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111 <br /> BARRY D. WESTMARK, P.E. <br /> O < Page 2 <br /> for illegal target practice in the PSRP. Lead removal was required prior to con- <br /> struction of a pump station by the USACE. Project coordination involved <br /> preparation of project plans and a final report for review and concurrence by <br /> the FDEP and U.S. Fish & Wildlife Service. <br /> ' Project Manager, Construction Management Support. C-44 Project Area, <br /> SFWMD—Served as SFWMD Construction Management Department daily <br /> onsite observer of construction activities on a Comprehensive Everglades Res- <br /> toration Plan (CERP) project roadway construction prior to USACE construc- <br /> tion. Responsibilities included ordering daily contractor oversight. QC ge- <br /> otechnical/construction material testing and surveys to verify contractor com- <br /> pliance with plans and specifications. Reporting included entry into Primavera. <br /> ' Project Manager, Deerfence Canal Sediment Screening Level Risk As- <br /> sessment, SFWMD—Collected split spoon samples at 1/2-mile increments in <br /> ' sediments along a 12-mile length of surface water management canal in Hen- <br /> dry County. Results of the sampling event were used to assess risk to ecologi- <br /> cal receptors. namely threatened and endangered species. of dredged sediment. <br /> The risk assessment concluded all but ''lA mile of sediment from the canal was <br /> ' suitable for dewatering/stockpiling adjacent to the canal. <br /> Project Manager, Hillsboro Canal Sediment Screening Level Risk As- <br /> sessment, SFWMD—Collected split spoon samples at 1/2-mile increments in <br /> 1 sediments along a 7-mile length of surface water irrigation/drainage canal in <br /> rural/urban Broward and Palm Beach County. The risk assessment was re- <br /> quested by the SFWMD Engineering Department to assist in cost estimation <br /> ' associated with canal bank stabilization and maintenance dredging. The risk <br /> assessment concluded that sediments from all but 1/2 mile of the Hillsboro Ca- <br /> nal could be used in project construction features without restriction. Scope in- <br /> cluded advising the Engineering Department on handling (if removed) of <br /> Y: mile of sediments which exceeded commercial cleanup standards for poly- <br /> nuclear aromatic hydrocarbons. The subject sediments were left in situ based <br /> on ECT recommendation. <br /> eProject Manager, Pump Station Remediation Prior to USACE Construc- <br /> tion, C-44 Project Area, SFWMD—Conducted expedited remediation and <br /> site assessment reporting on petroleum contamination discovered shortly be- <br /> fore the project lands were to be turned over to the USACE. Delay in the land <br /> transition represented significant damage costs to the SFWMD. Soil source <br /> removal was completed and site rehabilitation completion orders obtained at <br /> two separate pump stations within 3 weeks. <br /> Assistant Project Manager; SFWMD—Assisted the project manager on nu- <br /> merous projects for SFWMD. including Phase I/Phase II ESAs. soil remedia- <br /> 1 tion projects.and ecological risk assessments. <br /> Engineer of Record; Multiple Pump Stations, Title V Permit Application. <br /> l SFWMD—Prepared emissions inventory based on published or site-specific <br /> emission factor data for between three and six diesel engines (depending upon <br /> pump station) at pump stations S-5A. S-6. S-7. S-8/G-404. S-9/9A. G-370. and <br /> G-372 in Broward and Palm Beach County. Florida. <br /> l <br /> l <br /> e Ec7 <br /> Consultngb belmology,Inc PAUL YANGWCITY OE SUNNY ISLFSAPPENDICESIRESUMES SUNYISLS.DOC-043012 <br />