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HomeMy WebLinkAbout0662 MAIN STREET (HYANNIS) - Health 662 MAIN STREE Y A=308.049 7 r F ^ �I i 4 I c i Town of Barnstable oF1HE T Regulatory Services Thomas F. Geiler,Director Public Health Division BARNSTABLE, Thomas McKean,Director y MASS. �a �p 16g9. 200 Main Street, Hyannis,MA 02601 ArFD MP'1 t Phone: 508-862-4644 D Email: healthna,town.bamstable.ma.us �C `l �.,0) l Fax: 508-790-6304 . u Office Hours: M-F 8:00—4:30 May 12,2009 Ocean Hospitality Group LLC RE: Underground Storage Tank Removal 662 Main Street Order,662 Main Street,Hyannis,MA Hyannis,MA 02601 Map Parcel 308049 Tank# 1,Tag#00027 To Whom It May Concern: The.Barnstable Public Health Division is in receipt of a copy of the Phase I Environmental Site Assessment performed in July 2008 indicating that the above referenced tank had been removed as it does not exist on site,and that it was located aboveground. The Public Health Division appreciates your attention to this matter and has updated its data base to reflect this fuel tank status change. Should you have any further questions please contact Cynthia Martin of this office at 508-826-4645. a he ean, ,CHO Director of Public Health I i Barnstable Town of Barnstable BARNSfABLE. Regulatory Services Department Public Health Division 2007 200 Main Street, Hyannis MA 02601 Office:508-862-4644 Thomas F.Geiler,Director Fax:508-790-6304 Thomas A.McKean,CHO To: Date: April 1, 2009 Ocean Hospitality Group LLC 662 Main Street Hyannis, MA 02601 RE: Underground Storage.Tank at: . .!uy, - p® 662 Main Street Hyannis,MA 02601 Map Parcel: 308049 Tank NO: 1 Tag NO:.00027 Our records indicate that your underground fuel (or chemical) storage tank is over 30 years old, and has not been removed as required by section 326-3: subsection 2 of the Town of Barnstable Code regarding fuel and chemical storage systems. You are directed to remove this tank within sixty(60) days from the date of this notice. After your tank is removed, please furnish this office evidence in the form of a permit from your local Fire Department within ninety(90) days of the receipt of this notice. You may request a hearing provided a written petition requesting same is received by the Board of Health within ten(10) days after this order is served. Per Order of the Board of Health Thomas A. McKean, RS, CHO Health Agent U NOTES TO THE FILE April 21, 2009 D International Inn / e 662 Main St 4 Hyannis ,Ll et Cynthia Martin, PHD Richard Scovill, General Manager Bhom Banta, Owner Ellie Dougherty, Front Desk Manager The above,facility was issued an Underground Storage Tank(UST) Removal letter for a 275 gallon tank, Tag#27. Mr. Banta provided this office with documentation that a Phase I study had been performed and that the tank in question had been removed. The date of removal was not verified but the facility had converted to natural gas approximately in 1994. In addition, further review of facility files indicated that the tank in question was an above ground tank, not an underground tank. Three additional 275 gallon, above ground tanks have also been removed. -A 500 gallon UST was removed in 1991. A permit for a 330 gallon tank was reportedly pulled but the tank never installed. PHASE 1 ENviRONMENTAL SITE ASSESSMENT 662'Main Street,Hyannis,MA July 2008 No above ground storage tanks (ASTs) or underground storage tanks (USTs) were observed on the property. GSE received information from the Hyannis Fire Department (HFD) regarding several storage tanks located on or removed from the property. According to HFD records, presently 4 — 275 gallon storage tanks are located on the property from the "back of bldg. under #144 and under #174". Although a unit with the number#144 is not present, a unit with the number#174 is and is the location of a basement area under Building 2. In addition, a fifth 330-gallon