HomeMy WebLinkAbout20045_Powers Site_Internal Notification Email_201606271
Harriger, Joselyn
From:Harriger, Joselyn
Sent:Monday, June 27, 2016 5:05 PM
To:Aja, Deborah; Alexander, Delonda; Andersen, Jan; Barnhardt, Art; Basinger, Corey;
Bateson, James; Bolich, Rick; Bradford, Teresa; Bullock, Scott; Burch, Brent; Caulk, Kim;
Davidson, Landon; 'Davies, Robert'; Day, Collin; Doorn, Peter; Gregson, Jim; Jackson,
Vance; Jesneck, Charlotte; Karoly, Cyndi; King, Morella s; Knight, Sherri; Kritzer, Jamie;
Kromm, Carin; Lorscheider, Ellen; Lown, David; Marks, Cheryl; May, David; Mccarty, Bud;
Mussler, Ed; 'Parker, Michael'; Patterson, Jenny; Phelps, Michael; Pitner, Andrew;
Poupart, Jeff; Powers, Mark; Qi, Qu; Randolph, Wayne; Risgaard, Jon; Scott, Georgette;
Smith, Danny; Swope, Eric; Taraban, Ron; Walch, John; Watkins, Jason; Woosley, Julie;
Zimmerman, Jay
Cc:Liggins, Shirley; Edwards, Caroline; Wahl, Tracy; Nicholson, Bruce; Scott, Michael; David
Wolfe; Veronica Mosley; Dave Canaan; David Caldwell; Joe Hack; Lisa Corbitt; Megan
Green; Shawna Caldwell
Subject:DEQ Internal Notification - Brownfields Property Application (Powers Site)
Attachments:Powers Site Map.pdf
To 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 Bridgestream, LLC as the Prospective Developer (PD) seeking entry into the
Brownfields Program Redevelopment Now tract for the following property. Bridgestream, LLC is reportedly composed
of REI 2, LLC; SC7 (IDR), LLC; and SC7 (IDR Family), LLC).
Site Name: Powers Site
Address: 536 W Tremont Avenue
City/County/Zip: Charlotte, Mecklenburg County, 28203
BF Project Number: 20045‐16‐060
Parcel ID: 11906427
No known incident or permit numbers were available.
Map link: https://goo.gl/maps/6opDuRWdZR22
See attached Map for Property Boundary.
We are now evaluating Bridgestream, LLC, its member LLCs, and the subject property for eligibility for entry into the
Brownfields Program Redevelopment Now tract. The property is 3.461 acres in size and is currently undeveloped except
for a radio tower, associated communication shed, and construction material debris piles. The PD intends to redevelop
the property into a climate controlled self‐storage facility. The Property was historically utilized for soil
borrowing/mining activity prior to 1938. In the 1950s fill material was placed on the site from an unknown
location. From the early to mid‐1960s until 2005, the Property was utilized as a junkyard and auto repair garage. Initial
reports identified the potential for PCBs, SVOCs, Metals, and VOCs in the soil and VOCs in the groundwater.
PD Representative: Ivon Rohrer, III
PD Company: Development Management, Inc.
Mailing address: 4201 Congress Street, Suite 174
Charlotte, NC 28209
Phone: 704‐343‐0056 x 7
Fax No.: 704‐343‐0056
2
Email: idriii@dmi‐nc.com
PD Website: www.dmi‐nc.com and www.dmistorage.com
PD Contact Name: Rick Kane
Company: Poyner Spruill
Address: 301 S College Street, Suite 2300
Charlotte, NC 28202
Phone No.: 704‐342‐5303
Fax No.: 704‐342‐5264
Email: rkane@poyners.com
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 joselyn.harriger@ncdenr.gov by July 5, 2016.
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,
Joselyn Harriger, PG
Project Manager
Brownfields Program
Department of Environmental Quality
704-235-2195 office
704-431-9825 mobile
joselyn.harriger@ncdenr.gov
610 E. Center Avenue
Suite 301
Mooresville, NC 28115
Email correspondence to and from this address is subject to the
North Carolina Public Records Law and may be disclosed to third parties.
µ0 0.01 0.020.005 Miles
Date Printed: 6/27/2016 4:34:19 PM
This map or report is prepared for the inventory of real property within Mecklenburg County and is compiled from recorded deeds, plats, tax maps, surveys, planimetric maps, and other public records and data. Users of this map or report are hereby notified that the aforementioned public primary information sources should be consulted for verification. Mecklenburg County and its mapping contractors assume no legal responsibility for the information contained herein.
Polaris 3G Map – Mecklenburg County, North CarolinaPowers Site Map