NYC 9/11 Public Portal Document
Avaltrorii, Robert
From: Gilsenan, Mfchael"
Sent: Wednesday, April 03, 2002 9:17 AM
To: Chapin, Diana 001; Avaltroni, Robert
Cc: Radhakrishnan, Krish; Pecunies, Russ 001
Subject: FW: suggested changes in exterior cleaning RFP
Diana- FYI
Krish pls. take a look at this with Russ and let me know what you think,rm a little concerned
about Jim's last statement since we have been consistent from day 1. AS krish has pointed out
the streets were cleaned in the same manner as we're pro poseing for the exterior cleanup.
Diana/Bob maybe we should sit down with health.
-----Original Message
From: Jim Miller [mailto:[email protected]]
Sent: Tuesday, April 02, 2002 6:27 PM
To: [email protected]; [email protected]
Subject: suggested changes in exterior cleaning RFP
Please review the following suggested changes. If acceptable, a revised RFP could be issued at
the pre-bid conference. I recognize these changes come very late in the process.
Revise DEP Building Exterior and Rooftop Cleanup specifications to
provide a more informed and relevant Scope and Background Discussion
Specifically, revise clean up protocols to more effectively correspond to risk:
DEP will use conservative (protective) cleaning method for all debris regardless of asbestos
content. The DEP will clean building exteriors utilizing state-of-the-art cleaning methods
designed to remove particulate source materials in a safe and effective manner. These methods
are derived from modifications to traditional abatement techniques. Because of the very low
probability of exposure to elements contained in the solidified debris, these methods are
protective to the public and to cleaning personnel.
Initially require worker and resident protections as specified, including changing areas, worker
personal protective equipment (PPE), monitoring, etc., and allow downgrading of these
requirements secondary to objective data (i.e., visual assessments, personal and area air
monitoring).
Limit requirement of covering roof openings to within 15 feet of observed debris locations.
Remove the requirement for filing of AGP 7
Restate Scope of Work language as follows:
Delete last sentence in paragraph 3: “Based on these results and the most stringent assessment
and evaluation, this material is assumed to be ACM and shall be cleaned by NYS DOL licensed
contractors with DEP and NYSDOL certified workers.” This contradicts the DEP approach to
assessing and mitigating WTC dust since 9-11. DEP should indicate that results of its bulk
sampling data indicates that the debris generated by the collapse of the WTC towers is not a
homogenous material. Results of air sampling by DEP and others indicates that WTC debris
does not tend to aerosolize and is not a significant source of airborne asbestos fibers. In
addition, field observations indicate the WTC debris is non-friable and represents a low hazard
potential.
NYC-WTC_000164476
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