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2017-06-13-minutes-solid-waste
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2017-06-13-minutes-solid-waste
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Last modified
5/12/2020 1:49:00 PM
Creation date
5/12/2020 1:47:43 PM
Metadata
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Meeting
Date
8/1/2017
Meeting title
Commissioners' Agenda
Location
Commissioners' Auditorium
Address
205 West 5th Room 109 - Ellensburg
Meeting type
Regular
Meeting document type
Supporting documentation
Supplemental fields
Alpha Order
a
Item
Approve Minutes
Order
1
Placement
Consent Agenda
Row ID
38579
Type
Minutes
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RJLCRt.JM <br />environmental consulting <br />The scope of Fulcrum's HBM inspection will include significant destructive sampling intended to evaluate <br />building structure for the presence of hidden materials. Fulcrum's inspection will include asbestos <br />containing materials (ACM), lead containing materials (LCM), lighting and electrical components (LEC), <br />refrigerant containing systems (RCS) with ozone depleting compounds and lubricating oils, and <br />polychlorinated biphenyl containing (PCB) caulks and sealants. <br />The following sections review hazardous materials identification inspections for ACM, LCM, LEC, and <br />RCS. Fulcrum's inspection will consist of the following: <br />Asbestos Identification <br />Asbestos identification consists of three separate tasks of investigation: an Initial Inspection, a Design <br />Inspection, and sampling completed during abatement, renovation, or demolition. However, given the <br />immediacy of unit demolition, Fulcrum will seek to complete all ACM inspection during a single event <br />using destructive investigation techniques. <br />Asbestos inspections completed prior to renovation or demolition requires a more exhaustive search for <br />ACM than an Asbestos Hazard Emergency Response Act (AHERA) inspection. The purpose of the report <br />is to comply with Occupational Safety and Health Administration (OSHA) 29 CFR 1926.110 1, National <br />Emissions Standard for Hazardous Air Pollutants (NESHAP) 40 CFR Part 61, and Washington Labor and <br />Industries, Division of Occupation Safety and Health (DOSH) WAC 296-62-077. These regulations require <br />the owner to inspect a facility for ACM presence prior to undertaking a construction, remodel, renovation, <br />maintenance, or demolition project, and to provide inspection results to affected contractors or employees. . <br />Based on our experience with similar projects, the following assumptions are inherent in arriving at our <br />cost estimate: <br />1. The asbestos inspection will be conducted by an AHERA accredited Building Inspector (regulatory <br />requirement). <br />2. A minimum of three (3) samples analyzed as non -detect for asbestos will be required to document <br />a suspect material is non -ACM. <br />3. Where the quantity of material is small, the inspector may determine that less than three samples <br />are sufficient to characterize a material. <br />4. Fulcrum will not repair sampling locations or substantial damage created during destructive <br />investigation. <br />5. Fulcrum will request that the laboratory analyze to "first positive" with a 5 -day turnaround time. <br />6. Fulcrum will complete sampling of the building roof system. Roof sampling locations will not be <br />repaired. <br />Results will be summarized in the Hazardous Building Materials Inspection report. <br />r.. <br />R 509.574.0839 F. 509.575.8453 <br />24 Units at Shady Brook Mobile Village 2 406 North 2nd Street <br />Pre -Demolition Hazardous Building Materials Inspection Yakima, Washington 98901 <br />efulcrum. net <br />
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