Attachment 3 RFP APPENDIX B.pdf
PDF 4 MB Posted
- Attached to
- Ammo Phase III Federal contract opportunity
- Solicitation number
- FA481922R0028
About this file
This document package includes an attachment to a Request for Proposal (RFP) and the related federal contract opportunity. The attachment provides maps, drawings, and project specifics for the repair, restoration, and construction of buildings 7028 and 7042 at Tyndall AFB. It includes site location maps, building plans with key notes describing work items such as replacing doors and ceilings, and fencing requirements. The federal contract opportunity is a design-build project to demolish, repair, and restore interior and exterior elements of buildings 7028 and 7042, or provide a new facility. The design-build team will perform construction and design services as outlined in the statement of work and its appendix. The solicitation was issued by the Department of the Air Force Air Combat Command for the Ammo Phase III project.
View the file
Other files for this federal contract opportunity
Show all 23
On GovTribe
Work with this file on GovTribe
- Download the original file
- Contacts named in this file
- Similar government files
- Ask GovTribe AI about this file
Text version
FA4819-22-R-XXXX
XLWU22-8122/8123/4016
Appendix - B 03 May 22
APPENDIX – B
MAPS, DRAWINGS, AND OTHER PROJECT
SPECIFICS
For
REQUEST FOR PROPOSAL
REPAIR RESTORE AMMO AREA FACILITIES
PHASE 3
BUILDING 7028 -XLWU228123
BUILDING 7042 - XLWU228122
INSTALL FENCE, 7000 AREA - XLWU224016
TYNDALL AFB FLORIDA
Site Location
Repair Restore Ammo Area Facilities Phase 3
Site Location Buildings
0 3,300 6,6001,650 ft
0 1,000 2,000500 m
1:36,112
Sheet #2
Site Location
Buildings
0 825 1,650412.5 ft
0 250 500125 m
1:9,028
Sheet #3
XLWU22-8123
Building #7028 Key Notes
1) Remove and replace overhead doors
2) Remove wall and make necessary repairs to wall, floor and ceiling as needed
3) Remove door and replace door to meet security requirements
4) Strip floor finish and prepare for new finish
Sheet #4
XLWU22-8123
Building #7028 Key Notes
1) Replace ceiling and paint as specified in scope.
2) Provide striping on floor as required for secured space.
Sheet #5
XLWU22-8122
Building #7042
Key Note
1) Install new wall outlined in scope of work
Sheet #6
XLWU22-4016
Building 7028 Fencing Requirement
Key Notes 1). Install fence with drive through access gate
Sheet #7
Drive Gate
Fencing Drive Gates
Fencing
1591635901E Highlight
Building 7042 Fencing Requirement
Key Notes 1). Install fence with drive through access gate
Sheet #8
Drive Gate
Fencing
Mid-Section Fencing Requirement
Key Notes 1). Install fence with drive through access gate
Sheet #9
Fencing Drive Gate
Access Gate
AF FORM 813, 19990901 (EF-V1) Page 1 of 2THIS FORM CONSOLIDATES AF FORMS 813 AND 814.
PREVIOUS EDITIONS OF BOTH FORMS ARE OBSOLETE.
REQUEST FOR ENVIRONMENTAL IMPACT ANALYSIS
SECTION I - PROPONENT INFORMATION
INSTRUCTIONS: Section I to be completed by Proponent; Sections II and III to be completed by Environmental Planning Function.
Continue on separate sheets as necessary and reference appropriate item number(s).
1. TO (Environmental Planning Function)
325 CES/CEIEC
2. FROM (Proponent organization and functional address symbol)
325 CES/CENP
2a. TELEPHONE NO.
850-283-2763
3. TITLE OF PROPOSED ACTION
XLWU224016 Install Fence, 7000 Area
4. PURPOSE AND NEED FOR ACTION (Identify decision to be made and need date)
The Purpose and Need For Action is attached. See Page 2.
