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60 BOSTON STREET - BUILDING JACKET (OSRAM SYLVANIA) i l � —..�—��.��_._..J=.�— ��-Q C'�_� e.�� �� .`�—y_ �1- ��. _.ice � � `__�- ...v _ V • �..f/�r y J C. UPC 13 No.153L'L 5., 2� � Gtie�fMU� 0-2 37 REGIONAL INDUSTRIAL RIS SERVICES CORPORATION TEL: (508) 966-3121 V FAX (508) 966-3223 DEM0�0N December 30, 1999 City of Salem Mr. Frank DiPaolo I Salem Green, Salem, MA 01970 Certified Mail #Z545854669 Re: Additional Asbestos Debris at Flynn Tan Site, Salem, MA Dear Frank: Please find below the prices for the additional contaminated debris: I. ` Total Removal $13,600 (100 cubic yards of debris transported and legally disposed to a proper facility). II $3,500 Daily Rate to remove contaminated materials from construction debris with licensed asbestos laborer and use of excavator. Double bagged ACM waste to be billed out at an additionaI,$350. per bag. Please note these prices do not include down-time for my excavators on site as of December 23, 1999. If you have any questions,please feel free to contact me. Thank you. Sincerely, 4 Robert Oppenheim P.O. BOX 459 • 79 HIXON STREET • BELLINGHAM, MA 02019 REGIONAL INDUSTRIAL �� SERVICES CORPORATION TEL: 15081 966-3121 'a ►W FAX. 15081966-3[29 OeMOLlTION December 30, 1999 City of Salem Mr. Frank DiPaolo I Salem Green Salem, MA 01970 Re: Additional Asbestos Debris at Flynn Tan Site, Salenr, MA Dear Frank: Please find below the prices for the additional contaminated debris: 1. Total Removal $13,600 (100 cubic yards of debris transported and legally disposed to a proper facility). 11. $3,500 Daily Rate to remove contaminated materials from construction debris• with licensed asbestos laborer and use of'excavator. Double bagged ACM waste to be billed out at an additional $3.50 per bag. Please note these prices do not include down-time for my excavators on site as of December 23, 1999. If you have any questions, please feel free to contact me. Thank you. Sincerely, Robert Oppenheim P.O. BOX 459 • 79 HIXON STREET • BELLINGHAM, MA 02019 Cutler Associates May 23, 1996 Joanne Scott, Health Agent City of Salem Board of Health Nine North Street Salem, MA 01970-3928 Re: OSRAM SYLFANIA, INC., 60 Boston Street Demo Project0 1 C.A.I. Job No. 95089 Planning Dear Ms. Scott, ArMltecture Construction We are writing to notify you of the impending demolition of buildings at the OSRAM SYLVANL4, INC., 60 Boston Street facility in Salem, Massachusetts. We anticipate that building demolition operations will commence in June 1996. Currently, asbestos abatement operations are underway, and will be completed prior to demolition. Cutler Associates, Inc. is the Construction Manager overseeing the project. As per your letter of May 21, 1996, we are proceeding with rodent control operations as required by your department. We contracted Bain Pest Control Service of Lowell, Massachusetts to provide required rodent control prior to demolition. Bain Pest Control has been performing rodent control procedures,on site since May 2, 1996. Receipts and invoices for this work will be forwarded to your office prior to commencement of building demolition work. Thank you for your assistance. Please notify me if you require any additional information related to the above project. S' cerely. David S. Dutton Project Manager DSD:Imc cc: Leo Tremblay, Salem Building Department HEALTH.LTR Cu:9Associates,Inc. 43 Harvard Street 506757-7500 F 6.13o,15049 FA:N799.2068 Worcester,MA 01615,0049 October 20, 2004 Thomas St. Pierre Building Commissioner City Of Salem Re: 60 Boston Street I would like to inform you that I have notified Wayside Trailers to be removed as of November 30, 2004. Also I would like to thank you and the City for the efforts to help under these circumstances. If you have any questions please let me know. Sincere , oun eheh COMMONWEALTH OF MASSACHUSETTS EXECUTIVE OFFICE OF ENVIRONMENTAL AFFAIRS DEPARTMENT OF ENVIRONMENTAL PROTECTION Metropolitan Boston—Northeast Regional Office JANE SWIFT BOB DURAND Governor � �B (�{(ep Secretary 'J�Itl 3 1 2UUi LAUREN A.LISS JA Commissioner Osram Sylvania Products, Inc. Re: Salem—60 Boston Street 100 Endicott Street 42Z - b6 Danvers. MA 01923 ction Outcome Activity and Use Limitation Attn: Jeanne Schmeichel, Director Interim Deadline RAO SCREENING REVIEW AUL SUMMARY COMPLIANCE REVIEW Dear Ms. Schmeichel: On April 27, 1999, the Department of Environmental Protection (the Department) received a Class A-3 Response Action Outcome (RAO) Statement and Activity and Use Limitation (AUL) for the above-referenced site. On August 5, 1998, the Legislature enacted the `Brownfields Act" which called on the Department to conduct a targeted audit of all sites at which AULs have been implemented in order to ensure that these actions are meeting the requirements of Massachusetts' laws and regulations, including Massachusetts General Law chapter 21E and the Massachusetts -- __Contingency Plan,(MCP). -The Department's audit of this site consisted of an RAO Screening Review and an AUL Summary Compliance Review. The Department notes that a Class A-2 RAO for RTN 3-00427 was previously audited with a Notice of Audit Findings issued February 5, 1996, RESPONSE ACTION OUTCOME (RAO) SCREENING REVIEW A screening review of the RAO was performed using a standard Department checklist. Examples of *the Department's checklists are available on the Internet at http://www.state.ma.us/dgp/bwsc/audits.htm. The Department is not directing you to undertake further response actions at this time. Please note, however, that the review conducted by the Department was not a comprehensive audit, and the Department reserves the right to conduct a comprehensive audit of the RAO at any time in the future. It is possible that a future audit, if one occurs, may identify deficiencies and/or violations of applicable laws and regulations, and may require you to undertake further response actions at the site. This information is available in alternate format by calling our ADA Coordinator at(617)574-6872. 205A Lowell Sl. Wilmington,MA 01887 • Phone(978)661-7600 • Fax(978)661-7615 •.7D#(978)661-7679 Panted on Recycled Paper Salem,RTN 3-00427,3-16766 2 AUL SUMMARY COMPLIANCE REVIEW Chapter 206 of the Acts of 1998 (The Brownfields Act) requires that the Department conduct an audit of all sites with AULs. In carrying out this mandate, the Department has established special procedures for reviewing.AULs recorded on or before October 29, 1999, including the AUL submitted as part of the RAO for your site. Please note that these procedures do not apply to AULs recorded on or after October 30, 1999, and this Summary of AUL Compliance Review should not be relied upon to predict audit results for such AULs. Applying the procedures described above, the Department has identified error in the AUL that requires correction. Specifically: • The AUL does not adequately define the boundaries of the restricted area. While the AUL applies to the entire property, it appears certain restrictions apply to portions of the property. The AUL restricts relocation or excavation of soil "in the designated hot spot area". Though the AUL does identify the hot spot area as being located at boring B-102, which is identified-'on the sketch plan, it is not indicated how great an area is encompassed by the hot spot. The AUL also requires that future building construction on the "eastern portion of the site" include installation of a vapor barrier and a passive sub-slab venting system, though the AUL does not delineate the eastern portion of the site. The boundaries of the "designated hot spot area" and "eastern portion of the site" must be delineated on a survey plan. To correct this error, an Amendment and Ratification of Notice of Activity and Use limitation must be implemented within 180 days of the date of this Notice, using the enclosed form and instructions. When correcting the AUL, the Amendment and Ratification must identify both of the RTNs associated with the AUL. Alternatively, you may submit a new RAO Statement within 180 days of the date of this Notice, documenting the achievement of a Class A-1, A-2, or B-1 RAO at the site (i.e. an RAO that does not rely on an AUL to maintain a level of No Significant Risk). This is an enforceable interim Deadline issued pursuant to M.G.L. c. 21E, 310 - -- CMR 40.0167 and 310 CMR 40.1140.-If you do not meet this deadline you will be subject to- enforcement action by the Department. The Department has prepared forms and detailed instructions for implementing the required AUL corrections. Copies of the forms and instructions are attached, and are available on the Department's AUL Audit Project web page, htto://www.state.ma.us/dep/bwsc/files/audits/autfix.htm. This web page will be updated periodically to address any commonly asked questions that arise as a result of AUL audits. The Department is also offering several training workshops in the next few months. The Department recommends that you (and/or the Licensed Site Professional (LSP)/attomey preparing your AUL corrections) attend one of these workshops if you have questions on how to proceed. The training schedule is also available on the Department's AUL Audit Project web page. To obtain a schedule and/or register for the workshops, contact Thomas Potter, DEP's Statewide Audit Coordinator at(617) 292-5628. Salem,RTN 3-00427,3-16766 3 POST AUDIT COMPLETION STATEMENT REQUIRED When the AUL Error is corrected, you should submit to the Department (attention: BWSC Audit Section) a Post-Audit Completion Statement in accordance with 310 CMR 40.1170, a copy of which is attached. LICENSED SITE PROFESSIONAL A copy of this letter has been sent to Charles A. Lindberg, LSP #6891, the LSP-of-Record for the Disposal site. LIMITATIONS & RESERVATION OF RIGHTS Please note that the screening review conducted by the Department on the RAO was not a comprehensive audit, and the Department reserves the right to conduct a comprehensive audit of the RAO at any time in the future. It is possible that a future comprehensive audit, if one occurs, may identify deficiencies and/or violations of applicable laws and regulations, may require you to undertake further response actions at the site, and may invalidate the AUL. The screening review is not a representation by the Department that the RAO complies with M.G.L. c. 21E, 310 CMR 40.0000, or any other laws, regulations, or