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Profile Information

177444
591 North Wayne Avenue Lockland, OH 45215
.67
641-0001-006 and 641-00001-0054
39.23552 / -84.460285
8
Choi, Christopher
Choi.Christopher@epa.gov
312-353-5006


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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
Village of LocklandBF00E01049OHAssessment2012


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Assessment Activities at this Property

ActivityEPA FundingStart DateCompletion DateCAAccomplishment Counted?Counted When?
Phase I Environmental Assessment$6,364.0009/16/201310/27/2014Village of LocklandN
Phase II Environmental Assessment$16,074.0009/30/201401/12/2015Village of LocklandN
Supplemental Assessment$3,069.0009/16/201310/07/2013Village of LocklandYFY15


Is Cleanup Necessary? Unknown
EPA Assessment Funding: $25,507.00
Leveraged Funding:
Total Funding: $25,507.00


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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


Petroleum Products
Asbestos
Cadmium (Cd)
Chromium (Cr)
Lead
Other Metals
PAHS
VOCs
NOT Cleaned up
NOT Cleaned up
NOT Cleaned up
NOT Cleaned up
NOT Cleaned up
NOT Cleaned up
NOT Cleaned up
NOT Cleaned up
Petroleum Products
Ground Water
Soil
NOT Cleaned up
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: .67
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

Hazardous Materials Assessment was completed on property. We recommend conducting the building demolition activities in accordance with the OSHA Class II asbestos work requirements. If the asbestos-containing flooring materials and mastics will be removed prior to demolition, we recommend a licensed asbestos contractor remove them in accordance with the OSHA Class Ii asbestos work requirements. If the asbestos-containing flooring materials and mastics are removed non-intact, using aggressive, mechanical methods, then they must be removed within a negative pressure environment. Demolition work involving the lead-bearing paints present in the building is subject to the requirements of the OSHA Lead Exposure in Construction standard (29 CFR 1926.62). The lead-bearing paints may pose a human health threat to demolition workers if the paints are subjected to demolition activities that may cause paint particles or dusts to become airborne, or if they are subjected to torch cutting/burning. We recommend conducting demolition activities in accordance with the OSHA Lead Exposure in Construction Standard. We recommend the potentially PCB-containing fluorescent light ballasts, fluorescent light tubes, thermostat with a mercury switch, and containers of chemical products, be removed by appropriately trained personnel prior to demolition and properly disposed or recycled. There are no regulations governing the removal or disposal of mold-impacted materials prior to demolition of a building. However, removal of mold-impacted materials could subject the workers to potential health hazards from inhalation of microbial contaminants. Contractors and subcontractors working on the demolition project should be informed of the potential presence and hazards of fungi/mold and advised to include appropriate management and personnel protection practices in health and safety plans. We recommend employers comply with hazard-specific safety and health standards while working around accumulations of mold or during removal of mold-impacted materials as not to improperly disturb such materials and increase airborne concentration levels. PHII - The concentrations of trichlorofluoromethane in soil gas may pose a risk to future receptors through vapor intrusion to indoor air. A low cost vapor mitigation system may be installed prior to construction of buildings on the Property to mitigate the potential hazard from trichlorofluoromethane vapor intrusion. The concentrations of lead and chromium in the groundwater do not appear to represent a risk to future receptors since the metals are non-volatile. A groundwater use restriction can be implemented that will ensure future receptors will not use the groundwater for potable purposes. Some soil impact is present and before any soil is removed from the property during development, a risk mitigation plan should be prepared to ensure the soils are properly managed or disposed. In addition, a property use restriction should be implemented to limit use of the Property to commercial/industrial purposes. An Environmental Covenant detailing the property use restrictions should be prepared and recorded with the deed.
Hazardous


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