United States
Environmental Protection
Agency
Pesticides and Toxic Substances
(TS-799)
20T-2003
July 1990
Managing Asbestos
In Place

A Building Owners
Guide to Operations
and Maintenance Programs for
Asbestos-Containing Materials
                      W   .1.:. ^'^. Jj

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Managing Asbestos In Place

A Building Owner's Guide to
Operations and Maintenance Programs
for Asbestos-Containing Materials


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Contents
ACKNOWLEDGEMENTS	
FOREWORD	vii
1. WHY IS ASBESTOS A PROBLEM?
  Introduction and Overview	  1
    • Background	  2
    • Chapter Summary	  4
2. WHAT IS AN O&M PROGRAM?
  Purpose and Scope of an Operations and Maintenance program	5
    • Purpose of O&M Program	  5
    • Scope of an O&M Program	  5
    • Chapter Summary	  6
3. HOW DOES THE PROGRAM START?
  Laying the Foundation for an Effective O&M Program	  7
    • The Asbestos Program Manager	  7
    • BuildinglnspectionandAssessment	7
    • Developing an O&M Program	8
    • IrnplementingandManaging an O&M
     Program	8
    • Cost Considerations	9
    • Selectingandhnplementing Alternative  Abatement Actions	9
    • Chapter Summary	11
4. WHAT DOES AN O&M PROGRAM INCLUDE?
  O&M Program Elements	12
    • Informing Building Workers, Tenants, and Other Occupants	12
    • ACMSurveiUance-Reirwectionand Periodic Surveillance 	14
    • Supplement to Visual/Physical Evaluation	14
    • WorkControl/Permit System	 15
    • O&M Work Practices	16
        -Worker protection programs	17
        -Basic O&M Procedures	 18
        -O&M Cleaning Practices	19
        -Procedures for Asbestos Fiber Release Episodes	20
    • Recordkeeping	22
    • Chapter Summary	22
5.  WHAT O&M TRAINING IS NECESSARY?
  Types of Training	 	23
    • Chapter Summary	25

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                   6. WHAT REGULATIONS AFFECT ASBESTOS MANAGEMENT PROGRAMS IN
                     BUILDINGS, ESPECIALLY O&M PROGRAMS?
                     Federal, State, and Local Regulations Affecting O&M Programs	26
                       • OSHA Regulations &EPA Worker Protection Rule	26
                           -Small-scale, Short-duration Projects	27
                       • EPA National Emission Standards for Hazardous Air Pollutants (NESHAP) Regulations. .  . .27
                           -Notification	28
                           -Emissions Control and Waste Disposal	28
                       • Resource Conservation and Recovery Act (RCRA); Comprehensive Environmental Response,
                        Compensation, and Liability Act (CERCLA, or "Superfund")	28
                       • Asbestos Hazard Emergency Response  Act (AHERA)	28
                       • Asbestos Ban and Phaseout Rule	 28
                       • Chapter Summary	29
                   APPENDIX A.
                      Glossary	
                   APPENDIX B.
                      Sample Recordkeeping Forms	31
                   APPENDIX C.
                      Illustrative Organzation Charts	35
                   APPENDIX D.
                      Additional Assistance (EPA, NESW, OSHA; Training )  	37
                   APPENDIX E.
                      Respiratory Protection Recommendations	38
                   APPENDIX F.
                      Existing EPA Guidance For ACM Control	39
                   APPENDIX G.
                      Sample List: Suspect Asbestos-Containing Materials	 40
                   APPENDIX H.
                      References	40
                  DISCLAIMER

                  This document was prepared under contract to an agency of the United States Government. Neither the United States Government
                  nor any of their employees makes any warranty, expressed or implied, or assume any legal liability for any third party's use of or the
                  results of such use of any information, product, or process discussed in this document. Mention or illustration of company or trade
                  names,  or of commercial products does not constitute endorsement by the U.S.  Environmental Protection Agency.
IV

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 Acknowledgements
The time and effort that many individual contributed to the development of this document is
gratefully acknowledged by the U.S. Environmental Protection Agency (EPA). The material in this
publication represents EPA's approximately 11 years of experience in considering public input and
fine tuning policies on managing asbestos-containing  materials in buildings. This  document
incorporates views  expressed by  safety and health professionals, property owners  and managers,
public officials,  general industry  representatives, workers, and the general public.
The primary EPA developer and coordinator of the final
document  was Dr.  Robert  Jordan  of the Technical
Assistance Section, Environmental  Assistance Divi-
sion, Office of Toxic Substances. Without Bob's con-
stant oversight, combined with his technical knowledge
and concern that the  document be representative of
state-of-the-art asbestos management, this document
would not have reached the public.

Joe Schechter, Chief of the Technical Assistance Sec-
tion, managed the project and helped clarify and edit the
Guide. Bob McNally Chief of the Assistance Programs
Development Branch, was instrumental in the forma-
tive period  of the Guide's development and also devoted
long hours to its review Other important  contributions
within the Environmental Assistance Division came
from Tom Tom and Dave Kling.  Sylvia  Thomas
provided necessary assistance in revisions of the early
drafts. Esther Tepper and Jane Gurin helped review the
Guide in its final revisions, to make sure the document
was written in easy-to-understand language.

The original work which provided the foundation for the
project was performed under a contract  with Battelle
Memorial Institute (No. 68-02-4294) by Dr. Dale Keyes
and Dr.  Jean Chesson,  under the direction of Edie
Sterrett  and Cindy Stroup of the EPA Exposure
Evaluation Division. They prepared the first drafts of
the document and were instrumental in establishing its
final format.

EPA staff also gratefully acknowledge the work of staff
from the Georgia Tech  Research Institute  (GTRI).
Through a cooperative  agreement with EPA they
served as the overall project coordinator  and provided
thoughtful  technical guidance throughout this entire
process.  The GTRI team also developed several key
sections of the Guide.
This publication was refined through a peer review
meeting held in October 1988 in Washington, DC, and
by a series of comment periods provided through May
1990. The following individuals gave their time and
provided comments:

    John  Biechman, Safe Buildings Alliance
    Wolfgang Brandner, U.S. EPA Region VII
    Frank Bull, Bull, Brown & Kilgo Architects
    Eva Clay The Environmental Institute
    William Cobbs, U.S. General Services
      Administration
    Mark Demyanek, Georgia Tech Research
      Institute
    Michael Duffy, Service Employees International
       Union
    Paul  Fidducia, Winston and Strawn
    Eugene Fisher, Association of Wall and Ceiling
      Industries
    Douglas Greenaway Consultant (formerly,
      Building Owners and Managers Association
      International)
    David Harris, National Institute of Building
      Sciences
    Steve Hays, Gobbell Hays Partners
    Joseph Hopkins, U.S. Department of Energy
    David Mayer, Georgia Tech Research Institute
    Richard Mendes, New York City Department of
      Environmental  Protection
    Michael Miles, Tishman Spyer Properties
    Roger Morse, ENTEK Environmental and
       Technical Services, Inc.
    Robert Navratil, RREEF Funds, Construction
      and Engineering
    Anthony Restaino, U.S. EPA Region  V
    Richard Roth, Social Security Administration
    Sims Roy, U.S. EPA, Office of Air Quality
      Planning  and Standards

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                    Scott Schneider, Workers' Institute for              Asbestos in Public and Commercial Buildings, which
                       Occupational Safety and Health                  met several times during 1989-1990. The purpose of
                    Henry Singer, U.S. General Services                this multidisciplinary group was to identify the prob-
                       Administration                                 lems associated with asbestos in public and commercial
                    Thomas Warren, Rose Associates, Inc.               buildings and to develop policy recommendations for
                                                                      solving these problems. Many comments raised by the
                In addition to these individuals, the EPA acknowledges     Dialogue Group in the area of asbestos management
                the contribution  of  the  Policy Dialogue Group on     were incorporated into this document.
v i

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 Foreword
 In February 1988, the Administrator of the Environmental Protection Agency (EPA) recommended
 to Congress that the Agency work during the next three years to enhance the nation's technical
 capability in asbestos by helping building owners better select and apply appropriate asbestos control
 and abatement actions in their buildings. The publication of this guidance document is EPA's most
 extensive effort to date to carry out that recommendation.  In fact, Managing Asbestos In Place is
 the most comprehensive asbestos guide published by EPA  since the Agency expanded and updated
 Guidance for Controlling Asbetos-Containing Materials in Buildings (also known as the Purple
 Book) in June 1985. Based  on the insights and recommendations of nationally recognized asbestos
 experts, this new guide, along with a new operations and maintenance work practices  manual
 expected to be available in  1991, provides "state-of-the-art" instruction to building owners to help
 them successfully manage asbestos-containing materials in place.
Managing Asbestos in Place  does not supplant the
 1985 Purple Book as EPA's principal asbestos guidance
document. Rather, based on our experience since 1985,
it expands and refines the Purple Book's guidance for a
special operations and maintenance (O&M) program.
In particular, the guide more strongly emphasizes the
importance of in-place management.  The guide's pur-
pose is two-fold.  First, it offers building owners the
more detailed and up-to-date instruction they need to
carry  out a  successful  O&M  program.  Second, it
informs building owners, lenders, and insurers that a
properly conducted O&M program can in many cases
be as  appropriate an asbestos control  strategy  as
removal. Furthermore, in some cases, an O&M pro-
gram is more appropriate than other asbestos control
strategies, including removal.

Emphasizing the  importance and effectiveness of a
good O&M program is  a critical element of EPA's
broader effort to put the potential hazard and risk of
asbestos exposure in proper perspective. That  effort
centers around communicating the following jive facts,
which EPA hopes will help calm the unwarranted fears
that a number of people seem to have about the mere
presence of asbestos in their buildings and discourage
the spontaneous decisions by some building owners to
remove all asbestos-containing material regardless of its
condition.
    FACT  ONE: Although  asbestos  is
    hazardous, the risk of asbestos-related
    disease  depends  upon  exposure  to
    airborne  asbestos  fibers.
In other words, an individual must breathe asbestos
fibers in order to incur any chance of developing an
asbestos-related disease. How many  fibers a person
must breathe to develop disease is uncertain. However,
at very low exposure levels, the risk maybe negligible or
zero.


    FACT TWO: Based upon available data,
    the average airborne asbestos levels in
    buildings seem to be very low. Accordingly,
    the health risk to most building occupants
    also appears to be  very low.
A 1987 EPA study found asbestos air levels in a small
segment of Federal buildings to be essentially the same
as levels outside these buildings. Based on that limited
data, most building occupants (i.e., those unlikely to
disturb asbestos-containing building materials) appear
to face only a very slight risk, if any, of developing an
asbestos-related disease.
                                                                                                               VII

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                 FACT THREE: Removal is often not a
                building owner's best course of action to
                reduce asbestos exposure. In fact, an
                improper removal can create a dangerous
                situation where none previously existed.

             By their nature, asbestos removals  tend to elevate the
             airborne level of asbestos fibers. Unless all safeguards
             are properly applied, a removal operation can actually
             increase rather than decrease the risk of  asbestos-
             related  disease.

                FACT FOUR: EPA only requires asbestos
                removal in  order to prevent significant
                public exposure to airborne asbestos
                fibers during building  demolition or
                renovation activities.

             Asbestos removal before the wrecking ball swings into
             action is appropriate to protect public health. At other
             times, EPA believes that asbestos removal projects,
             unless  well-designed  and properly  performed, can
             actually increase health risk.
    FACT FIVE: EPA does recommend a pro-
    active, in-place management program
    whenever asbestos-containing material  is
    discovered.

As  this  guide  will explain in some  detail, in-place
management does not mean "do nothing." It means
having a program to ensure that the day-to-day manage-
ment of the building is carried out in a manner that
minimizes release of asbestos fibers into the air, and
ensures that when asbestos fibers are  released, either
accidentally or intentionally proper control and cleanup
procedures are implemented. As such, it may be all that
is necessary to control the release of  asbestos fibers,
until the asbestos-containing material  in a building is
scheduled to be disturbed by renovation or demolition
activities.
VIII

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                                        y  Is Asbestos  a  Problem?
                                 Introduction: Asbestos in Buildings
This  U.S. Environmental  Protection  Agency (EPA) guide is  primarily directed to owners  and
managers of office buildings, shopping centers, apartment buildings, hospitals, and similar facilities
which may contain asbestos materials. Managers  of industrial  plants and other types of structures
may need to supplement this information with additional specialized guidance.  This document gives
building owners, managers, workers, and other key building staff basic information on how to develop
and carry out high-quality operations and maintenance programs for managing asbestos in  place to
safeguard the health of all building occupants. An  operations and maintenance (O&M) program can
be  defined as a formulated plan of training, cleaning, work practices, and surveillance to maintain
asbestos-containing materials (ACM) in good condition.
In this document you will find the following information:

       The objectives of an O&M program,  and an
       indication of the scope of  O&M  activities
       (Chapter 2);

       Basic steps to take before starting an O&M
       program, including an initial survey and evalua-
       tion of ACM (Chapter 3);

       How to implement and manage the program,
       including some basic  cost considerations
       (Chapter 3);

       O&M  work  practices  that protect both
       workers and the general building environment
       (Chapter 4);

       Recordkeeping suggestions and requirements
       (a section of Chapter 4);

       Training recommendations and requirements
       for workers performing O&M activities  (Chap-
       ter 5); and

       An overview of federal regulations, including
       those affecting O&M  programs  (Chapter 6).

In addition, the Appendices provide other useful infor-
mation, including a  glossary  of useful  terms,  and
contacts for additional assistance.
H    O&M
    1
                  There are steps which a building
                  owner can  take to prevent  as-
                  bestos fiber releases or resuspen-
sion of already-released fibers, or control fiber releases
quickly and safely if they occur. O&M programs  are
designed  to achieve both these goals. This guide's
purpose, therefore, is to inform building owners about
how to develop, implement and manage effective O&M
programs, and to encourage their use.

EPA recommends a pro-active, in-place management
program  whenever asbestos  is discovered. In many
buildings, a well-run O&M program may be all that is
necessary to control the release of asbestos fibers until
the ACM  in the building is abated through renovation or
demolition activities.  Also, an  emergency repair to
equipment or building  services, or an unexpected
incident such  as  ACM falling from a  surface  could
necessitate a different control strategy However, bar-
ring such events, if ACM is properly managed, release of
asbestos fibers into the air is minimized. The exposure
to asbestos fibers, and therefore the risk of asbestos-
related disease, can be reduced to a negligible level for
all building occupants.

An O&M program may also provide an effective, less
costly alternative  to wholesale  removal  operations.
Some additional  cost-related considerations are dis-
cussed in Chapter 3.

The EPA National Emission Standards for Hazardous
An O&M program
 can be defined
 as a formulated
 plan of training,
 cleaning, work
 practices, and
   surveillance
   to maintain
    asbestos-
   containing
   materials in
 good condition.

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Air Pollutants (NESHAP) regulations on asbestos may
require  ACM  removal  prior  to  renovation and/or
demolition projects, to  prevent  significant  asbestos
releases  into the  air (see Chapter  6). Additionally
removal of some ACM in a building will be necessary if
the material has been damaged beyond repair. However,
at other times, removal is often not a building owner's
best course of action to reduce  asbestos exposure.
(Extraneous factors -for example, difficulty in obtain-
ing insurance, or obtaining financing relative to a real
estate transaction-may actually represent  the driving
forces in a decision to remove all ACM, rather than a
health-based need  for  removal.)  In fact, unless all
safeguards are properly applied by trained,  experienced
individuals, removing ACM can actually increase build-
ing occupants' risk of asbestos-related disease.
 Background
     The Asbestos
     Issue
                       Asbestos fibers can cause se-
                       rious health problems. If in-
                       haled, they can cause diseases
which disrupt  the normal functioning of the  lungs.
Three specific  diseases-asbestosis (a fibrous scarring
of the lungs), lung cancer, and mesothelioma (a cancer of
the lining of the chest or abdominal Cavity) -have been
linked to asbestos  exposure. These diseases do  not
develop immediately after inhalation of asbestos fibers;
it may be 20 years or more before symptoms appear.

In general, as with cigarette smoking and the inhalation
of tobacco smoke, the more asbestos fibers a person
inhales, the greater the risk of developing an asbestos-
related disease. Most of the cases  of severe  health
problems resulting from asbestos exposure have been
experienced by workers who held jobs in industries such
as shipbuilding, mining, milling, and fabricating, where
they were exposed to very  high levels of asbestos in the
air,  without benefit  of the  worker protections now
afforded by  law Many of these same workers were also
smokers.  These employees  worked  directly with as-
bestos materials on a regular basis and, generally for
long periods of time as part of their jobs. Additionally
there is an increasing concern for the health and safety
of construction, renovation,  and building maintenance
personnel, because of possible  periodic exposure to
elevated levels of asbestos fibers while performing their
jobs.

