Attachment 7 - 668-24-102 - Hazardous Survey Report.pdf

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Y1DA--CON-NRM-668-24-102 Replace Windows Building 1 Federal contract opportunity
Solicitation number
36C26026R0011_1
Issued by
Department of Veterans Affairs Veterans Health Administration Veterans Integrated Service Network 20

About this file

This document is an environmental assessment report for asbestos-containing materials (ACM), lead-containing paint (LCP), and mold at the Spokane, Washington Veterans Affairs Medical Center (VAMC) Building located at 4815 N Assembly Street. The survey was conducted by ECS Southwest, LLP in February 2025 and delivered March 5, 2025, as part of a window replacement project involving 477 windows.

The asbestos survey identified one material containing ACM: texture on concrete walls in the C1 Stairwell containing 1.5-2.0% Chrysotile asbestos, classified as nonfriable and in good condition. This material is exempt from NESHAP regulations in its current state but would require EPA-accredited abatement contractor services if renovation activities render greater than 160 square feet friable. The lead paint assessment found 11 of 27 paint samples containing lead above detection limits, with the highest concentrations in purple paint on an 8th floor breakroom metal wall frame (3,500 ppm), white paint on a basement wood frame (47,000 ppm), and white paint on a basement metal wall frame (11,000 ppm). All identified LCP locations are subject to OSHA 29 CFR 1926.62 regulations requiring specific training and work practices for construction personnel. The mold and moisture visual assessment of window replacement areas identified no suspect mold growth or moisture intrusion. The report includes detailed laboratory analysis results, site photographs, certifications for the asbestos and lead inspectors, and recommendations for project design preparation and third-party monitoring during abatement activities if undertaken.

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ASBESTOS-CONTAINING MATERIALS SURVEY,

LEAD PAINT TESTING, AND MOLD ASSESSMENT

SPOKANE, WASHINGTON VAMC BUILDING

4815 N ASSEMBLY STREET

SPOKANE, WASHINGTON 99205

ECS PROJECT NO. 82:1000

FOR: TOLAND MIZELL MOLNAR

MARCH 5, 2025

March 5, 2025 Mr. Paul Anderson Toland Mizell Molnar 512 Means Street NW Atlanta, Georgia 30318

ECS Project No. 82:1000

Reference: Asbestos-Containing Materials Survey, Lead Paint Testing, and Mold Assessment 4815 N Assembly Street, Sanctuary and Adjoining Entry Corridors, Spokane, Washington

Dear Mr. Anderson:

ECS Southwest, LLP (ECS) is pleased to provide Toland Mizell Molnar with the results of the limited asbestos-containing materials and lead-containing paint survey conducted at the Spokane, Washington VAMC Building located at 4815 N Assembly Street in Spokane, Washington. This report summarizes our observations, analytical results, findings, and recommendations related to the work performed.

ECS performed the work described in this report in general accordance with the Scope of Services described in ECS Proposal No. 82:1003 dated January 3, 2025, and revised January 7, 2025, and the terms and conditions of the agreement authorizing those services.

We appreciate this opportunity to partner with Toland Mizell Molnar on this project. If we can assist with the management of renovation activities impacting building materials with lead-containing paint or asbestos or otherwise be of further assistance to you, please do not hesitate to contact us.

Sincerely, ECS Southwest, LLP

Mike Smith Greg Calhoun Environmental Project Manager Environmental Principal

3033 Kellway Drive, Suite 110, Carrollton, Texas 75006 • T:972-392-3222 ECS Florida, LLC • ECS Mid-Atlantic LLC • ECS Midwest, LLC • ECS Pacific, Inc. • ECS Southeast, LLC • ECS Southwest, LLP

ECS New York Engineering, PLLC - An Associate of ECS Group of Companies • ecslimited.com

"ONE FIRM. ONE MISSION."

While not required for disturbance of <160 square feet of this material, ECS recommends the contractor conduct any abatement in accordance with a project design prepared by an EPA-accredited asbestos project designer. ECS further recommends third-party air monitoring during the abatement.

Any disturbance of this ACM texture on the concrete walls is subject to the OSHA Asbestos standard for the construction industry (29 CFR 1926.1101) which regulates workplace exposure to asbestos and requires employee exposure to airborne asbestos fibers be maintained below the permissible exposure limit (PEL) of 0.1 f/cc of air as an 8-hour time-weighted average (TWA).

Samples of the texture on concrete walls taken from the south stairwell were determined by PLM analysis to be negative for asbestos. At the time of the survey, Spokane VAMC personnel did not identify the north stairwell as an area included in the scope of renovation.

Lead-Containing Paint

The identification of lead-containing paint (LCP) requires properly trained and licensed labor, regulated work practices, and special disposal. Mr. Mike Smith, an EPA-accredited lead risk assessor (Certificate No. 24021 3818), conducted the survey on February 18-19, 2025.

ECS collected 27 paint chip samples from representative paint coatings observed.

Environmental Hazards Solutions (EHS) in North Chesterfield, Virginia reported the following materials submitted for analysis via Flame Atomic Absorption Spectrophotometry (EPA method SW846 7000B) were determined to contain lead in concentrations above the laboratory limit of detection (LOD):

• Tan paint on concrete wall (Sample L-03) - 9th Floor

• White paint on concrete wall (Sample L-04) - 9th Floor

• Purple paint on metal wall frame (Sample L-06) - 8th Floor Breakroom

• White paint on drywall (Sample L-07) - 7th Floor

• White paint on metal wall frame (Sample L-12) - 4th Floor

• White paint on metal wall frame (Sample L-21) - 1st Floor

• White paint on wood frame (Sample-23) - Basement B007

• White paint on concrete wall (Sample L-24) - Basement

• White paint on metal wall frame (Sample L-25) - Basement

• White paint on metal wall frame (Sample L-26) - 3rd Floor

• White paint on drywall (Sample L-27) - 3rd Floor

Mold and Moisture

ECS performed a visual survey of the interior and exterior window replacement areas for the presence of suspect mold growth and moisture damage. This evaluation was limited to the areas of the property identified by Spokane VAMC personnel and deemed reasonably accessible by ECS.