5. DESCRIPTION OF PROPOSED ACTION AND ALTERNATIVES (DOPAA) (Provide sufficient details for evaluation of the total action)
The Description of Proposed Action and Alternatives is attached. See Page 2.
6. PROPONENT APPROVAL (Name and Grade) Quentin Morales, GS-12
6a. SIGNATURE 6b. DATE 06 May 22
SECTION II - PRELIMINARY ENVIRONMENTAL SURVEY (Check appropriate box and describe potential environmental effects including cumulative effects) (+=positive effect; 0=no effect; - = adverse effect; U=unknown effect) + 0 - U
7. AIR INSTALLATION COMPATIBLE USE ZONE/LAND USE (Noise, accident potential, encroachment, etc.)
8. AIR QUALITY (Emissions, attainment status, state implementation plan, etc.)
9. WATER RESOURCES (Quality, quantity, source, etc.)
10. SAFETY AND OCCUPATIONAL HEALTH (Asbestos/radiation/chemical exposure, explosives safety quantity distance, bird/wildlife aircraft hazard, etc.)
11. HAZARDOUS MATERIALS/WASTE (Use/storage/generation, solid waste, etc.)
12. BIOLOGICAL RESOURCES (Wetlands/floodplains, threatened or endangered species, etc.)
13. CULTURAL RESOURCES (Native American burial sites, archaeological, historical, etc.)
14. GEOLOGY AND SOILS (Topography, minerals, geothermal, Installation Restoration Program, seismicity, etc.)
15. SOCIOECONOMIC (Employment/population projections, school and local fiscal impacts, etc.)
16. OTHER (Potential impacts not addressed above.)
SECTION III - ENVIRONMENTAL ANALYSIS DETERMINATION
17. PROPOSED ACTION QUALIFIES FOR CATEGORICAL EXCLUSION (CATEX) # ; ORA2.3.7
PROPOSED ACTION DOES NOT QUALIFY FOR A CATEX; FURTHER ENVIRONMENTAL ANALYSIS IS REQUIRED.
18. REMARKS
19. ENVIRONMENTAL PLANNING FUNCTION CERTIFICATION
(Name and Grade) Edwin Wallace, GS-12
19a. SIGNATURE 19b. DATE
MORALES-
PERRYMAN.QUENTIN.L.1090977500
Digitally signed by MORALES-
PERRYMAN.QUENTIN.L.1090977500
Date: 2022.05.06 11:04:32 -05'00'
WALLACE.EDWIN.
BLAIR.1047698347
Digitally signed by
WALLACE.EDWIN.BLAIR.1047698
Date: 2022.05.20 06:58:18 -05'00'
Install Fence 7000 Area, AF Form 813 continuation sheet
4.0 Purpose and Need for Action:
The purpose of the proposed action is to install construction fencing within the 7000 Munition Storage Area.
The action is needed to improve security and eliminate the need to have to escort the contractors that will be working in the 7000 area for demolition, MILCON Construction and FSRM projects.
5.0 Description of the Proposed Action and Alternatives (DOPAA):
Place construction fencing at 3 locations within the 7000 Area: B7028, B7042, from Little Ammo Road to B7022. Construction fencing will not penetrate the ground. Height of construction fencing will be approximately 6 feet. Fencing will maintain access to utilities, fire hydrants, and provide the necessary egress for personnel. Will maintain fire access for roads (min 20' width) and ensure adequate turnarounds are provided for fire vehicles. There will be no grading or grubbing required to place the fence.
7028:
Place approximately 900 LF of construction fencing around B7028 connecting to the existing 7000 Area perimeter fence in two locations.
Additionally, place two gates for vehicle and personnel access opening to the existing roadway.
7042:
Place approximately 900 LF of construction fencing around B7042. Additionally, place two gates for vehicle and personnel access opening to the existing roadway.
