Reviewer Name: Adam Borden, Env. Specialist Project Name/Env. Database No: Gymnasium Building -Permanent Repair FEMA-1603/1607-DR-LA PW#12295 Parish: St. Bernard Record of Environmental Consideration REVISED FOR FEMA ENVIRONMENTAL -LOUISIANA -2006 See 44 Code of Federal Regulation Part 10 Project Name/Number: Gymnasium Building -PermanentRepair/PW# 12295 FIPS#087-UARUL-00 Project Location: 1 Lynn Oaks Drive, Braithwaite, LA 70040 Latitude: 29.86379, Longitude: -89.89176 Project Description: Heavy rains and high winds from Hurricane Katrina (DR-1603) caused significant exterior and interior damage the Gymnasium Building ofLynn Oaks School. This pw reimburses the eligible applicant for repair and orreplacement ofvet flooring, insulation, acoustical ceiling tile, lighting, drywall, and interior/exterior doors. This pw also reimburses the applicant for cleaning/pressure washing activity. The new material will bereplaced according tocodes and standards upgrades. Allworkwillbeperformedina previouslydisturbedareawithnoindicationofnearbywaterwaysor other bodies of water. Documentation Requirements • (Short version) All consultation and agreements implemented to comply with the National Historic Preservation Act, Endangered Species Act, and Executive Orders 11988, 11990 and 12898 are completed and no other laws apply. (Review Concluded) E3 (Long version) All applicable laws and executive orders were reviewed. Additional information for compliance is attachedto this RECand/or includedinproject files,as applicable. National Environmental Policy Act (NEPA) Determination dl Statutorily excluded from NEPA review. (Review Concluded) • Programmatic Categorical Exclusion -Category (Reference PCE in comments) (Review Concluded) • Categorical Exclusion -Category • No Extraordinary Circumstances exist. Are project conditions required? • Yes (see section V) • No (Review Concluded) O Extraordinary Circumstances exist (See Section IV). LJ Extraordinary Circumstances mitigated. (See Section IV comments) Are project conditions required? • Yes (see section V) • No (Review Concluded) Environmental Assessment Supplemental Environmental Assessment(ReferenceEAorPEAincomments) ^ Environmental Impact Statement Comments: This project meets thecriteria for the alternative arrangement, permanent school, type ofproject. This project has conditions and requires mitigation under the other EHP laws. Reviewer and Approvals • Project is Non-Compliant (See attached documentation justifying selection). FEMA Environmental Reviewer: Name: Adam Borden/FEMA-Environmental Specialist Signature /rAs~— \ja-*A—. -Date g-S-ty RecordofEnvironmental Consideration(Version 08/05/06) Reviewer Name: Adam Borden, Env. Specialist Project Name/Env. Database No: Gymnasium Building -Permanent Repair FEMA-1603/1607-DR-LA PW#12295 Parish: St. Bernard FEMA Regional Environmental Officer or Delegated Approving Official: Name: Howard Bush, Environmental Liason Officer Signature /^^ /•* yS^ Date ?-^-o(r ^ I. Compliance Review for Environmental Laws (other than NEPA) A. National Historic Preservation Act (NHPA) ^ Not type ofactivity with potential to affect historic properties. • Activity meets Programmatic Agreement, December 3, 2004. Appendix A: II-E1 Are project conditions required? • Yes (see Section V) O No • Programmatic Agreement not applicable, must conduct standard Section 106 Review. HISTORIC BUILDINGS AND STRUCTURES ^ No historic properties that are listed or45/50 years orolder in project area. (Review Concluded) LJBuildingorstructurelistedor45/50yearsorolderin projectareaandactivitynotexemptfrom review. • Determination ofNo Historic Properties Affected (FEMA finding/SHPO/THPO concurrence on file) Are project conditions required? • Yes (see Section V) • No (Review Concluded) • Determination ofHistoric Properties Affected (FEMA finding/SHPO/THPO concurrence on file) LJ Property aNational Historic Landmark and National ParkService was provided early notification during the consultation process. If not, explain in comments • No Adverse Effect Determination (FEMA finding/SHPO/THPO concurrence on file). Are project conditions required? • Yes (see Section V) • No (ReviewConcluded) • Adverse Effect Determination (FEMA finding/SHPO/THPO concurrence onfile) II ResolutionofAdverseEffectcompleted.