requirements. The Department's findings were based upon the accuracy and certainty of the information reviewed during the audit. These.findings do not: (1) preclude future audits of past, current, or future actions at the site; (2) apply to actions or other aspects of the site that were not reviewed in the audit; (3) in any way constitute a release from any liability, obligation, action or penalty under M.G.L. c. 21E, 310 CMR 40.0000, or any other laws, regulations, or requirements. The Department retains authority to take or arrange, or to require any Responsible Party or Potentially Responsible Party to perform any response action authorized by M.G.L. o, 21E, which the Department deems necessary to protect health, safety,public welfare, or the environment. -------- Sincerely, — - --------- -- - Patricia M. Donahue Chief, Audit Section Bureau of Waste Site Cleanup Filename: NIntem6/P:/audits/letters/3-00427 Scnoafv6_12_27_01 Salem,RTN 3-00427,3-16766 4 Attachments: Audit Follow-Up Plan Transmittal Form &Post-Audit Completion Statement(BWSC-111) AUL Amendment and Ratification Form and Instructions cc: Salem Board of Selectmen/Chief Municipal Officer Salem Board of Health Salem Zoning Code Enforcement Official Salem Building Inspector Mr. Charles A. Lindberg,LSP-of-Record(LSP#6891), GZA GeoEnvironmental,Inc., 1 Edgewater Drive,Norwood,MA 02062 Thomas M. Potter,Audit Coordinator,DEP-Boston NERO/Data Entry/RAO/TSAUD r y iai - Il November 21,2016 File No. 18.0171789.00 Proactive by Design Kimberly Driscoll Larry Ramdin, Health Agent Office of the Mayor Public Health Department 93 Washington Street 120 Washington St.,4th Floor Salem, Massachusetts 01970 Salem, Massachusetts 01970 Tom Daniel, Director Thomas St. Pierre, Director Planning and Community Development Inspectional Services Department 120 Washington St., 3" Floor 120 Washington St., 3rd Floor Salem, Massachusetts 01970 Salem, Massachusetts 01970 Re: Public Notification of Amendment of Activity and Use Limitation 60 Boston Street Salem, Massachusetts Release Tracking Number 3-0427 and 3-16766 Ladies and Gentlemen: 372 Merrimac Street On behalf of High Rock Bridge Street,LLC,GZAGeoEnvironmental, Inc.is providingyou T 781 278 4800 a copy of the attached Notice of Activity and Use Limitation (AUL) for the above- referenced site. The copy is being provided in accordance with the Massachusetts Contingency Plan (310 CMR 40.1403(7)(a)). The Notice of AUL was filed with the Southern Essex County Registry of Deeds on November 14, 2016. If you have any questions regarding these documents, please contact Mr. Frank Vetere,the Licensed Site Professional for the site, at 781-278-4807. Very truly yours, GZA GEOENVIRONMENTAL, INC. Frank S.Vetere, P.E., L.S.P. Principal i Attachment:Copy of Amendment to Notice of AUL cc: Thomas McGarrigle, C3, Inc. nnCtl .0I\ a\39.0171789high cook ssm lem hot spoPreyotlbremuon\notimz\arrtLnne9 W mci a l mum pua nouoeuuv26.eoCopyright©2016 GZAGeoEnvironmental,Int. Equal OpPPrtuniN Employer M/F/V/H February 19, 2016 Public Notification of Amendment of Activity and Use Limitation File No. 18.017241.00 Copy of Amendment to Notice of AUL SO.ESSEX#726 Bk:35441 P9:294 1111412016 03:31 PM AMD Pg 1/17 eRecorded FORM 1082B 310 CMR 40.1099 Form 1082B THIRD AMENDMENT TO NOTICE OF ACTIVITY AND USE LIMITATION M.G.L.c.21E. 6 6 and 310 CMR 40.0000 Disposal Site Name:60 Boston Street, Salem DEP Release Tracking Nos: 3-0427 and 3- 16766 WHEREAS,a Notice of Activity and Use Limitation has been recorded with the Southern Essex Registry of Deeds on April 22,1999 in Book 15621 Page 230. Said Notice of Activity and Use Limitation was previously amended by an Amendment to a Notice of Activity and Use Limitation submitted July 24, 2002,recorded with the Southern Essex Registry of Deeds in Book 18972 Page 501;and further amended by all Amendment to a Notice of Activity and Use Limitation recorded April 19,2011, recorded with t11e Southern Essex Registry of Deeds in Book 30356 Page 371 (said Notice of Activity and Use Limitation and any amendments thereto are collectively referred to herein as"Notice"); WHEREAS, said Notice sets forth limitations on use and activities, conditions and obligations affecting a certain parcel of land situated in Salem,Essex County,Massachusetts with the improvements thereon, said land being more particularly bomided and described in Exhibit A attached hereto and made apart hereof("Property"). Said limitations on use and activities are consistent with tine terms maintaining a Permanent Solution and a condition of No Significant Risk(such conditions and terms being defined in 310 CMR 40.0000);and WHEREAS,the undersigned LSP,in accordance with M.G.L.c.21E and the MCP opines that die implementation of the following proposed changes in Site Activities and Uses at tine Property will maintain a Permanent Solution and condition ofNo Significant Risk; 1. Activities and Uses Consistent with Maintaining No Significant Risk is amended to read as follows: (i) Activities and uses consistent with the construction and use of the commercial and multi-family residential buildings evaluated as part of the risk characterization, or similar commercial, retail and industrial structures at the site, providing that the amended AUL Obligations and Conditions are maintained; (ii) Commercial, retail, multi-family residential, and industrial uses of the property in accordance with the amended AUL Obligations and Conditions are permissible;and (iii) Subsurface,Landscaping,and/or construction activities may be conducted within the designated AUL in accordance with tine amended AUL obligations and conditions; 2. Activities and Uses Inconsistent with Maintaining No Significant Risk is amended to read as follows: (i) Activities that may cause and/or result in direct contact with, disturbance of, or relocation of site soils located at depths greater than three feet are prohibited without the prior development and appropriate implementation of a Health and Safety Pian and a Soil Management Plan to prevent exposure(s)via ingestion,dermal contact, and/or Page 1 FORM 1092B 310 CMR 40.1099 inhalation,excluding landscaping activities or routine maintenance of landscaped areas and paved areas; (ii) Relocation of the soil currently located at depths greater than 3 feet below surface grade within the designated AUL area to a shallower depth within the designated AUL area, unless such activity is first evaluated by an LSP who renders an Opinion that attests drat a condition of No Significant Risk is maintained,consistent with the provision of the MCP. (iii) Construction of any building at the Site without the installation of a vapor barrier and a passive sub-slab depressurization system; (v) Use of the Site for single fancily or detached residences; (vi) Installation of a playground outside the building without at least three feet of clean soil cover and an impermeable barrier under the clean soil;and (vii) Use of the Site for growing fruits or vegetables intended for human consumption. (viii)(Deleted) 3. Obligations and Conditions are amended to read as follows: (i) A Soil Management Plan must be developed by a Licensed Site Professional prior to the initiation of any subsurface excavation that may disturb soil located at depths greater than 3 feet below surface grade within the designated AUL area; (ii) A Health and Safety Plan must be prepared and implemented prior to the initiation of any subsurface and/or construction activities such as excavation that may result in the disturbance of soil located at depths greater than 3 feet below surface grade within the designated AUL area. The Health and Safety Plan must be prepared by a Certified Industrial Hygienist or other qualified individual sufficiently trained in worker health and safety protocols. Workers who maybe exposed to soil within the designated AUL area must be unformed of its location and the specific personal protection acid monitoring requirements of the Health and Safety and Soil Management plans necessary to prevent exposures via dermal contact, ingestion, and/or inhalation of particulates. Plans should incorporate air-monitoring specific for chlorinated volatile organic compounds (CVOCs). Both plans must remain available on site throughout the course of the project; (iii) The integrity of any surface cover and surficial soils(from existing ground surface to 3 feet below ground surface) at the site will be maintained to minimize access to subsurface materials. (v) Significant deficiencies in pavement and/or surficial soils resulting in access to soils at depths greater than three feet must be repaired or replaced within 72-hours following the completion of permitted invasive subsurface activities to prevent access and/or exposure to the underlying soil; (viii) Deleted;and (ix) Deleted. Page 2 FORM 1082B 310 CMR 40.1099 4. Exhibit A Deed Descrinticns for AUL Areas is amended as follows: (i) The AUL Hot Spot Area Deed Description is removed. (ii) The AUL area is bounded and described in Exhibit A-I and is shown on Exhibit A-2, attached hereto and made a part hereof. Exhibits A-1 and A-2 replace and supersede any description(s) of the AUL Area contained or referenced in the original AUL or subsequent amendments,thereby removing Lot IA from the description such that only Lot 2A is subject to this Notice as amended,as set fortis in the original recorded Notice. NOW THEREFORE,in accordance with M.G.L.c.21E and the MCP,the undersigned High Rock Bridge Street, LLC, of Newton, Middlesex County, Massachusetts, being the owner of the Property pursuant to a deed recorded with the Southern Essex Registry of Deeds in Book 27857,Page 357;hereby amends said Notice as follows: A. Activities and Uses Consistent with Maintaining No Simuficant Risk. The LSP Opinion provides that a condition of No Significant Risk to health, safety, public welfare or the environment exists for any foreseeable period of time(pursuant to 310 CMR 40.0000)so long as any of the following activities and uses occur on the Property: (i) Activities and uses consistent with the construction and use of the commercial and multi- family residential buildings evaluated as part of the risk characterization, or similar commercial retail,and industrial structures at the site,providing that the amended AUL Obligations and Conditions are maintained; (ii) Commercial, retail, multi-family residential, and