary to the Wallkill River at the Ford Equine Site. The decree also requires long-term protection of the stream and wetland restoration and creation areas in the form of a deed restriction or other instrument.
CAFO: Defendants will cease unauthorized CAFO discharges and comply with applicable federal and state CAFO regulations, including hiring a certified planner to develop a nutrient management plan and develop appropriate best management practices. Defendants must also apply for applicable permit coverage.
Construction Stormwater: The CGP was terminated in 2018, so there is no injunctive relief associated with the construction stormwater violations. If Defendants do intend to perform any construction activities, they must comply with all applicable laws and permits.
Pollutant Impacts
The straightening of Crystal Run Creek and the filling of its wetlands destroyed important floodplain areas. These activities limited the wetland and floodplain areas’ abilities to provide wildlife habitat, filter pollutants, and store floodwaters.

Pollutants most commonly associated with animal waste include nutrients (nitrogen and phosphorus), pathogens (bacteria), organic matter, solids, and oxygen depleting substances, all of which contribute to water quality impairment in U.S. waterbodies. Other potential environmental and human health risks include transmission of disease-causing bacteria and parasites associated with food and waterborne diseases, fish advisories, and algal blooms.

Sediment-laden runoff from construction activities can result in increased turbidity and decreased oxygen in receiving waters, which in turn results in loss of in-stream habitat for fish and other aquatic species. Sediment can kill fish directly, destroy spawning beds, suffocate fish eggs and bottom dwelling organisms, and block sunlight resulting in reduced growth of beneficial aquatic grasses.

Health and Environmental Benefits
The restoration of Crystal Run Creek and its surrounding wetland areas will help to improve the water quality of Crystal Run Creek and the Wallkill River by filtering pollutants and potentially mitigate flooding downstream during storms. The restoration and creation of wetlands at both sites will also provide wildlife habitat.

It is also anticipated that the injunctive relief required in this proposed settlement will reduce the amount of pollutants entering the affected waters of the U.S., including nutrients (nitrogen and phosphorus), pathogens, organic matter, solids, and oxygen depleting substances.

Civil Penalty
Defendants will pay a penalty of $200,000 within 30 days of the Effective Date of the consent decree.


https://www.epa.gov/system/files/documents/2023-08/markford-cd.pdf
https://www.cbc.ca/news/canada/prince-edward-island/pei-covered-bridge-owner-mark-ford-jeff-gillis-suspension-1.7545214
https://youtu.be/vnqUC1ZCbow?si=hE7ITKA9of8lC7ov
https://youtu.be/6sHOQjeHzwo?si=MhGdUBGWKfx2NE7z
https://youtu.be/mzLsNuLmg5c?si=1xsVmccoQWpaK_bS




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And Dean Hoffman  tmbz1
AND WON'T STOP ME!!!! Bahahahaahaaa

 

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