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HomeMy WebLinkAboutB18-0354 Asbestos Report.pdfDf <&~ 03S<-( & Summit Asbestos Testing Limited Asbestos Survey 2199 Chamonix Lane Pine Ridge Townhomes, Unit 11 Vail, CO 81657 Prepared For: Havermann Remodeling, LLC Ken Havermann 720-771-1906 Khav201 O@qmail.com Prepared By: Summit Asbestos Testing, LLC Nicole Rolfe PO Box 927 Breckenridge, CO 80424 970-406-8038 nicole@summitasbestostest.com Survey Date: August 10, 2018 Summit Asbestos Testing Job Number: 4112 Table of Contents Limited Asbestos Containing Materials Survey 2199 Chamonix Ln-Unit 11, Vail, CO CERTIFICATION STATEMENT ........................................................................................... 1 1. EXECUTIVE SUMMARY/ SCOPE OF SERVICES ......................................................... 3 2. SITE DESCRIPTION .................................................................................................. 3 3. ASBESTOS INSPECTION METHODOLOGY ................................................................ 3 3.1 Asbestos Sample Density ........................................................................................................................... 4 3.2 Homogeneous Areas/Materials ................................................................................................................. 4 3.3 Physical Assessment .................................................................................................................................. 5 3.4 Sample Collection ...................................................................................................................................... 5 3.5 Analytical laboratory Information ............................................................................................................. 5 4. ASBESTOS SUMMARY TABLES ................................................................................ 7 4.1 Table 1: Homogeneous Areas in Scope of Work ....................................................................................... 7 4.2 Table 2: Bulk Sample Locations and Results ............................................................................................. 8 4.3 Table 3: Photo log ..................................................................................................................................... 9 -s. FINDINGS ............................................................................................................... 9 ,-6. RECOMMENDATIONS ............................................................................................ 9 7. STATE and FEDERAL COMPLIANCE & REGULATORY REQUIREMENTS ................... 10 7.1 Colorado Air Quality Control Commission Requirements ....................................................................... 10 7.2 National Emission Standards for Hazardous Pollutants (NESHAPS} ........................................................ 11 7.3 Asbestos Hazard Emergency Response Act (AHERA) ............................................................................... 11 7.4 Occupational Safety and Health Administration (OSHA) ......................................................................... 11 8. LIMITATIONS AND ASSUMPTIONS ....................................................................... 12 Appendix A: Sample Area Diagram ............................................................................... 13 Appendix B: Certifications .........................•.................................................................. 14 Appendix C: Laboratory Analytical Report and Chain of Custody .................................. 15 Page 2 Limited Asbestos Containing Materials Survey 2199 Chamonix Ln-Unit 11, Vail, CO CERTIFICATION STATEMENT As the certified inspector responsible for the development of this inspection report, I certify that it has been written and reviewed in a manner of full compliance with applicable rules and regulations as required by Federal and State regulations. See Appendix B for copies of certifications. Respectfully Submitted, Signature: A./tC.t?