industrial uses of the property in accordance with the amended AUL Obligations and Conditions are permissible, (iii) Subsurface, Landscaping, and/or construction activities may be conducted within the designated AUL in accordance with the amended AUL obligations and conditions; (iv) Activities and uses that are not prohibited by this Notice of AUL;and (v) Such other activities or uses,which,in the Opinion of an LSP, shall present no greater risk of harm to health,safety, public welfare or the environment than the activities and uses,set forth in this Paragraph. B. Activities and Uses Inconsistent with Maintaining No Significant Risk. Activities and uses which are inconsistent with the objectives of this Notice of Activity and Use Limitation,and which,if implemented at the Property,may result in a significant risk of harm to health,safety,public welfare or the environment or in a substantial hazard,are as follows: (i) Activities that may cause and/or result in direct contact with, disturbance of, or relocation of site soils located at depths greater than three feet are prohibited without the prior development and appropriate implementation of a Health and Safety Plan and a Soil Management Plan to prevent exposure(s) via ingestion, dermal contact, and/or inhalation,excluding landscaping activities or routine maintenance of landscaped areas and paved areas; Page 3 FORM 1082B 310 CMR 40.1099 Relocation of the soil currently located at depths greater than 3 feet below surface grade within the designated AUL area to a shallower depth within the designated AUL area, unless such activity is first evaluated by an LSP who renders an Opinion that attests that a condition of No Significant Risk is maintained, consistent with the provision of the MCP. Construction of any building at the Site without the installation of a vapor barrier and a sub-slab depressurization system. (iv) Removal of or any activities that damage and/or compromise ttte effectiveness of the building vapor barrier and/or passive sub-slab venting system following construction. (v) Use of the Site for single family or detached residences; (vi) Installation of a playground outside the building without at least three feet of clean soil cover and an impermeable barrier under the clean soil;and (vii) Use of the Site for growing fruits or vegetables intended for human consumption. C. Obligations and Conditions. If applicable,obligations and/or conditions to be undertaken and/or maintained at the Property to maintain a condition of No Significant Risk as set forth in the AUL Opinion shall include the following: (i) A Soil Management Plan must be developed by a Licensed Site Professional prior to the initiation of any subsurface excavation that may disturb soil located at depths greater than 3 feet below surface grade within the designated AUL area; (ii) A Health and Safety Plan must be prepared and implemented prior to the initiation of any subsurface and/or construction activities such as excavation that may result in the disturbance of soil located at depths greater titan 3 feet below surface grade within the designated AUL area. The Health and Safety Plan must be prepared by a Certified Industrial Hygienist or other qualified individual sufficiently trained in worker health and safety protocols. Workers who may be exposed to soil within the designated AUL area must be informed of its location and the specific personal protection and monitoring requirements of the Health and Safety and Soil Management plans necessary to prevent exposures via dermal contact, ingestion, and/or inhalation of particulates. Plans should incorporate air-monitoring specific for chlorinated volatile organic compounds(CVOCs). Both plans must remain available on site throughout the course of the project. (iii) The integrity of any surface cover and surficial soils(from existing ground surface to 3 feet below ground surface) at the site will be maintained to minimize access to subsurface materials (iv) Should excavation in the AUL area be deemed necessary, there shall be no permanent relocation of contaminated soil to sarficial and/or more accessible areas of the property. (v) Significant deficiencies in pavement and/or surftcial soils resulting in access to soils at depths greater than three feet must be repaired or replaced within 72-hours following the completion of permitted invasive subsurface activities to prevent access and/or exposure to the underlying soil; (vi) Any new occupied building construction must include the installation of a vapor barrier and a passive sub-slab venting system to prevent the migration of volatile organic compounds into the building. Page 4 FORM 1082B 310 CMR 40.1099 (vii) Following building construction,the passive sub-slab venting system and the vapor barrier must be properly maintained to prevent vapor intrusion into the building. Any penetrations of the vapor barrier made for building repairs or utility installations must be repaired in such a way that the integrity of the vapor barrier is restored to its original design function. In all other respects,the provisions of said Notice remain unchanged. High Rock Bridge Street,LLC hereby authorizes and consents to the filing and recordation and/or registration of this Third Amendment to Notice of Activity and Use Limitation,said Third Amendment to become effective when executed under seat by the undersigned LSP, and recorded and/or registered with the appropriate Registry (ies) of Deeds and/or Land Registration Office(s). Refer to Exhibit B for a Certificate ofiitemxbcryr QrQQ�j� � WITNESS the execution hereof under seal thisD_ day of(144-,_ 20g. HIGH ROCK BRIDGE STREE LLC By:High Rock DevelopmepyLL anager By:,_981l id C.Swe>s ,Manager COMMONWEALTH OF MASSACHUSETTS 0 W 2ss rr!! Ahs this % dayy of 6d� 2016,before me, the undersigned notary public,personally appeardA a�Gd to me through satisfactory evidence of identification, which was photographic identification with signature issu y a federal or state governmental agency, p oath or affirmation of a credible witness ",. personal knowledge of the undersigned,to be the person whose name is signed on the preceding or attached document(s),and acknowledged to me that he signed it voluntarily for its stated purpose as flee Manager of High Rock Development,LLC, the Manager of High Rock Bridge Street;LLC. (Oficial seal) HOWARD L. LEVIN Notary Public /Notary Public COMMONWEALIHOFMASEACHUSEIIS MV COMMISSIon Explre5 My commission expires: u ') +' September 04. 2020 Page 5 FORI41-46#2K 310 CMR 41111099 The undersigned Licensed Site Professional Itereby certifies that in his Opinion;this Third Amendment to Notice of Activity and Use Limitation 'is consistent with,a .Perinaneut Solutionand Inninta,I"Ing a con dition'ofNo Signiticant Risk. Date: Frank S.Vetere rse�rrl ss. p dLG On this Z4�day of'-!'_,?9K, beforeme,the.undersigned notary public,.personally appeared Frank S.Vetere.proved to me through satisfactory evidence of identification;which was 10 photographic identification with signature issued by a federaborstate governmental agency,.n oath or affirmation afa crc iiblc K ihtcss, ❑ personal knowledge of the,undersigned,to be the person whose name is signed on the preceding or attached document;and acknowledged to me that he signed it.voluntarlly for instated purpose as Licensed Site.Professional fur the disposal site at 60 Bridge Street,Salem,identlred by Release Tracking Numbers 3-0427 and 3.16766. (Official seal) NotaryPobiic My commission expires: p:3 f 315 Upon recording,return to: _ kligh Rock Aridge Street, I,LC, W"' 2750 Grove Street, f 'y ' AU IFEW Tri'A r . Newt6n,MA '02466 f ,,YY `'"rs 9nt �:s- Page 6 EXHIBIT A-LEGAL DESCRIPTION Commencing at a angle point on the Southwest corner marked P.O.B.on the northerly sideline of Boston Street near the intersection of Federal Street as shown on a Plan Titled"Plan of Land at Boston Road and Bridge Street in Salem,MA by Daylor Consulting Group,Inc.filed January 8,1996 in Plan Book 313,Page 54:thence N 56°25'30"W Two hundred eighty three and twenty two hundredths{283.22)feet along the northeast side line of Boston Street to a point;thence N 04'16'01"E Twenty and forty nine hundredths(20.49)feet along the easterly sideline of Bridge Street to a point:thence Northeasterly On a curve to the right with a Radius of thirty five and no hundredths(35.00) feet and a Length of thirty and nineteen hundred that(30.19)feet to a point; thence N 53"41'38" E Three hundred:fifty six and eight hundredths (356.08)feet to a point;thence Northeasterly On a curve to the right with a Radius of two hundred sixty eight and sixty eight hundredths(268.68) feet and a Length of one hundred twenty seven and twenty hundredths(127.20)feet along the southwesterly sideline of Bridge Street to a point:thence N 80"49'09"E One hundred twenty eight and twenty four hundredths(128.24)feet along the southwesterly sideline of Bridge Street to a point;thence 511"42'26"W One hundred thirty nine and no hundredths(139.00)feet by Lot 74 to a point; thence S 17"38'36" E One hundred forty seven and ninety three(147.931 feet by Lot 74 to a point; thence S 71'25'49"W Thirty and seventy six hundredths(30.76)feet by land of Connelly to a paint, thence S 71'21'42"W Seventy and fifty eight hundreds(70.58)feet by land of Cahill to a point;thence N 23"46'45"W Ten and eighty six hundredths(10.86)Feet by land of Sullivan to a point;thence S 70°37'33"W Sixty three and sixty two hundredths(63.62)feet by land of Sullivan to a paint; thence S 59'47'33"W Sixty five and seventy five hundredths(65.75)feet by land of Connelly to a point;thence A-2 5 50'49'09"W Sixty and twenty nine hundredths(60.29)feet by land of Markunas and Schauer to a point;thence 5 34"21'24"W One hundred ten thirteen hundredths(110.13)feet by land of Marchand and Berube to the point of beginning. Said Lot depicted on the above referenced plan having an area of 139,381 more or less square feet or 3.20 acres. 3 a LOCUS 418.19,— ; 80'i909` 290.53 Sede: Ye tOB]N3 .,n.,w. S (". \ "�11�� rLRStYCNI IOid9/> V P(1'1 6B ""�pn�dxC nCLnCLr e � m / ry Nr 2 "A"',SWAN N(AL re L[C /. / AC7MTY AND USE LIMITA71M LNE (TYPICAL) ETJI Y PR CK"N ACTIVITY & USE LIMITA I 1>•Pp° / C� O N 5 139381� S.F. Z 1a i. J1 p > 3.10 x Acnes � a O x, N /'/ °�' 113 Dia 1! PCP/'f/ MAP 15 LOT 365 `y, zE 511'as i ..A LL NAf OSRAM SAVANNA PRODUCTS INC. 5pf 12 A , ro L0i1e3/SR9 Sy4., 57Y6 / C((rJr4 , 101 A9.w H $, .1a .30. a�'(N Z i 571 a"'^ ley J/Jf oe / CF }5W NM 1111for PS NAA }t' xR �Ll LDP Ja bh 'rJ� 51� FIM f9,LOI bi CQ�LN(l1Y NM]S to'6 NT ` o Rp D B 7 d u xA1" 6Br0/SIP N/r rzri A xPP 4 cw"L PtAPr r'L�.f R9 1 f \ 40 NIO J%[O>OJ` AW 25.LOT N/f O N4 AlM 15[Or BI N? JL2LMIN` cGx.WYtY ddP>fiJ3 SV.AJ]JJfJ12 NMX4NF d fLW lJ91P/3PP �AIAP Jnr r s raNsnNc to . . 