ECS did not observe suspect mold growth or evidence of moisture intrusion in the assessed areas. Reasonable effort was made to identify mold and moisture-impacted areas, however, mold/ moisture-impacted areas may remain unidentified.

iii

The executive summary is an integral portion of this report. ECS recommends the report be read in its entirety.

iv

PAGETABLE OF CONTENTS

1.0 SITE DESCRIPTION

2.0 PURPOSE

3.0 METHODOLOGY

3.1 Asbestos-Containing Materials

3.2 Lead Containing Paint

3.3 Mold and Moisture

4.0 RESULTS AND RECOMMENDATIONS

4.1 Asbestos-Containing Materials

4.2 Lead-Containing Paint

4.3 Mold and Moisture

5.0 LIMITATIONS

v

TABLE OF APPENDICES

Appendix I: Suspect Asbestos-Containing Material Sample Summary

Appendix II: Asbestos Laboratory Report

Appendix III: Suspect Lead-Containing Paint Sample Summary

Appendix IV: Lead Laboratory Report

Appendix V: Site Photographs

Appendix VI: Certifications/Licenses

Appendix VII: Client-Provided Site Drawings vi

1.0 SITE DESCRIPTION

The subject property, identified as the Spokane, Washington VAMC Building #1, is a 10-story with basement medical center building comprising approximately 176,744 square feet of space situated on 58.11 acres of land located at 4815 N Assembly Street in Spokane, Spokane County, Washington.

The building, reportedly constructed in 1950, was operational at the time of the survey.

2.0 PURPOSE

The purpose of this Asbestos-Containing Materials Survey, Lead Paint Testing, and Mold Assessment was to evaluate whether asbestos-containing materials (ACM), lead-containing paint (LCP), or suspect mold growth on building materials are present within the building materials that may be impacted by the proposed renovation/replacement of 477 windows identified in client-provided construction drawings dated December 12, 2024; the referenced drawings are attached as an appendix.

The ECS inspector was escorted by representatives of the Spokane VAMC engineering department to approximately 10% of the windows within the scope of work; Areas and materials beyond those identified by Spokane VAMC personnel were excluded from the scope of this survey.

Title 40 CFR 61, Subpart M, the U.S. EPA National Emission Standards for Hazardous Air Pollutants (NESHAP), requires an asbestos survey to be performed prior to renovation or demolition activities. 29 CFR 1926.1101, the U.S. Occupational Safety and Health Administration (OSHA) Asbestos Standard for the Construction Industry, regulates workplace exposure to asbestos, classifies construction and maintenance activities which could disturb ACM, and specifies work practices and precautions which employers must follow when engaging in each class of regulated work.

29 CFR 1926.62, the OSHA Lead Standard for Construction, requires employers to identify lead hazards prior to any work related to construction, alteration, or repair (including painting and decorating). EPA regulations also require the characterization of renovation or demolition debris to determine proper disposal procedures.

3.0 METHODOLOGY

ECS performed the authorized Scope of Services in general accordance with ECS Proposal No.

82:1003, standard industry practices, and methods specified by regulations for the identification of ACM, LCP, and mold growth.

3.1 Asbestos-Containing Materials

The identification of ACM requires properly trained and licensed labor, regulated work practices, and special disposal. Mr. Mike Smith, an EPA-accredited asbestos inspector (Certification No. 24172 3818), performed the asbestos assessment February 18-19, 2025.

ECS conducted this survey in general accordance with the requirements of the EPA Standard 40 CFR 763 Subpart E, Asbestos Hazard Emergency Response Act (AHERA), the USEPA NESHAP, ASTM E2356-18 Standard Practice for Comprehensive Building Asbestos Surveys, and OSHA Inspection Protocol. ECS attempted to identify, sample, quantify, and assess suspect ACM in readily accessible areas. Due to the non-destructive nature of this survey and the operations of the medical

March 5, 2025

ECS Project # 82:1000 center, certain areas (e.g., above hard ceilings, inside wall cavities, beneath structural flooring, occupied rooms & offices) were deemed inaccessible and were not surveyed for suspect ACM. Unidentified suspect ACM may be present in these or other inaccessible areas.

ECS collected 120 bulk samples from 38 homogeneous areas of suspect ACM observed.

To satisfy regulations requiring a minimum number of samples to rebut the presence of asbestos, multiple samples were collected from each unique suspect ACM observed. ECS collected samples of suspect ACM using hand tools and placed samples into individual, uniquely-labeled plastic bags.

ECS submitted bulk samples of suspect ACM under chain-of-custody to Cates Laboratories of Dallas, Texas for analysis via Polarized Light Microscopy (PLM) in accordance with current EPA-600/ R-93/116 methodology. Cates is a National Voluntary Laboratory Accreditation Program (NVLAP) accredited (Certificate No. 200569-0) Asbestos Laboratory for bulk sample analysis. When a material(s) consisted of multiple layers, Cates analyzed each layer separately.

NESHAP and OSHA regulations require a material be considered ACM when any sample from a homogeneous area is found to contain asbestos in concentrations greater than one percent (>1%).

OSHA regulates workplace exposure to asbestos regardless of concentration in any building material and requires work methods that maintain employee exposure to airborne asbestos fibers below the permissible exposure limit (PEL) of 0.1 f/cc of air as an 8-hour time-weighted average (TWA).

3.2 Lead Containing Paint

The identification of lead-containing paint (LCP) requires properly trained and licensed labor, regulated work practices, and special disposal. Mr. Mike Smith, an EPA-accredited lead-risk assessor (Certificate No. 24021 3818), conducted the survey on February 18-19, 2025.

ECS conducted the LCP assessment in general accordance with the sample collection protocols established in ASTM E1729 Standard Practice for Field Collection of Dried Paint Samples for Subsequent Lead Determination and the U.S. Department of Housing and Urban Development (HUD) Guidelines for the Evaluation of Lead-Based Paint Hazards in Housing, Chapter 7: Lead-Based Paint Inspection.

ECS attempted to identify and sample suspect LCP in readily accessible areas. Due to the non-destructive nature of this survey and the operations of the medical center, certain areas (e.g., above hard ceilings, inside wall cavities, beneath structural flooring, occupied rooms & offices) were deemed inaccessible and were not surveyed for suspect LCP. Unidentified suspect LCP may be present in these or other inaccessible areas.

ECS collected 27 paint chip samples from representative paint coatings observed.

ECS submitted bulk samples of suspect LCP under chain-of-custody to Environmental Hazards Services, LLC (EHS) in North Chesterfield, Virginia for analysis via Flame Atomic Absorption Spectrophotometry (EPA method SW846 7000B). EHS is an American Industrial Hygiene Association (AIHA) accredited laboratory (Certificate No. LAP-100420).

March 5, 2025

OSHA regulations consider paint containing any level of lead above the analytical method detection limit a potential hazard which should be communicated to any employees or contractors who may disturb the materials in the course of their assigned work.

3.3 Mold and Moisture

ECS performed a visual asessment of the interior and exterior window replacement areas for the presence of suspect mold growth and moisture damage. This evaluation was limited to the areas identified on-site by Spokane VAMC personnel and deemed reasonably accessible by ECS. Reasonable effort was made to identify mold and moisture-impacted areas; however, mold/moisture-impacted areas may remain unidentified.