-&, ~ Nicole Rolfe Summit Asbestos Testing, LLC PO Box927 Breckenridge, CO 80424 (970) 406-8038 Summit Asbestos Testing, LLC, Asbestos Consulting Firm License# ACF-22742 Expiration Date: February 19, 2019 Nicole Rolfe CDPHE Asbestos Building Inspector, Certification Number: 22581 Expiration Date: February 19, 2019 Page 1 Limited Asbestos Containing Materials Survey 2199 Chamonix Ln-Unit 11, Vail, CO 1. EXECUTIVE SUMMARY/ SCOPE OF SERVICES Summit Asbestos Testing was contracted by Ken Havermann of Havermann Remodeling, LLC to perform a limited asbestos building survey for Asbestos Containing Building Materials (ACBMs) due to potential renovations at 2199 Chamonix Ln, Pine Ridge Townhomes--Unit 11 in Vail, Colorado 81657. Asbestos Containing Material (ACM) is defined by state and federal regulations as any material that contains greater than 1 % asbestos. The results of this limited asbestos containing materials survey determined that asbestos was not detected in any of the samples submitted for laboratory analysis. The survey, conducted on August 10, 2018, consisted of a walk-through of applicable areas proposed to be disturbed, delineation and quantification of homogeneous areas, an assessment as to whether the suspect ACBM is friable or non-friable, a physical assessment of the condition of the suspect ACBM, collection of representative bulk samples, and delivery of bulk samples of suspect ACBM to an independent analytical laboratory. The client, Ken Havermann, directed the Summit Asbestos Testing inspector as to which areas were to be included in the scope of work of the limited asbestos survey based on the proposed renovations. The following are the specific areas included in the scope of work in this pre-renovation limited asbestos survey: •:• Current laundry area west wall •!• South stairwell wall o Cream skip trowel surfacing material and drywall/joint compound All other areas are excluded in the scope of work in this limited asbestos survey. 2. SITE DESCRIPTION Unit 11 of Pine Ridge Townhomes is located at 2199 Chamonix Lane in Vail, Colorado 80657. According to Eagle County Assessor's Office records, the date of original construction was 1972 and the townhome is approximately 1, 11 O square feet. The unit contains two bedroom and 1.5 baths. Only a portion of the townhome (identified above) is included in this limited asbestos survey. 3. ASBESTOS INSPECTION METHODOLOGY ACM is defined by state and federal regulations as any material that contains greater than 1 % asbestos as determined by laboratory analysis. State and Federal regulations requires that all suspect ACBM be properly sampled and analyzed prior to conducting any renovation or demolition activities above the established trigger levels (32 square feet, or 50 Page 3 Limited Asbestos Containing Materials Survey 2199 Chamonix Ln-Unit 11, Vail, CO linear feet, or the equivalent of a 55 gallon drum for residential properties, and 160 square feet, 260 linear feet, or the equivalent of a 55 gallon drum for commercial properties). This survey involved identification and sampling of suspect ACBM within the identified scope of work prior to potential renovations. Suspect ACBM includes nearly all building materials with the exception of metal, glass and wood. However, if the metal, glass or wood material contains a coating, then these materials fall into the suspect ACBM category. The sampling protocol and methodology employed by Summit Asbestos Testing is outlined in this section. 3.1 Asbestos Sample Density AHERA regulations specify sampling density protocol based on the quantity and type of material. Sample locations in the facility were selected by Summit Asbestos Testing to be representative of the various homogeneous materials. The Summit Asbestos Testing inspector collected the appropriate number of representative samples at selected locations using a random sampling scheme. Sample density was selected using the following regulatory criteria: •!• For surfacing materials, a minimum of 3 bulk samples collected of homogeneous areas less than 1,000 square feet. At least 5 bulk samples collected for homogeneous areas between 1,000 square feet and 5,000 square feet. Seven or more bulk samples collected for homogeneous areas greater than 5,000 square feet. •!