Whenever we discuss the risk posed by asbestos, we
must keep in mind that asbestos fibers can be found
nearly everywhere in our environment (usually at very
low levels). There is,  at this time, insufficient informa-
tion concerning health effects resulting from low-level
asbestos exposure, either from exposures in buildings
or from our environment. This makes it difficult to
accurately assess the magnitude  of cancer risk  for
building occupants, tenants, and building maintenance
and custodial workers. Although in general the risk is
                                                        likely to be negligible for occupants, health concerns
                                                        remain, particularly for the building's custodial and
                                                        maintenance workers. Their jobs are likely to bring
                                                        them into close proximity to ACM, and may  sometimes
                                                        require them to disturb the ACM in the performance of
                                                        maintenance activities. For these workers in  particular,
                                                        a complete and effective O&M program can greatly
                                                        reduce asbestos exposure. This kind of O&M program
                                                        can also minimize asbestos exposures for other building
                                                        occupants as well.
                                                            What is
                                                            Asbestos?
                    The  term  "asbestos"  describes
                    six  naturally occurring  fibrous
                    minerals found in certain types of
rock formations.  Of that general group, the minerals
chrysotile,  amosite,  and crocidolite  have been most
commonly used in building products.  When mined and
processed, asbestos is typically separated into very thin
fibers. When these fibers are present in the air, they  are
normally invisible to  the naked eye. Asbestos fibers are
commonly  mixed during processing with  a material
which binds them together so that they can be used in
many different products. Because these fibers are so
small and light, they may remain in the air for many
hours if they are released from ACM in a building. When
fibers are released into the air they may be inhaled by
people in the building.

Asbestos became  a  popular commercial product  be-
cause it  is  strong, won't  burn, resists corrosion, and
insulates well. In the United States, its commercial use
began in the early 1900's and peaked in the period from
World War II into  the 1970's. Under the Clean Air Act of
1970 the EPA has  been regulating many  asbestos-
containing  materials which, by  EPA definition,  are
materials with more than 1  percent asbestos.  The
Occupational Safety  and Health Administration's
(OSHA) asbestos construction standard in  section K,
"Communication of hazards to employees," specifies
labeling  many materials containing 0.1% or more
asbestos. In the  mid-1970's  several major kinds of
asbestos materials, such as spray-applied  insulation,
fireproofing,  and acoustical surfacing material, were
banned by  EPA  because of  growing concern about
health  effects, particularly cancer,   associated with
exposures to such materials.

In July 1989, EPA promulgated the Asbestos Ban and
Phasedown Rule.  The rule applies to new product
manufacture, importation, and processing, and essen-
tially bans  almost all asbestos-containing products in
the United  States by 1997. This  rule does not require
removal of  ACM  currently in place in buildings.
                                                                                   In  February  1988, the
                                                                                   EPA released a  report
                                                                                   titled EPA Study  of As-
                                                                                   bestos-Containing  Ma-
                                                       terials in Public Buildings: A Report to Congress. EPA
                                                       found that "friable" (easily crumbled) ACM can be
    Where is Asbestos
    Likely to be Found
    in Buildings?

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 found in an estimated 700,000 public and commercial
 buildings. About 500,000 of those buildings are believed
 to contain at least some damaged asbestos, and some
 areas of significantly damaged ACM can be found in over
 half of them.

 According to the EPA study significantly damaged ACM
 is found  primarily  in building areas not generally
 accessible to the public, such as boiler and machinery
 rooms, where asbestos exposures generally would be
 limited to service and maintenance workers. Friable
 ACM, if present in air plenums, can lead to distribution
 of the material throughout the building, thereby possi-
 bly exposing building occupants. ACM can also be found
 in other building locations.

 Asbestos  in buildings has been commonly used for
 thermal insulation, fireproofing, and in various  building
 materials, such  as floor coverings and  ceiling tile,
 cement pipe and  sheeting, granular  and corrugated
 paper pipe wrap, and acoustical  and decorative treat-
 ment for ceilings and walls. Typically it is found in pipe
 and boiler insulation and in spray-applied uses such as
 fireproofing  or sound-deadening applications.

 The amount of asbestos in these products varies widely
 (from approximately  1 percent to nearly 100 percent).
 The  precise amount of asbestos in a  product cannot
 always be accurately determined from labels or by
 asking the manufacturer. Nor can positive identification
 of asbestos be ascertained merely by visual examina-
tion.  Instead, a qualified  laboratory  must  analyze
representative samples of the suspect material. Appen-
dix G contains a sample list of some suspect materials.
                                                                                                               ACM which is in poor
                                                                                                               physical condition.
                                                                                                               Under a proper oper-
                                                                                                               ations and mainte-
                                                                                                               nance program, cor-
                                                                                                               rective  action would
                                                                                                               normally  prevent
                                                                                                               deterioration of the
                                                                                                               insulation.
    When is Asbestos
    a Problem?
                            Intact  and  undisturbed
                            asbestos  materials do
                            not Dose a health risk.
The mere presence of asbestos in-a building does not
mean that the health of building occupants is endan-
gered. ACM which is in good condition, and is not
somehow damaged or disturbed, is not likely to release
asbestos fibers into the  air.  When ACM is properly
managed, release of asbestos fibers into the  air is
prevented or minimized, and the risk of asbestos-related
disease can  be reduced to a negligible level.

However, asbestos materials can become hazardous
when, due  to damage, disturbance,  or deterioration
over time, they release fibers into building air. Under
these conditions, when ACM is damaged or disturbed-
for example, by maintenance  repairs conducted without
proper controls — elevated airborne  asbestos concen-
trations can create a potential hazard for workers and
other building occupants.
                                                                                                               ACM with sound
                                                                                                               structural  integrity
                                                                                                               on the exterior of a
                                                                                                               domestic  hot water
                                                                                                               tank. Note that the
                                                                                                               insulation  jacketing
                                                                                                               is intact  and there
                                                                                                               is no evidence of
                                                                                                               disturbance.

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Chapter Summary
This document, directed to owners and managers of office buildings and similar facilities, should help
lay the ground work for developing and implementing effective operations and maintenance programs.
Major highlights in this section have focused on background information concerning asbestos and
have touched on the current asbestos-in-buildings situation. Important points to remember are the
following:
 1  Inhalation of asbestos fibers has been shown to
   cause asbestosis,  lung cancer  and meso-
   thelioma. Much  of our knowledge of these
   health effects has come primarily from studies
   of workers exposed routinely to very high levels
   of asbestos in their jobs,

 1 Information   health  effects  of  low-level
   asbestos exposure  is less  certain; custodial/
   maintenance workers who  sometimes disturb
   asbestos as part of their job would benefit from
   properly executed O&M programs.

  Three of the  six naturally  occurring asbestos
   minerals, chrysotile, amosite, and crocidolite,
   have been most  commonly used in building
   products.

  Asbestos became a popular  commercial prod-
   uct  because  of its strength,  heat  resistance,
   corrosion resistance, and  thermal insulation
   properties.
 • Asbestos-containing materials (ACM) are reg-
   ulated by EPA, OSHA, and the Consumer
   Product Safety Commission (CPSC), and indi-
   vidual state and local agencies.

0 Friable ACM can be found in about 700,000
   public and commercial buildings. Many areas
   where asbestos is found are not accessible to
   the general public.

0 Some common uses of asbestos have included
   pipe/boiler insulation, spray-applied  fireproof-
   ing, floor and ceiling tile, cement pipe/sheeting
   and paper pipe wrap.

   Positive identification of  asbestos  requires
   laboratory analysis; information  on labels or
   visual examination only is not sufficient.

0 Intact, undisturbed materials generally do not
   pose a health risk; they may become hazardous
   when damaged, disturbed, or deteriorated over
   time and release fibers into  building air.

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                               What  Is  an  O&M  Program?
                                Purpose and Scope of an Operations and
                                Maintenance  Program
Purpose of O&M

The principal objective of an O&M program  is to minimize exposure of all building occupants to
asbestos  fibers.  To  accomplish this objective, an O&M program includes work  practices to (1)
maintain  ACM  in  good condition, (2)  ensure proper cleanup of asbestos  fibers  previously released,
(3)  prevent  further  release  of asbestos fibers,  and (4) monitor the condition of ACM.
Scope of an O&M Program

An effective O&M program should address all types of
ACM present in a building. ACM that maybe managed
as part of an O&M program in buildings  can be
classified in one of the following categories:
     *|  Surfacing  Material: Examples include
        ACM sprayed or troweled onto surfaces, such
        as decorative plaster on ceilings or acoustical
        ACM on the underside of concrete slabs or
        decking, or fireproofing materials on struc-
        tural members.

     2  Thermal System Insulation (TSI): Exam-
        ples include ACM applied to pipes, boilers,
        tanks, and ducts to prevent heat loss or gain,
        or condensation.

     3  Miscellaneous ACM: Examples include
        asbestos-containing ceiling or floor tiles, tex-
        tiles, and other components such as asbestos-
        cement panels, asbestos siding and roofing
        materials.

The O&M program, when developed and implemented
in a particular facility should include specific direction
on how to deal with each of these general categories of
ACM. Specified O&M work practices and procedures
should be employed by trained personnel during build-
ing  cleaning, maintenance, renovation, and general
operational activities that may  involve surfacing, ther-
mal, or miscellaneous ACM. Some elaboration of O&M
work practices and procedures is found in Chapter 4.
The O&M program can be divided into three types of
projects

    •  those which are unlikely to involve any direct
       contact with ACM;

    •  those which may cause accidental disturbance
       of ACM;

    •  those which involve relatively small distur-
       bances  of ACM.

The first type may involve routine cleaning of shelves
and counter  tops or other  surfaces  in  a building
(provided ACM debris is not present).  Generally such
An example of spray-
applied surfacing
ACM on a metal deck
above  a suspended
ceiling.

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An example of as-
bestos-containing
thermal system  insu-
lation on pipes in a
building's  mechanical
room.
activities would not be expected to disturb ACM. The
second type of project could include maintenance work
above a suspended ceiling in an area that may have
surfacing ACM overhead. The third type of project—
small-scale,  shor-duration  maintenance,  repair, or
installation projects involving minor disturbances of
ACM - includes activities such as installation of new
light fixtures on or in an ACM ceiling. A single glovebag
operation to remove a small amount of ACM to repair a
pipe in a boiler room is another example of intentional
small-scale, short-duration disturbance.
 An example of an
 asbestos-containing
 cement  sheet product
 (miscellaneous  ACM).
Larger projects involving more complex procedures for
the intentional removal of ACM are considered asbestos
abatement projects. These require asbestos control and
abatement procedures that are outside the scope of an
O&M program. Before taking action, building owners
should consult qualified professionals for advice and
alternative solutions.  Guidance for building owners on
the management of abatement projects is included in
EPA's "Guidance for Controlling Asbestos-Containing
Materials in Buildings" June 1985, also known as the
"Purple Book."
                      i^SX ttO A. jR O




                                                                            Chapter-Summary
The purpose of an operations and Maintenance
Program is to minimize exposure of all building
occupants to asbestos fibers. Through super-
vised work practices, ACM can be managed in
place. Important points to remember are:
                                                                             ACM can be classified into three categories:

                                                                             • Surfacing Material

                                                                             • Thermal System Insulation (TSI)

                                                                             • Miscellaneous  Material
                                                                             O&M Programs can be divided into three types of
                                                                             project%

                                                                             • Unlikely to involve direct contact with ACM.

                                                                             • Accidental disturbance of ACM.

                                                                             • Small-scale,  short-duration  maintenance or
                                                                                repair activity  which may involve intentional
                                                                                disturbance of ACM.
        '" " i.  •••< >

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                  MANAGING ASBESTOS
                        IN PLACE
                                     ow  Does the  Program  Start?
                                 Laying the Foundation for an Effective O&M Program
A comprehensive asbestos control program for a building should include these basic steps:
    * Appoint an Asbestos Program Manager and
       develop an organizational policy

    • Conduct a physical and visual inspection of the
       building and take bulk samples of suspect
       materials to determine if ACM is present,
       establish an ACM inventory and assess the
       ACM's condition and potential for disturbance.

    • If ACM is located, develop an O&M program,
       based on the inspection and assessment data.

    • Implement  and manage the O&M program
       conscientiously

    • Select and implement abatement  actions other
       than O&M  when necessary

This chapter provides information about each of these
basic steps.  In addition, see Appendix F for a chart of
references outlining existing EPA guidance for each of
these steps.
The Asbestos  Program Manager

The position of Asbestos Program Manager (APM) is
frequently held by the building engineer, superinten-
dent, facilities manager, or safety and health director. In
a small organization, the building owner may have this
role. Regardless of who holds this position, EPA stresses
the need for the Asbestos Program Manager to be
properly qualified, through training and experience, and
to be actively involved in all asbestos-control activities.
EPA accreditation  under the Asbestos Hazard Emer-
gency Response Act (AHERA) or state certification as a
Building Inspector/Management Planner would be
typical of the requisite training.

If the person selected is not adequately prepared, he or
she should receive the training necessary to develop and
manage an asbestos control program prior to beginning
the job. If for some reason this is not possible, the
building owner should strongly consider hiring a prop-
erly trained, experienced, and credentialed outside
consultant or firm to provide direction to the owner or
the Asbestos Program Manager.

In general, the Asbestos Program Manager should have
the authority to oversee all asbestos-related activities in
the building, including inspections, O&M activities, and
other abatement  actions. The Asbestos Program Man-
ager will either train building workers in O&M tech-
niques or ensure  that such worker training takes place.
In addition, he or she should oversee the custodial and
maintenance staffs, contractors, and outside service
vendors with regard to all asbestos-related activities.
 Building Inspection and
 Assessment

 To determine whether an asbestos control and manage-
 ment program should be implemented, the owner
 should have an initial building inspection performed to
 locate and assess the condition of all ACM in the
 building. A trained, experienced and qualified inspector,
 who is able to perform the sampling of suspect ACM for
 laboratory analysis, should conduct the inspection. If an
 inspection is not performed, then certain suspect
 materials should be  assumed to contain asbestos, and
 treated accordingly (Refer to Appendix G for a sample
 list of suspect ACM.)

 EPA guidance on how to take "bulk" samples of suspect
 ACM is contained in several publications (see Appendix
 H) and from EPA Regional Asbestos Coordinators
 (listed in Appendix D).

The building inspection by a qualified professional
 serves as the basis for establishing an effective overall
plan for dealing with the asbestos in the building. The
 inspector should advise the owner and the Asbestos
  To determine
   whether an
asbestos control
and  management
 program should
be implemented,
the owner should
  have an initial
     building
   inspection
  performed to
locate and assess
 the condition  of
  all ACM in the
     building.

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A properly trained
and protected  build-
ing  inspector  collect-
ing a bulk sample of
suspected  asbestos-
containing  thermal
system insulation.
program Manager of inspection findings. Of course, the
inspection may show that ACM is not present and that
an asbestos-control program is not required.

If ACM is found, the material's characteristics, condi-
tion, quantity and location within the building, as well as
building use, will affect how the building owner should
deal with the ACM.   For  example, operations and
maintenance procedures may be appropriate and suffi-
cient in a particular building for ACM in good condition.
But O&M procedures alone  are not sufficient for ACM
that the inspector determines is significantly damaged,
and may not be sufficient for some types of ACM
situated in highly accessible areas; in these instances,
some form of full scale abatement — repair, encapsula-
tion, enclosure,  encasement,  or removal  - will  be
necessary Removal of the ACM may also be  appropriate
when performed in conjunction with major building
renovations, or as part of long-term building manage-
ment policies (such as staged removal in conjunction
with renovation over the life of the building, as covered
by the EPA NESHAP  requirements for removal before
demolition or renovation).


 Developing an O&M  Program

If ACM is found, the  building owner should have an
O&M program developed  as  soon as possible. Either
the Asbestos Program  Manager or a qualified consult-
ant should develop the O&M program. The written
O&M program should state clearly the O&M policies
and procedures for that building, identify and describe
the administrative line of authority for that building, and
should clearly define the responsibilities of key partici-
pants, such as the Asbestos Program Manager and
custodial and maintenance supervisors and staff. The
written O&M program should be available and under-
stood by all participants involved in the management
and operations of the building.