Little Ammo Road to B7022:
Place approximately 1,000 LF of construction fencing. Fencing will connect where the perimeter fence terminates on Little Ammo Rd and run the length of the roadway to connect to the perimeter fence North of B7022. Additionally, place three gates for vehicle and personnel access to the existing roadways and generator.
Alternatives Considered:
Construct Type-A, vehicle rated fencing within the same footprint described above. The fence would be 7 ft. tall with 3-strand barbed wire on outriggers, per UFC 4-022-03. A 3/8in aircraft cable run through the fence line would be needed to deter vehicle ramming. Fence posts would extend 4-feet underground and be secured with concrete with a diameter of 1 foot.
Security Forces determined that the alternative was excessive for meeting the security requirements as outlined by Munitions.
No Action Alternative: Status Quo.
If the fence does not proceed forward, munitions would be forced to reallocate escort manpower to meet security requirements, placing excessive demand on 325th Munitions personnel. This would lead to an increase in the construction timeline and potential unacceptable security risk.
5.1 Anticipated Environmental Issues:
None
5.2 Environmental Impacts:
ACUIZ/ Noise:
The proposed actions would result in a localized and temporary increase in noise levels due to construction and demolition. This noise is not expected to be significant. The proposed action would not significantly contribute to the noise levels of the area.
Air Quality:
Tyndall AFB is in an attainment area for National Ambient Air Quality Standard. The FESOP permit for Tyndall AFB will not be violated by the implementation of the proposed project.
Temporary minor exhaust emissions would occur in the immediate vicinity of the construction.
Fugitive dust would be controlled at the sites using best management practices (BMPs), such as periodic watering of cleared areas and stockpiled materials and mulching or vegetative cover for the cleared areas. The air quality in the area would not be significantly impacted by the proposed project; therefore a conformity determination is not required.
Water Resources:
Best management practices for erosion and stormwater control shall be implemented prior to construction activities and maintained at all times during construction to prevent siltation and turbid discharges. Install erosion control measures as necessary along the perimeter of all work areas to prevent the displacement of fill material outside the work area into waters of the United States. Immediately after completion of the final grading of the land surface, all slopes, land surfaces, and filled areas shall be stabilized using appropriate vegetation, degradable mats, barriers, or a combination of similar stabilizing materials to prevent erosion. Methods could also include, but are not limited to the use of staked hay bales, staked filter cloth, sodding, seeding, and mulching; staged construction; and the installation of turbidity screens around the immediate project site. Identify and cover Stormwater structures using protection devices before performing any work. Devices must remain in place until all work is complete and the area has been cleaned and free of construction potential discharges. The erosion control measures shall remain in place and be maintained until all work is completed and the work areas are stabilized.
There shall be no work, storage, or stockpiling of tools, materials (i.e. lumber, pilings, debris) within wetlands, ditches, swales, or elsewhere within waters of the state. Staging areas need to be identified and kept outside of adjacent permitted stormwater ponds and any regulated waters of the state or U.S. All staging areas need to be kept to surrounding uplands only with necessary BMP’s protecting them.
All stormwater conveyance structures shall remain in operable condition and shall not be allowed to deteriorate or otherwise contribute to a water quality violation.
Construction activities shall be conducted in a manner that does not cause or contribute to violations of state water quality standards. All stormwater structures should be identified and protected as necessary. No construction debris or material is authorized to be discharged into any stormwater structure. All structures shall remain clean in serviceable condition.
An FDEP permit maybe required for the installation, maintenance, repair, and removal of underground utility lines, cable, conduit, or pipeline transmitting electricity, communication signals, potable water, raw water, reclaimed water, domestic wastewater, propane gas or natural gas. 62-330.453 within the Florida Administrative Code dictates that a General Permit is needed for Installation, Maintenance, Repair, and Removal of Utility Lines that cross a regulated surface of the state. In this case the ditches/swales maybe considered a regulated surface water.