• For thermal system insulation (TSI), not assumed to be ACM: At least 3 bulk samples from each homogeneous area. At least 1 bulk sample from each homogeneous area of patched TSI if the patched section is less than 6 linear feet or less than 6 square feet. As many samples as necessary from each mechanical system where cement or plaster is used on fittings such as tees, elbows, or valves. •!• For suspect miscellaneous material, not assumed to be ACM, bulk samples are collected in a manner sufficient to determine whether the material is ACM or non-ACM. However, a minimum of two samples for each miscellaneous material must be collected per State and Federal regulations. 3.2 Homogeneous Areas/Materials Prior to collecting any samples, Summit Asbestos Testing performed a visual inspection of all areas within the potential renovation areas identified in the scope of work to determine the presence of suspected ACBM. Homogeneous areas and materials were identified and listed to develop a sampling plan. The square footage of each homogeneous area was measured in order to determine the appropriate number of samples to be collected. Summit Asbestos Testing attempts to capture the square footage measurements as exacting as possible; however for the purpose of this report the measurements are considered an estimate. This information was recorded on the Homogeneous Areas in Scope of Work Form; see Section 4.1 (Table 1). Page4 Limited Asbestos Containing Materials Survey 2199 Chamonix Ln-Unit 11, Vail, CO Homogeneous areas are defined by AHERA protocol and state regulation as an area of surfacing material, thermal system insulation material, or miscellaneous material that is uniform in color, appearance, texture, 1::tate of application, and/or manufacturers' labels. :3.3 Physical Assessment :Summit Asbestos Testing conducted a physical assessment of each identified homogeneous material. The assessment included determining the condition, potential for disturbance, and the friability of the material. By regulatory definition, friable means that material, when dry, may be crumbled, pulverized, or reduced to powder by hand pressure, and includes previously non-friable material that becomes damaged to the extent that when dry it may be crumbled, pulverized, or reduced to powder by hand pressure. The condition of all confirmed ACBMs were evaluated as: •!• Good (no visible damage or showing only very limited damage), •!• Damaged (less than 25% localized damage or 10% distributed damage), •!• Significantly damaged (25% or greater localized damage or 10% or greater distributed damaged) 3.4 Sample Collection Bulk samples of suspect ACBM were collected in general conformance with AHERA protocols as outlined in CDPHE's-Colorado Regulation 8. The sampling locations are selected so that they are representative of the homogeneous area with regard to the material present and its potential asbestos content. When fewer than 9 samples are collected per homogeneous area, a random sampling scheme is used to determine the sample location. Each sample collected in this inspection was placed in a sealable container at the time of sampling and assigned a unique sample ID. This unique sample ID was recorded on the sampling container with indelible marker. Sample IDs and sample locations were recorded on the Bulk Sample Locations and Results Form (see Section 4.2-Table 2) and on the Sample Area Diagram (see Appendix A). Each sample location was photographed, however only photographs of confirmed asbestos are included. These photographs are available upon request. See the Photo Log (Section 4.3, Table 3), if applicable. Once sampling was complete, all unique sample IDs were recorded on a chain of custody form, and then submitted to an accredited laboratory. The sampling tools were cleaned between each sample collection to prevent cross contamination. 