(MOAonfile) Areproject conditions required LJ" Yes (see Section V) • No (Review Concluded) ARCHEOLOGICAL RESOURCES ^ Project affects only previously disturbed ground. (Review Concluded) II Project affects undisturbed ground. I~l Project area has no potential for presence ofarcheological resources • Determination ofno historic properties affected (FEMA finding/SHPO/THPO concurrence or consultation on file). (Review Concluded) [~l Project area has potential for presence ofarcheological resources • Determination ofno historic properties affected (FEMA finding/SHPO/THPO concurrence on file) Are project conditions required O Yes (seeSection V) • No (Review Concluded) l~l Determination ofhistoric properties affected Lj" NR eligible resources not present (FEMA finding/SHPO/THPO concurrence on file). Are project conditions required QYes (seeSection V) O No (Review Concluded) O NR eligible resources present inproject area. (FEMA finding/ SHPO/THPO concurrence on file) O No Adverse Effect Determination. (FEMA finding/ SHPO/THPO concurrence on file) Are project conditions required? O Yes (see Section V) O No (Review Concluded) • Adverse Effect Determination. (FEMA finding/ SHPO/THPO concurrence on file) I! Resolution of Adverse Effect completed. (MOA on file) Areproject conditions required? LJ Yes(see Section V) Q No (Review Concluded) Comments: Per NEMIS Special Considerations, this facility was built in 1982. Correspondence/Consultation/References: B. Endangered Species Act Record of Environmental Consideration (Version 08/05/06) Reviewer Name: Adam Borden, Env. Specialist Project Name/Env. Database No: Gymnasium Building -Permanent Repair FEMA-1603/1607-DR-LA PVM2295 Parish: St. Bernard E<] No listed species and/or designated critical habitat present in areas affected directly or indirectly by the Federal action. (Review Concluded) LJ Listed species and/or designated critical habitat present in the areas affected directly or indirectly by the Federal action. • No effect to species or designated critical habitat. (See comments for justification) Are project conditions required? • Yes (see Section V) • No(Review Concluded) • May affect, but not likely to adversely affect species or designated critical habitat (FEMA determination/USFWS/NMFS concurrence on file) (Review Concluded) Are project conditions required? Q Yes (see Section V) LJ No (Review Concluded) • Likely toadversely affect species ordesignated critical habitat • Formal consultation concluded. (Biological Assessment and Biological Opinion on file) Are project conditions required? • YES (see Section V) • NO (Review Concluded) Comments: Projectislocatedinanurbanorpreviously developedarea. Neitherlistedspeciesnortheir habitatoccurinor nearthissite,thus FEMAfinds therewillbenoeffecttothreatenedorendangeredspecies. Correspondence/Consultation/References: USFWSemergency consultation provisionsdeterminedinlettersdated September 15,2005 for Katrina. C. Coastal Barrier Resources Act [X] ProjectisnotonorconnectedtoCBRAUnitorOtherwiseProtectedArea (Review Concluded). • Project is on orconnected toCBRA Unit orOtherwise Protected Area. (FEMA determination/USFWS consultation on file) J Proposed action an exception under Section 3505.a.6 (Review Concluded) LJ Proposed action not excepted under Section 3505.a.6. Are project conditions required? • YES (see Section V) • NO (Review Concluded) Comments: Project is not within a CBRA zone. Correspondence/Consultation/References: LouisianaCoastalBarrierResource SystemMapsreferenced08/05/06. D. Clean Water Act IS Project would not affect any waters ofthe U.S. (Review Concluded) O Project would affect waters, including wetlands, ofthe U.S. J Project exempted as in kind replacement or other exemption. (Review Concluded) • Project requires