4.0 RESULTS AND RECOMMENDATIONS

The following is a summary of laboratory results, findings and observations.

4.1 Asbestos-Containing Materials

Cates submitted a signed final laboratory report to ECS on February 27, 2025. The following material submitted for PLM was reported to contain detectable concentrations of asbestos:

• Texture on concrete wall (smooth) - C1 Stairwell

Polarized Light Microscopy (PLM) analysis with visual estimation identified 2% Chrysotile asbestos in Samples #68 and #69 collected from the concrete wall system. Based on this initial analysis, these samples were reanalyzed using the more quantitative PLM point counting technique and confirmed to contain 1.5-2.0% Chrysotile asbestos.

In its current state, the ACM texture on the concrete walls is nonfriable and in good condition and is, therefore, exempt from NRSHAP regulations requiring abatement prior to renovation or demolition. If the proposed renovation activities will render greater than 160 square feet of this asbestos-containing texture friable, the material must be re-classified as regulated ACM (RACM) and becomes subject to NESHAP regulations, including the requirement that an EPA-accredited asbestos abatement contractor conduct removal of this material in accordance with a project design developed by an EPA-accredited project designer. The NESHAP also require that written notification be submitted before beginning renovation projects which include the disturbance of greater than 160 square feet, 260 linear feet, or 35 cubic feet of RACM in a building or facility, or before the demolition of a building or facility, even when no regulated asbestos is present.

While not required for disturbance of <160 square feet of this material, ECS recommends the contractor conduct any abatement in accordance with a project design prepared by an EPA-accredited asbestos project designer. ECS further recommends third-party air monitoring during the abatement.

Any disturbance of this ACM texture on the concrete walls is subject to the OSHA Asbestos standard for the construction industry (29 CFR 1926.1101) which regulates workplace exposure to asbestos and requires employee exposure to airborne asbestos fibers be maintained below the permissible exposure limit (PEL) of 0.1 f/cc of air as an 8-hour time-weighted average (TWA).

March 5, 2025

Samples of the texture on concrete taken from the south stairwell were determined by PLM analysis to be negative for asbestos. At the time of the survey, Spokane VAMC personnel did not identify the north stairwell as an area included in the scope of renovation.

ECS observed a thermoplastic polyolefin roof membrane (TPO) on the 2nd and 3rd levels that may be disturbed during renovations. ECS did not assess materials beneath the TPO as penetrations could void any warranty with the manufacturer. If future renovations call for disturbing the TPO roof membrane, the materials beneath the TPO should be assessed, tested, and analyzed for the presence of asbestos prior to disturbing the roofing materials.

A summary of the samples collected, their locations, and quantities can be found in Appendix I. The asbestos laboratory report is attached in Appendix II. Site photographs are attached in Appendix V.

This survey addressed the accessible suspect ACM materials in interior areas as identified by Spokane VAMC personnel. Due to the non-destructive nature of this survey, additional suspect ACM may be present in inaccessible areas including, but are not limited to, sub-grade walls, structural members, topping slabs, sub-grade sealants, areas under roof decks, areas behind parapet paneling, etc. These areas were deemed inaccessible and were not assessed. If additional suspect ACM are discovered during maintenance activities, they must be assumed ACM pending sampling and laboratory analysis to rebut the presence of asbestos.

Based upon our experience in the identification of ACM in similarly constructed buildings, the following additional suspect ACM may be located in inaccessible areas of the structure:

• Vapor Barriers

• HVAC Sealants/Mastics

• Residual Mastics

• Pipe Insulation Sealants/Mastics

• Roofing Materials

4.2 Lead-Containing Paint

EHS submitted a signed final laboratory report to ECS on March 3, 2025 stating that laboratory analysis identified concentrations of lead above the laboratory limit of detection (LOD) in the following materials:

• Tan paint on concrete wall (Sample L-03) - 9th Floor

• White paint on concrete wall (Sample L-04) - 9th Floor

• Purple paint on metal wall frame (Sample L-06) - 8th Floor Breakroom

• White paint on drywall (Sample L-07) - 7th Floor

• White paint on metal wall frame (Sample L-12) - 4th Floor

• White paint on metal wall frame (Sample L-21) - 1st Floor

• White paint on wood frame (Sample-23) - Basement B007

• White paint on concrete wall (Sample L-24) - Basement

• White paint on metal wall frame (Sample L-25) - Basement

• White paint on metal wall frame (Sample L-26) - 3rd Floor

• White paint on drywall (Sample L-27) - 3rd Floor

March 5, 2025

Analysis of the remaining samples yielded results below the LOD for the analytical method performed. A summary of the samples collected, their locations, and results can be found in Appendix III. The laboratory report is attached in Appendix IV. Site photographs are attached in Appendix V.

OSHA 29 CFR 1926.62 applies to construction work where an employee may be occupationally exposed to lead. OSHA considers paint containing any level of lead above the detection limit for the analytical method a potential hazard which should be communicated to any employees or contractors who may disturb the materials in the course of their assigned work. All work related to construction, alteration, or repair (including painting and decorating) is included. The presence of these LCP components must be communicated to personnel whose work activities may disturb the LCP. The OSHA regulation defines specific training requirements, engineering controls and working practices for construction personnel subject to this standard.

Due to the non-destructive nature of this survey, additional suspect LCP may be present in inaccessible areas including, but are not limited to, sub-grade walls, structural members, topping slabs, sub-grade sealants, areas under roof decks, areas behind parapet paneling, etc. These areas were deemed inaccessible and were not assessed. If additional suspect LCP are discovered during renovation activities, they must be assumed LCP pending sampling and laboratory analysis to rebut the presence of lead.

Based upon our experience in the identification of LCP in similarly constructed buildings, the following additional suspect LCP may be located in inaccessible areas of the structure:

• Mechanical Equipment

• Wall Cavities

The EPA has established regulations requiring characterization of demolition debris to determine proper disposal procedures. Sampling of demolition debris must be conducted in general accordance with ASTM Method E 1908-3, Standard Guide for Sample Selection of Debris Waste from A Building Renovation or Lead Abatement Project for Toxicity Characteristic Leaching Procedure (TCLP) Testing for Leachable Lead.

Waste which results in a lead or chromium content in the leachate of greater than or equal to 5 ppm or 5 mg/l is considered hazardous and should be handled by the remediation contractor and disposed of according to EPA regulations at a hazardous waste-permitted landfill, with proper generator labels and a hazardous waste manifest. Waste which results in a lead or chromium content in the leachate of less than 5 ppm or 5 mg/l can be classified as Class II non-hazardous waste and disposed of as general construction debris.

