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Displaying 16 - 30 of 82 results
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What is the difference between Abatement Certification and Renovation (RRP) Certification?
Answer: Abatement certification, also known as Lead-Based Paint Activities certification, is a specialized type of certification for firms who specifically work with lead-based paint such as lead abatement firms, lead risk assessor firms, and lead inspection firms. Abatement intentionally addresses lead-based paint hazards. Renovation (RRP) certification is appropriate for firms…
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When do I apply for recertification?
Answer: You must be recertified by EPA before your current certification expires. EPA therefore recommends that you submit your application for recertification no later than 90 days before your current certification expires. Question Number: 23002-32445 Find a printable PDF copy of all frequent questions pertaining to lead .
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Which refresher training courses must I take?
Answer: You must take an accredited refresher training course for each discipline in which you are certified. The courses must be accredited either by EPA or by an EPA-authorized state or tribal lead-based paint program. Question Number: 23002-32443 Find a printable PDF copy of all frequent questions pertaining to lead…
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Must all persons present on an abatement job site be certified?
Answer: No. The regulations at 745.220(b) require that persons engaged in lead-based paint activities defined in 745.223 must be certified. The work practice standards at 745.227 are specific as to which disciplines may perform which lead-based paint activities. However, EPA recognizes that other activities such as interim controls may also…
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Immediately following the completion of renovation activities, a company conducts an examination which reveals dust levels above the action level. Is removal of dust to address the failure of this examination considered abatement?
Answer: No. The removal of dust to address the failure of the examination would be considered part of cleanup from the renovation. Routine cleanup of renovation-related dust is not abatement, even if the dust is known to be above the dust lead reportable level. For more information on lead-safe work…
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The definition of “wipe sample” relies on two very specific American Society of Testing Materials (ASTM) standards. In referencing the ASTM standards, did EPA intend to prevent the use of EPA and HUD standards for wipe samples?
Answer: No. In establishing work practice standards for lead-based paint activities, EPA did not intend to prevent the use of EPA/HUD standards. As a general matter, the requirements are not prescriptive, but instead state that certain activities be conducted using appropriate documented methodologies. For example, §745.227(c)(3) requires that dust samples…
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Are there any American Society of Testing Materials (ASTM) standards that EPA considers “documented methodologies”?
Answer: Yes. ASTM Standards are voluntary consensus standards developed after careful review by technical committees which generally include EPA and HUD staff. ASTM Standards relating to lead often reference EPA and HUD documents, just as EPA and HUD documents often reference appropriate ASTM Standards. Although EPA did not specifically list…
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Does EPA require inspectors, risk assessors, dust sampling techs, or anyone who performs LBP and/or lead dust sampling to document any visible LBP deterioration on components and estimate the surface area of deteriorating paint during a lead evaluation?
Answer: It depends on the type of evaluation being done. The work practice standards at 40 C.F.R. 745.227 provide instructions for addressing deteriorated lead-based paint during lead hazard screens, risk assessments, and post-abatement clearance activities. Inspections only examine the presence of leadbased paint and do not consider deterioration. Instructions for…
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