Section 404/401/or Section 9/10 (Rivers and Harbors Act) permit, including qualification under Nationwide Permits. Are project conditions required? • YES (see Section V) • NO (Review Concluded) Comments: NojurisdictionalwatersoftheU.S.,includingwetlands, occurinorneartheprojectarea. Correspondence/Consultation/References: USFWS National Wetlands Inventory map (http://www.fws.gov/nwi/) queried on 08/05/06. E. Coastal Zone Management Act J Project is not located in a coastal zone area and does not affect a coastal zone area (Review concluded) E3Project islocated ina coastal zone areaand/or affects thecoastal zone ^ State administering agency does not require consistency review. (Review Concluded). LJ Stateadministeringagencyrequiresconsistencyreview. Are project conditions required? • YES (see Section V) • NO (Review Concluded) Comments: ThisprojectislocatedwithintheLouisiana CoastalManagement Zone.LADepartmentofNaturalResources (DNR) hasdetermined thatreceipt of federal assistance isconsistent with theLouisiana Coastal Resource Program. Projects withinthecoastalzonemaystillrequireacoastalusepermitorotherauthorizationfrom DNR. Projectsmaybecoordinated by contacting LA DNR at 1-800-276-4019. Correspondence/Consultation/References: LDNR Louisiana Coastal Zone map 2002. F. Fish and Wildlife Coordination Act ^ Projectdoesnotaffect,control,ormodifyawaterway/bodyofwater. (ReviewConcluded) LJJ Project affects controls ormodifies awaterway/body ofwater. Record of Environmental Consideration (Version 08/05/06) Reviewer Name: AdamBorden, Env.Specialist Project Name/Env. Database No: Gymnasium Building -Permanent Repair FEMA-1603/1607-DR-LA PW#12295 Parish: St. Bernard • Coordination with USFWS conducted "1 No Recommendations offered by USFWS. (Review Concluded) [j Recommendations provided by USFWS. Are project conditions required? • YES (see Section V) • NO (Review Concluded) Comments: No streams or water bodies are located in or near the project area. Correspondence/Consultation/References: LouisianaMap (http://wwwlamap.doa.louisiana.gov/) queried08/05/06. G. Clean Air Act J Project will not result in permanent air emissions. (Review Concluded) ^ Project islocated inanattainment area. (Review Concluded) n Project is located in a non-attainmentarea. L~J Coordination required with applicable state administering agency. Are project conditions required? LJ YES (see section V) LJ NO (Review Concluded) Comments: Thisprojectinvolvesthedemolitionorrenovationofapublicstructure. Regardlessoftheasbestoscontent,the applicant isresponsible forensuringthatrenovation ordemolition activities arecoordinated withthe Louisiana Department of Environmental Quality (LDEQ) in accordance with the LDEQ "Sixth Amended Declaration of Emergency and Administrative Order" datedMarch31,2006,andthe LESHAP protocol datedMarch1,2006,incorporatingthe provisions ofEPA'sNationalEmissionStandardsforHazardousAirPollutants(NESHAP)andthe LouisianaAdministrative Code (LAC)33.111.5151 andChapter27.ShouldAsbestosContainingMaterials(ACMs)bepresentattheprojectsite,the applicant is also responsible for ensuring proper disposal in accordance with the previously referenced administrative orders. Correspondence/Consultation/References: EPA Region 6 Non-attainment Map. H. Farmland Protection Policy Act £<] Projectdoesnotaffectdesignatedprimeoruniquefarmland. (Review Concluded) LJProjectcausesunnecessaryorirreversibleconversionofdesignatedprimeorunique farmland. I I Coordination with Natural Resource Conservation Commission required. LJ Farmland Conversion Impact Rating, Form AD-1006, completed. Are project conditions required? [J YES (see section V) LJ NO (Review Concluded) Comments: The project site is in a developed urbanized area and Farmland Protection Policy Act (FPPA) is precluded. No prime or unique farmland present. Correspondence/Consultation/References: National Resource Conservation Service, Web Soil Survey (http://websoilsurvev.nrcs.usda.gov/app/ Referenced 08/05/06. I. Migratory Bird Treaty Act J Project not