Posts Tagged ‘lead rrp’

EPA’s Lead RRP Changes…again

Thursday, October 6th, 2011

From our friends at Remodeling Magazine.

It’s been nearly a year since the EPA’s Lead RRP took complete effect; however, the agency is still making tweaks to the rule, stirring up some questions and frustration. Check out the below blog post from Remodeling Magazine.

On Oct. 4, 2011, the latest changes to the Environmental Protection Agency’s lead Renovation, Repair and Painting rule (RRP) became effective. Finalized in August, this latest round of changes continues to showcase the EPA’s inability to understand its own law or the industry to which the law applies. That said, here is a brief summary of the changes most relevant to the remodeling and home improvement industry.

Proposed dust-wipe sampling. The previously proposed change to RRP that would have required a new dust-wipe clearance test by a new specially licensed worker — to be performed after the lead-safe work practices were completed — has been cancelled. Despite claims by certain trade organizations that this was the result of their lobbying efforts, the fact is that this proposal was dead once the congressional makeup changed last fall. A number of states had warned the EPA against enacting this “super cleaning” requirement as being unnecessary and unduly burdensome, even threatening to support a defunding of the EPA budget in regard to lead paint regulations.

Lead paint lab analysis. Certified Renovators, instead of conducting their own lead paint test, may submit a lead paint chip to an independent laboratory for analysis. The EPA will be providing details on how this may be accomplished, but in the real world this is unlikely to be of much use to most in the industry, given the increased cost, complexity, and time that such a procedure will require when compared to currently available test kits.

Definition of a “painted surface.” The EPA had never defined “painted surface,” and by its plain meaning that term should apply to a surface that has paint on it — as opposed, for example, to a sink or tub or gutter, each of which is not generally painted. Apparently in an effort to close down this possible loophole, the new changes to RRP now state that the term “painted surface” includes any “surface coating.”

Unfortunately, the EPA has failed to explain what is meant by a “surface coating” and this is not as simple as it appears. Is an enameled surface on a gutter or downspout a surface coating? What about an enameled tub being pulled on a liner job? Adding further potential confusion into the mix, the EPA’s Web page reported some time ago that the EPA would not consider the glaze on ceramic tile to be either a surface coating or a painted surface — and therefore ceramic tile is not subject to the RRP rule. Yet any tile manufacturer can tell you that glaze is either sprayed or painted on to a ceramic tile, not unlike the manner in which some types of enamel are applied (see “Tile & Tribulation.”).

Vertical containment systems. Vertical containment “or equivalent extra precautions” must be used as part of lead-safe work practices for exterior renovations that affect painted surfaces within 10 feet of the property line. The “or equivalent extra precautions” now means that a contractor is allowed to use almost any type of vertical containment system, from a commercial box structure to scaffolding to a make-shift plastic sheeting lean-to, so long as it contains the dust being created from the renovation. Moreover, as long as the floor containment is tightly sealed to the vertical containment, the floor containment can stop where it meets the vertical containment system, even if that is before the current 6-foot standard for interior floor containment or the 10-foot standard for exterior floor containment.

Finally, of some note for contractors is the news that the EPA has once again changed the content of the lead paint informational pamphlet, now known as “The Lead Safe Certified Guide to Renovate Right.” Having lost count of how many times in the past four years the pamphlet has changed, we will simply note that page 10 has been rewritten to better explain what lead-dust testing is to the consumer. There should be no concern, however, about using up your existing stock of pamphlets before going to the newest version.

—D.S. Berenson is the Washington, D.C., managing partner of Berenson LLP (www.homeimprovementlaw.com), a national law firm specializing in the representation of contractors and the home improvement industry. 703.759.1055 or info@berensonllp.com. This article is for informational purposes only and should not be construed as legal advice.

Big Changes to the EPA RRP Lead Rule: Summary

Wednesday, July 20th, 2011

On July 15, 2011 the EPA finally released a PREPUBLICATION VERSION of the final rule. The 113 pagedocument touched on many points that contractors have been waiting on. Fortunately, Mark Paskell of The Contractor Coaching Partnership, created a great summary of the changes.  (Thanks Mark!) Here are the main points:

1. Dust wipe testing and clearance requirements are not required. The clearance verification process taught in the RRP course stays.

