Reviewer Name: Adam Borden, Environmental Specialist Project Name/Env. Database No: Chalmette High School Athletic Stadiums FEMA-1603/1607-DR-LA PW#9559 Parish: St. Bernard Record of Environmental Consideration REVISED FOR FEMA ENVIRONMENTAL -LOUISIANA --2006 See 44 Code of Federal Regulation Part 10 Project Name/Number: ChalmetteHighSchoolAthleticStadiums/ PW#9559 FIPS#087-04449-00 Project Location: 1100 East Judge Perez Drive, Chalmette, LA 70043, St. Bernard Parish Latitude: 29.93826, Longitude: -89.9529 Project Description: Heavy rains and high winds from Hurricane Katrina (DR-1603) caused significant exterior and interior damage Chalmette High School Athletic Stadiums of St. Bernard Parish School Board. This pw reimburses the eligibleapplicantfortherepairofwindandflood damagedtoseveralbuildings andexternalstructuresthroughoutthe project area .The repairs will include those necessary torestore thefacilities topre-disaster condition including ahazard mitigation proposal. Thebuildings and facilities have been previously cleaned ofsediment anddebris bytheapplicant's contractor. Repairs included in this project include roofing/components, fencing, benches, interior mechanical/electrical systems, ceilingpanels,insulation,lavatorycomponents, appliances, anddoors. Ahazard mitigation proposalassociated withthisprojectproposes toelevate theACUnittotheroofofthe locker room/concessionbuildingtopreventfuture damage from floodevents. Theunitwillbekeptas closeaspossibletoits original locationtominimizecostsformechanicalandelectricalwork. Allworkwillbe performedina previouslydisturbed area with no indication of nearby wetlands or other waterways. Documentation Requirements (Short version) All consultation and agreements implemented to comply with the National Historic Preservation Act,EndangeredSpeciesAct,andExecutiveOrders 11988, 11990and12898arecompletedandno otherlawsapply. (Review Concluded) [3 (Long version) All applicable laws and executive orders were reviewed. Additional information for compliance is attached to this REC and/or included in project files, as applicable. National Environmental Policy Act (NEPA) Determination Statutorily excluded from NEPA review. (Review Concluded) Programmatic Categorical Exclusion -Category (Reference PCE in comments) (Review Concluded) 1 I Categorical Exclusion -Category n No ExtraordinaryCircumstances exist. Are project conditions required? Q Yes (see section V) • No (Review Concluded) I! Extraordinary Circumstances exist (See Section IV). O Extraordinary Circumstances mitigated. (See Section IV comments) Are project conditions required? Q Yes (see section V) O No (Review Concluded) Environmental Assessment Supplemental Environmental Assessment (Reference EA or PEA in comments) £3 Environmental Impact Statement Comments: Thisprojectmeetsthecriteriaforthealternative arrangement, permanentschool, typeof project. Thisproject has conditions and requires mitigation under the other EHP laws. Reviewer and Approvals LJ ProjectisNon-Compliant(Seeattacheddocumentationjustifyingselection). Record of Environmental Consideration (Version 06/30/06) Reviewer Name: Adam Borden, Environmental Specialist Project Name/Env. Database No: Chalmette High School Athletic Stadiums FEMA-1603/1607-DR-LA PW#9559 Parish: St. Bernard FEMA Environmental Reviewer: Name: Adam Borden, FEMA-Environmental Specialist tsoraen, r kma-bnvironmental specialist Signature FEMA Regional Environmental Officer or Delegated Approving Official: Name: Don Fairley, Environmental Liason Officer Signature f^-_j>_ y^==-7*^ Date (?.34>cfQ<° I. Compliance Review for Environmental Laws (other than NEPA) A. National Historic Preservation Act (NHPA) J Not type of activity with potential to affect historic properties. ^ Activity meets Programmatic Agreement, December 3,2004. Appendix A: I,E Are project conditions required? [J Yes (seeSection V) ^ No l~l Programmatic Agreement notapplicable, must conduct standard Section 106 Review. HISTORIC BUILDINGS AND STRUCTURES £<] Nohistoricpropertiesthatare listedor45/50yearsorolderinprojectarea. (Review Concluded) • Buildingorstructurelistedor45/50yearsorolderinprojectareaandactivitynotexemptfromreview. [j Determination