March 5, 2025

4.3 Mold and Moisture

ECS performed a visual survey of the interior and exterior of the proposed window replacement areas for the presence of suspect mold growth and moisture damage. This evaluation was limited to the areas of the property identified by Spokane VAMC personnel and deemed reasonably accessible by ECS. ECS did not observe suspect mold growth or evidence of moisture intrusion in the assessed areas.

ECS made a reasonable effort to identify mold and moisture-impacted areas; however, mold/ moisture-impacted areas may remain unidentified. ECS recommends the following protocols be established in an effort to prevent future mold growth:

• Follow EPA recommendations for maintaining Relative Humidity (RH) levels below 60%, ideally 30-50%, to prevent mold growth. The American Society of Heating, Refrigerating, and Air-Conditioning Engineers (ASHRAE) Standard 62.1-2019, Section 5.10 recommends that mechanically cooled buildings limit indoor humidity to a maximum dew point of 60° F during both occupied and unoccupied hours whenever the outdoor air dew point is above 60° F.

• Follow ASHRAE recommendation for a general indoor temperature range of 68°-76° F (comfort range) assuming RH is 30-60%.

• Prevent moisture as a result of condensation by decreasing building material surface temperature. Surface temperature can be decreased by insulating and or increasing indoor airflow.

• Perform routine maintenance and inspections of HVAC equipment according to the manufacturer's recommendations.

• Eliminate standing moisture from HVAC equipment, vents, drip pans, and exhaust.

5.0 LIMITATIONS

The conclusions and recommendations presented within this report are based upon a reasonable level of assessment within normal bounds and standards of professional practice for a site in this particular geographic setting. ECS is not responsible or liable for the discovery and elimination of hazards that may potentially cause damage, accidents, or injuries.

The observations, conclusions, and recommendations pertaining to environmental conditions at the subject site are necessarily limited to conditions observed, and/or materials reviewed at the time this study was undertaken. No warranty, expressed or implied, is made with regard to the conclusions and recommendations presented within this report. This report is provided for the exclusive use of the client. This report is not intended to be used or relied upon in connection with other projects or by other unidentified third parties without the written consent of ECS and the client.

Our recommendations are in part based on federal, state, and local regulations and guidelines. ECS does not assume the responsibility of the person(s) in charge of the site, or otherwise undertake responsibility for reporting to any local, state, or federal public agencies, any conditions at the site that may present a potential danger to public health, safety, or the environment. Under this scope of

March 5, 2025 services, ECS assumes no responsibility regarding any response actions initiated as a result of these findings. General compliance with regulations and response actions are the sole responsibility of the Client and should be conducted in accordance with local, state, and/or federal requirements.

March 5, 2025

Appendix I: Suspect Asbestos- Containing Material Sample

Summary

APPENDIX I

SUSPECT ASBESTOS-CONTAINING MATERIAL SAMPLE SUMMARY

Mann-Grandstaff VAMC

4815 N. Assembly Street

Spokane, Washington

ECS Project No. 82-1000

1 ND = None Detected 2 CH = Chrysotile Asbestos 3 PC = Point Count 4TBD = To Be Determined

Sample

No.

Material Location (Area)

NESHAP

Classification

Assessed

Condition

Asbestos

Content1

Approximate

Quantity to Be

Disturbed

1, 2, 3 Interior window sealant (brown) 10th Floor -- -- ND --

4, 5, 6 Texture on concrete wall (smooth)

10th Floor -- -- ND --

7, 8, 9 Exterior window sealant (brown) All Floors -- -- ND --

10, 11, 12 Exterior window caulk (tan) All Floors -- -- ND --

13, 14, 15, 16, 17, 18, Exterior texture on concrete (smooth) All Floors -- -- ND --

20, 21, 22 Interior window sealant

(brown) 9th Floor -- -- ND --

23, 24, 25 Texture on concrete wall (smooth) 9th Floor -- -- ND --

26, 27, 28 Interior window sealant (black 8th Floor -- -- ND --

Mann-Grandstaff VAMC

4815 N. Assembly Street

3 PC = Point Count 4TBD = To Be Determined

Sample

No.

Material Location (Area)

NESHAP

Classification

Assessed

Condition

Asbestos

Content1

Approximate

Quantity to Be

Disturbed

29, 30, 31 4’ x 4’ Wall tile grout (white) with thinset

(white) 8th Floor -- -- ND --

32, 33, 34 Finished drywall wall system (smooth) 8th Floor -- -- ND --

35, 36, 37 Finished drywall wall system (smooth) 7th Floor -- -- ND --

38, 39, 40 Interior window sealant (brown) 7th Floor -- -- ND --

41, 42, 43 Interior window sealant (brown)

6th Floor -- -- ND --

44, 45, 46 Finished drywall wall system (smooth) 6th Floor -- -- ND --

47, 48, 49 2’ x 4’ Ceiling tile

(pinhole, indent) 6th Floor -- -- ND --

50, 51, 52 Interior window sealant (brown) 5th Floor -- -- ND --

53, 54,55 Finished drywall wall system (smooth) 5th Floor -- -- ND --

Mann-Grandstaff VAMC

4815 N. Assembly Street

3 PC = Point Count 4TBD = To Be Determined

Sample

No.

Material Location (Area)

NESHAP

Classification

Assessed

Condition

Asbestos

Content1

Approximate

Quantity to Be

Disturbed

56, 57, 58 2’ x 4’ Ceiling tile

(pinhole) 5th Floor -- -- ND --

59, 60, 61 Finished drywall wall system (smooth) 4th Floor -- -- ND --

62, 63, 64 2’ x 4’ Ceiling tile

(pinhole) 4th Floor -- -- ND --

65, 66, 67 Interior window caulk (brown) 4th Floor -- -- ND --

68, 69, 70 Texture on concrete

(smooth) C1 Stairwell Category II

Nonfriable ACM Good

1.5-2% CH2

by PC3

TBD4

71, 72, 73 Finished drywall wall system (smooth) 3rd Floor -- -- ND --

74, 75, 76 Interior window sealant (brown) 3rd Floor -- -- ND --

77, 78, 79 2’ x 4’ Ceiling tile

(pinhole, indent) 3rd Floor -- -- ND --

80, 81, 82 Interior window sealant (brown) 2nd Floor -- -- ND --

Mann-Grandstaff VAMC

4815 N. Assembly Street

3 PC = Point Count 4TBD = To Be Determined

Sample

No.

