MARY KAY
Quick Summary
- •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
-
2613 DENTON TAP RD
LEWISVILLE, TX 75067
View on map ↗ - County
- DENTON County
- Industry
- Manufacturing
- NAICS (North American Industry Classification)
- 325620
- Inspections
- 1 · last Oct 29, 2024
- Total Penalties
- $0
- Registry ID
- 110070435173
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
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 |
|---|---|---|
| 2020 | 0 | — |
| 2021 | 0 | — |
| 2022 | 0 | — |
| 2023 | 0 | — |
| 2024 | 0 | — |
2024
| Chemical | Total (lbs) | Air | Water | Land | Off-Site | |
|---|---|---|---|---|---|---|
| Certain glycol ethers | — | — | — | — | 34,524 | |
| Acetaldehyde | — | — | — | — | 25,637 | ♦ Carcinogen |
2023
| Chemical | Total (lbs) | Air | Water | Land | Off-Site | |
|---|---|---|---|---|---|---|
| Certain glycol ethers | — | — | — | — | 59,671 |
2022
| Chemical | Total (lbs) | Air | Water | Land | Off-Site | |
|---|---|---|---|---|---|---|
| Certain glycol ethers | — | — | — | — | 41,810 |
2021
| Chemical | Total (lbs) | Air | Water | Land | Off-Site | |
|---|---|---|---|---|---|---|
| Certain glycol ethers | — | — | — | — | 89,405 | |
| Nonylphenol Ethoxylates | — | — | — | — | 16,422 |
2020
| Chemical | Total (lbs) | Air | Water | Land | Off-Site | |
|---|---|---|---|---|---|---|
| Certain glycol ethers | — | — | — | — | 48,133 | |
| Nonylphenol Ethoxylates | — | — | — | — | 24,563 |
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 |
|---|---|---|---|---|
| Acetaldehyde | — | — | — | 23,330 |
| Certain glycol ethers | — | — | — | 31,762 |
Transfers to Publicly-Owned Treatment Works (POTWs)
Toxic chemicals transferred to municipal wastewater treatment plants during the most recent TRI reporting year. Quantities in pounds.
| Chemical | Transferred (lbs) | POTW |
|---|---|---|
| Certain glycol ethers | 34,524 | LEWISVILLE WWTP, LEWISVILLE |
| Acetaldehyde | 25,637 | LEWISVILLE WWTP, LEWISVILLE |
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 Applicable to Generators of HW: General | Oct 29, 2024 | Jan 21, 2025 | Resolved |
| rcra | Standards Applicable to Generators of HW: Manifest Requirements Applicable to Small and Large Quantity Generators | Oct 29, 2024 | Jan 24, 2025 | Resolved |
| rcra | Standards Applicable to Recordkeeping and Reporting Applicable to Small and Large Quantity Generators | Oct 29, 2024 | Jan 21, 2025 | Resolved |
| rcra | Interim Status Standards for Owners and Operators of HW TSDs: Containment Buildings | Oct 29, 2024 | Nov 20, 2024 | Resolved |
| rcra | Land Disposal Restrictions: General | Oct 29, 2024 | Jan 21, 2025 | Resolved |
| rcra | EPA Administered Permit Programs: the HW Permit Program General Information | Oct 29, 2024 | Jan 21, 2025 | Resolved |
| rcra | State Statutory or Regulatory requirements that are broader-in-scope than the federal RCRA requirements | Oct 29, 2024 | Apr 17, 2025 | 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.