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Phone (303) 763 9639 To: City of Montrose / Mr. Mark Armstrong HERRON Project No.: 1120145 Job No.: Verbal Location: Multiple Buildings, 950 and 970 Chipeta Rd., Montrose, CO 81403 Dates of Service: November 20, 2014 Services Requested: Environmental Consultation/ Per your request, and under the guidelines defined, (HERRON ) has concluded the Environmental Consultation/ at the aforementioned property. Local, state and/or federal regulations, including but not limited to AQCC Regulation 8 (State), 29 CFR 1926.1101 (OSHA), 40 CFR Part 61 EPA (NESHAP), and 40 CFR 763 EPA (AHERA) may require a comprehensive asbestos inspection prior to a renovation or demolition. This inspection requires an AHERA and State certified asbestos building inspector identifying and sampling any friable and non-friable asbestos containing materials which could be affected by the activity. HERRON was contracted by the Client, to perform: 1. The Client has advised that Multiple Buildings, 950 and 970 Chipeta Rd., Montrose, CO 80403 is a complete demolition by wrecking; a. is intended to confirm Environmental Hazards, specifically Asbestos-Containing Materials; Refer to attached site plans; Building #1 Outhouse (Outbuilding) 950 and 970 Chipeta Rd. 40 ft 2 Building #2 Shack (Outbuilding) 950 and 970 Chipeta Rd. 250 ft 2 Building #3 Shack (Outbuilding) 950 and 970 Chipeta Rd. 450 ft 2 Building #4 Shack (Outbuilding) 950 and 970 Chipeta Rd. 250 ft 2 Building #5 Underground Cellar (Outbuilding) 950 and 970 Chipeta Rd. 1,080 ft 2 Building #6 Shack (Outbuilding) 950 and 970 Chipeta Rd. 228 ft 2 Building #7 Horse Stable (Outbuilding) 950 and 970 Chipeta Rd. 675 ft 2 Building #8 Workshop (Outbuilding) 950 and 970 Chipeta Rd. 300 ft 2 Building #9 Chicken Shack (Outbuilding) 950 and 970 Chipeta Rd. 400 ft 2 Building #10 Underground Cellar (Outbuilding) 950 and 970 Chipeta Rd. 144 ft 2 Building #11 Storage Shed (Outbuilding) 950 and 970 Chipeta Rd. 50 ft 2 Two Story House 970 Chipeta Rd. 1,550 ft 2 Detached Two Car Garage 970 Chipeta Rd. 475 ft 2 Double Wide Mobile Home 950 Chipeta Rd. 1,152 ft 2 i. Non-destructive building material sampling; ii. 5 Day Turnaround PLM Analyses. b. Review and usage (where applicable) of previous inspections submitted by the Client have been included as reference documents; i. Not applicable. HERRON Project No. 1120145 Copyright 2014 HERRON Enterprises USA, Inc. All Rights Reserved. Page 1 of 91

c. All EPA suspect Materials not requested: i. Limited to locations of the submitted plans, only. Any locations/materials not specifically identified, assumed to be a Regulated Asbestos Containing Material, and should be inspected prior to any activity which may disturb the material; 1. Refer to materials identified in the report; 2. Inspection does not take into consideration any areas outside of the inspection area(s); 3. All materials not previously indicated by Client; a. Building 5 Observation of the accessible portions of the building indicate construction of wood and metal. Cellar has collapsed and is not accessible at the time of the inspection. At the time of demolition, access to the cellar should be made to confirm the absence of asbestos-containing materials. b. Building 6 asbestos transite irrigation pipe (and debris) laying on ground observed during inspection. At the time of this report, Client confirmed that this material had been properly collected by the City. Client advised of subsurface potential of asbestos transite irrigation pipe is not included in this inspection. HERRON was subsequently contracted by the Client, to perform: 1. Not applicable. Closure This report is provided for the use of the Client as it applies to the subject property. Its preparation has been in accordance with generally accepted practices in hazardous materials, indoor air quality, and industrial hygiene. Thank you for the opportunity to be of service. Should you have any questions or comments regarding this report, please do not hesitate to call Sincerely, Michael W. Herron, Sr. Project Manager Personnel: Michael W. Herron, Sr./Project Manager, Industrial Hygienist Technician, and Jamie L. Herron-Carson/Project Manager, Industrial Hygienist Technician HERRON Project No. 1120145 Copyright 2014 HERRON Enterprises USA, Inc. All Rights Reserved. Page 2 of 91

Recommendations The Client has advised that Multiple Buildings, 950 and 970 Chipeta Rd., Montrose, CO 80403 is a complete demolition by wrecking. As Regulated Asbestos Containing Materials were not discovered during this inspection, further action is not required with the following exceptions: 1. Building 5 Observation of the accessible portions of the building indicate construction of wood and metal. Cellar has collapsed and is not accessible at the time of the inspection. At the time of demolition, access to the cellar should be made to confirm the absence of asbestos-containing materials. 2. Building 6 asbestos transite irrigation pipe (and debris) laying on ground observed during inspection. At the time of this report, Client confirmed that this material had been properly collected by the City. Client advised of subsurface potential of asbestos transite irrigation pipe is not included in this inspection. Should a renovation or demolition occur which could affect locations that are potentially Asbestos, HERRON would recommend as a minimum Plan of Action: 1. Demolition Notification: is required, i.e., prior to demolition (or demolition of a load bearing wall), the Colorado Department of Health and Environment requires that the building(s) be certified by the State Certified Asbestos Building Inspector as: a. not having any regulated asbestos existing anywhere in the building(s); b. this document serves as a certified notification to the owner/operator of the facility and the demolition contractor; i. the non-friable asbestos-containing building materials, i.e., window glazing and caulking, tar impregnated asphaltic roofing materials, floor tiles, mastics, etc. will be allowed to be demolished with the building provided that the proposed building demolition methods do not include explosives, sawing, grinding, abrading or blasting that will render the materials friable; ii. any asbestos-containing material allowed to stay in the facility must remain non-friable during demolition. c. Once the Demolition Notification has been endorsed, the Owner/Contractor is to submit an original to the Colorado Department of Health and Environment, which then undergoes a ten (10) working day notification process, after which a Demolition Approval will be issued, to be posted at the project site during operations. d. After receipt of the CDPHE demolition approval and Building Department demolition permit, renovate or demolish the areas of the Building(s) inspected (recycling prohibited), in accordance with local, state, and/or federal regulations as indicated (only). e. The Owner has been advised of the soil regulations 6 CCR 1007-2, the Colorado Solid Waste Regulations- Asbestos and Asbestos Contaminated Soil. The demolition contractor is required to remove all demolition building material debris from the project site. This would include all small pieces of the structure. HERRON Project No. 1120145 Copyright 2014 HERRON Enterprises USA, Inc. All Rights Reserved. Page 3 of 91

Conclusion Building #1 Outhouse (Outbuilding) 950 and 970 Chipeta Rd. 40 ft 2 The Client has advised that Multiple Buildings, 950 and 970 Chipeta Rd., Montrose, CO 80403 is a complete demolition by wrecking. Based on the information generated by this report, we conclude that the aforementioned property does not contain Regulated Asbestos Containing Material(s) (RACM): None detected. In order to comply with local, state, and/or federal regulations, the following Asbestos Containing Materials, or assumed Asbestos Containing Materials will have to be removed if they will be made friable during a renovation or demolition (if the composition of drywall/joint compound is <=1.0% Asbestos, when the joint compound does not cover the entire surface, floor tile/mastic, asphaltic roofing materials, pliable window glazing/caulking, etc., are normally demolished with the structure, if conducted in accordance with local, state and/or federal regulations, however, require removal during a renovation): None detected. Although a material may have been determined to contain <=1.0% Asbestos, such as the composition of drywall/joint compound (when the joint compound does not cover the entire surface), traces of asbestos in surfacing materials, thermal system insulation materials, or miscellaneous materials, etc., which is not considered Regulated Asbestos Containing Materials by NESHAPS, EPA (AHERA), or the State of Colorado, may still be regulated by OSHA. OSHA regulations may apply during potential disturbance activities, and the inspection document will serve as a Hazard Communication and should be reviewed during an activity such as a renovation or demolition, to ensure that an exposure does not occur. The Maximum Allowable Asbestos Level (MAAL) may not be exceeded at any time in accordance with local, state, and/or federal regulations, including but not limited to AQCC Regulation 8 (State), 29 CFR 1926.1101 (OSHA), 40 CFR Part 61 EPA (NESHAP), and 40 CFR 763 EPA (AHERA). This document serves as a certified notification to the owner/operator of the facility and the demolition contractor that any asbestos-containing material allowed to stay in the facility must remain non-friable during demolition. All building material field information concerning sampling protocols, locations, assessments, etc. is available in our files for Client use should the need arise. Suspect materials which were sampled and determined to contain <=1.0% Asbestos (refer to Attachments), by PLM and/or PLM Point Count analysis are: 1. Not applicable; a. Building constructed of wood and metal. Suspect materials which were not within the Scope of Work at the time of the inspection were: 1. All EPA suspect Materials not requested: a. Limited to locations of the submitted plans, only. Any locations/materials not specifically identified, assumed to be a Regulated Asbestos Containing Material, and should be inspected prior to any activity which may disturb the material; i. Refer to materials identified in the report; ii. Inspection does not take into consideration any areas outside of the inspection area(s); iii. All materials not previously indicated by Client; 1. Not applicable. HERRON Project No. 1120145 Copyright 2014 HERRON Enterprises USA, Inc. All Rights Reserved. Page 4 of 91

2. During a normal inspection, and more specifically when non-destructive sampling techniques are employed, it is not within the scope of the inspection to remove surface materials to inspect or quantify the structures and/or materials which may be under the surface, i.e., within or under concealed areas such as under carpet, under sub-floors, within chases, walls, crawlspaces, tunnels, etc., to remove suspect Asbestos Containing Material(s), to move and/or sample electrical wiring which has not been 'locked out', etc. All said areas are to be assumed as containing >1.0% Asbestos, until such a time that these areas are made accessible, and/or rendered safe so that sampling can be performed. Prior to renovations or demolition of these areas, it is recommended that a more destructive protocol be utilized in order to make these determinations. Concealed Materials Based on the nature of the Asbestos which could be concealed, it is recommended: Extensive destructive sampling and quantification of these materials throughout the property in order to determine if concealed locations contain an Asbestos or if isolated to a specific era of remodeling; or If extensive destructive sampling and quantification of these materials is not possible, and presumptions that concealed locations are potentially Asbestos, then it is recommended that a site specific Management Plan be developed and implemented which could effectively manage the future renovations of the property. A Management Plan can be designed to review specific locations of renovation locations, i.e., destructive sampling and quantification through concealed chases, and under carpeting prior to disturbance of these areas by the Owner or Contractors which will assist in the recognition and response to potential health risks from concealed Asbestos. 3. HERRON recommends extreme caution during a renovation or demolition of these areas in the event that an area which was not suspect, visible, accessible and/or specified during the inspection, is discovered to contain or is suspected of containing an Asbestos Containing Material (ACM). Under local, state and/or federal regulations, should such an event occur, the Client and or Contractor is required to cease operations which may effect this (these) material(s) until an inspection is concluded and a determination is made by an AHERA and State Certified Asbestos Building Inspector. 4. Disturbance of these areas could create a potential health hazard. HERRON Project No. 1120145 Copyright 2014 HERRON Enterprises USA, Inc. All Rights Reserved. Page 5 of 91