In general, the O&M program developed for a particu-
lar building should include the O&M program  elements
discussed in the next chapter. However, the  building
owner  should  make  sure  that  the  O&M  program
developed is site-specific and tailored for the building.
The  O&M program should take  into  account  use,
function,  and design  characteristics  of a particular
building.


 Implementing and Managing
 an  W&M  Program

A well-developed O&M program is ineffective unless
the building  owner is  committed to implementing it
properly The building owner should convey this com-
mitment to key personnel involved  in a building's
management and operations — particularly the As-
bestos  program Manager and custodial and mainte-
nance  supervisors and staff.  The  O&M  program's
success is contingent upon key personnel understand-
ing the  O&M program and committing themselves to
implementing it effectively

To the  greatest extent possible, the  building owner
should incorporate the O&M program into the existing
system  for managing  a  building's operations. Each
building owner, therefore, will determine the appropri-
ate organizational  structure  on a case-by-case basis.
Two possible arrangements are suggested in Figures 1
and 2 in Appendix C.

When  managing an  O&M program, the  Asbestos
Program Manager  should oversee all  asbestos-related
activities. In instances where a building owner hires a
contractor to perform custodial and maintenance work,
the Asbestos Program Manager should ensure that the
contractor is qualified to conduct work that may involve
ACM. Before hiring a contractor, the Asbestos Program
Manager should investigate to determine whether the
contractor's staff is qualified, trained and equipped to
deal with O&M asbestos activities.  Thoroughly check-
ing the references of a contractor is  a good recom-
mended practice.

The  Asbestos Program Manager should also monitor
the work performed in the building by other contrac-
tors, such  as  electricians and plumbers, who might
inadvertently disturb ACM. Instituting a work permit
system, as discussed in the next chapter, may prevent
accidental disturbances of ACM. Under this system, a
8

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contractor must receive a work permit from the
Asbestos Program Manager before commencing work.
At that time, the Asbestos Program Manager will
inform the contractor whether the project could disturb
ACM and provide any special instructions to make sure
the work is done properly Communication  between  the
Asbestos Program Manager and tenants occupying  the
building is essential to prevent activities that might
compromise the  O&M program.

In addition, the Asbestos Program Manager should
routinely and frequently check the work being per-
formed in the building by contractors and custodial and
maintenance staff to  see if their work is disturbing
ACM. By maintaining close surveillance over these
activities,  the  Asbestos Program Manager  can help
ensure that work which may disturb ACM is being done
safely Tenants should be required (by legal agreement
or understanding) to notify the building owner or the
Asbestos Program Manager before conducting  even
small planned renovations. This would help prevent
building tenants from unknowingly disturbing ACM. For
both the work  permit  system  and the  renovation
notification requirement,  clear and effective communi-
cations to workers and tenants are crucial to the success
of the O&M management program.

The Asbestos Program  Manager should periodically
review the written O&M plan to determine whether it
should be updated. For example, if all ACM  were
removed from some areas of the building during a recent
renovation, or if some ACM was damaged, the O&M
program should be revised accordingly  The O&M
program should remain in effect as long as there is ACM
present in the building.
    Cost
    Considerations
                        The costs associated with
                        implementing  and manag-
                        ing an O&M program may
vary significantly depending on the types-of ACM,
building-specific  factors,  actual O&M  procedures
adopted, types of equipment used, and the useful life of
the building. Owners may find it more cost-effective to
continue a well-supervised and managed O&M pro-
gram than to incur the costs of immediate, large-scale
removal. In addition to the direct costs of removal, other
costs related to ACM removal include moving building
occupants, arranging  alternative space for  building
occupants during the removal work, and restoring the
building after the removal is completed.

Clearly many factors enter into the decision.  Only by
conducting a cost-effectiveness analysis  of the long-
term options  (e.g., comparing (a) immediate  removal
with (b) phased removal plus O&M with (c) removal just
before demolition plus lifetime O&M) will owners be
truly able to determine which option is most  cost-
effective for their buildings.  The prudent owner may
need to  consult one or more qualified consultants or
firms for advice, if such expertise does not exist within
the owner's organization,
Selecting and Implementing
Alternative Abatement Actions

In some instances, due to the condition of ACM or
upcoming building renovations, a building owner may
decide to take other abatement  actions to  deal with
ACM in the building. These response actions  could
include encapsulation (covering the ACM with a sealant
to prevent fiber release), enclosure (placing an air-tight
barrier around the ACM), encasement (covering the
ACM with a hard-setting sealing material), repair, or
removal  of the ACM. Qualified, trained, and experi-
enced  contractors should be used for any of  these
actions. EPA's Purple Book discusses most of these
alternatives in some detail. In general, repair, encap-
sulation, enclosure, and  encasement, are intended to
help prevent the release of asbestos fibers. As aspects of
O&M, these techniques  manage ACM in place. See
Appendix F  of this  document for additional federal
reference sources on asbestos response actions.

When determining which  response alternative to select,
the building  owner and  Asbestos  Program Manager
may consider seeking advice from qualified, independ-
ent consultants with specific training and experience in
asbestos  management.

Asbestos consultants should have  a  background  in
engineering, architecture, industrial hygiene, safety, or
a similar field. Experts who are Registered and/or with
Board  Certified backgrounds are  recommended. To
help ensure that  no "conflict  of interest" exists,
consultants should not be affiliated with the abatement
contractors who may be used on a recommended ACM
control project, nor with analytical laboratories which
perform sample analyses. As with  other similar busi-
ness decisions, building owners should interview sev-
eral consultants and check references.

Renovations (including remodeling or redecorating) of
buildings or replacement of utility system increases the
potential for disturbing ACM. Before conducting any
renovation  or remodeling work, the building owner
should have  the Asbestos Program Manager review
asbestos  inspection and  assessment records to deter-
mine where ACM may be  located, visually reinspect the
area, and evaluate the likelihood that ACM  will be
disturbed. Any suspect or assumed ACM that could be
disturbed during the renovation work should either be
sampled and analyzed to determine whether it contains
asbestos, or the work should be  carried out as if the
materials did contain asbestos. The Asbestos Program
Manager should also ensure that  no new ACM  is
introduced into the building as part of the renovation
work.

Removal of the ACM before renovation begins maybe
necessary in some instances. Removal is required by the
Asbestos NESHAP  regulations  for projects which
would break up more than a specified minimum amount
of ACM; specifically at least 160 square feet of surfacing
                                                                                                               Renovations
                                                                                                                (including
                                                                                                              remodeling or
                                                                                                             redecorating)  of
                                                                                                               buildings  or
                                                                                                              replacement of
                                                                                                              utility systems
                                                                                                               increase the
                                                                                                               potential for
                                                                                                             disturbing ACM.

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Asbestos-containing
thermal system insu-
lation which has sus-
tained  significant
damage in a mechan-
ical/boiler  room of  a
building.
or miscellaneous material or at least 260 linear feet of
thermal system insulation (40  CFR 61.145-147).  Build-
ing owners  and managers  are encouraged to contact
their state or local health or environmental department
for further clarification of these requirements (also,  see
Chapter 6 of this document).  It is important to ensure
that new materials placed in the building do not contain
asbestos in  order to  comply with  the  recent EPA
Asbestos Ban and Phase Out rule (see Chapter  6).

In general, building  owners should thoroughly consider
any decision to remove ACM. O&M, encapsulation,
encasement, enclosure, or repair may be viable alter-
natives to removal.  Building owners should  assess
these  in-place management  techniques carefully  before
deciding to remove undamaged ACM.

Under certain circumstances, however,  such as when
some ACM must be removed during building renova-
tions, when the ACM has sustained a great deal of
damage, or ACM disturbance will be difficult to manage
properly the  building owner may decide to remove ACM
in parts of the building.

When removal must occur, only qualified, trained  and
experienced project designers and contractors  should
be permitted to design and perform the work. Building
 owners might consider contacting local,  state,  and
 federal asbestos regulatory agencies to see if prospec-
 tive contractors have received citations for violating
 asbestos regulations in  the past. In addition, if the
 building owner and Asbestos Program Manager are not
 properly qualified themselves,  they should retain  a
 qualified and independent project designer and a project
 monitor with  training  and experience  in asbestos
 abatement to oversee and ensure that the asbestos
 abatement work is done safely. When these precautions
 are taken, asbestos removal is more likely to proceed
 safely and effectively

 Proper completion of the ACM removal is best evalu-
 ated  by means  of the  analytical procedures  using
 transmission electron microscopy (TEM). (These are
 described in 40 CFR Part 763, Appendix A to Subpart
 E.)  Clearance protocols for  statistically comparing
 asbestos fiber levels inside the work area with outside
 levels are available. If the measured levels inside are not
 statistically  higher than the average airborne asbestos
 concentration measured  outside  the  abatement area,
 the cleanup is considered successful, and the space is
judged ready for  reoccupancy  (For reference,  see
 Appendix H, U.S. EPA "Guidelines for Conducting the
 AHERA TEM Clearance Test....")
10

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Chapter  Summary
  Laying the foundation for a comprehensive asbestos control program for a building includes some
  basic steps. Important points contained in this discussion are the following
     An Asbestos Program Manager needs to be
     properly qualified through training and experi-
     ence, and be actively involved in all asbestos
     control and disturbance activities.

     An Asbestos program Manager should have
     authority to oversee and to direct custodial/
     maintenance staff and contractors with regard
     to  all  asbestos-related activities.

     An initial building inspection should be per-
     formed by a trained, qualified, experienced
     inspector to locate and assess the condition of
     all ACM in the building.

     The inspection results serve as the basis for
     establishing an O&M program.  O&M pro-
     cedures may not be sufficient for certain ACM
     that is significantly damaged or in highly
     accessible  areas.

     An Asbestos Program Manager or qualified
     consultant should develop the written O&M
     program that is site-specific and  tailored for
     individual buildings. The O&M program
     should take into account use, function and
     design characteristics of a building.
The success of any O&M program lies in the
commitment by the building owner to imple-
ment it properly

When outside contractors are used for as-
bestos-related activities, their references and
training should be thoroughly checked and
their subsequent work monitored.

Periodically review written O&M programs.

Alternatives or control options that may be
implemented under an O&M program include:

• repair
• encapsulation
• enclosure
• encasement
•removal  (minor)

Removal of ACM before renovations may be
necessary  in some instances. (See NESHAP
and State/Local regulations discussion in
Chapter 6.)
  The success
  of any O&M
    program
depends on the
building  owner's
commitment to
  implement it
    properly.
                                                                                                                  11

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                                                          at  Does  an  O&M  Program
                                                    hclude?
                                                   O&M Program  Elements
                   To achieve its objectives, an O&M program should include seven elements. Although these should
                   appear in any O&M program, the extent of each will  vary  from program to program  depending on
                   the building type, the type of ACM present, and the ACM's location and physical condition. For
                   example, if only nonfriable ACM is present, minimal notification might be needed, and custodial or
                   maintenance staff would most  likely have fewer work practices to be  followed. If friable ACM is
                   present, a  more detailed O&M  program should be prepared and followed.  Each of the first six
                   elements listed below is described in this chapter to provide an illustration of a basic O&M program.
                   The seventh  program  element, training  of the  Asbestos  Program  Manager and  custodial  and
                   maintenance staff, is very important.  If staff are not adequately trained, the O&M program will not
                   be  effective. Chapter 5 is devoted exclusively to O&M training topics.
    If staff are
  not adequately
 trained, the O&M
  program will not
   be effective.
A successful O&M program should include the follow-
ing  elements:

    *  Notification:  A program to  tell workers,
       tenants, and building occupants where ACM is
       located, and how and why to avoid disturbing
       the  ACM.  All  persons affected should be
       properly  informed.

    £  Surveillance: Regular ACM surveillance to
       note, assess, and document any changes in the
       ACM's condition.

    •  Controls:  Work control/permit system  to
       control activities which might disturb ACM.

    •  Work Practices: O&M work practices to
       avoid or minimize fiber release during activities
       affecting ACM.

    •  Recordkeeping: To document O&M activ-
       ities.

    •  Worker Protection: Medical and respiratory
       protection programs, as applicable.

    •  Training: Asbestos Program Manager, and
       custodial and maintenance staff training.
Informing Building  Workers,
Tenants, and  Other Occupants

Building owners should inform building workers, occu-
pants, and tenants about  the location and physical
condition of the ACM that they might disturb, and stress
the need to avoid disturbing the material. Occupants
should be notified for two  reasons: (1) building occu-
pants should be informed of any potential hazard in their
vicinity; and (2) informed persons  are less likely to
unknowingly disturb the material and cause fibers to be
released into the air.

Building  owners  can inform occupants about  the
presence  of  ACM  by  distributing written notices,
posting signs or labels in a central location  where
affected occupants can see them,  and holding aware-
ness or information  sessions. The methods used may
depend on the type and location of the ACM, and on the
number of people affected. Some  states and localities j
have "right-to-know" laws which may require that all |
occupants, workers, and visitors in buildings with ACM j
be informed that asbestos  is present.              j

In service and maintenance areas (such as  boiler
rooms), signs such as "Caution — Asbestos — Do  Not
Disturb" placed directly adjacent to thermal system
insulation ACM  will alert and remind maintenance
1 2

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 workers not to inadvertently disturb the ACM. In most
 cases, all boilers, pipes, and other equipment with ACM
 in service areas where damage may occur should have
 prominent warning signs placed next to the ACM. As an
 alternative, color coding can be  used to identify  the
 ACM in certain situations provided that all potentially
 involved parties understand the coding system.

 Information  sessions reinforce  and clarify  written
 notices and signs, and provide an opportunity to answer
 questions. All employees and tenants or tenant repre-
 sentatives likely to disturb ACM should be included in
 the notification program on a continuing basis. Building
 owners should inform new employees about the pres-
 ence of ACM before they begin work. Owners should
provide additional signs and information sessions in
 languages  other than English  where  a  significant
number of workers, occupants, or visitors do not speak
English. It maybe necessary to make  special provisions
for illiterate workers, such  as providing clear verbal
information or signs, about potential hazards of disturb-
ing ACM. and showing them where ACM is located.

 The specific information given  to types of building
occupants will vary For example, since service workers
carry  out certain tasks that office workers or tenants do
not perform, they  should receive additional informa-
tion. Most important, O&M workers should receive  the
training necessary  for them to perform their tasks
safely

Whatever its form, the information given to building
occupants and workers  should contain the following
points to the extent they reflect building conditions:
        ACM has been found in the building and is
        located in areas where the material could be
        disturbed.

        The condition of the ACM, and the response
        which is appropriate for that condition.

        Asbestos only presents a health hazard when
        fibers become airborne and are inhaled. The
        mere presence of ACM does not  represent a
        health hazard.

        The ACM is found in the following locations
        (e.g., ceilings in Rooms 101 and G-323, walls in
        the lobby, above suspended ceilings in the first
        floor corridor, on columns in the main entry on
        pipes in the boiler room).

        Do not disturb the ACM  (e.g., do not push
        furniture  against the ACM, do not damage
        T S I).

        Report any evidence of disturbance or damage
        of ACM to (name, location, and phone number
        of Asbestos Program Manager).
        Report any dust or debris that might come
        from the ACM or suspect ACM, any change in
        the condition of the ACM, or any improper
        action (relative to ACM) of building personnel
        to (name, location, and phone number of
        Asbestos Program Manager).

        Cleaning and maintenance personnel are tak-
        ing special precautions during their work to
        properly clean up  any  asbestos debris and to
        guard against disturbing ACM.

