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Implementing Continuing Obligations at Contaminated Properties

You have identified an abandoned or underutilized facility that you want to purchase and redevelop. Through the process of negotiations to purchase the property and through information gathered while establishing your Bona Fide Prospective Purchaser (BFPP) defense to liability under the Comprehensive Environmental Response, Compensation, and Liability Act (CERCLA), you became aware of subsurface contamination located at the facility. You did not cause the contamination, and you did not contribute to the contamination. As a BFPP, what are your future obligations with respect to the contamination identified at the site? In this webinar, we will take a closer look into what the obligations are that must be met to maintain BFPP status.

About the Presenter: Sarah Young

Sarah Young, CHMM is a Senior Manager with August Mack Environmental, Inc. in the Indianapolis, Indiana office. She has sixteen years of experience providing environmental consulting services, including Remediation and Construction, Subsurface Investigation, and Vapor Intrusion. She is a Certified Hazardous Materials Manager (CHMM). Sarah can be reached at 317.916.3154 or via e-mail at syoung@augustmack.com.