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Profile Information

Private
259573
1000 Wellington Street IMPERIAL, NE 69033
2.38
0150048424
40.521080276043 / -101.641593658263
3
Morris, Jennifer
Morris.Jennifer@epa.gov
913-551-7341


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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
Nebraska Department of Environment and Energy4W97798601NESection 128(a) State/Tribal2022


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Assessment Activities at this Property

ActivityEPA FundingStart DateCompletion DateCAAccomplishment Counted?Counted When?
Phase I Environmental Assessment$9,093.0110/05/202301/16/2024Nebraska Department of Environment and EnergyYFY24
Supplemental Assessment$8,754.5610/05/202301/16/2024Nebraska Department of Environment and EnergyN


Is Cleanup Necessary? Yes
EPA Assessment Funding: $17,847.57
Leveraged Funding:
Total Funding: $17,847.57


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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
Air
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: 2.38
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



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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 Environmental Site Assessment (ESA) revealed no recognized environmental conditions or vapor encroachment concerns. An asbestos-containing materials (ACM), lead-based paint (LBP), and mold survey was completed concurrent with the Phase I ESA. Asbestos was positively identified in floor tile in several locations, boiler door gasket in the mechanical room, and window seam glazing on the east exterior. All ACM must be properly removed and disposed of prior to any renovations or demolition that will disturb the materials. The red wall on the west side of the boy's locker room tested positive for LBP. If future renovations will damage or disturb the red paint and cause an exposure risk to future occupants, the LBP must be properly abated or encapsulated prior to any renovation work. Laboratory analysis of air samples indicated that the total airborne fungal spore concentrations in the indoor air samples were greater than the total airborne spore concentrations in the outdoor control sample. This suggests there is an indoor source of mold spores. If the building will be renovated and not demolished, all sources of moisture intrusion should be repaired, and building materials with evidence of moisture damage should cleaned and disinfected or removed and replaced by a qualified contractor.
Commercial (2.38)


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