        All ACM is inspected periodically and  addi-
        tional measures will be taken if needed to
        protect the health of building occupants.
It is  important to undertake an honest and  open
approach to the ACM notification procedure. Owners
should strive to establish clear lines of communication
with all building occupants regarding asbestos issues.
People who are informed of the presence, location and
condition of ACM in a building where they work or live,
who understand that the mere presence of ACM is not
necessarily  hazardous to them,  and who accept that
ACM can often be managed effectively in place, can be
                                                       Routine  maintenance
                                                       activities can cause
                                                       disturbance of ACM  if
                                                       workers are not prop-
                                                       erly trained in opera-
                                                       tions and mainte-
                                                       nance procedures.
                                                       Here, a worker care-
                                                       lessly  contacts ACM,
                                                       possibly  damaging it.
An example of an
asbestos  caution sign
placed directly on a
section of asbestos-
containing  duct  insu-
lation. Signs such as
this help to ensure
that workers will not
inadvertently disturb
ACM.
                                                                                                                              13

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Visual  reinspections
of asbestos  materials
at regular intervals
can detect changes in
material  condition.
Here,  surfacing ACM
has delaminated from
a ceiling  in a building
O&M routines can
keep small  problems
from becoming big
problems.
                      very helpful to the owner in eliminating or reducing
                      hysteria on the part of other less informed building
                      occupants. On the other hand, if occupants suspect the
                      building  owner  is  not being honest about asbestos
                      activities in the building, that owner's credibility maybe
                      questioned and  the situation can become far more
                      difficult to manage. If and when asbestos incidents
                      occur, it is especially important for the building owner
                      to deal with occupants  and contractors openly and
                      honestly, for that is the best way to maintain occupant/
                      tenant confidence in both the owner and the building's
                      asbestos program.
                      ACM Surveillance
Reinspection  and
Periodic  Surveillance
                               A visual reinspection
                               of all ACM should be
                               conducted at regular
intervals as part of the O&M program. Combined with
ongoing reports of changes in the condition of the ACM
made by service workers, the reinspection should help
ensure that any ACM damage or deterioration will be
detected and corrective action taken.
                      According to recent EPA regulations covering schools
                      (the Asbestos Hazard Emergency Response  Act,
                      "AHERA"),  an accredited  inspector must reinspect
                      school buildings  at  least once every three years to
                      reassess the condition of ACM. The AHERA regula-
                      tions  for schools also require a routine surveillance
                      check of ACM every  six months to monitor the ACM's
                      condition. The AHERA Rule permits this surveillance
                      to be conducted by  a trained  school  custodian or
                      maintenance  worker. While these  intervals are men-
                      tioned here as a guide, they may also be appropriate for
                      other buildings.  The Asbestos  Program  Manager
                      should establish appropriate intervals, based on consul-
                      tation with the building owner and any other qualified
                      professionals  involved in the O&M program.
EPA recommends a visual and physical evaluation of
ACM  during the reinspection  to  note the ACM's
current condition and physical characteristics. Through
this reinspection, it is possible to determine both the
relative degree of damage and assess the likelihood of
future  fiber release. Maintenance of a set of visual
records (photos or videotape) of the ACM overtime can
be of great value during reinspection.

Some asbestos consultants recommend examining set-
tled dust for accumulations of asbestos fibers as another
surveillance  tool  in  an O&M program.  While no
universally  accepted standardized protocols currently
exist for sampling and analysis of settled dust, positive
results (i.e., ACM is present in the dust) may indicate
the need for special cleaning of the affected area, or
other action. Because the  results of this testing are
difficult to interpret and evaluate at this time, building
owners should carefully consider the appropriateness of
this testing to their situation.
                                                       Supplement to
                                                       Visual/Physical
                                                       Evacuation
                         As part of an O&M pro-
                         gram, a carefully designed
                         air monitoring program to
                         detect airborne asbestos fi-
bers in the building may provide useful  supplemental
information when conducted along with a comprehen-
sive visual and physical ACM inspection and reinspec-
tion program. If the ACM is currently in good condition,
increases in airborne asbestos fiber levels at some later
time may provide an early warning of deterioration or
disturbance of the material.  In that way,  supplemental
air monitoring can be a useful management tool. If an
owner chooses  to  use air  monitoring  in an "early
warning" context, a knowledgeable and experienced
individual  should be  consulted to design a proper
sampling strategy Appendix H contains a reference to a
useful guide to monitoring airborne asbestos, which can
be consulted for further discussion of this subject.

If supplemental  air monitoring is done,  a  baseline
airborne asbestos  fiber level  should be established soon
after  the  O&M program is initiated  Representative,
multiple air samples should be collected throughout the
building during periods of normal building operation.
This should be done over along enough period of time to
be representative of existing conditions, in order to
adequately characterize prevailing fiber  levels in the
building. This air monitoring should supplement, not
replace, physical and visual inspection. Visual inspec-
tion can  recognize  situations and  anticipate future
exposure (e.g., worsening water damage), whereas air
monitoring  can  only detect a  problem  after it  has
occurred, and fibers have been released.

Note that the collection of air samples for supplemen-
tary evaluation should not use aggressive air sampling
methods. Aggressive  sampling methods, in which air is
deliberately disturbed or agitated by use of a leaf blower
or fans, should be used at the completion of an asbestos
removal  project when the building or area is unoc-
14

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 cupied, not for routine monitoring.
Work Control/Permit System
 The most accurate and preferred method of analysis of
 air samples collected under an O&M program would
 require the use of transmission electron  microscopy
 (TEM). Phase contrast microscopy (PCM), which is
 commonly used for personal air sample analysis and as a
 screening tool for area air monitoring, cannot distin-
 guish between asbestos fibers and other kinds of fibers
 which may be present in the air. PCM analysis also
 cannot detect thin asbestos fibers, and does  not count
 short fibers. TEM analysis is approximately ten times
 more expensive than PCM analysis. However, the more
 accurate  information  on  actual levels  of airborne
 asbestos fibers should be more beneficial to the building
 owner who elects to use supplemental air monitoring in
 the asbestos management program. TEM analysis is
 most reliably performed by laboratories accredited by
 the National Institute for Standards and Technology
 (MST; see Appendix D for telephone number), and who
 follow EPA's quality assurance guidelines. (Appendix H,
 U.S. EPA, Dec. 1989, "Transmission Electron Micro-
 scopy Asbestos Laboratories:  Quality  Assurance
 Guidelines.")

 Selection of a reliable and experienced air monitoring
 firm  and analytical laboratory is  important, if the
 building owner elects  to  conduct supplemental  air
 monitoring  under the  O&M program.  A consultant
 knowledgeable in air sampling and analysis protocols
 can be contacted for recommendations if the building
 owner  or  Asbestos Program  Manager  has  limited
 knowledge in this area.

Periodic air monitoring,  conducted simultaneously with
 the visual reinspection or surveillance, would then be
 used to see if asbestos levels have changed relative to the
 baseline. Some building owners may wish to  present
 current  air monitoring results to building occupants in
 addition to information regarding the physical reinspec-
 tions. Although this supplemental use of air monitoring
 as  part of  an O&M  program may provide useful
 information, it is likely to be very expensive, particularly
 if the more accurate and recommended TEM analysis is
 used. Use of only a small number of measurements or
 measurements taken only at one time maybe mislead-
 ing (i.e., overestimate or underestimate of fiber  levels),
 and can lead to inappropriate decisions.

 It should be noted that some of the exposures of persons
 to airborne asbestos fibers in buildings may result from
 episodic events, such as repair work or the accidental
 disturbance of the ACM or of ACM debris by mainte-
nance activities inside the building. Air monitoring may
not be done frequently enough to include such episodic
 events; this can lead to a misleading interpretation of air
 sampling results. In particular, air sampling may under-
 estimate the exposure of O&M workers and building
occupants. A good reference sourcebook for  additional
information on air sampling and analysis for asbestos
fibers is "A Guide to Monitoring Airborne Asbestos in
Buildings" (see Appendix H).
The O&M program should include a system to control
all work that could disturb ACM. Some building owners
have had success using a "work permit" program, which
requires the person requesting the work to submit a Job
Request Form to the Asbestos program Manager
(Appendix B, Form 2) before any  maintenance  work is
begun. The form gives the  time  and location of the
requested work, the type of maintenance needed, and
available information about any ACM in the vicinity  of
the requested work. The contractor or other person
authorized to perform the work should be identified on
the work  request.
Upon receiving a pre-work  Job Request Form, the
Asbestos Program Manager should take the following
steps:

     *|   Refer to written records, building plans and
         specifications, and any building ACM inspec-
         tion reports to  determine  whether ACM is
         present in the area where work will occur. If
         ACM is present, but it is not anticipated that
         the material will be disturbed, the Asbestos
         Program Manager should note the presence
         of the ACM on the  permit form and provide
         additional instruction on the importance of
         not disturbing the ACM.

     O   If  ACM is  both present  and likely  to be
         disturbed,  the Asbestos Program Manager or
         a designated supervisor qualified by training
         or experience,  should visit  the  site  and
         determine  what work  practices should be
         instituted to minimize the release of asbestos
         fibers during the maintenance activity

     2   This determination should be recorded on the
         Maintenance Work  Authorization Form  (see
         example in Appendix B, Form 3), which is
         then sent to the  in-house maintenance super-
         visor  or to  the maintenance  contractor to
         authorize the work.

    4   The  Asbestos  Program Manager should
         make sure  that a copy of both the request and
         the authorization forms (if granted) are placed
         in the permanent file.
                                                      An example of a
                                                      maintenance worker
                                                      conducting  activities
                                                      near a friable
                                                      asbestos-containing
                                                      ceiling. Under a
                                                      proper permitting
                                                      system, the  building
                                                      Asbestos Program
                                                      Manager  would
                                                      evaluate and
                                                      authorize projects
                                                      such as this prior to
                                                      beginning  work.
                                                                                                                            1  5

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  It is important
 to undertake an
 honest and open
approach in ACM
   notification.
                          C  Where the task is not covered by previously
                              approved standard work practices,  the As-
                              bestos Program Manager should make sure
                              that the  appropriate work  practices and
                              protective measures are used  for the job.

                          C  For all jobs where contact with ACM is likely
                              the Asbestos Program Manager or a desig-
                              nated  supervisor qualified by training  or
                              experience should visit the work site when
                              the work begins to see that the job is being
                              performed properly For lengthy jobs where
                              disturbance of ACM is intended or likely,
                              periodic inspections should be made for the
                              duration of the project.

                          7  The Asbestos Program  Manager's observa-
                              tions should be provided on an Evaluation of
                              Work Form (see Appendix B, Form 4). Any
                              deviation from standard and approved work
                              practices should be recorded immediately  on
                              this form and the practices should be imme-
                              diately corrected and reported to the Asbestos
                              Program Manager.

                          Q  Upon completion of the work, a copy of the
                              evaluation form should be  placed  in  the
                              permanent asbestos file for the building.
Building owners should consider using asbestos O&M
work control forms similar to those which already may
be in use for non-ACM work in their facilities,  or
expanding the existing forms to include the content of
the request, approval, and evaluation forms illustrated in
Appendix B.

The O&M management  system  should also address
work conducted by outside contractors. Many building
owners contract for at least some custodial and mainte-
nance services. A building's asbestos work control/
permit system, as described above, should  also cover
contract work.

At a  minimum,  contracts  with service  trades  or
abatement  companies should include the  following
provisions  to  ensure that the service or  abatement
workers can and will follow appropriate work practices:

    •  Proof that the contractor's workers have been
        properly notified about ACM in the owner's
        building and that they are properly trained and
        accredited (if necessary)  to work with ACM.

    •  Copies of respiratory protection, medical sur-
        veillance, and worker training documentation
        as required by OSHA, EPA and/or state regula-
        tory agencies.

    •  Notification to building  tenants  and visitors
        that abatement activity is underway (per-
        formed by owner).
        Written work practices must be submitted by
        the vendor or contractor for approval or
        modification by the Asbestos  Program Man-
        ager. The vendor or contractor should then
        agree to abide by the work practices as finally
        accepted by the Asbestos Program Manager.

        Assurance that the contractor will use proper
        work area isolation techniques, proper equip-
        ment, and sound waste disposal practices.

        Historical air monitoring data for representa-
        tive examples of the contractor's previous
        projects, with emphasis on projects similar to
        those likely to be encountered in the building.

        Provisions for inspections  of the area by the
        owner's representative to ensure that the area
        is acceptable for re-entry of occupants/ten-
        ants.

        A resume  for each abatement  contractor/
        supervisor or maintenance  crew chief, known
        as the "competent person"  in  the OSHA
        standard and EPA Worker Protection Rule.

        Criteria to be used for determining successful
        completion of the work (i.e., visual inspections
        and air monitoring).

        Any other information deemed necessary by
        the owner's legal counsel.

        Notification to EPA (and other  appropriate
        agencies) if the abatement project is large
        enough (see Chapter 6).
O&M Work Practices

    0 The O&M program focuses on a special set of
       work practices for the custodial, maintenance,
       and construction staff. The nature and extent
       of any  special work practices should be tailored
       to the likelihood that the ACM will be disturbed
       and that fibers will be released. In general, four
       broad categories of O&M work practices are
       recognized

    *j   Worker Protection Programs  - These
        work practices  help ensure  custodial and
        maintenance  staff are adequately protected
        from  asbestos exposure.

    O  Basic  O&M  Procedures - Basic pro-
        cedures are used to perform routine custodial
        and maintenance tasks that may involve ACM.

    O  Special O&M  Cleaning Techniques -
        Special techniques to cleanup asbestos fibers
        on a routine basis.
1 6

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     A   Procedures for Asbestos Fiber Release
      **  Episodes — If moderate to relatively large
         amounts of ACM are disturbed, the building
         owner should use these procedures to address
         the hazard.

 A brief synopsis of worker protection and O&M work
 practices follows. (Note: A more detailed, technically
 oriented O&M "work practices " manual specifically
 addressing topics such  as work practices,  worker
 protection,  and specific information on how to carry
 out O&M plans, is being developed, with publication
 expected in 1991.)
     Worker  Protection     A worker  Protectlon
     Proa rams              program includes engi-
         *"    "               neering controls,  per-
 sonal exposure monitoring, medical surveillance, and
 personal protection. While engineering controls are the
 preferred method of worker protection, there are few
 engineering control options available for O&M work.
 This section  discusses two key aspects  of personal
 protection: use of respiratory protection and protective
 clothing for workers in an asbestos O&M program.
 According to OSHA regulations (see  Chapter 6),  a
 written respiratory protection program is  necessary
 whenever  an O&M  program specifies that service
 workers wear respirators,  or where respirators are
 made available to employees. OSHA regulations also
 require a respirator program whenever workers are
 exposed, or are likely to be exposed, to fiber levels above
 OSHA'S "permissible  exposure limits" such as the
 8-hour time weighted average (TWA) limit  or the 30-
 minute "excursion limit" (EL). The 8-hour TWA  limit
 and the EL are described in more detail in Chapter  6. In
 addition,  OSHA  requires  workers to wear special
 protective  clothing under the same circumstances.
 Respiratory Protection/Worker Protection Pro-
 grams The selection of approved respirators, suitable
 for the hazards to which the worker is exposed,  is only
 one  aspect of a complete  respiratory protection pro-
 gram.  Other elements include written operating pro-
 cedures for respirator use; outlining personnel respon-
 sibilities for respirator cleaning, storage, and  repair;
 medical  examination of workers for respirator use;
 training in proper  respirator use and limitations;
 respirator fit testing  respirator cleaning and care; and
 work-site supervision. All of these are described in
 detail  in the OSHA  respirator  standard,  29 CFR
 1910.134. The O&M respirator program can be  admin-
 istered by the facility safety and health manager or the
Asbestos Program Manager, if properly qualified.

Proper respiratory protection is an integral part of all
 custodial and maintenance activities involving potential
exposure to asbestos. When in doubt about exposure
during  a certain work operation, building owners  should
provide respiratory protection  to custodial and mainte-
nance  workers.  OSHA specifies general types  of
respirators for protection against  airborne  asbestos
during "construction" activities, which include abate-
ment, renovation, maintenance, repair, and remodeling.

Personal  air sampling  is  not  the  same  as  area air
monitoring. Personal air sampling (required by OSHA)
is designed to measure an individual worker's  exposure
to fibers while the worker is conducting tasks that may
disturb  ACM.  The sampling device is worn by the
worker  and positioned  so that it samples air in the
worker's breathing zone. In contrast, area (or  ambient)
air  sampling is conducted to get an estimate of the
numbers  of airborne asbestos  fibers present  in a
building. It is used as an assessment tool in evaluating
the potential hazard posed by asbestos to all building
occupants. (See the previous discussion of area air
monitoring on page 14.)

When adequate care is taken to prevent or minimize and
control  fiber release, routine, small-scale/short-dura-
tion maintenance or custodial tasks are not  likely to
generate high levels of airborne asbestos compared to
large asbestos removal projects; and respirators which
filter breathing air may be used. OSHA, EPA,  and
NIOSH are  on record  as not recommending
single  use,  disposable paper dust  masks  for use
against asbestos; in fact,  OSHA  has  disallowed
their use against  airborne asbestos fibers.

The options that may be used include:

   • A half-face or full facepiece, negative pressure,
        air-purifying respirator with  replaceable  high-
        efficiency filters.
Pictured below are
different examples of
air-purifying, negative
pressure  respirators
equipped  with high-
efficiency  cartridges
which can be used to
protect workers
against asbestos
exposure. On the left
are examples of half-
mask facepieces
equipped  with high-
efficiency  cartridges,
and on the  right are
examples of full
facepiece,  high-
efficiency  masks.

