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Clear on
Clearance; Spring 2003 issue of Air Media
Author(s):
Skiter Kowalski, CAFS, CME, CIE, PIAQM
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Clear on Clearance
According to Encarta – World English Dictionary, “clearance”
is defined as “removal of unwanted objects” and “ permission
for something to happen.” Both definitions are
pertinent to the subject of remediation of compromised
indoor environments.
Additionally, definition of another term, “remediation,”
should be considered. The term is defined as “the use
of remedial teaching” or “therapy to improve skills or
health.” Combining all these definitions will better
explain the phrase “remediation of compromised indoor
environments for clearance.” Being “clear on
clearance” thus becomes “The active therapy of improving
compromised indoor environments by removing unwanted
objects, thereby providing permission for something to
happen.” In the case of remediation for clearance,
that permission for something to happen is nothing more and
nothing less than allowing the environment to be free to be
used safely again. However, this “clearance” is
not experienced as a result of the efforts by many
professional’s actively attempting to clear compromised
environments.
To
help correct this situation, the focus of this article will
be narrowed to address issues of gaining clearance indoor
environments compromised by unacceptable organic
contamination caused by “mold.” Clearance certainly is
a major buzzword currently for remediation work within
compromised environments.
We
start the process of remediating mold contamination by
reviewing the United States Environmental Protection Agency,
Office of Air and Radiation, Indoor Environments Division
document EPA 402-K-01-001 (March 2000), Mold Remediation in
Schools and Commercial Buildings. This position paper
lists the following six criteria for knowing when
remediation and/or cleanup is complete:
“You
must have completely fixed the water or moisture problem.
You
should complete mold removal. Use professional
judgment to determine if the cleanup is sufficient.
Visible mold, mold-damaged materials, and moldy odors should
not be present.
If you
have sampled, the kinds and concentrations of mold and mold
spores in the building should be similar to those outside,
once cleanup activities have been completed.
You
should revisit the site(s) shortly after remediation, and it
should show no signs of water damage or mold growth.
People
should be able to occupy or re-occupy the space without
health complaints or physical symptoms.
Ultimately, this is a judgment call; there is no easy answer.”
(p. 36)
Let’s analyze these general federal guidelines. The first two
items are rather straightforward. Item 1 is quite clear.
Completely fix the source of intrusion problem from water or
moisture. In many cases, successful mold remediation
efforts will involve reliance on other contractors, such as
plumbers, exterior wall or window-framing carpenters,
foundation or basement wall masons, or roofing specialists.
Otherwise, the point-source for water intrusion will,
relatively quickly, reproduce the original compromise in the
environment. The same is true for HVAC systems, where
failure of humidity control both within the indoor
environment and within the duct system itself can perpetuate
mold growth despite the best of remediation efforts.
Item
2 states that professional judgment should be enlisted to
determine whether mold removal is complete. The
qualifications of “professional” are assumed in these
guidelines, but the situation in practice sometimes involves
personnel who lack the specialized knowledge, academic
studies, and practical training to discharge their duties
from the required perspective. After all, “judgment”
involves forming an opinion by discerning and comparing, a
duty made all the easier by actually being a professional.
Obviously visible mold, mold-damaged materials, and moldy
odors should not be present. However, in many cases
now encountered (as a result of energy-efficient strategies
in construction), professional judgment will involve and
rely on deeper probing of obscured spaces and of areas
proximate to the obvious problems in order to be clear on
clearance.
With
respect to Item 3, where remediation should reduce the
sampling counts of molds, the federal guidelines further
delineate the following:
“Sample analysis should follow analytical methods recommended
by the American Industrial Hygiene Association (AIHA), the
American Conference of Governmental Industrial Hygienists
(ACGIH) or other professional guidelines (see Resources
List). Types of samples include bulk samples (chunks
of carpet, insulation, wall board, etc.) and water samples
should be taken from condensate drain pans or cooling
towers” (p. 25).
On
the surface, this is relatively good instruction.
However, when considering outside levels compared to those
found indoors, how would you factor in the obvious issues of
relative humidity, ambient temperature, and air velocity?
When you consider the relationship of temperature, moisture,
and air velocity, just where you set the “baseline”?
Just how do you begin to construct a workable
interrelationship of these factors, to best utilize your
professional judgment?
Item
4 reflects basic good business discipline, revisiting the
remediated environment shortly after the project is
completed, to confirm that the intended result has been
accomplished: no signs of water damage or mold growth.
Item
5 also confirms the intended result, namely that people
should be able to be in the space without generating health
complaints or physical symptoms. What steps should you
take, in exercising your professional judgment, to insure
safe re-occupancy? For example, to what extent do you
need quantifying pre-remediation testing, for comparison to
post-remediation samples? The liability and duty for
responsible exercise of professional judgment come crisply
into focus when your determination is expected to reliably
predict whether the job has been completely done.
When
we address Item 6, we have come full circle: the final
criterion for knowing when remediation and/or cleanup is
complete “ultimately … is a judgment call; there is no easy
answer.” If there is no easy answer, then what are all
the difficult issues that you should be weighing and
comparing in reaching your final opinion. Since
these factors are not listed in the guidelines, exactly, who
is relied upon for “professional judgment” provides an
enormous amount of ambiguity in the issue of clearance?
