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<br />. <br /> <br />. <br /> <br />. <br /> <br />The source of identified subsurface impacts at the site is the historic use of one of the rental units as a dry cleaner and coin- <br />operated laundry facility (3343 NE 17th Street). The noted address has housed dry cleaning operations and coin laundry services <br />since the development of the property with the current tenant in operation since 2002. The facility has a new closed-loop dry <br />cleaning machine installed in 1997. Tetrachloroethene (peE) is the only reported dry cleaning solvent used at the site. <br /> <br />The most recent Title V General Permit facility inspection (7/22/02) conducted by Sarasota County Environmental Services found <br />the facility to be in compliance with the requirements of FDEP Rule 62-213.300, Florida Administrative Code for the period of <br />August 3,2001 to July 22,2002. A Hazardous Waste Compliance Assistance Visit was conducted by the Florida Department of <br />Environmental Protection Division of Waste Management on March 9, 2000. The purpose of the visit was to assess the level of <br />compliance with federal and state regulations governing the management of hazardous waste. Three areas of concern were <br />identified during the visit. The first issue pertained to the secondary containment requirements for all peE and peE-containing <br />wastes. The facility was notified that containment should be capable of holding up to 110% of the volume of the largest container <br />stored within it. <br /> <br />The second issue related to waste manifesting to verify that wastes were received and accepted at an approved disposal facility. <br />The third issue pointed out that separator water from the dry cleaning machine must either be disposed of as a hazardous waste <br />or properly treated through an approved carbon filtration system prior to disposal through misting or evaporating. A follow-up <br />inspection was scheduled within 120 days of March 9, 2000. Documentation pertaining to the re-inspection was not available at <br />the state office. Northeast Plaza Venture I, LLC notified the new dry cleaner tenant of their requirement to comply with all <br />stipulations of the lease pertaining to compliance with environmental laws and insurance. <br /> <br />A Mobil gasoline station is situated adjacent to the site in a small parcel cut out of the southwest corner of the subject property. <br />The Mobil station is undergoing active remediation for a petroleum hydrocarbon release from an unleaded gasoline product <br />delivery line discovered March 3,1987. The release migrated onto the subject property and remedial action is being performed in <br />response to the release. A groundwater pump and treat system along with soil vapor extraction has been implemented. <br />Remediation is currently proceeding under the petroleum reimbursement program for the state. Groundwater monitoring is <br />expected to continue until the state issues a "no further action" letter. Liability for the cleanup of the petroleum release will remain <br />with Mobil or their successors. <br /> <br />(1) FIRM NAME <br />a. Shaw Environmental, Inc. <br /> <br />25. FIRMS FROM SECTION C INVOLVED WITH THIS PROJECT <br />(2) FIRM LOCATION rCitv and State) <br />Clermont, Miami Lakes FL <br /> <br />ROLE <br />Prime <br /> <br />STANDARD FORM 330 (6/2004) PAGE F-2 <br />