Roux Blog

The Durst Organization Receives BCP Certification

Posted on Jan 30, 2014 11:50:00 AM

Brownfields

Roux Associates is pleased to have collaborated with The Durst Organization to conduct a Track 1 Unrestricted remediation of the Mid Block #57 Project under the New York State Brownfields Cleanup Program. Durst has received a Certificate of Completion from the New York State Department of Environmental Conservation to document approval of the Final Engineering Report, enabling construction of a 711-unit 80/20 residential building on West 57th Street between 11th and 12th Avenues. The remediation, designed and supervised by Roux Associates, included soil excavation and in-situ groundwater

The building is designed by renowned Danish Architect firm BIG-Bjarke Ingels Group and is their inaugural North American project. The unique shape of the building will reshape New York City’s skyline and provide sweeping views of the Hudson River. We are honored to be a part of the redevelopment team for this project.

Roux Associates, Inc. is a professional services firm providing a broad range of consulting and project management services to solve complex environmental issues associated with air, water and land. We have been providing these services to an impressive list of clients nationwide for over 30 years through six offices, which are located in California, Illinois, Massachusetts, New Jersey and New York.

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Topics: Brownfields

US EPA Recognizes & Recommends ASTM 1527-13 Environmental Site Assessment Standard

Posted on Jan 6, 2014 10:37:00 AM

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It’s official.

After months of delays, rumors and speculation, the US EPA has acknowledged that the newly revised ASTM Environmental Site Assessment standard, known as E1527-13, is consistent with the All Appropriate Inquires (AAI) rule. As described in the December 30, 2013 Federal Register announcement, the US EPA amended the AAI rule to reference ASTM E1527-13 as compliant with the standards and practices required to qualify for certain CERCLA liability protections as well as Brownfields grants. In fact, the US EPA now “strongly encourages” and “recommends that environmental professionals and prospective purchasers” use ASTM E1527–13 when conducting AAI compliant Phase I Environmental Site Assessments to identify releases and threatened releases of hazardous substances at commercial and industrial properties.

It is worth noting that while the newly amended AAI rule does not remove reference to the previous ASTM standard (E1527-05), “the Agency’s intent will be to promote the use of the current industry standard and reduce confusion associated with the regulatory reference to a standard no longer recognized as current by ASTM International and no longer marketed by the standards development organization." The US EPA will publish an additional proposed rulemaking to remove the reference to the ASTM E1527–05 standard in the AAI rule sometime in the near future.

Click here for a copy of the Federal Register announcement

Is this a game changer for prospective purchasers seeking liability relief? Technically, no, as the AAI rule remains unchanged and the ASTM’s updated standard only includes “clarifications” and “additional guidance”. However, the “additional guidance” included in the revised ASTM standard emphasizes the need for regulatory agency file and records reviews as well as an assessment of vapor migration that many “Phase I shops” failed to fully consider as a cost saving measure. Interestingly, the US EPA felt it necessary to include an option to “examine the need to further modify the All Appropriate Inquiries Rule (40 CFR part 312) to explicitly require the types of enhanced activities provided for in the updated ASTME1527–13 standard” if these “enhanced activities” are not “being widely adopted”.

Some of the other clarifications and enhancements include:

  • Updated REC definition to be more aligned with AAI requirements;
  • Updated HREC definition to limit the application of HRECs to past releases that have been addressed to unrestricted residential use;
  • Addition of a CREC definition (controlled REC), used for risk-based closures, where contaminants were allowed to remain under certain conditions;
  • Clarification that “de minimis condition” is not to be used to describe a CREC;
  • New definition for “release” and “environment” to better align with CERCLA definitions;
  • New discussion about specific LLP and Brownfield Grantee “User” requirements;
  • Added language to allow non-significant changes to conclusion statement; and
  • Updated non-binding appendices including a revised Legal Appendix and added a “Business Environmental Risk” Appendix to provide references and resource guidance for common Business Environmental Risk issues.

To view the new standards click here.

Roux Associates’ experts have been providing Due Diligence and Phase I services across the United States for over 30 years at urban, suburban and rural commercial and industrial properties. If you would like more information or are interested in a tailored technical brownbag presentation to help you and your organization understand how the amended AAI rule and updated ASTM standard may affect your business click below:

Request For More Info >

Roux Associates, Inc. is a professional services firm providing a broad range of consulting and project management services to solve complex environmental issues associated with air, water and land. We have been providing these services to an impressive list of clients nationwide for over 30 years through six offices, which are located in California, Illinois, Massachusetts, New Jersey and New York.

Visit Our Website

Topics: Brownfields, ASTM