All electric, gas, water, sewer, and other services lines should be shut off, capped, or otherwise properly controlled, at or outside the building before demolition work is started. In each case, any utility company that is involved should be notified in advance, and its approval or services, if necessary, shall be obtained. Coordinate with the 325 CES/CEIC, GCEC, and Bioenvironmental regarding flushing and water quality sampling prior to and after performing any work.
If it is necessary to maintain any power, water, sewer, or other utilities during demolition, such lines shall be temporarily relocated as necessary and/or protected. The location of all power sources should also be determined, as they can prove especially hazardous during any machine demolition. All workers should be informed of the location of any existing or relocated utility service. Coordinate with the 325 CES/CEIC, GCEC, and Bioenvironmental regarding flushing and water quality sampling prior to and after performing any work.
All material used as fill shall be clean sand/fill dirt/shell material and shall not be contaminated with vegetation, garbage, trash, tires, hazardous waste, or other materials that are not suitable for construction.
A Construction Generic Permit (CGP)/Notice of Intent (NOI) will not be required from the FDEP. Any act or process of developing or improving land, including demolition and renovation activity, which involves the disturbance of soils not limited to, clearing, grading, and excavation that reaches an acre of total disturbed area would require the CGP. This permit is different than an ERP. This permit does include dewatering. If dewatering is needed, please coordinate with the 325 CES/CEIEC, additional permits maybe required.
UFC 3-201-01 – Civil Engineering provides planning, design, construction, sustainment, restoration, and modernization criteria, and applies to the Military Departments, the Defense Agencies, and the DoD Field Activities in accordance with USD (AT&L) Memorandum dated 29 May 2002. This UFC will be used for all DoD projects and work for other customers where appropriate.
Section 3-3.2 – Erosion and Sediment Control states “Design erosion and sediment controls that minimize the discharge of pollutants from earth disturbing activities in conformance with the applicable requirements of the regulatory agency with jurisdiction over the Installation regarding erosion and sediment control. Where requirements do not exist, provide an erosion and sediment control plan in accordance with the requirements of Environmental Protection Agency’s (EPA’s) Construction General Permit.”
This project at a minimum, although no permit is needed, is still required to complete a Stormwater Pollution Prevention Plan (SWPPP) in accordance with the Florida Department of Environmental Protection (FDEP)/EPA standards. Please provide a SWPPP for review. The FDEP has generated a template to be used (https://floridadep.gov/sites/default/files/ConstructionSWPPP.pdf). Work specific Best Management Practices (BMP’s) shall be implemented prior to construction activities and maintained at all times during construction to prevent siltation and turbid discharges. Identify and cover Stormwater structures using protection devices before performing any work. The BMP’s are to be installed along the perimeter of all work areas to prevent the displacement of fill material outside the work area into surface waters, stormwater inlets, etc. Immediately after completion of the final grading of the land surface, all slopes, land surfaces, and filled areas shall be stabilized using approved sod, seeding, degradable mats, staked hay bales, staked filter cloth, barriers, turbidity screens, or a combination of similar stabilizing materials to prevent erosion.
The erosion control measures shall remain in place and be maintained until all authorized work is completed and the work areas are stabilized and verified by USAF personnel.
Soil Impact:
There will be no soil impact associated with this action. If this changes a revised AF Form 813 must be submitted to address potential impacts.
Biological Resources:
The proposed action would occur in a developed area. The nature of the location results in poor habitat for threatened and endangered species. Therefore, the proposed action would not adversely affect any federally-protected species. Proposed action would not be sited in the 100-year floodplain or wetlands.
Cultural Resources Impact:
There are no ground disturbances associated with the proposed undertaking, therefore consultion is not required, has been coordinated with the State Historical Preservation Office and the Native American Tribes. All work should cease and the Cultural Resources Manager should be contacted if archaeological deposits or human remains are encountered. Contractor must be trained on inadvertent discoveries, training pamphlet will be provided.
Hazardous Materials:
A letter of review from 325 CES/CEIEC Must be accomplished prior to commencement of work.
