NYC 9/11 Public Portal Document
This is in response to your recent e-mail correspondence and the attachment
regarding the cleaning activities for the removal of debris from the WTC at 114
Liberty Street, Manhattan. As you are aware, the Department of Environmental
Protection has programs for cleaning exterior building surfaces and for the interior
cleaning interior surfaces of unoccupied residential or mixed-use buildings.
The Department contracted an environmental consultant to prepare scopes of work
for the cleaning of the interior spaces that includes a separate set of procedures for
the cleaning of the HVAC system and for the environmental monitoring. The
USEPA and the Department reviewed and edited the submittal to ensure protection
of the environment and public health. Copies of these documents were forwarded
to representatives of your building.
The Department had agreed to make some modifications to the scopes of work in
the interest of proceeding with the work in a timely effective manner. The scope of
work includes the cleaning of residential, commercial, retail spaces, common
spaces, etc. The procedures for sending out bid packages, setting up the mandatory
pre-bid meeting, opening and awarding contracts, etc. are well established. We
cannot select a specific contractor for the work nor can we bid out work we caimot
perform.
The Department has reviewed your request to remove interior walls and ceilings,
and exterior walls down to the brick and has reviewed the specifications prepared
by your consultant. As mentioned in our previous conversations, the Department
cannot undertake this work as a part of the program for cleaning interior surfaces.
The specifications submitted to the Department also contain procedures that are
burdensome, time consuming, and do not provide protection to public health and
safety or the environment. For example, in this whole building cleaning, the
specification calls for covering the floor with polyethylene sheeting, cleaning,
removing the sheeting, removing the flooring, and then cleaning the sub-floor. The
purpose to covering the floors with sheeting is unclear.
In reference to the cleaning activities at 125 Cedar Street, we did not perform
interior demolition work. The scope of work was limited to the removal of small
sections of sheet rock where visible mold growth was evident and to buckled
flooring where the flooring was separated from the substrate below. The top of the
dropped ceiling at the lobby was cleaned as part of the cleaning activity.
Suspended ceiling tiles are removed and disposed in the specification due to the
porous nature and the difficulty in properly cleaning this building material.
Further, the Department cannot undertake the removal of debris created by any
party taking down these surfaces. A licensed asbestos contractor must perform any
interior work unless sufficient samples are collected to show the material is not
asbestos-containing material. The Department cleaning of the interior surfaces may
be performed after the debris is removed from the site and a preliminary cleaning is
performed.
If you have any questions, please contact at (718) 595- .
NYC-WTC_000155778
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