Suspect materials which were visually inspected and determined to be Non-ACM materials at the time of the inspection were: Fiberglass Wood Glass Metal Plastic Concrete Etc. Inspection Methodology: 1. HERRON selected sample locations and frequency of sampling based on observations, Client requirements and/or the assumption that like materials in the same area are homogeneous in accordance with EPA Publication EPA 560 / 5-85 - 030a Asbestos in Buildings: Simplified Sampling Scheme. 2. Sample locations and frequency of sampling of Walls and Ceilings are based on EPA 9/30/94 EPA Sampling Bulletin - ASBESTOS SAMPLING BULLETIN September 30, 1994 - Supplementary Guidance on Bulk Sample Collection and Analysis. Section V of this guidance bulletin offers a suggested strategy for distinguishing between joint compound found at joints in wallboard systems or when the material was applied as a skim coat; i.e., for determining whether joint compound has been applied as a skim coat over a wall surface (as referred to in the NESHAP Jan. 5, 1994 FR notice.). HERRON Project No. 1120145 Copyright 2014 HERRON Enterprises USA, Inc. All Rights Reserved. Page 6 of 91

Conclusion Building #2 Shack (Outbuilding) 950 and 970 Chipeta Rd. 250 ft 2 The Client has advised that Multiple Buildings, 950 and 970 Chipeta Rd., Montrose, CO 80403 is a complete demolition by wrecking. Based on the information generated by this report, we conclude that the aforementioned property does not contain Regulated Asbestos Containing Material(s) (RACM): None detected. In order to comply with local, state, and/or federal regulations, the following Asbestos Containing Materials, or assumed Asbestos Containing Materials will have to be removed if they will be made friable during a renovation or demolition (if the composition of drywall/joint compound is <=1.0% Asbestos, when the joint compound does not cover the entire surface, floor tile/mastic, asphaltic roofing materials, pliable window glazing/caulking, etc., are normally demolished with the structure, if conducted in accordance with local, state and/or federal regulations, however, require removal during a renovation): None detected. Although a material may have been determined to contain <=1.0% Asbestos, such as the composition of drywall/joint compound (when the joint compound does not cover the entire surface), traces of asbestos in surfacing materials, thermal system insulation materials, or miscellaneous materials, etc., which is not considered Regulated Asbestos Containing Materials by NESHAPS, EPA (AHERA), or the State of Colorado, may still be regulated by OSHA. OSHA regulations may apply during potential disturbance activities, and the inspection document will serve as a Hazard Communication and should be reviewed during an activity such as a renovation or demolition, to ensure that an exposure does not occur. The Maximum Allowable Asbestos Level (MAAL) may not be exceeded at any time in accordance with local, state, and/or federal regulations, including but not limited to AQCC Regulation 8 (State), 29 CFR 1926.1101 (OSHA), 40 CFR Part 61 EPA (NESHAP), and 40 CFR 763 EPA (AHERA). This document serves as a certified notification to the owner/operator of the facility and the demolition contractor that any asbestos-containing material allowed to stay in the facility must remain non-friable during demolition. All building material field information concerning sampling protocols, locations, assessments, etc. is available in our files for Client use should the need arise. Suspect materials which were sampled and determined to contain <=1.0% Asbestos (refer to Attachments), by PLM and/or PLM Point Count analysis are: Yellow Latex Paint on Doors, Surfacing Material (S), <1,000 square feet, Good Condition (Current Condition), throughout Exterior, 1 Sample(s) (Confirmation), 112014-7A, W Wall, 3 from S Edge, 5 from Ground, photo 122908 Red Latex Paint on Fence attached to building, Surfacing Material (S), <1,000 square feet, Good Condition (Current Condition), throughout Exterior, 1 Sample(s) (Confirmation), 112014-8A, W Wall, 10 from N Edge, 4 from Ground, photo 122912 HERRON Project No. 1120145 Copyright 2014 HERRON Enterprises USA, Inc. All Rights Reserved. Page 7 of 91

Suspect materials which were not within the Scope of Work at the time of the inspection were: 1. All EPA suspect Materials not requested: a. Limited to locations of the submitted plans, only. Any locations/materials not specifically identified, assumed to be a Regulated Asbestos Containing Material, and should be inspected prior to any activity which may disturb the material; i. Refer to materials identified in the report; ii. Inspection does not take into consideration any areas outside of the inspection area(s); iii. All materials not previously indicated by Client; 1. Not applicable. 2. During a normal inspection, and more specifically when non-destructive sampling techniques are employed, it is not within the scope of the inspection to remove surface materials to inspect or quantify the structures and/or materials which may be under the surface, i.e., within or under concealed areas such as under carpet, under sub-floors, within chases, walls, crawlspaces, tunnels, etc., to remove suspect Asbestos Containing Material(s), to move and/or sample electrical wiring which has not been 'locked out', etc. All said areas are to be assumed as containing >1.0% Asbestos, until such a time that these areas are made accessible, and/or rendered safe so that sampling can be performed. Prior to renovations or demolition of these areas, it is recommended that a more destructive protocol be utilized in order to make these determinations. Concealed Materials Based on the nature of the Asbestos which could be concealed, it is recommended: Extensive destructive sampling and quantification of these materials throughout the property in order to determine if concealed locations contain an Asbestos or if isolated to a specific era of remodeling; or If extensive destructive sampling and quantification of these materials is not possible, and presumptions that concealed locations are potentially Asbestos, then it is recommended that a site specific Management Plan be developed and implemented which could effectively manage the future renovations of the property. A Management Plan can be designed to review specific locations of renovation locations, i.e., destructive sampling and quantification through concealed chases, and under carpeting prior to disturbance of these areas by the Owner or Contractors which will assist in the recognition and response to potential health risks from concealed Asbestos. 3. HERRON recommends extreme caution during a renovation or demolition of these areas in the event that an area which was not suspect, visible, accessible and/or specified during the inspection, is discovered to contain or is suspected of containing an Asbestos Containing Material (ACM). Under local, state and/or federal regulations, should such an event occur, the Client and or Contractor is required to cease operations which may effect this (these) material(s) until an inspection is concluded and a determination is made by an AHERA and State Certified Asbestos Building Inspector. 4. Disturbance of these areas could create a potential health hazard. HERRON Project No. 1120145 Copyright 2014 HERRON Enterprises USA, Inc. All Rights Reserved. Page 8 of 91

Suspect materials which were visually inspected and determined to be Non-ACM materials at the time of the inspection were: Fiberglass Wood Glass Metal Plastic Concrete Etc. Inspection Methodology: 1. HERRON selected sample locations and frequency of sampling based on observations, Client requirements and/or the assumption that like materials in the same area are homogeneous in accordance with EPA Publication EPA 560 / 5-85 - 030a Asbestos in Buildings: Simplified Sampling Scheme. 2. Sample locations and frequency of sampling of Walls and Ceilings are based on EPA 9/30/94 EPA Sampling Bulletin - ASBESTOS SAMPLING BULLETIN September 30, 1994 - Supplementary Guidance on Bulk Sample Collection and Analysis. Section V of this guidance bulletin offers a suggested strategy for distinguishing between joint compound found at joints in wallboard systems or when the material was applied as a skim coat; i.e., for determining whether joint compound has been applied as a skim coat over a wall surface (as referred to in the NESHAP Jan. 5, 1994 FR notice.). HERRON Project No. 1120145 Copyright 2014 HERRON Enterprises USA, Inc. All Rights Reserved. Page 9 of 91

Conclusion Building #3 Shack (Outbuilding) 950 and 970 Chipeta Rd. 450 ft 2 The Client has advised that Multiple Buildings, 950 and 970 Chipeta Rd., Montrose, CO 80403 is a complete demolition by wrecking. Based on the information generated by this report, we conclude that the aforementioned property does not contain Regulated Asbestos Containing Material(s) (RACM): None detected. In order to comply with local, state, and/or federal regulations, the following Asbestos Containing Materials, or assumed Asbestos Containing Materials will have to be removed if they will be made friable during a renovation or demolition (if the composition of drywall/joint compound is <=1.0% Asbestos, when the joint compound does not cover the entire surface, floor tile/mastic, asphaltic roofing materials, pliable window glazing/caulking, etc., are normally demolished with the structure, if conducted in accordance with local, state and/or federal regulations, however, require removal during a renovation): None detected. Although a material may have been determined to contain <=1.0% Asbestos, such as the composition of drywall/joint compound (when the joint compound does not cover the entire surface), traces of asbestos in surfacing materials, thermal system insulation materials, or miscellaneous materials, etc., which is not considered Regulated Asbestos Containing Materials by NESHAPS, EPA (AHERA), or the State of Colorado, may still be regulated by OSHA. OSHA regulations may apply during potential disturbance activities, and the inspection document will serve as a Hazard Communication and should be reviewed during an activity such as a renovation or demolition, to ensure that an exposure does not occur. The Maximum Allowable Asbestos Level (MAAL) may not be exceeded at any time in accordance with local, state, and/or federal regulations, including but not limited to AQCC Regulation 8 (State), 29 CFR 1926.1101 (OSHA), 40 CFR Part 61 EPA (NESHAP), and 40 CFR 763 EPA (AHERA). This document serves as a certified notification to the owner/operator of the facility and the demolition contractor that any asbestos-containing material allowed to stay in the facility must remain non-friable during demolition. All building material field information concerning sampling protocols, locations, assessments, etc. is available in our files for Client use should the need arise. Suspect materials which were sampled and determined to contain <=1.0% Asbestos (refer to Attachments), by PLM and/or PLM Point Count analysis are: White Latex Paint on Windows, Surfacing Material (S), <1,000 square feet, Good Condition (Current Condition), throughout Exterior, 1 Sample(s) (Confirmation), 112014-6A, W Wall, 8 from S Edge, 5 from Ground, photo 122501 HERRON Project No. 1120145 Copyright 2014 HERRON Enterprises USA, Inc. All Rights Reserved. Page 10 of 91

Suspect materials which were not within the Scope of Work at the time of the inspection were: 1. All EPA suspect Materials not requested: a. Limited to locations of the submitted plans, only. Any locations/materials not specifically identified, assumed to be a Regulated Asbestos Containing Material, and should be inspected prior to any activity which may disturb the material; i. Refer to materials identified in the report; ii. Inspection does not take into consideration any areas outside of the inspection area(s); iii. All materials not previously indicated by Client; 1. Not applicable. 2. During a normal inspection, and more specifically when non-destructive sampling techniques are employed, it is not within the scope of the inspection to remove surface materials to inspect or quantify the structures and/or materials which may be under the surface, i.e., within or under concealed areas such as under carpet, under sub-floors, within chases, walls, crawlspaces, tunnels, etc., to remove suspect Asbestos Containing Material(s), to move and/or sample electrical wiring which has not been 'locked out', etc. All said areas are to be assumed as containing >1.0% Asbestos, until such a time that these areas are made accessible, and/or rendered safe so that sampling can be performed. Prior to renovations or demolition of these areas, it is recommended that a more destructive protocol be utilized in order to make these determinations. Concealed Materials Based on the nature of the Asbestos which could be concealed, it is recommended: Extensive destructive sampling and quantification of these materials throughout the property in order to determine if concealed locations contain an Asbestos or if isolated to a specific era of remodeling; or If extensive destructive sampling and quantification of these materials is not possible, and presumptions that concealed locations are potentially Asbestos, then it is recommended that a site specific Management Plan be developed and implemented which could effectively manage the future renovations of the property. A Management Plan can be designed to review specific locations of renovation locations, i.e., destructive sampling and quantification through concealed chases, and under carpeting prior to disturbance of these areas by the Owner or Contractors which will assist in the recognition and response to potential health risks from concealed Asbestos. 3. HERRON recommends extreme caution during a renovation or demolition of these areas in the event that an area which was not suspect, visible, accessible and/or specified during the inspection, is discovered to contain or is suspected of containing an Asbestos Containing Material (ACM). Under local, state and/or federal regulations, should such an event occur, the Client and or Contractor is required to cease operations which may effect this (these) material(s) until an inspection is concluded and a determination is made by an AHERA and State Certified Asbestos Building Inspector. 4. Disturbance of these areas could create a potential health hazard. HERRON Project No. 1120145 Copyright 2014 HERRON Enterprises USA, Inc. All Rights Reserved. Page 11 of 91