                                                                                                                              1  7

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                            A half or full facepiece powered air-purifying
                             respirator (PAPR) with replaceable high-effi-
                             ciency filters. This has a battery powered pump
                             which assists breathing and provides positive
                             pressure in the facepiece.
Pictured above are
two different  types of
powered  air-purifying
respirators (PAPR's)
equipped  with high-
efficiency  filters. On
the left is an example
of a  tight fitting, full
facepiece PAPR, and
on the  right  is an
example of a loose-
fitting helmet style
PAPR.
Under the OSHA standards for asbestos, any employee
required to wear  a  negative pressure respirator can
request  a powered  air-purifying respirator, and  the
employer is required to provide a fully functional and
approved unit, provided it will afford the worker at least
equal protection.

Currently only respirators approved by NIOSH and the
Mine Safety and Health Adminstration  (MSHA)  are
permitted for use. If they are air-purifying respirators,
the filtration device(s) must be  rated as  "high-effi-
ciency"

Selecting the most appropriate  respirator for each
O&M task  requires knowledge of the levels of airborne
asbestos fibers  and other possible  air contaminants
generated by the task or likely to be present where the
task  is  performed.  This knowledge is best gained
through  personal  air  monitoring conducted during
worker performance of the actual task. (Obviously the
workers must have  respiratory protection while this
initial personal  air sampling is carried out.) In fact,
OSHA and EPA require air monitoring under certain
circumstances (see Chapter 6). To  learn more about the
different types of respirators available and the degree of
protection they provide, see Appendix E. Owners may
also wish to contact the nearest OSHA office, a local
trained  and qualified industrial hygienist (preferably
Certified),  or an occupational health professional  for
more information on respirators. The  expertise of these
specialists should be used to ensure proper selection, fit
testing,  and training of workers in respirator use.

Building owners  and  other facility managers may not be
familiar with some of the terms used in discussions of
respirators, airborne fiber levels,  and related topics.
Appendix E contains more information on these topics,
and gives the minimum EPA-recommended levels of
respiratory protection to be provided during typical
O&M tasks.

For additional information  on respirator  programs,
respirator types, and respirator use, the building owner
or Asbestos Program Manager may  want to use the
following references

     • "Respiratory Protection An Employer's Man-
         ual," NIOSH,  October 1978;

     • "A  Guide  to  Respirator  Protection  for the
         Asbestos Abatement Industry" EPA/NIOSH,
          1986;

     •  OSHA respirator  standard (29  CFR
          1910.134);

     •  OSHA asbestos  regulations (29  CFR
          1910.1001 and 1926.58);

     0 "Occupational  Exposure  Sampling Strategy
         Manual; NIOSH #77-173, January 1977.

     0  "Respirator  Decision Logic," NIOSH,  May
          1987; and

     0  "NIOSH Guide to Industrial Respiratory Pro-
         tection" September 1, 1987.
Protective  Clothing/Worker  Protection  Pro-
grams In addition to the use of respirators, some O&M
procedures may  require workers  to  wear protective
clothing. Most often, protective clothing is disposable
and consists of coveralls, a head cover, and foot covers
made of a synthetic fabric which does not allow asbestos
fibers to pass through. This type of clothing prevents
workers'  regular clothing from becoming contaminated
with  asbestos fibers. Contaminated clothing  could be
taken home,  creating a possible risk to the  worker's
family members.

OSHA and EPA regulations require workers to wear
protective clothing whenever they are exposed, or likely
to be  exposed, to fiber levels  above OSHA's permissible
levels (see Chapter 6). It is  important that workers be
properly trained in the use, removal and disposal  of
protective clothing after use. All O&M activities may
not require the use of protective clothing. It is important
for the Asbestos Program Manager to assess this need
on a case-by-case basis.
                                                                                  Basic O&M
                                                                                  Procedures
                     Basic O&M procedures to mini-
                     mize and/or contain asbestos fi-
                     bers  may include wet methods,
use of mini-enclosures, use  of portable power tools
equipped with special  local  ventilation attachments, and
avoidance of certain activities, such as sawing, sanding,
 18

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and drilling ACM. Maintenance activities can be divided
into three categories with regard to their potential for
disturbing ACM:

      I  Those which are unlikely to involve any direct
         disturbance of ACM; for example,  cleaning
         shelves or  counter tops with a damp cloth.

    ^  Those  which  may cause  accidental distur-
         bance of ACM; for example, working on a
         fixture near a ceiling with surfacing ACM.

    O  Those  which involve intentional small-scale
         manipulation or  disturbance  of  ACM;  for
         example, removing a small  segment of TSI
         ACM to repair a pipe leak.

The O&M program  should include work practices for
each  type of ACM that  is present  in the  building
(surfacing, TSI, and  miscellaneous) as well as for each
type and  category of maintenance activity performed
(e.g.,  general cleaning, electrical work, plumbing).

Special work  practices  such as wet wiping,  area
isolation, and HEPA vacuuming, and the use of personal
protective equipment such as respirators and protective
clothing, may be needed where disturbance of ACM is
likely. The need for these practices varies  with the
situation.  For example, removing light fixtures located
near surfacing ACM may disturb the material and might
involve the  use of special cleaning,  possibly  area
isolation,  and respiratory protection. Periodic  emptying
of a  trash can near heavily encapsulated asbestos-
containing plaster may not disturb the material at all, so
no special work practices would generally be necessary
These work practices and  procedures are intended to
ensure that disturbance  of any ACM during O&M
activities  should be  minimized,  or carried out under
controlled conditions when the disturbance is required
by the nature of a specific  O&M task.

In addition, ACM may readily release asbestos fibers
into the  air when certain  mechanical operations  are
performed directly on it. For example, fiber releases can
occur when  workers  are  drilling, cutting,  sanding,
breaking,  or sawing vinyl asbestos floor tile.

The action  of  drilling,  cutting,  abrading,  sanding,
chipping, breaking, or sawing is the critical factor here,
since it is likely to cause a release of fibers. Maintenance
or repair operations involving those actions should be
eliminated or carefully controlled with basic O&M
procedures in order  to prevent or minimize asbestos
fiber release.

Certain activities that occur in the vicinity of ACM can
also cause damage which may result  in asbestos fiber
release. For example, maintenance and custodial stroll
may damage ACM accidentally with broom handles,
ladders, and  fork lifts while performing other tasks.
Activities performed in the vicinity  of ACM should
always be performed  cautiously to prevent fiber release.
To  summarize,  if in doubt  about the possibility  of
disturbing ACM during maintenance  activities,  ade-
quate precautions should be  taken to  minimize fiber
release; these will protect workers  as well as the
building environment. Basic O&M procedures, includ-
ing use of wet methods and specially equipped tools,
should be used to protect building occupants.
     O&M  Cleaning
     Practices
                         Special cleaning practices
                         are appropriate for a building
                         with exposed surfacing or
thermal system insulation ACM, especially if the ACM
is friable. If gradual deterioration or damage of ACM has
occurred or is occurring, asbestos-containing dust or
debris could be present. If the building inspection has
determined that asbestos-containing dust or debris is
present in some areas, then the O&M program should
include special cleaning practices to  collect  residual
asbestos dust. Routinely  cleaning floors using  wet
methods is an example of one such practice. Custodial
and maintenance workers in the course of normal work
can also identify and report areas which are in need of
special cleaning or repair. Special cleaning techniques
should supplement, not replace, repair or abatement
actions for damaged, friable ACM. The cleaning
program should include an initial cleaning followed, as
needed, by subsequent periodic or episodic cleanings.

Building owners and custodial and maintenance staff
should ensure that special O&M cleaning is done
correctly Proper cleaning is important for two reasons:

   0   The use  of improper techniques to clean up
        asbestos debris caused by previous deteriora-
        tion or damage  may result in widespread
        contamination, and potentially  increase  air-
        borne asbestos fiber levels in the building.

   *   Improper cleaning may cause damage to the
        ACM, thus releasing  more airborne asbestos
        fibers.

O&M  cleaning  will involve  the  use of wet
cleaning or wet-wiping practices to pick up asbestos
fibers. Dry sweeping or dusting can result in asbestos
fibers  being re-suspended  into the building's air  and
therefore should not be used. Once wet cloths, rags, or
mops have been used  to pickup asbestos fibers, they
should be properly discarded as asbestos waste while
still wet. They should not be allowed to dry out, since
the collected fibers might be released at some later time
when disturbed. The use of special vacuum cleaners,
commonly referred to as HEPA vacuums, may be
preferable to wet cleaning  in certain situations. These
vacuums are equipped with filters designed to remove
very small particles or fibers — such as asbestos — by
filtering those particles  from the air passing through the
vacuum. Since the exhaust air from an ordinary  vacuum
cleaner is not filtered sufficiently it is possible for tiny
asbestos fibers to pass  through the filter and back into
the building air.
                                                       If in doubt about
                                                        the  possibility
                                                         of disturbing
                                                         ACM during
                                                         maintenance
                                                          activities,
                                                           adequate
                                                         precautions
                                                       should be  taken
                                                         to  minimize
                                                         fiber  release.
                                                                                                                             1 9

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      Special
  procedures are
generally needed
 to minimize the
spread of fibers in
the  building after
  asbestos fiber
  release occurs.
 Here, a worker uses
 a HEPA vacuum
 (backpack type) to
 clean ACM debris
 from one of several
 carpeted areas in a
 room where surfacing
 material had fallen.
It is important for O&M workers to use caution when
emptying  HEPA vacuums and changing the  filters.
Exposures could result from such activities. Workers
should move the HEPA vacuum to a  physically isolated
area of the facility and put on proper personal protective
equipment before emptying the dust and debris into
properly labeled, sealed, and leak-tight containers for
disposal as asbestos-containing waste. When custodial
workers do not work with ACM, trained  maintenance
workers can be used to empty the HEPA vacuums and
change their filters.  Decisions regarding special clean-
ing practices should  be based on the building inspection
and ACM assessment data, including the  potential for
ACM disturbance.  In general,  the building would not
need special  O&M cleaning when the building contains
only nonfriable (not easily crumbled) ACM; ACM which
has been encapsulated, encased, or enclosed behind air-
tight  barriers;  or  ACM  known  to be  undamaged/
undisturbed  since the  last special cleaning. Further-
more, where ACM is confined to a single room or area,
special cleaning of just that area rather than other parts
of the building may  be sufficient.

If ACM has been released onto a carpeted  area of a
building,  it may not always be possible to adequately
clean the  carpeted area. "Steam" cleaning and HEPA
vacuuming methods are sometimes  employed for this
purpose. A preliminary study  carried out by EPA in
 1989 showed  that hot water vacuums were more
effective in carpet cleaning than HEPA vacuums, under
the test  conditions. Further field studies are planned to
confirm these findings.
For carpets, successful cleaning will likely depend on
factors such as the amount of ACM released onto the
carpet, how long the situation has existed, traffic over
the area, as well as the structure and  composition of the
carpet itself.  It  is  prudent to  evaluate individual
situations  on a  case-by-case basis.  The Asbestos
program Manager should consider the need for workers
engaged in cleaning asbestos fiber-contaminated car-
pets to wear proper respiratory protection. It may also
be prudent to arrange for this type  of cleaning to be
done after normal working hours or when the facility is
less occupied. Additionally it maybe more cost effective
to properly dispose of contaminated carpets and other
fabrics as  asbestos-containing waste  if a permanent
asbestos  control  option  is  being undertaken in the
building.

Where the ACM is damaged and located  in  an "air
plenum" - where fibers  can be transported  by the
heating, ventilation, or air conditioning (HVAC) system
throughout the building  - special  cleaning practices
may be extended to the entire building, including the
HVAC system itself.
    Procedures for
    Asbestos Fiber
    Release  Episodes
                           Special procedures  are
                           generally needed to min-
                           imize the spread of fibers
                           throughout the building
after asbestos fiber releases occur, such as the partial
collapse of an ACM ceiling or wall. These procedures
are needed whether the ACM disturbance is intentional
Or unintentional To provide building owners with some
guidance, under EPA regulations for schools a "major
fiber release" is defined as one involving more than
three square or  linear feet of ACM.  The procedures to
be followed will vary according to the site of the major
release episode, the amount  of ACM affected,  the
extent of fiber release from the ACM, the relationship of
the release  area  to  the  air  handling systems,  and
whether  the release  site  is  accessible  to building
occupants. Depending  on the severity of the episode,
asbestos abatement consultants and contractors may be
needed to develop a strategy for conducting the clean-
up operations.

In general, for major fiber releases,  the area should be
isolated by  closing doors  and/or erecting temporary
barriers to restrict airflow as well as access to the site.
Signs should  be  posted as  necessary  immediately
outside the  fiber release  site  to prevent persons not
involved in the cleanup  operation from inadvertently
entering  the area. If asbestos fibers could enter the
HVAC system, the system should be modified to prevent
fiber entry, or should be shut down and sealed off.  The
final  step should be  to employ   thorough  cleanup
procedures to properly control the ACM, a careful visual
inspection, and final clearance air monitoring to verify
satisfactory cleanup.

Similar procedures can be used for much smaller fiber
release events:  where  the amount  of ACM is on the
 2  0

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order of three square or linear feet or less. The HEPA
vacuuming, wet wiping, and worker protection pro-
cedures outlined in this guidance document, as well as
wetting ACM wastes and properly placing them in an
appropriate leak-tight container (such as a properly
labeled, 6-mil-thick plastic bag), are examples of some of
the procedures which could be used for both major and
minor fiber releases.

It  is important to recognize that different levels of
training are needed for workers involved with fiber
release episodes. A major release will generally require
"asbestos abatement worker training," rather than the
degree of training considered adequate for O&M
workers.

EPA suggests that building owners and Asbestos
Program Managers consult with  state and local regula-
tory officials before establishing formal training pro-
cedures for each type of situation.

The following table should be  useful in determining
when to apply certain O&M work practices in buildings.
The table illustrates the O&M work practices that
should be used by custodial and maintenance staff,
depending on the likelihood of ACM disturbance.
Summary of When to Apply Key O&M Work Practices

Likelihood of ACM Disturbance
Accidental Disturbance Disturbance
Contact Unlikely Possible Intended or Likely
Management Responsibilities
Need Pre-Work Approval from Asbestos
Program Manager
Special Scheduling or Access Control
Supervision Needed
HVAC System Modification
Area Containment
Review by Program
Manager
No
No
None
None
Yes
Yes
Initial, At Least
As Needed1
Drop cloths, Mini-enclosures
Yes
Yes
YES
Shut Down1
Yes2
Personal Protection
Respiratory Protection
Protective Clothing
Available For Use
None
Yes
Review by Asbestos Program
Manager
Yes
Yes
Work Practices
Use of Wet Methods
Use of HEPA Vacuum
No
Available For Use
As Needed
Available For Use
Yes
As Needed
1) In the area where work takes place
2) Type of containment may vary. For example, small-scale, short-duration tasks may not require full containment.
                                                                                                                          2  1

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                     Recordkeeping
EPA recommends
  that building
  owners make
   available all
written elements
   of the O&M
 program to the
 building's O&M
 staff as well as
 to tenants and
  other building
   occupants.
All the building asbestos  management documents
discussed in this  Guide (inspection  and assessment
reports, O&M  program plan, work practices and
procedures, respirator use  procedures, fiber  release
reports, application for maintenance  work and work
approval forms, evaluations of work affecting ACM, and
reinspections/surveillance of ACM) should be stored in
permanent files. In addition, for employees engaged in
asbestos-related work, federal regulations (see Chapter
6) require that employers retain:

     • personal air sampling records, for at least 30
       years. Personal air samples are those collected
       in the worker's breathing zone during perform-
       ance of work involving asbestos exposures.

    • objective data used to qualify for exemptions
       from OSHA's initial monitoring requirements
       for the duration of the exemption.

     • medical records for each employee subject to
       the medical  surveillance program for the
       duration of their employment plus 30 years.
     • all employee training records for one year
       beyond the last date of each worker's employ-
       ment.

In addition, OSHA requires that employers provide to
each employee their record of exposure and medical
surveillance under the Records Access Standard (29
CFR 1910.20) and the Hazard Communication Standard
(29 CFR  1910.1200).  Seethe OSHA Construction Rule
(29 CFR  1926.58) or the EPA Worker Protection Rule
(40 CFR 763 Subpart G) for more details of recordkeep-
ing requirements.

