HomeMy WebLinkAboutFile Documents.203 E Hallam St.0174.2018 (10).ARBK 1
HealthSafe Inspections Inc
390 Apple Drive
Basalt CO 81621
970-920-2100
Jim Baker
CDPHE Asbestos Building Inspector, Asbestos Air Monitoring Specialist (AMS) &
Project Designer Certification #13437
CDPHE Lead-Based Paint Inspector & Lead Hazard Assessor Certification #23607
ASBESTOS REPORT
DATE
05/15/2018
CLIENT
Styslinger
c/o C. Barnes Construction, LLC.
PO Box 9993
Aspen CO 81612
PROJECT PROPERTY ADDRESS
203 East Hallam Street, Aspen, Colorado 81611
CLIENT BACKGROUND
The Client, Styslinger, is planning to penetrate through a southeast bedroom closet
ceiling-roof to access the flat roof with a staircase. They also want to re-orient a lighting
feature in the basement billiard room. Both require disturbing, removing and disposing of
drywall materials and plaster—suspect asbestos containing materials. C. Barnes
Construction, LLC., the Client’s general contractor, hired HealthSafe Inspections, Inc.
(hereinafter, HealthSafe) to perform the required asbestos inspection.
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Please note that this report is not intended for estimating purposes. Measurements
provided in this report are for the sole purpose of determining numbers of samples
required per suspect material. Contractors or subcontractors will have to do their own
surveys and inspections for their own estimating.
VISUAL INSPECTION & LABORATORY FINDINGS
An inspection was conducted by Jim Baker of HealthSafe on May , 2018. Suspect
ACM/ACBM (drywall materials only) were identified and sampled. Samples of each
homogeneous miscellaneous material were collected in opposite diagonal corners or
opposite sections or rooms; in the case of surfacing materials, samples were collected
randomly—considering different sections of walls and ceilings and different rooms or
locations where each homogeneous material was applied. No two samples were collected
next to the other. This inspector did his best to get a broad representative of each
homogeneous miscellaneous and surfacing material without bias of locations. Those
materials collected and analyzed by PLM analysis are the following:
1. Venetian Plaster Surfacing Material/Texture: a homogeneous trowel-applied
surfacing material/texture [samples 1-3: P-C/W-T-1,2,3]. This surfacing
material/texture is on ceilings and walls of the house interior, samples collected
from the slated disturbance locations. The estimated surface area is more than 10
sf, but less than 1,000 sf, requiring a minimum of at least three surfacing/texture
material samples. The EPA 600 method PLM analytical estimated results: NONE
DETECTED.
2. Joint Compound: a homogeneous miscellaneous seam taping compound
requiring at least two samples [samples 4-5: P-C/W-JC-1,2]. The PLM analytical
estimated results: NONE DETECTED
3. Gypsum Wallboard/Drywall System: a homogeneous taped and joint
compounded drywall system with gypsum wallboard panels, trowel-applied joint
compound and tape (classified as a miscellaneous material as a complete integral
system) [sample 6: P-C/W-J]; these composite layered taped and joint
compounded drywall materials are on ceilings and walls of the house interior with
a plaster surfacing material/texture, The EPA 600 method PLM analytical
estimated results: NONE DETECTED.
There were no other additional suspect asbestos building materials to sample which were
slated to be disturbed, removed or disposed of in the above-mentioned changes. A total of
6 suspect homogeneous ACM/ACBM bulk samples were collected and 6 samples were
analyzed. The bulk samples were analyzed by EPA 600 PLM analytical methods by a
NVLAP accredited laboratory in accordance with Colorado State Regulation 8 for the
presence of asbestos mineral fibers. There is NO asbestos in all 6 samples analyzed.
See supporting Hayes Microbial Consulting, Inc. data report #18014719.
