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R2018-94 Authorizing 2nd Amendment to Agreement between the City of Decatur and MDA Properties LLC
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R2018-94 Authorizing 2nd Amendment to Agreement between the City of Decatur and MDA Properties LLC
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7/23/2018 1:44:57 PM
Creation date
7/23/2018 1:44:36 PM
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Resolution/Ordinance
Res Ord Num
R2018-94
Res Ord Title
Authorizing 2nd Amendment to Agreement Between the City of Decatur and MDA Properties LLC
Department
City Manager
Approved Date
7/16/2018
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Birk: 4559 Page: 495 <br /> September 30,2015 <br /> Mr. Billy Tyus <br /> Focused Phase II ESA-151 West Main Street/152 West Wood Street <br /> Page 2 <br /> • There is a potential for release from any chemical storage in the courtyard where the <br /> 55-gallon drum was found on the Property that could negatively impact underlying soil <br /> and groundwater. <br /> Adjacent Property <br /> • There is potential for release of petroleum products from the historical UST used at <br /> 160 West Main Street that could negatively impact underlying soil and groundwater at <br /> the Property. <br /> • There is potential for release of petroleum products from the historical UST used at <br /> 105.123 East Wood Street that could negatively impact underlying soil and <br /> groundwater at the Property. <br /> • There is potential for release of petroleum products from the historical UST used at <br /> 201-235 East Wood Street that could negatively impact underlying soil and <br /> groundwater at the Property. <br /> CREC <br /> There is potential for migration from the historical release of contamination located <br /> 266 West Main Street to the Property that could negatively impact underlying soil and <br /> groundwater. <br /> The ASTM E1527-13 Phase I ESA Standard defines a REC as "the presence or likely presence of <br /> any hazardous substances or petroleum products in, on, or at a property: (1)due to release <br /> to the environment; (2)under conditions indicative of a release to the environment;or(3) <br /> under conditions that pose a material threat of a future release to the environment." <br /> The objective of this Phase it ESA was to determine if soil and/or groundwater on the Property <br /> had been negatively Impacted by the aforementioned RECs by comparing detected parameters <br /> to the established 35 Illinois Administrative Code(IAC)Part 742, Tiered Approach to <br /> Corrective Action Objectives(TACO)Tier 1 soil remediation objectives (SROs)for <br /> industrial/commercial land use(current/future proposed Property land use); the most <br /> stringent groundwater remediation objectives(GROs)for Class I Groundwater; and the Tier 1 <br /> GROs for the Indoor Inhalation Exposure Route-Diffusion and Advection(Tables I and H) . <br /> FIELD ACTIVITIES <br /> On September 16-18, 2015,Ms. Erica Toledo of Fehr Graham mobilized to the Property to <br /> oversee and conduct site investigation activities with two(2)field staff members from Earth <br /> Solutions, Inc. (Earth Solutions), the drilling contractor procured by Fehr Graham. Prior to <br /> drilling activities, Earth Solutions initiated a Joint Utility Locating Information for Excavators <br /> (JULIE)request to identify any public underground utilities in the vicinity of the investigation <br /> areas. Site conditions September 16-18 consisted of partially clear skies with moderate <br /> humidity and an average temperature of approximately 70-80 degrees Fahrenheit. Under the <br /> direction of Fehr Graham staff, Earth Solutions conducted a total of nine(9)soil borings(SBI <br /> through S69)for soil sampling purposes and installed three(3)temporary groundwater <br /> monitoring well (7WI-TW3)for groundwater sampling at pre-selected locations on the <br />
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