Material Location (Area)

NESHAP

Classification

Assessed

Condition

Asbestos

Content1

Approximate

Quantity to Be

Disturbed

83, 84, 85, 86, 87

Finished drywall wall system (smooth) 2nd Floor -- -- ND --

88, 89, 90 2’ x 4’ Ceiling tile

(pinhole) 2nd Floor -- -- ND --

91, 92, 93 Texture on concrete (smooth) South Stairwell -- -- ND --

94, 95, 96 Finished drywall wall system (smooth) 1st Floor -- -- ND --

97, 98, 99 Interior window sealant (brown) 1st Floor -- -- ND --

100, 101, Finished plaster wall system (smooth)

1st Floor – North Wing

(C146) -- -- ND --

103, 104, 2’ x 4’ Ceiling tile (pinhole, fissure) 1st Floor -- -- ND --

106, 107, 2’ x 4’ Ceiling tile

(pinhole) 1st Floor -- -- ND --

109, 110, 2’ x 4’ Ceiling tile

(pinhole) Basement -- -- ND --

Mann-Grandstaff VAMC

4815 N. Assembly Street

3 PC = Point Count 4TBD = To Be Determined

Sample

No.

Material Location (Area)

NESHAP

Classification

Assessed

Condition

Asbestos

Content1

Approximate

Quantity to Be

Disturbed

112, 113, Interior window sealant (brown) Basement -- -- ND --

115, 116, 2’ x 4’ Ceiling tile

(pinhole, fissure) Basement -- -- ND --

118, 119, Interior window caulk (white) 3rd Floor -- -- ND --

Appendix II: Asbestos Laboratory Report

PLM REPORT SUMMARY

Cates Laboratories NVLAP Lab No. 200569-0

1339 Motor Circle TDSHS License No. 30-0287

Dallas, Texas 75207 (214) 920-5006

Client: ECS Southwest, LLP Lab Job No.: PLM-39937 Project (Line 1): Spokane VA Windows Set No.: 57721 Project (Line 2): 4815 North Assembly St., Spokane, WA Report Date: 3/5/2025 Project No: 82-1000 Sample Date: 2/18-19/2025 Identification: Asbestos, Bulk Sample Analysis Version: PC1R1

Test Method: Polarized Light Microscopy/Dispersion Staining (PLM/DS) EPA Method 600/R-93/116 Page 1 of 11

On 2/20/2025, one-hundred twenty (120) bulk samples were submitted by Mr. Mike Smith of ECS Southwest, LLP for asbestos analysis by PLM/DS.

Copies of the lab data sheets are attached; additional information may be found therein. The results are summarized below:

Lab

Sample No.

Client

Field I.D.

Sample Description/Location Asbestos Content

These samples were analyzed by layers. The overall percent asbestos for the sample is reported when relevant. The EPA considers a material to be asbestos containing only if it contains greater than one percent asbestos by Calibrated Visual Area Estimation (CVAE). EPA regulations also indicate that Regulated Asbestos Containing

Materials (RACM) – materials that are friable or may become friable – be further analyzed by point counting when the results indicate less than ten percent asbestos by CVAE. CatesLab utilizes CVAE on a routine basis and does not include point counting unless specifically requested by the client. The results may not be reproduced except in full.

CL1350414

Interior Window Sealant (brown) - 10th Floor

None Detected

CL1350415

CL1350416

CL1350417

Texture on Concrete Wall (smooth) - 10th Floor

CL1350418

CL1350419

CL1350420

Exterior Window Sealant (brown) - 10th Floor, Exterior

CL1350421

Exterior Window Sealant (brown) - 3rd Floor, Exterior

CL1350422

Exterior Window Sealant (brown) - 1st Floor, Exterior

CL1350423

Exterior Window Caulk (tan) - 10th Floor, Exterior

CL1350424

Exterior Window Caulk (tan) - 3rd Floor, Exterior

CL1350425

Exterior Window Caulk (tan) - 1st Floor, Exterior

CL1350426

Exterior Texture on Concrete (smooth) - 10th Floor Exterior, North

CL1350427

Exterior Texture on Concrete (smooth) - 9th Floor Exterior, West

CL1350428

Exterior Texture on Concrete (smooth) - 3rd Floor Exterior

CL1350429

Exterior Texture on Concrete (smooth) - 3rd Floor Exterior

CL1350430

Exterior Texture on Concrete (smooth) - 2nd Floor Exterior

CL1350431

Exterior Texture on Concrete (smooth) - 2nd Floor Exterior

CL1350432

Exterior Texture on Concrete (smooth) - 1st Floor Exterior

CL1350433

Interior Window Sealant (brown) - 9th Floor, Northwest

CL1350434

Interior Window Sealant (brown) - 9th Floor, Northeast

Project (Line 2): 4815 North Assembly St., Spokane, WA Report Date: 3/5/2025 Project No: 82-1000 Sample Date: 2/18-19/2025 Identification: Asbestos, Bulk Sample Analysis Version: PC1R1

Test Method: Polarized Light Microscopy/Dispersion Staining (PLM/DS) EPA Method 600/R-93/116 Page 2 of 11

On 2/20/2025, one-hundred twenty (120) bulk samples were submitted by Mr. Mike Smith of ECS Southwest, LLP for asbestos analysis by PLM/DS.

Copies of the lab data sheets are attached; additional information may be found therein. The results are summarized below:

Client

These samples were analyzed by layers. The overall percent asbestos for the sample is reported when relevant. The EPA considers a material to be asbestos containing only if it contains greater than one percent asbestos by Calibrated Visual Area Estimation (CVAE). EPA regulations also indicate that Regulated Asbestos Containing

Materials (RACM) – materials that are friable or may become friable – be further analyzed by point counting when the results indicate less than ten percent asbestos by CVAE. CatesLab utilizes CVAE on a routine basis and does not include point counting unless specifically requested by the client. The results may not be reproduced

CL1350435

Interior Window Sealant (brown) - 9th Floor, East

CL1350436

Texture on Concrete Wall (smooth) - 9th Floor, Northwest

CL1350437

Texture on Concrete Wall (smooth) - 9th Floor, Northeast

CL1350438

Texture on Concrete Wall (smooth) - 9th Floor, East

CL1350439

Interior Window Sealant (black) - 8th Floor, Biomed

CL1350440

CL1350441

CL1350442

4" X 4" Wall Tile Grout (white) w/Thinset (white) - 8th Floor, Biomed

None Detected - Grout

None Detected - Thinset

CL1350443

CL1350444

CL1350445

Finished Drywall Wall System (smooth) - 8th Floor, Break Room

None Detected - Paint Layer

None Detected - Plaster

None Detected - Joint Tape

None Detected - Plaster

None Detected - Paper

None Detected - Wallboard Material

CL1350446

Finished Drywall Wall System (smooth) - 8th Floor, B814

None Detected - Joint Tape

None Detected - Plaster

Project (Line 2): 4815 North Assembly St., Spokane, WA Report Date: 3/5/2025 Project No: 82-1000 Sample Date: 2/18-19/2025 Identification: Asbestos, Bulk Sample Analysis Version: PC1R1

Test Method: Polarized Light Microscopy/Dispersion Staining (PLM/DS) EPA Method 600/R-93/116 Page 3 of 11

On 2/20/2025, one-hundred twenty (120) bulk samples were submitted by Mr. Mike Smith of ECS Southwest, LLP for asbestos analysis by PLM/DS.

