ASTM E2600-2008 Standard Practice for Assessment of Vapor Intrusion into Structures on Property Involved in Real Estate Transactions.pdf
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1、Designation: E 2600 08Standard Practice forAssessment of Vapor Intrusion into Structures on PropertyInvolved in Real Estate Transactions1This standard is issued under the fixed designation E 2600; the number immediately following the designation indicates the year oforiginal adoption or, in the case
2、 of revision, the year of last revision. A number in parentheses indicates the year of last reapproval. Asuperscript epsilon (e) indicates an editorial change since the last revision or reapproval.1. Scope1.1 PurposeThe purpose of this practice is to define goodcommercial and customary practice in t
3、he United States ofAmerica for conducting a vapor intrusion assessment (VIA)2on a property parcel involved in a real estate transaction withrespect to chemicals of concern (COC) that may migrate asvapors into existing or planned structures on a property due tocontaminated soil and groundwater on the
4、 property or withinclose proximity to the property. This practice may be used as avoluntary supplement to Practice E 1527 and does not alter orin any way define the scope of that practice. In addition,performance of this standard is not a requirement of and doesnot constitute, expand, or in any way
5、define “all appropriateinquiry” as defined or approved by U.S. EPA under CERCLAand the regulations thereunder, including 40 CFR Sec. 312.11.1.1.1 Vapor Intrusion Condition (VIC)In defining a stan-dard of good commercial and customary practice for conduct-ing a VIA on a parcel of property, the goal o
6、f the processestablished by this practice is to identify whether or not a vaporintrusion condition (VIC) exists or is likely to exist on theproperty. The term VIC means the presence or likely presenceof any COC in the indoor air environment of existing orplanned structures on a property caused by th
7、e release of vaporfrom contaminated soil or groundwater either on the propertyor within close proximity to the property, at a concentration thatpresents or may present an unacceptable health risk to occu-pants. The term is not intended to include de minimis condi-tions that do not normally represent
8、 an unacceptable health riskto occupants and that generally would not be the subject of anenforcement action if brought to the attention of appropriategovernmental agencies. A condition determined to be deminimis does not represent a VIC.1.1.2 Other Federal, State, and Local EnvironmentalLawsThis pr
9、actice does not address requirements of anyfederal, state, or local laws with respect to vapor intrusion.Users are cautioned that federal, state, and local laws, regula-tions or policy may impose VIA obligations that are beyond thescope of this practice (refer toAppendix X5 andAppendix X9).Users sho
10、uld also be aware that there are likely to be otherlegal obligations, for example, disclosure, with regard to COCdiscovered on the property that are not addressed in thispractice and that may pose risks of civil or criminal liability, orboth.1.1.3 DocumentationThe scope of this practice includesinve
11、stigation and reporting requirements. Sufficient documen-tation of all sources, records, and resources used in the inquiryrequired by this practice shall be provided in the report (referto Section 12).1.2 ObjectivesObjectives guiding the development of thispractice are: (1) to synthesize and put int
12、o writing goodcommercial and customary practice for conducting a VIA on aproperty involved in a real estate transaction, (2) to supple-ment a Phase I environmental site assessment (ESA) conductedin accordance with Practice E 1527, (3) to ensure that theprocess for assessing vapor intrusion is practi
13、cal and reason-able, and (4) to provide an industry standard for a VIA on aproperty involved in a real estate transaction.1.3 Considerations Beyond ScopeThe use of this practiceis strictly limited to the scope set forth in this section. Section13 of this practice identifies, for informational purpos
14、es,certain tasks (not an all-inclusive list) which may be conductedon a property that are beyond the scope of this practice butwhich may warrant consideration by parties to a real estatetransaction. The need to include an investigation of any suchconditions in the environmental professionals scope o
15、f ser-vices should be evaluated based upon, among other factors, thenature of the property and the reasons for performing the siteassessment (for example, a more comprehensive evaluation ofbusiness environmental risk) and should be agreed uponbetween the user and environmental professional as additi
16、onalservices beyond the scope of this practice prior to initiation ofthe Phase I ESA or initiation of an independent VIA.1.4 Organization of This PracticeThis practice has thir-teen sections and nine appendices. The appendices are includedfor informational purposes and are not part of the procedures
17、prescribed in this practice.1This practice is under the jurisdiction of ASTM Committee E50 on Environ-mental Assessment, Risk Management and Corrective Action and is the directresponsibility of Subcommittee E50.02 on Real Estate Assessment and Manage-ment.Current edition approved March 1, 2008. Publ
18、ished March 2008.2Whenever terms defined in 3.2 or 3.3 are used in this practice, they are initalics.1Copyright ASTM International, 100 Barr Harbor Drive, PO Box C700, West Conshohocken, PA 19428-2959, United States.Section 1 contains the scope of the practice.Section 2 includes the referenced docum
19、ents.Section 3 has definitions of terms pertinent to this practice, termsused in this practice but defined in Practice E 1527, andacronyms.Section 4 is directed at the significance and use of this practice.Section 5 discusses the relationship between this practice and thePractice E 1527 Phase I ESA
20、practice.Section 6 describes the users responsibilities under this practice.Sections 7-12 are the main body of the VIA process, including evaluationand report preparation.Section 13 provides additional information regarding non-scope consid-erations (see 1.3).Appendix X1 provides the legal backgroun
21、d on federal and state liabilityfor vapor intrusion.Appendix X2 provides guidance on suggested qualifications for the envi-ronmental professional conducting the VIA.Appendix X3 provides a sample questionnaire for the environmental pro-fessional to obtain pertinent information for the VIA fromthe pro
22、perty owner/operator/occupants.Appendix X4 provides a recommended table of contents and report for-mat for the VIA investigation when not incorporated into aPhase I ESA report.Appendix X5 includes a listing of federal and state agency web sites dis-cussing their vapor intrusion policies and guidance
23、.Appendix X6 includes a list of typical chemicals of concern.Appendix X7 provides a table of background levels of common chemi-cals of concern in ambient and indoor air.Appendix X8 provides guidance and references for data collection in theconduct of a VIA.Appendix X9 provides a supplemental bibliog
24、raphy of federal and statevapor intrusion initiatives and other publications that mayassist the environmental professional conducting a VIA.1.5 This standard does not purport to address all of thesafety concerns, if any, associated with its use. It is theresponsibility of the user of this standard t
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