2. Exterior work; Vertical containment must be used when affected surfaces are within 10 feet of the property line. The containment can be set up as close as possible to the disturbed surface so long as all debris are contained in the work area. For example vertical containment can be set up 5 feet from the disturbed surface.

Interior work; Vertical containment from floor to ceiling. Certified Renovators do not have to place the minimum 6 feet of plastic on interior floors. The vertical containment can be set up as close as possible to the disturbed surface so long as all debris are contained in the work area. For example vertical containment can be set up 3 feet from the disturbed surface.

3. Certified Renovators are allowed to collect a paint chip sample and send it to a recognized laboratory for analysis in lieu of using a test kit.

4. Records to be kept on file for five years instead of the former three year requirement.

5. Minimum penalty for states and Tribal programs of $5,000.

6. HEPA vacuums EPA has decided to promulgate the requirement that HEPA vacuums be operated in accordance with manufacturer’s instructions, but not the requirement that compliant vacuums be rated at a MERV value of 17 or higher. More details coming soon!

Is the Lead RRP RIP?

Wednesday, March 30th, 2011

Not so long ago there were lines of contractors signing up to be “lead safe” certified in compliance with the EPA’s Lead LeadRRPRRP. In fact, there were so many contractors and so little certification facilities that the EPA delayed the compliance deadline in order to meet the demand.  The rule was heard loud and clear…Comply or Die. OK, that’s a bit dramatic, but with contractors facing minimum fines of $32,000,  not complying surely could lead to the death of a small firm.  And now….crickets. Although thousands received certification and invested in the proper equipment, it is safe to assume that thousands of contractors did not get certified. Instead, they chose to ride the wave and wait to see if the EPA would actually enforce the costly rule.  To date, we’ve heard virtually nothing on the RRP being enforced…except for a few small jobs in Massachusetts where the state is in charge of their version of the RRP.

Word on the street is that contractors, even those who are in compliance, are simply not taking jobs that require them to work on homes built prior to 1978. A paint store owner recently told us “They’re afraid of the liability. Most have good intentions, but can’t afford the fine if they happen to make a mistake.”

We also heard that contractors are being encouraged to tell on other contractors, a rumor we can’t confirm, but just one example of the controversy the rule has generated.

And in the Western “newer” part of the country, the RRP doesn’t even seem to be on people’s radar. “We’ve heard about it, but there’s been no activity,” is the sentiment of another paint retailer we spoke to. “It will move this way eventually, but we’re all waiting for the first big fine.”

On the flip side, the National Organization of Remediators and Mold Inspectors had some positive news:

While agents may be quite busy with the leads provided by tips and anonymous calls, townships have begun to require the certification in order to obtain a permit, insurers are not renewing policies without it, and law firms are buying up web space in anticipation of many lead paint poisoning cases to pursue.

In speaking with EPA agents, the tone is one of common sense. No one is looking to levy a fine against contractors who are making a good faith effort to comply. One might paraphrase to say that agents aren’t going to come measure the poly on the floor, but there had better BE poly to protect the site or you will face a willful violation. The goal should be for contractors to keep their customers and crew safe and healthy. Agents we spoke to also stressed the importance of safety for the purpose of guarding against litigation. The EPA’s current posture is one of educating, not alienating. Agents seemed understanding of the rigors of compliance and eager to help with questions and issues.

So, what have you heard? What’s your opinion? Are you aware of any RRP violations? Are you a contractor affected by the rule? Please share your experiences!

EPA RRP Deadline Looms; Thousands of Contractors not Certified (Taken from the Contractor Coaching Partnership)

Monday, December 13th, 2010

The below is an excerpt of a blog post from The Contractor Coaching Partnership regarding their to-date experiences with the EPA’s Lead RRP. The final RRP Renovator Certification deadline is December 31st.

“On 12/31/2010 the EPA RRP Certified Renovator deadline ends. All contractors, landlords, property maintenance personnel, sub contractors and those who work for compensation on pre 1978 homes must be certified. Anyone who is not trained must not offer to work or work on pre 1978 homes or they will be subject to fines from the EPA. Current fines are up to $37,500 per day per offense.