ofNo Historic Properties Affected (FEMA finding/SHPO/THPO concurrence on file) Are project conditions required? O Yes (see Section V) [j No (Review Concluded) n DeterminationofHistoricPropertiesAffected(FEMAfinding/SHPO/THPO concurrenceonfile) I IPropertyaNationalHistoricLandmarkandNationalParkServicewasprovidedearlynotification during the consultation process. If not, explain in comments I INo Adverse Effect Determination (FEMA finding/SHPO/THPO concurrence on file). Are project conditions required? Q Yes (see Section V) O No (Review Concluded) I IAdverse Effect Determination (FEMA finding/SHPO/THPO concurrence on file) I I ResolutionofAdverseEffectcompleted.(MOAonfile) Are project conditions required O Yes (see Section V) • No (Review Concluded) ARCHEOLOGICAL RESOURCES 1X1 Project affects only previously disturbed ground. (Review Concluded) I IProject affects undisturbed ground. [~l Project area has no potential for presence of archeological resources I IDetermination ofnohistoric properties affected (FEMA finding/SHPO/THPO concurrence or consultation on file). (Review Concluded) I IProject area has potential for presence ofarcheological resources I I Determination ofnohistoric properties affected (FEMA finding/SHPO/THPO concurrence onfile) Are project conditions required [D Yes (see Section V) Q No (Review Concluded) I I Determination of historic properties affected Q NReligible resources notpresent (FEMA finding/SHPO/THPO concurrence onfile). Areproject conditions required QYes (see Section V) O No (Review Concluded) l~l NReligible resources present inproject area. (FEMA finding/ SHPO/THPO concurrence on file) l~lNo Adverse Effect Determination. (FEMA finding/ SHPO/THPO concurrence onfile) Areproject conditions required? d Yes (seeSection V) Q No (Review Concluded) I IAdverse Effect Determination. (FEMA finding/ SHPO/THPO concurrence on file) I I Resolution of Adverse Effect completed. (MOA on file) Are project conditions required? Q Yes (see Section V) Q No (Review Concluded) Record of Environmental Consideration (Version 06/30/06) Revieiver Name: Adam Borden, Environmental Specialist Project Name/Env. Database No: Chalmette High School Athletic Stadiums FEMA-1603/1607-DR-LA PW#9559 Parish: St. Bernard Comments: Scopeofworkmeetsprogrammaticagreement(12/3/2004)allowance,appendixA,sectionI,E. Ifduringthe course of work, archaeological artifacts (prehistoric or historic) or human remains are discovered, the applicant shall stop workinthe vicinityofthediscoveryandtakeallreasonable measurestoavoidorminimizeharmtothe finds. Theapplicant shall inform theirPublic Assistance (PA) contacts FEMA, whowillinturncontactFEMAhistoric preservation staff. The applicantwillnotproceedwithworkuntilFEMAhistoricpreservation staffhavecompletedconsultationwiththe Louisiana StateHistoricPreservationOfficer (SHPO). Inaddition,ifunmarkedgravesarepresent,compliancewiththeLouisiana Unmarked Human Burial Sites Preservation Act (R.S. 8:671 et seq.) is required. The applicant shall notify the law enforcementagencyofthejurisdictionwheretheremainsarelocatedwithintwenty-fourhoursofthediscovery. The applicant shall also notify FEMA and the Louisiana Unmarked Burial Sites Board (call the Louisiana Division of Archeologyat225-342-8170)withinseventy-two hoursofthediscovery.Failureto complywiththesestipulations may jeopardize receipt of FEMA funding. If the scope of work changes, this project will need to be resubmitted for further historic review. Katherine Zeringue, Historic Preservation Specialist/Archaeologist 06/30/06. Per damage description by Project Officer, buildings were built in 1962. Adam Borden, Environmental Specialist Correspondence/Consultation/References: B. Endangered Species Act £3 No listed species and/or designated critical habitat present in areas affected directly or indirectly by the Federal action. (Review Concluded) l~l Listed species and/or designated critical habitat present in the areas affected directly orindirectly bythe Federal action. I~|Noeffecttospeciesordesignatedcriticalhabitat. (Seecommentsforjustification) Are project conditions required? CD Yes (see Section V) Q No(Review Concluded) 11 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? O