HomeMy WebLinkAboutREPORT Asbestos 1551 S Saint Vrain Ave 2020-05-29Digitally signed by Terry W. Been 2018
Date: 2020.06.01 13:07:02-06'00'
BFI - Tower
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cc#0272 / $70.00
Demolition Notice Application Form Information and Instructions:
1.To determine the proper amount for the application fee, multiply the length of the building
(lineal feet) by the width of the building (lineal feet). Divide the total by 1000, round the result
JJQ to the next whole number and multiply this number by 5$. This is the square footage fee.
Add the square footage fee to the base fee of $50 and submit the total amount to the Division
along with the demolition notice application form.
Ex: 40ft. x 52ft. = 2080 square feet; 2080 / 1000 = 2.08 (round up to 3); 3 x $5 = $15 (square
footage fee) $15 + $50 (base fee)= $65 total application fee.
2.In the event that only a load-bearing member is demolished, the square footage fee is
calculated the same way as in "number 1". However, you only need to calculate the actual
footprint of the load-bearing member.
3.All spaces must be filled in on the application. If the information is not applicable, please write
N/A. Incomplete information may result in a delay in processing the application, which may
delay your project.
4.We must have proposed start and end dates for the demolition.
5.There is a 10 working-day advance notification requirement for permit applications. Day 1 is
the 1st business day following the postmark or hand-delivery date. (Working Day means
Monday through Friday and including holidays that falls on any of the days Monday through
Friday.) If a demolition follows a permitted or noticed asbestos abatement project within 1O
business days of the completion of the abatement project, the 1O working-day advance
notification requirement will be waived.
6.The Colorado-certified asbestos inspector must sign the form in blue ink. (Original signature
must be submitted.) The building owner or the contractor must also sign the application
certifying that all refrigerants and luminous signs have been properly removed from the site.
7.If the notice must be modified after the application has been submitted, notify the Asbestos
Unit by fax at 303-782-0278 or e-mail at asbestos@state.co.us by the end of the next regular
State business day following the modification. Project modifications include discovery of
unidentified asbestos-containing materials, changes in scope of work or the scheduled work
dates. Please use the Permit/Notice Modification Form.
8.Recycling of materials, such as concrete or wood, that are bonded or contaminated with
asbestos-containing material (ACM), such as floor tile or mastic, is NOT permitted.
9.Demolition of a building that has non-friable asbestos-containing materials remaining must be
completed without causing the asbestos-containing materials to become friable. Burning a
building with any asbestos-containing materials is PROHIBITED. Concrete floors covered with
floor tile shall be removed in as large sections as possible. Operations such as crushing,
pneumatic jacking, etc. of materials containing asbestos are not permitted.
10.All provisions of laws and ordinances governing this type of work shall be complied with
whether specified herein or not. Demolition permits or approval notices appearing to give
authority to violate or override the provisions of any other laws or ordinances shall be invalid.
Furthermore, demolition permits or approval notices issued in error or based upon incorrect
information supplied to the Division shall also be invalid.
Form: DNAOR Rov. 01130/0R
EARTH ENERGY ENVIRONMENT (E3) 5366 Godding Hollow Pkwy
Longmont, CO 80504
Local: 303.902-5851
Industrial Hygiene and Environmental Engineering
May 29, 2020
Mr. Lucas Blackman
All Phase Restoration
7355 Greenridge Road
Windsor, CO 80550
Subject: Clearance Report
1551 S St VrainAve
Estes Park, CO 80517
Dear Mr. Blackman:
Following is the project completion report for the work areas located at 1551 S St Vrain Ave in
Estes Park, CO 80517. The purpose of this report is to document this remediation project was
successfully completed, and indoor asbestos amplification was not occurring in the work area. An
Industrial Hygienist for Earth Energy Environment (E3) performed the remediation project
completion inspection and testing procedures.
The remediation work area (Interior Area) was visually inspected in order to confirm the scope of
work was properly followed and completed. The containments were also visually inspected to
verify breaches and/or defects were not present.
Phase Contrast Microscopy (PCM) samples were collected in accordance with the National
Institute for Occupational Safety and Health (NIOSH) method 7400 using cassettes (standard 3
piece, 25 mm dia., 0.8 um MCE filter) purchased from Zefon International, Inc. Asbestos
concentrations in the containment were calculated as airborne fibers per cubic centimeter of air
(Flee). Table 1 provides a summary of the sample numbers, sample volumes, and calculated
concentrations. The National Emission Standards for Hazardous Air Pollutants (NESHAP)
clearance standard is 0.01 Flee.
Visual inspection confirmed that no asbestos-containing debris was observed in the work areas.
The PCM clearance air sample results were all below the NESHAP clearance standard of 0.01
Flee.
Based on the information presented above, E3 concludes the asbestos abatement in the work area
has been successfully completed, and the work area may be reoccupied after build back.