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planned facility renovation currently scheduled for July, 2015. A second example would be an <br /> evaluation of the building HVAC system. <br /> 2. Areas of observed mold growth should be cleaned or removed as described in the previous <br /> report, specifically Amec Foster Wheeler recommends using an antimicrobial detergent <br /> solution or other low hazard cleaning agent to remove SVG. <br /> 3. Mold clean-up activities can be conducted by a Florida Licensed Mold Remediation <br /> Contractor, however Florida state guidance to homeowners also states "If the moldy area is <br /> less than about 10 square feet (less than roughly a 3 ft. by 3 ft. patch), in most cases, you can <br /> handle the job yourself:" (http://www.floridahealth.gov/%5C/environmental- <br /> health/mold/index.html#mold%20be%20cleaned) <br /> LIMITATIONS <br /> Amec Foster Wheeler cannot provide a medical opinion, for example, whether or not occupants <br /> experiencing adverse health effects can safely occupy the building. <br /> Amec Foster Wheeler has not been retained to perform a comprehensive inspection for moisture or <br /> fungal-impacted building materials throughout the entire building and is providing industrial hygiene <br /> assessments of potential moisture related issues in this fire station. Amec Foster Wheeler has not <br /> assessed the structural condition of the building or existing building materials. Amec Foster Wheeler <br /> is not responsible for repair work designed and/or conducted by others that may affect the building <br /> environment now or in the future. <br /> Amec Foster Wheeler provided these services using its commercially reasonable best efforts <br /> consistent with the level and skill ordinarily exercised by members of the profession currently <br /> practicing under similar conditions. The on-site tasks were performed by a CIH who is experienced in <br /> conducting mold, moisture, and indoor air quality assessments. <br /> The conclusions in this report are based on the observations and data obtained on March 31, 2015; <br /> our understanding of the information provided by Indian River County; and generally accepted <br /> industrial hygiene standards of care and regulatory requirements in Florida. The conclusions <br /> presented above apply to the site conditions existing at the time of the assessment. <br /> The reported information is believed to provide a reasonable representation of the general <br /> environmental conditions in the areas of assessment. It should be noted that the data presented <br /> herein were collected at specific locations, although the information may not be representative of all <br /> locations within the site building. <br /> s <br /> 7 <br />