located within a flyway zone. (Review Concluded) UQ Project located within a flyway zone. E<3 Project does nothave potential totake migratory birds. (Review Concluded) Are project conditions required? LJ Yes (see section V) ^ No(Review Concluded) I IProject has potential to take migratory birds. • Contactmadewith USFWS Are project conditions required? LJ YES (see section V) LJ NO (Review Concluded) Comments: The site is an existing disturbed area with little value to migratory birds and would not be included in the USFWS migratory bird management program. Correspondence/Consultation/References: USFWS guidance letter dated September 15, 2005 for Katrina J. Magnuson-Stevens Fishery Conservation and Management Act E<3 Project not located inor near Essential Fish Habitat. (Review Concluded) LJ Project located inor near Essential Fish Habitat. f~1 Project does notadversely affect Essential Fish Habitat. (Review Concluded) Record of Environmental Consideration (Version 08/05/06) Reviewer Name: Adam Borden, Env. Specialist Project Name/Env. Database No: Gymnasium Building -Permanent Repair FEMA-1603/1607-DR-LA PWM2295 Parish: St Bernard Are project conditions required? • Yes (see Section V) • No (Review Concluded) D Project adversely affects Essential Fish Habitat (FEMA determination/USFWS/NMFS concurrence on file) • NOAA Fisheries provided no recommendation(s) (Review Concluded). Are project conditions required? • Yes (see Section V) • No (Review Concluded) l~lNOAA Fisheries provided recommendation(s) LJ Written reply to NOAA Fisheries recommendations completed. Areproject conditions required? • YES (see Section V) • NO (Review Concluded) Comments: Project isnot located inornearanysurface waters with thepotential toaffectEFH species. Correspondence/Consultation/References: Louisiana Map(http://wwwlamap.doa.louisiana.gov/) referenced 08/05/06. K. Wild and Scenic Rivers Act ^ Project is not along and does not affect Wild orScenic River (WSR) -(Review Concluded) • ProjectisalongoraffectsWSR • Project adversely affects WSR as determined by NPS/USFS. FEMA cannot fund the action. (NPS/USFS/USFWS/BLM consultation on file) (Review Concluded) • Project does not adversely affect WSR. (NPS/USFS/USFWS/BLM consultation on file) Are project conditions required? • YES (see Section V) • NO (Review Concluded) Comments: None Correspondence/Consultation/References: National Wild and ScenicRivershttp://www.nps.gov/rivers/wildriverslist.html. referenced 08/05/06. L. Other Relevant Laws and Environmental Regulations State Hazardous Materials and Solid Waste Laws Comments: Removal and disposal of debris containing household hazardous waste and certain categories of liquid wastes mustbe performed inaccordance withallapplicable federal andstate laws, regulations, executive ordersand guidelines. LACtitle33partVII requiresthatspecifieditems, includingleadacidbatteries,usedoil filters, usedmotoroil,scraptires, cfc's(refrigerants), radioactivewasteorregulatedinfectious wastesmustbesegregatedfromandexcludedfromnonhazardous debris collection, staging, processing anddisposal sites. Failure tocomply withapplicable legal requirements in debriscollectionand/ordisposaloperationswilljeopardizefederalfunding. Theclean-uporrestoration/repairof sites damagedasa resultofsuchoperationsareineligibleforfederalfunding. Previouslyobligatedfundingissubjecttodeobligation if a determination of ineligibility is made. -Lead-Based Paint -thisprojectinvolves thedemolition ofapublicstructure thatmaycontainsurfacescoatedwithLead- Based Paint(LBP). Activities involving abrading (sanding, scraping, etc.), heating, stripping, or otherwise concentrating LBPshallcomplywithapplicableprovisionsof29CFRparts 1910and1926(OSHA -workersafety),and40CFR260 through268(EPA -hazardouswaste). Theapplicantisresponsibleforensuringthatprojectactivitiesarecoordinatedwith the Louisiana Department of Environmental Quality for abatement activities and is also responsible for ensuring proper disposal in accordance with the previously referenced