Suspect materials which were visually inspected and determined to be Non-ACM materials at the time of the inspection were: Fiberglass Wood Glass Metal Plastic Concrete Etc. Inspection Methodology: 1. HERRON selected sample locations and frequency of sampling based on observations, Client requirements and/or the assumption that like materials in the same area are homogeneous in accordance with EPA Publication EPA 560 / 5-85 - 030a Asbestos in Buildings: Simplified Sampling Scheme. 2. Sample locations and frequency of sampling of Walls and Ceilings are based on EPA 9/30/94 EPA Sampling Bulletin - ASBESTOS SAMPLING BULLETIN September 30, 1994 - Supplementary Guidance on Bulk Sample Collection and Analysis. Section V of this guidance bulletin offers a suggested strategy for distinguishing between joint compound found at joints in wallboard systems or when the material was applied as a skim coat; i.e., for determining whether joint compound has been applied as a skim coat over a wall surface (as referred to in the NESHAP Jan. 5, 1994 FR notice.). HERRON Project No. 1120145 Copyright 2014 HERRON Enterprises USA, Inc. All Rights Reserved. Page 12 of 91

Conclusion Building #4 Shack (Outbuilding) 950 and 970 Chipeta Rd. 250 ft 2 The Client has advised that Multiple Buildings, 950 and 970 Chipeta Rd., Montrose, CO 80403 is a complete demolition by wrecking. Based on the information generated by this report, we conclude that the aforementioned property does not contain Regulated Asbestos Containing Material(s) (RACM): None detected. In order to comply with local, state, and/or federal regulations, the following Asbestos Containing Materials, or assumed Asbestos Containing Materials will have to be removed if they will be made friable during a renovation or demolition (if the composition of drywall/joint compound is <=1.0% Asbestos, when the joint compound does not cover the entire surface, floor tile/mastic, asphaltic roofing materials, pliable window glazing/caulking, etc., are normally demolished with the structure, if conducted in accordance with local, state and/or federal regulations, however, require removal during a renovation): None detected. Although a material may have been determined to contain <=1.0% Asbestos, such as the composition of drywall/joint compound (when the joint compound does not cover the entire surface), traces of asbestos in surfacing materials, thermal system insulation materials, or miscellaneous materials, etc., which is not considered Regulated Asbestos Containing Materials by NESHAPS, EPA (AHERA), or the State of Colorado, may still be regulated by OSHA. OSHA regulations may apply during potential disturbance activities, and the inspection document will serve as a Hazard Communication and should be reviewed during an activity such as a renovation or demolition, to ensure that an exposure does not occur. The Maximum Allowable Asbestos Level (MAAL) may not be exceeded at any time in accordance with local, state, and/or federal regulations, including but not limited to AQCC Regulation 8 (State), 29 CFR 1926.1101 (OSHA), 40 CFR Part 61 EPA (NESHAP), and 40 CFR 763 EPA (AHERA). This document serves as a certified notification to the owner/operator of the facility and the demolition contractor that any asbestos-containing material allowed to stay in the facility must remain non-friable during demolition. All building material field information concerning sampling protocols, locations, assessments, etc. is available in our files for Client use should the need arise. Suspect materials which were sampled and determined to contain <=1.0% Asbestos (refer to Attachments), by PLM and/or PLM Point Count analysis are: Yellow Latex Paint on Block, Debris, Surfacing Material (S), <1,000 square feet, Good Condition (Current Condition), Scattered throughout Site, 1 Sample(s) (Confirmation), 112014-1A, Debris, 25 from N Edge of property, 200 from E Edge of property, photo 114419 HERRON Project No. 1120145 Copyright 2014 HERRON Enterprises USA, Inc. All Rights Reserved. Page 13 of 91

Suspect materials which were not within the Scope of Work at the time of the inspection were: 1. All EPA suspect Materials not requested: a. Limited to locations of the submitted plans, only. Any locations/materials not specifically identified, assumed to be a Regulated Asbestos Containing Material, and should be inspected prior to any activity which may disturb the material; i. Refer to materials identified in the report; ii. Inspection does not take into consideration any areas outside of the inspection area(s); iii. All materials not previously indicated by Client; 1. Not applicable. 2. During a normal inspection, and more specifically when non-destructive sampling techniques are employed, it is not within the scope of the inspection to remove surface materials to inspect or quantify the structures and/or materials which may be under the surface, i.e., within or under concealed areas such as under carpet, under sub-floors, within chases, walls, crawlspaces, tunnels, etc., to remove suspect Asbestos Containing Material(s), to move and/or sample electrical wiring which has not been 'locked out', etc. All said areas are to be assumed as containing >1.0% Asbestos, until such a time that these areas are made accessible, and/or rendered safe so that sampling can be performed. Prior to renovations or demolition of these areas, it is recommended that a more destructive protocol be utilized in order to make these determinations. Concealed Materials Based on the nature of the Asbestos which could be concealed, it is recommended: Extensive destructive sampling and quantification of these materials throughout the property in order to determine if concealed locations contain an Asbestos or if isolated to a specific era of remodeling; or If extensive destructive sampling and quantification of these materials is not possible, and presumptions that concealed locations are potentially Asbestos, then it is recommended that a site specific Management Plan be developed and implemented which could effectively manage the future renovations of the property. A Management Plan can be designed to review specific locations of renovation locations, i.e., destructive sampling and quantification through concealed chases, and under carpeting prior to disturbance of these areas by the Owner or Contractors which will assist in the recognition and response to potential health risks from concealed Asbestos. 3. HERRON recommends extreme caution during a renovation or demolition of these areas in the event that an area which was not suspect, visible, accessible and/or specified during the inspection, is discovered to contain or is suspected of containing an Asbestos Containing Material (ACM). Under local, state and/or federal regulations, should such an event occur, the Client and or Contractor is required to cease operations which may effect this (these) material(s) until an inspection is concluded and a determination is made by an AHERA and State Certified Asbestos Building Inspector. 4. Disturbance of these areas could create a potential health hazard. HERRON Project No. 1120145 Copyright 2014 HERRON Enterprises USA, Inc. All Rights Reserved. Page 14 of 91

Suspect materials which were visually inspected and determined to be Non-ACM materials at the time of the inspection were: Fiberglass Wood Glass Metal Plastic Concrete Etc. Inspection Methodology: 1. HERRON selected sample locations and frequency of sampling based on observations, Client requirements and/or the assumption that like materials in the same area are homogeneous in accordance with EPA Publication EPA 560 / 5-85 - 030a Asbestos in Buildings: Simplified Sampling Scheme. 2. Sample locations and frequency of sampling of Walls and Ceilings are based on EPA 9/30/94 EPA Sampling Bulletin - ASBESTOS SAMPLING BULLETIN September 30, 1994 - Supplementary Guidance on Bulk Sample Collection and Analysis. Section V of this guidance bulletin offers a suggested strategy for distinguishing between joint compound found at joints in wallboard systems or when the material was applied as a skim coat; i.e., for determining whether joint compound has been applied as a skim coat over a wall surface (as referred to in the NESHAP Jan. 5, 1994 FR notice.). HERRON Project No. 1120145 Copyright 2014 HERRON Enterprises USA, Inc. All Rights Reserved. Page 15 of 91

Conclusion Building #5 Underground Cellar (Outbuilding) 950 and 970 Chipeta Rd. 1,080 ft 2 The Client has advised that Multiple Buildings, 950 and 970 Chipeta Rd., Montrose, CO 80403 is a complete demolition by wrecking. Based on the information generated by this report, we conclude that the aforementioned property does not contain Regulated Asbestos Containing Material(s) (RACM): None detected. In order to comply with local, state, and/or federal regulations, the following Asbestos Containing Materials, or assumed Asbestos Containing Materials will have to be removed if they will be made friable during a renovation or demolition (if the composition of drywall/joint compound is <=1.0% Asbestos, when the joint compound does not cover the entire surface, floor tile/mastic, asphaltic roofing materials, pliable window glazing/caulking, etc., are normally demolished with the structure, if conducted in accordance with local, state and/or federal regulations, however, require removal during a renovation): None detected. Although a material may have been determined to contain <=1.0% Asbestos, such as the composition of drywall/joint compound (when the joint compound does not cover the entire surface), traces of asbestos in surfacing materials, thermal system insulation materials, or miscellaneous materials, etc., which is not considered Regulated Asbestos Containing Materials by NESHAPS, EPA (AHERA), or the State of Colorado, may still be regulated by OSHA. OSHA regulations may apply during potential disturbance activities, and the inspection document will serve as a Hazard Communication and should be reviewed during an activity such as a renovation or demolition, to ensure that an exposure does not occur. The Maximum Allowable Asbestos Level (MAAL) may not be exceeded at any time in accordance with local, state, and/or federal regulations, including but not limited to AQCC Regulation 8 (State), 29 CFR 1926.1101 (OSHA), 40 CFR Part 61 EPA (NESHAP), and 40 CFR 763 EPA (AHERA). This document serves as a certified notification to the owner/operator of the facility and the demolition contractor that any asbestos-containing material allowed to stay in the facility must remain non-friable during demolition. All building material field information concerning sampling protocols, locations, assessments, etc. is available in our files for Client use should the need arise. Suspect materials which were sampled and determined to contain <=1.0% Asbestos (refer to Attachments), by PLM and/or PLM Point Count analysis are: 1. Not applicable; a. Building 5 Observation of the accessible portions of the building indicate construction of wood and metal. Cellar has collapsed and is not accessible at the time of the inspection. At the time of demolition, access to the cellar should be made to confirm the absence of asbestos-containing materials. HERRON Project No. 1120145 Copyright 2014 HERRON Enterprises USA, Inc. All Rights Reserved. Page 16 of 91

Suspect materials which were not within the Scope of Work at the time of the inspection were: 1. All EPA suspect Materials not requested: a. Limited to locations of the submitted plans, only. Any locations/materials not specifically identified, assumed to be a Regulated Asbestos Containing Material, and should be inspected prior to any activity which may disturb the material; i. Refer to materials identified in the report; ii. Inspection does not take into consideration any areas outside of the inspection area(s); iii. All materials not previously indicated by Client; 1. Building 5 Observation of the accessible portions of the building indicate construction of wood and metal. Cellar has collapsed and is not accessible at the time of the inspection. At the time of demolition, access to the cellar should be made to confirm the absence of asbestos-containing materials. 2. During a normal inspection, and more specifically when non-destructive sampling techniques are employed, it is not within the scope of the inspection to remove surface materials to inspect or quantify the structures and/or materials which may be under the surface, i.e., within or under concealed areas such as under carpet, under sub-floors, within chases, walls, crawlspaces, tunnels, etc., to remove suspect Asbestos Containing Material(s), to move and/or sample electrical wiring which has not been 'locked out', etc. All said areas are to be assumed as containing >1.0% Asbestos, until such a time that these areas are made accessible, and/or rendered safe so that sampling can be performed. Prior to renovations or demolition of these areas, it is recommended that a more destructive protocol be utilized in order to make these determinations. Concealed Materials Based on the nature of the Asbestos which could be concealed, it is recommended: Extensive destructive sampling and quantification of these materials throughout the property in order to determine if concealed locations contain an Asbestos or if isolated to a specific era of remodeling; or If extensive destructive sampling and quantification of these materials is not possible, and presumptions that concealed locations are potentially Asbestos, then it is recommended that a site specific Management Plan be developed and implemented which could effectively manage the future renovations of the property. A Management Plan can be designed to review specific locations of renovation locations, i.e., destructive sampling and quantification through concealed chases, and under carpeting prior to disturbance of these areas by the Owner or Contractors which will assist in the recognition and response to potential health risks from concealed Asbestos. 3. HERRON recommends extreme caution during a renovation or demolition of these areas in the event that an area which was not suspect, visible, accessible and/or specified during the inspection, is discovered to contain or is suspected of containing an Asbestos Containing Material (ACM). Under local, state and/or federal regulations, should such an event occur, the Client and or Contractor is required to cease operations which may effect this (these) material(s) until an inspection is concluded and a determination is made by an AHERA and State Certified Asbestos Building Inspector. 4. Disturbance of these areas could create a potential health hazard. HERRON Project No. 1120145 Copyright 2014 HERRON Enterprises USA, Inc. All Rights Reserved. Page 17 of 91