On 6/18/2010 the EPA extension on fines and training caused a significant drop off for those seeking training. From 1/13/2010 to 6/30/2010 The Contractor Coaching Partnership facilitated the training for 3000 contractors. Since then we have only trained a little over 700. 

Non-compliant contractors not scared of the EPA

Many contractors tell us they are not worried about becoming certified or getting caught because there have been no EPA fines.  In addition most building officials want nothing to do with the enforcement and many still have no clue as to what is going on with the law.

Trained Contractors Snubbing the EPA RRP Law Requirements                                                  

In our (The Contractor Coaching Partnership) outreach efforts we are finding that a significant percentage of contractors are not certifying their firms, not buying hepa vacuums, not implementing the practices, not setting up documentation and generally rolling the dice that the EPA will never mount a sustainable enforcement effort. They say homeowners don’t even know about the law and when it is brought up the homeowner says I don’t care and I don’t want to pay more.

What will 2011 bring?

Who knows what 2011 will bring. It is obvious that until the EPA or local building officials mount a significant enforcement effort that results in fines, wide contractor compliance will continue to move slowly. Meanwhile, compliant contractors who have stepped up to the plate, will have to deal with ineffective and non-existent enforcement in most areas. 

Will OSHA have an impact on enforcement?

The RRP Lead Law requires that contractors comply with OSHA Lead Laws. Most residential contractors have little or no experience with  the OSHA Lead in Construction Standard. However, contractors who don’t comply with it and get caught, face huge fines. In some states like Massachusetts, contractors are required to submit a respirator and worker protection program to obtain the lead license. The OSHA fines for serious violations are $7,000 and for willful violations $70,000. If OSHA starts enforcing the standard, these fines will likely have an indirect effect leading to RRP compliance.”

The above post is from The Contractor Coaching Partnership Blog.

Stock up on your Lead RRP HEPA Vacuums and Nozzles during our Fall Special!

Monday, November 1st, 2010

Guess what?! We’re running a Fall Special on Lead RRP Supplies!  From now until supplies last, take advantage of this great promotion on our HEPA Filter Vacuums and RRP Floor Nozzles.

Get a FREE Turbo Nozzle with the purchase of a GD 930, UZ 934 or GD 10 Back

or…Purchase a GD 930 with Power Nozzle for only $785! A savings of more than $200!

Use these part numbers when placing your order over the phone (1-800-NILFISK) or by email: uspaemailorders@nilfisk-advance.com.

  • UZ 934 with Free Turbo Nozzle, Item #M70048
  • GD 930 with Free Turbo Nozzle, Item #M70044
  • GD 10 Back with Free Turbo Nozzle, Item #M70045
  • GD 930 with Power Nozzle Kit for only $785!, Item #M70047

Nilfisk CFM Fall RRP Promotion Flyer.

For more information on the EPA’s Lead RRP, visit the RRP section of our blog.

The ABC’s of the RRP: Lead Rule Webinar

Tuesday, October 26th, 2010

Well, the EPA’s Lead RRP enforcement deadline of October 1st has come and gone, but the next big date is right around the corner.  Contractors must now complete training before December 31st.  If you’re still looking for more information on the RRP, check out our recent webinar, The ABC’s of the RRP.  Held in conjunction with Occupational Health & Safety magazine, the webinar  features general information on the EPA’s Lead RRP and discusses the recommended best practices to keep lead dust at a minimum during and after renovation projects. It also highlights some popular tools recommended by the EPA, with a special focus on HEPA filter vacuum cleaners.

The webinar is available on our website, here: http://www.nilfiskcfm.com/press/webinars/10-10-22/The_ABC_s_of_the_RRP.aspx

Lead RRP Deadline is Fast Approaching!

Tuesday, September 28th, 2010

In the words of  Glenn Frey…the heat is on.  The enforcement deadline for the EPA’s Lead RRP,  (extended from April 21),  is only 2 days away; however, contractors still have until December 31st to complete an EPA-certified RRP course. If you’re still looking for general information on the RRP and what it means to you, or need to purchase a HEPA vacuum cleaner to meet the Lead RRP guidelines, visit the RRP section of our blog.