Yes (see Section V) Q No(Review Concluded) I ILikely to adversely affect species or designated critical habitat I I Formal consultation concluded. (Biological Assessment and Biological Opinion onfile) Are project conditions required? |_] YES (see Section V) [j NO (Review Concluded) Comments: Project is located in an urban or previously developed area. Neither listed species nor their habitat occur in or near this site, thus FEMA finds there will be no effect to threatened or endangered species. Correspondence/Consultation/References: USFWS emergency consultation provisions determined in letters dated September 15, 2005 for Katrina. C. Coastal Barrier Resources Act Ex] Project isnotonor connected toCBRA Unit orOtherwise Protected Area (Review Concluded). [~|Project isonorconnectedtoCBRAUnitorOtherwiseProtectedArea.(FEMAdetermination/USFWSconsultationon file) J Proposed action an exception under Section 3505.a.6 (Review Concluded) I IProposed action notexcepted under Section 3505.a.6. Are project conditions required? U YES (see Section V) Q NO (Review Concluded) Comments: Project is not within a CBRA zone. Correspondence/Consultation/References: Louisiana Coastal Barrier Resource System Maps referenced 06/29/06. D. Clean Water Act [>3 Project would not affect any waters of the U.S. (Review Concluded) I IProject would affect waters, including wetlands, oftheU.S. J Project exempted as in kind replacement or other exemption. (Review Concluded) I IProject 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) O NO (Review Concluded) Comments: No jurisdictional waters of the U.S., including wetlands, occur in project area. Record of Environmental Consideration (Version 06/30/06) Reviewer Name: Adam Borden, Environmental Specialist Project Name/Env. Database No: Chalmette High School Athletic Stadiums FEMA-1603/1607-DR-LA PW#9559 Parish: St. Bernard Correspondence/Consultation/References: USFWS National Wetlands Inventory map (http://www.fws.gov/nwi/) queried on 06/29/06. E. Coastal Zone Management Act LJ Project is not located in a coastal zone area and does not affect a coastal zone area (Review concluded) E<3 Project is located in a coastal zone area and/or affects the coastal zone E*3 State administering agency does not require consistency review. (Review Concluded). I IState administering agency requires consistency review. Are project conditions required? • YES (see Section V) Q NO (Review Concluded) Comments: This project is located within the Louisiana Coastal Management Zone. LA Department of Natural Resources (DNR) has determined thatreceipt offederal assistance isconsistent with theLouisiana Coastal Resource Program. Projects withinthecoastalzonemaystill requireacoastalusepermitorotherauthorizationfromDNR. 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 [X] Projectdoesnotaffect, control,ormodifyawaterway/bodyofwater. (Review Concluded) I IProjectaffectscontrolsormodifiesawaterway/bodyofwater. O Coordination with USFWS conducted j No Recommendations offered by USFWS. (Review Concluded) I I 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: Louisiana Map (http://wwwlamap.doa.louisiana.gov/) queried 06/29/06. G. Clean Air Act J Project will not result in permanent air emissions. (Review Concluded) D>3 Project is located inan attainment area. (Review Concluded) I IProject islocated ina non-attainment area. I ICoordination required with applicable state administering agency. Are project conditions required? Q YES (see section V) Q NO (Review Concluded) Comments: This project involves the demolition or renovation of a public structure. Regardless of the asbestos content, the applicantisresponsible forensuringthatrenovation ordemolitionactivitiesarecoordinatedwiththeLouisianaDepartment ofEnvironmentalQuality(LDEQ) inaccordancewiththeLDEQ"FifthAmendedDeclarationofEmergencyand Administrative Order" dated March 31, 2006, and the LESHAP protocol dated March 1, 2006, incorporating the provisions of EPA's National Emission Standards for Hazardous Air Pollutants (NESHAP) and the Louisiana Administrative 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. -Ensure that if damaged ac unit contains refrigerant