EPA recommends  that building owners make available
all written elements of the O&M program to the
building's O&M staff as well as to tenants and other
building occupants, if applicable. Building owners are
also encouraged to consult with their legal counsel
concerning appropriate recordkeeping strategies as a
standard  part of their O&M programs. Additionally
state and  local regulations may also require additional
recordkeeping procedures.
                        Chapter Summary
                        Although the elements discussed in this chapter should appear in any O&M program, the extent to
                        which each applies will vary depending on the building type, the type of ACM present, and the ACM's
                        location and physical condition. To achieve its objectives an O&M program should include the
                        following:
                           A notification  program to  inform  building
                           occupants, workers, and  tenants about the
                           location of ACM and how to avoid disturbing
                           ACM.

                           Periodic surveillance and reinspection of ACM
                           at  regular intervals by trained workers or
                           properly trained inspectors. Air monitoring to
                           detect airborne asbestos fibers in the building
                           may provide useful supplemental information
                           when conducted along with a comprehensive
                           visual and physical ACM inspection/ reinspec-
                           tion program. Air samples  are most accurately
                           analyzed using transmission electron micros-
                           copy (TEM).
                                                       A "work Control/permit" system, which some
                                                       building owners have  used successfully  to
                                                       control  work that could disturb ACM.  This
                                                       system requires the person requesting work to
                                                       submit a Job Request Form to the Asbestos
                                                       Program Manager before any work is begun.

                                                       O&M work practices to avoid or minimize fiber
                                                       release during activities affecting ACM.

                                                       Recordkeeping. OSHA and EPA have specific
                                                       requirements for workers exposed to asbestos.
 22

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                                     hat  O&M  Training  Is
                                 Necessary?
                                 Types of Training
Training of custodial and maintenance workers is one of the keys to a successful O&M program. If
building owners do not emphasize the importance of well-trained custodial and maintenance
personnel,  asbestos O&M tasks may not be performed properly This could result in higher levels of
asbestos fibers in the building air and an increased risk faced by both building workers and occupants.
OSHA and EPA require a worker training program for
all employees exposed to fiber levels (either measured
or anticipated)  at or above the action level (0.1 f/cc,
8-hour time-weighted average- the TWA) and/or the
excursion limit (1.0 f/cc, 30-minute TWA—see Chapter
6). According to the EPA regulations governing schools,
all school stall custodial and maintenance workers who
conduct any activities that will result in the disturbance
of ACM must receive 16 hours of O&M training. Some
states and municipalities may also have specific training
requirements for  workers  who may be exposed to
asbestos, or who work in a building with ACM present.

With proper training, custodial and maintenance staff
can successfully deal with ACM in place, and greatly
reduce the release of asbestos fibers. Training sessions
should provide basic information on how to deal with all
types of maintenance activities involving ACM. How-
ever, building owners should also recognize that O&M
workers in the field often encounter unusual, "non-
textbook" situations.  As  a  result, training should
provide key concepts of asbestos hazard control. If these
concepts are clearly understood by workers  and their
supervisors, workers can develop techniques to address
a specific problem in the field. Building owners who
need to provide O&M training to their custodial and
maintenance staff should contact an EPA environmental
assistance center (see Appendix D) or equally qualified
training organization for more information.

At least three levels of maintenance worker training can
be identified

    LEVEL 1: AWARENESS TRAINING. For custo-
    dians involved in cleaning and simple main-
    tenance tasks where ACM may be acciden-
    tally disturbed.

For example, fixing a light fixture in a ceiling covered
with surfacing ACM. Such training may range from two
to eight hours, and may include such topics as:
    • Background information on asbestos.
    • Health effects of asbestos.
    • Worker protection programs.
    • Locations of ACM in the building.
    • Recognition of ACM damage and deterioration.
    • The O&M program for that building.
    • Proper response to fiber release episodes.
 Training of
custodial  and
maintenance
 workers is
 one of the
  keys to a
 successful
    O&M
  program.
                                                                                                                 2  3

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A  properly protected
and trained worker
conducts  a glovebag
removal job on a sec-
tion of thermal sys-
tem insulation.  Under
a  proper  operations
and maintenance pro-
gram,  any worker in-
volved  in  such activ-
ities would have  Level
1 and 2 training.
    LEVEL  2: SPECIAL O&M TRAINING. For
    maintenance  workers  involved  in general
    maintenance  and  asbestos material  repair
    tasks.

For example, a repair or removal of a small section of
damaged TSI, or the installation of electrical conduit in
an air plenum containing ACM or ACM debris. Such
training generally involves at least 16 hours. This level of
training usually involves more detailed discussions of
the topics included in Level 1  training as well as:
                                                                                 LEVEL 3: ABATEMENT WORKER TRAINING.
                                                                                 For  workers who may  conduct  asbestos
                                                                                 abatement.

                                                                             For example, conducting a removal job, constructing an
                                                                             enclosure, or encapsulating a surface containing ACM.
                                                                             This work involves  direct,  intentional contact with
                                                                             ACM. The recognized "abatement worker" training
                                                                             courses approved by EPA or states, under the EPA
                                                                             AHERA  model accreditation plan for schools, which
                                                                             involve 24 to 32 hours of training, would fulfill this level
                                                                             of training.

                                                                             If this level of training is provided to in-house staff, it
                                                                             may save time and money in the long run to use these
                                                                             individuals to perform such activities.  This level of
                                                                             training is much more involved than Levels 1  and 2,
                                                                             although  it should include some of the same elements
                                                                             (e.g., health effects of asbestos). It will typically include
                                                                             a variety  of specialized topics, such as:
• Pre-asbestos  abatement work  activities.
• Work area preparation.
• Establishing decontamination units.
• Personal protection,  including respirator selec-
  tion, use, fit-testing, and protective  clothing.
• Worker decontamination procedures.
• Safety considerations  in the  abatement work
  area.
• A series of practical  hands-on exercises.
• Proper handling and disposal of ACM wastes.
This is an example
of a large-scale
asbestos  removal
project  (note missing
scaffold safety  rails).
Such projects are well
beyond the scope of
an O&M program. The
EPA NESHAP regula-
tions require that as-
bestos  materials be
removed from  build-
ings prior to demoli-
tion or renovation
when the asbestos
will  be  disturbed.
2 4
                           Federal,  state,  and local  asbestos regulations.
                           Proper asbestos-related work practices.
                           Descriptions of the proper methods of handling
                           ACM, including waste handling  and disposal.
                           Respirator use, care, and fit-testing.
                           Protective clothing donning, use, and handling.
                           Hands-on exercises  for  techniques  such as
                           glovebag work and LLEPA vacuum use  and
                           maintenance.
                           Appropriate  and proper worker decontamination
                                                        The Asbestos Program Manager should consider con-
                                                        ducting the training program for Levels 1 and 2 if he or
                                                        she has sufficient specific asbestos knowledge and
                                                        training. If the Asbestos Program Manager does not
                                                        conduct the training, the building owner should hire an
                                                        outside consultant or send workers to an appropriate
                                                        O&M training course. A trained (preferably Certified)
                                                        industrial hygienist or equally qualified safety and health
                                                        professional should conduct the training on respirator
                                                        use and fit-testing. A health professional should conduct
                                                        the training on health  effects.

                                                        OSHA or EPA Regional Offices, as well as state and local
                                                        agencies and professional associations, may be able to
                                                        suggest courses or direct you to listings of training
                                                        providers for each of the three levels. Appendix D
                                                        provides  the addresses  and/or phone numbers for
                                                        OSHA, EPA, and EPA-sponsored training providers.

                                                        Where custodial and  maintenance services  are per-
                                                        formed by a service company under contract, or where
                                                        some  installation or repairs are performed by em-
                                                        ployees of trade or craft contractors  and  subcontrac-
                                                        tors, those workers may need to have training at level 1,
                                                        2,  or 3 as appropriate for their work. The Asbestos
                                                        Program Manager or building owner should verify that
                                                        these employees receive appropriate training before
                                                        they begin any work.

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In summary, good training is crucial to the success of an
O&M program. Strong support for O&M training by
the  building owner should convince  custodial and
maintenance workers that following the  appropriate
work  procedures is critical  to  protecting their own
health as well as the health of other building occupants.
   Chapter  Summary
   Properly trained custodial and maintenance workers are critical to a successful O&M program. The
   following items are highlighted training requirements:
     OSHA and EPA require worker training pro-
     gram for all employees exposed to fiber levels
     at or above the action level (0.1 f/cc, 8-hr. TWA)
     and/or the excursion limit (1.0 f/cc, 30-minute
     TWA - see Chapter 6).

     Some  states  and  municipalities may have
     specific worker training requirements.

     At least three  levels of maintenance worker
     training can be identified:

     Level 1 Awareness training for workers
     involved in activities where ACM may be
     accidentally disturbed.  May  range from  2-8
     hours.
    Level 2 Special O&M training for mainte-
    nance workers involved in general maintenance
    and incidental ACM repair tasks. At least 16
    hours.

    Level 3 Abatement worker training for
    workers who may conduct asbestos abatement.
    This work involves direct, intentional contact
    with  ACM. "Abatement worker" training
    courses that involve 24 to 32 hours of training
    fulfill this level of training.
 Strong support
 by the building
    owner can
convince workers
  that following
   appropriate
  procedures is
    critical to
 protecting their
  own health as
well as the health
 of other building
    occupants.
                                                                                                                     2 5

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                                                   hat  Regulations  Affect
                                              Asbestos  Management
                                               Programs  in  Buildings,
                                               Especially O&M  Programs?
                                               Federal, State, and Local  Regulations Affecting
                                               O&M  Programs
                 Building owners are governed by a variety of federal, state, and local regulations which influence the
                 way they must deal with ACM in their facilities. Some of these regulations, particularly at the state
                 and local level, may change frequently Building owners should contact their state and local
                 government agencies, in addition to organizations such as the National Conference of  State
                 Legislatures (NCSL), the National Institute of Building Sciences (NIBS), or EPA environmental
                 assistance centers, for updated information on these requirements. (Appendix D lists phone numbers
                 for these organizations.)
 Building owners
are governed by a
variety of federal,
 state, and local
regulations which
influence the way
 they must deal
   with ACM in
 their facilities.
    OSHA Regulations    There are several im-
    andtheU.S.         portant  Occupational
    EPA Worker         Safety and Health Ad-
    Protection  Rule    ministration (OSHA)
                       and EPA regulations
that are designed to protect workers. They are summa
rized here, as guidance. OSHA has specific require-
ments concerning worker protection and procedures
used to control ACM.  These include the OSHA
construction industry standard for asbestos (29 CFR
1926.58), which applies to O&M work, and the general
industry asbestos standard (29 CFR 1910.1001). State-
delegated OSHA plans,  as well as local jurisdictions,
may impose additional requirements.

For most  operations and maintenance  activities in
building areas where only non-friable ACM is present or
where friable ACM is in good condition, applicable
OSHA permissible exposure limits are not likely to be
exceeded.  However, it is possible that  some O&M
activities will disturb ACM to such an extent that the
OSHA limits are exceeded, unless good work practices
are followed.
The OSHA standards generally cover private sector
workers, and public sector employees in states which
have an OSHA state plan. Public sector employees, such
as city  or county government employees, or certain
school employees, who are not already subject to a state
OSHA plan are covered by the EPA "Worker Protection
Rule" (Federal Register: February 25, 1987; 40 CFR
763 Subpart G, Asbestos Abatement Projects; Worker
Protection, Final Rule). Note: As this document goes to
press, OSHA  is considering a substantial number of
changes to its regulations.

The OSHA standards and the EPA Worker Protection
Rule require  employers to address a number of items
which are triggered by exposure  of employees  to
asbestos fibers. Exposure is discussed in terms of fibers
per cubic  centimeter  (cc) of air. A cc is a volume
approximately equivalent to that of a sugar cube.

Two main provisions  of the regulations fall into the
general  category  of  "Permissible  Exposure Limits
(PELs)" to airborne asbestos fibers. They are:
26

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    "j   8-Hour  Time-weighted  average  limit
        (TWA)— 0.2 fiber per cubic centimeter (f/cc)
        of air  based on  an 8-hour time-weighted
        average (TWA) sampling period. This is the
        maximum level of airborne  asbestos, on
        average, that any employee may be exposed to
        over an 8-hour period (normal work shift).
    O  Excursion limit (EL) - 1.0 f/cc as averaged
        over a  sampling period of 30 minutes.

These  levels trigger mandatory requirements, which
include the use of respirators and protective clothing,
the establishment of "regulated areas," the posting of
danger signs as well as the use of engineering controls
and specific work practices.

OSHA regulations also establish an "Action Level": 0.1
f/cc for an 8-hour TWA. Employee training is required
once the action level of 0.1 f/cc and/or the "Excursion
Limit" is reached. This training must include topics
specified by the OSHA rules. If an employee is exposed
at or above the  action level for a period of 30 days or
more in a calendar year, medical surveillance is required
according to the OSHA construction industry  asbestos
standard.

OSHA also  requires medical examinations under its
"General Industry  Standard" for any employee exposed
to fiber levels in the air at or above the OSHA "action
level" (0.1 f/cc) and/or the "excursion limit" (1. Of/cc). In
both cases - the action level  and excursion limit - the
OSHA medical examination requirement applies if the
exposure occurs for at least one day  per year.

The OSHA "Construction Industry  Standard" (29 CFR
1926.58) for asbestos, is generally applicable for the
workers who carry out the kinds of work discussed in
this O&M guidance document. The OSHA construc-
tion industry asbestos standard applies  to demolition
and asbestos removal or encapsulation projects, as well
as to repair, maintenance, alteration, or renovation if
ACM is involved. ACM spills or emergency clean-up
actions are also covered by this regulation.

According  to  those  regulations, participation in a
medical surveillance program is required  for any
employee who is required to wear a negative pressure,
air-purifying respirator.  Preplacement,  annual, and
termination physical exams are also  required for these
employees.  However, a termination exam  is only
necessary under  the  construction industry  standard
(which applies to custodial and maintenance employees)
if a physician recommends it.  While not mandatory EPA
and NIOSH  recommend physical examinations, includ-
ing cardiac  and pulmonary  tests, for any employee
required to wear  a respirator by the building owner.
These tests determine whether workers will be unduly
stressed or uncomfortable when using a respirator.

Additional requirements of the OSHA asbestos stand-
ards, such as the use of air filtration systems and hygiene
facilities, involve procedures which are most applicable
to large-scale asbestos abatement projects. However,
these rules also include a number of recommendations
for procedures which might be appropriate for a variety
of O&M programs for buildings.
    Small-scale,
    Short-duration
    Projects
                        "Appendix G" which is spe-
                        cified as a  non-mandatory
                        section to the OSHA regula-
                        tion 29  CFR 1926.58, may
become mandatory under certain circumstances where
"small-scale,  short-duration"  asbestos  projects  are
conducted. These projects are not precisely defined in
terms of either size or duration, although their nature
and scope are illustrated by examples presented in the
text of the regulation. Properly  trained maintenance
workers may conduct these projects.  Examples may
include removing small  sections of pipe insulation or
covering for pipe repair, replacing valves, installing
electrical conduits,  or patching  or removing small
sections of drywall. OSHA issued  a clarification of the
definition of a "small-scale, short-duration" (SS/SD)
project in a September  1987 asbestos directive.  The
directive focuses on  intent, stating  that in SS/SD
projects, the removal of ACM is not the primary goal of
the job. If the purpose of a small-scale, short-duration
project is maintenance,  repair, or renovation of  the
equipment or surface behind the ACM—not abatement
of ACM—then the appendix provisions may apply If the
intent of the work is abatement of the  ACM, then  the
full-scale abatement control requirements apply

In any event, this  appendix  section  of the OSHA
construction standard outlines requirements for the  use
of certain engineering and work practice controls such
as glovebags, mini-enclosures,  and special vacuuming
techniques. Similar information on these procedures
may be found in the EPA's AHERA  regulations  for
schools. (See final AHERA rule, Appendix B, for SS/SD
projects.)
     U.S. EPA National
     Emission Standards
     for Hazardous Air
     Pollutants (NESHAP)
     (40  CFR 61 Subpart M)
                              EPA's rules concern-
                              ing  the  application,
                              removal, and disposal
                              of  ACM,  as  well
                              as  manufacturing,
                              spraying  and fabri-
cating of  ACM,  were  issued under the  asbestos
NESHAP.  The asbestos NESHAP regulation governs
asbestos  demolition and  renovation  projects in all
facilities. The NESHAP rule usually requires owners or
operators to have all friable ACM removed before a
building  is demolished, and may require its removal
before a renovation. For renovation  projects where
friable ACM will be disturbed, the NESHAP rule may
require appropriate work practices or procedures for
the control of emissions. It is prudent to note that any
ACM  which may  become friable  poses a  potential
hazard that should be addressed. The  building owner
should consider that in many instances, the removal of
friable ACM prior to demolition could be less expensive
than removals while the building is still occupied and
being used. Some revisions  to the  current. NESHAP
rule are anticipated by the end of 1.990.
   In general
applicable OSHA
   permissible
 exposure limits
 are  not likely to
 be exceeded for
   most O&M
   activities in
  building areas
 where only non-
  friable ACM is
present or where
friable ACM is in
 good condition.
                                                                                                                         27

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  Depending on
 project size, EPA
 or the state must
 be notified before
   a building is
  demolished or
    renovated.
Notification

EPA or the state  (if the  state has been delegated
authority under NESHAP) must be notified before a
building is demolished or renovated. The following
information is required on the NESHAP notice:

    *|   Name and address of the building owner or
        manager;

    O  Description and location of the building;

    2  Estimate of the approximate amount of friable
        ACM present in the facility;

    A   Scheduled starting and completion dates of
        ACM removal;

    R  Nature of planned demolition or renovation
         and method(s) to be used;

    C  Procedures to be used to comply with the
        requirements of the regulation; and

    7  Name, address, and location of the disposal
        site where the friable asbestos waste material
        will be deposited.