Copies of the lab data sheets are attached; additional information may be found therein. The results are summarized below:

Client

These samples were analyzed by layers. The overall percent asbestos for the sample is reported when relevant. The EPA considers a material to be asbestos containing only if it contains greater than one percent asbestos by Calibrated Visual Area Estimation (CVAE). EPA regulations also indicate that Regulated Asbestos Containing

Materials (RACM) – materials that are friable or may become friable – be further analyzed by point counting when the results indicate less than ten percent asbestos by CVAE. CatesLab utilizes CVAE on a routine basis and does not include point counting unless specifically requested by the client. The results may not be reproduced

CL1350447

Finished Drywall Wall System (smooth) - 8th Floor, B812

None Detected - Joint Tape

None Detected - Plaster

CL1350448

Finished Drywall Wall System (smooth) - 7th Floor, B753

None Detected - Paint Texture

None Detected - Joint Tape

None Detected - Joint Compound

CL1350449

Finished Drywall Wall System (smooth) - 7th Floor, B753

None Detected - Joint Compound

CL1350450

Finished Drywall Wall System (smooth) - 7th Floor, B754

None Detected - Joint Compound

CL1350451

Interior Window Sealant (brown) - 7th Floor, B753

CL1350452

Interior Window Sealant (brown) - 7th Floor, B753

CL1350453

Interior Window Sealant (brown) - 7th Floor, B754

CL1350454

Interior Window Sealant (brown) - 6th Floor, Southeast Corridor

CL1350455

CL1350456

Project (Line 2): 4815 North Assembly St., Spokane, WA Report Date: 3/5/2025 Project No: 82-1000 Sample Date: 2/18-19/2025 Identification: Asbestos, Bulk Sample Analysis Version: PC1R1

Test Method: Polarized Light Microscopy/Dispersion Staining (PLM/DS) EPA Method 600/R-93/116 Page 4 of 11

On 2/20/2025, one-hundred twenty (120) bulk samples were submitted by Mr. Mike Smith of ECS Southwest, LLP for asbestos analysis by PLM/DS.

Copies of the lab data sheets are attached; additional information may be found therein. The results are summarized below:

Client

These samples were analyzed by layers. The overall percent asbestos for the sample is reported when relevant. The EPA considers a material to be asbestos containing only if it contains greater than one percent asbestos by Calibrated Visual Area Estimation (CVAE). EPA regulations also indicate that Regulated Asbestos Containing

Materials (RACM) – materials that are friable or may become friable – be further analyzed by point counting when the results indicate less than ten percent asbestos by CVAE. CatesLab utilizes CVAE on a routine basis and does not include point counting unless specifically requested by the client. The results may not be reproduced

CL1350457

Finished Drywall Wall System (smooth) - 6th Floor, Southeast Corridor

None Detected - Joint Compound

CL1350458

None Detected - Joint Compound

CL1350459

None Detected - Joint Compound

CL1350460

2' X 4' Ceiling Tile (pinhole, indent) - 6th Floor, Southeast Corridor

CL1350461

CL1350462

CL1350463

Interior Window Sealant (brown) - 5th Floor, Waiting Area

CL1350464

CL1350465

CL1350466

Finished Drywall Wall System (smooth) - 5th Floor, Waiting Area

None Detected - Joint Compound

Project (Line 2): 4815 North Assembly St., Spokane, WA Report Date: 3/5/2025 Project No: 82-1000 Sample Date: 2/18-19/2025 Identification: Asbestos, Bulk Sample Analysis Version: PC1R1

Test Method: Polarized Light Microscopy/Dispersion Staining (PLM/DS) EPA Method 600/R-93/116 Page 5 of 11

On 2/20/2025, one-hundred twenty (120) bulk samples were submitted by Mr. Mike Smith of ECS Southwest, LLP for asbestos analysis by PLM/DS.

Copies of the lab data sheets are attached; additional information may be found therein. The results are summarized below:

Client

These samples were analyzed by layers. The overall percent asbestos for the sample is reported when relevant. The EPA considers a material to be asbestos containing only if it contains greater than one percent asbestos by Calibrated Visual Area Estimation (CVAE). EPA regulations also indicate that Regulated Asbestos Containing

Materials (RACM) – materials that are friable or may become friable – be further analyzed by point counting when the results indicate less than ten percent asbestos by CVAE. CatesLab utilizes CVAE on a routine basis and does not include point counting unless specifically requested by the client. The results may not be reproduced

CL1350467

Finished Drywall Wall System (smooth) - 5th Floor, C508

None Detected - Joint Compound

CL1350468

Finished Drywall Wall System (smooth) - 5th Floor, C515

None Detected - Joint Compound

CL1350469

2' X 4' Ceiling Tile (pinhole) - 5th Floor, Waiting

CL1350470

2' X 4' Ceiling Tile (pinhole) - 5th Floor, Waiting

CL1350471

2' X 4' Ceiling Tile (pinhole) - 5th Floor, C508

CL1350472

Finished Drywall Wall System (smooth) - 4th Floor, B450

None Detected - Joint Compound

CL1350473

Finished Drywall Wall System (smooth) - 4th Floor, B450

None Detected - Joint Compound

CL1350474

Finished Drywall Wall System (smooth) - 4th Floor, C413

None Detected - Joint Compound

CL1350475

2' X 4' Ceiling Tile (pinhole) - 4th Floor, B450

CL1350476

Project (Line 2): 4815 North Assembly St., Spokane, WA Report Date: 3/5/2025 Project No: 82-1000 Sample Date: 2/18-19/2025 Identification: Asbestos, Bulk Sample Analysis Version: PC1R1

Test Method: Polarized Light Microscopy/Dispersion Staining (PLM/DS) EPA Method 600/R-93/116 Page 6 of 11

On 2/20/2025, one-hundred twenty (120) bulk samples were submitted by Mr. Mike Smith of ECS Southwest, LLP for asbestos analysis by PLM/DS.