Suspect materials which were visually inspected and determined to be Non-ACM materials at the time of the inspection were: Fiberglass Wood Glass Metal Plastic Concrete Etc. Inspection Methodology: 1. HERRON selected sample locations and frequency of sampling based on observations, Client requirements and/or the assumption that like materials in the same area are homogeneous in accordance with EPA Publication EPA 560 / 5-85 - 030a Asbestos in Buildings: Simplified Sampling Scheme. 2. Sample locations and frequency of sampling of Walls and Ceilings are based on EPA 9/30/94 EPA Sampling Bulletin - ASBESTOS SAMPLING BULLETIN September 30, 1994 - Supplementary Guidance on Bulk Sample Collection and Analysis. Section V of this guidance bulletin offers a suggested strategy for distinguishing between joint compound found at joints in wallboard systems or when the material was applied as a skim coat; i.e., for determining whether joint compound has been applied as a skim coat over a wall surface (as referred to in the NESHAP Jan. 5, 1994 FR notice.). HERRON Project No. 1120145 Copyright 2014 HERRON Enterprises USA, Inc. All Rights Reserved. Page 18 of 91

Conclusion Building #6 Shack (Outbuilding) 950 and 970 Chipeta Rd. 228 ft 2 The Client has advised that Multiple Buildings, 950 and 970 Chipeta Rd., Montrose, CO 80403 is a complete demolition by wrecking. Based on the information generated by this report, we conclude that the aforementioned property does not contain Regulated Asbestos Containing Material(s) (RACM) however, asbestos transite irrigation pipe (and debris) laying on ground observed during inspection. At the time of this report, Client confirmed that this material had been properly collected by the City. Client advised of subsurface potential of asbestos transite irrigation pipe is not included in this inspection: Sample No. Homogeneous Material Description Transite Pipe, Miscellaneous Material (M), Non-Friable, Good Condition (Breakage, Current Condition), Scattered throughout Site 1 Approximate Quantity 2 AHERA Rating 12 LF 6 >1.0% Asbestos Laboratory Results Layer/ Physical Description 112014-2A Debris, 15 from N Edge of property, 100 from E Edge of property, photo 114548, Sample 1 of 1 12.0% C 3.0% CR A: Tan fibrous cementitious material Building 6 asbestos transite irrigation pipe (and debris) laying on ground observed during inspection. At the time of this report, Client confirmed that this material had been properly collected by the City. Client advised of subsurface potential of asbestos transite irrigation pipe is not included in this inspection. 1 Quantification may not be within the scope of this inspection. 2 AHERA Rating based on current usage however, may change dependent on the use of the property. In order to comply with local, state, and/or federal regulations, the following Asbestos Containing Materials, or assumed Asbestos Containing Materials will have to be removed if they will be made friable during a renovation or demolition (if the composition of drywall/joint compound is <=1.0% Asbestos, when the joint compound does not cover the entire surface, floor tile/mastic, asphaltic roofing materials, pliable window glazing/caulking, etc., are normally demolished with the structure, if conducted in accordance with local, state and/or federal regulations, however, require removal during a renovation): None detected. HERRON Project No. 1120145 Copyright 2014 HERRON Enterprises USA, Inc. All Rights Reserved. Page 19 of 91

AHERA RATINGS Rating Surfacing Material TSI Miscellaneous Material 1 Damaged or Significantly Damaged 2 Damaged 3 Significantly Damaged 4 Damaged or Significantly Damaged 5 Good Condition with Potential for Damage Good Condition with Potential for Damage Good Condition with Potential for Damage 6 Good Condition with Potential for Significant Damage Good Condition with Potential for Significant Damage Good Condition with Potential for Significant Damage 7 Good Condition with Low Potential Good Condition with Low Potential Good Condition with Low Potential Asbestos Forms C = Chrysotile A = Amosite TA = Tremolite- Actinolite Although a material may have been determined to contain <=1.0% Asbestos, such as the composition of drywall/joint compound (when the joint compound does not cover the entire surface), traces of asbestos in surfacing materials, thermal system insulation materials, or miscellaneous materials, etc., which is not considered Regulated Asbestos Containing Materials by NESHAPS, EPA (AHERA), or the State of Colorado, may still be regulated by OSHA. OSHA regulations may apply during potential disturbance activities, and the inspection document will serve as a Hazard Communication and should be reviewed during an activity such as a renovation or demolition, to ensure that an exposure does not occur. The Maximum Allowable Asbestos Level (MAAL) may not be exceeded at any time in accordance with local, state, and/or federal regulations, including but not limited to AQCC Regulation 8 (State), 29 CFR 1926.1101 (OSHA), 40 CFR Part 61 EPA (NESHAP), and 40 CFR 763 EPA (AHERA). This document serves as a certified notification to the owner/operator of the facility and the demolition contractor that any asbestos-containing material allowed to stay in the facility must remain non-friable during demolition. All building material field information concerning sampling protocols, locations, assessments, etc. is available in our files for Client use should the need arise. Suspect materials which were sampled and determined to contain <=1.0% Asbestos (refer to Attachments), by PLM and/or PLM Point Count analysis are: Cream Latex Paint on Metal, Debris, Surfacing Material (S), <1,000 square feet, Good Condition (Current Condition), Scattered throughout Site, 1 Sample(s) (Confirmation), 112014-4A, 3 from N Edge of Building 6, 1 from E Edge of Building 6, photo 115820 HERRON Project No. 1120145 Copyright 2014 HERRON Enterprises USA, Inc. All Rights Reserved. Page 20 of 91

Suspect materials which were not within the Scope of Work at the time of the inspection were: 1. All EPA suspect Materials not requested: a. Limited to locations of the submitted plans, only. Any locations/materials not specifically identified, assumed to be a Regulated Asbestos Containing Material, and should be inspected prior to any activity which may disturb the material; i. Refer to materials identified in the report; ii. Inspection does not take into consideration any areas outside of the inspection area(s); iii. All materials not previously indicated by Client; 1. Building 6 asbestos transite irrigation pipe (and debris) laying on ground observed during inspection. At the time of this report, Client confirmed that this material had been properly collected by the City. Client advised of subsurface potential of asbestos transite irrigation pipe is not included in this inspection. 2. During a normal inspection, and more specifically when non-destructive sampling techniques are employed, it is not within the scope of the inspection to remove surface materials to inspect or quantify the structures and/or materials which may be under the surface, i.e., within or under concealed areas such as under carpet, under sub-floors, within chases, walls, crawlspaces, tunnels, etc., to remove suspect Asbestos Containing Material(s), to move and/or sample electrical wiring which has not been 'locked out', etc. All said areas are to be assumed as containing >1.0% Asbestos, until such a time that these areas are made accessible, and/or rendered safe so that sampling can be performed. Prior to renovations or demolition of these areas, it is recommended that a more destructive protocol be utilized in order to make these determinations. Concealed Materials Based on the nature of the Asbestos which could be concealed, it is recommended: Extensive destructive sampling and quantification of these materials throughout the property in order to determine if concealed locations contain an Asbestos or if isolated to a specific era of remodeling; or If extensive destructive sampling and quantification of these materials is not possible, and presumptions that concealed locations are potentially Asbestos, then it is recommended that a site specific Management Plan be developed and implemented which could effectively manage the future renovations of the property. A Management Plan can be designed to review specific locations of renovation locations, i.e., destructive sampling and quantification through concealed chases, and under carpeting prior to disturbance of these areas by the Owner or Contractors which will assist in the recognition and response to potential health risks from concealed Asbestos. 3. HERRON recommends extreme caution during a renovation or demolition of these areas in the event that an area which was not suspect, visible, accessible and/or specified during the inspection, is discovered to contain or is suspected of containing an Asbestos Containing Material (ACM). Under local, state and/or federal regulations, should such an event occur, the Client and or Contractor is required to cease operations which may effect this (these) material(s) until an inspection is concluded and a determination is made by an AHERA and State Certified Asbestos Building Inspector. 4. Disturbance of these areas could create a potential health hazard. HERRON Project No. 1120145 Copyright 2014 HERRON Enterprises USA, Inc. All Rights Reserved. Page 21 of 91

Suspect materials which were visually inspected and determined to be Non-ACM materials at the time of the inspection were: Fiberglass Wood Glass Metal Plastic Concrete Etc. Inspection Methodology: 1. HERRON selected sample locations and frequency of sampling based on observations, Client requirements and/or the assumption that like materials in the same area are homogeneous in accordance with EPA Publication EPA 560 / 5-85 - 030a Asbestos in Buildings: Simplified Sampling Scheme. 2. Sample locations and frequency of sampling of Walls and Ceilings are based on EPA 9/30/94 EPA Sampling Bulletin - ASBESTOS SAMPLING BULLETIN September 30, 1994 - Supplementary Guidance on Bulk Sample Collection and Analysis. Section V of this guidance bulletin offers a suggested strategy for distinguishing between joint compound found at joints in wallboard systems or when the material was applied as a skim coat; i.e., for determining whether joint compound has been applied as a skim coat over a wall surface (as referred to in the NESHAP Jan. 5, 1994 FR notice.). HERRON Project No. 1120145 Copyright 2014 HERRON Enterprises USA, Inc. All Rights Reserved. Page 22 of 91

