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HomeMy WebLinkAbout20031_Harrington St_INE_20160520To DEQ Cleanup Programs: This is an internal courtesy notice to inform your program that the DEQ Brownfields Program has received a Brownfields Property Application submitted by Harrington Street partners, LLC and Harrington Street Acquisition Partners, LLC as the Prospective Developers (PD) seeking entry into the Brownfields Program for the following property: Site Name: Harrington Street Address: 413, 437 and 441 N. Harrington Street City/County/Zip: Raleigh/Wake/27603 BF Project Number: 20031-16-92 Tax ID: 1704-51-2008, 1704-51-3220, and 1704-51-3430 AKA: (Give other regulatory site name(s), if applicable): Known Identifying Numbers from: e.g. APS, DWQ, UST, SF, HW NCD#: none GW Incident #: none Others? none Map link: https://goo.gi/maps/UTZTJSvgmx22 The Property consists of three parcels totaling 2.18 acres. The previous use was residential and office space. Currently the majority of the Property is vacant; the NC Board of elections occupies the office space at 441 N Harrington St. Petroleum related contamination is detected in the groundwater on the Property and is thought to have come from an off -Property source. The Property is the proposed site of the West at North condo expansion to include residential, retail, parking and possibly office or hotel uses. We are now evaluating Harrington Street partners, LLC and Harrington Street Acquisition Partners, LLC and the subject property for eligibility for entry into the Brownfields Program. Under the Brownfields Property Reuse Act, only entities that did not cause or contribute to the contamination at the property are eligible to enter the program. The applicant PD listed below have asserted that: 1.) they have not caused or contributed to the contamination at the property, and 2.) they have substantially complied with laws, regulations, and rules for the protection of the environment. If you have any information to suggest otherwise, please provide that information to me at Tony.Dugue@ncdenr.gov or 919- 707-8380 by June 3, 2016. Information regarding the applicant PD is as follows: Gregg Sandreuter Representative: Ford Robertson of Kilpatrick Townsend Beacon Partners 4208 Six Forks Road Suite 1400 Raleigh, INC 28709 919-420-1700 phone gregg@beacondevelopment.com frobertson@kilpatrickstockton.com http://beacondevelopment.com/ PD Contact Darin McClure Mid -Atlantic Associates, Inc. 409 Rogers Court Raleigh, INC 27610 919-250-9918 phone 919-250-9950 fax dmcclureCcDmaaonline.com A Brownfields Agreement (BFA) has no legal effect on your agency's authority to regulate or enforce against any and all parties who caused or contributed to the contamination at the property. In fact, the BFA will require the developer to provide access to the property to any party doing work under any DEQ program. A BFA provides liability protection only to a non -causative redeveloper of the property. The developer will be required to make the property safe for its intended re -use. Cleanup to unrestricted use standards will not be required unless deemed necessary based on the developer's proposed use of the property. Furthermore, the BFA will not change the developer's responsibility to obtain any and all DEQ permits (e.g. storm water, sediment control, NPDES, etc.) as required under applicable law. If you have any questions, please don't hesitate to contact me. Thank you,