Last week, I posted news about the $14MM lawsuit filed by Lowe's Home Improvement Centers against a consultant who failed to identify PCB-contaminated soil at a former junkyard that was being developed into a new store location.
I have obtained a copy of the complaint and have summarized the factual allegations. Note that the defendants have yet to answer. However, the case is full of lessons about how to manage a brownfield redevelopment project.
The action filed by Lowe’s Home Centers, Inc. ("Lowe’s") seeks damages for breach of contract, negligence, statutory contribution, lost profits and attorneys’ and other professional fees from Bass Realty Company Bass), Sargent Corporation (Sargent, the Torrey Company, Inc ("Torrey) and Tetra Tech, Inc. ("Rizzo"), d/b/a Tetra Tech
The facts alleged in the complaint are as follows:
Barney Bass & Co., Inc operated a junkyard at a property located in Claremont, New Hampshire (the "Site") from 1952 to 1989. A number of auto repair shops also operated at the Site.
In July 2003, the Site owner agreed to sell the Site to an affiliate of Packard
Development, LLC, who, in turn, marketed the Site to Lowe’s for development into a Lowe’s Home Improvement store. To assist Lowe’s in deciding whether to purchase the Site from Packard, Lowe’s retained Rizzo to perform a phase 1 as well as to prepare a construction cost estimate and a preliminary site plan for development of the Site. Rizzo was retained because it had long-standing and close business with Lowe’s and effectively served as its"in-house" civil site engineering and environmental consultant for the development of new Lowe’s store sites in the Northeast. Lowe’s regarded Rizzo as its trusted engineering and environmental partner as Lowe’s expanded its network of stores in the Northeast region beginning in the early 2000s and selected Rizzo as a "major design firm" for Lowe’s Northeast expansion.
In March 2004, based in part on the information provided to it by Rizzo, Lowe’s
made a preliminary decision to purchase a 17.6-acre portion of the Site for the construction of a Lowe’s Home Improvement store ("Store Parcel"). Lowe’s retained Rizzo to provide Pre-Design, Design and Project Management Services at the Site, including preparing a Phase 1 ESA. Rizzo was also responsible for developing a stormwater pollution prevention plan ("SWPPP") that would set forth a phased sequence of construction activities ranging. Rizzo was also required to attend Site permitting meetings, provide construction cost estimates, and to prepare plans for Site permitting for such work as grading and drainage, utilities, demolition, earth excavation, site layout, and on-site construction, as well as a bid construction set of plans.
In September 2004, Rizzo issued a Phase I/ Phase II report and identified a number of ("RECs") associated with historic disposal practices. Rizzo recommended additional subsurface investigation of the RECs to develop a remedial action plan to be implemented prior to the start of construction under the supervision of the New Hampshire Department of Environmental Services ("NHDES"). The proposal provided that the supplement work would be performed by JME Environmental Corp., Inc. ("JME") under the supervision of Rizzo. As part of the supplement work, JME, conducted a magnetometry survey that revealed numerous anomalies. No sampling was conducted in the rear half of the Site where Rizzo had observed debris piles were located or where anomalies were located.
In March 2005, Rizzo and JME, submitted a RAP to the NHDES that identified five discrete areas of environmental concern ("AOCs") that required remediation. PCB-contaminated soils were identified in only one AOC. NHDES indicated that either additional pre-excavation sampling would have to be performed or a soil remediation implementation plan ("SRIP") would have to be developed for post-excavation sampling and analysis. In response, Rizzo and JME submitted a SRIP on May 6, 2005. Rizzo also submitted a notification letter to EPA proposing to conduct a self-implementing PCB cleanup.
After Lowe’s retained Torrey to act as the general contractor, Lowe’s Site Development Manager walked the Site with a Torrey representative and provided diagrams from Rizzo’s RAP of the AOCs and PCB-contaminated soils. Torrey was advised that those areas must not be disturbed until remediated. The Torrey contract expressly identified the environmental contamination at the Site and specified the locations of the then-known five AOCs by incorporating Rizzo’s various environmental reports and the SWPPP. .