regulations. -InaccordancewiththeFormosanTermiteInitiativeAct,(LAR.S.3:3391.1 thru3391.13)theLouisianaparishesof Calcasieu, Cameron, Jefferson Davis, Orleans, Jefferson, Plaquemines, St.Bernard, St.Charles, St.JohntheBaptist, St. Tammany,Tangipahoaand Washingtonareunderquarantine. Themovementofwoodorcellulose material,temporary housing orarchitectural components (e.g. beams, doorsandotherwood salvaged fromastructure) maynot leave the quarantined parisheswithoutwrittenauthorization fromthecommissioner oftheLouisianaDepartmentofAgriculture and Forestry orhisdesignee(s). II. Compliance Review for Executive Orders A. E.0.11988 -Floodplains J No Effect on Floodplains/Flood levels and project outside Floodplain -(Review Concluded) [X] Located in Floodplain orEffects on Floodplains/Flood levels LJ No adverse effect on floodplain and not adversely affected by the floodplain. (Review Concluded). Are project conditions required? LJ Yes (see Section V) LJ No (Review Concluded) Record of Environmental Consideration (Version 08/05/06) Reviewer Name: Adam Borden, Env. Specialist Project Name/Env. Database No: Gymnasium Building -Permanent Repair FEMA-1603/1607-DR-LA PVM2295 Parish: St. Bernard J Beneficial Effect on Floodplain Occupancy/Values (Review Concluded). £3 Possible adverse effects associated with investment in floodplain, occupancy or modification of floodplain environment Kl 8 Step Process Complete -documentation on file Are project conditions required? G3 YES (see Section V) • NO (Review Concluded) Comments: The site is located in Zone Al. http://store.msc.fema.gov/webapp/wcs/stores/servlet/FemaWelcomeView?storeId=10001&catalogId=;10001&langId=-l. St. Bernard parish enrolled inthe National Flood Insurance Program (NFIP) 03/13/1970. PerFlood Insurance Rate Map 2252040460E,dated05/01/1985,projectislocatedinazoneAl, areaof lOOyrflood;baseflood elevationsandflood hazard factors determined. Applicant must comply with EOl1988, completing the 8-step process; follow allapplicable local, state and federal laws, regulations and requirements; obtain and comply with allrequired permits and approvals prior toinitiatingworkonthisproject. Per44 CFR9.12,applicantmustpublishafinalpublicnotice 15dayspriortothestartof constructionactivities. Documentationofcompletedfinalpublicnoticeistobeforwardedtothe GOHSEPandFEMAfor inclusion in the permanent project files.—Rezwan Karim, CFM Correspondence/Consultation/References: FEMAFloodInsurance RateMap, Community PanelNo.# 225204 0460E, dated 05/01/1985 B. E.0.11990-Wetlands £3NoEffectsonWetland(s)andprojectlocatedoutside Wetland(s)-(Review Concluded) LJ Located inWetland oreffects Wetland(s) J Beneficial Effecton Wetland -(Review Concluded) l~l Possible adverse effect associated with constructing in ornear wetland J Review completed aspart offloodplain review [~l 8Step Process Complete -documentation onfile Are project conditions required? • YES (see Section V) • NO (Review Concluded) Comments: Nowetlands wereobserved during sitevisitor determined tobepresentbychecking the USFWS National Wetlands Inventory (NWI) maps. Correspondence/Consultation/References: USFWS NWI map accessed on-line (http://wetlandsfws.er.usgs.gov/wtlnds/launch.html) 08/05/06. C. E.0.12898 -Environmental Justice for Low Income and Minority Populations J No Low income orminority population in, near oraffected by the project -(Review Concluded) ^ Low income orminority population inornear project area KlNo disproportionately high and adverse impact on low income orminority population-(Review Concluded) LJDisproportionately high oradverse effects on low incomeorminority population Are project conditions required? LJ YES (see Section V) • NO (Review Concluded) Comments: Thepercentpopulationsof70040are:50.9%Black,47.3%White,and1.3%Hispanic. Themedianhousehold income in 1999 was $ 34,620 and 21.6% of families are below poverty level. Correspondence/Consultation/References: U.S. Census bureau 2000 data at http://factfinder.census.gov. referenced 08/05/06. III. Other Environmental Issues Identify