'C C. NM 11 frJJO ( �, M]3.[OI IM PNM*S '\ N C V Rwc must N/r J01PJ'= 1_ rIWAif EXHIBIT B MA SOC Filing Number: 200782949850 Date: 04/25/2007 4:55 PM r,7 ;--- The Commonwealth of Massachusetts, �. Flinimium fce.�500.00 ' William Francis Galvin Secretary of the Commonwealth 4 One Ashburton Place; Boston,Massachusetts 02108=1512 oJ'r � ' Telephone:(61? 727-9646 I, rq a ) is I I • a a o ............... ......... ........... ............ ...... ........................ Federal Employer Identification Number:203435980(must beg digits) Ii 1. The exact name of the limited liability company is: HIGH ROCK DEVELOPMENT,LLC tz 2a.location.of its principal office: j No.and Street: 396 WASHINGTON STREET SUITE 162 i4 City or Town: WELLESLEY State:MA Zip: 02482. Country.:USA .I l;.2b.Street address of the office In they Commonwealth At which the records will be maintained: •� if No. and Street: 396 WAST TNGTON STREET SUITE 162 i. City or Town: WELLESLEY State;MA Eq, 02482 Country:USA, i I!. 3.The general character of business,and if the limited liability company Is organized to render professional service,the service to be rendered: TO SERVE AS THE MANAGER AND GENERAL PARTNER OF A LIMITED PARTNERSHIP ENGAGED LIN THE ACOUISITION,DEVELOPMENT AND OWNERSHIP OF REAL PROPERTY-AND TO . ENGAGE IN ANY OTHER.LAWFUL BUSINESS PURPOSE OR ACTIVITY AND DO SUCH OTHER ACTS AS ARE PERMITTED TO BE DONE BY A LIMITED LIABILITY COMPANY IN THF COMMONWEALTH OF MASSACHUSETTS., i 1..._......._................_. .. 4.The latest date of dissolution,if specified: S.Name and address of the Resident Agent: f Name: DAVID C.SWEETSER.MANAGER j No. and Street: 396 WASHINGTON STREET SUITE 162 City or Town: WELLESLEY State:MA AD:02482 Country:.USA " -....._.... - -..-...........__._......-- -- -- �:—.—.`-' .— _ -- ............ j I S. The name and businessaddress of each manager: I. l ILII ' Title Individual Name Address(no Po Box) r I. First Middle Last Suffix I Aotlress,City ar Town.$late,Zip Code MANAGER DAVID C'SWEcTSER — 796WASHINGTONSTREET WELLESLEY,MA 02462 USA I ' 7.The name and business address oftheperson in addition to the manager,who is authorized to execute I. documents to be filed with the:Corporations Division,and at least one person shall be named if there are no 1i managers. is Title Individual Name Address(no Po aox) First,Middle,Last,Suffix Address,City or Town,State,Zip Coda Prior to August 27,2001, Records can be obtained on Microfilm 8.The name and business address of the person(s)authorized to execute,acknowledge,deliver and record any recordable instrument purporting to affect an interest in real property: Title Individual Name Address(no PO box) First,Middle,Lest.Suffix Address,City or Town,State,Zip Code REAL PROPERTY DAVID C.SWEETSER 396 WASHINGTON STREET WELLESLEY.MA 02982 USA 9.Any additional matters the authorized persons determine to include therein: SIGNED UNDER THE PENALTIES OF PERJURY,this 25 Day of April,2007, EMMETT E.LYNE (The certificate mmi be signed by the person forming the LLC.) i ®2001-2007 Commonwealth of Massachusetts All Rights Rammed I MA SOC Filing Number: 200782949850 Date: 04/25/2007 4:55 PM THE COMMONWEALTH OF MASSACHUSETTS I hereby certify that,upon examination of this document,duly submitted to me, it appears that the provisions of the General Laws relative to corporations have been complied with, and I hereby approve said articles; and the filing fee having been paid, said articles are deemed to have been filed with me on: April 25, 2007 4:55 PM WILLIAM FRANCIS GALVIN Secretary of the Commonwealth 0-2280.0 FILED CERTIFICATE OF ORGANIZATION OF `nJN j s 21108 HIGH ROCK BRIDGE STREET,LLC SFCAFiARY0F7NAC%W C0MAA1l0N3DMAi4,y Pursuant to the provisions of the Massachusetts Limited Liability Company Act (the"Act"), and for the purpose of forming a Massachusetts limited liability company, the undersigned hereby certifies as follows; I. Name of the Limited Liability Company. The name of the limited liability company formed hereby(the"LLC")is High Rock Bridge Street,LLC. 2. Office of the Limited Liability Company. The address of the office of the LLC in the Commonwealth required to be maintained by §5 of the Act is 70 Walnut Street, Wellesley,MA 02481. 3. Agent for Service of Process. The name and address of the resident agent for service of process for the LLC is David C.Sweetser of 70 Walnut Street,Wellesley,MA 02481. 4. Date of Dissolution. The LLC is to have no specific date,of dissolution. 5. Managers. At the time of formation of the LLC, its manager is High Rock Development,LLC,a Massachusetts limited liability company. & -Business of the LLC. The general character of the business of the LLC is to engage in the acquisition, development, and ownership of real property and to engage in any other lawful business,trade,purpose or activity not prohibited by the Act. 7. Execution of Documents David C. Sweetser, High Rock Development, LLC or Emmett E. Lyne are each authorized to execute on behalf of the LLC any documents to be riled with the Secretary of State of the Commonwealth of Massachusetts and of any other state in which the LLC may register. 8. Execution of Documents Relating to Real Property. David C.Sweetser or High Rack Development, LLC are each authorized to execute,acknowledge, deliver and record any recordable instrument on behalf of the LLC purporting to affect an interest in real property. IN WITNESS WHEREOF,the undersigned hereby affirms under the penalties of perjury that the facts stated herein arc true,this 16th day of June,2008. By; Emmett E.Lyne,duly au orrzed aXlic M%h BW OnebpmavtSekm(eoeu,WariBBe%vmerylµil Ra 06*SW UMft0 t*t0tW&-e4* c Check/Voucher The Commonwealth of Massachusetts Limited Liability Company (General Laws, Chapter-1.56C)...... . : Filed this . /b day Willift Francis Galvin Secretary bf the Commonwealth } .Name Phone EXHIBIT C LSP OPIMON In accordance with the requirements of 310 CMR 40.1081 (1), this Licensed Site Professional (LSP) Opinion has been prepared to support an amendment to a Notice of Activity and Use Limitation (AUL) for the Disposal Site and AUL area as defined in Exhibit A attached hereto. The subject 3.2-acre property is zoned as the North River Canal Corridor Neighborhood Mixed ' Use District and is presently vacant. Site History Historically, site use has consisted of light industrial manufacturing and research and development in the lamp industry. Site buildings for these operations were demolished in 1996. A Licensed Site Professional (LSP) Evaluation Opinion prepared by GZA GeoEnvironmental, Inc. (GZA) on behalf of OSRAM SYLVANIA, Inc. (OSI), [now OSRAM SYLVANIA Products Inc. (OSPI)j, was submitted to the Massachusetts Department of Environmental Protection (MassDEP) on March 21, 1995. The LSP Evaluation Opinion pertained to two underground storage tank(UST) release incidents on the 60 Boston Street property as follows: • An approximate 25- by 45-foot No. 4 fuel oil release site located adjacent to the former on- site J Building; and • An approximate 25- by 60-foot No. 2 fuel oil release site located near the former entrance to the OSPI facility in the eastern portion of the property. The UST closures were performed in 1992 and 1993. Following MassDEP review of the March 1995 LSP Evaluation Opinion submittal, no outstanding issues were identified with respect to the No.2 fuel oil disposal site. GZA conducted a Method 3 Risk Characterization' dated October 1995 for the No. 4 fuel oil disposal site. Additional risk characterization submittals dated May and September 1996 were also completed. GZA's studies indicated that groundwater located at about 4 feet below grade in a portion of the site contained concentrations of certain chlorinated volatile organic compounds (CVOCs), notably vinyl chloride, trichloroethene, and cis-1,2- dichloroethene, which exceeded the respective Category GW-2 Groundwater Standards pursuant to 310 CMR 40.0974(2). Further, it was concluded that soils located at about 2 to 5 feet below grade under a portion of the site contained concentrations of total petroleum hydrocarbons(TPH) which exceed Soil Category S-1, GW-2 Standards pursuant to 310 CMR 40.0975(6). MassDEP issued a Notice of Audit Findings on February 5, 1996 regarding the March 1995 LSP Evaluation opinion. GZA subsequently conducted additional field explorations and completed a supplemental risk characterization. MassDEP then issued an Audit Closure Letter on November 1, 1996 recommending filing of an AUL for the Site. Implementation of the AUL was deferred pending resolution of future development plans for the property. During a due diligence investigation for a proposed sale of the property in 1997, additional constituents were detected in soil and groundwater at the Site. GZA notified MassDEP on behalf of OSPI and a second Release Tracking Number(RTN)was assigned to the Site(RTN 3-16766). 