3.5 Analytical Laboratory Information Five (5) bulk samples were collected and submitted under chain of custody to EMSL, Analytical of Denver, CO (AIHA Lab ID 189946). The samples were analyzed using Polarized Light Microscopy (PLM), per EPA Page 5 Limited Asbestos Containing Materials Survey 2199 Chamonix Ln-Unit 11, Vail, CO method 600/R-93/116. EMSL, Analytical participates in the National Voluntary Laboratory Accreditation Program (NVLAP), a quality assurance program for PLM analysis. By regulation, a homogeneous area shall be determined to contain ACM based on a finding that the result of any single sample collected from that homogeneous area shows that asbestos is present in an amount greater than one percent. Additionally, a homogeneous area is considered not to contain ACM only if the results of all samples required to be collected from the area show asbestos in amounts of one percent or less. If the asbestos content of a sample of friable asbestos is estimated to be 1 % asbestos or less, but greater than 0% (trace), by a method other than point counting (such as visual estimation), the determination shall be repeated using the point counting technique with PLM. If the result obtained by point count is different from a result obtained by visual estimation, the point count result must be used. Any materials that contains greater than one percent (1 %) asbestos by PLM analysis is considered an ACM and must be handled in accordance with OSHA, EPA, and applicable state and local regulations. Laboratory analysis results for this project are summarized in Section 4.2. See Appendix C for laboratory report and chain of custody. Page 6 Limited Asbestos Containing Materials Survey 2199 Chamonix Ln-Unit 11, Vail, CO 4. ASBESTOS SUMMARY TABLES 4.1 Table 1: Homogeneous Areas in Scope of Work HA# 1 2 Material Physical Description . Category Cream colored skip SM trowel surfacing material MISC Drywall/JC Functional Space/Locations Laundry nook west wall and stairwell south wall Beneath HA 1 HA=Homogeneous Area qtyJnScope (apptoximate sqftl 35 35 Sampl~ Collected 3 2 Material Category Abbreviations: SM= Surfacing Material, TSI= Thermal System Insulation, MISC= Miscellaneous OW= Drywall, JC= Joint Compound Page 7 Limited Asbestos Containing Materials Survey 2199 Chamonix Ln-Unit 11, Vail, CO 4.2 Table 2: Bulk Sample Locations and Results 1 1 1 2 2 CSK-SM-01 CSK-SM-02 CSK-SM-03 DW/JC-M- 04 DW/JC-M- 05 G F west wall ; wall, 4' from floor Laundry nook Adjacent to ceiling, 1.7' south G F west wall of north wall 1 Stairwell south ' 2.6' from floor, 1.4' east of west G F wall wall Laundry nook Adjacent to north west wall wall, 4' from floor G F Laundry nook Adjacent to ceiling, 1.7' south west wall of north wall G F HA=Homogeneous Area Condition Abbreviations: SD= Significantly Damaged, D= Damaged, G= Good Results: ND= None Detected 1 Current Condition: Is the Material Friable or Non-Friable in Current Condition: F= Friable NF=Non-Friable ND ND ND Drywall: ND J/C: ND Drywall: ND J/C: ND 'Due To Reno/Demo: ff the Material is Non-Friable in Current Condition, Will it Become Friable when Disturbed by Renovation or Demolition: F= Friable NF=Non-Friable Page 8 4.3 Table 3: Photo Log Limited Asbestos Containing Materials Survey 2199 Chamonix Ln-Unit 11, Vail, CO Only photos of sample locations of confirmed asbestos are shown in the photo log. Five (5) samples were submitted for lab analysis. All samples came back non-detect for asbestos. Photos of sample locations are available upon request. FINDINGS The results of this asbestos building survey conducted at 2199 Chamonix Lane, Unit 11 of Pine Ridge Townhomes, Vail, CO 81657 indicate that: None of the suspect building materials sampled were found to contain more than one percent (1 %) asbestos. If any suspect asbestos containing material is discovered during renovation or demolition, not identified in this report and within the scope of renovation, it must be sampled by a Colorado State Certified Asbestos Inspector prior to proceeding with work. 6. RECOMMENDATIONS Based on the laboratory analytical results, any identified asbestos containing materials should be removed by a Colorado state Certified General Abatement Contractor prior to conducting any removal or demolition activities associated with these materials. All work associated with these