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3
HEALTHSAFE CONCLUSIONS
There is NO asbestos in any of the suspect building materials slated to be impacted by the
bedroom closet penetration to the roof and the basement billiard ceiling changes. NO
asbestos abatement will be required. All building materials needing to be removed or
disturbed can be dealt with without the concerns for asbestos fibers. All building waste
and debris can be disposed of in any landfill which accepts normal, non-hazardous
building waste.
Sincerely Submitted,
Jim Baker
COLORADO & FEDERAL ASBESTOS REGULATIONS SUMMARY
Regulation No. 8 Part B – Asbestos of the Colorado Department of Public Health and
Environment (CDPHE), Air Quality Control Commission requires a State-certified
Asbestos Building Inspector to inspect and collect bulk samples of all suspect asbestos
containing materials (ACM) or suspect asbestos containing building materials (ACBM)
prior to their disturbance, removal or demolition and disposal. The suspect materials shall
be analyzed by a NVLAP accredited laboratory by polarized light microscopy (PLM)
using EPA 600 analytical method. A material which is estimated to contain more than 1%
asbestos is classified as ACM/ACBM and regulated by the State and Federal
governments. Any friable (able to crush or reduce to powder by finger pressure) asbestos
with trace amounts of asbestos fibers or less than 1% must be point-counted using EPA
400 analytical method to prove that it is indeed less than 1%; if not, it must be classified
as ACM/ACBM and shall be treated as a State and Federal regulated material. Any
friable asbestos containing material (greater than 1% asbestos concentration) or
ACM/ACBM that could be rendered friable during its removal or demolition and disposal
shall require an asbestos abatement by a certified asbestos abatement contractor to
remove and dispose of the material(s).
A Colorado State (CDPHE) issued asbestos abatement permit is required for the
following trigger levels of ACM/ACBM:
1. Residential buildings of four or fewer units--if more than 32 square feet of any
surface coverage (e.g., gypsum wallboard or drywall and associated applied surfacing
materials/textures, acoustic sprays, joint compounds, plaster, etc.), 50 feet of asbestos
covered or asbestos insulated pipe or any material which would fill a 55-gallon drum is
going to be disturbed, removed or disposed of, an asbestos abatement permit is required.
2. Residential complexes with more than four residential units, public access areas to a
residential building, commercial and retail buildings, public and civic buildings,
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industrial buildings--if more than 160 square feet of surfacing materials, 260 linear feet
or more than 35 cubic feet (NESHAP) or 55-gallon drum (CDPHE) of suspect
ACM/ACBM is going to be disturbed, removed or disposed of, an asbestos abatement
permit is required under NESHAP and by the CDPHE. See note below on OSHA.
The regulations require an absolute minimum of 3 samples (EPA suggests 9) per
homogenous suspect surfacing and TSI materials and an absolute minimum of 2 samples
of homogenous miscellaneous materials or any number of “samples sufficient to
determine whether a material is ACM” (Reg8.IV.D.3). More samples are required based
on surface area or volume. These are minimums; the asbestos building inspector has the
field responsibility to determine homogenous materials and the number of samples to
collect per material; more than the minimum number of samples may be necessary at the
discretion of the inspector. An assessment of friability and functional space conditions of
the materials are also the inspector’s field responsibilities.
OSHA compliance is required for all employers and employees no matter the
quantity of asbestos present with strict regulations regarding 10 sf or more of TSI or
friable surfacing materials, and therefore it does not matter what the quantity or
State trigger levels are: all suspect ACM/ACBM shall be inspected and tested for
asbestos prior to their disturbance, removal and disposal for worker protection and
safety. See EPA 40 CFR 763.121 Worker Protection Rule, OSHA 29 CFR 1910.134
Respirator Protection Standard, OSHA 29 CFR 1910.1001 General Industry Standard and
OSHA 29 CFR 1926.1101 Construction Standard regulations when dealing with asbestos
hazards.
Note: County or City regulations may be more stringent.