'Method 3 Risk Characterization,No.4 Fuel Oil Disposal Site,Osram Sylvania,Inc.,60 Boston Street,Salem, Massachusetts,RTN-3-0427,dated October 1995. C-1 In April 1999, GZA submitted a Class A-3 Response Action Outcome (RAO) on behalf of OSI. A second Method 3 Risk Assessment was performed to include the additional site data from field activities associated with the second RTN. An AUL was required for the RAO because the risk assessment assumed commercial/retail usage of the site. In January 2002, OSI received the results of a MassDEP audit of the RAO and AUL that requested further delineation and clarification of the AUL boundaries. Although the original AUL applied to the entire site, MassDEP requested more specific delineation of an identified "hot spot" related to petroleum contamination found in soils at a depth of approximately 10 feet. GZA issued an amendment to the AUL in July 2002. The initial AUL amendment identified and restricted activities in a so called "hot spot" on site. Commercial retail and industrial uses of the property were identified as permissible, provided that the soil located within the designated hot spot area (20-foot by 20-foot area around Boring 102 at a depth below 10 feet) remained inaccessible. MassDEP issued a Notice of Audit Findings in October 2004, stating that "... the Department did not identify any violations of the requirements applicable to the AUL at the site." In August 2010, GZA performed a Method 3 Risk Characterization for High Rock Bridge Street, LLC, which proposed redevelopment of the Site for recreation and community services for the City of Salem, Massachusetts, including construction of a senior center and a health club on the west side of the Site. The potential vapor intrusion pathway and potential risks to users of the newly proposed building were evaluated in this risk assessment. Facility workers (i.e., staffs of the senior center or health club) working inside the proposed buildings and child users (ages 2 to 18 years old) were identified as the most sensitive populations that may be exposed to the potentially impacted indoor air at the Site based on the current and reasonably foreseeable activities and uses. The other potential exposure pathways at the Site were addressed in the previous Method 3 risk characterization, and the risk conclusions were considered to remain valid for the Site. This additional Risk Assessment provided the technical support for an LSP Opinion clarifying the permitted usages at the Site, as stated in an amended AUL in April 2011. In December 2013, GZA observed the excavation, stockpiling, and removal of impacted soil from the previously identified Hot Spot as located by a professional survey company. Approximately 26 cubic yards of soil were transported to Turnkey Landfill in Rochester, New Hampshire for Disposal under a MassDEP Bill of Lading. Confirmation sampling at the limits of the excavation indicated that the residual concentrations of the constituents of concern were consistent with levels reported at areas outside the previously designated Hot Spot. Based on the excavation and removal of the soils at the Hot Spot, and confirmatory sampling results, GZA recommended removal of the Hot Spot designation within the AUL, and associated restrictions, from the AUL. It is GZA's opinion that the concentration of compounds found in soil samples collected below the groundwater level at Boring 102 are likely more representative of previously delineated groundwater impacts. Reason for Activity and Use Limitation The Massachusetts Contingency Plan indicates that a level of No Significant Risk to safety exists or has been achieved if the conditions at the site, which are related to a release of oil, or hazardous materials, do not currently, and will not in the foreseeable future, pose a threat of physical or bodily injury to people. Current and reasonable foreseeable future conditions at the site and in the surrounding environment were compared to applicable or suitable analogous C-2 safety standards, and no release-related conditions were identified that may pose a threat of physical harm or bodily injury to people. Therefore, based on this comparison, a level of No Significant Risk to safety exists or has been achieved for commercial, retail, multi-family residential and industrial usage of the Site. A Method 3 risk characterization was completed in accordance with the MCP to assess potential risks to human health posed by residual contamination at the Site to support the 1999 AUL and RAO. This risk characterization concluded that Site conditions do not pose a significant risk to human health under current Site usage. GZA's original Method 3 risk assessment also indicated that, for the future use scenarios we considered, Site conditions generally did not pose a significant risk to human health. The potential exception to this conclusion was the risk associated with inhalation of volatile organic compounds (VOCs) emanating from the site groundwater during hypothetical future excavations within a limited portion of the Site. The Method 3 Risk Assessment evaluating exposures to indoor air has been revised to account for changed conditions due to the new building usage, size, and design. An Updated Method 3 Risk Assessment was conducted to support this third Amendment to the AUL and is attached as Appendix A. In the current Updated Risk Assessment, future residential receptors were identified as one receptor group and construction workers were identified as a potential receptor group. Risk estimates were not calculated for other potential receptors that would be expected to have less exposure than the receptors evaluated, such as Site visitors/customers, landscapers, and emergency/utility workers. If a condition of No Significant Risk is shown to exist for these selected receptor groups, a condition of No Significant Risk will also exist for these other potential receptor groups. Based on the Method 3 Risk Characterization Update, residual oil and/or hazardous material (OHMS) are not expected to pose significant risks to potential human receptors with the AUL in effect to mitigate the potential vapor intrusion pathway. Meanwhile, residual OHMS in the remainder of the Site would pose significant risks to future residents if soil would become accessible. The current AUL requires maintenance of pavement and/or building structures at the Site. Provided the provisions of the AUL are maintained, including mitigation of potential vapor intrusion, residual OHMS in the remainder of the Site would not pose significant risks to future residents. The provisions of the current AUL require the installation of a vapor barrier and sub-slab depressurization system, and address indicated potential risks from certain excavation activities. A revised AUL is required to prevent activities that could pose a future risk with respect to the proposed property use. Permitted activities and uses, activities and uses inconsistent with the AUL and relevant obligations and conditions are detailed in the AUL Amendment to which this LSP Opinion is attached. C-3 GZA Engineers and GcoEnvironmental, Inc. sue»fists July 24, 2002 File No. 23157 C Zoning Official City of Salem 120 Washington Street Salem,Massachusetts 01970 One Edgewater Drive Norwood Massachusetts Re: Amendment and Ratification 02062 781-278-3700 Activity and Use Limitation FAX 781-278-5701 OSRAM SYLVANIA Products,Inc. (OSPI) iretp:/Iwww.gzs.net 60 Boston Street Facility Salem, Massachusetts RTN: 3-00427, 3-0016766 Dear Madam or Sir: On behalf of OSPI,GZA GeoEnvironmental,Inc. is providing the attached Amendment and Ratification documents for the 60 Boston Street property in Salem, Massachusetts. The documents were recorded in the Essex County Registry of Deeds on July 24, 2002. This submittal is provided in accordance with 310 CMR 40.1403. Should you have any questions,please call Jeff Rowell at(603)623-3600. Sincerely, cam- Charles A. Lindberg,LSP GZA GeoEnvironmental,Inc. Cc: Jeffrey D. Rowell,P.E. -Project Manager,GZA GeoEnvironmental,Inc. \y An F.gnal Opp ...,i,Employer M/F/V/H 4- rr PLAN 12002072400112 Bk:i8972 Pg:501 1 @?!24120@2 09:A3:�,OTNER P9 titA \('\. AhJ ENDMENT AND RATIFICATION OF NOTICE OF ACTIVITY AND USE LIMITATION O (for amending and ratifying a Notice of Activity and Use Limitation recorded on or before October 29, 1999) WITNESSETH: i This Amendment and Ratification of Notice of Activity and Use Limitation ("Amendment and Ratification') is made as of this_day of _,20_,by OSRAM SYLVANIA PRODUCTS,INC., 100 Endicott Street,Danvers,Massachusetts(collectively "Owner"). a; rn WITNESSETH: G O o WHEREAS, Owner is the owner in fee simple of a certain parcel of land located in Salem,Essex County, W Massachusetts ('Property"), pursuant to a deed recorded with the Essex County Registry of Deeds in Book 313, Page 54; WHEREAS,the Property comprises a disposal site,or part of a disposal site,as the result of a release of oil and/or hazardous material ("the Disposal Site"). Response actions have been selected for the Disposal Site in accordance with M.G.L. c.21E ("Chapter 21E") and the Massachusetts Contingency Plan, 310 CMR 40.0000("the MCP"). Said response actions are based upon (a) the restriction of human access to and contact with oil and/or hazardous material in soil andfor groundwater, and/or (b) the restriction of certain. activities occurring in, on, through,over or under the Property or a portion thereof. The Department of Environmental Protection has identified the Disposal Site as Release Tracking Numbers 3-00427 and 3-16766; WHEREAS,on April 22, 1999, OSRAM SYLVANIA PRODUCTS, INC., 100 Endicott Street, Danvers, a Massachusetts filed a Notice of Activity and Use Limitation with the Essex County Registry of Deeds in Book 15621, Page 237 imposing an activity and use limitation on the Property ("the Original AUL"), The Property oaffected by the Original AUL and this Amendment and Ratification is hereinafter referred to as "the AUL Area." The AUL describes activities and uses that are permitted within the AUL Area, and defines obligations and conditions that must be maintained within the AUL Area. The AUL also describes uses and activities which, if carried out within the AUL Area,could result in Significant Risk to health,safety,public welfare or the environment due to potential exposure to residual contamination. WHEREAS,the following amendments to the Original AUL are necessary to ensure that a condition of No Significant Risk is maintained at the Disposal Site. NOW,THEREFORE,Owner hereby amends the Original AUL as follows: AUI. Area The AUL Area is bounded and described in Exhibit A, attached hereto and made a part hereof. Exhibit A replaces and supersedes any description(s) of the AUL Area contained or referenced in the Original AUL. The AUL Area is shown on a survey plan recorded in the Essex County Registry of Deeds in Plan Book_, Plan_ Said plan replaces and supercedes any plan(s) of the AUL Area contained or referenced in the Original AUL. AUL Opinion The basis of the Original AUL,as amended herein,is an Activity and Use Limitation Opinion("AUL - Opinion"),prepared by a Licensed Site Professional and attached hereto as Exhibit B. Said AUL Opinion replaces and supercedes any AUL Opinion contained or referenced in the Original AUL, Site Activities and Uses The following descriptions of Permitted Activities and Uses,Activities and Uses Inconsistent with the AUL Opinion,and Obligations and Conditions replace and supersede those contained in the