materials must be performed in accordance with all Local, state and Federal regulations. Contractors and employees working in this building should be made aware of the possibility that concealed ACBM may be found during renovation or demolition. Any discovered material must not be disturbed without consulting the owner or manager of the building to determine if those materials were previously identified and sampled to determine if it is ACBM. As per AHERA, a suspect material is to be considered as asbestos containing unless it is proven otherwise by appropriate sampling. Please work safely and if you encounter any other suspect asbestos building materials not listed in this report, please contact a state certified asbestos building inspector for additional sampling. Furthermore, if additional areas are added to the scope of work not identified in this report, sampling of all suspect ACBM within the new areas must be performed prior to renovation/demolition activities, per state and federal regulations. At the time of this report, the EPA has not prohibited the manufacture and import of miscellaneous materials, such as vinyl floorings, mastics, roofing materials, etc., which may be asbestos containing. As a result, Summit Asbestos Testing recommends testing of future replacement materials for the presence of asbestos prior to installation. Limited Asbestos Containing Materials Survey 2199 Chamonix Ln-Unit 11, Vail, CO 7. STATE and FEDERAL COMPLIANCE & REGULATORY REQUIREMENTS This survey was performed in accordance with Federal, State and local regulations for conducting asbestos building surveys to meet Colorado Air Quality Control Commission (AQCC), Occupational Safety and Health Administration (OSHA), Environmental Protection Agency (EPA), and National Emission Standards for Hazardous Air Pollutants (NESHAP) requirements. 7 .1 Colorado Air Quality Control Commission Requirements Colorado Regulation 8 definitions and requirements include: I .B. Definitions: "'Demolition' means the wrecking or taking out of any load-supporting structural member of a facility together with any related handling operations or the intentional burning of any facility ... • 111.C.5. Asbestos Spill Response: "In the event of an asbestos spill involving less than 50 linear feet on pipes, 32 square feet on other surfaces, or the volume equivalent of one 55-gallon drum, the building owner should ... • (Refer to pages 8.114 and 8.115 for exact recommendations). "In the event of an asbestos spill involving greater than 50 linear feet on pipes, 32 square feet on other surfaces, or the volume equivalent of one 55-gallon drum, the owner shall..." (Refer to page 8.115 for exact requirements). 111.C.6. Renovation and Demolition Projects: "Prior to any renovation or demolition in any single family housing which may disturb 50 linear feet of material on pipes, 32 square feet of material on other surfaces, or the volume equivalent of one 55-gallon drum of material identified by the EPA as a suspect asbestos-containing material, the facility components(s) to be affected by the renovation or demolition shall have an inspection performed by a building inspector certified under these regulations. The inspection must be performed to the AHERA standards as given in 40 CFR Part 763 (1992)." Note: Effective March 30, 2003, State Legislature, House Bill 1016 enacts a quantity change, as well as other regulatory requirements that will alter all of the following minimum level requirements. This format of quantities will remain the same with this notation, until CAQCC Regulation 8 is revised. "Prior to any renovation or demolition in any public or commercial building which may disturb 260 linear feet of material on pipes, 160 square feet of material on other surfaces, or the volume equivalent of one 55-gallon drum of material identified by the EPA as a suspect asbestos-containing material, the facility component(s) to be affected by the renovation or demolition shall have an inspection performed by a building inspector certified under these regulations. The inspection must be performed to the AHERA standards as given in 40 CFR Part 763 (1992)." Page 10 Limited Asbestos Containing Materials Survey 2199 Chamonix Ln-Unit 11, Vail, CO 7.2 National Emission Standards for Hazardous Pollutants (NESHAPS) NESHAPS definitions and requirements include: Section 61.141 Definitions: "Demolition means the wrecking or taking out of any load-supporting structural member of a facility together with any related handling operations or the intentional burning of any facility." Section 61.145 standard of demolition and renovation: "Prior to the commencement of the demolition or renovation, thoroughly inspect the affected facility or part of the facility or part of the facility where the demolition or renovation operation will occur for the presence of asbestos, including Category I and Category II no friable ACM ... " "If a facility is being demolished ... if the combined amount of RACM is at least 260 linear feet on pipes or at least 160 square feet on other facility components, or at least 35 cubic feet off facility components where the length or area could not be measured previously .. ." "In a facility being renovated, including any individual nonscheduled renovation operation, if the combined amount of RACM to be stripped, removed, dislodged, cut, drilled, or similarly disturbed ... is at least 260 linear feet on pipes or at least 160 square feet on other facility components, or at least 35 cubic feet off facility components where the length or area could not be measured previously ... " 7 .3 Asbestos Hazard Emergency Response Act (AHERA) AHERA definitions and requirements include: As referenced in 40 C.F.R. Part 763 (1992), " ... requires a minimum number of samples for surfacing materials, thermal system insulating materials, and requires samples in a manner sufficient to determine whether the material is ACM or not ACM for miscellaneous materials. 7 .4 Occupational Safety and Health Administration (OSHA) OSHA definitions and requirements include: Any material that contains over one-percent (1%) of any type of Asbestos is considered Asbestos containing material (ACM) and must be handled according to OSHA and EPA regulations if disturbed. Compliance and Implementation of OSHA 1926.1101 (replaces OSHA 1926.58) is required, as published, no later than October 01, 1995 which requires the Building Owner Methods of Compliance, Respiratory Page 11 Limited Asbestos Containing Materials Survey 2199 Chamonix Ln-Unit 11, Vail, CO Protection, Hygiene Facilities and Practices for Employees. Communication of Hazards, Housekeeping, Medical Surveillance and the Designation and Training of Competent Persons, including: The Building/Facility Owner (including a lessee) must identify the presence, location and quantity of ACM and/or PACM (presumed asbestos-containing material) at the work site before beginning work. The Building/Facility Owner must notify, (in writing or in person), the presence, location and quantity of ACM or PACM at the work sites to prospective employers whose employees will work in or next to areas with ACM or PACM. Owner's employees who will work in or next to such areas, all employers on multi-employer worksites whose employees will work in or next to such areas, tenants who will occupy such areas, etc. "An employer or owner may demonstrate that PACM (Presumed Asbestos Containing Material) does not contain asbestos by the following: (A) Having an complete inspection conducted pursuant to the requirements of AHERA (40 CFR Part 763, Subpart E) which demonstrates that the material is not ACM; (B) Performing tests of the material containing PACM which demonstrates that no asbestos is present in the material...the tests, evaluation and sample collection shall be conducted by an accredited inspector.• Note: The aforementioned regulatory phrases are not the regulations in their entirety. Consult the regulatory agency, which may apply. 