Conclusion Building #7 Horse Stable (Outbuilding) 950 and 970 Chipeta Rd. 675 ft 2 The Client has advised that Multiple Buildings, 950 and 970 Chipeta Rd., Montrose, CO 80403 is a complete demolition by wrecking. Based on the information generated by this report, we conclude that the aforementioned property does not contain Regulated Asbestos Containing Material(s) (RACM): None detected. In order to comply with local, state, and/or federal regulations, the following Asbestos Containing Materials, or assumed Asbestos Containing Materials will have to be removed if they will be made friable during a renovation or demolition (if the composition of drywall/joint compound is <=1.0% Asbestos, when the joint compound does not cover the entire surface, floor tile/mastic, asphaltic roofing materials, pliable window glazing/caulking, etc., are normally demolished with the structure, if conducted in accordance with local, state and/or federal regulations, however, require removal during a renovation): None detected. Although a material may have been determined to contain <=1.0% Asbestos, such as the composition of drywall/joint compound (when the joint compound does not cover the entire surface), traces of asbestos in surfacing materials, thermal system insulation materials, or miscellaneous materials, etc., which is not considered Regulated Asbestos Containing Materials by NESHAPS, EPA (AHERA), or the State of Colorado, may still be regulated by OSHA. OSHA regulations may apply during potential disturbance activities, and the inspection document will serve as a Hazard Communication and should be reviewed during an activity such as a renovation or demolition, to ensure that an exposure does not occur. The Maximum Allowable Asbestos Level (MAAL) may not be exceeded at any time in accordance with local, state, and/or federal regulations, including but not limited to AQCC Regulation 8 (State), 29 CFR 1926.1101 (OSHA), 40 CFR Part 61 EPA (NESHAP), and 40 CFR 763 EPA (AHERA). This document serves as a certified notification to the owner/operator of the facility and the demolition contractor that any asbestos-containing material allowed to stay in the facility must remain non-friable during demolition. All building material field information concerning sampling protocols, locations, assessments, etc. is available in our files for Client use should the need arise. Suspect materials which were sampled and determined to contain <=1.0% Asbestos (refer to Attachments), by PLM and/or PLM Point Count analysis are: 1. Not applicable; a. Building constructed of wood and metal. Suspect materials which were not within the Scope of Work at the time of the inspection were: 1. All EPA suspect Materials not requested: a. Limited to locations of the submitted plans, only. Any locations/materials not specifically identified, assumed to be a Regulated Asbestos Containing Material, and should be inspected prior to any activity which may disturb the material; i. Refer to materials identified in the report; ii. Inspection does not take into consideration any areas outside of the inspection area(s); iii. All materials not previously indicated by Client; 1. Not applicable. HERRON Project No. 1120145 Copyright 2014 HERRON Enterprises USA, Inc. All Rights Reserved. Page 23 of 91

2. During a normal inspection, and more specifically when non-destructive sampling techniques are employed, it is not within the scope of the inspection to remove surface materials to inspect or quantify the structures and/or materials which may be under the surface, i.e., within or under concealed areas such as under carpet, under sub-floors, within chases, walls, crawlspaces, tunnels, etc., to remove suspect Asbestos Containing Material(s), to move and/or sample electrical wiring which has not been 'locked out', etc. All said areas are to be assumed as containing >1.0% Asbestos, until such a time that these areas are made accessible, and/or rendered safe so that sampling can be performed. Prior to renovations or demolition of these areas, it is recommended that a more destructive protocol be utilized in order to make these determinations. Concealed Materials Based on the nature of the Asbestos which could be concealed, it is recommended: Extensive destructive sampling and quantification of these materials throughout the property in order to determine if concealed locations contain an Asbestos or if isolated to a specific era of remodeling; or If extensive destructive sampling and quantification of these materials is not possible, and presumptions that concealed locations are potentially Asbestos, then it is recommended that a site specific Management Plan be developed and implemented which could effectively manage the future renovations of the property. A Management Plan can be designed to review specific locations of renovation locations, i.e., destructive sampling and quantification through concealed chases, and under carpeting prior to disturbance of these areas by the Owner or Contractors which will assist in the recognition and response to potential health risks from concealed Asbestos. 3. HERRON recommends extreme caution during a renovation or demolition of these areas in the event that an area which was not suspect, visible, accessible and/or specified during the inspection, is discovered to contain or is suspected of containing an Asbestos Containing Material (ACM). Under local, state and/or federal regulations, should such an event occur, the Client and or Contractor is required to cease operations which may effect this (these) material(s) until an inspection is concluded and a determination is made by an AHERA and State Certified Asbestos Building Inspector. 4. Disturbance of these areas could create a potential health hazard. HERRON Project No. 1120145 Copyright 2014 HERRON Enterprises USA, Inc. All Rights Reserved. Page 24 of 91

Suspect materials which were visually inspected and determined to be Non-ACM materials at the time of the inspection were: Fiberglass Wood Glass Metal Plastic Concrete Etc. Inspection Methodology: 1. HERRON selected sample locations and frequency of sampling based on observations, Client requirements and/or the assumption that like materials in the same area are homogeneous in accordance with EPA Publication EPA 560 / 5-85 - 030a Asbestos in Buildings: Simplified Sampling Scheme. 2. Sample locations and frequency of sampling of Walls and Ceilings are based on EPA 9/30/94 EPA Sampling Bulletin - ASBESTOS SAMPLING BULLETIN September 30, 1994 - Supplementary Guidance on Bulk Sample Collection and Analysis. Section V of this guidance bulletin offers a suggested strategy for distinguishing between joint compound found at joints in wallboard systems or when the material was applied as a skim coat; i.e., for determining whether joint compound has been applied as a skim coat over a wall surface (as referred to in the NESHAP Jan. 5, 1994 FR notice.). HERRON Project No. 1120145 Copyright 2014 HERRON Enterprises USA, Inc. All Rights Reserved. Page 25 of 91

Conclusion Building #8 Workshop (Outbuilding) 950 and 970 Chipeta Rd. 300 ft 2 The Client has advised that Multiple Buildings, 950 and 970 Chipeta Rd., Montrose, CO 80403 is a complete demolition by wrecking. Based on the information generated by this report, we conclude that the aforementioned property does not contain Regulated Asbestos Containing Material(s) (RACM): None detected. In order to comply with local, state, and/or federal regulations, the following Asbestos Containing Materials, or assumed Asbestos Containing Materials will have to be removed if they will be made friable during a renovation or demolition (if the composition of drywall/joint compound is <=1.0% Asbestos, when the joint compound does not cover the entire surface, floor tile/mastic, asphaltic roofing materials, pliable window glazing/caulking, etc., are normally demolished with the structure, if conducted in accordance with local, state and/or federal regulations, however, require removal during a renovation): None detected. Although a material may have been determined to contain <=1.0% Asbestos, such as the composition of drywall/joint compound (when the joint compound does not cover the entire surface), traces of asbestos in surfacing materials, thermal system insulation materials, or miscellaneous materials, etc., which is not considered Regulated Asbestos Containing Materials by NESHAPS, EPA (AHERA), or the State of Colorado, may still be regulated by OSHA. OSHA regulations may apply during potential disturbance activities, and the inspection document will serve as a Hazard Communication and should be reviewed during an activity such as a renovation or demolition, to ensure that an exposure does not occur. The Maximum Allowable Asbestos Level (MAAL) may not be exceeded at any time in accordance with local, state, and/or federal regulations, including but not limited to AQCC Regulation 8 (State), 29 CFR 1926.1101 (OSHA), 40 CFR Part 61 EPA (NESHAP), and 40 CFR 763 EPA (AHERA). This document serves as a certified notification to the owner/operator of the facility and the demolition contractor that any asbestos-containing material allowed to stay in the facility must remain non-friable during demolition. All building material field information concerning sampling protocols, locations, assessments, etc. is available in our files for Client use should the need arise. Suspect materials which were sampled and determined to contain <=1.0% Asbestos (refer to Attachments), by PLM and/or PLM Point Count analysis are: Beige Latex Paint, Surfacing Material (S), <1,000 square feet, Good Condition (Current Condition), throughout Interior, 1 Sample(s) (Confirmation), 112014-5A, Ceiling, 7 from N Wall, 5 from W Wall, photo 120942 White Sheet Flooring, Debris, Miscellaneous Material (M), >160 square feet, Good Condition (Current Condition), Scattered throughout Site North of Building 8, 1 Sample(s), 112014-3A, 50 from N Edge of Building 8, 50 from E Edge of property, photo 114856 HERRON Project No. 1120145 Copyright 2014 HERRON Enterprises USA, Inc. All Rights Reserved. Page 26 of 91

Suspect materials which were not within the Scope of Work at the time of the inspection were: 1. All EPA suspect Materials not requested: a. Limited to locations of the submitted plans, only. Any locations/materials not specifically identified, assumed to be a Regulated Asbestos Containing Material, and should be inspected prior to any activity which may disturb the material; i. Refer to materials identified in the report; ii. Inspection does not take into consideration any areas outside of the inspection area(s); iii. All materials not previously indicated by Client; 1. Not applicable. 2. During a normal inspection, and more specifically when non-destructive sampling techniques are employed, it is not within the scope of the inspection to remove surface materials to inspect or quantify the structures and/or materials which may be under the surface, i.e., within or under concealed areas such as under carpet, under sub-floors, within chases, walls, crawlspaces, tunnels, etc., to remove suspect Asbestos Containing Material(s), to move and/or sample electrical wiring which has not been 'locked out', etc. All said areas are to be assumed as containing >1.0% Asbestos, until such a time that these areas are made accessible, and/or rendered safe so that sampling can be performed. Prior to renovations or demolition of these areas, it is recommended that a more destructive protocol be utilized in order to make these determinations. Concealed Materials Based on the nature of the Asbestos which could be concealed, it is recommended: Extensive destructive sampling and quantification of these materials throughout the property in order to determine if concealed locations contain an Asbestos or if isolated to a specific era of remodeling; or If extensive destructive sampling and quantification of these materials is not possible, and presumptions that concealed locations are potentially Asbestos, then it is recommended that a site specific Management Plan be developed and implemented which could effectively manage the future renovations of the property. A Management Plan can be designed to review specific locations of renovation locations, i.e., destructive sampling and quantification through concealed chases, and under carpeting prior to disturbance of these areas by the Owner or Contractors which will assist in the recognition and response to potential health risks from concealed Asbestos. 3. HERRON recommends extreme caution during a renovation or demolition of these areas in the event that an area which was not suspect, visible, accessible and/or specified during the inspection, is discovered to contain or is suspected of containing an Asbestos Containing Material (ACM). Under local, state and/or federal regulations, should such an event occur, the Client and or Contractor is required to cease operations which may effect this (these) material(s) until an inspection is concluded and a determination is made by an AHERA and State Certified Asbestos Building Inspector. 4. Disturbance of these areas could create a potential health hazard. HERRON Project No. 1120145 Copyright 2014 HERRON Enterprises USA, Inc. All Rights Reserved. Page 27 of 91

Suspect materials which were visually inspected and determined to be Non-ACM materials at the time of the inspection were: Fiberglass Wood Glass Metal Plastic Concrete Etc. Inspection Methodology: 1. HERRON selected sample locations and frequency of sampling based on observations, Client requirements and/or the assumption that like materials in the same area are homogeneous in accordance with EPA Publication EPA 560 / 5-85 - 030a Asbestos in Buildings: Simplified Sampling Scheme. 2. Sample locations and frequency of sampling of Walls and Ceilings are based on EPA 9/30/94 EPA Sampling Bulletin - ASBESTOS SAMPLING BULLETIN September 30, 1994 - Supplementary Guidance on Bulk Sample Collection and Analysis. Section V of this guidance bulletin offers a suggested strategy for distinguishing between joint compound found at joints in wallboard systems or when the material was applied as a skim coat; i.e., for determining whether joint compound has been applied as a skim coat over a wall surface (as referred to in the NESHAP Jan. 5, 1994 FR notice.). HERRON Project No. 1120145 Copyright 2014 HERRON Enterprises USA, Inc. All Rights Reserved. Page 28 of 91