Original AUL. 1 1. Permitted Activities and Uses. A condition of No Significant Risk to health,safety,public welfare or the environment exists for any foreseeable period of time so long as any of the following activities and uses occur within the AUL Area: (i) Activities and uses consistent with the construction and use of an industrial,retail or commercial building similar to the 13,600 square foot,single-story retail building evaluated as part of the risk characterization or with the use of other commercial retail/industrial structures at the site which would be provided with vapor barriers and passive sub-slab venting systems,or which have been specifically evaluated by a Licensed Site Professional (LSP); (ii) Commercial retail and industrial uses of the property are permissible,provider}that the soil located within the designated hot spot area(20-foot by 20-foot area around Boring 102 at a depth below 10 feet)remains inaccessible_ Landscaping and routine maintenance of landscaped areas within the designated AUL area which does riot cause and/or result in direct contact with,disturbance of,and/or relocation of,the soil in the hot spot area are also permitted activities; (iii) Construction activities which involve excavation below the water table (which typically ranges from to 7 feet below ground surface) may be conducted within the designated AUL area after preparation and implementation of a Heahh and Safety Plan and a Soil Management Plan. The Health and Safety Plan should consider direct contact exposures and inhalation of chlorinated VOC vapors and particulates. The Soil Management Plan should specify excavation procedures,staging areas, and off-site disposal locations; (iv) Activities and uses which are not prohibited by this Notice of AUL;and (v) Such other activities and uses which, in the opinion of an LSP,shall present no greater risk of harm to health, safety,public welfare,or the environment than the activities and uses set forth in this paragraph. 2. ,Activities and Uses Inconsistent with the AUL Opinion_ The following activities and uses, if implemented within the AUL Area, may result in a Significant Risk of harm to health, safety, public welfare or the environment: (i) Construction activities which involve excavation below the water table are prohibited without the prior development and appropriate implementation of a Health and Safety Plan and a Soil Management Plan to prevent exposure(s) via ingestion,dermal contact, andlor inhalation. (ii) Relocation of the soil currently located within the designated hot spot area is prohibited unless such activity is first evaluated by an LSP who renders an Opinion which attests that a condition of No Significant Risk is maintained,consistent with the provision of the MCP. (iii) Construction of any building at the Site which differs significantly from the specific structure evaluated during the risk characterization without the installation of a vapor barrier and a passive sub-slab venting system or a specific evaluation by an LSP that concludes that the proposed structure would not pose a significant risk of harm to future occupants. (iv) Removal of,or any activities which damage and/or compromise the effectiveness of, any required vapor barriers and/or passive sub-slab venting system following construction. (v) Use of the Site as a residence,school,day care facility,nursery,playground,recreational area or similar use where a child is likely to be present on a regular basis. (vi) Use of the Site for agricultural purposes. I 3. Obligations and Conditions. The following obligations and/or conditions must be maintained within the AUL Area in order to maintain a condition of No Significant Risk: (1) A Soil Management Plan must be developed by a Licensed Site Professional prior to the initiation of any construction activities involving excavation below the water table within the designated AUL area; (11) A Health and Safety Plan must be prepared and implemented prior to the initiation of any construction activities involving excavation below the water table at the site. The Health and Safety Plan must be prepared by a Certified Industrial Hygienist or other qualified individual sufficiently trained in worker health and safety protocols. Workers who may come in contact with soil within the designated AUL area must be informed of its location and the specific personal protection and monitoring requirements of the Health and Safety and Soil Management plans. (11I) Should excavation in the designated hot spot area(20-foot by 20-foot area around 5-102 at a depth below 10 feet)be deemed necessary,there shall be no permanent relocation of contaminated soil to surficial and/or more accessible areas of the property. (IV) Any future building construction which differs significantly from the specific structure evaluated during the risk characterization must include the installation of a vapor barrier and a passive sub-slab venting system to prevent themigration of volatile organic compounds into the building unless a specific evaluation of the proposed structure completed by an LSP indicates that a vapor barrier is not required. (V) Following building construction,any required passive sub-slab venting systems and/or vapor barriers must be properly maintained to effectively prevent vapor intrusion into the building. Except as expressly amended herein,the Original AUL is hereby ratified and confirmed. Owner authorizes and consents to the recordation and/or registration of this Amendment,which shall be deemed to be effective as of the date the Original AUL was recorded and/or registered. WITNESS the execution hereofunder seal this__22_ day of jut , 20�. 9RIMSylvania Products Inc. COMMONWEALTH OF MASSACHUSETTS G'sscx ss JILL 22 ,20_!�Z Then personally appeared the above-named � tr3 and acknowledged the foregoing instrument to be his free act and deed before me, Notary Public: My Commission Expires: DEBRAJ,BURKE Notary Public Commonwealth of Massachess4s My Commission Expires March 13,2009 This undersigned Waste Site Cleanup Professional certifies that, in his opinion, the terms of the Original AUL, as amended herein, are consistent with the AUL Opinion attached hereto as Exhibit B, and are appropriate to maintain a condition of No Significant Risk at i osal Site. ; 'Y�t0` t Date: "Y • 1i. fl.INDBFt3G 3C# Charles A.Lindberg [LSP SEAL] No. Z8341111/ COM OF MASSACHUSETTS 201 2 Then personally appeared the above-named CJAAL6 - t 3 "find acknowledged the foregoing instrument to be his free act and deed before me, j — �g � ' -- otaryl Public: VY� My Commission Upon recording,return to: Scott Schlissel,Esq OSRAM Sylvania Products Inc. 100 Endicott Street Danvers,Massachusetts 01923 EXHIBIT A DEED DESCRIPTIONS FOR AUL AREAS Deed Description Commencing at a angle point on the Southwest corner marked P -O.B . on the northerly side line of Boston Street near the intersection of Federal Street as shown on a Plan Titled "Plan of Land at Boston Road and Bridge Street in Salem, KA by Daylor Consulting Group, Inc . filed January 8, 1996 in Plan Book 313 , Page 54 : thence N 560-251 -301, W Two hundred eighty three and twenty two hundredths (283 -22) feet along the northeast side line of Boston Streetto a point ; thence N 040-161 -011, E Twenty and forty nine hundredths (20 . 49) feet along the easterly sideline of Bridge Sreet to a point; thence Northeasterly On a curve to the right with a Radius of thirty five and no hundredths (35 . 00) feet and a Length of thirty and nineteen hundred that (30 . 19) feet to a point; thence N 530-411 -3811 E Three hundred fifty six and eight hundredths (356 - 08) feet to a point ; thence Northeasterly On a curve to the right with a Radius of two hundred sixty eight and sixty eight hundredths (268 . 68) feet and a Length of one hundred twenty seven and twenty hundredths (127 . 20) feet along the southwesterly sideline of Bridge Street to a point; thence N 800-1191 -091, F one hundred twenty eight and twenty four hundredths (128 . 24) feet along the southwesterly sideline of Bridge Street to a point; thence S 110-421 -261, W One hundred thirty nine and no hundredths (139 . 00) feet by Lot 1A to a point; thence S 170-381 -361- E One hundred forty seven and ninety three (147 . 93) feet by Lot 1A to a point ; thence S 710-251 -491, W Thirty and seventy six hundredths (30 . 76) feet by land of Connelly to a point ; thence S 710-21 ' -42" W Seventy and fifty eight hundredths (70 .58) feet by land of Apostoloff to a point ; thence N 230-46 ' -45" W Ten and eighty six hundredths (10 . 86) feet by land of Sullivan to a point; thence S 700-37 ' -33" W Sixty three and sixty two hundredths (63 . 62) feet by land of Sullivan to a point; thence S 590-47 ' -33 " W Sixty five and seventy five hundredths (65. 75) feet by land of Connelly to a point ; thence S 50°-49 ' -09" W Sixty and twenty nine hundredths (60 . 29) feet by land of Markunas to a point ; thence S 340-21 ' -24" W one hundred ten and thirteen hundredths (110 .13) feet by land of Marchand and Berube to the point of beginning. Said Lot depicted on the above referenced plan having an area of 139 , 381 more or less square feet or 3 . 