storage tank is situated "under bldg. #16". According to General Manager Rich Scovill, the basement area below #144 has always been considered even though that room number does not currently �' Y g Y �_;• exist. Furthermore, Mr. Scovill indicated that International.Inn personnel have also referred to the basement area below #174 as utility room #16s,which may be the confusion with `Building ' 16" in the HFD records. No ASTs or evidence of USTs were noted in the basement areas below #144 or#174 (Building#16). - - GCE noted what appears to be former_vent_and; fill_pipe holes. located along the. northern and eastern exterior walls of Building 2 adjacent to the basement areas below #144'and #174 respectively. This indicates that the tanks were above ground tanks as opposed to below ground tanks and were situated in the basement areas noted above. HFD records also note the existence of a 330-gallon tank located under Building 16. A permit for the installation of a 330-gallon -` AST was on file at the HFD dated from 1995. However, according property_owner Arthur Rittel, this tank was never installed and furthermore, with the exception of the 500-gallon UST removed !t in 1991, no other above ground or underground storage tanks have been located on the property since Mr. Rittel purchased the property in 1985. r GSE noted abandoned fuel oil feed lines under the area of unit #174 projecting partially embedded in concrete flooring and coiled up into an adjacent crawlspace. The HFD records include a permit and tank disposal information for the removal of a 500-gallon underground storage tank (UST). Mikes Petroleum Service of Sandwich, MA removed the UST in 1991. HFD records indicate that no hazard was observed as a result of the removal. However, no information was available regarding environmental monitoring or soil sampling (closure activities) as a result of the UST removal. This presents a potential REC to the property. Accordingly, GSE returned to the property on August 4, 2008 and advanced a soil boring by means of a hand-held augur to approximately seven(7) feet below grade in the location (depicted b Mr. Rittel of the former 500-gallon UST. This area is located along the western exterior wall Y ) , . of Building 1 adjacent to another basement (utility) area. Please see the attached schematic plan for further details. r �i 3 GREEN SEAL ENVIRONMENTAL,INC. i I . pia PHASE 1 ENVIRONMENTAL SITE ASSESSMENT 662 Main Street,Hyannis,MA July 2008 . GSE encountered fill-like material while advancing the boring, which consisted of rocks and pebbles, pieces of as and ceramic. GSE field screened two composite samples at 4-5 feet and 6.5-7.0 .feet from the boring utilizing a photoionization detector. (PID). The composite samples were screened in accordance with the Massachusetts Department of Environmental Protection (MassDEP) "jar headspace" methodology. None of the composites registered above 0.2 parts per million (ppm) on the PID. A composite sample was collected from 6.5-7.0 feet and sent to Groundwater Analytical Laboratory (GAL) of Buzzards Bay (Bourne) Massachusetts for Extractable Petroleum Hydrocarbon (EPH) with four target Polynuclear Aromatic Hydrocarbon (PAH) analysis. According to the laboratory data, all of the analytes were reported Below the Laboratory Detection Limit with the exception of the C19-C36 Aliphatic Hydrocarbon range, which was reported as 50 mg/Kg and is well below the Massachusetts Contingency Plan (MCP) reporting concentration of 2,500 mg/Kg for soil,classified as S-1. In the opinion of GSE, based on the laboratory .results, HFD records, and observed field . conditions, the 500-gallon UST removed in 1991 does not appear to have adversely impacted the underlying soil within the UST grave. In the opinion of GSE, based observed field conditions and information provided by International Inn personnel, the