The contractor shall submit TAFB Form 81 (Contractor Questionnaire) and TAFB Form 82 (Chemical Inventory) if applicable (within 10 duty days after the Notice to Proceed is issued), for review.
The Contractor should note that Tyndall AFB is required to report chemicals used such as (but not limited to) compressed gases, adhesives, aerosol cans, sealants, paints, lubricants, oils, cleaners, degreasers, pesticides, Fuels. Copies of manufacturer-specific Safety Data Sheets (SDS) must be attached to TAFB Form 82. These SDSs shall also be readily accessible at the location of each hazardous material. After submission, 325 CES/CEIE will notify the Project Manager and/or CONS of the reportable chemicals and of any special instructions. As directed by the CO, the Contractor is required to submit TAFB Form 83 (Reporting Entry Form) showing material usage monthly until completion of the task order. The CO must be notified of any changes from the original submittal (i.e. new chemical is added, size of container or unit of issue changes or if the manufacturer changes), changes must be submitted using TAFB form 82. An updated letter of review indicating changes will be sent from CEIEC to the Contracting Office before the material can be brought onto the installation. Prime contractors shall be responsible to ensure all sub-contractors comply with this section.
Hazardous Waste:
The Contractor shall identify, characterize, store and dispose of any hazardous waste generated during work in strict accordance with Federal and State guidelines found in the Code of Federal Regulations.
The proposed action may generate small quantities of hazardous materials/wastes. Disposal of hazardous waste must be completed in accordance with Tyndall AFB Hazardous Waste Management Plan. Additionally, management of hazardous waste must be completed in accordance with 40 CFR 260-279. Hazardous waste transportation and disposal shall be coordinated through 325 CES/CEIE. The transportation and disposal facilities shall be approved by 325 CES/CEIE prior to their use. Manifests shall be signed only by 325 CES/CEIE. Drums shall be disposed of within 90 days of placing the first drop in the container.
A Hazardous Waste Determination must be conducted/recorded for any material discarded for this project. The personnel conducting Hazardous Waste Determinations and those individuals who may generate or manage Hazardous Waste must have annual Hazardous Waste Training that complies with 40 CFR 262.17(a)(7).
Solid Waste:
Construction activities associated with the Proposed Action would result in a short-term increase in solid waste generated at Tyndall AFB. The contractor would be responsible for disposing of solid waste in accordance with all federal, state, and local laws.
Digging/Excavation:
Prior to any digging, an excavation permit will be required. An Air Force Form103, BCE Work Clearance Request, will be required. Contractor must submit the SWPPP before Form 103 can be signed by Environmental.
5.4 List of required permits
None
5.5 CATEX Statement
The proposed project will not adversely impact Tyndall AFB environmental attributes; therefore, qualifies for Categorical Exclusions (CATEX) A2.3.7 as defined in 32 CFR 989, Appendix B.
This is “Continuation or resumption of pre-existing actions, where there is no substantial change in existing conditions or existing land uses and where the actions were originally evaluated in accordance with applicable law and regulations, and surrounding circumstances have not changed.”
PROJECT ENVIRONMENTAL REVIEW SHEET
Project Title: Install Fence 7000 Area Project Description:
Project Number:
1. Natural Resources
Reviewed By: _____ewallace________________ Does project affect flora? YES _ ___ NO __X__ Does project affect fauna? YES ____ NO ___X_ Does project affect BASH? YES ____ NO __X__ Does project affect wildlife management area? YES ____ NO _X___ Does project affect forestry management area? YES ____ NO _X___ Does project affect erosion? YES ____ NO _X___
2. Threatened and Endangered Species Reviewed By: _____ewallace________________ _X_ Project has no potential for affecting threatened or endangered species or critical habitats.
__ Based on advice from USFWS or host nation liaison _____, threatened or endangered species in the vicinity of the project will not be affected.
