From: | kkamlet@hotmail.com |
Date: | 5 Sep 2002 20:14:44 -0000 |
Reply: | cpeo-brownfields |
Subject: | RE: [CPEO-BIF] New York's Brownfields and Voluntary Cleanup Programs: How They |
You make an interesting point, but I'm not sure I understand what it is. 40 CFR 311 and 29 CFR 1910.120 address worker protection during hazardous waste cleanup. How do New York's overly restrictive brownfields cleanup requirements threaten "the life, health, and safety of the citizens of NY and the municipal workers whose jobs may require them to be on a waste site"? The State of New York may be "recoil[ing] from public responsibility" in making it too difficult redevelop brownfield sites and in not subjecting their policies and procedures to full public review and comment. But how does this impinge on the health and safety of municipal workers? And what aspects of this will come back to "bite" us all in the court system? Ken Kamlet ----------------------------------- Kenneth S. Kamlet, Esquire Director of Legal Affairs Newman Development Grp., L.L.C. 3101 Shippers Road, P.O. Box 678 Vestal, New York 13851-0678 607-770-1010, FAX: 607-770-3482 kkamlet@hotmail.com ----Original Message Follows---- From: Emery Graham Jr <EGRAHAM@ci.wilmington.de.us> To: "'kkamlet@hotmail.com'" <kkamlet@hotmail.com>, cpeo-brownfields <cpeo-brownfields@igc.topica.com> Subject: RE: [CPEO-BIF] New York's Brownfields and Voluntary Cleanup Programs: How They Stack Date: Wed, 4 Sep 2002 13:15:20 -0400 It's interesting that you don't mention a requirement for compliancw with 40CFR 311 and 29 CFR 1910.120. The State of NY is reacting like most corporate entities in their efforts to recoil from public responsibility. The life, health, and safety of the citizens of NY and the municipal workers whose jobs may require them to be on a waste site is an overlooked matter that will eventually come back to bite all of you in the court system. Emery Graham Author of Wilmington, Delaware's Brownfields Program -----Original Message----- From: kkamlet@hotmail.com [mailto:kkamlet@hotmail.com] Sent: Wednesday, September 04, 2002 4:18 PM To: cpeo-brownfields Subject: [CPEO-BIF] New York's Brownfields and Voluntary Cleanup Programs: How They Stack I am pleased to be a brand-new member of the Brownfields Internet Forum. Let's see if I can provoke some lively discussion! New York State remains one of the few U.S. states and territories to not yet have a statutorily-authorized Voluntary Cleanup Program (VCP). An administrative VCP was hurriedly established in 1994 (in the heat of a gubernatorial election campaign--which led to George Pataki's defeat of incumbent Mario Cuomo). For eight years program staff in New York's Department of Environmental Conservation kept the details of the VCP largely to themselves, retaining the flexibility to change the unwritten "rules" as they went along. A few months ago, details of the VCP were published for the first time for public review in a draft "VCP Guide" (http://www.dec.state.ny.us/website/der/vcp/VCPGuide.pdf), and opened for public comment. An initial 30-day comment period was extended by 90 days (to August 27th). Rumor is that it has been extended again through at least the end of September. DEC's VCP program has many problematic features that could benefit greatly from a major overhaul. For example, no distinction is made between low-hazard brownfield sites and high-risk state Superfund sites (except that Superfund PRPs are not eligible to participate). Although the program pays lip-service to the principle that cleanups should be protective in light of the site's contemplated use, in reality, there are no VCP-specific cleanup standards, and it is difficult to discern a difference between standards applied to cleanup volunteers at brownfield sites and those applied to the most recalcitrant polluters at Superfund sites. As an additional "wild card" (to keep potential volunteers off balance?), DEC has given the State Department of Health (DOH) the open-ended authority to veto investigation- and cleanup work plans (and work plan submittals) by prohibiting DEC project managers from moving forward without DOH's written concurrence. Since DOH is not a party to Voluntary Cleanup Agreements and is not subject to their terms, DOH interventions have often resulted in lengthy time delays and substantial cost increases--generally without apparent public health or environmental benefits. (In one VCP project I was involved in, DOH involvement contributed to increases in cleanup costs from an initial estimate of $16,000 to upwards of $250,000.) The DEC program also contains no time limits (at least for DEC or DOH), and it includes the (arbitrary) requirement that only state-licensed registered professional engineers can oversee or sign off on most aspects of Work Plan development and implementation. Nor is it clear that legislative authorization of the program would improve matters much. The Legislature established a municipal brownfields (environmental restoration) program under the 1996 Clean Water/Clean Air Bond Act. Unfortunately, they made it so difficult and expensive to qualify for funding under this program, that few municipalities have been willing to step up to the plate. Specifically, the Legislature made funding available only where the municipality agrees to Superfund-level cleanups both on- and offsite. Since the locals must pay a 20% matching share, the high-cost cleanups mandated by the Legislature make the 80% grant funding offered by the State unattractive. (A June 2001 Albany Business Review article cites some other problems with the program: http://albany.bizjournals.com/albany/stories/2001/06/11/story4.html?t=printa ble ). Governor Pataki has sought to "reform" New York's Superfund, Oil Spill, and Voluntary Cleanup programs for at least the past 3 or 4 years. Each year, his proposals have died in the State Legislature. (New York is "blessed" with a highly fractionated Legislature. Upstate Republicans control the State Senate, while the Assembly is controlled by Downstate Democrats.) A major thrust of the Governor's reform proposals is to establish uniform and consistent standards for the State's three cleanup programs. Unfortunately, this is likely to have a counterproductive impact on the cleanup and redevelopment of low-risk brownfield sites. The State Assembly wants even tougher rules and the Senate has its own approach. I have published a series of three articles on the subject. The first is a no-holds barred critique of New York's VCP. The other two (a 2-part series) compare New York's program to those of 5 "leading" states: Maryland, Massachusetts, Michigan, New Jersey, and Pennsylvania. If you e-mail me, I'd be glad to send you (pdf versions of) my articles. I have also established a website on such issues, which Forum members are welcome to visit: http://www.ny-brownfields.com . I'd be very interested in comments on any of the above from Forum members. Ken Kamlet ----------------------------------- Kenneth S. Kamlet, Esquire Director of Legal Affairs Newman Development Grp., L.L.C. 3101 Shippers Road, P.O. Box 678 Vestal, New York 13851-0678 607-770-1010, FAX: 607-770-3482 kkamlet@hotmail.com _________________________________________________________________ Chat with friends online, try MSN Messenger: http://messenger.msn.com ~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~ To read CPEO's archived Brownfields messages visit http://www.cpeo.org/lists/brownfields If this email has been forwarded to you and you'd like to subscribe, please send a message to cpeo-brownfields-subscribe@igc.topica.com ~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~ _________________________________________________________________ Send and receive Hotmail on your mobile device: http://mobile.msn.com ~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~ To read CPEO's archived Brownfields messages visit http://www.cpeo.org/lists/brownfields If this email has been forwarded to you and you'd like to subscribe, please send a message to cpeo-brownfields-subscribe@igc.topica.com ~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~ ==^================================================================ This email was sent to: cpeo-brownfields@npweb.craigslist.org EASY UNSUBSCRIBE click here: http://igc.topica.com/u/?aVxieR.a3Z0sy Or send an email to: cpeo-brownfields-unsubscribe@igc.topica.com T O P I C A -- Register now to manage your mail! http://www.topica.com/partner/tag02/register ==^================================================================ | |
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