NYC 9/11 Public Portal Document
Under the contracts for the Program, residences and common areas (including elevator shafts) of
residential buildings which appear to have been minirhally impacted by dust and debris from the
collapse of the WTC are addressed using different procedures than those required in the event
visual inspection indicates the presence of significant accumulations of WTC dust and debris. In
the former instance, procedures referred to in the contracts as “Scope of Work A” apply; in areas
of significant accumulation “Scope of Work B” is utilized. Under Scope of Work B, PPE is
utilized. As you point out, the use of PPE by cleanup and monitoring workers is not required
under Scope of Work A.
There were reasons for this. On June 14, 2002, Patricia K. Clark, the Regional Administrator of
OSHA Region 2, issued a Negative Exposure Assessment (NEA), consistent with their’
regulations, based on sampling in the immediate vicinity of the WTC (Enclosure 2). Regional
Administrator Clark indicated that her assessment included both the workers directly involved in
WTC debris removal and those exposed to heavy settled dust accumulations in buildings
immediately bordering Ground Zero.
On August 5, 2002, Christopher Ward, the DEP Commissioner, wrote to Regional Administrator
Kenny concerning whether DEP and NYSDOL requirements apply to Scope A work (Enclosure
3). In his letter. Commissioner Ward said that Scope of Work A situations are not “asbestos
projects” or “minor asbestos projects” under DEP’s Asbestos Rules, and further, with regard to
Article 30 of th6 New York State Labor Law, which DEP enforces in New York City, such
cleanings are not “abatement projects.” By its letter, DEP confirmed that it would not require
PPE in the Scope A scenario (see Note 4, Enclosure 1). Of course, should the personal air
monitoring of workers indicate risks to the workers, we would immediately consult with OSHA
and revisit this decision. In addition, the federal Occupational Safety and Health Administration
(OSHA) will investigate worker complaints related to the World Trade Center cleanup.
You also request information concerning the focus of the Program solely on residential spaces. I
note that EPA has been providing information and advice regarding educational spaces in lower
Manhattan. The cleanup program in the New York City public schools has been implemented by
the New York City Department of Education, which has taken primary responsibility for testing
and cleaning the schools. FEMA is providing financial support for this effort. Some parents of
students expressed great concern about the appropriateness of the cleanup being done. As part of
our ongoing efforts, EPA agreed to organize and facilitate a meeting with appropriate agencies
and interested and involved parents regarding details of the Department of Education’s cleanup
program. EPA also has reviewed the sampling results obtained through private contracting by
the Department of Education for Stuyvesant High School. EPA’s review found that the air
sampling results at all locations in the school meet the clearance criteria set forth in the Asbestos
Hazard Emergency Response Act (AHERA) for re-entry into schools following an asbestos
abatement project.
The authorities under which the Program is operated and funded clearly state that the response
actions undertaken/to be undertaken are discretionary functions. While the owners and
occupants of commercial spaces have been able to rely on commercial insurance resources and
on other governmental programs, tenants and residence owners have not had the same degree of
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