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HomeMy WebLinkAbout20034_Metrolina Expo_REVISED DEQ Internal Notice_20170224From:Harriger, Joselyn To:Aja, Deborah; Alexander, Delonda; Andersen, Jan; Aycock, Leslie C; Bailey, Bradley; Barnhardt, Art; Bateson,James; Booe, Steve; Bradford, Teresa; Bullock, Scott; Burch, Brent; Burnette, Mark; Caulk, Kim; Day, Collin;Doorn, Peter; Foster, Anthony; Gallagher, Tony; Goldman, Heather; Hammonds, Andrew; Hunneke, William F;Jackson, Vance; Jesneck, Charlotte; Kromm, Carin; Lawrence, Ernest; Lorscheider, Ellen; Lown, David; Marks,Cheryl; May, David; Mussler, Ed; Nelms, Robert; Orozco, Phil; Patterson, Jenny; Phelps, Michael; Powers, Mark;Qi, Qu; Randolph, Wayne; Strauss, Ruth; Swope, Eric; Taraban, Ron; Walch, John; Walker, Jenne; Watkins,Jason; Woosley, Julie Cc:Wahl, Tracy; Nicholson, Bruce; Kritzer, Jamie; Liggins, Shirley; Scott, Michael; David Wolfe; Mosley, Veronica; Dave Canaan; David Caldwell; Joe Hack; John McCulloch; Lisa Corbitt; Green, Megan; Shawna Caldwell Subject:REVISED DEQ Internal Notice - Brownfields Property Application (Metrolina Expo) Date:Friday, February 24, 2017 2:29:30 PM Attachments:Metrolina Expo Parcel Map.pdfimage002.pngimage006.png To DEQ Cleanup Programs: This is a REVISED internal courtesy notice to inform your program that the DEQ Brownfields Program has received a Brownfields Property Application submitted by BIN – Metrolina LLC and BIN-ST7320 LLC as joint Prospective Developers (PDs) seeking entry into the Brownfields Program and the Redevelopment Now tract. Please note, BIN – Metrolina LLC was originally granted eligibility for the properties in a letter from DEQ Brownfields dated May 19, 2016. We are currently negotiating an agreement for the property; however, a second entity has purchased one of the parcels included in the Brownfields Property and has requested to be included as a PD in the Brownfields Agreement. The parent company (Beacon Industrial LLC) is 100% owner of both of the above referenced LLCs. The property in question is as follows: Site Name: Metrolina Expo Address: 7000, 7100, 7212, 7226 and 7320 Statesville Road; 4827, 4833, 5321, 5121 Gibbon Rd; 7110 Expo Drive; 7000 Apache Ave City/County/Zip: Charlotte, Mecklenburg County, 28269 BF Project Number: 20034-16-060 Tax ID: Parcels of the property are now: 03720345, 03720344, 03720319, and 03720317 totaling 101.35 Acres AKA: DeBruhl Environmental Excavating Land Farm; Brockenbrough Airport; Bonded Logistics Known Identifying Numbers: LUST Incident # 13890 UST # MO-4307 Soil Landfarming Permit No. SR0300023 NPDES Permit NC0050571 Map link: https://goo.gl/maps/rNTqJesGSJM2 (See attached map) We are now evaluating BIN – ST7320 for eligibility as a Prospective Developer into the Brownfields Program, Redevelopment Now tract for the Metrolina Expo Property. The property is approximately 101.35 acres and is currently undergoing development in accordance with a DEQ Brownfields approved Environmental Management Plan. In addition, the property at 7320 Statesville Avenue is utilized by Bonded Logistics as a distribution warehouse. The property was formerly utilized as Brockenbrough Airport, Debruhl Environmental Excavating land farm for petroleum impacted soils, moto-cross, and vacant, undeveloped land. TPH-DRO and oil and grease impacts have been identified in site soils. Groundwater samples were collected, but impacts were not identified. Proposed redevelopment includes commercial, industrial, and distribution facilities. Reports related to the property are available on Laserfiche by searching for the project number 20034-16-060. PD Contact Name: Jon L Morris PD Company: Beacon Development PD Address: 610 East Morehead Street, Suite 250 Charlotte, Mecklenburg County, NC 28202 Phone No.: (704) 597-7757 Fax No.: (704) 598-6335 PD Website: www.beacondevelopment.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 March 3, 2017. 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. Joselyn Harriger, PG Project Manager Brownfields Program Department of Environmental Quality 704-235-2195 office 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.