that is an ozone depleting substance subject to Clean Air Act requirements,that this refrigerant is removed and recovered by certified chlorofluorocarbon (cfc) technician per 40 cfr part 82, and that documentation of appropriate disposal is obtained. Correspondence/Consultation/References: EPA Region 6 Non-attainment Map. H. Farmland Protection Policy Act [XI Project does not affect designated prime or unique farmland. (Review Concluded) l~l Project causes unnecessary orirreversible conversion ofdesignated prime orunique farmland. I I Coordination with Natural Resource Conservation Commission required. | I Farmland Conversion Impact Rating, Form AD-1006, completed. Are project conditions required? [j YES (see section V) O NO (Review Concluded) Record of Environmental Consideration (Version 06/30/06) Reviewer Name: Adam Borden, Environmental Specialist Project Name/Env. Database No: Chalmette High School Athletic Stadiums FEMA-1603/1607-DR-LA PW#9559 Parish: St. Bernard Comments: The projectsiteisina developedurbanized areaand Farmland Protection PolicyAct(FPPA)isprecluded. No prime or unique farmland present. Correspondence/Consultation/References: National Resource Conservation Service, Web Soil Survey (http://websoilsurvev.nrcs.usda.gov/app/ )referenced 06/30/06. I. Migratory Bird Treaty Act J Project not located within a flyway zone. (Review Concluded) ^ Project located within a flyway zone. ^ Project does not have potential totake migratory birds. (Review Concluded) Are project conditions required? • Yes (see section V) ^ No(Review Concluded) I IProject has potential to take migratory birds. • Contact made with USFWS Are project conditions required? O YES (see section V) Q NO (Review Concluded) Comments: Thesite isanexistingdisturbedarea withlittlevalueto migratorybirds andwouldnot be includedinthe 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 £<] Project not located inornearEssential Fish Habitat. (ReviewConcluded) O Project located inor near Essential Fish Habitat. I~1 Project does not adversely affect Essential Fish Habitat. (Review Concluded) Are project conditions required? Q Yes (see Section V) [j No (Review Concluded) • Project adversely affects Essential Fish Habitat (FEMA determination/USFWS/NMFS concurrence on file) I INOAA Fisheries provided norecommendation(s) (Review Concluded). Are project conditions required? • Yes (see Section V) • No (Review Concluded) I INOAA Fisheries provided recommendation(s) I IWritten reply toNOAA Fisheries recommendations completed. Are project conditions required? • YES (see Section V) O NO (ReviewConcluded) Comments: Project is not located in or near any surface waters with the potential to affect EFH species. Correspondence/Consultation/References: Louisiana Map (http://wwwlamap.doa.louisiana.gov/) referenced 06/29/06. K. Wild and Scenic Rivers Act [3 Project is not along and does not affect Wild or Scenic River (WSR) -(Review Concluded) n Project is along or affects WSR O 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) Areproject conditions required? • YES (see Section V) O NO (Review Concluded) Comments: None Correspondence/Consultation/References: National Wild and Scenic Rivers http://www.nps.gov/rivers/wildriverslist.html. referenced 06/30/06 . L. Other Relevant Laws and Environmental Regulations State Hazardous Materials and Solid Waste Laws Comments: Applicant shall handle, manage, and dispose of potentially hazardous waste, universal waste, and hazardous materials in accordance with the requirements of local, state, and federal regulations. These materials may include but are not limited to asbestos, lead-based paint, laboratory reagents, propane cylinders, paints and solvents, coolants containing chlorofluorocarbons (cfcs), used oil, polychlorinated biphenyls (pcbs), other petroleum products, used oil filters, fuel filters, cleaning chemicals, pesticides, batteries, and unlabeled tanks and containers. Equipment that may include these materials are ice machines, refrigerators, generators, computers, televisions, mercury switches, fluorescent lights, fluorescent light ballasts, sandblast units, paintsprayers, etc. Record of Environmental Consideration (Version 