20 acres . r DEED DESCRIPTION AUL HOT SPOT AREA 60 Boston Street A certain area of land situated in Salem, Essex County, Massachusetts noted as an AUL Hot Spot and shown on a plan entitled "Activity and Use Limitation Plan". Prepared by Daylor Consulting Group, Inc. Dated April 10, 2002, Scale 1"= 40', said AUL Hot Spot area is more particularly described as follows: Beginning at a point 23.62' off and perpendicular to the southerly sideline of Bridge Street; Thence, N 53°41'38" E a distance of 20.00 feet to a point; Thence,N 36'18'22" W a distance of 20.00 feet to a point; Thence, S 53°41'38" W a distance of 20.00 feet to a point; Thence, S 36118'22" E a distance of 20.00 feet to a point; To the point of beginning. Said parcel contains 400 +/- square feet or 0.01 +/- acres of land, more or less. 4/10/02 T:\A,cadidd2\projects\2100\2123 #60 Boston Street\2123dese.doe i EXHIBIT B ACTIVITY AND USE LIMITATION OPINION In accordance with the requirements of 310 CMR 40.1074, this Activity and Use Limitation (AUL) Opinion has been prepared to support a Notice of Activity and Use Limitation for the Disposal Site and AUL area as defined in Exhibits A and B attached hereto. The subject 3.1 acre property is zoned for commercial use and is presently vacant. Site History Ilistorically, site use has consisted of light industrial manufacturing and Research and Development in the lamp industry. Site buildings for these operations were demolished in 1996.. A Licensed Site Professional (LSP) Evaluation Opinion prepared by GZA GeoEnvironmental, Inc. (GZA) on behalf of OSRAM SYLVANIA, Inc. (OSI), [now OSRAM SYLVANIA Products Inc. (OSPI)], was submitted to the Department of Environmental Protection (DEP) on March 21, 1995.. The LSP Evaluation Opinion pertained to two underground storage tank (UST) release incidents on the 60 Boston Street property as follows: • An approximate 25- by 45-foot No. 4 fuel oil disposal site located adjacent to the former on-site J Building; and • An approximate 25- by 60-foot No. 2 fuel oil disposal site located near the former entrance to the OSPI facility in the east portion of the site. The UST closures were performed in 1992 and 1993. Following DEP review of the March 1995 LSP Evaluation Opinion submittal, no outstanding issues were identified with respect to the No. 2 fuel oil disposal site: GZA conducted a Method 3 Risk Characterization' dated October 1995 for the No. 4 fuel oil disposal site. Additional risk characterization submittals dated May and September 1996 were also completed. GZA's studies indicated that groundwater located at about 4 feet below grade in a portion of the site contained concentrations of certain chlorinated aliphatic volatile organic compounds (CVOCs), notably vinyl chloride, trichloroethene, and cis-l,2-dichloroethene, which exceeded their respective Category GW-2 Groundwater Standards pursuant to 310 CMR 40.0974(2). Further, it was concluded that soils located at about 2 to 5 feet below grade under a portion of the site contained concentrations of total petroleum hydrocarbons (TPI which exceed Soil Category S-1, GW-2 Standards pursuant to 310 CMR 40.0975(6). DEP issued a Notice of Audit Findings on February 5, 1996 regarding the March 1995 LSP Evaluation opinion. GZA subsequently conducted additional field explorations and completed a supplemental risk characterization. DEP then issued an Audit Closure Letter on November 1, 1996 recommending filing of an AUL for the'Site. Implementation of the AUL was deferred pending resolution of future development plans for the property. Method 3 Risk Characterization, No. 4 Fuel Oil Disposal Site, Osram Sylvania, Inc., 66 Boston Street, Salem,Massachusetts,RTN-3-0427,dated October 1995. I During a due diligence investigation for a proposed sale of the property in 1997, additional constituents were detected in soil and groundwater at the Site. GZA notified DEP on behalf of OSPI and a second Release Tracking Number (WIN) was assigned to the Site (RTN 3-16766). Reason for Activity and Use Limitation The Massachusetts Contingency Plan indicates that a level of No Significant Risk to safety exists or has been achieved if the conditions at the site, which are related to a release of oil, or hazardous materials, do not currently, and will not in the foreseeable future, pose a threat of physical or bodily injury to people. Current and reasonable foreseeable future conditions at the site and in the surrounding environment were compared to applicable or suitable analogous safety standards and no release-related conditions were identified which may pose a threat of, physical harm or bodily injury to people. Therefore, based on this comparison, a level of No Significant Risk to safety exists or has been achieved. A Method 3 risk characterization was completed in accordance with the MCP to assess potential risks to human health posed by residual contain nation at the Site. This risk characterization concluded that. Site conditions do not pose a significant risk to human health under current Site usage. Our Method 3 risk assessment also indicated that, for the future use scenarios we,considered, Site conditions generally did not pose a significant risk to human health. Inasmuch as the Method 3 risk characterization assumed limited future site usage (commercial/industrial) and controls on future excavation work, an AIL is required to prevent activities which could pose a future risk. Permitted Activities and Uses (i) Activities and uses consistent with the construction and use of an industrial, retail or commercial building similar to the 13,600 square foot, single-story retail building evaluated as part of the risk characterization or with the use of other commercial retail/industrial structures at the site which would be provided with vapor barriers and passive sub-slab venting systems, or which have been specifically evaluated by a Licensed Site Professional (LSF). (ii) Commercial retail and industrial uses of the property are permissible, provided that the soil located within the designated hot spot area (20-foot by 20-foot area around Boring 102 at a depth below 10 feet) remains inaccessible. Landscaping and routine maintenance of landscaped areas within the designated AUL area which does not cause and/or result in direct contact with, disturbance of, and/or relocation of, the soil in the hot spot area are also permitted activities; (iii) Construction activities which involve excavation below the water table (which typically ranges from 2 to 7 feet below ground surface) may be conducted within the designated AUL area after preparation and implementation of a Health and Safety Plan and a Soil Management Plan. The Health and Safety Plan should consider direct contact exposures and inhalation of chlorinated VOC vapors and particulates. The Soil Management Plan should specify excavation procedures, staging areas, and off-site disposal locations; (iv) Activities and uses which are not prohibited by this Notice of AUL.; and (v) Such other activities and uses which, in the opinion of an LSP, shall present no greater risk of harm to health, safety, public welfare, or the environment than the activities and uses set forth in this paragraph. Activities and Uses inconsistent with the ALTL Opinion (i) Construction activities which involve excavation below the water table are prohibited without the prior development and appropriate implementation of a Health and Safety Plan and a Soil Management Plan to prevent exposure(s) via ingestion, dermal contact, and/or inhalation. (ii) Relocation of the soil currently located within the designated hot spot area is prohibited unless such activity is first evaluated by an LSP who renders an Opinion which attests that a condition of No Significant Risk is maintained, consistent with the provision of the MCP. (iii) Construction of any building at the Site which differs significantly from the specific structure evaluated during the risk characterization without the installation of a vapor barrier and a passive sub-slab venting system or a specific evaluation by an LSP that concludes that the proposed structure would not pose a significant risk of harm to future occupants. (iv) Removal of, or any activities which damage and/or compromise the effectiveness of, any required vapor barriers and/or passive sub-slab venting system following construction. (v) Use of the Site as a residence, school, day care facility, nursery, playground, recreational area or similar use where a child is likely to be present on a rea;ular basis. (vi) Use of the Site for agricultural purposes. Obligations and Conditions Set Forth in the AUL Opinion Obligations and/or Conditions to be undertaken and/or maintained at the Disposal Site in order that a condition of No Significant Risk may be maintained shall include the following: (I) A Soil Management Plan must be developed by a Licensed Site Professional prior to the initiation of any construction activities involving excavation below the water table within the designated AUL area; (II) A Health and Safety Plan must be prepared and implemented prior to the initiation of any construction activities involving excavation below the water table at the site. The Health and Safety Plan must be prepared by a Certified Industrial Hygienist or other qualified individual sufficiently trained in worker health and safety protocols. Workers who may come in contact with soil within the designated AUL area must be informed of its location and the specific personal protection and monitoring requirements of the Health and Safety and Soil Management plans- (M) Should excavation in the designated hot spot area (20-foot by 20-foot area around 13- 102 at a depth below 10 feet) be deemed necessary, there shall be no permanent relocation of contaminated soil to surficial and/or more accessible areas of` the property. (IV)Any future building construction which differs significantly from the specific structure evaluated during the risk characterization must include the installation of a vapor barrier and a passive sub-slab venting system to prevent the migration of volatile organic compounds into the building unless a specific evaluation of the proposed structure completed by an LSP indicates that a vapor barrier is not required. (V) Following building construction, any required passive sub-slab venting systems and/or vapor barriers must be properly maintained to effectively prevent vapor intrusion into the building. LSP Siemture Bate Seal {-il uh� ',.?671cxhibitiz-A,k Massachusetts Department of Environmental Protection BWSC-114S Bureau of Waste Site Cleanup El Release Tracking Number ACTIVITY& USE LIMITATION (AUL) OPINION FORM 00427 F1111 16766 COMPLETE THIS FORM AND ATTACH AS AN EXHIBIT TO THE AUL DOCUMENT TO BE RECORDED AND/OR REGISTERED WITH THE REGISTRY OF DEEDS AND/OR LAND REGISTRATION OFFICE A. LOCATION OF DISPOSAL SITE AND PROPERTY SUBJECT TO AUL: DisposalSite Name: OSRAM SYLVANIA Products, Inc. Street: 60 Boston Street t_ocation Aid: City/Town: Salem ZIP Code: 01970 Address of property subject to AUL, if different than above. Street. City/Town: ZIP Code'. [,n THIS FORM IS BEING USED TO: vide the LSP Opinion for an Amendment and Ratification of a Notice of Activity and Use Limitation,pursuant to instructions provided by DEP Notice of Audit Findings issued to: Name of Organization or person: OSRAM SYLVANIA Products, Inc. Date issued: January 31, 2002 C. LSP OPINION: I attest under the pains and penalties of perjury that I have personally examined and am familiar with this submittal, including any and all documents accompanying this submittal. In my