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Tag Archive for IEPA

January 13th, 2017

Tier II Reports (aka: Community Right-to-Know Reports) Due March 1st

iemaEach year, facilities with hazardous chemicals on hand must submit Tier II (Community Right-to-Know) forms by March 1st for the previous calendar year.  The Illinois Emergency Management Agency (IEMA) requires submission electronically using their Tier II Manager program.  Printed copies must also be submitted to the facility’s Local Emergency Planning Committee (LEPC) and fire department.

Submission of Tier II form is required under Section 312 of the Emergency Planning and Community Right-to-Know Act of 1986 (EPCRA). The purpose of this form is to provide State, local officials, and the public with specific information on potential hazards. This includes the locations, as well as the amount, of hazardous chemicals present at your facility during the previous calendar year.

Tier II reports must include:

  • Details of the types and quantities of chemicals stored on site, above reporting thresholds.  Most chemicals have a minimum reporting threshold of 10,000 pounds. Extremely Hazardous Substances (EHSs) must be reported above 1 – 500 pounds, depending on the substance. Any quantity of phosphorus, for example, must be reported on the Tier II forms.
  • Type and location of storage container
  • A detailed site plan that meets minimum mapping requirements
  • Electronic Safety Data Sheets (SDSs)
  • Emergency contact information

If you need assistance completing your facility’s Tier II report, contact Gabriel’s Consulting Department at 773-486-2123 or WaterDept[at]gabenv.com.

July 21st, 2016

Illinois UST cleanup fund authorized in state budget

Cleanup funds are again available to help tank owners in Illinois investigate and cleanup contamination caused by leaking USTs (underground storage tanks)

The Illinois budget impasse had frozen the UST Fund since July 1, 2015.  Tank owners andIMG_0260 operators pay into this Fund with every gallon of petroleum product they purchase.  The Fund is then available to help investigate and cleanup any leaks or spills from these underground storage tanks.

Tank owners had continued to pay into this Fund while Illinois lawmakers failed to agree on a state budget, but the Illinois Comptroller lacked authority to issue checks from the Fund without a state budget.

The Illinois stopgap budget passed on June 30th re-authorizes payments from this cleanup fund to be issued, clearing the way for the Comptroller to send over $20 million to tank owners for currently approved reimbursement claims.  Cleanups in process should also have access to this fund, since the budget authorizes up to $60 million to be issued from the UST Fund.

If you have any questions about the UST Fund or the cleanup process, contact Nancy Valenta at 773-617-1046 or nvalenta{at}gabenv.com.

July 6th, 2016

Phase I Environmental Site Assessment Spotlight: HREC

One of the major changes to the Phase I Environmental Site Assessment ASTM standard (E1527-13) is the enhanced definition of a REC (Recognized Environmental Condition).  ASTM added the term CREC (Controlled REC), in addition to the previously defined REC and HREC (Historical REC).

An HREC property is one that was previously deemed to have potential or actual contamination, but has since undergone remediation that meets current standards of cleanup.  An HREC site is not subject to any land use restrictions.

Case Study

Gabriel was conducting a Phase I in Chicago of a former machine IEPA-logoshop. The site was identified on the regulatory database search as an SRP (Site Remediation Program) site.  SRP is a voluntary cleanup program run by the Illinois EPA.  The IEPA is authorized to issue No Further Remediation (NFR) letters to the Remedial Applicants who have successfully demonstrated, through proper investigation and possible remedial action, that environmental conditions at their remediation site do not present a significant risk to human health or the environment.

This site received an NFR letter with no use restrictions or engineered barriers required.  Since the site clean-up, the property has been unoccupied and no longer has any hazardous substances on the premises.  Therefore, the previous contamination caused by past operations of the occupant represent an HREC for the site.

If you have questions about how Gabriel determines if an environmental condition is an HREC, contact Natalie Neuman, Group Leader Assessment Services, at 773-486-2123 or nneuman{at}gabenv.com.

October 1st, 2015

Midwest Environmental Compliance Conference

MECC-rotate-gif

 

The first annual Midwest Environmental Compliance Conference (MECC) will be held October 29-30th at the Chicago Marriott O’Hare and will focus on EPA’s Region 5 (Illinois, Indiana, Michigan, Minnesota, Ohio, Wisconsin, and 35 tribes).