Conclusion Building #9 Chicken Shack (Outbuilding) 950 and 970 Chipeta Rd. 400 ft 2 The Client has advised that Multiple Buildings, 950 and 970 Chipeta Rd., Montrose, CO 80403 is a complete demolition by wrecking. Based on the information generated by this report, we conclude that the aforementioned property does not contain Regulated Asbestos Containing Material(s) (RACM): None detected. In order to comply with local, state, and/or federal regulations, the following Asbestos Containing Materials, or assumed Asbestos Containing Materials will have to be removed if they will be made friable during a renovation or demolition (if the composition of drywall/joint compound is <=1.0% Asbestos, when the joint compound does not cover the entire surface, floor tile/mastic, asphaltic roofing materials, pliable window glazing/caulking, etc., are normally demolished with the structure, if conducted in accordance with local, state and/or federal regulations, however, require removal during a renovation): None detected. Although a material may have been determined to contain <=1.0% Asbestos, such as the composition of drywall/joint compound (when the joint compound does not cover the entire surface), traces of asbestos in surfacing materials, thermal system insulation materials, or miscellaneous materials, etc., which is not considered Regulated Asbestos Containing Materials by NESHAPS, EPA (AHERA), or the State of Colorado, may still be regulated by OSHA. OSHA regulations may apply during potential disturbance activities, and the inspection document will serve as a Hazard Communication and should be reviewed during an activity such as a renovation or demolition, to ensure that an exposure does not occur. The Maximum Allowable Asbestos Level (MAAL) may not be exceeded at any time in accordance with local, state, and/or federal regulations, including but not limited to AQCC Regulation 8 (State), 29 CFR 1926.1101 (OSHA), 40 CFR Part 61 EPA (NESHAP), and 40 CFR 763 EPA (AHERA). This document serves as a certified notification to the owner/operator of the facility and the demolition contractor that any asbestos-containing material allowed to stay in the facility must remain non-friable during demolition. All building material field information concerning sampling protocols, locations, assessments, etc. is available in our files for Client use should the need arise. Suspect materials which were sampled and determined to contain <=1.0% Asbestos (refer to Attachments), by PLM and/or PLM Point Count analysis are: 1. Not applicable; a. Building constructed of wood and metal. Suspect materials which were not within the Scope of Work at the time of the inspection were: 1. All EPA suspect Materials not requested: a. Limited to locations of the submitted plans, only. Any locations/materials not specifically identified, assumed to be a Regulated Asbestos Containing Material, and should be inspected prior to any activity which may disturb the material; i. Refer to materials identified in the report; ii. Inspection does not take into consideration any areas outside of the inspection area(s); iii. All materials not previously indicated by Client; 1. Not applicable. HERRON Project No. 1120145 Copyright 2014 HERRON Enterprises USA, Inc. All Rights Reserved. Page 29 of 91

2. During a normal inspection, and more specifically when non-destructive sampling techniques are employed, it is not within the scope of the inspection to remove surface materials to inspect or quantify the structures and/or materials which may be under the surface, i.e., within or under concealed areas such as under carpet, under sub-floors, within chases, walls, crawlspaces, tunnels, etc., to remove suspect Asbestos Containing Material(s), to move and/or sample electrical wiring which has not been 'locked out', etc. All said areas are to be assumed as containing >1.0% Asbestos, until such a time that these areas are made accessible, and/or rendered safe so that sampling can be performed. Prior to renovations or demolition of these areas, it is recommended that a more destructive protocol be utilized in order to make these determinations. Concealed Materials Based on the nature of the Asbestos which could be concealed, it is recommended: Extensive destructive sampling and quantification of these materials throughout the property in order to determine if concealed locations contain an Asbestos or if isolated to a specific era of remodeling; or If extensive destructive sampling and quantification of these materials is not possible, and presumptions that concealed locations are potentially Asbestos, then it is recommended that a site specific Management Plan be developed and implemented which could effectively manage the future renovations of the property. A Management Plan can be designed to review specific locations of renovation locations, i.e., destructive sampling and quantification through concealed chases, and under carpeting prior to disturbance of these areas by the Owner or Contractors which will assist in the recognition and response to potential health risks from concealed Asbestos. 3. HERRON recommends extreme caution during a renovation or demolition of these areas in the event that an area which was not suspect, visible, accessible and/or specified during the inspection, is discovered to contain or is suspected of containing an Asbestos Containing Material (ACM). Under local, state and/or federal regulations, should such an event occur, the Client and or Contractor is required to cease operations which may effect this (these) material(s) until an inspection is concluded and a determination is made by an AHERA and State Certified Asbestos Building Inspector. 4. Disturbance of these areas could create a potential health hazard. HERRON Project No. 1120145 Copyright 2014 HERRON Enterprises USA, Inc. All Rights Reserved. Page 30 of 91

Suspect materials which were visually inspected and determined to be Non-ACM materials at the time of the inspection were: Fiberglass Wood Glass Metal Plastic Concrete Etc. Inspection Methodology: 1. HERRON selected sample locations and frequency of sampling based on observations, Client requirements and/or the assumption that like materials in the same area are homogeneous in accordance with EPA Publication EPA 560 / 5-85 - 030a Asbestos in Buildings: Simplified Sampling Scheme. 2. Sample locations and frequency of sampling of Walls and Ceilings are based on EPA 9/30/94 EPA Sampling Bulletin - ASBESTOS SAMPLING BULLETIN September 30, 1994 - Supplementary Guidance on Bulk Sample Collection and Analysis. Section V of this guidance bulletin offers a suggested strategy for distinguishing between joint compound found at joints in wallboard systems or when the material was applied as a skim coat; i.e., for determining whether joint compound has been applied as a skim coat over a wall surface (as referred to in the NESHAP Jan. 5, 1994 FR notice.). HERRON Project No. 1120145 Copyright 2014 HERRON Enterprises USA, Inc. All Rights Reserved. Page 31 of 91

Conclusion Building #10 Underground Cellar (Outbuilding) 950 and 970 Chipeta Rd. 144 ft 2 The Client has advised that Multiple Buildings, 950 and 970 Chipeta Rd., Montrose, CO 80403 is a complete demolition by wrecking. Based on the information generated by this report, we conclude that the aforementioned property does not contain Regulated Asbestos Containing Material(s) (RACM): None detected. In order to comply with local, state, and/or federal regulations, the following Asbestos Containing Materials, or assumed Asbestos Containing Materials will have to be removed if they will be made friable during a renovation or demolition (if the composition of drywall/joint compound is <=1.0% Asbestos, when the joint compound does not cover the entire surface, floor tile/mastic, asphaltic roofing materials, pliable window glazing/caulking, etc., are normally demolished with the structure, if conducted in accordance with local, state and/or federal regulations, however, require removal during a renovation): None detected. Although a material may have been determined to contain <=1.0% Asbestos, such as the composition of drywall/joint compound (when the joint compound does not cover the entire surface), traces of asbestos in surfacing materials, thermal system insulation materials, or miscellaneous materials, etc., which is not considered Regulated Asbestos Containing Materials by NESHAPS, EPA (AHERA), or the State of Colorado, may still be regulated by OSHA. OSHA regulations may apply during potential disturbance activities, and the inspection document will serve as a Hazard Communication and should be reviewed during an activity such as a renovation or demolition, to ensure that an exposure does not occur. The Maximum Allowable Asbestos Level (MAAL) may not be exceeded at any time in accordance with local, state, and/or federal regulations, including but not limited to AQCC Regulation 8 (State), 29 CFR 1926.1101 (OSHA), 40 CFR Part 61 EPA (NESHAP), and 40 CFR 763 EPA (AHERA). This document serves as a certified notification to the owner/operator of the facility and the demolition contractor that any asbestos-containing material allowed to stay in the facility must remain non-friable during demolition. All building material field information concerning sampling protocols, locations, assessments, etc. is available in our files for Client use should the need arise. Suspect materials which were sampled and determined to contain <=1.0% Asbestos (refer to Attachments), by PLM and/or PLM Point Count analysis are: White Latex Paint, Surfacing Material (S), <1,000 square feet, Good Condition (Current Condition), throughout Interior, 1 Sample(s) (Confirmation), 112014-11A, Ceiling, 2 from E Wall, 6 from S Wall, photo 125258 Cream Textured Paint, Surfacing Material (S), <1,000 square feet, Good Condition (Current Condition), throughout Exterior 3 Sample(s), 112014-12A, N Wall, 2 from W Edge of Building 10, 3 from Ground, photo 125310 112014-12B, N Wall, 4 from W Edge of Building 10, 5 from Ground, photo 125316 112014-12C, W Wall,.25 from S Edge of Building 10, 2 from Ground, photo 125321 HERRON Project No. 1120145 Copyright 2014 HERRON Enterprises USA, Inc. All Rights Reserved. Page 32 of 91

Suspect materials which were not within the Scope of Work at the time of the inspection were: 1. All EPA suspect Materials not requested: a. Limited to locations of the submitted plans, only. Any locations/materials not specifically identified, assumed to be a Regulated Asbestos Containing Material, and should be inspected prior to any activity which may disturb the material; i. Refer to materials identified in the report; ii. Inspection does not take into consideration any areas outside of the inspection area(s); iii. All materials not previously indicated by Client; 1. Not applicable. 2. During a normal inspection, and more specifically when non-destructive sampling techniques are employed, it is not within the scope of the inspection to remove surface materials to inspect or quantify the structures and/or materials which may be under the surface, i.e., within or under concealed areas such as under carpet, under sub-floors, within chases, walls, crawlspaces, tunnels, etc., to remove suspect Asbestos Containing Material(s), to move and/or sample electrical wiring which has not been 'locked out', etc. All said areas are to be assumed as containing >1.0% Asbestos, until such a time that these areas are made accessible, and/or rendered safe so that sampling can be performed. Prior to renovations or demolition of these areas, it is recommended that a more destructive protocol be utilized in order to make these determinations. Concealed Materials Based on the nature of the Asbestos which could be concealed, it is recommended: Extensive destructive sampling and quantification of these materials throughout the property in order to determine if concealed locations contain an Asbestos or if isolated to a specific era of remodeling; or If extensive destructive sampling and quantification of these materials is not possible, and presumptions that concealed locations are potentially Asbestos, then it is recommended that a site specific Management Plan be developed and implemented which could effectively manage the future renovations of the property. A Management Plan can be designed to review specific locations of renovation locations, i.e., destructive sampling and quantification through concealed chases, and under carpeting prior to disturbance of these areas by the Owner or Contractors which will assist in the recognition and response to potential health risks from concealed Asbestos. 3. HERRON recommends extreme caution during a renovation or demolition of these areas in the event that an area which was not suspect, visible, accessible and/or specified during the inspection, is discovered to contain or is suspected of containing an Asbestos Containing Material (ACM). Under local, state and/or federal regulations, should such an event occur, the Client and or Contractor is required to cease operations which may effect this (these) material(s) until an inspection is concluded and a determination is made by an AHERA and State Certified Asbestos Building Inspector. 4. Disturbance of these areas could create a potential health hazard. HERRON Project No. 1120145 Copyright 2014 HERRON Enterprises USA, Inc. All Rights Reserved. Page 33 of 91

Suspect materials which were visually inspected and determined to be Non-ACM materials at the time of the inspection were: Fiberglass Wood Glass Metal Plastic Concrete Etc. Inspection Methodology: 1. HERRON selected sample locations and frequency of sampling based on observations, Client requirements and/or the assumption that like materials in the same area are homogeneous in accordance with EPA Publication EPA 560 / 5-85 - 030a Asbestos in Buildings: Simplified Sampling Scheme. 2. Sample locations and frequency of sampling of Walls and Ceilings are based on EPA 9/30/94 EPA Sampling Bulletin - ASBESTOS SAMPLING BULLETIN September 30, 1994 - Supplementary Guidance on Bulk Sample Collection and Analysis. Section V of this guidance bulletin offers a suggested strategy for distinguishing between joint compound found at joints in wallboard systems or when the material was applied as a skim coat; i.e., for determining whether joint compound has been applied as a skim coat over a wall surface (as referred to in the NESHAP Jan. 5, 1994 FR notice.). HERRON Project No. 1120145 Copyright 2014 HERRON Enterprises USA, Inc. All Rights Reserved. Page 34 of 91

