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Profile Information

176142
100 East Harris Street Eaton, IN 47338
.22
40.342054 / -85.35529199999996
5
Spencer, Diane
Spencer.Diane@epa.gov
312-886-5867


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Property Location



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Property Progress


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CAs Associated with this Property

CA NameCA #StateTypeAnnouncement Year
City of Muncie-Muncie Redevelopment CommissionBF00E01073INAssessment2012


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Assessment Activities at this Property

ActivityEPA FundingStart DateCompletion DateCAAccomplishment Counted?Counted When?
Supplemental Assessment$5,231.0003/10/201404/14/2014City of Muncie-Muncie Redevelopment CommissionYFY16


Is Cleanup Necessary? Unknown
EPA Assessment Funding: $5,231.00
Leveraged Funding:
Total Funding: $5,231.00


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Climate Adaption and Mitigation - Planning or Assessment

There is no data for Climate Adaption and Mitigation - Planning or Assessment.


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Contaminants and Media


Asbestos
Lead
NOT Cleaned up
NOT Cleaned up
Building Materials
NOT Cleaned up

Cleanup Activities

There are no current cleanup activities.


Cleanup/Treatment Implemented:
Cleanup/Treatement Categories:
Addl Cleanup/Treatment info:
Address of Data Source:
Total ACRES Cleaned Up: .22
Number of Cleanup Jobs Leveraged:
EPA Cleanup Funding:
Leveraged Funding:
Cost Share Funding:
Total Funding:


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Climate Adaption and Mitigation - Demolition or Cleanup

There is no data for Climate Adaption and Mitigation - Demolition or Cleanup.


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Institutional and Engineering Controls

U


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Redevelopment and Other Leveraged Accomplishments

There are no current redevelopment activities.


Number of Redevelopment Jobs Leveraged:
Actual Acreage of Greenspace Created:
Leveraged Funding:


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Climate Adaption and Mitigation - Redevelopment

There is no data for Climate Adaption and Mitigation – Redevelopment


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Additional Property Attributes

Materials which are friable, or may become friable during demolition or renovation activities are considered Regulated Asbestos-Containing Materials (RACMs) under the USEPA�s asbestos NESHAP regulation (40 CFR 61 M). RACMs must be removed from a structure prior to demolition activities that will impact them. We recommend conducting demolition activities involving painted surfaces in accordance with the requirements of OSHA Lead Exposure in Construction Standard. We also recommend contractor personnel receive a minimum of two (2) hours lead awareness training prior to working at the site. To prevent releases of mercury and mercury vapor, we recommend intact removal of the fluorescent light tubes and the elemental mercury thermostats prior to initiation of demolition activities that may impact them. We recommend appropriate disposal methods, such as careful packaging and transport to a recycling facility. We recommend intact removal of the CRTs by appropriately trained personnel and proper disposal or recycling in accordance with RCRA requirements. We recommend a licensed waste handling contractor conduct the disposal of chemicals and containerized materials in accordance with applicable regulations and prior to demolition. We recommend selective demolition to expose concealed spaces prior to initiation of full-scale demolition activities likely to impact such spaces to assess for the presence of concealed ACMs. If suspect ACMs are encountered in areas not previously assessed, we recommend the material(s) remain undisturbed until their asbestos content is determined in accordance with EPA and OSHA regulations.We recommend selective demolition to expose concealed spaces prior to initiation of full-scale demolition activities likely to impact such spaces to assess for the presence of concealed ACMs. If suspect ACMs are encountered in areas not previously assessed, we recommend the material(s) remain undisturbed until their asbestos content is determined in accordance with EPA and OSHA regulations.
Hazardous


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