Skip to Main Content
U.S. flag

An official website of the United States government


Profile Information

Government
123412
619 East 8th Street Eldon, MO 65026
4.5
002-003-006.00 05-2.0-03-002-003-008.00
38.343719 / -92.574519
3
Eaton, Brad
Eaton.Brad@epa.gov
913-551-7265


Top of Page


Property Location



Top of Page


Property Progress


Top of Page


CAs Associated with this Property

CA NameCA #StateTypeAnnouncement Year
Environmental Improvement and Energy Resources AuthorityBF98762501MOBCRLF2005
Missouri Department of Natural ResourcesBF98789001MOAssessment2007


Top of Page


Assessment Activities at this Property

ActivityEPA FundingStart DateCompletion DateCAAccomplishment Counted?Counted When?
Phase I Environmental Assessment$1,593.0002/16/201003/05/2012Missouri Department of Natural Resources
Phase II Environmental Assessment$11,384.0006/11/201010/15/2010Missouri Department of Natural ResourcesYFY11


Is Cleanup Necessary? Yes
EPA Assessment Funding: $12,977.00
Leveraged Funding:
Total Funding: $12,977.00


Top of Page


Climate Adaption and Mitigation - Planning or Assessment

There is no data for Climate Adaption and Mitigation - Planning or Assessment.


Top of Page


Contaminants and Media


Asbestos
Lead
Petroleum Products
VOCs
NOT Cleaned up
NOT Cleaned up
NOT Cleaned up
NOT Cleaned up
Soil
NOT Cleaned up

Cleanup Activities

Start DateEPA FundingCompletion DateCAAccomplishment Counted?Cleanup Documentation
12/27/2012$100,000.0001/10/2014Environmental Improvement and Energy Resources Authority


Cleanup/Treatment Implemented:
Cleanup/Treatement Categories:
Addl Cleanup/Treatment info:
Address of Data Source:
Total ACRES Cleaned Up: 4.5
Number of Cleanup Jobs Leveraged: 1
EPA Cleanup Funding: $100,000.00
Leveraged Funding:
Cost Share Funding:
Total Funding: $100,000.00


Top of Page


Climate Adaption and Mitigation - Demolition or Cleanup

There is no data for Climate Adaption and Mitigation - Demolition or Cleanup.


Top of Page


Institutional and Engineering Controls

Yes
Proprietary Controls
No
No


Top of Page


Redevelopment and Other Leveraged Accomplishments

There are no current redevelopment activities.


Number of Redevelopment Jobs Leveraged:
Actual Acreage of Greenspace Created:
Leveraged Funding:


Top of Page


Climate Adaption and Mitigation - Redevelopment

There is no data for Climate Adaption and Mitigation – Redevelopment


Top of Page


Additional Property Attributes

Painting was performed in three separate booths on the east side of the plant and in one booth on the south side of the fiberglass shop. Barr considers the presence and operation of these booths as a recognized environmental condition.
Hydraulic oil had been used in various fiberglass-fabricating machines, and compressor oil was used in the paint booth compressors used for spraying. There is evidence of compressor oil leaks in the boiler room. Hydraulic oil and compressor oil typically contained PCBs. Barr considers use of oil in equipment as a REC.
The particulates inside the bottom drum under the baghouse still remain and should be tested for metals prior to disposal. Hazardous wastes were stored inside an interior room at the north central portion of the plant that was curbed to prevent spills from leaving the room. The plant also operated a sandblast booth on the north central portion of the main plant. Sandblast media and debris/residue still remain on the interior. There was also a distillation unit to recycle paint-related volatile chemicals located near the eastern wall outside the plant booths. Barr considers the baghouse particulate and sandblast media residue remaining as REC that should be tested for proper offsite disposal.
The April 2008 asbestos inspection revealed 9-inch by 9-inch vinyl flooring, linoleum under the green carpet in the entryway, linoleum under the bar in the main office, and the insulation on the piping under the ceiling throughout the plant are considered as asbestos-containing material.
The use of hydraulic oil in the fiberglass fabrication machines is considered a REC. The three air compressors in the boiler room have obviously had historical leaks of fluid that Barr considers as a REC. Historical operation of four paint booths and a large heating oil aboveground storage tank (AST) outside of the plant are also considered as RECs by Barr. Barr also considers the former use of a sandblast booth and baghouse unit as RECs.

Phase II ESA recommends cleanup of the lead-based paint and asbestos containing material within the building, cleanup of metals in the residue samples of the baghouse drum and the sandblasting booth, and cleanup of the total petroleum hydrocarbons from the wipe tests in the boiler room.

Former Use: The Carousel building was formerly used as a shoe company 1940-1960s and carousel manufacturing facility for kiddie rides 1960-2003.

The was enrolled in Missouri's Voluntary Cleanup Program on 4/17/13. Site investigations revealed the presence of asbestos-containing materials (ACM), lead-based paint (LBP), and metals-containing residue and soil associated with a sand blasting booth and baghouse filtering unit at the former Carousel building site. Remedial actions included the removal and proper disposal of asbestos containing material and lead based paint from the building. Metals containing residue and soil were also removed and properly disposed offsite in an approved landfill. A Certificate of Completion was issued on 3/6/14.
Commercial (4.5)
Hazardous
03/06/2014


Top of Page