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Hazardous i i andlor Petroleum ProductsOnsite <br /> Substance Container Size Location Nature of Use Disposal Method <br /> drum Manufacturing the servicing of waste oil recycling <br /> in their their machinery company <br /> warehouse <br /> AGI <br /> For use in their <br /> Approximately 20 Manufacturing <br /> Welding Gases manufacturing N/A <br /> cylinders in their <br /> warehouse activities <br /> AGI <br /> Propane Gas Four small canisters Manufacturing For forklifts N/A <br /> warehouse <br /> The materials were found to be properly labeled and stored at the time of the assessment with no signs of <br /> leaks, stains, or spills. Secondary containment is provided for the noted flammable materials utilizing <br /> flammable cabinets, and the 55-gallon drums of lubricants, coolant, and used oil are secondarily <br /> contained with plastic bins. The remaining hazardous materials/used oil are not located within secondary <br /> containment. Based on the nature of use, overall small quantities observed, absence of any reported <br /> releases, and the presence of secondary containment (for flammable materials), these materials are not <br /> expected to represent a significant environmental concern. <br /> 6.2.2 Aboveground & Underground Hazardous Substance or Petroleum Product Storage <br /> Tanks (ASTs/USTs) <br /> No evidence of current or former USTs was observed during the site reconnaissance. An empty steel AST <br /> (capacity unknown), which was formerly used to store water for a prior tenant of the suite currently <br /> occupied by AGI Engineering, was observed attached to the northeastern corner of the building. This <br /> unused AST is not considered to represent an environmental concern to the subject property. <br /> No other evidence of ASTs or USTs was observed at the subject property. <br /> 6.2.3 Evidence of Releases <br /> No significant spills, stains or other indications that a surficial release has occurred at the subject property <br /> were observed. Partner did observe a few small paint spots on the concrete floor near and within the <br /> paint spray booth located in the suite occupied by AGI Engineering; however, the staining appeared <br /> minor, and the concrete appeared in good condition.Accordingly, it appears to be unlikely that the minor <br /> staining would have impacted the soil beneath the floor. Therefore, the paint spotting does not appear to <br /> represent a significant environmental concern for the subject property. <br /> 6.2.4 Polychlorinated Biphenyls (PCBs) <br /> Older transformers and other electrical equipment could contain PCBs at a level that subjects them to <br /> regulation by the U.S. EPA. PCBs in electrical equipment are controlled by United States Environmental <br /> Protection Agency regulations 40 CFR, Part 761. Under the regulations, there are three categories into <br /> which electrical equipment can be classified: 1) Less than 50 parts per million (ppm) of PCBs— "Non-PCB;" <br /> 2) 50 ppm-500 ppm — "PCB-Con taminated,•" and, 3) Greater than 500 ppm — "PCB-Containing." The <br /> Phase I Environmental Site Assessment PARTNER <br /> Project No. 17-184702.1 <br /> May 10,2017 <br /> Page 28 <br />