Copies of the lab data sheets are attached; additional information may be found therein. The results are summarized below:

Client

These samples were analyzed by layers. The overall percent asbestos for the sample is reported when relevant. The EPA considers a material to be asbestos containing only if it contains greater than one percent asbestos by Calibrated Visual Area Estimation (CVAE). EPA regulations also indicate that Regulated Asbestos Containing

Materials (RACM) – materials that are friable or may become friable – be further analyzed by point counting when the results indicate less than ten percent asbestos by CVAE. CatesLab utilizes CVAE on a routine basis and does not include point counting unless specifically requested by the client. The results may not be reproduced

CL1350477

CL1350478

Interior Window Caulk (brown) - 4th Floor, Break Room

CL1350479

CL1350480

CL1350481

Texture on Concrete (smooth) - C1 Stairwell, 8th Floor

2% Chrysotile

(by PLM)

2.00% Chrysotile

(by Point Count)

CL1350482

Texture on Concrete (smooth) - C1 Stairwell, 6th Floor

2% Chrysotile

(by PLM)

1.50% Chrysotile

(by Point Count)

CL1350483

Texture on Concrete (smooth) - C1 Stairwell, 4th Floor

CL1350484

Finished Drywall Wall System (smooth) - 3rd Floor, C308

None Detected - Joint Compound

CL1350485

Finished Drywall Wall System (smooth) - 3rd Floor, C310

None Detected - Joint Compound

CL1350486

Finished Drywall Wall System (smooth) - 3rd Floor, C310

None Detected - Joint Compound

CL1350487

Interior Window Sealant (brown) - 3rd Floor, C308

Project (Line 2): 4815 North Assembly St., Spokane, WA Report Date: 3/5/2025 Project No: 82-1000 Sample Date: 2/18-19/2025 Identification: Asbestos, Bulk Sample Analysis Version: PC1R1

Test Method: Polarized Light Microscopy/Dispersion Staining (PLM/DS) EPA Method 600/R-93/116 Page 7 of 11

On 2/20/2025, one-hundred twenty (120) bulk samples were submitted by Mr. Mike Smith of ECS Southwest, LLP for asbestos analysis by PLM/DS.

Copies of the lab data sheets are attached; additional information may be found therein. The results are summarized below:

Client

These samples were analyzed by layers. The overall percent asbestos for the sample is reported when relevant. The EPA considers a material to be asbestos containing only if it contains greater than one percent asbestos by Calibrated Visual Area Estimation (CVAE). EPA regulations also indicate that Regulated Asbestos Containing

Materials (RACM) – materials that are friable or may become friable – be further analyzed by point counting when the results indicate less than ten percent asbestos by CVAE. CatesLab utilizes CVAE on a routine basis and does not include point counting unless specifically requested by the client. The results may not be reproduced

CL1350488

CL1350489

CL1350490

2' X 4' Ceiling Tile (pinhole, indent) - 3rd Floor, Reception

CL1350491

CL1350492

CL1350493

Interior Window Sealant (brown) - 2nd Floor, B250

CL1350494

CL1350495

CL1350496

Finished Drywall Wall System (smooth) - 2nd Floor, B250

None Detected - Joint Compound

CL1350497

Finished Drywall Wall System (smooth) - 2nd Floor, C222

None Detected - Joint Compound

CL1350498

Finished Drywall Wall System (smooth) - 2nd Floor, C222

None Detected - Joint Compound

CL1350499

None Detected - Joint Compound

Project (Line 2): 4815 North Assembly St., Spokane, WA Report Date: 3/5/2025 Project No: 82-1000 Sample Date: 2/18-19/2025 Identification: Asbestos, Bulk Sample Analysis Version: PC1R1

Test Method: Polarized Light Microscopy/Dispersion Staining (PLM/DS) EPA Method 600/R-93/116 Page 8 of 11

On 2/20/2025, one-hundred twenty (120) bulk samples were submitted by Mr. Mike Smith of ECS Southwest, LLP for asbestos analysis by PLM/DS.

Copies of the lab data sheets are attached; additional information may be found therein. The results are summarized below:

Client

These samples were analyzed by layers. The overall percent asbestos for the sample is reported when relevant. The EPA considers a material to be asbestos containing only if it contains greater than one percent asbestos by Calibrated Visual Area Estimation (CVAE). EPA regulations also indicate that Regulated Asbestos Containing

Materials (RACM) – materials that are friable or may become friable – be further analyzed by point counting when the results indicate less than ten percent asbestos by CVAE. CatesLab utilizes CVAE on a routine basis and does not include point counting unless specifically requested by the client. The results may not be reproduced

CL1350500

None Detected - Joint Compound

CL1350501

2' X 4' Ceiling Tile (pinhole) - 2nd Floor, B250

CL1350502

CL1350503

CL1350504

Texture on Concrete (smooth) - Stairwell South, 7th Floor

CL1350505

Texture on Concrete (smooth) - Stairwell South, 5th Floor

CL1350506

Texture on Concrete (smooth) - Stairwell South, 3rd Floor

CL1350507

Finished Drywall Wall System (smooth) - 1st Floor, Center

None Detected - Joint Tape

None Detected - Plaster

CL1350508

Finished Drywall Wall System (smooth) - 1st Floor, Center

None Detected - Joint Tape

None Detected - Plaster

CL1350509

Finished Drywall Wall System (smooth) - 1st Floor, C145

None Detected - Joint Compound

CL1350510

Interior Window Sealant (brown) - 1st Floor, C145

Project (Line 2): 4815 North Assembly St., Spokane, WA Report Date: 3/5/2025 Project No: 82-1000 Sample Date: 2/18-19/2025 Identification: Asbestos, Bulk Sample Analysis Version: PC1R1

Test Method: Polarized Light Microscopy/Dispersion Staining (PLM/DS) EPA Method 600/R-93/116 Page 9 of 11

On 2/20/2025, one-hundred twenty (120) bulk samples were submitted by Mr. Mike Smith of ECS Southwest, LLP for asbestos analysis by PLM/DS.

Copies of the lab data sheets are attached; additional information may be found therein. The results are summarized below:

Client

These samples were analyzed by layers. The overall percent asbestos for the sample is reported when relevant. The EPA considers a material to be asbestos containing only if it contains greater than one percent asbestos by Calibrated Visual Area Estimation (CVAE). EPA regulations also indicate that Regulated Asbestos Containing

Materials (RACM) – materials that are friable or may become friable – be further analyzed by point counting when the results indicate less than ten percent asbestos by CVAE. CatesLab utilizes CVAE on a routine basis and does not include point counting unless specifically requested by the client. The results may not be reproduced

CL1350511

CL1350512

CL1350513

Finished Plaster Wall System (smooth) - 1st Floor, C146

None Detected - Plaster Topcoat

CL1350514

CL1350515

CL1350516

2' X 4' Ceiling Tile (pinhole, fissure) - 1st Floor, C146

CL1350517

CL1350518

CL1350519

2' X 4' Ceiling Tile (pinhole) - 1st Floor, C145

CL1350520

CL1350521

CL1350522

2' X 4' Ceiling Tile (pinhole) - Basement, B007

CL1350523

CL1350524

CL1350525

Interior Window Sealant (brown) - Basement, A002

CL1350526

CL1350527

CL1350528

2' X 4' Ceiling Tile (pinhole, fissure) - Basement, A002

Project (Line 2): 4815 North Assembly St., Spokane, WA Report Date: 3/5/2025 Project No: 82-1000 Sample Date: 2/18-19/2025 Identification: Asbestos, Bulk Sample Analysis Version: PC1R1

Test Method: Polarized Light Microscopy/Dispersion Staining (PLM/DS) EPA Method 600/R-93/116 Page 10 of 11

On 2/20/2025, one-hundred twenty (120) bulk samples were submitted by Mr. Mike Smith of ECS Southwest, LLP for asbestos analysis by PLM/DS.

