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Profile Information

Private
226784
1295 Kenard Street NEW SMYRNA BEACH, FL 32168
9.07
7312-00-00-0020 & 7312-00-00-0320
29.04686 / -80.950183
7
VanPelt , Mary Beth
vanpelt.marybeth@epa.gov
404-562-8615


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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 EdgewaterBF00D12013FLAssessment2013


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Assessment Activities at this Property

ActivityEPA FundingStart DateCompletion DateCAAccomplishment Counted?Counted When?
Phase I Environmental Assessment$4,200.0001/19/201602/04/2016City of EdgewaterYFY17
Phase II Environmental Assessment$35,515.0003/29/201605/03/2016City of EdgewaterN


Is Cleanup Necessary? Unknown
EPA Assessment Funding: $39,715.00
Leveraged Funding:
Total Funding: $39,715.00


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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


Soil
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: 9.07
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

No
No
No
No


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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

A Phase I ESA completed in February 2016 revealed RECs associated with the subject site's former use as an auto salvage facility (potential impacts of petroleum, solvents and metals). A Phase II ESA completed in May 2016 revealed a very limited soil impact of TRPH above residential direct-exposure cleanup criteria (per FAC 62-777) and no groundwater impacts above cleanup criteria. If the property is to be used for residential development, additional assessment/delineation may be warranted; otherwise the finding can be considered a de minimis condition.

Former Use: Auto salvage and residential (adjacent parcel included in study area)
Industry (8.07) Residential (1)
Hazardous & Petroleum


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