other potential environmental concerns in the comment box not clearly falling under a law or executive order (see environmental concerns scoping checklist for guidance). State Hazardous Materials and Solid Waste Laws Comments: Removalanddisposal ofdebriscontaininghouseholdhazardous wasteandcertaincategoriesof liquidwastes must beperformed inaccordance with allapplicable federal andstatelaws, regulations, executive orders andguidelines. LACtitle33partVII requiresthatspecified items,includingleadacidbatteries,usedoil filters,usedmotoroil,scraptires, cfc's(refrigerants),radioactivewasteorregulatedinfectiouswastesmustbesegregatedfromandexcluded from nonhazardousdebriscollection, staging,processinganddisposalsites. Failuretocomplywithapplicablelegalrequirementsin debriscollectionand/ordisposaloperationswilljeopardize federalfunding. Theclean-uporrestoration/repairofsites Record of Environmental Consideration (Version 08/05/06) Reviewer Name: AdamBorden, Env.Specialist Project Name/Env. Database No: Gymnasium Building -Permanent Repair FEMA-1603/1607-DR-LA PW#12295 Parish: St. Bernard damagedasa resultofsuchoperationsareineligibleforfederalfunding. Previouslyobligatedfundingissubjecttodeobligationifadetermination ofineligibility is made. -Lead-Based Paint-thisproject involves thedemolition ofa public structure thatmaycontain surfaces coated with Lead- Based Paint (LBP). Activities involving abrading (sanding, scraping, etc.), heating, stripping, or otherwise concentrating LBPshallcomplywithapplicableprovisionsof29 CFRparts1910and 1926(OSHA-workersafety),and40 CFR260 through268(EPA-hazardouswaste). Theapplicantisresponsibleforensuringthatprojectactivitiesare coordinatedwith theLouisiana Department ofEnvironmental Quality forabatement activities andisalso responsible forensuring proper disposalinaccordance withthepreviouslyreferencedregulations. -InaccordancewiththeFormosanTermiteInitiativeAct, (LAR.S. 3:3391.1 thru3391.13)the Louisianaparishesof Calcasieu, Cameron, Jefferson Davis, Orleans, Jefferson, Plaquemines, St. Bernard, St.Charles, St.John theBaptist, St. Tammany,Tangipahoaand Washingtonareunderquarantine. Themovementofwoodorcellulosematerial,temporary housingorarchitecturalcomponents(e.g. beams,doorsandotherwoodsalvagedfromastructure)maynot leavethe quarantined parishes without written authorization from the commissioner of the Louisiana Department of Agriculture and Forestry or his designee(s). Correspondence/Consultation/Reference: IV. Extraordinary Circumstances Based on the review of compliance with other environmental laws and Executive Orders, and in consideration of other environmental factors, review the project for extraordinary circumstances. *A"Yes"underanycircumstance may require anEnvironmental Assessment (EA)withthe exceptionof(ii) which shouldbeappliedinconjunctionwithcontroversyonanenvironmentalissue. Ifthecircumstancecanbe mitigated, please explain in comments. If no, leave blank. Yes (i)Greaterscopeorsizethannormally experienced foraparticularcategoryofaction (ii) Actions with a high level of public controversy LJ (iii) Potential for degradation, even though slight, ofalready existing poor environmental conditions; LJ (iv) Employment ofunproven technology with potential adverse effects oractions involving unique or unknown environmental risks; LJ (v) Presence ofendangered or threatened species or their critical habitat, orarchaeological, cultural, historical or other protected resources; LJ (vi) Presence ofhazardous ortoxic substances atlevels which exceed Federal, state orlocal regulations or standards requiring action or attention; LH (vii) Actions with the potential to affect special status areas adversely orother critical resources such as wetlands, coastal zones, wildlife refuge and wilderness areas, wild and scenic rivers, sole or principal drinking water aquifers; (viii) Potential for adverse effects on health or safety; and LJ (ix)Potentialtoviolateafederal,state,localortriballaworrequirementimposedforthe protection of the environment. LJ (x) Potential for significant cumulative impact when the proposed action iscombined with other past, present and reasonably foreseeable future actions, even though the impacts of the proposed action may not be significant by themselves. Comments: None V. Environmental Review Project Conditions Project Conditions: Record of Environmental Consideration (Version 08/05/06) Reviewer'Name: Adam Borden, Env. Specialist Project Name/Env. Database No: Gymnasium Building-Permanent Repair FEMA-1603/1607-DR-LA PW#12295 Parish: St. Bernard Thefollowingconditionsapplyasa conditionofFEMA fundingreimbursement: • Thisprojectinvolvesthedemolitionorrenovationofa publicstructure. Regardlessoftheasbestoscontent,the applicant isresponsible forensuringthatrenovation ordemolition activities arecoordinated with theLouisiana DepartmentofEnvironmentalQuality(LDEQ) inaccordancewiththeLDEQ"FifthAmendedDeclarationof Emergency and Administrative Order" dated March 31, 2006, and the LESHAP protocol dated March 1,2006, incorporating the provisions ofEPA's National Emission Standards for Hazardous Air Pollutants (NESHAP) and the Louisiana Administrative Code (LAC) 33.III.5151 and Chapter 27. Should Asbestos Containing Materials (ACMs) be present atthe project site, the applicant is also responsible for ensuring proper disposal in accordance with the previously referenced administrative orders. • Removal and disposal ofdebris containing household hazardous waste and certain categories ofliquid wastes must be performed in accordance with all applicable federal and state laws, regulations, executive orders and guidelines. LAC title 33 part VII requires that specified items, including lead acid batteries, used oil filters, used motor oil, scrap tires, cfc's (refrigerants), radioactive waste orregulated infectious wastes must be segregated from and excluded from non-hazardous debris collection, staging, processing and disposal sites. Failure to comply with applicable legal requirements in debris collection and/or disposal operations will jeopardize federal funding. The clean-up or restoration/repair ofsites damaged as a result ofsuch operations are ineligible for federal funding. Previously obligated funding issubjecttode-obligation ifa determination ofineligibility ismade. • Lead-Based Paint -this project involves the demolition ofa public structure that may contain surfaces coated with Lead-Based Paint (LBP). Activities involving abrading (sanding, scraping, etc.), heating, stripping, orotherwise concentratingLBPshallcomplywithapplicableprovisionsof29CFRparts 1910and 1926(OSHA-worker safety), and 40 CFR 260 through 268 (EPA -hazardous waste). The applicant is responsible for ensuring that project activities are coordinated with the Louisiana Department ofEnvironmental Quality for abatement activities and is also responsible for ensuring proper disposal in accordance with the previously referenced regulations. • Applicant must comply with EOl 1988, completing the 8-step process; follow allapplicable local, state and federal laws, regulations and requirements; obtain and comply with all required permits and approvalspriortoinitiatingworkonthisproject. Per44CFR9.12,applicantmustpublishafinal publicnotice 15dayspriortothestartofconstructionactivities. Documentationofcompletedfinal public notice is tobe forwarded tothe GOHSEP and FEMA for inclusion in the permanent project files. • In accordance with the Formosan Termite Initiative Act, (LA R.S. 3:3391.1 thru 3391.13) the Louisiana parishes of Calcasieu, Cameron, Jefferson Davis, Orleans, Jefferson, Plaquemines, St.Bernard, St.Charles, St. John the Baptist, St. Tammany, Tangipahoa and Washington are under quarantine. The movement of wood or cellulose material, temporary housing orarchitectural components (e.g. beams, doors and other wood salvaged from a structure)maynotleavethequarantinedparisheswithoutwrittenauthorization fromthecommissioner ofthe Louisiana Department ofAgriculture andForestry orhisdesignee(s). RecordofEnvironmental Consideration(Version08/05/06)