HomeMy WebLinkAbout21004_Taylor Salt and Chemical_DEQ_Internal_Notification_2017_02_07From:Edwards, Caroline
To:Aja, Deborah; Alexander, Delonda; 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; Martin,Andrew; Mccarty, Bud; Menzel, Jeff; Morris, Sean; 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; julie.woosley@ncdner.gov; Dave.Canaan@mecklenburgcountync.gov;David.Caldwell@mecklenburgcountync.gov
Cc:Kritzer, Jamie; Liggins, Shirley; Nicholson, Bruce; Scott, Michael; shawna.caldwell@mecklenburgcountync.gov;
lisa.corbitt@mecklenburgcountync.gov; Green, Megan; joe.hack@mecklenburgcountync.gov;
John.McCulloch@mecklenburgcountync.gov; vmosley@ci.charlotte.nc.gov; dwolfe@ci.charlotte.nc.gov
Subject:Brownfields Initial Internal Notification BP#21004-17-060 Taylor Salt and Chemical
Date:Tuesday, February 07, 2017 8:26:29 AM
Attachments:image001.png
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 J-J-C Real Estate Investments, LLC as the
Prospective Developer (PD) seeking entry into the Brownfields Program for the following property:
Site Name: Taylor Salt & Chemical, Former (aka Univar USA)
Address: 3915 Glenwood Drive
City/County/Zip: Charlotte, Mecklenburg County, 28208
BF Project Number: 21004-17-060
TAX ID: 06506147
Known Identifying Number from: LUST/IMD, UST, IHSB, HW:
LUST/IMD: Facility ID 0-003750, Incident # 13641 & 19511
UST: MO-4287; MO-5579
Haz Waste: (SQG) NCD986181865, (Non-Gen) NCT003216397
IHSB: NONCD0002583
GW Incident #: 3203
Map link: https://goo.gl/maps/kQrzcs2qcL72
We are now evaluating J-J-C Real Estate Investments, LLC and the subject property for eligibility for
entry into the Brownfields Program. The property is approximately 3.744 acres. From at least 1965
until 1997, the property was utilized by Taylor Salt & Chemical for distributing and repackaging salts,
acids, caustics, and solvents. From 1997 until 2002, the property was utilized by Prillaman Chemical
Corporation (Univar USA Inc). The property has been utilized by Genwood Business Park, LLC from
2003 until the property was sold to the PD January 20, 2017. The property has known VOC,
petroleum, arsenic, manganese, and thallium soil contamination; benzene, PCE, and daughter
product groundwater contamination; and suspected vapor intrusion. The PD is redeveloping the
property for commercial, retail, office, and warehousing.
PD Representative: J. Duncan Browder
Mailing Address: 2100 Scotland Ridge Road
Charlotte, NC 28211
Phone: 704-999-2071
Email: dbrowder@carolinatd.com
PD Contact Name: Chris S. Walker
PD Company: K&L Gates LLP
Mailing Address: 214 North Tryon Street, 47th Floor
Charlotte, NC 28202
Phone No.: 704-331-7515
Fax No.: 704-353-3215
Email: chris.walker@klgates.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 caroline.edwards@ncdenr.gov by February 21, 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,
Caroline E. Goodwin
Hydrogeologist
Division of Waste Management – Brownfields Program
NC Department of Environmental Quality
919 707 8376 direct line
caroline.edwards@ncdenr.gov
217 W Jones Street
1646 Mail Service Center
Raleigh, NC 27699
Email correspondence to and from this address is subject to the
North Carolina Public Records Law and may be disclosed to third parties.