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3.3. SR 11-22-2004
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3.3. SR 11-22-2004
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1/21/2008 8:34:00 AM
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11/18/2004 3:43:17 PM
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11/22/2004
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<br />I <br /> <br />I <br />I <br />I <br />I <br />I <br />I <br />I <br />I <br />I <br />I <br />. <br />. <br />. <br />. <br />. <br />I <br />I <br /> <br />removed for replacement, disposal due to remodeling, or building demolition, PCB- <br />containing ballasts should be properly handled, transported, and disposed of in <br />accordance with PCB regulations. Transport of PCB items should be conducted by a <br />licensed hazardous waste transporter and delivered to a licensed hazardous waste disposal <br />facility permitted to receive PCB items. <br /> <br />. Regulated ozone depleting substances were noted in one refrigerator in the house. Prior <br />to disposal equipment containing ozone depleting chemicals should be drained by a <br />licensed contractor. <br /> <br />. An asbestos-containing materials (ACM) survey was not conducted for the Property. <br />Based on the age of the structure, ACM may exist on the Property. If not demolished <br />by the current landowner, potential ACM may require special handling and disposal by <br />the developer or contractor. Potential ACM include linoleum and associated backing, <br />fabric sheath on wiring, plaster, paint, insulation and wall board. <br /> <br />If the building structures are to be is remodeled or repaired, federal and state laws <br />require the removal of all regulated ACM, which would be affected by the activities, <br />prior to beginning work. The regulated ACM must be removed or repaired following <br />all applicable ACM removal and disposal regulations. In addition, current OSHA <br />regulations require that all ACM must be maintained in good condition. Also, Liesch <br />recommends preparation of an operations and maintenance plan to properly manage <br />existing ACM, if present. <br /> <br />. Historical review and interviews indicate the Property was formerly a farmstead. <br />Because farming activity on the Property reportedly dates back at least eighty years, <br />former storage tanks, wells, septic systems and dumps may have existed on the Property. <br />Agricultural chemical use may also have occurred on the Property during years it was <br />under cultivation. Past farming practices and chemical use are unknown. As such, no <br />indications of environmental impairment were documented during contacts with past <br />occupants, current owners, or environmental regulatory agencies. <br /> <br />. The well, septic system and 500 gallon fuel oil tank require disclosure on real estate <br />transactions. If the well is not abandoned, the well should be tested for nitrates and <br />coliform bacteria prior to sale. <br /> <br />maw:SA/62050/rpt0197. wp <br /> <br />January 1997 <br /> <br />B.A. LIESCH ASSOCIATES, INC. <br />Hydrogeologists . Engineers - Environmental Scientists <br /> <br />. Page 12 . <br /> <br />. <br /> <br />
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