NYC 9/11 Public Portal Document
DRAFT EXCERPTS - FOR REVIEW & DISCUSSION PURPOSES ONLY
for residential sampling or reoccupation issues. TTie Federal Response
Plan assigns responsibility to the U.S. Public Health Service under ESF-8,
Health and Medical Services, when state and local resources request
Federal assistance for medical and public health assistance.
In addition, correspondence from the Region 2 Regional Administrator indicated
that in an October 9, 2001, meeting between FEMA, EPA, and New York City
officials. City officials stated that they would not be requesting EPA’s assistance
for residential sampling or reoccupation issues. The September 30 report also
indicated that New York City would not be requesting Federal assistance for
cleaning roof debris. Except for a few notations in early October, EPA Situation
Reports did not address indoor air monitoring activity again until April 2002, when
planning to implement an indoor cleaning program was discussed.
Multi-Agency Residential Cleanup Undertaken
In February 2002, EPA initiated a multi-agency task force on indoor
contamination. The Former EPA Chief of Staff told us that EPA initiated this
effort because “Over time, we saw that New York City was not prepared to handle
all the issues related to indoor air and offered to support them.” Under this task
force, a plan was developed in which EPA assumed the lead role for overseeing a
FEMA-fijnded cleanup of residences in Lower Manhattan. EPA, New York City,
and FEMA officials announced this plan to the public on May 8, 2002. Under this
plan, residents of Lower Manhattan living south of Canal Street could request
testing and cleaning of their residences, or just testing. Public registration for the
indoor testing and cleaning program ended December 28, 2002.
EPA Role on Indoor Environment
New York City initially took the lead role in addressing the indoor environment.
This is consistent with the NCP, which allows for State or local agencies to take
the lead in conducting removal or remedial actions in response to a hazardous
substance release. Generally, this arrangement is outlined in a memorandum of
agreement between the local agency and EPA, and includes EPA’s oversight role if
the local agency is designated as the lead agency.
DRAFT EXCERPTS - FOR REVIEW & DISCUSSION PURPOSES ONLY
5
NYC-WTC_000153063
OCR can misread numbers and units. Confirm readings against the page image before using them.