MECC events are hosted by state business and manufacturing associations and supported by U.S. EPA and State Agencies. These Midwestern environmental conferences:

  • Provide an insider perspective on key regional issues
  • Offer valuable, up-to-date information on rapidly-changing areas of regulation and law
  • Create a forum for valuable networking with regulators, clients and potential clients/customers
  • Foster meaningful, professional conversation with federal, state and local regulators
  • Deliver great speakers and thought leaders with unique insights, real experience, and a seasoned perspective
  • Provide an environmental “boot camp” training opportunity for those relatively new to environmental compliance and permitting or new to a particular environmental medium

 

Chicago’s conference will include sessions featuring administrators from U.S. EPA and state environmental agencies, including Illinois Environmental Protection Agency (IEPA), Indiana Department of Environmental Management (IDEM), and Wisconsin Department of Natural Resources (WDNR).

Some of the conference sessions will discuss:

  • U.S. EPA Regional Priorities
  • Emerging Water Issues
  • Hot Topics in Remediation and Waste Materials Management
  • Regional Air Issues Roundtable
  • Compliance Auditing

More information, the conference schedule, and registration can be found at mecconference.com.

May 7th, 2015

UST Fund Available to New Property Owners

Prior to 2006, any individual, partnership or corporation who bought a property in Illinois with an existing Leaking Underground Storage Tank (LUST) Incident would not be eligible to access the UST Fund to complete the clean-up of the site.  Only the original owner/operator of the tanks and Incident were eligible.

Effective January 1, 2006, however, Illinois EPA amended its rules to allow new property owners this same access to the UST Fund.  This rule change was intended to encourage redevelopment of brounderground storage tankwnfields and other potentially contaminated sites.

UST Fund

The State of Illinois maintains a UST Fund to help investigate and clean up eligible leaking tanks through the Illinois EPA’s LUST Program.  Tank owners finance this UST Fund with a $0.003 per-gallon motor fuel tax and an $0.008 per-gallon environmental impact fee.  Since its inception in 1989, this UST Fund has reimbursed tank owners more than $800 million in site investigation and clean-up costs.

Tank owners are assessed a deductible for each Incident ($5,000 / $10,000 / $15,000 / $50,000 / $100,000), depending on the date of tank registration and date of LUST Incident.  Most site investigation and clean-up costs above that amount should be eligible for reimbursement from the UST Fund if activities are conducted in accordance with plans and budgets approved by the Illinois EPA.

If you have questions about how to transfer UST Fund eligibility to a new owner, contact Nancy Valenta at 773-486-2123 or nvalenta[at]gabenv.com.

More information about this new owner eligibility can be found on the IEPA’s Public Act 94-0274 webpage.

More information about how Gabriel can help you with LUST closure can be found on our LUST Services webpage.

April 1st, 2015

Phase I Environmental Site Assessment Spotlight: Government Records Review

During the course of a Phase I Environmental Site Assessment, Gabriel reviews government records from a variety of federal, state, local, and tribal agencies.  We will review all pertinent records available, including, but not limited to: underground storage tanks (USTs); hazardous materials stored, used or disposed; environmental violations; building permits; occupancy permits; fire inspection records; construction permits; demolition permits; and closure projects.

These records help us determine if hazardous substances or petroleum products are currently or were previously located on the site.

Case Study

Recently, Gabriel was conducting a Phase I ESA at an auto repair facility in Chicago.  The current owner/occupant did not have any knowledge of USTs on the property.  osfm

However, during a search of Illinois Office of the State Fire Marshal (OSFM) and Chicago Department of Public Health (CDPH) records, it was discovered that three tanks were installed at the property between 1972 and 1979, prior to the current owner purchasing the property.  The previous owner had operated the property as a gas station in addition to the repair shop, so a diesel tank, gasoline tank and used oil tank had been installed.

None of these tanks had any record of removal, which means there is a strong likelihood that the tanks are still on site and possibly leaking due to their age and material.

If you have questions about how Gabriel uses government records reviews in our Phase I research, contact Natalie Neuman, Group Leader Assessment Services, at 773-486-2123 or nneuman[at]gabenv.com.

October 21st, 2014

Meet IEPA Director Lisa Bonnett

IWWSG (Industrial Water, Waste and Sewage Group) invites you to join them at their October meeting with Illinois EPA director Lisa Bonnett.  Ms. Bonnett will discuss new initiatives regarding regulation, enforcement, and enhancements of the programs within the Agency’s mission.

Wednesday, October 22, 2014

5:00 pm – 9:00 pm

Union League Club

65 W. Jackson Blvd, Chicago, IL

$65 non-members/ $55 members

Register online