Conclusion Building #11 Storage Shed (Outbuilding) 950 and 970 Chipeta Rd. 50 ft 2 The Client has advised that Multiple Buildings, 950 and 970 Chipeta Rd., Montrose, CO 80403 is a complete demolition by wrecking. Based on the information generated by this report, we conclude that the aforementioned property does not contain Regulated Asbestos Containing Material(s) (RACM): None detected. In order to comply with local, state, and/or federal regulations, the following Asbestos Containing Materials, or assumed Asbestos Containing Materials will have to be removed if they will be made friable during a renovation or demolition (if the composition of drywall/joint compound is <=1.0% Asbestos, when the joint compound does not cover the entire surface, floor tile/mastic, asphaltic roofing materials, pliable window glazing/caulking, etc., are normally demolished with the structure, if conducted in accordance with local, state and/or federal regulations, however, require removal during a renovation): None detected. Although a material may have been determined to contain <=1.0% Asbestos, such as the composition of drywall/joint compound (when the joint compound does not cover the entire surface), traces of asbestos in surfacing materials, thermal system insulation materials, or miscellaneous materials, etc., which is not considered Regulated Asbestos Containing Materials by NESHAPS, EPA (AHERA), or the State of Colorado, may still be regulated by OSHA. OSHA regulations may apply during potential disturbance activities, and the inspection document will serve as a Hazard Communication and should be reviewed during an activity such as a renovation or demolition, to ensure that an exposure does not occur. The Maximum Allowable Asbestos Level (MAAL) may not be exceeded at any time in accordance with local, state, and/or federal regulations, including but not limited to AQCC Regulation 8 (State), 29 CFR 1926.1101 (OSHA), 40 CFR Part 61 EPA (NESHAP), and 40 CFR 763 EPA (AHERA). This document serves as a certified notification to the owner/operator of the facility and the demolition contractor that any asbestos-containing material allowed to stay in the facility must remain non-friable during demolition. All building material field information concerning sampling protocols, locations, assessments, etc. is available in our files for Client use should the need arise. Suspect materials which were sampled and determined to contain <=1.0% Asbestos (refer to Attachments), by PLM and/or PLM Point Count analysis are: 1. Not applicable; a. Building constructed of wood and metal. Suspect materials which were not within the Scope of Work at the time of the inspection were: 1. All EPA suspect Materials not requested: a. Limited to locations of the submitted plans, only. Any locations/materials not specifically identified, assumed to be a Regulated Asbestos Containing Material, and should be inspected prior to any activity which may disturb the material; i. Refer to materials identified in the report; ii. Inspection does not take into consideration any areas outside of the inspection area(s); iii. All materials not previously indicated by Client; 1. Not applicable. HERRON Project No. 1120145 Copyright 2014 HERRON Enterprises USA, Inc. All Rights Reserved. Page 35 of 91

2. During a normal inspection, and more specifically when non-destructive sampling techniques are employed, it is not within the scope of the inspection to remove surface materials to inspect or quantify the structures and/or materials which may be under the surface, i.e., within or under concealed areas such as under carpet, under sub-floors, within chases, walls, crawlspaces, tunnels, etc., to remove suspect Asbestos Containing Material(s), to move and/or sample electrical wiring which has not been 'locked out', etc. All said areas are to be assumed as containing >1.0% Asbestos, until such a time that these areas are made accessible, and/or rendered safe so that sampling can be performed. Prior to renovations or demolition of these areas, it is recommended that a more destructive protocol be utilized in order to make these determinations. Concealed Materials Based on the nature of the Asbestos which could be concealed, it is recommended: Extensive destructive sampling and quantification of these materials throughout the property in order to determine if concealed locations contain an Asbestos or if isolated to a specific era of remodeling; or If extensive destructive sampling and quantification of these materials is not possible, and presumptions that concealed locations are potentially Asbestos, then it is recommended that a site specific Management Plan be developed and implemented which could effectively manage the future renovations of the property. A Management Plan can be designed to review specific locations of renovation locations, i.e., destructive sampling and quantification through concealed chases, and under carpeting prior to disturbance of these areas by the Owner or Contractors which will assist in the recognition and response to potential health risks from concealed Asbestos. 3. HERRON recommends extreme caution during a renovation or demolition of these areas in the event that an area which was not suspect, visible, accessible and/or specified during the inspection, is discovered to contain or is suspected of containing an Asbestos Containing Material (ACM). Under local, state and/or federal regulations, should such an event occur, the Client and or Contractor is required to cease operations which may effect this (these) material(s) until an inspection is concluded and a determination is made by an AHERA and State Certified Asbestos Building Inspector. 4. Disturbance of these areas could create a potential health hazard. HERRON Project No. 1120145 Copyright 2014 HERRON Enterprises USA, Inc. All Rights Reserved. Page 36 of 91

Suspect materials which were visually inspected and determined to be Non-ACM materials at the time of the inspection were: Fiberglass Wood Glass Metal Plastic Concrete Etc. Inspection Methodology: 1. HERRON selected sample locations and frequency of sampling based on observations, Client requirements and/or the assumption that like materials in the same area are homogeneous in accordance with EPA Publication EPA 560 / 5-85 - 030a Asbestos in Buildings: Simplified Sampling Scheme. 2. Sample locations and frequency of sampling of Walls and Ceilings are based on EPA 9/30/94 EPA Sampling Bulletin - ASBESTOS SAMPLING BULLETIN September 30, 1994 - Supplementary Guidance on Bulk Sample Collection and Analysis. Section V of this guidance bulletin offers a suggested strategy for distinguishing between joint compound found at joints in wallboard systems or when the material was applied as a skim coat; i.e., for determining whether joint compound has been applied as a skim coat over a wall surface (as referred to in the NESHAP Jan. 5, 1994 FR notice.). HERRON Project No. 1120145 Copyright 2014 HERRON Enterprises USA, Inc. All Rights Reserved. Page 37 of 91

Conclusion Two Story House 970 Chipeta Rd. 1,550 ft 2 The Client has advised that Multiple Buildings, 950 and 970 Chipeta Rd., Montrose, CO 80403 is a complete demolition by wrecking. Based on the information generated by this report, we conclude that the aforementioned property does not contain Regulated Asbestos Containing Material(s) (RACM): None detected. In order to comply with local, state, and/or federal regulations, the following Asbestos Containing Materials, or assumed Asbestos Containing Materials will have to be removed if they will be made friable during a renovation or demolition (if the composition of drywall/joint compound is <=1.0% Asbestos, when the joint compound does not cover the entire surface, floor tile/mastic, asphaltic roofing materials, pliable window glazing/caulking, etc., are normally demolished with the structure, if conducted in accordance with local, state and/or federal regulations, however, require removal during a renovation): None detected. Although a material may have been determined to contain <=1.0% Asbestos, such as the composition of drywall/joint compound (when the joint compound does not cover the entire surface), traces of asbestos in surfacing materials, thermal system insulation materials, or miscellaneous materials, etc., which is not considered Regulated Asbestos Containing Materials by NESHAPS, EPA (AHERA), or the State of Colorado, may still be regulated by OSHA. OSHA regulations may apply during potential disturbance activities, and the inspection document will serve as a Hazard Communication and should be reviewed during an activity such as a renovation or demolition, to ensure that an exposure does not occur. The Maximum Allowable Asbestos Level (MAAL) may not be exceeded at any time in accordance with local, state, and/or federal regulations, including but not limited to AQCC Regulation 8 (State), 29 CFR 1926.1101 (OSHA), 40 CFR Part 61 EPA (NESHAP), and 40 CFR 763 EPA (AHERA). This document serves as a certified notification to the owner/operator of the facility and the demolition contractor that any asbestos-containing material allowed to stay in the facility must remain non-friable during demolition. All building material field information concerning sampling protocols, locations, assessments, etc. is available in our files for Client use should the need arise. Suspect materials which were sampled and determined to contain <=1.0% Asbestos (refer to Attachments), by PLM and/or PLM Point Count analysis are: Brown Latex Paint, Surfacing Material (S), <1,000 square feet, Good Condition (Current Condition), throughout Exterior, 1 Sample(s) (Confirmation), 112014-9A, E Wall, 3 from S Wall, 1 from Ground, photo 124728 White Caulk, Miscellaneous Material (M), <160 square feet, Good Condition (Current Condition), throughout Exterior, 2 Sample(s), 112014-10A, E Wall, 5 from S Wall, 4 from Ground, photo 111046 112014-10B, S Wall, 6 from W Wall, 3 from Ground, photo 124736 Beige Latex Paint, Surfacing Material (S), <1,000 square feet, Good Condition (Current Condition), throughout Exterior, 1 Sample(s) (Confirmation), 112014-13A, N Wall, 10 from E Wall, 6 from Ground, photo 125901 HERRON Project No. 1120145 Copyright 2014 HERRON Enterprises USA, Inc. All Rights Reserved. Page 38 of 91

White Latex Paint, Surfacing Material (S), <1,000 square feet, Good Condition (Current Condition), throughout Interior kitchen, 1 Sample(s) (Confirmation), 112014-14A, W Wall, 8 from N Wall, 4 from Ground, photo 130554 Brown Sheet Flooring, Miscellaneous Material (M), >160 square feet, Good Condition (Current Condition), throughout Interior kitchen and bathroom, 2 Sample(s), 112014-15A, 2 from E Wall, 1 from N Wall, on Floor, photo 130602 112014-15B, 1 from E Wall, 5 from N Wall, on Floor, photo 130620 Black Latex Paint, Surfacing Material (S), <1,000 square feet, Good Condition (Current Condition), throughout Interior floors, 1 Sample(s) (Confirmation), 112014-16A, 5 from S Wall,.25 from W Wall, on Floor, photo 131107 Green Latex Paint, Surfacing Material (S), <1,000 square feet, Good Condition (Current Condition), throughout Interior floors, 1 Sample(s), 112014-17A,.25 from S Wall,.25 from E Wall, on Floor, photo 131114 White Rough Textured Plaster Walls and Ceilings, Surfacing Material (S), >5,000 square feet, Good Condition (Current Condition), throughout Interior, 9 Sample(s), 112014-18A, E Wall, 3 from N Wall, 7 from Floor, photo 133046 112014-18B, 1 from E Wall, 3 from S Wall, on Ceiling, photo 133105 112014-18C, W Wall,.25 from N Wall, 2 from Floor, photo 133132 112014-18D, N Wall, 12 from W Wall, 5 from Floor, photo 133245 112014-18E, S Wall, 4 from E Wall, 5 from Floor, photo 133330 112014-18F, N Wall, 2 from S Wall, 3 from Floor, photo 133411 112014-18G, 2 from N Wall, 2 from W Wall, on Ceiling, photo 133741 112014-18H, 1 from W Wall, 5 from N Wall, on Ceiling, photo 133752 112014-18I, S Wall, 12 from E Wall, 7 from Floor, photo 133802 White Troweled Textured Plaster Column, Surfacing Material (S), <1,000 square feet, Good Condition (Current Condition), throughout Interior, 3 Sample(s), 112014-19A, W Wall, 4 from N Wall, 4 from Floor, photo 133917 112014-19B, N Wall, 2 from W Wall, 5 from Floor, photo 133922 112014-19C, E Wall, 3 from N Wall, 2 from Floor, photo 133927 White Caulk, Miscellaneous Material (M), <160 square feet, Good Condition (Current Condition), throughout Living Room, 1 Sample(s), 112014-20A, N Wall, 10 from E Wall, 7 from Ground, photo 135057 Suspect materials which were not within the Scope of Work at the time of the inspection were: 1. All EPA suspect Materials not requested: a. Limited to locations of the submitted plans, only. Any locations/materials not specifically identified, assumed to be a Regulated Asbestos Containing Material, and should be inspected prior to any activity which may disturb the material; i. Refer to materials identified in the report; ii. Inspection does not take into consideration any areas outside of the inspection area(s); iii. All materials not previously indicated by Client; 1. Not applicable. HERRON Project No. 1120145 Copyright 2014 HERRON Enterprises USA, Inc. All Rights Reserved. Page 39 of 91