Let’s continue our educational inquiry and visit our next
document, the New York City Department of Health, Bureau of
Environmental & Occupational Disease Epidemiology:
Guidelines on Assessment and Remediation of Fungi in Indoor
Environments. Environment Assessment, 2.4 Analysis of
Environment Samples states:
“Air
samples should be evaluated by means of comparison (i.e.
indoor to outdoors) and by fungal type (e.g. genera, and
species).
In general, the levels and types of fungi found should be
similar indoors (in non-problem buildings) as compared to
the outdoor air. Differences in the levels or types of
fungi found in air samples may indicate that moisture
sources and resultant fungal growth may be problematic.”
The ambiguity of this
guideline could be misinterpreted by almost anyone when
trying to gain clearance. The relationship of
temperature, relative humidity (moisture), and air velocity
all will affect the definition of baseline data, which then
skews your efforts at comparing outdoor to indoor
measurements.
Further, we should focus on the American Conference of
Governmental Industrial Hygienists (ACGIH), Bioaerosols –
Assessment and Control. Section 15.5, Judging
Remediation Effectiveness, states – “the success of a
remediation effort is judged in part by the visible degree
of contaminant removal that is achieved. Effectiveness may
also be confirmed by sampling” [see 15.2.3.4].
The qualifying words “in part” and “visible degree” and “may
also be” are proper in a guidelines document – but again,
they allow for a broad range of ambiguity in understanding
and, therefore, in end results. While we would like to
think that everyone performs to the highest standard,
real-world activities simply fail to meet the test.
Just how clear are you on gaining clearance? That is
the standard to which you will perform and by which you will
judge your success.
If
performances and end results differ, then one likely
explanation is that training in the remediation field has
yet to address the issue of clearance in a clear and
unambiguous fashion. The ultimate criterion for the
adequacy of abatement efforts in the treatment of all
biological and chemical contaminations (not just mold)
is the ability of people to occupy or re-occupy the space
without health complaints or physical discomfort [see
8.6.3]. This is, as we discussed before, a predictive
professional judgment. Complicating this situation is
the gnawing realization that not one of the guidelines
provides a discrete standard, firm guidance on how to form
your opinion by discerning and comparing the key factors
involved. Again, possibility of referring to a
minimum performance level concerning clearance is hindered
by ambiguity in the relationship of relative humidity,
ambient temperature, and air velocity, especially as these
relate to indoor and outdoor comparisons.
While we applaud the guidelines above for the level of
information they provide, unfortunately, the interpretation
of individual professional judgment leads to cloudy not
clear results. Understanding the method by which
federal standards are developed, such guidelines are the
important initial step toward standardization.
However, when remediation is attempted within compromised
environments, interpretations of such general guidelines
vary greatly among individuals and across region, making
consistent clearance difficult to rely upon.
In
summary, clearance is based upon professional judgment of an
individual who should be qualified – by study, training, and
actual practice -- to issue such a mandate. Clearance
should never be based solely upon subjective standards such
as visual inspection alone. Whenever feasible, clearance
should be quantified by accepted scientific methodologies.
When necessary, even “experimental” techniques should be
employed as part of the assessment, to give the broadest
information in making the predictive judgments regarding the
safety of re-occupancy. Scientific methodologies
should encourage development of a more distinct relationship
between ambient temperature, relative humidity, and air
velocity, specifically when comparing indoor to outdoor
data.
Additionally, we urge you to consider how the extremes of
outdoor variability in temperature, relative humidity, and
air velocity can challenge and even cripple reliance upon
comparative values. The guidelines recommend pre- and
post-remediation comparisons of indoor-to-outdoor levels
while ignoring the many obvious variables that can skew
interpretations. Indeed, it is easily possible to
claim clearance when that standard has not yet been met.
Understanding the concepts and having a working knowledge of
these relationships will allow the indoor air quality
professional to better exercise professional judgment with
remediation projects of compromised environments. Based upon
these ideas, recommendations for clearance in remediation
projects include the following:
-
Is
a qualified air quality professional setting the written
clearance guideline?
-
How was this clearance guideline derived?
-
Were considerations for ambient temperature, relative
humidity and air velocity taken into consideration in
setting the clearance guideline?
-
Is
the recommended clearance guideline realistic with regard to
the variability’s of temperature, humidity and air velocity?
-
Have the clearance guidelines been clearly written into the
scope of work for remediation?
-
Have you relied clearly and comfortably on your professional
judgment with assessment of the remediation process, to gain
clearance?
-
Have you obtained written copies for your files of the final
documentation of clearance reports assembled by the air
quality professional at the completion and any subsequent
follow-up evaluation visits to the remediated environment?
-
Are you unclear about anything on gaining clearance?
Don’t be afraid to ask questions EVER! Remember, your
professional judgment is the final determination upon which
people will rely when they re-occupy the environment that
you have remediated.
The
industry of remediating compromised indoor environments is
dealing with critical ambiguities on this topic of gaining
clearance. We share an optimistic opinion, based upon
the realities of the political and regulatory processes and
on our own remediation experiences that industry-wide
standardization and specific guidelines will soon be
forthcoming in our industry. Our public not only
demands that we be clear on clearance – they deserve nothing
less from any of us.
About
the Author:
JL Skiter
Kowalski, CAFS, CMR, CIE, PIAQM is a NAFA Professional
Member and has been involved in the air filter industry for
over 20 years. Credit also goes to John Parks
Trowbridge, M.D. and Debra A. Troxclair, Ph.D. in the
development of this article.
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