8. LIMITATIONS AND ASSUMPTIONS Summit Asbestos Testing and the findings presented in this Asbestos Survey Report make no representations or assumption as to past and/or future conditions/occurrences of the specific areas surveyed and are based solely on the conditions observed during our survey and that are noted in this report. The survey did incorporate destructive sampling techniques to identify materials in previously inaccessible areas (behind walls, above ceilings, etc.). These activities created small openings for investigation, but are limited in that full observation is not possible due to the presence of floors, ceilings, etc. Reasonable effort was made by Summit Asbestos Testing to locate and sample accessible suspect building materials within the potential renovation areas identified in the scope of work described in Section 1. However, it is possible that asbestos-containing materials may be concealed within structures and not identified in this report. The selection of sample locations and frequency of sampling was based on Summit Asbestos Testing's observations and the assumption that like materials in the same area are homogeneous in content (as per AHERA definitions). Summit Asbestos Testing is not responsible or liable for any opinions, conclusions or recommendations provided by others regarding the data presented in this Limited Asbestos Survey. Page 12 Limited Asbestos Containing Materials Survey 2199 Chamonix Ln-Unit 11, Vail, CO Appendix A: Sample Area Diagram Not to Scale North &4 eist Wall of laundry Nook &5 Page 13 OrderID: 221806317 i;I'+ + l!M8L A-LYTICA!, INC. &AW---....ucn111·- Asbestos Ct ain of Custody EMSL Order NI rmber (Lab Use Onlv): EMSL ANALYTICAL, INC. 1010 YUMA STREET, DENVER, CO, 80204 PHONE: (303} 7 40-5700 FAX: (303) 741-1400 EMSL-Blll to: ~ Same LJ Different Comany : Summit Asbestos Testina, LLC If Bill 10 is Oitllnnt nollt lnsl1uctiD1111 In Conv'*1ts-I Street: PO Box 927 ThinJ Pattv Bi/lintJ reauires written aulhorizatlO;,· from thkd oartv City: Breckenrldae I state1Prov1nce: co Zi~ -I Code: 80424 I Country: USA ' ' Report To (Name): Nicole Rolfe Fax#: Teleahone #: 970-406-8038 Email Address: Nicoledhummitasbestostestcom Protect Name/Number. ~lib ~\D/1t:; ~ 111 Please Provide Results! I I Fax oo Email I Purchase O ,.er: . I U.S. State SamDles Taken: CO , Turnaround Time IT lTI ODUOnS"' -Please Check I 13Hour I O&Hour I D\.24Hour I 1 148Hour I I 72Hour I 1 I 96Hour I 1 11Week I 1 2Week "For TEM Air 3 hrtlllough 6 hr. pleese C'all ahead to schedule. "1hete is ap m»um chatge for 3 Hour TEM AHERA or EPA lAvel II TAT. You will be nksdto sign 811 authodzatlon bm for this aervioe. A"""'1liA in with EMSL~ Teims and Conditions localed In the AnRlvlirA/ Price Guide. PCM-Air TEM-A!r D • -4.5hrTAT (AHERAonlyJ TEM· Pust 0 NIOSH 7400 0 AHERA 40 CFR, Part 763 0 Microvac -ASTM D 5755 0 wJ OSHA 8hr. TWA 0 NIOSH 740 ' 0 Wipe -ASTM 06480 a.f'; ·Bulk (reporting limit> O EPA Level D Carpet Sonication (EPA 600/J-93/167) WLM EPA600IR-93/116 (<1%) D ISO 10312 Soil/RockNermicuffte 0 PLM EPA NOB {<1 %) !EM ·Bulk 0 PLM CARB 435 - A (0.25% sensitivity) Point Count 0 TEM EPA N >B 0 PLM CARB 435 - B (0.1 % sensitivity} 0 400 (<0.25%) 0 1000 (<0.1%) 0 NYS NOB 1! 8.4 (non-friable-NY) 0 TEM CARB 435-B (0.1% sensitivity) Point Count w/Gravimetric 0 Chatf1&ld SC t> 0 TEM CARB 435 -C (0.01% sensitivity) D 400 {<0.25%) D 1000 (<0.1%} D TEM Mass~ nalysis-EPA 600 sec. 2.5 O EPA Protocol {Seml-Quanblative) 0 NYS 198.1 (friable in NY) TEM -Water: ~PA 100.2 ' D EPA Protocol (Quantitative) 0 NYS 198.6 NOB (non-friabl~Y) Fibers >10µm 0 Waste 0 Drinking Q!:!!!::. fl NlOSHOOm «1%> ----Ail Fiber Sizes _j Waste 0-Drihking ---n"'----.------ O Check For Positive Stop -1 ~learly Identify Homogenous Group Samplers Name: Nicole Rolfe Samplers Signature~~~ Sample# . Client Sample # (s): Relinquished (Clien~:'VLlf .