Cleanup Activities
There are no current cleanup activities.
Cleanup/Treatment Implemented:
Y
Cleanup/Treatement Categories:
Addl Cleanup/Treatment info:
On December 2, 2022, PM advanced five soil borings (SB-1 through SB-5), installed two temporary monitoring wells (TMW-1 and TMW-2), that produced water, to a maximum depth of 14.5 feet below ground surface (bgs), and collected soil and groundwater samples for laboratory analysis to assess the RECs identified in PM's Phase I ESA.
A total of fifteen soil, including two duplicates, and three groundwater samples, including one duplicate, were submitted for laboratory analysis of volatile organic compounds (VOCs), polynuclear aromatic hydrocarbons (PAHs), and metals (cadmium, chromium, copper, lead, and/or zinc).
No VOC, PAH, or metal target analytes were detected in the soil samples analyzed at concentrations above the EPA RSLs for Industrial Soil. The detected analytes in the soil samples are summarized on Figure 3 and in Tables 1 and 2.
No concentrations of VOCs, PAHs, or dissolved metals were detected in the groundwater samples analyzed from the subject property at concentrations above the EPA MCL for groundwater. The groundwater samples are summarized on Figure 4 and in Table 3.
The off-site RECs associated with the subject property identified in PM's December 2021 Phase I ESA has been adequately assessed. Based on the expected continued use of the property for commercial purposes, no further investigation is warranted.
However, Frost Environmental Services, LLC (FES) was contracted to perform an ACM survey for the subject property to assess the BER identified during PM's Phase I ESA. FES performed the survey on December 13, 2022. As part of the survey, 17 samples were collected from the identified suspect ACM. The ACM report was presented as Appendix C of the abovereferenced Phase II ESA. The purpose of the survey was to determine if ACMs were present in the building materials.
The ACM inspection was performed in accordance with Environmental Protection Agency (EPA)/National Emission Standards for Hazardous Air Pollutants (NESHAP), Occupational Health and
Safety Administration (OSHA), and State of Alabama Protocols. A total of 17 samples were collected from the identified suspect ACM. As listed in the table below, the following materials
were determined to be ACM:
* Tan Linoleum Under Non ACM Vinyl Floor Tile Hall and Back Section (900 sqft, 20% Chrysotile)
No other materials analyzed contained detectable amounts of asbestos. PM recommends that the ACM be removed from the structure prior to renovation (if impacted) or demolition. The ACM
must be removed by a State of Alabama certified abatement contractor. All asbestos waste must be sent to an EPA approved landfill.
Address of Data Source:
Total ACRES Cleaned Up: .36
Number of Cleanup Jobs Leveraged:
EPA Cleanup Funding:
Leveraged Funding:
Cost Share Funding:
Total Funding:
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