The notification requirements do not apply if a building
owner plans renovation projects which will disturb less
than the NESHAP limits of 160 square feet of friable
ACM on facility components or 260 linear feet of friable
ACM on pipes (quantities involved over a one-year
period). For renovation operations in which the amount
of ACM equals or exceeds the NESHAP limits, notifica-
tion is required as soon as possible.
                    Emissions  Control
                    and Waste Disposal
                    The NESHAP asbestos rule prohibits visible emissions
                    to the outside air by requiring emission control pro-
                    cedures and appropriate work practices during collec-
                    tion, packaging, transportation or disposal of friable
                    ACM waste. All ACM must be kept wet until sealed in a
                    leak-tight container that includes the appropriate label.
                    The following table provides a simplified reference for
                    building owners regarding the key existing NESHAP
                    requirements.
                         Resource Conservation
                         and Recovery Act
                         Regulations (RCRA);
                         and Comprehensive
                         Environmental Response,
                         Compensation,  and
                         Liability Act  Regulations
                         (CERCLA, or "Superfund")

                    waste, and require stringent handlin
                    disposal procedures. In those cases,
                                   Under  ex-
                                   panded au-
                                   thority of
                                   RCRA,  a few
                                   states  have
                                   classified
                                   asbestos-con-
                                   taining  waste
                                   as a hazardous
                               g, manifesting, and
                               the state hazardous
                                                                          waste agency should be contacted before disposing of
                                                                          asbestos  for approved disposal methods and  re-
                                                                          cordkeeping requirements, and for a list of approved
                                                                          disposal sites.

                                                                          Friable  asbestos is also included as a hazardous sub-
                                                                          stance under EPA's CERCLA regulations. The owner or
                                                                          manager of a facility (e.g., building, installation, vessel,
                                                                          landfill) may have  some reporting requirements. Check
                                                                          with your  EPA Regional Office for further information.
                                                                          (See Appendix D for telephone numbers.)
     The Asbestos
     Hazard Emergency
     Response Act
     Regulations  (AHERA)
                              In October  1987,
                              EPA issued final reg-
                              ulations to carry out
                              the Asbestos Hazard
                              Emergency  Re-
sponse Act of 1986 (AHERA). The AHERA regulatory
requirements deal only with public and private elemen-
tary and secondary school buildings. The regulations
require schools to conduct inspections, develop com-
prehensive asbestos  management plans,  and  select
asbestos response actions to deal with asbestos hazards.
The AHERA rules do not require schools  to remove
ACM.

A key element of the  AHERA regulations  requires
schools to develop an O&M program if friable ACM is
present. The AHERA O&M  requirements  also cover
non-friable ACM which  is  about to become friable. For
example, drilling through an ACM wall will likely result
in friable ACM. Under the AHERA O&M provisions,
schools must carry out specific O&M procedures which
provide for the clean-up  of any ACM releases and help
ensure the general safety  of  school maintenance and
custodial workers, as well as  all other school building
occupants. The AHERA  regulation's  O&M require-
ments mandate that  schools  employ specific work
practices including wet wiping,  HEPA vacuuming,
proper waste disposal procedures, and specific training
for custodial and maintenance employees who work in
buildings with ACM.
                                                         U.S. EPA
                                                         Asbestos Ban
                                                         and Phaseout Rule
                           Bans on some uses and
                           applications of asbestos
                           under the Clean Air Act
                           were briefly described
in Chapter 1. In July 1989, under the Toxic Substances
Control Act (TSCA), EPA promulgated an Asbestos Ban
and Phaseout Rule. The complete rule was published in
the Federal Register on July 12,1989.

Beginning in 1990 and taking effect in three stages, the
rule prohibits the importation, manufacture, and proc-
essing of 94 percent of all remaining asbestos products
in the United States over a period of seven years.
2 8

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Existing NESHAP Requirements Summary*

AMOUNT*
(in 1 yr.)
NOTIFICATION
HOW FAR IN ADVANCE*
EMISSION CONTROLS
(Work Practices)
DISPOSAL
STANDARD
Demolition
> 260 In. ft. <260 In. ft.
or > 160 sq.ft. or < 160 sq. ft.
YES YES
10 DAYS 20 DAYS
YES NOT
REQUIRED
YES N°T
REQUIRED
Renovation
> 260 In. ft. <260 In. ft.
or > 160 sq.ft. or > 160 sq.ft.
YES NOT
REQUIRED
AS SOON
AS POSSIBLE NOT REQUIRED
NOT
YES
REQUIRED
YES N°T
REQUIRED
*May be changed on promulgation of Revised NESHAP Rule in 1 990
Chapter Summary
A variety of federal, state, and local regulations govern the way building owners must deal with ACM
in their facilities. State and local regulations maybe more stringent than federal standards and often
change rapidly Building owners should periodically check with the appropriate Federal, State, and
local authorities to  determine whether any new asbestos regulations have been developed or whether
current regulations have been amended. Specific federal regulations that may affect asbestos-related
tasks and/or workers are  highlighted here:
• OSHA Construction Industry Standard for
   Asbestos (29 CFR 1926.58).

• OSHA General Industry Standard for Asbestos
   (29 CFR 1910.1001).

• OSHA  Respiratory  Protection  Standard
   (29 CFR 1910.134).

• EPA  Worker Protection Rule (40 CFR 763
   Subpart, G).
• EPA National Emission Standards for Haz-
    ardous Air Pollutants (NESHAP) (40 CFR 61
    Subpart M).

• EPA Asbestos Hazard Emergency Response
    Act (AHERA) Regulations (40 CFR 763  Sub-
    part E),

• EPA Asbestos Ban and Phaseout Rule (40  CFR
    763 Subpart I).
                                                                                                               2 9

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                       Appendix A.

                       Glossary of Terms

                       ACM

                       Asbestos  Program Manager


                       Air Plenum


                       Asbestos  Abatement



                       Delamination

                       EPA

                       Friable Asbestos



                       Glovebag



                       HEPA Filter


                       Industrial  Hygienist


                       Medical Surveillance



                       Miscellaneous ACM



                       NESHAP


                       NIOSH



                       Personal Air Samples



                       Prevalent Level Samples

                       Surfacing ACM



                       TSI



                       TWA
Asbestos-Containing Material. Any material containing more than one percent asbestos.

A building owner or designated representative who supervises all aspects of the facility
asbestos management and control program.

Any space used to convey air in a building or structure. The space above a suspended ceiling
is often used as an air plenum.

Procedures to control fiber release from asbestos-containing materials in a building or to
remove it entirely These may involve removal, encapsulation, repair, enclosure,
encasement, and operations and maintenance programs.

Separation of one layer from another.

U.S. Environmental Protection Agency

Any materials that contain greater than one percent asbestos, and which can be crumbled,
pulverized, or reduced to powder by hand pressure. This may also include previously non-
friable material which becomes broken or damaged by mechanical force.

A polyethylene or polyvinyl chloride bag-like enclosure affixed around an asbestos-
containing source (most often, TSI) so that the material maybe removed while minimizing
release of airborne fibers to the surrounding atmosphere.

High-Efficiency Particulate Air Filter.  Such filters are rated to trap at least 99.97% of all
particles 0.3 microns in diameter or larger.

A professional qualified by education, training, and experience to anticipate, recognize.
evaluate and develop controls for occupational health hazards.

Aperiodic comprehensive review of a worker's health status. The required elements of an
acceptable medical surveillance program are listed in the Occupational Safety and Health
Administration standards for  asbestos.

Interior asbestos-containing building material on structural components, structural
members or fixtures, such as floor and  ceiling tiles; does not include  surfacing material or
thermal system insulation.

National Emission Standard for Hazardous Air Pollutants-EPA Rules under the Clean Air
Act.

The National Institute for occupational Safety and Health,  which was established by the
Occupational Safety and Health Act of 1970. Primary functions of NIOSH are to conduct
research, issue technical information, and test and certify  respirators.

An air sample taken with a sampling pump directly attached to the worker with the
collecting filter and cassette placed in the worker's breathing zone. These samples are
required by the OSHA asbestos standards and the EPA Worker Protection Rule.

Air samples taken under normal conditions (also known as ambient background samples).

Asbestos-containing  material that is sprayed-on, troweled-on or otherwise applied to
surfaces, such as acoustical plaster on ceilings and fireproofmg materials on structural
members, or other materials on surfaces for acoustical, fireproofmg, or other purposes.

Thermal system insulation - asbestos-containing material applied to pipes, fittings,
boilers, breeding, tanks, ducts or other interior structural components to prevent heat
loss or gain or water condensation.

Time-weighted Average. In air sampling, this refers to the average air concentration of
contaminants during a particular sampling period.
30

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 Appendix B.

 Sample Recordkeeping Form:

 Form 1. A sample form for recording information during ACM reassessament.

 Reinspection  of  Asbestos-Containing  Materials

 Location of asbestos-containing material (address, building, room, or general description]
Type of asbestos-containing  material(s):

 1. Sprayed-or troweled-on ceilings or walls
 2. Sprayed-or troweled-on structural members
 3. Insulation on pipes, tanks, or boiler
 4. Other (describe)
 Abatement Status:

  1. The material has been encapsulated	  , enclosed	, neither	, removed

 Assessment:

 1. Evidence of physical damage	
 2.  Evidence of water damage:
 3.  Evidence of delamination or other damage:
 4.  Degree of accessibility of the material:
 5. Degree of activity near the material:
 6.  Location in an air plenum, air shaft, or airstream:
 7. Other observations (including the condition of the encapsulant or enclosure, if any):
 'Recommended Action:
 Signed:	  Date:
                          (evaluator)
                                                                                                                           31

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                      Form 2. A sample application form for maintenance work approval.

                      Job Request Form for Maintenance Work

                      Name:	 Date:
                      Telephone No.	Job Request No.

                      Requested starting  date: 	 Anticipated finish date:   	
                      Address, building, and room number(s) (or description of area) where work is to be performed:
                      Description of work
                      Description of any asbestos-containing material that might be affected, if known (include location and type):
                      Name and telephone number of requestor:
                      Name and telephone number of supervisor
                      Submit this application to


                      (The Asbestos Program Manager)

                      NOTE An application must be submitted for all maintenance work whether or not asbestos-containing material might be
                      affected. An authorization must then be received before any work can proceed.

                      	Granted (Job Request No	)
                      	With conditions*
                      	Denied
                      *Conditions.
3 2

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  Form 3. A sample maintenance work authorization form.

  Maintenance Work  Authorization  Form                                 NO..


  AUTHORIZATION

  Authorization is given to proceed with the following maintenance work:
  PRESENCEOFASBESTOS-CONTAININGMATERIALS

 	Asbestos-containing materials are not present in the vicinity of the maintenance work.

 	ACM is present, but its disturbance is not anticipated however, if conditions change, the Asbestos Program Manager
        will re-evaluate the work request prior to proceeding.

 	ACM is present, and maybe disturbed.

 Work Practices if Asbestos-Containing Materials Are Present

 The following work practices shall be employed to avoid or minimum disturbing asbestos:*
 Personal Protection  if Asbestos-Containing Materials Are Present**

 The following equipment/clothes shall be used/worn during the work to protect workers:
                                 (manuals on personal protection can be referenced)

 Special Practices and/or Equipment Required:
Signed:	 Date:.
                   (Asbestos Program Manager)
                                                                                                                   33

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34
                       Form 4. A sample work evaluation form






                       This evaluation covers the following maintenance work:


                       Location of work (address, building, room number(s), or general description):
                       Date(s) of work.
                       Description of work.
                       Work approval form number:.
                       Evaluation of work practices employed to minimize disturbance of asbestos:
                       Evaluation of work practices employed to contain released fibers and to clean up the work area:
                       Evaluation of equipment and procedures used to protect workers:
                       Personal air monitoring results; (i-house worker or contract?)


                       Worker name	Results:


                       Worker name	Results:


                       Handling or storage of ACM waste:	
                       Signed	Date:.
                                        (Asbestos Program Manager)

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Appendix  C

Illustrative  Organization  Chart
                                              Asbestos Program
                                                   Manager
                                              (Respiratory Rot.
                                             Prog. Administrator)
                 USEPA Reg. Ash.
                    Coordinator,
                   State & Local
                   Gov. Advisor,
                      OSHA


custodial
staff



Maintenance
Staff



Other Bldg.
services
Contractors



Asbestos
Contractors
Figure 1. A sample organization for a building owner with
a large in-house management staff. Shaded boxes indicate
outside assistance.
Owners and  Managers Who  Employ an  Extensive  In-house  Management  Staff
IN-HOUSE STAFF (FIGURE 1)

Asbestos Program Manager: Has authority and overall
responsibility for the asbestos control program. May develop
the O&M program.  Coordinates all activities. May also
administer the respiratory protection program.

Physical Plant Manager: (may also be the Asbestos
Program Manager) Participates in establishing  work practices
for cleaning and maintenance activities, and in training
custodial and maintenance staff to use them. Assists in
implementing the O&M program and in conducting periodic
reinspection of the ACM.  Ensures that outside contractors
follow O&M procedures.

Communications Person: (Public Affairs Officer, Nurse,
Physician, Industrial Hygienist) Assists in preparation and
distribution of information about ACM in the building. Person
should be a good speaker and communicator.

Recordkeeping Person: (Executive Assistant, Secretary)
Responsible for maintaining records.
OUTSIDEASSISTANCE

EPA Regional Asbestos Coordinator, NESHAP Coor-
dinator and State/Local Government Advisors:  Pro-
vide getter-id guidance and answer specific questions.
OSHA Regional Office: May he helpful in answering
questions about existing regulations, and providing guidance
for worker protection.

Asbestos Consultant(s)*: (Industrial Hygienists, Health
Professionals, Architects, Engineers, and others) May assist in
various aspects of the asbestos O&M program, including its
development and implementation. May also conduct material
inspections and provide work practice recommendations.

Lawyer: Provides advice on legal requirements (such  as laws
and statutes) and liability aspects of the program.

Asbestos Contractor*: May provide services for ACM
abatement and for building decontamination following a fiber
release episode.
*It is important for owners and Asbestos Program Manager's to
 consider potential "conflict of interest" issues pertaining to those
 persons or firms used to sample, inspect, assess, analyze, recom-
 mend response actions, design response actions, and conduct
 asbestos response actions.
                                                                                                                  35

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                                                          Building Owner
                                                        Asbestos Program
                                                            Manager
                USEPA Reg. Ash.
                   Coordinator,
                  State & Local
                   Government
                     Advisor,
                     OSHA


Custodial
Services



Maintenance
Services
(elect., phone,
plumbing, etc.)