~ L~ v Received (Lab): Comments/Special Instructions: Comnl111dlloaanonl--COC·R2·t112r.!010 Sample Descrinti on \ . ---- • ()\.Q~~ · -r r. Date: nA"1 ~ 1 Page1 ot_l_ps~ \ i I Paqe 1 Of 1 Volume/Area (Alrr HA#(Bulk) Datemme Sampled \ . I -- . Total# of SamnlAR: l-iA ,JJ ( ~ -/ Time: I~ *71. i 'ktA Time: I 0 /J. V\ - • EMSLAnalytical, Inc. 1010 Yuma Street Denver, CO 80204 Tel/Fax: (303) 7 40-5700 I (303) 7 41-1400 http://www.EMSL.com I denver1ab@emsl.com Attention: Nicole Rolfe Summit Asbestos Testing PO Box927 Breckenridge, CO 80424 Project: Pine Ridge #111 EMSLOnler: 221806317 Customer ID: SMAT42 Customer PO: Project ID: Phone: (970) 406-8038 Fax: Received Date: 08/13/2018 10:00 AM Analysis Date: 08/14/2018 Collected Date: 08/10/2018 Test Report: Asbestos Analysis of Bulk Materials via EPA 600/R-931116 Method using Polarized Ught Microscopy Non-Asbestos ~ Sa111>le Description Appearance % Fibrous % Non-Fibrous %lYPe CSK-SM-01 Cream Skip Trowel White/Beige 25% Ca Carbonate None Detected Sufacing MTL Non-Fibrous 75% Non-fibrous (Other) 221806317-0001 Heterogeneous Inseparable paint I coaUng layer included In analysis HA:1 CSK-SM-02 Cream Skip Trowel White 20% Ca Carbonate None Detected Sufacing MTL Non-Fibrous 80% Non-fibrous (Other) 221806317-()()()2 Homogeneous Inseparable paint I coaUng layer included in analysis HA:1 CSK-SM-03 Cream Skip Trowel White/Beige 25% Ca Carbonate None Detected Sufacing MTL Non-Fibrous 75% Non-fibrous (Other) 221806317-0003 Heterogeneous Inseparable paint I coaUng layer included in analysis HA:1 DW/JC-M-04-Tape Drywall/Joint Beige 98% Cellulose 2% Non-fibrous (Other) None Detected Compound Beneath Fibrous 221806317-0004 HA1 Homogeneous HA:2 DW/JC-M-04-Joint Drywall/Joint White 25% Ca Carbonate None Detected Compound Compound Beneath Non-Fibrous 75% Non-fibrous (Other) HA1 Homogeneous 221806317-0004A HA:2 DW/JC-M-04-Drywall Drywall/Joint Brown/Gray 15% Cellulose 70%Gypsum None Detected Compound Beneath Fibrous 15% Non-fibrous (Other) 221806317-0004B HA1 Homogeneous HA:2 DW/JC-M-05-Tape Drywall/Joint White 98% Cellulose 2% Non-fibrous (Other) None Detected Compound Beneath Fibrous 221806317-0005 HA1 Homogeneous HA:2 DW/JC-M-05-Joint Drywall/Joint White 20% Ca Carbonate None Detected Compound Compound Beneath Non-Fibrous 80% Non-fibrous (Other) HA1 Homogeneous 221806317-0005A HA:2 DW/JC-M-05-Drywall Drywall/Joint Brown/White 15% Cellulose 65%Gypsum None Detected Compound Beneath Fibrous 20% Non-fibrous (Other) 221806317-00058 HA1 Homogeneous HA:2 (Report amended: 08/14'201812:02:13 Replaces initial report from: 08/14/201814:02:25 Reason Code: Client-Additional Analysis AS8_PL.M_OOOB_0001-1.78 Printed: 8/14/201812:02 PM PCjge 1 of2 Limited Asbestos Containing Materials Survey 2199 Chamonix Ln-Unit 11, Vail, CO Appendix C: Laboratory Analytical Report and Chain of Custody Page 15 Limited Asbestos Containing Materials Survey 2199 Chamonix Ln-Unit 11, Vail, CO Appendix B: Certifications ASBESTOS CONSULTING FIRM ,,. ......... Smmllll~ T--LLC ...-lie.: Na·U'1C __ ,.. ,..._,...._Dll&·7.st7.C.lt.s. .... 111tAir~C-..I ~....-No.. ............ il ................ ...--.-. utMuo .. -·--hploti• 11• •·bit•·•• •h• ·-.. r~. Page 14 • Ana!yst(s) EMSL Analytical, Inc. 1010 Yuma Street Denver, CO 80204 Tel/Fax: (303) 740-5700 I (303) 741-1400 http://www. EM SL.com I denverlab@emsl.com Gentry Catlett (5) Molly Elkins ( 4) EMSL Order: 221806317 Customer ID: SMAT42 Customer PO: Project ID: Amanda Lang, Asbestos Laboratory Manager or Other Approved Signatory EMSL main1ains liability limited to cost of analysis. The above analyses were performed in general compliance with Appendix E to Subpart E of 40 CFR (previously EPA 600/M4-82-020 "Interim Method"), but augmented with procedures outlined in the I 993 ("finar) version of the melhod. This report relates only to the samples reported abOve, and may not be reproduced, except in fUll, without written approval by EMSL. EMSL bears no responsibility for sample colleclion activities or analytical method limitations . Interpretation and use of test results are the responsibility of the cUent All samples received in acceptable condition unless otherwise noted. This report must not be used by the client to claim product certification, approval, or endorsement by NVLAP, NIST or any agency of the federal government EMSL recommends gravimetric reduction for all non-friable organically bound materials prior to analysis. Estimation of uncertainty is available on request Samples analyzed by EMSLAnalytical, Inc. Denver, CO NVLAP Lab Code 200828-0 Report amended: 08/1412018 12:02:13 Replaces initial report from: 08114/2018 14:02:25 Reason Code: Client-Additional Analysis ASS_PLM_0008_0001·1.18 Printed: 8114/2018 12:02 PM Page 2 of2