Copies of the lab data sheets are attached; additional information may be found therein. The results are summarized below:

Client

These samples were analyzed by layers. The overall percent asbestos for the sample is reported when relevant. The EPA considers a material to be asbestos containing only if it contains greater than one percent asbestos by Calibrated Visual Area Estimation (CVAE). EPA regulations also indicate that Regulated Asbestos Containing

Materials (RACM) – materials that are friable or may become friable – be further analyzed by point counting when the results indicate less than ten percent asbestos by CVAE. CatesLab utilizes CVAE on a routine basis and does not include point counting unless specifically requested by the client. The results may not be reproduced

CL1350529

CL1350530

CL1350531

Interior Window Caulk (white) - 3rd Floor, A300

CL1350532

CL1350533

Project (Line 2): 4815 North Assembly St., Spokane, WA Report Date: 3/5/2025 Project No: 82-1000 Sample Date: 2/18-19/2025 Identification: Asbestos, Bulk Sample Analysis Version: PC1R1 Test Method: Polarized Light Microscopy/Dispersion Staining (PLM/DS)

EPA Method 600/R-93/116 Page 11 of 11

On 2/20/2025, one-hundred twenty (120) bulk samples were submitted by Mr. Mike Smith of ECS Southwest, LLP for asbestos analysis by PLM/DS.

Copies of the lab data sheets are attached; additional information may be found therein.

STATEMENT OF LABORATORY ACCREDITATION

The samples were analyzed in general accordance with the procedures outlined in the U.S. EPA Interim Method for the Determination of Asbestos in Bulk Insulation Samples as found in 40 CFR, Part 763, Subpart E, Appendix E (formerly Subpart F, Appendix A), or the current U.S. EPA method (EPA Method 600/R-93/116) for the analysis of asbestos in building materials, by polarized light microscopy. The results of each bulk sample relate only to the material tested and the results shall not be used by the client to claim product certification, approval, or endorsement by NVLAP, NIST, or any agency of the Federal Government.

Specific questions concerning bulk sample results shall be directed to the Laboratory Director.

Analyst:

Curtis Grigg, Chris Munch

Laboratory Director: John R. Cates, P.G.

Approved Signatory:

TESTING

NVLAP LAB CODE 200569-0

Appendix III: Suspect Lead- Containing Paint Sample

Summary

APPENDIX IV

SUSPECT LEAD-PAINT SAMPLE SUMMARY

Mann-Grandstaff VAMC

4815 N. Assembly Street

Sample

No.

Material Description Location (Area)

Lead

Concentration

(PPM)1

L-01 Paint (white) on concrete wall 10th Floor <40

L-02 Paint (tan) on concrete wall Exterior <36

L-03 Paint (tan) on concrete wall 9th Floor 89

L-04 Paint (white) on concrete wall 9th Floor 55

L-05 Paint (white) on metal wall frame 8th Floor <71

L-06 Paint (purple) on metal wall frame 8th Floor Breakroom 3500

L-07 Paint (white) on drywall 7th Floor 61

L-08 Paint (grey) on drywall 6th Floor <49

L-09 Paint (white) on metal wall frame 5th Floor <46

L-10 Paint (white) on drywall 5th Floor <43

L-11 Paint (white) on drywall 4th Floor <39

L-12 Paint (white) on metal wall frame 4th Floor 69

L-13 Paint (tan) on drywall 4th Floor <43

APPENDIX IV

SUSPECT LEAD-PAINT SAMPLE SUMMARY

Mann-Grandstaff VAMC

4815 N. Assembly Street

Sample

No.

Material Description Location (Area)

Lead

Concentration

(PPM)1

L-14 Paint (white) on concrete wall North Stairwell <44

L-15 Paint (tan) on drywall 3rd Floor <48

L-16 Paint (brown) on concrete wall Exterior <60

L-17 Paint (white) on drywall 2nd Floor <49

L-18 Paint (white) on concrete wall South Stairwell <43

L-19 Paint (tan) on metal wall frame 1st Floor <93

L-20 Paint (tan) on drywall 1st Floor <48

L-21 Paint (white) on metal wall frame 1st Floor 1500

L-22 Paint (white) on drywall 1st Floor <36

L-23 Paint (white) on wood frame Basement – B007 47000

L-24 Paint (white) on concrete wall Basement 310

L-25 Paint (white) on metal wall frame Basement 11000

L-26 Paint (white) on metal wall frame 3rd Floor 410

L-27 Paint (white) on drywall 3rd Floor 47

1 OSHA 29 CFR 1926.62 applies to any paint coating with concentrations of lead above the LOD for the analytical method performed.

All work related to construction, alteration, or repair (including painting and decorating) is included

Appendix IV: Lead Laboratory Report

Analysis Report

Client:

Project/Test Address:

ECS Southwest LLP - Dallas

Spokane VA Windows

Client Number:

202419

Fax Number:

Laboratory Results

Analyzed Date:

Client Sample Number

Lab Sample Number

Pb (ug/g) ppm

Lead Paint Chip

03/03/2025

02/24/2025

25-02-04312

Reported Date:

Received Date:

Report Number:

3033 Kellway Drive Suite 110 Carrollton, TX 75006

Narrative

ID

03/03/2025

Collection Location % Pb by Wt.

02/18/2025, 02/19/2025Collection Date:

7469 Whitepine Rd

Telephone: 800.347.4010

North Chesterfield, VA 23237

PB-0125-02-04312-001 PAINT WHITE ON CONCRETE

WALL

<40 <0.0040

PB-0225-02-04312-002 PAINT TAN ON CONCRETE

WALL

<36 <0.0036

PB-0325-02-04312-003 PAINT TAN ON CONCRETE

WALL

89 0.0089

PB-0425-02-04312-004 PAINT WHITE ON CONCRETE

WALL

55 0.0055

PB-0525-02-04312-005 PAINT WHITE ON METAL

WALL FRAME

<71 <0.0071

PB-0625-02-04312-006 PAINT…

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