06/30/06) Reviewer Name: Adam Borden, Environmental Specialist Project Name/Env. Database No: Chalmette High School Athletic Stadiums FEMA-I603/1607-DR-LA PW#9559 Parish: St. Bernard II. Compliance Review for Executive Orders A. E.0.11988-Floodplains ^ No Effect on Floodplains/Flood levels and project outside Floodplain -(Review Concluded) LJ Located in Floodplain or Effects on Floodplains/Flood levels [>3 No adverse effect on floodplain and not adversely affected by the floodplain. (Review Concluded), Are project conditions required? ^] Yes (see Section V) Q No (Review Concluded) J BeneficialEffecton FloodplainOccupancy/Values (Review Concluded). O Possible adverse effects associated with investment in floodplain, occupancy ormodification offloodplain environment [~1 8 Step Process Complete -documentation onfile Are project conditions required? Q YES (see Section V) • NO (Review Concluded) Comments: The site is located in Zone B. http://store.msc.fema.gov/webapp/wcs/stores/servlet/FemaWelcomeView?storeId=10001&catalogId=10001&langId=-l. The parish of St. Bernard enrolled in the National Flood Insurance Program (NFIP) on 3/13/1970. Per Flood Insurance Rate Map (FIRM) panel number 2252040290B dated 5/1/1985, project is located in zone "B", area protected from the 100yrfloodbylevee, dikeorotherstructuresubjectto failureorovertoppingduringlarger floods. Projectisrepair/replacement ofhighschoolathleticfacility/equipment, whichperfloodrecoveryguidance,dated04/12/2006,wherepossible,all equipmentandcontentsshouldbeelevatedatleast3ft.abovethehighestadjacentgradeelevation. Mitigationproposalis attached. K. Roof, Floodplain Management Specialist Correspondence/Consultation/References: FEMA Flood Insurance Rate Map, Community Panel No. #2252040290B dated 5/1/1985 B. E.0.11990-Wetlands E<3 No Effects on Wetland(s) and project located outside Wetland(s) -(Review Concluded) O Located inWetland oreffects Wetland(s) H Beneficial Effect on Wetland -(Review Concluded) I IPossible adverse effect associated with constructing inor near wetland "2 Review completed as part of floodplain review I! 8 Step Process Complete -documentation on file Are project conditions required? O YES (see Section V) Q NO (Review Concluded) Comments: No wetlands were determined to be present by checking the USFWS National Wetlands Inventory (NWI) maps Correspondence/Consultation/References: USFWS NWI map accessed on-line (http://wetlandsfws.er.usgs.gov/wtlnds/launch.html) 06/30/06. C. E.O. 12898 -Environmental Justice for Low Income and Minority Populations J No Low income or minority population in, near or affected by the project -(Review Concluded) ^ Low income orminority population inor near project area [3 No disproportionately high and adverse impact on low income orminority population-(Review Concluded) I IDisproportionately high oradverse effects onlow income orminority population Are project conditions required? O YES (see Section V) O NO (Review Concluded) Comments: The percent populations of 70043 are: 92.7% white, 4.8% hispanic and 2.4% black. The median household income in 1999 was $ 36,699 and 9.2 % of families are below poverty level. Correspondence/Consultation/References: U.S. Census bureau 2000 data at http://factfinder.census.gov, referenced 06/29/06. HI. 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). Record of Environmental Consideration (Version 06/30/06) Reviewer Name: Adam Borden, Environmental Specialist Project Name/Env. Database No: Chalmette High School Athletic Stadiums FEMA-1603/I607-DR-LA PW#9559 Parish: St. Bernard State Hazardous Materials and Solid Waste Laws Comments: Applicant shall handle, manage, and dispose of potentially hazardous waste, universal waste, and hazardous materials in accordance with the requirements of local, state, and federal regulations. These materials may include but are not limited to asbestos, lead-based paint, laboratory reagents, propane cylnders, paints and solvents, coolants containing chlorofluorocarbons (cfcs), used oil, polychlorinated biphenyls (pcbs), other petroleum products, used oil filters, fuel filters, cleaning chemicals, pesticides, batteries, and unlabeled tanks and containers. Equipment