four 275=gallon tanks listed in the fire department records were above ground tanks and were situated within the basement areas below units #144 and #174 (Building 16). Furthermore, based on information provided by Mr. Rittel, these ASTs were removed prior to his purchase of the property in 1985. In the.opinion of GSE; the 330-gallon tank listed in the HFD records along with a permit to install the tank in 1995 is erroneous and was never installed based on information provided to GSE by Mr. Rittel and Mr. Scovill. In the opinion of GSE, the former presence of four 275-gallon ASTs, and removal of the 500-gallon UST does not present RECs to the property. GSE reviewed environmental regulatory database information for the. property and surrounding area. In the,opinion of GSE, the sites identified within the database report do not present RECs to the property. i In the opinion of GSE based on the age of the buildings (44-68 years old) the potential for the presence of asbestos containing materials (ACM) is moderate. Please note that the presence of ACM cannot be determined unless sampling and laboratory analysis is performed. GSE P I recommends that all suspect ACM be sampled prior to the removal.and/or alteration of areas where suspect ACM is identified. Furthermore, should the presence of ACM be confirmed, GSE recommends that the ACM be abated or according managed 'g o dmg with applicable .laws and regulations. GSE noted 9"X 9" flooring tiles in areas of Building 1 as well as pipe Nvrap within the basement area of Building 1 on the day of inspection. Please note that 9"X 9" flooring tiles 0 662 MAIN STREET HYANNIS,CAPE COD,MA 02601 (508) 775-5600 Mr. Glen Harrington November3,1998 Health Inspector Town of Barnstable 367 Main Street Hyannis,MA. 02601 Mr. Harrington Regarding: The removal of oil storage tanks We have done a thorough search of all of our files pertaining to this matter, and have found nothing. We have been in touch with Hall Plumbing, the`contractor that installed the new boiler, and removed the old boiler. They state that they did not remove the tanks. They state that the tanks were removed by and disposed of by East Coast Heating and Plumbing. East Coast should have provided us with documentation of proper disposal. All of our calls to East Coast were ignored, recent calls result in a disconnected number, (508-240-3658), with no further information available. This project was an oil to gas conversion, sponsored by, engineered by and supervised by Colonial Gas. Lester Wade, the Colonial Gas representative may be able to provide you with fiirther information. Very Truly Yours - 4.. Arthur D. Rittel,'President C 9r�u , r • OWN UNDERGROUND FUEL1AND CHEMICAL1S LE t ORAGE SYSTEMS' b�tI1AIL tt'J � ASSESSORS MAP N0. -- PARCEL NO ADDRESS � _ y — r VILLAGE. yyA�t/^/i� NAME ? .A/T i?!1lA��D.it/A� . .L/A/ 7-C—' CONTACT PERSON T N E�SElJ�3E!?C�— GEN L A LOCATION OF TANKS; PHONE NUMBER (lei CA �,�� 7 _l 5l�7t e CAPACITY: TYPE•-OF' FUEL AGE. TYPE: LEAK Alt - 2 OR CHEMICALS DETECTION qL D/L DETECTION � � SYSTEI 9cie 11 11r. 2 S .�. © iL �� DATE OF PURCHASE OF EACH DATE OF FIRE DEPARTMENT PERMIT: • / 4' 5. TESTING CERTIFICATION SUBMITTED: PASSED c3 , DID NOT PASS 'LEASE PROVIDE A SKETCH SHOWING THE LOCATION OF .TANKS ON THE BACK OF THIS CARD. v S/!k 4X, c ' to Cd-r� 67 49- I RYA NIS FIRE DEPARTMEN* J95 H10:7-SCHOOL ROAD EXTENSION HYANNIS, MASS.02601 PAUL D.CHISHOLM e� BUS%;NESS: 775-1300 CHIEF �GtGOfQ,� L/eraCad?Q Save ,Gated, EMERGENCY: 775-2323 Mr. Arthur D. Rittel INTERNATIONAL INN 662 Main Street Hyannis, MA 02601 275 gal UNDERGROUND TANKS Installed in 1971 TO UNDERGROUND STORAGE TANK OWNERS: This Department is. a e hat oll�have;,ai iinderground...t�nk%at you property which is over twe(ty`,(2 ��years 97d;: I r,��Ih hI �bel, . According to Federal, Stt d-�Town Yegulations, arrangements, inu hde for the remov; `of ese � ariks'.