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TURNING LANDFILLS INTO BROWNFIELD REDEVELOPMENT Martin Shelton Weissman, Nowack, Curry & Wilco

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Presentation on theme: "TURNING LANDFILLS INTO BROWNFIELD REDEVELOPMENT Martin Shelton Weissman, Nowack, Curry & Wilco"— Presentation transcript:

1 TURNING LANDFILLS INTO BROWNFIELD REDEVELOPMENT Martin Shelton Weissman, Nowack, Curry & Wilco martins@wncwlaw.com

2 Permitted Landfill in Operation Post-closure in Theory LANDFILLS

3  Resource Conservation Recovery Act (RCRA)  Regulatory scheme  Cradle to grave  Permitting component  Post closure regulations  Prospective remedial action to address ongoing contamination issues  Comprehensive Environmental Response, Compensation, and Liability Act (CERCLA)  Historical Hazardous Waste sites  Remediation and Treatment to Protect the Environmental from Hazardous Substances  Egalitarian – Liability for All!  Contribution Litigation WHAT LAWS APPLY TO LANDFILLS?

4  Georgia Comprehensive Solid Waste Management Act  Basically implements RCRA Subtitle D  Solid Waste  Georgia Hazardous Site Response Act  State superfund  Release notification  Hazardous site inventory  Clean up standards  Deed Restrictions  Potentially Difficult to Market or Develop WHAT LAWS APPLY TO LANDFILLS?

5 Mt. Trashmore Park in Virginia Beach Mt. Trashmore Playground THE SUCCESSFUL CLOSURE

6 Some Use Not Much Use THE SUCCESSFUL CLOSURE

7 Not Where You Want Them No Control Over Waste UNPERMITTED LANDFILLS

8 Organized Illegal Dumping Random Dumping in Forest UNPERMITTED LANDFILL

9 Past Sins When Waste Management Was Not the Same DEALING WITH PAST WASTE ISSUES

10 It May Be Obvious…. Or, It May Not. DEALING WITH PAST WASTE ISSUES

11  RCRA Post-Closure  The Never-ending Story  Methane Monitoring  Groundwater  Surface water  Depresses Surrounding Development  CERCLA  Who wants to buy a Superfund site?  Sites do move of the list, but still require a lot of work to reuse LEGAL EFFECT OF PAST WASTE ISSUES

12  HSRA Remediation = Years  Study & Delineation  Determine a Possible Remedy  Soils  Groundwater  Surface water  Implement  Water - Monitor Success Until All Wells < RRS for 2 Consecutive Years  How clean is clean? LEGAL EFFECT OF PAST WASTE ISSUES

13  Defined as: “Real property, the expansion, development or reuse of which may be complicated by the presence or potential presence of a hazardous substance, pollutant, or contaminant”  Putting Formerly Unusable Land to a New Use  Georgia Brownfield Act  Eligibility  Clean up  Liability Protection BROWNFIELDS

14  Allows redevelopment without assumption of liability  Provides a manageable process to achieve remediation and redevelopment  Provides liability protection  Provides protection from third-party lawsuits WHAT DOES A BROWNFIELD DO?

15 WHAT WE’RE REALLY TALKING ABOUT IS RISK MANAGEMENT …

16 RISK REDUCTION NOT ELIMINATION

17 BROWNFIELDS WORK

18  Had to buy the property  A lot of work upfront before purchase  Not available to RCRA sites of any kind  Not available to CERCLA sites  Not available to sites under any environmental lien  But, HSRA sites and UST site were allowed HISTORICAL BROWNFIELD LIMITATIONS

19  Expanded to allow anyone with a property interest such as leases, easements – all property interests which previous gave one operator liability  Clarified a prior amendment allowing thirty days after purchase to submit application  Revised the exclusions language  No sites listed on the National Priorities List or Superfund list  No sites undergoing remediation under Federal CERCLA order  No active, permitted hazardous waste facilities (RCRA) 2014 BROWNFIELD AMENDMENTS

20  WHAT DOES THIS MEAN?  Former or unpermitted RCRA sites can enter the Brownfield Program  Unpermitted Landfills  Former landfills that have completed closure requirements  HSRA sites, VRP sites, CERCLIS sites  Clarified a prior amendment allowing thirty days after purchase to submit application  Revised the exclusions language  No sites listed on the National Priorities List or Superfund list  No sites undergoing remediation under Federal CERCLA order  No active, permitted hazardous waste facilities (RCRA) 2014 BROWNFIELD AMENDMENTS

21  Site must still qualify for the program by having a release.  Needs to be a constituent included in the governing statutes of the Georgia Brownfield Act  Have to address the source of hazardous constituent  Be prepared for anything initially  Closure requirements  Methane issues  Groundwater  Surface water  Soils  To Remove or Not Remove? SO YOU WANT TO REDEVELOP A LANDFILL

22 BROWNFIELD CASE STUDY 1

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25 BROWNFIELD CASE STUDY2

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30 Martin Shelton P: 404-926-4564 | F: 404-926-4764 martins@wncwlaw.com Weissman, Nowack, Curry & Wilco One Alliance Center, 4 th Floor 3500 Lenox Road Atlanta, GA 30326 www.wncwlaw.com


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