114 LIBERTY 2 OF 2 — page 15
Post cleaning air samples for fibrous glass and silica shall be collected concurrently with the asbestos clearance air sampling procedures specified herein.
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Post cleaning air samples for fibrous glass and silica shall be collected concurrently with the asbestos clearance air sampling procedures specified herein.
Contractor shall have a NYS and NYC licensed asbestos abatement supervisor on site at all times while work is being performed.
Asbestos: The asbestiform varieties of serpentine (chrysotile), riebeckite (crocidolite), cummingtonite-grunerite, anthophyllite, and actinolite-tremolite.
Contractor shall have a NYS and NYC licensed asbestos abatement supervisor on site at all times while work is being performed.
Asbestos: The asbestiform varieties of serpentine (chrysotile), riebeckite (crocidolite), cummingtonite-grunerite, anthophyllite, and actinolite-tremolite.
Summary EPA Region 2 memo summarizing analytical data for asbestos and other contaminants at 125 Cedar Street.
The EPA report stated, “for asbestos, the data we received indicates that asbestos is not a hazard at 125 Cedar Street.”
The EPA report stated, “for asbestos, the data we received indicates that asbestos is not a hazard at 125 Cedar Street.”
The EPA report stated, “for asbestos, the data we received indicates that asbestos is not a hazard at 125 Cedar Street.”
The EPA report stated, “for asbestos, the data we received indicates that asbestos is not a hazard at 125 Cedar Street.”
The EPA report stated, “for asbestos, the data we received indicates that asbestos is not a hazard at 125 Cedar Street.”
The EPA report stated, “for asbestos, the data we received indicates that asbestos is not a hazard at 125 Cedar Street.”
The EPA report stated, “for asbestos, the data we received indicates that asbestos is not a hazard at 125 Cedar Street.”
Summary Memo summarizing DEP's response to WTC hotline referrals, noting resolved cases and inspection results regarding visible debris.
Asbestos has another draft of said letter including Russell’s comments. Asbestos will forward it to you on Monday.
Summary Correspondence discussing the scheduling of meetings with building owners and the need for legal vetting of compliance issues.
Asbestos has another draft of said letter including Russell’s comments. Asbestos will forward It to you on Monday.
Summary DEP discussion of whether Compliance office should schedule WTC meetings or await Law Department legal review of outstanding issues.
Asbestos has another draft of said letter including Russell’s comments. Asbestos will forward it to you on Monday.
The EPA report stated, “for asbestos, the data we received indicates that asbestos is not a hazard at 125 Cedar Street.”
Summary EPA staff provides feedback on a press release for 125 Cedar reoccupancy and discusses cancellation policy.
The EPA report stated, “for asbestos, the data we received indicates that asbestos is not a hazard at 125 Cedar Street.”
Summary Document listing examples of World Trade Center evidence and areas of focus for preservation efforts.
The Department received information with concerns regarding elevated asbestos levels in samples collected by Mr.
Summary EPA staff distributed an environmental laboratory report to federal and city agencies on May 15, 2002.
Adjusting the exposure duration to 1 year at a 1 E-04 cancer risk (target risk used for WTC screening values) yields an airborne asbestos concentration of 0.028 free.
Post cleaning air samples for fibrous glass and silica shall be collected concurrently with the asbestos clearance air sampling procedures specified herein.