\We suggest that priorto, emptying yyourVK"II y 4.; ' present under g�ound�•`tank,'�you look into having a replacement �n tat d _ VV � in the baseu(elt or out. i(d.e the premises; ,after which' time you `'t 1 Have a period of t�q,8� years to � move�the;urtd ,r We have beeforje�d som isi21e.- 1 e >)4S=;that-7 " unclergrodnd to tk t--thei I.,� property ha m• een aba 1 V. d and�ih not in use.�`Tki�e) tanks sh��, remo e as soon as pb s�i�],e iVcontact ompliance with 527 CMR 9.Please do note itate his Department if -we can be Hof furth/e assistance or if wouId�7ike�� .lis ing of some of•jtt e1 urid.6r round tan removal companies - _} Sincerely, FIRE PREVENTION OFFICE For: . PAUL D. CHISHOLM, CHIEF HYANNIS FIRE DEPARTMENT O O ° STREET ADDRESS OF PROPERTY BEING SURVEYED; 662 Main Street - H annis, MA OWNER : _Arthur n_ R;t-tel PHONE: 1-2 65 ADDRESS : 89 Lakeside Drive /Centerville MA OCCUPANT: lnternati«ial inn PHONE: 77=00 ADDRESS : 662 Main Street - Hyannis MA PRESENT FLAMMABLE PERMITTED STORAGE AT PROPERTY; TANK PRODUCT LOCATION AGE CONSTRUCTION SIZE (GAL) Back of bldg. 2 - 275 gal. # 2 fuel oil under #144 1971 Steel 2 - 275 gal. " under #174for TANKS REMOVED FROM THE PROPERTY; TANK PRODUCT LOCATION CONSTRUCTION DATE SIZE (GAL) REMOVED 500 gal 2 fuel oil Underground ? 6/91 SPILLS / LEAKS AT THE .PROPERTY, DATE: MATERIAL APPROX. SIZE OF RELEASE None reported CHECK DEP I r oFtNE Town of Barnstable snuvsrnai.E Department of Health, Safety, and Environmental Services MASS. ,�� Public Health Division P.O. Box 534, Hyannis MA 02601 Office: 508-862-4644 Thomas A.McKean,RS,CHO FAX: 508-790-6304 Director of Public Health December 17, 1999 Mr. James Tyler International Inn. 662 Main Street, Hyannis, MA 02601 r r ORDER TO COMPLY WITH THE BOARD OF HEALTH FLOOR DRAIN REGULATION,PART H,SECTION 1.00 You are hereby notified on September 28, 1999,the Town of Barnstable Board of Health adopted the attached Floor Drain Regulation. All owners/operators of facilities with floor drains connected into a leaching structure have three options: 1. Connect the floor drain to a holding tank. The tank will need DEP approval. The DEP approves two types of holding tanks for this waste: new installations and conversions of existing structures (e.g. oil/water separators). These tanks are for non-hazardous, industrial wastewater. If solvents, antifreeze, oil and other fluids are washed down the drain,the waste is likely to be hazardous. 2. Connect the floor drain to a municipal sewer system, if available. An oil/water separator is required to be installed under this option. This requires a permit from DEP and the Town of Barnstable Department of Public Works along with the sewer connection application. The amount of discharge shall not exceed ten parts per million(10 PPM). 3. Seal the floor drain. Contact your local plumbing inspector for the appropriate filing form. If choosing this option, all previous discharges to the drain must be eliminated at their source. For example, cars should no longer be washed and floors should no longer be hosed down. Therefore, you are directed to comply with the Board of Health Floor Drain Regulations by informing this department in writing of what your intentions are to comply with the regulation within ten (10) days of receipt of this notice and by completing the work within ninety (90) days. You may request a hearing if written petition requesting same is received within ten(10)days sa your receipt of this order letter. Failure to comply with an order of the Board of Health may result in a fee of not less than$200, nor more than$1,000.00. Each day of failure to comply with an order shall constitute a separate violation. PER ORDER OF THE BOARD OF HEALTH Thomas A.McKean Director of Public Health Enc. Board of Health Floor Drain Regulation cc: Ed Jenkins, Town of Barnstable Plumbing Inspector r x