Construction
Services



Contractors
           Figure 2. A sample organization for owners of buildings
           where services are provided by contract. Shaded boxes
           indicate outside assistance.
           Owners and Managers Who  Contract  For Services
           IN-HOUSE STAFF (FIGURE 2)

           Asbestos Program Manager: Has overall responsibility
           for the asbestos control program. May develop and implement
           the O&M program. Establishes training and experience re-
           quirements for contractor's workers.  Supervises and enforces
           work practices with assistance of work crew supervisors.
           Conducts periodic reinspection  and  responsible for rec-
           ordkeeping. This person should be properly trained in O&M
           program development and implementation (see Chapter 5).
           OUTSIDE ASSISTANCE

           EPA Regional Asbestos Coordinator and State/Local
           Government Advisors: Provide general guidance and
           answer specific questions,

           OSHA Regional Office: May be helpful in answering
           questions about existing regulations and providing guidance
           for worker protection.
Asbestos Consultant(s)*: (Industrial Hygienists, Health
Professionals, Architects, Engineers, and others) May assist
Asbestos Program Manager in various aspects of the asbestos
O&M program, including development and implementation.
May also conduct the inspection and provide work practices
recommendations.

Lawyer: Provides advice on legal requirements (laws and
statutes) and liability aspects of the program.

Asbestos Contractor*: May  provide services for ACM
abatement  and building decontamination following a fiber
release episode.
*It is important for owners and Asbestos Program Manager's to
 consider potential "conflict of interest" issues pertaining to those
 persons or firms used to sample, inspect, assess, analyze, recom-
 mend response actions, design response actions, and conduct
 asbestos response actions.
36

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APPENDIX D.

Additional Assistance and  Training

EPA REGIONAL CONTACTS

Additional assistance can be obtained from your U.S.
EPA Regional Asbestos Coordinators, NESHAP Re-
gional Coordinators, and OSHA Regional Offices. Their
telephone numbers  are listed below

EPA Region 1: (CT,ME,MA,NH,RI,VT)
    Asbestos Coordinator (617) 565-3835
    NESHAP Coordinator (617) 565-3265

EPA Region II:  (NJ,NY,PR,VI)
    Asbestos Coordinator (201) 321-6671
    NESHAP Coordinator (212) 264-6770

EPA Region III: (DE,DC,MD,PA,VA,WV)
    Asbestos Coordinator (215) 597-3160
    NESHAP Coordinator (215) 597-6550

EPA Region IV: (AL,FL,GA,KY,MS,NC,SC,TN)
    Asbestos Coordinator (404) 347-5014
    NESHAP Coordinator (404) 347-2904

EPA Region V: (IL,IN,MI,MN,OH,WI)
    Asbestos Coordinator (312) 886-6003
    NESHAP Coordinator (312) 353-2088

EPA Region VI: (AR,LA,NM,OK,TX)
    Asbestos Coordinator (214) 655-7244
    NESHAP Coordinator (214)  655-7229

EPA Region VII: (IA,KS,MO,NE)
    Asbestos Coordinator (913) 551-7020
    NESHAP Coordinator (913)  551-7020

EPA Region VIM: (CO,MT,ND,SD,UT,WY)
    Asbestos Coordinator (303) 293-1442
    NESHAP Coordinator (303) 294-7685

EPA Region IX: (AZ,CA,HI,NV,AS,GU)
    Asbestos Coordinator (415) 556-5406
    NESHAP Coordinator (415)  556-5526

EPA Region X:  (AK,ID,OR,WA)
    Asbestos Coordinator (206) 442-4762
    NESHAP Coordinator (206)  442-1757
OSHA  REGIONAL OFFICES

Region I - Boston, MA:(617) 223-6710
Region  II -New York, NY: (212) 944-3432
Region III-Philadelphia, PA (215) 596-1201
Region IV-Atlanta, GA (404) 347-3573
Region V- Chicago, IL: (312) 353-2220
Region VI -Dallas, TX: (214) 7674731
 Region VII -Kansas City, MO (816) 374-5861
 Region VIM -Denver, CO: (303) 844-3061
 Region IX - San Francisco, CA:  (415)  995-5672
 Region X - Seattle, WA (206) 442-5930
 Toxic Substances Control Act (TSCA)
 Assistance Hotline

 Copies of the EPA Guidance Documents, Technical Bulletins,
 and other publications cited here can be obtained by calling the
 TSCA Assistance Hotline, in Washington, D.C., at: (202)
 554-1404.
Approved Training Centers

Certain training centers and satellite centers were initially
funded by EPA to develop asbestos training courses. They and
other training providers approved by EPA or states, offer
courses for professionals such as asbestos inspectors and
management planners involved with ACM detection and
control, for asbestos abatement project designers, project
supervisors and abatement workers, and others. In general,
qualified professionals trained as inspectors and asbestos
management planners would be good choices to design an
O&M plan. Original training centers are located at the
following  sites:
                            Tufts University
                            Curtis Hall
                            Asbestos Information Center
                            474 Boston Avenue
                            Medford, MA02155
                            (617) 381-3531

                            University of Illinois at Chicago
                            Midwest Asbestos Information Center
                            BOX 6998
                            Chicago, IL 60680
                            (312) 996-6904
Georgia Institute of Technology
GTRI/EDL/ESTD
29 O'Keefe Building
Atlanta, GA 30332
(404) 894-3806

University of Kansas
Asbestos Training Center
6600 College Blvd. Suite 315
Overland Park, KS 66211
(913) 491-0181

Pacific Asbestos
Information Center
University CA/Extension
2223 Fulton St.
Berkeley, CA 94720
(415) 643-7143
Additional training providers are listed in the Federal Register
on a regular basis. Call (202) 554-1404 for information. In
addition, information on how to receive a copy of an O&M
Course produced by an EPA contractor maybe obtained at the
same number.

OTHER ORGANIZATIONS

National Conference of State Legislatures (NCSL)
    Denver, CO - (303) 623-7800
National Institute of Building Sciences (NIBS),
    Washington, D.C. - (202) 289-7800
American Board of Industrial Hygiene (ABIH),
    Lansing, MI - (517) 321-2638
National Institute for Standards and Technology (NIST),
    Gaithersburg, MD - (contact for lab accreditation) -
    (301) 975-4016
                                                                                                                  37

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                        APPENDIX  E:

                        Respiratory Protection
                        Recommendations
                        EPA recommends that the following guidelines be followed for
                        respiratory protection during various custodial and mainte-
                        nance tasks. These guidelines are issued to cover tasks that do
                        not always create routine fiber levels high enough to trigger
                        OSHA  respiratory protection requirements. Therefore, build-
                        ing owners should note they go beyond OSHA  requirements.
                                Routine maintenance where  contact  with
                                ACM is unlikely. No  respiratory protection re-
                                quired. (Air-purifying respirator with high-efficiency
                                filters should be available if needed: half-face or full
                                facepiece).

                                Routine maintenance where there is reason-
                                able likelihood of ACM disturbance. Air-purify-
                                ing respirator with high-efficiency filters (half-face or
                                full facepiece).

                              1  Maintenance or repair involving intentional
                                small-scale disturbance of ACM. Powered air-
                                purifying respirator with high-efficiency filters, or air-
                                purifying respirator with high-efficiency filters (half-
                                face or full facepiece). If glove bags are used to contain
                                the ACM during disturbance,  either half-face or full
                                facepiece air-purifying respirators with  high-effi-
                                ciency filters may be used.

                              •  Any O&M activity requiring sawing, cutting,
                                drilling, abrading, grinding, or sanding ACM.
                                (NOTE: specially  equipped tools with local exhaust
                                ventilation should be used for these  activities. See 29
                                CFR 1910.) Powered air-purifying respirator with
                                high-efficiency filters, or full facepiece, air-purifying
                                respirator equipped with high-efficiency filters should
                                be used.

                              •  Cleanup after a minor asbestos fiber release.
                                Air-purifying respirator with high-efficiency filters
                                (half-face or full facepiece).

                              > Cleanup after a  major asbestos fiber release.
                                Air-supplied respirators, either the  "Type C" airline
                                respirator equipped with a backup high-efficiency
                                filter or SCBA (Self-Contained Breathing Apparatus).
An industrial hygienist or environmental/occupational health
professional should assist workers with respirator selection
and fitting, and train them in respirator use. Fit-testing (which
means determining whether a particular brand and size of
respirator properly fits an individual worker) is essential, since
respirators which leak at the face seal provide significantly less
protection. OSHA requires fit-testing initially and every six
months for employees required to wear a negative pressure
respirator for protection against asbestos, or  for individuals
exposed at or above the OSHA-specified limits.

A respirator's effectiveness is also influenced by how it is
handled, cleaned, and stored. Custodial and maintenance staff
should clean their respirators after each use, and disinfect their
respirators at the end of a day's use. This improves comfort,
and also reduces the chances  of skin irritation or infection.
After cleaning the respirator, custodial and maintenance staff
should place the respirator (with the worker's name) in a clean
and sanitary location and store the unit  in a secure place for
future use. Respirators should be visually inspected by the user
before and after each use, during cleaning and at least monthly
when not in use. Inspection records should  be maintained
accordingly  When the respirator's high-efficiency filters are
discarded, they should be disposed of as asbestos waste.
                        The U.S. EPA, in collaboration with NIOSH, has issued a
                        guidance document, "A Guide to Respiratory Protection for
                        the Asbestos Abatement Industry" which recommends levels
                        of respiratory protection for those engaged in large-scale
                        asbestos abatement projects that are beyond routine O&M
                        procedures. Air-supplied self-contained, and "type C" airline
                        respirators are the focus of the EPA/NIOSH document. These
                        respirators allow workers to breathe fresh air supplied  through
                        hoses and face masks, and are generally used only by asbestos
                        abatement workers engaged in large-scale asbestos removal
                        projects. They are usually not considered either practical or
                        necessary for most custodial and maintenance jobs.
3  8

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 APPENDIX F

 Existing EPA  Guidance for Each  Step That a  Building Owner May Take
 to Conrol ACM
Action

Appoint Asbestos Program
Manager and Develop an
Organizational  Policy.

Inspect the facility to determine
if ACM is present. Take bulk
samples of suspect ACM and
assess the material's condition.
Establish an O&M program.
Implement and Conscientiously
Manage the O&M Program;
Assess the Potential for
Exposure to Asbestos and Select
Response Actions.
Select and Implement
Abatement Actions Other Than
O&M When Necessary
Existing EPA Guidance/Regulations*

"Guidance for Controlling Asbestos-Containing Materials in Buildings" ("Purple Book")
EPA publication number: 560/5-85-024
"Guidance for Controlling Asbestos-Containing Materials in Buildings" ("Purple Book"
chapter 2) EPA publication number 560/5-85-024

"Simplified Sampling Scheme for Surfacing Materials" ("Pink Book") EPA publication
number: 560/5-85-030a

"Asbestos-Containing Materials in Schools; Final Rule and Notice" (Asbestos Hazard
Emergency Response Act, or AHERA). Federal Register- October 30, 1987. (sections
763.85 to 763.88)

Model training course materials for accrediting asbestos building inspectors in accordance
with AHERA (inspection/assessment materials).

"Purple Book, Chapter 3

AHERA regulations, sections 763.91 and 763.92

EPA Guidance for Service and Maintenance Personnel.  EPA publication number
560/5-85-018

"Purple Book", Chapter 4

Model training course materials for accrediting asbestos management planners in
accordance with AHERA (assessment materials).

AHERA regulations, section 763.88 and 793.92

"Purple Book", Chapter 6

AHERA regulations, section 763.93 (including  763.85 through 763.92)

AHERA regulation, appendix A Determining Completion of Response  Actions-Methods.

"Abatement of Asbestos-Containing Pipe Insulation" U.S. EPA Asbestos-ii-Buildings
Technical Bulletin 1986-2.

U.S. EPA National Emission Standards for  Hazardous Air Pollutants (NESHAP)
Regulations (40 CFR 61)

Model training course materials for accrediting asbestos management planners in
accordance with AHERA (assessment materials).
*Most of these guidance materials are available through EPA's TSCA Assistance Hotline, at (202) 554-1404.
                                                                                                                                39

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                     APPENDIX G:
Cement Pipes
Cement Wallboard
Cement Siding
Asphalt Floor Tile
Vinyl Floor Tile
Vinyl Sheet Flooring
Flooring Backing
Construction Mastics (floor tile, carpet, ceiling tile, etc.)
Acoustical Plaster
Decorative Plaster
Textured Paints/Coatings
Ceiling Tiles and Lay-in Panels
Spray-Applied Insulation
Blown-in Insulation
Fireproofmg Materials
Taping  Compounds (thermal)
Packing Materials (for wall/floor penetrations)
High Temperature Gaskets
Laboratory Hoods/Table Tops
Laboratory Gloves
Fire Blankets
Fire Curtains
Elevator Equipment Panels
                                                                                  Elevator Brake Shoes
                                                                                  HVAC Duct Insulation
                                                                                  Boiler Insulation
                                                                                  Breeching Insulation
                                                                                  Ductwork Flexible Fabric Connections
                                                                                  Cooling  Towers
                                                                                  Pipe Insulation (corrugated air-cell, block, etc.)
                                                                                  Heating and Electrical Ducts
                                                                                  Electrical Panel Partitions
                                                                                  Electrical Cloth
                                                                                  Electric  Wiring Insulation
                                                                                  Chalkboards
                                                                                  Roofing Shingles
                                                                                  Roofing  Felt
                                                                                  Base Flashing
                                                                                  Thermal Paper Products
                                                                                  Fire Doors
                                                                                  Caulking/Putties
                                                                                  Adhesives
                                                                                  Wallboard
                                                                                  Joint Compounds
                                                                                  Vinyl Wall Coverings
                                                                                  Spackling Compounds
                      NOTE: This list does not include every product/material that may contain asbestos. It is intended as a general guide to show which types of
                            materials may contain asbestos.
                     APPENDIX H:
                      USEPA.  1984. U.S. Environmental Protection Agency Na-
                      tional Emission Standards for Hazardous Air Pollutants. 40
                      CFR61.April5, 1984.

                      USEPA. 1985. U.S. Environmental Protection Agency Meas-
                      uring airborne asbestos following an abatement action.
                      Washington DC: USEPA. EPA 600/4-85-049. ("Silver Book")

                      USEPA.  1985. U.S. Environmental Protection Agency As-
                      bestos in  buildings: Simplified sampling scheme for surfacing
                      materials. Washington DC: USEPA.  EPA 560/5-85-030A.
                      ("Pink Book)

                      USEPA. 1985. U.S. Environmental Protection Agency Guid-
                      ance for controlling asbesdos-containing materials in build-
                      ings. Washington DC EPA 560/5-85-024. ("Purple Book")
                      USEPA.  1985. U.S. Environmental Protection Agency As-
                      bestos in buildings: Guidance for service and maintenance
                      personnel. Washington DC: EPA 560/5-85-018. ("Custodial
                      Pamphlet")

                      USEPA. 1986. U.S. Environmental Protection Agency Abate-
                      ment of asbestos-containing pipe insulation. Washington DC:
                      Technical Bulletin No. 1986-2.

                      USEPA. 1986. U.S. Environmental Protection Agency A
                      guide to respiratory protection for the asbestos abatement
                      industry. Washington DC: EPA 560/OPTS-86-001.
                                                         USEPA. 1987. Asbestos Abatement Projects;  Worker Protec-
                                                         tion, Final Rule. 40 CFR 763. February 1987.

                                                         USEPA. 1987. U.S. Environmental Protection Agency As-
                                                         bestos-Containing Materials in Schools; Final Rule and
                                                         Notice. 40 CFR 763. Federal Register, October 30, 1987.

                                                         USEPA. 1988. EPA Study of Asbestos-Containing Materials
                                                         in Public Buildings: A Report to Congress. February  1988.

                                                         USEPA. 1989. Asbestos Ban andPhaseout Rule. 40 CFR
                                                         763.160 to  763.179. Federal Register My 12,  1989.

                                                         USEPA. 1989. Guidelines for Conducting the HERA TEM
                                                         Clearance Test to Determine Completion of an Asbestos
                                                         Abatement Project. Washington DC: EPA 560/5-89-001.

                                                         USEPA. 1989. Transmission Electron Microscopy Asbestos
                                                         Laboratories: Quality Assurance Guidelines. Washington DC:
                                                         EPA 560/5-90-002.

                                                         U.S. Department of Labor: OSHA Regulations. 29 CFR
                                                         1910.1001 - General Industry Asbestos Standard and 29 CFR
                                                         1926.58 -  Construction Industry Asbestos Standard. June
                                                         1986; Amended, September,  1988.

                                                         U.S. Department of Labor: OSHA Regulations. 29 CFR
                                                         1910.134 -Respiratory Protection Standard. June,  1974.

                                                         Keyes, Dale  L.  and Chesson,  Jean.  1989. A Guide  to
                                                         Monitoring Airborne Asbestos in  Buildings. Environmental
                                                         Sciences, Inc., 105 E. Speedway Blvd., Tucson, Arizona 85705.
40

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