PENNEX ALUMINUM CO
Quick Summary
- •Released 15 lbs of toxic chemicals to the environment in the most recent TRI reporting year.
- •Currently out of compliance in at least one environmental program (CAA, CWA, or RCRA).
- •Assessed $0 in total penalties since records began.
- •Reports releases of chemicals classified as known or probable carcinogens.
- Address
-
50 COMMUNITY ST
WELLSVILLE, PA 17365
View on map ↗ - County
- YORK County
- Industry
- Manufacturing
- NAICS (North American Industry Classification)
- 331314
- Inspections
- 9 · last Feb 13, 2026
- Total Penalties
- $0 · last Dec 31, 2019
- Registry ID
- 110000817750
How This Compares
Ranked by most recent year's total TRI releases.
Compliance Status (Last 12 Quarters)
Number of calendar quarters, out of the last 12, in which this facility was in violation of its permit. Zero means no recorded violations in that program over the past three years.
Qtrs Non-Compliant
Qtrs Non-Compliant
Qtrs Non-Compliant
TRI Toxic Chemical Releases
Annual pounds of each toxic chemical released to air, water, and land, as reported to the EPA Toxic Release Inventory. Carcinogen (♦) and PFAS designations are per EPA and IARC classifications.
| Year | Total Releases (lbs) | vs Prior Year |
|---|---|---|
| 2015 | 31 | — |
| 2016 | 15 | -51% |
| 2017 | 15 | -4% |
| 2018 | 20 | +37% |
| 2019 | 20 | -2% |
| 2020 | 17 | -12% |
| 2021 | 21 | +22% |
| 2022 | 25 | +18% |
| 2023 | 23 | -5% |
| 2024 | 13 | -46% |
2024
| Chemical | Total (lbs) | Air | Water | Land | Off-Site | |
|---|---|---|---|---|---|---|
| Copper compounds | 12 | 12 | — | — | 562 | |
| Dioxin and dioxin-like compounds | 0 | 0 | — | — | — | ♦ Carcinogen |
| Lead compounds | 0 | 0 | — | — | 281 |
2023
| Chemical | Total (lbs) | Air | Water | Land | Off-Site | |
|---|---|---|---|---|---|---|
| Copper compounds | 23 | 23 | — | — | 690 | |
| Dioxin and dioxin-like compounds | 0 | 0 | — | — | — | ♦ Carcinogen |
| Lead compounds | 0 | 0 | — | — | 345 |
2022
| Chemical | Total (lbs) | Air | Water | Land | Off-Site | |
|---|---|---|---|---|---|---|
| Copper compounds | 24 | 24 | — | — | 885 | |
| Dioxin and dioxin-like compounds | 1 | 1 | — | — | — | ♦ Carcinogen |
| Lead compounds | 0 | 0 | — | — | 443 |
2021
| Chemical | Total (lbs) | Air | Water | Land | Off-Site | |
|---|---|---|---|---|---|---|
| Copper compounds | 20 | 20 | — | — | 946 | |
| Dioxin and dioxin-like compounds | 1 | 1 | — | — | — | ♦ Carcinogen |
| Lead compounds | 0 | 0 | — | — | 473 |
2020
| Chemical | Total (lbs) | Air | Water | Land | Off-Site | |
|---|---|---|---|---|---|---|
| Copper compounds | 16 | 16 | — | — | 837 | |
| Dioxin and dioxin-like compounds | 0 | 0 | — | — | — | ♦ Carcinogen |
| Lead compounds | 0 | 0 | — | — | 419 |
2019
| Chemical | Total (lbs) | Air | Water | Land | Off-Site | |
|---|---|---|---|---|---|---|
| Copper compounds | 19 | 19 | — | — | 975 | |
| Dioxin and dioxin-like compounds | 1 | 1 | — | — | — | ♦ Carcinogen |
| Lead compounds | 0 | 0 | — | — | 487 |
2018
| Chemical | Total (lbs) | Air | Water | Land | Off-Site | |
|---|---|---|---|---|---|---|
| Copper compounds | 19 | 19 | — | — | 1,135 | |
| Dioxin and dioxin-like compounds | 1 | 1 | — | — | — | ♦ Carcinogen |
| Lead compounds | 0 | 0 | — | — | 567 |
2017
| Chemical | Total (lbs) | Air | Water | Land | Off-Site | |
|---|---|---|---|---|---|---|
| Copper compounds | 14 | 14 | — | — | 1,042 | |
| Dioxin and dioxin-like compounds | 1 | 1 | — | — | — | ♦ Carcinogen |
| Lead compounds | 0 | 0 | — | — | 521 |
2016
| Chemical | Total (lbs) | Air | Water | Land | Off-Site | |
|---|---|---|---|---|---|---|
| Copper compounds | 14 | 14 | — | — | 1,053 | |
| Dioxin and dioxin-like compounds | 1 | 1 | — | — | — | ♦ Carcinogen |
| Lead compounds | 0 | 0 | — | — | 527 |
2015
| Chemical | Total (lbs) | Air | Water | Land | Off-Site | |
|---|---|---|---|---|---|---|
| Copper compounds | 30 | 30 | — | — | 960 | |
| Dioxin and dioxin-like compounds | 1 | 1 | — | — | — | ♦ Carcinogen |
| Lead compounds | 0 | 0 | — | — | 480 |
Waste Management & Recycling
How this facility manages toxic chemicals beyond direct releases — through recycling, energy recovery, and on-site or off-site treatment. Data from the most recent TRI reporting year. Quantities in pounds.