06/27/2018
HMC #18014719
contact@hayesmicrobial.com
http://hayesmicrobial.com/
Analysis Report prepared for
HealthSafe Inspections
390 Apple Drive
Basalt, CO. 81621
Phone: 970-920-2100
Job Name: Styslinger C/O C. Barnes Construction
203 E. Hallam Street
Aspen, CO 81611
Date Sampled: 05-10-2018
Date Analyzed: 05-15-2018
Report Date: 05-15-2018
EPA Laboratory ID# VA01419
NVLAP Lab Code: 500096-0 Asbestos License: 300435 License: #PH-0198
Page 1 of 4
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HMC #18014719
HealthSafe Inspections
390 Apple Drive
Basalt, CO 81621
May 15, 2018
Client Job Number:
Client Job Name:Styslinger C/O C. Barnes Construction
203 E. Hallam Street
Aspen, CO 81611
Dear HealthSafe Inspections,
We would like to thank you for trusting Hayes Microbial for your analytical needs. On May 14, 2018 we received 6 samples by FedEx for the job
referenced above. 6 samples were received in good condition.
The results in this analysis pertain only to this job, collected on the stated date and should not be used in the interpretation of any other job. This report
may not be duplicated, except in full, without the written consent of Hayes Microbial Consulting, LLC.
This laboratory bears no responsibility for sample collection activities, analytical method limitations, or your use of the test results. Interpretation and
use of test results are your responsibility. Any reference to health effects or interpretation of mold levels is strictly the opinion of Hayes Microbial
Consulting. In no event, shall Hayes Microbial Consulting or any of its employees be liable for lost profits or any special, incidental or consequential
damages arising out of your use of the test results.
Steve Hayes, BSMT(ASCP)
Laboratory Director
Hayes Microbial Consulting, LLC
Page 2 of 4
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HMC #18014719
EPA 600/R-93, M-4/82-020 (PLM)HealthSafe Inspections
390 Apple Drive
Basalt, CO 81621
Phone: 970-920-2100
Job Number:
Collected by:
Email:
Jim Baker
healthsafeinspections@gmail.com
Job Name:Styslinger C/O C. Barnes Construction
203 E. Hallam Street
Aspen, CO 81611
Date Collected:
Date Received:
Date Reported:
05/10/2018
05/14/2018
05/15/2018
#Sample Name Description Asbestos Fibers Other Fibers Non- Fibers
1 1 P-C/W-T-1 Texture / White
(None Detected)
(None Detected)
100 %
2 2 P-C/W-T-2 Texture / White
(None Detected)
(None Detected)
100 %
3 3 P-C/W-T-3 Texture / White
(None Detected)
(None Detected)
100 %
4 4 P-C/W-JC-1 Joint Compound / White
(None Detected)
(None Detected)
100 %
5 5 P-C/W-JC-2 Joint Compound / White
(None Detected)
(None Detected)
100 %
6 6 P-C/W-J Drywall / White/Brown
(None Detected)
12 % Cellulose fibers
88 %
Layer 2 P-C/W-J Joint Compound / White
(None Detected)
(None Detected)
100 %
Signature: Date:05/15/2018 Reviewed by: Date:05/15/2018
Page 3 of 4
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HMC #18014719
Asbestos - Additional InformationHealthSafe Inspections
390 Apple Drive
Basalt, CO 81621
Phone: 970-920-2100
All samples were received in acceptable condition unless otherwise noted on the report. The Report must not be used by the client to claim product certification, approval, or
endorsement by: AIHA, NIST, NVLAP NY ELAP, or any agency. The results relate only to the items tested. The results include an inherent uncertainty of measurement associated with
estimating percentages by polarized light microscopy. Measurement uncertainty data can be provided when requested. None detected: Below the detected reporting limit of 1% unless
point counting is performed, then the detected, reporting limit is .25%. Per NY ELAP198.6 (NOB) TEM is the only reliable method to declare an NOB material as Non-Asbestos
Containing. Hayes Microbial Consulting reserves the right to dispose of all samples after a period of 60 days in compliance with state and federal guidelines.
Signature: Date:05/15/2018 Reviewed by: Date:05/15/2018
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