that may include these materials are ice machines, refrigerators, generators, computers, televisions, mercury switches, fluorescent lights, fluorescent light ballasts, sandblast units, paint sprayers, etc. Correspondence/Consultation/Reference: IV. Extraordinary Circumstances Based on the review of compliance with other environmental laws and Executive Orders, and in considerationofotherenvironmental factors,reviewtheprojectforextraordinarycircumstances. *A"Yes" under any circumstance may require anEnvironmental Assessment (EA) with theexception of(ii)which should beapplied inconjunction with controversy onan environmental issue. Ifthe circumstance can bemitigated, please explain in comments. If no, leave blank. Yes (i)Greaterscopeorsizethannormally experienced foraparticular categoryof action (ii) Actions with a high level of public controversy • (iii) Potential for degradation, even though slight, ofalready existing poor environmental conditions; LI (iv) Employment of unproven technology with potential adverse effects or actions involving unique or unknown environmental risks; l~l (v) Presence ofendangered orthreatened species or their critical habitat, orarchaeological, cultural, historical or other protected resources; fZI (vi) Presence ofhazardous ortoxic substances atlevels which exceed Federal, state orlocal regulations or standards requiring action or attention; LJ (vii)Actionswiththepotentialtoaffectspecial statusareasadverselyorothercriticalresources 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) Potential to violate a federal, state, local or tribal law or requirement imposed for the protection of the environment. I~l (x) Potential for significant cumulative impact when the proposed action is combined 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: The following conditions apply as a condition of FEMA funding reimbursement: • This project involves the demolition or renovation of a public structure. Regardless of the asbestos content, the applicant is responsible for ensuring that renovation or demolition activities are coordinated with the Louisiana Department of Environmental Quality (LDEQ) in accordance with the Record of Environmental Consideration (Version 06/30/06) Reviewer Name: Adam Borden, Environmental Specialist Project Name/Env. Database No: Chalmette High School Athletic Stadiums FEMA-1603/1607-DR-LA PW#9559 Parish: St. Bernard LDEQ "Fifth Amended Declaration of Emergency and Administrative Order" dated March 31, 2006, and the LESHAP protocol dated March 1, 2006, incorporating the provisions of EPA's National Emission Standards for Hazardous Air Pollutants (NESHAP) and the Louisiana Administrative Code (LAC) 33.111.5151 and Chapter 27. Should Asbestos Containing Materials (ACMs) be present at the project site, theapplicant isalso responsible forensuring proper disposal inaccordance with the previously referenced administrative orders. • Applicant shall handle, manage, and dispose of potentially hazardous waste, universal waste, and hazardousmaterialsinaccordancewiththerequirementsoflocal,state,and federalregulations. These materials may include but are not limited to asbestos, lead-based paint, laboratory reagents, propane cylinders, paints and solvents, coolants containing chlorofluorocarbons (cfcs), used oil, polychlorinated biphenyls (pcbs), other petroleum products, used oil filters, fuel filters, cleaning chemicals, pesticides, batteries,and unlabeledtanksandcontainers. Equipmentthatmayincludethesematerialsareice machines, refrigerators, generators, computers, televisions, mercury switches, fluorescent lights, fluorescent light ballasts, sandblast units, paint sprayers, etc. • Projectisrepairofbuilding,whichperfloodrecoveryguidance,dated04/12/2006,wherepossible,all equipmentandcontents should beelevatedatleast3ft. abovethehighestadjacentgradeelevation. • Ensurethatif damagedACunitcontainsrefrigerantthatisanozonedepletingsubstancesubjectto clean air act requirements, that this refrigerant is removed and recovered by certified chlorofluorocarbon (cfc) technician per40cfr part 82, and thatdocumentation ofappropriate disposal is obtained. Record of Environmental Consideration (Version 06/30/06)