Tools for Managing Potential Liabilities Associated with Contaminated Port Land. David Ashton Assistant General Counsel Port of Portland 02/13/07

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Tools for Managing Potential Liabilities Associated with Contaminated Port Land David Ashton Assistant General Counsel Port of Portland 02/13/07 1

Managing Potential Liabilities Some Environmental Issues in Leasing Current Techniques for Contamination Liability Management Continuing Obligations Associated with Liability Management Defenses 2

Managing Contamination Liabilities Port of Portland s Challenges: All of our marine facilities are built on land filled with dredged materials 3 marine terminals operate within the 9-mile 9 Portland Harbor Superfund Site Expansion is constrained by historically contaminated industrial lands surrounding Port As a port district w/o sovereign immunity we are exposed to contamination liability under both federal and state law In Oregon there are no available state-tax tax- funded cleanup programs 3

PHSS RI/FS Study Area Initial Study Area LWG Sampling Extent 4 Do Not Quote or Cite: Preliminary Data and Draft Interpretation, All Content Subject to Change

Human Health Conceptual Site Model 5

Eco Risk Conceptual Site Model 6

Managing Contamination Liabilities Environmental Liability Allocation in Leasing: Insist on As Is + Environmental Baselining Liability Presumptions Other protections: SPAR Plans Explicitly address NRD liability Periodic audits & annual certifications of compliance Compliance with voluntary BMPs 7

Managing Environmental Liabilities As Is + : Prospects required to do their own EDD Prospects required to perform AAI to meet CERCLA, OPA & equivalent state criteria: Port Port makes list of environmental documents & related resources available Port Port retains r & c rights re finalization of AAI Port Port retains right to supplement AAI 8

Managing Environmental Liabilities Insist on Environmental Baselining: Last 10 years, most Port industrial property has undergone environmental audit 3 PHSS marine terminals have undergone RIs or RI/FSs Phase 2 work aggressively undertaken as part of tenant exits Results in pretty good information for baselining 9

Managing Environmental Liabilities Presumed Liable: Environmental conditions in baseline are allocated to appropriate person Any future condition not identified and discussed in environmental audit is presumed tenant s responsibility to resolve unless rebut presumption by demonstrating historical problem Problem of allocating onsite migrating contamination (the Contiguous Property situation discussed later) 10

Managing Environmental Lliabilities UST, AST and Mobiles SPAR Plans: Tenant commits to tank management and operation practices beyond SPCC requirements Explicit coverage of HSR resulting in NRD, tenant will resolve the NRD to satisfaction of NRTs No issue of owner having NRD responsibilities 11

Managing Environmental Liabilities Periodic Audits & Annual certification of environmental compliance Cert. supplements period, special and exit audit of compliance Contractual commitment to implement identified voluntary BMPs Non-permit, negotiated or trade association BMPs 12

Port Green Leases Project arising out of an EPA Regional Leadership Forum Document Port Green leasing strategies Using Port contracts to leverage significant environmental improvement across media Document and share BMPs Kathleen Bailey 1/25/07 Memo Bailey.Kathleen@epamail.epa.gov POP s model environmental language 13

Contaminated Site User Continuing Obligations Due diligence & precautions don t end with AAI for: Innocent purchasers who find contamination Condemnors who have to deal with contamination CERCLA BFPPs (42 USC 9707(r)) and innocent acquirers under state prospective purchaser agreements (e.g., ORS 465.327) Contiguous property owners/operators (passive migration scenario) 14

Contaminated Site User Continuing Obligations Innocent purchasers who find contamination Found no contamination after AAI No disqualifying contractual relationship with PRP Subsequently discovers contamination that predated acquisition Have continuing obligations re the contamination 15

Contaminated Site User Continuing Obligations Condemnors who have to deal with contamination Acquisition through exercise of eminent domain authority by purchase or condemnation Statutorily deemed to have no disqualifying contractual relationship with third party PRP Have continuing obligations re the contamination 16

Contaminated Site User Continuing CERCLA BFPPs Obligations Contamination predates acquisition Non-affiliation AAI Have continuing obligations re the contamination 17

Contaminated Site User Continuing Obligations Contiguous property owners/operators Property is or may be contaminated by hazardous substance release or threatened release from non-owned/operated owned/operated property Did not cause, contribute to or consent to contamination Non-affiliation Conducted AAI at acquisition and did not know of contamination Have continuing obligations re the contamination 18

Contaminated Site User Continuing Obligations Common Elements of Continuing Obligations (CERCLA 2002): Threshold Criteria: non affiliation w/ PRP & do AAI 5 Continuing Obligations: Comply with land use restrictions and institutional controls Take reasonable steps re onsite contamination Cooperate, assist and give access (for cleanup & restoration) Comply with information requests & subpoenas Report reportable releases 19

EPA 2003 Memo Common Elements Summary: Common Element Among The Brownfields Amendments Landowner Provisions All Appropriate Inquiry Bona Fide Prospective Purchaser Contiguous Property Owner Section 101 (35)(A)(i) Innocent Landowner No Affiliation Demonstration Compliance With Land Use Restrictions And Institutional Controls Taking Reasonable Steps Cooperation, Assistance, Access Compliance With Information Requests And Administrative Subpoenas Providing Legally Required Notices 20

Contaminated Site User Continuing Obligations Non-liable Innocent landowners & Condemnors Unlike for BFPPs and Contiguous Owners, non-liability NOT conditioned on compliance with information requests or release reporting 21

Contaminated Site User Continuing Obligations Nontheless,, if worried someone might come after you, all four categories of non-liable parties: Should have some form of Continuing Obligations planning (COP) & implementation And document compliance 22

Contaminated Site User Continuing Obligations Port deals with COP requirements under EMS Procedure requiring a COP for known contamination sites Work instruction on elements of COP Individual COPs Document what s there, how its to be dealt with, & roles & responsibilities emphasize duty to take care & report internally immediately on issues & discoveries PAD your protections plan, act, document Educate and train Add to checking & corrective action EMS functions 23

Continuing Obligations ASTM is working up a standard Working draft Standard Practice for Contaminated Properties (WK 9354) http://backroom.terradex.com backroom.terradex.com/share /ASTM/ Last conferenced February 1 24

Portfields NOAA-led federal interagency effort focusing on redevelopment of brownfields in port and harbor areas emphasizing development of environmentally sound port facilities http://brownfields.noaa.gov/htmls/ portfields/portfields.html Overcoming contamination impediments 25

Portfields Worked with 3 pilots Tampa, New Bedford, Bellingham Southern Louisiana Ports Need for sharing challenges, opoportunities & creative solutions across nation Need AAPA Portfields Initiative 26

Tools David Ashton 503-944 944-7090 David.Ashton@PortofPortland.com 27