In June 2005, representatives of Lowe’s, Rizzo, Torrey, and its subcontractor, Sargent, attended a pre-construction meeting. One purpose of the meeting was to satisfy a conditions of the SWPPP that required a pre-construction meeting to discuss implementation of the SWPPP and the sequence of major construction activities. During the meeting, a Torrey representative asked if it could depart from the construction sequence set forth in the SWPPP and, in particular, whether clearing and grubbing activities could precede the planned excavation of contaminated soils in
the AOCs, rather than follow that work as provided in the approved SWPPP. The Rizzo senior project engineers responded that Site clearing and grading work could proceed in advance of remediation so long as any such departure was documented in the stormwater-related documents on file at the Site.
Sargent then began clearing and grubbing activities at the Site. Sargent Corp. stripped the topsoil at the Site and began hauling the surplus topsoil to the nearby gravel pit of Norm St. Aubin & Sons, Inc. ("St.Aubin"), a commercial seller of loam, sand and gravel. Sargent removed and transported approximately 7,550 cubic yards of material from the Site to the St. Aubin pit. Some portions of the soil transported by Sargent originated from the rear half of the Site, where Rizzo had never identified the existence of any PCB contamination.
In July 2005 NHDES and USEPA representatives visited the Site to discuss the remediation of PCB contamination. By this date, Torrey and Sargent had cleared the Site of trees and other vegetative growth and disturbed a substantial amount of the soils at the Site in the course clearing and grading activities. After observing the absence of flagging in the AOCs , a representative of NHDES asked Torrey’s Site Superintendent if any soils had been removed from the Site. He responded that while wood chips from land clearing had been sent to a paper mill, no soils had been removed from the Site. He also said that all work was being managed in accordance with applicable state and federal law.
On August 2, 2005, the NHDES issued a stop order. Two days later, JME learned that soils had been transported from the Site to the St. Aubin property. Soil samples then collected by JME at the St. Aubin property revealed the presence of PCBs. Lowe’s retained Rizzo to oversee JME who prepared an Off-Site Stockpile Material Removal Plan ("OSSP Workplan"). Pursuant to the OSSP Workplan, JME transported the contaminated OSSP from the St. Aubin property back to the Site, and conducted extensive pre- and post-excavation sampling for PCBs on the St. Aubin property. Because the soils originating from the Site had became inextricably intermixed with St. Aubin’s existing stock of clean soil, Lowe’s ended up having to transport back to the Site approximately 17,500 cubic yards of PCB-containing soil. In December 2006, USEPA notified Lowe’s that Lowe’s had fulfilled all of its requirements under the OSSP Workplan with respect to remediation at the St. Aubin property, and that no further action on the St. Aubin property was necessary.
Meanwhile, Lowe’s was required to investigate additional areas of the Site for PCBs that had not been previously identified by Rizzo. Additional PCB-contaminated soils were discovered that had to be further investigated and excavated.
Lowe’s alleges that Rizzo did not correct the materially erroneous instruction by its senior project engineer that the Site work could proceed before remediation of the AOCs or to caution Torrey or Sargent about the potential environmental consequences of failing to stake-off the AOCs before beginning site work. Lowe’s also alleges that the misrepresentations made to the agencies by Torrey delayed the discovery of the disposal of PCB-contaminated soil at the St. Aubin property and allowed the contaminated soil to become intermixed with St. Aubin’s clean soil.
Lowe’s has continued to remediate the Site and has incurred costs of $14 million, In addition, because of the remediation, the opening of the Lowe’s Home Improvement Center which was scheduled to open in 2006 has been delayed until 2010.
Comment
Wow. "Been there, done that". IMHO, client was disconnected and did not listen to the consultant. Like I said, "been there, done that".
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