Post include:

Massachusetts Lead RRP : “We are here.”

EPA Extends Lead RRP Deadline

Online Lead RRP Training Program Gives Contractors the Ability to Comply with Convenience

Poisoned by Paint, an Op-Ed Article

What’s a Carpet Beater Bar? (Lead RRP)

Great Question! DO EPA Lead Rules apply to homeowners?

Lead RRP : D-Day is right around the corner

Be EPA Compliant with the New Lead RRP by April 2010

Massachusetts Lead RRP : “We are here.”

Wednesday, August 11th, 2010

Despite the EPA delaying enforcement of their federally-enforced Lead RRP until October 1st, it seems that Massachusetts’ lead law, one of about 9 states who filed to administer and enforce their own version of the RRP,  is alive and kicking.  And the state is spreading a message:

“Tell every contractor you know we’re out there enforcing. Tell your friends, your neighbors, contractors you know, suppliers and trades. We are here and we will enforce the new law.”

Wow.  

These words came from a Massacusetts DOS inspector during a Lead RRP inspection at a Rockport, Mass renovation project. (Read the full story  here). The inspector admitted that the state is taking the rule very serious…and we believe him. Ray McCarthy, our Mass sales rep has been very busy taking calls from contractors looking for good HEPA Filter Vacuums, and the above quote certainly explains why.

While still very similar to  the EPA’s 40 CFR, Subpart E, the Mass  Lead Law,  454 CMR 22, does contain some differences. I’m certainly not an expert on the legalese, but Andrea Goldman from the Massachusetts Builders Blog knows what she’s talking about; she has started to outline the key differences on her blog.

Don’t live in Massachusetts?  The EPA has also authorized these states to administer and enforce their own RRP programs.

Wisconsin, Iowa, North Carolina, Mississippi, Kansas, Rhode Island, Utah, and Oregon.

EPA Extends Lead RRP Deadline

Monday, June 21st, 2010

Well, after much debate, the EPA announced this weekend that they are delaying the enforcement of the Lead RRP until after October 1st, and allowing contractors until December 31st to complete training. The extension comes after heavy lobbying from remodeling associations like NAHB and NARI, who argued the shortage of trainers, along with  other factors, made the intial April 22nd deadline unrealistic.

Although this sounds like good news for contractors standing in line to get certified, industrial legal consultants are warning remodelers to proceed with caution. Regardless of the RRP, contractors are still supposed to practice lead-safe work, and can still be held accountable by the homeowner.

Online Lead RRP Training Program Gives Contractors the Ability to Comply with Convenience

Tuesday, June 8th, 2010

Check out the article below. Thanks to Contractor Supply magazine for the Online Exclusive! http://www.contractorsupplymagazine.com/pages/News—20100608-Online-Exclusive-Online-Lead-RRP-Training-Program.php

More than 80 million homes in the United States contain traces of lead, a deadly element that if exposed to, even in small amounts, can cause serious effects on the brain, nervous, reproduction, cardiovascular, muscular, skeletal, renal, and blood systems. 

Lead is often absorbed through contaminated dust in older buildings and through paint chips easily ingested by small children, putting them at high risk for lead poisoning. In 2008, in order to curb the occurrence of lead-related diseases, the EPA issued 40 CR, Part 745, Subpart E, also known as the Lead RRP.

In effect since April 22, 2010, the new rule requires contractors who perform renovations, repair or painting projects on homes or schools built before 1978- the year lead paint was banned- to be licensed and become “EPA Lead–Safe Certified” in order to prevent lead contamination. 

As a result, the RRP has sparked a fury amongst contractors to hurry up and fulfill the new requirements, or pay a hefty fine; and while there are approximately 240 EPA-accredited training providers across the country offering the certification, which includes 6 hours of class time and a 2-hour hands-on skills assessment, the number of firms seeking certification is well over 200,000.

To help alleviate the long lines of contractors waiting to be certified, the State of Kansas approached ComplyAbility (Work Comp Associates, LLC), a non-profit web-based human resources, regulatory compliance, training, testing and performance tracking software company to develop a program that addressed the Lead RRP requirements.  

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