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Further, as required by the ASTM standard, we ask that copies of previous environmental investigations and <br />audits of the property are made available, as well as other Information related to storage, use, or release of <br />hazardous substances or petroleum products at the site, such as environmental permits, registrations for tanks, <br />material safety data sheets, or waste disposal records, If applicable. <br />Data Evaluation and Report Preparation <br />The Planning CenterlDC&E will interpret the information and data assembled from work scope task Items <br />numbers 1 and 2 above, and will formulate conclusions regarding evidence of RECs at the site and their potential <br />impact on the site. We will prepare three copies of a report summarizing the results of our assessment and <br />discussing our conclusions regarding the potential presence and impact of RECs in connection with the site, <br />based on the work scope described above. <br />Based on Information gathered during Tasks 1 and 2, the report will answer the areas of concern related to: 1) <br />hazardous waste, storage, disposal, or release; 2) pipelines on the properties; 3) geology and hydrogeology <br />beneath the properties and regionally; and 4) air quality and hazardous air emissions from properties within one- <br />quarter mile radius of the subject properties. The report will summarize the findings of the investigations and <br />present recommendations for any additional activities, if warranted. <br />As required by ASTM, our final report will include a statement indicating that the work was conducted consistent <br />with the scope and limitations of the ASTM Standard, and discussing whether RECs were or were not identified <br />in connection with the property. <br />User-Provided Information <br />The ASTM Standard requires disclosure in the Phase I report as to whether the user of the report has specialized <br />knowledge about previous ownership or uses of the property that may be material to identifying RECs, or <br />whether the user has determined that the property's Title contains environmental liens or other information <br />related to environmental condition of the property, including engineering and institutional controls and Activity <br />and Use Limitations, as defined by ASTM. In addition, we are required by the ASTM Standard to inquire whether <br />the user of the report has prior knowledge that the price of the property has been reduced for environmental <br />related reasons. We request that you provide this information to us for inclusion in our report. <br />No subsurface explorations or chemical testing of soils or groundwater will be performed during this <br />assessment. Therefore, our conclusions regarding the evidence of RECs will be based on observations of existing <br />visible conditions, and on our interpretation of site history and site usage information. Further, our conclusions <br />regarding the presence of hazardous substances and petroleum products may not be applicable to areas <br />beneath existing structures, unless specific subsurface exploration, sampling, and/or testing information is <br />available and reviewed by us for such areas. <br />The ASTM E 1527-05 Standard includes the following list of "additional issues" that are non-scope considerations <br />outside of the scope of the ASTM Phase I practice: Asbestos-Containing Materials, Radon, Lead-Based Paint, Lead <br />in Drinking Water, Wetlands, Regulatory Compliance, Cultural and Historic Risks, Industrial Hygiene, Health and <br />Safety, Ecological Resources, Endangered Species, Indoor Air Quality, and High Voltage Powerlines. Assessment <br />of these items is not included in our proposed work scope. A limited assessment of the presence of <br />polychlorinated biphenyls (PCBs) is included in the ASTM work scope. Accordingly, our assessment of the <br />presence of PCBs Is limited to those potential sources specified in the ASTM Standard as "electrical or hydraulic <br />equipment known or likely to contain PCBs to the extent visually and or physically observed or identified from <br />the interview or records review. A 50-year chain-of-title will not be provided under this scope of work. It is, <br />however, recommended that the District independently obtain title records to confirm the absence or presence <br />of any environmental liens against the properties. <br />THE PLANNING CENLERiDC&E I PROPOSAL RECRE47IO lAL ANAL VSIS;'AOTENTIAL NEGATIVE DECLARATION FOR A11CFADDEN1ORANGE PARK SITE 13 <br />25A-40