__ Consultation with USFWS underway in accordance with the Endangered Species Act.
__ Formal Consultation with the Regional Director, USFWS completed on ______.
__ Biological Assessment is required. Estimated completion date completion date is ______.
__ Biological opinion issued by USFWS on ______.
3. Cultural Resources Reviewed By: _______ewallace______________ __ Properties affected by project are addresses in a programmatic Agreement that was fully executed with the State Historic Preservation Officer and the ACHP on ______.
__ Project area has not been surveyed for historic properties. Survey requirements are identified in the A-
106 system and the estimated completion date is ______.
_ _ Project area has been surveyed and no historic properties were identified; the State Historic
Preservation Officer was notified by letter dated _ __ Survey identified historic properties but the project will have no effect on them; written concurrence by the State Historic Preservation Officer is dated ______.
_X_ No Ground disturbances, consultation not required.
_ _ Project impacted archeological material. After consultation project can proceed with specific guidelines __ Estimated sate to execute the MOA is _______ or no MOA was developed and the formal comments of the Council are being sought.
_X_Archeological Monitor not required.
__ Appropriate Native American Tribe or Group contacted on _______.
1. Wetlands Reviewed By: ___ewallace__________________ _X_ Project is not sited in a wetland __ Requirements of EO11990 in progress. Estimated completion date is ______ __ Requirements of EO 11990 completed on ____.
__ Other
2. Flood Plain Reviewed By: ____ewallace_________________ _X_ Project is not sited in a 100-year flood plain.
__ Requirements of EO 11990 in progress. Estimated completion date is ______ _ _ Project is sited in a 100-year flood plain. Requirements of EO 11990 completed on ______ Finding of "No Practicable Alternative signed 18 April 2001______
3. Potentially Regulated Substances Reviewed By: __ewallace___________________
a. Water:
__ Construction permit required for extension of water system per 62.555, FAC.
_X_ No permit required because less than 2 in. diameter pipe and less than 100 if extension.
__ Backflow preventer(s) required. Must be field tested by licensed inspector upon installation.
__ Sprinkler system must have rain sensor device per FS 373.62.
__Well drilling/mod/abandonment must be conducted by a licensed contractor. Permit required per 4OC-3, FAC.
__ Other: No water required for this project.
b. Wastewater:
__ Construction permit required to connect to collection system per 62-600, FAC.
__ No permit required per 62-604.1 10 (single facility, gravity service connection, no pretreatment, compatible discharge) X__ Other: No Wastewater required for this project.
c. Stormwater:
__ Environmental Resource Permit required from: __FDEP_____________
a. Creates more than 4,000 s.f. impervious surface subject to vehicular traffic;
b. Creates more than 5,000 s.f impervious surface; or
c. Project affects 5 acres or more (includes recreation areas, golf course, ball fields, etc.)
__ Site included in station stormwater master plan; permit required but may access existing stormwater treatment system. (Basin no. __________ pond no._________ ; approx ________________ s.f.)
__ NPDES 1-acre site; construction contractor must obtain permit and implement Stormwater Pollution Prevention Plan.
_X_ SWPPP required.
__ Upon completion site will be included in Base Stormwater Pollution Prevention Plan.
_ _ Other:
d. Asbestos:
_X_ Not present: _________ survey underway.
__ Present, must be abated prior to demolition
e. Lead Based Paint:
_X Not present: _________ survey underway.
__ Present
f. Ozone Depicting Substances:
_X_ Not present: _________ survey underway.
__ Present (describe mitigation, or state why mitigation is not necessary).
g. Polychlorinated biphenyls (PCBs):
X__ Not present: _________ survey underway.
__ Present (describe mitigation, or state why mitigation is not necessary).
h. Other known hazardous or toxic substances and pollutants (e.g. contaminated soils):
_X Not present: _________ survey underway.