| Chemical | Released | Recycled | Energy Recovery | Treated |
|---|---|---|---|---|
| Copper compounds | — | 562 | — | — |
| Lead compounds | — | 281 | — | — |
Off-Site Transfer Destinations
Facilities to which toxic chemicals were transferred for disposal, recycling, energy recovery, or treatment during the most recent TRI reporting year. Quantities in pounds.
| Destination | Chemical | Disposal | Recycling | Energy Rec. | Treatment |
|---|---|---|---|---|---|
|
AL-REC
MILLWOOD, WV
|
Lead compounds | — | 281 | — | — |
|
AL-REC
MILLWOOD, WV
|
Copper compounds | — | 562 | — | — |
Compliance Violations
Individual permit violations recorded by the EPA across air, water, and hazardous waste programs. Open violations are unresolved as of the most recent ECHO data update.
| Program | Type | Violation Date | Return to Compliance | Status |
|---|---|---|---|---|
| rcra | Standards for Universal Waste Management: Standards for Small Quantity Handlers | Feb 13, 2026 | — | Open |
| rcra | Standards Applicable to Generators of HW: General | Feb 13, 2026 | — | Open |
| cwa | Permit Violations - Discharge Without a Valid Permit | Dec 22, 2025 | — | Open |
| caa | FRV | Sep 30, 2025 | — | Open |
| cwa | Permit Violations - Discharge Without a Valid Permit | Apr 9, 2024 | — | Open |
| rcra | State Statutory or Regulatory requirements that are broader-in-scope than the federal RCRA requirements | Feb 20, 2024 | Mar 15, 2024 | Resolved |
| rcra | Standards Applicable to Generators of HW: General | Jan 25, 2024 | Feb 21, 2024 | Resolved |
| rcra | Standards for Universal Waste Management: Standards for Small Quantity Handlers | Jan 25, 2024 | Feb 21, 2024 | Resolved |
| cwa | Permit Violations - Discharge Without a Valid Permit | Dec 16, 2021 | Sep 20, 2022 | Resolved |
| caa | FRV | Feb 19, 2020 | — | Open |
| rcra | State Statutory or Regulatory requirements that are broader-in-scope than the federal RCRA requirements | Jun 24, 2019 | Aug 21, 2019 | Resolved |
| rcra | State Statutory or Regulatory requirements that are broader-in-scope than the federal RCRA requirements | Oct 19, 2010 | Oct 19, 2010 | Resolved |
| rcra | Standards Applicable to Recordkeeping and Reporting Applicable to Small and Large Quantity Generators | Oct 19, 2010 | Oct 25, 2010 | Resolved |
| rcra | Interim Status Standards for Owners and Operators of HW TSDs: Use and Management of Containers | Oct 19, 2010 | Oct 19, 2010 | Resolved |
| rcra | Interim Status Standards for Owners and Operators of HW TSDs: Tank Systems | Oct 19, 2010 | Oct 19, 2010 | Resolved |
| rcra | Standards Applicable to Generators of HW: General | May 1, 2001 | Aug 22, 2001 | Resolved |
| rcra | Standards Applicable to Generators of HW: Pre-Transport Requirements Applicable to Small and Large Quantity Generators | Apr 10, 1991 | Oct 9, 1991 | Resolved |
| rcra | Standards Applicable to Generators of HW: General | Apr 10, 1991 | Oct 9, 1991 | Resolved |
| rcra | Standards for Owners and Operators of HW TSDs: General | Feb 24, 1988 | Feb 24, 1988 | Resolved |
Enforcement Actions
Formal enforcement cases brought by the EPA or state agencies, including administrative orders and civil penalties assessed. Penalty amounts reflect what was formally assessed, not necessarily what was collected.