professional opinion and judgment based upon application of(i) the standard of care in 309 CMR 4.02(1),(ii)the applicable provisions of 309 CMR 4.02(2)and(3).and(iii)the provisions of 309 CMR 4.03(5),to the best of my knowledge, information and belief. The Amendment and Ratification of the Activity and Use Limitation that is the subject of this submittal is being provided in accordance with instructions provided by the Department of Environmental Protection in a Notice of Audit Findings issued to Name of Organization or person: OSRAM SYLVANIA Products, Inc. Date issued. January 31 , 2002 1 am aware that significant penalties may result.Including,but not limited to.possible fines and imprisonment, if I submit information which I know to be false,inaccurate or materially incomplete. Check here it the Response Actiou(s)on which this opinion is based If any,am(were)subject to any order(s),permits)and/or approvals) issued by DEP or EPA. if the box is checked,you MUST attach a statement identifying the applicable provisions thereof. LSP Name: Charles A. Lindberg LSP#: 6891 Stamp. Telephone (781) 278-3830 Ext: FAX (781) 278-5701 LSP Signature: l� �k Date: I YOU MUST COMPLETE ALL RELEVANT SECTIONS OF THIS FORM OR DEP MAY FIND THE DOCUMENT TO BE INCOMPLETE. Revised 4/2/2001 Page 1 of 1 COMMON 301IIAlHIIE111.ESSIXREGI F ST,„SALEMMASS ESSIXSS 2D OZRD,SOOK S� ATfES REGISTER - \-j ti M Massachusetts Department of Environmental Protection BWSC-111 Bureau of Waste Site Cleanup VJRelAUDIT FOLLOW-UP PLAN TRANSMITTAL FORM ease Tracking Number 8r POST-AUDIT COMPLETION STATEMENT - 16766 Pursuant to 310 CMR 40.1160-40.1170(Subpart K) P31 A. SITE LOCATION: Site Name:(optional) OS RAM Sylvania Products, Inc. Street: 60 Boston Street Location Aid: City/Town: Salem _ ZIPCode: 01970 Tier Classification Status:(check one) ® Not Tier Classified E] Tier 2 O Tier t Permit Transmittal Number: Related Release Tracking Numbers(hat this Form Addresses: 3-16766, 3-00427 B. THIS FORM IS BEING USED TO: (check one) 0 Submit an Audit Follow-Up Plan(complete Sections A,B,C.D,E and F). O Submit a Modified or Revised Audit Follow-Up Plan(complete Sections A,6,C,D,E and F). ❑S Submit a Post-Audit Completion Statement(complete Sections A,B,C,D, E.and F). You must attach all supporting documentation for the use of form indicated,including copies of any Legal Notices and Notices to Public Officials required by 310 CMR 40.1400. C. LSP OPINION CERTIFICATION: I attest under the pains and penalties of perjury that i have personally examin ed and am famikar with the infonnafion contained in this transmittal form, including any and all documents accompanying this submittal. In my professiona I opinion and judgment based upon application of(i)the standard of care in 309 CMR 4.02(1),(ii)the applicable provisions of 309 CMR 4.02(2)and(3),and (m)the provisions of 309 CMR 4.03(5),to the best of my knowledge, information and belief. > if Section 8 of this form indicates that an Audit Follow-up Plan,or a Modified or Revised Audit Follow-up Plan is being Submitted,the response action(s) that is(are)the subject of this submittal(i)has(have)been developed in ac comance with the applicable provisions of M.G.L.c.21 E and 310 CMR 40.0000, (ii)is(are)appropriate and reasonable to accomplish the purposes of such res ponse action(s)as set forth in the applicable provisions of M.G,L c.21E and 310 CMR 40,0000 and(ti)complies(y)with the identified provisions of all ord firs,permits,and approvals identified in this submittal; > it Section B of this form indicates that an Post-Audit Completion Statementis being submitted,the response action(s)that is(are)the subject of this submittal(i)has(have)been developed and implemented in accordance with theapplicable provisions of M.G.L.a 21E and 310 CMR 40.0000.(ii)is(are) appropriate and reasonable to accomplish the purposes of such response action(s)as set forth in the applicable provisions of M.G.L.c.21E and 310 CMR 40.0000 and(iii)complies(y)with the identified previsions of all orders,per mils,and approvals identified in this submittal. I am aware that significant penalties may result,including,but not limited to,possible fines and imprisonment.if I submit information which f know to be false, inaccurate or materially incomplete. Check here if the Response Action(s)on which this opinion is based,if any,are(were)subjects any order(s),permit(s)andlor approval(s)issued by DEP or EPA, If the box is checked,you MUST attach a statement identifying the applicable provisions thereof. LSP Name: Charles A. Lindberg LSPu: _ 6891 Stamp: Street _ GZA GeoEnvi.ronmental Inc. , One Edgewater Drive ' %mak Cityrrown: _ Norwood State: MA _ ZIP Code: 02062 ZIP`;t , Telephone: (781) 278-3830 Ext: _ ) ". L)[�trt7 p FAx:(optional) //��� Signature: �...Jfn��' �/ Date: Revised 11130/1999 Do Not Alter This Form Page 1 of 2 DRAFT GZA File No. 21647.00 QK Massachusetts Department of Environmental Protection BWSC-111 Bureau of Waste Site Cleanup Release Tracking Number AUDIT FOLLOW-UP PLAN TRANSMITTAL FORM & POST AUDIT COMPLETION STATEMENT _ 27 Pursuant to 310 CMR 40.1160-40.1170(Subpart K) D. PERSON RESPONDING TO AUDIT: Name of Organization: OSRAM Sylvania Products, Inc. NameofConeict: ._ Tamps A (aas Title: ir;rn v nom. dentT. General etar Street: 100 Endicott Street Cityfrown: Danvers State: 11 ZIPCode: ,.... 01.923 Telephone: —_L978) 750-2118 Ext: FAX: [% Check here if there has been a change in the person undertaking Response Actions at the Site since the previous submittal to DEP. E. RELATIONSHIP TO SITE OF PERSON RESPONDING TO AUDIT: py RP or PRP Specify:u Owner [] Operator E] Generator E] Transporter Other RP or PRP: Fiduciary,Secured Lender or Municipality with Exempt Status(as defined by M.G.L.c.21E.s.2) Agency or Public Utility on a Right of Way(as defined by M.G.L.c.21E s.50)) E] Any Other Person Responding to Audit Specify Relationship: F. CERTIFICATION OF PERSON RESPONDING TO AUDIT: attest under the pains and penalties of perjury(i)that I have personally examined and am familiar with the information contained in this submittal,including any and at I documents accompanying this transmittal form,(ii)that,based on my inquiry of those individuals immediately responsible for obtaining the informat ion,the material information contained in this submittal is,to the best of my knowledge and belief,true,accurate and complete,and(w)that I am fully authorized to make this attestation on behalf of the entity legally responsib for This submittal. Ilthe person or entity on whose behalf this su bmittal is made aMs aware that there are significant penalties,including, but rxrt r i to,possible fines and xn nment,for wilifutly submitting f else,inaccurate,or incomplete information. By: _ Tili0ice President General Counsel & S reta (signature) James A. Gass 7/22/02 For: �...... ..._� Date: (print name of person or entity recorded in Section D) Enter address of person providing certification,I different from address recd rded in Section D: Street: GityrTowm _...... .. State: ZIP Code: _ Telephone: Ext.: FAX: YOU MUST COMPLETE ALL RELEVANT SECTIONS OF THIS FORM OR DEP MAY RETURN THE DOCUMENT AS INCOMPLETE. IF YOU SUBMIT AN INCOMPLETE FORM,YOU MAY BE PENALIZED FOR MISSING A REQUIRED DEADLINE. I i Revised 1 WO/1999 Do Not After This Form Page 2 of 2 GZA File No. 21647.00 DRAFT Revisions spa° LOCUS i I — ZdvE BpD�� J � ZO,NE R2 STREET• FOR REGI 418.79 STRY USE ONLY LOCUS GAAP: N 80'49'09" E -280.55 � �s ASND RPLAN A� Scale I'm 2083 t j0wn MM 26, LOT OF 1r11E REc�S1 OF DEEDS. ROMAN CATHOLIC Pu'� ' • ` �- DUSTING F ARMBIWOP OF BOSTaV p / Ali N 4292/262 t �p K►�S / / JOHN S. m N � ANTHONY MAP 24 LOT 74 v c:► N0.40035 • N/P co • •,y•� i/ / SALEM WA REAL]Y LLC •fk� g / 2 m No � �P\011 ��o�p0y/ ACTIVITY AND USE LIMITATION LINE (TYPICAL) tv j F5G8 METAL MMP N T 96 Project Title �`O •J S 36'18'22' E 51pRY BU�pING F ��Ze�• HEAL 7H d.• EWC477aV i 20.00. I 8 f 5 SD?WL><S. INC, • F. ? 17,7p0 9057/206 ,fig �, ♦� ACTIVITY & 115E !�lTATIOIV " . 0 '�•k, ` ♦ (II'Y UMM AUL HOT VOO 6 5 z • s70�4� , w 49.6 07wW NO. 60 O t' 139,381E SF. 2• 32 Boston flon6• � � S 53.41'38' W OR / 65 02 " S75 D O 20.00 .�20 f AG7�f5 / '41 W MAP 25 Q / S7578 z LOr 73 Street / N 361822' W AUL HOT SPOT ' 123,03 au N/F" 20.00' 400 t S.F. 571'49 W MAP 25 N y- 85�1IN / MAP 15 LOT 305 z�E Lor ;7 NI)r f OSRAM SYLVANI PRODUCTS INC. 50'1 ,24' LOT io �N� Salem 4783/329 k�• 72'21 MAP 25 Nom. 84971760 C C LOT� WALLACE 2 �_ p Massachusetts �assacl fi,iJG`W Cie` 70.1 "W t!1 O $+ /MM & W R 35.00' alp 70 58� yy 57175 49 c,• o+ GdVNDWAN Ik L=30.19' '�y 1 42 N w 1 43130 o-v.% 63'6 3 W S 17 MAP 2'4 Lor 65 u � MAP 3 2 r oQj\ 0 3 N/P cn Lor 68 Prepared For \ o O gg' 57 N MAP 25, or ss CaVNalr N 6 � • Z 6870/219 MAP 24 Lor 6 RA • GZA GeoEn*onmentd In [ cAr�LL KaNywr 2m//99 380 Harvey Road r 9 .,�� 16493/77 f5717�444 _GEVERALNOTES, Manchester, NH 03103-3347 i 1. LOCUS OWNER: SYLVANIA ELECTRIC PRODUCTS INC. j T 6p,�9p9 MAP H LOT 63 2. DEED REFERENCE: BOOK 4783, PAGE 329 MAP 2'S LOT 62 N 3. ESSEX COUNTY REGISTRY OF DEEDS DISTRICT MAP z� Lor 61 Qanr a.Lr �� ' `•'O a'� ?�,, N/E 580 B667�75 4. A PORTION OF THE LOCUS IS LOCATED WITHIN ` s�o MFLOOD INSURANCE ��d ZONE A/ • RATE MAPS CITY OF SAt.EMN OMMUNITY PANEL Da O� �qy� f•Y22/5 NUMBER 250102 0001 B, EFFECTIVE AUGUST 5, CxInaftl i AP 25�/L�OT 6 1985. �,►,�,� t MAP 1�T 321 An \ k� MARtHAND 1 /DEAL C ® 7171/357 f1YV��CO )O, G�� PLANJREFEJRI�1VC i Tan Forbes Rood MAP 15, LOT 320 * \ I%* SN Brdntrea MA OQ184 1. PLAN ENTITLED "SIEMENS CORPORATION, OSRAM 781.849.7070 THE a ons FJ AP ?Sy LOT 59 ACQUISITION CORPORATION, 60 BOSTON STREET, FAX 731•a�•0098 NOVINEE 7RUN�ST PREPARED BY: INTERNATIONAL LAND SURVEYING,507921232 INC., DATED:, SEPT. 11 1992, SCALE: 1: s 40' Drawing title j S� L><US5£ 16111/584 i ACTIVITY AND USE LIMITATION G PLAN 0 PUR",ff I HEREBY CERTIFY THAT THE PROPERTY LINES SHOWN ON THIS PLAN ARE THE LINES DIVIDING I Q EXISTING OWNERSHIPS, AND THE LINES OF THE STREETS AND WAYS SHOWN ARE THOSE OF PUBLICS 1 THE PURPOSE OF THIS PLAN IS TO CREATE AN ACTIVITY AND USE LIMITATION FOR THE ORS PRIVATE STREETS OR WAYS ALREADY ESTABLISHED, AND THAT NO NEW LINES FOR DIVISION OF ' LOCUS AREA. c TING CSM IP FOR NEW WAYS ARE SHOWN. o 20 40 eo too FEET Q O , bIrLD D2Date APRIL 2002 DIVA o • PR ONAL LAND SURVEYOR DATE Prof Mgr. JSA 9 ! Deelan JSA Check Drawn JSA • • Job. No. 1-2123 00 Lost Rev. of 1 r e a --- — -- -- -- I — _ - _ —