__ Present (guidelines attached).
4. Hazardous Materials _X__ Will chemicals (such as, but not limited to, compressed gases, adhesives, aerosol cans, sealants, paints, lubricants, solvents, oils, cleaners, degreasers and pesticides) be used ____ Submit TAFB Form 81 (Contractor Questionnaire) and TAFB Form 82 (Chemical Inventory) 7-10 days upon issuance of the notice to proceed and prior commencement of work on site.
____ Submit copies of manufacturer-specific Material Safety Data Sheets ____ Submit TAFB Form 83 (Reporting Entry Form) at the end of the project or as indicated by CEV.
____ Notify CEV if anything changes from the original submittal (i.e. new chemical is added, size of container or unit of issue changes or if the manufacturer changes).
_ _ Will not use chemicals
5. Air Pollutants
Reviewed By: _____________________ __ Will not be generated by the operation or construction of this facility.
__ Will be generated by the operation or construction of this facility. Describe type and amount of substance expected to be generated, existing control systems, and the need for additional controls.
X__ Conformity determination not required.
__ Conformity determination required.
6. Solid and Hazardous Wastes
Reviewed By: _______________________ X _Facility will not be used for generating/managing solid and/or hazardous wastes.
__ Facility will be for generating/managing solid and/or hazardous waste.
_Yes Will the work being performed on the project generate any wastes?
7. Storage Tanks (Check all that apply)
Reviewed By: _____________________ _X_ No storage tanks are involved.
__ New storage tanks will be installed.
__ Material to be stored, quantity ____________.
__ Existing tanks on the project will be removed. Ensure regulatory agency has been notified.
__ Contamination exists.
__ Contamination unknown.
__ Existing tanks on projects it will be retained.
1. Environmental Impact Analysis Process
_X_ Categorical exclusion number _A2.3.7 applies.
__ Environmental Assessment under preparation. Expected completion date is __________.
__ Finding of No Significant Environmental Impact signed on __________.
__ Draft Environmental Impact Statement (EIS) under preparation. Expected completion date is ________. __ Draft EIS filed on ___________.
__ Final EIS filed on ___________.
__ Record of Decision signed on __________.
__ Foreign nation or protected global resource exemption number ___________ applies.
__ Environmental study (or review underway) under preparation. Expected completion date is __ Environmental study (or review) completed on ___________.
2. Interagency and Intergovernmental Coordination for Environmental Planning
Reviewed By: _______ewallace______________ X__ Coordination of proposed project with the state Single Point of Contact or other agencies is not required.
__ Coordination with the state Single Point of Contact is in progress. Expected date of completion is __ Proposed project was coordinated with the state Single Point of Contact or other agencies on _
3. Environmental Permits
Reviewed By: ____ewallace_________________ X_ No permits are required unless dewatering is needed.
__ No permits required but regulatory agency notification required prior to construction (e.g.
underground storage tank removals).
__ Permits are required for this project.
1. Environmental Restoration Program (ERP)/Petroleum Contamination (PCA)
_X_ Facility is not sited on or near an ERP/PCA site.
__ Facility is sited near an ERP/PCA site.
__ Facility is within the boundary of an IRP/PCA site.
__ The following activities must be coordinated with the IRP Manager:
excavation, sampling, and 40 hour H&S training.
__ The site is projected to be remediated and/or closed out on _________, prior to commencement of construction activities.
__ The nature of the site contamination does not preclude the type of construction activity proposed.
__ There is a Compliance Agreement associated with this site.
__ A Remedial Investigation/Feasibility Study was completed on _______ to accurately delineate the aerial extent of the contamination.
14. Comments
Site Diagram - Install Fence, 7000 Area
0 420 840210 ft
0 125 25062.5 m
1:4,514
Proposed Construction Fence!
Perimeter Fence
Wetland Area
Environmental Restoration Sample Location Point
Building
May 3, 2022
Proposed Gates
1, ft ft ft
| Blank Page |
| Blank Page |
| Blank Page |
| Blank Page |
| Blank Page |
File details come from the government source that posted it. Updated .