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Environmental Risk Advisor:
Managing Asbestos

Charlotte, North Carolina - Although there are very specific guidelines and regulations which govern the management of asbestos in public school systems, these regulations do not apply to commercial and industrial buildings. An OSHA provision in the construction asbestos standard, 1926.1101(k)(2)(ii)(D), requires property owners to notify tenants of the location and quantity of ACMs in leased space.

Facility owners can safely manage asbestos through the development and proper use of an asbestos operations and maintenance plan.

ACMs are only dangerous if they are damaged, which can occur through routine maintenance or building renovation activities involving damaged, friable asbestos. Friable asbestos can be crushed or pulverized by hand, posing the most significant potential for asbestos to be released and become airborne. Friable asbestos building materials were typically used as insulation to wrap HVAC ductwork, hot water pipe runs as well as piping elbows. It was also employed in spray-on coating materials, which were routinely applied to surfaces for the insulation of firewalls and to add "texture" to ceilings for visual effects. Although non-friable asbestos can also become airborne, it is typically embedded in a matrix, thus making the release of airborne asbestos unlikely. Non-friable asbestos was routinely used in the manufacture of 9 x 9 inch floor tiles (although other sizes of floor tile have been found to contain asbestos), as well as the glue or "mastic" used to adhere the floor tile to the floor surface. Non-friable asbestos was  also used in a material typically referred to as "transite wall board," which has a translucent appearance similar to plastic/fiberglass and it typically appears to be "wavy" and somewhat flexible, as well as being waterproof.



Facility owners can safely manage asbestos through the development and proper use of an asbestos operations and maintenance plan ("asbestos O&M Plan"). An asbestos O&M Plan typically identifies the location, type and condition of asbestos building materials. An asbestos O&M Plan is referenced by building maintenance and construction renovation contractors to determine if their activities will impact or disturb building materials which contain asbestos. If the contractor reviews the asbestos O&M Plan and determines that their activities will potentially come into contact and disturb asbestos containing building materials, they should take the proper precautions and engage licensed asbestos professionals to minimize the possibility that airborne asbestos will be released.

Additionally, prudent owners of buildings which contain asbestos and who have developed asbestos O&M Plans (typically buildings constructed prior to the early 1980s), should perform an asbestos re-inspection every few years. Since asbestos building re-inspection efforts focus on the "condition of asbestos" which was outlined in the original asbestos O&M Plan, the relative cost to conduct a building asbestos re-inspection, is SIGNIFICANTLY less than the cost to identify ACMs during the original asbestos survey. This "extra precautionary measure" is used to document that the asbestos identified previously and documented in the original asbestos O&M Plan has not been damaged. Damaged friable asbestos should be evaluated by a professional and should either be removed or encapsulated/repaired to minimize the release of airborne asbestos fibers.

About Environmental Risk Innovations
ERI is the nation’s largest environmental risk consulting firm, specializing in the management of environmental risk for commercial lenders.  ERI’s clients include a broad base of commercial lenders, from small regional banks to large banks with national footprints.  ERI develops internal environmental risk policy for commercial lenders, provides third-party review of environmental assessment reports, and conducts Records Search with Risk Assessments (RSRAs)/“desktop reviews” on commercial properties.  ERI is not a traditional environmental consulting firm that performs Phase I or Phase II Environmental Site Assessments.  As a result, ERI’s recommendations represent a truly independent, third-party opinion that conforms to the client bank’s specific risk tolerance. 

For more information on ERI's environmental consulting expertise, please contact Karen Nelson at knelson@eRiskInnovations.com or 704.548.9333.

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