2. During a normal inspection, and more specifically when non-destructive sampling techniques are employed, it is not within the scope of the inspection to remove surface materials to inspect or quantify the structures and/or materials which may be under the surface, i.e., within or under concealed areas such as under carpet, under sub-floors, within chases, walls, crawlspaces, tunnels, etc., to remove suspect Asbestos Containing Material(s), to move and/or sample electrical wiring which has not been 'locked out', etc. All said areas are to be assumed as containing >1.0% Asbestos, until such a time that these areas are made accessible, and/or rendered safe so that sampling can be performed. Prior to renovations or demolition of these areas, it is recommended that a more destructive protocol be utilized in order to make these determinations. Concealed Materials Based on the nature of the Asbestos which could be concealed, it is recommended: Extensive destructive sampling and quantification of these materials throughout the property in order to determine if concealed locations contain an Asbestos or if isolated to a specific era of remodeling; or If extensive destructive sampling and quantification of these materials is not possible, and presumptions that concealed locations are potentially Asbestos, then it is recommended that a site specific Management Plan be developed and implemented which could effectively manage the future renovations of the property. A Management Plan can be designed to review specific locations of renovation locations, i.e., destructive sampling and quantification through concealed chases, and under carpeting prior to disturbance of these areas by the Owner or Contractors which will assist in the recognition and response to potential health risks from concealed Asbestos. 3. HERRON recommends extreme caution during a renovation or demolition of these areas in the event that an area which was not suspect, visible, accessible and/or specified during the inspection, is discovered to contain or is suspected of containing an Asbestos Containing Material (ACM). Under local, state and/or federal regulations, should such an event occur, the Client and or Contractor is required to cease operations which may effect this (these) material(s) until an inspection is concluded and a determination is made by an AHERA and State Certified Asbestos Building Inspector. 4. Disturbance of these areas could create a potential health hazard. HERRON Project No. 1120145 Copyright 2014 HERRON Enterprises USA, Inc. All Rights Reserved. Page 40 of 91

Suspect materials which were visually inspected and determined to be Non-ACM materials at the time of the inspection were: Fiberglass Wood Glass Metal Plastic Concrete Etc. Inspection Methodology: 1. HERRON selected sample locations and frequency of sampling based on observations, Client requirements and/or the assumption that like materials in the same area are homogeneous in accordance with EPA Publication EPA 560 / 5-85 - 030a Asbestos in Buildings: Simplified Sampling Scheme. 2. Sample locations and frequency of sampling of Walls and Ceilings are based on EPA 9/30/94 EPA Sampling Bulletin - ASBESTOS SAMPLING BULLETIN September 30, 1994 - Supplementary Guidance on Bulk Sample Collection and Analysis. Section V of this guidance bulletin offers a suggested strategy for distinguishing between joint compound found at joints in wallboard systems or when the material was applied as a skim coat; i.e., for determining whether joint compound has been applied as a skim coat over a wall surface (as referred to in the NESHAP Jan. 5, 1994 FR notice.). HERRON Project No. 1120145 Copyright 2014 HERRON Enterprises USA, Inc. All Rights Reserved. Page 41 of 91

Conclusion Detached Two Car Garage 970 Chipeta Rd. 475 ft 2 The Client has advised that Multiple Buildings, 950 and 970 Chipeta Rd., Montrose, CO 80403 is a complete demolition by wrecking. Based on the information generated by this report, we conclude that the aforementioned property does not contain Regulated Asbestos Containing Material(s) (RACM): None detected. In order to comply with local, state, and/or federal regulations, the following Asbestos Containing Materials, or assumed Asbestos Containing Materials will have to be removed if they will be made friable during a renovation or demolition (if the composition of drywall/joint compound is <=1.0% Asbestos, when the joint compound does not cover the entire surface, floor tile/mastic, asphaltic roofing materials, pliable window glazing/caulking, etc., are normally demolished with the structure, if conducted in accordance with local, state and/or federal regulations, however, require removal during a renovation): None detected. Although a material may have been determined to contain <=1.0% Asbestos, such as the composition of drywall/joint compound (when the joint compound does not cover the entire surface), traces of asbestos in surfacing materials, thermal system insulation materials, or miscellaneous materials, etc., which is not considered Regulated Asbestos Containing Materials by NESHAPS, EPA (AHERA), or the State of Colorado, may still be regulated by OSHA. OSHA regulations may apply during potential disturbance activities, and the inspection document will serve as a Hazard Communication and should be reviewed during an activity such as a renovation or demolition, to ensure that an exposure does not occur. The Maximum Allowable Asbestos Level (MAAL) may not be exceeded at any time in accordance with local, state, and/or federal regulations, including but not limited to AQCC Regulation 8 (State), 29 CFR 1926.1101 (OSHA), 40 CFR Part 61 EPA (NESHAP), and 40 CFR 763 EPA (AHERA). This document serves as a certified notification to the owner/operator of the facility and the demolition contractor that any asbestos-containing material allowed to stay in the facility must remain non-friable during demolition. All building material field information concerning sampling protocols, locations, assessments, etc. is available in our files for Client use should the need arise. Suspect materials which were sampled and determined to contain <=1.0% Asbestos (refer to Attachments), by PLM and/or PLM Point Count analysis are: 1. Not applicable; a. Building constructed of wood and metal. Suspect materials which were not within the Scope of Work at the time of the inspection were: 1. All EPA suspect Materials not requested: a. Limited to locations of the submitted plans, only. Any locations/materials not specifically identified, assumed to be a Regulated Asbestos Containing Material, and should be inspected prior to any activity which may disturb the material; i. Refer to materials identified in the report; ii. Inspection does not take into consideration any areas outside of the inspection area(s); iii. All materials not previously indicated by Client; 1. Not applicable. HERRON Project No. 1120145 Copyright 2014 HERRON Enterprises USA, Inc. All Rights Reserved. Page 42 of 91

2. During a normal inspection, and more specifically when non-destructive sampling techniques are employed, it is not within the scope of the inspection to remove surface materials to inspect or quantify the structures and/or materials which may be under the surface, i.e., within or under concealed areas such as under carpet, under sub-floors, within chases, walls, crawlspaces, tunnels, etc., to remove suspect Asbestos Containing Material(s), to move and/or sample electrical wiring which has not been 'locked out', etc. All said areas are to be assumed as containing >1.0% Asbestos, until such a time that these areas are made accessible, and/or rendered safe so that sampling can be performed. Prior to renovations or demolition of these areas, it is recommended that a more destructive protocol be utilized in order to make these determinations. Concealed Materials Based on the nature of the Asbestos which could be concealed, it is recommended: Extensive destructive sampling and quantification of these materials throughout the property in order to determine if concealed locations contain an Asbestos or if isolated to a specific era of remodeling; or If extensive destructive sampling and quantification of these materials is not possible, and presumptions that concealed locations are potentially Asbestos, then it is recommended that a site specific Management Plan be developed and implemented which could effectively manage the future renovations of the property. A Management Plan can be designed to review specific locations of renovation locations, i.e., destructive sampling and quantification through concealed chases, and under carpeting prior to disturbance of these areas by the Owner or Contractors which will assist in the recognition and response to potential health risks from concealed Asbestos. 3. HERRON recommends extreme caution during a renovation or demolition of these areas in the event that an area which was not suspect, visible, accessible and/or specified during the inspection, is discovered to contain or is suspected of containing an Asbestos Containing Material (ACM). Under local, state and/or federal regulations, should such an event occur, the Client and or Contractor is required to cease operations which may effect this (these) material(s) until an inspection is concluded and a determination is made by an AHERA and State Certified Asbestos Building Inspector. 4. Disturbance of these areas could create a potential health hazard. HERRON Project No. 1120145 Copyright 2014 HERRON Enterprises USA, Inc. All Rights Reserved. Page 43 of 91

Suspect materials which were visually inspected and determined to be Non-ACM materials at the time of the inspection were: Fiberglass Wood Glass Metal Plastic Concrete Etc. Inspection Methodology: 1. HERRON selected sample locations and frequency of sampling based on observations, Client requirements and/or the assumption that like materials in the same area are homogeneous in accordance with EPA Publication EPA 560 / 5-85 - 030a Asbestos in Buildings: Simplified Sampling Scheme. 2. Sample locations and frequency of sampling of Walls and Ceilings are based on EPA 9/30/94 EPA Sampling Bulletin - ASBESTOS SAMPLING BULLETIN September 30, 1994 - Supplementary Guidance on Bulk Sample Collection and Analysis. Section V of this guidance bulletin offers a suggested strategy for distinguishing between joint compound found at joints in wallboard systems or when the material was applied as a skim coat; i.e., for determining whether joint compound has been applied as a skim coat over a wall surface (as referred to in the NESHAP Jan. 5, 1994 FR notice.). HERRON Project No. 1120145 Copyright 2014 HERRON Enterprises USA, Inc. All Rights Reserved. Page 44 of 91

Conclusion Double Wide Mobile Home 950 Chipeta Rd. 1,152 ft 2 The Client has advised that Multiple Buildings, 950 and 970 Chipeta Rd., Montrose, CO 80403 is a complete demolition by wrecking. Based on the information generated by this report, we conclude that the aforementioned property does not contain Regulated Asbestos Containing Material(s) (RACM): None detected. In order to comply with local, state, and/or federal regulations, the following Asbestos Containing Materials, or assumed Asbestos Containing Materials will have to be removed if they will be made friable during a renovation or demolition (if the composition of drywall/joint compound is <=1.0% Asbestos, when the joint compound does not cover the entire surface, floor tile/mastic, asphaltic roofing materials, pliable window glazing/caulking, etc., are normally demolished with the structure, if conducted in accordance with local, state and/or federal regulations, however, require removal during a renovation): None detected. Although a material may have been determined to contain <=1.0% Asbestos, such as the composition of drywall/joint compound (when the joint compound does not cover the entire surface), traces of asbestos in surfacing materials, thermal system insulation materials, or miscellaneous materials, etc., which is not considered Regulated Asbestos Containing Materials by NESHAPS, EPA (AHERA), or the State of Colorado, may still be regulated by OSHA. OSHA regulations may apply during potential disturbance activities, and the inspection document will serve as a Hazard Communication and should be reviewed during an activity such as a renovation or demolition, to ensure that an exposure does not occur. The Maximum Allowable Asbestos Level (MAAL) may not be exceeded at any time in accordance with local, state, and/or federal regulations, including but not limited to AQCC Regulation 8 (State), 29 CFR 1926.1101 (OSHA), 40 CFR Part 61 EPA (NESHAP), and 40 CFR 763 EPA (AHERA). This document serves as a certified notification to the owner/operator of the facility and the demolition contractor that any asbestos-containing material allowed to stay in the facility must remain non-friable during demolition. All building material field information concerning sampling protocols, locations, assessments, etc. is available in our files for Client use should the need arise. Suspect materials which were sampled and determined to contain <=1.0% Asbestos (refer to Attachments), by PLM and/or PLM Point Count analysis are: Multi Colored Wallpaper on Drywall Walls, Surfacing Material (S), <5,000 square feet, Good Condition (Current Condition), throughout Interior, 5 Sample(s), 112014-21A, S Wall, 3 from W Wall, 4 from Floor, photo 144234 112014-21B, N Wall, 4 from E Wall, 3 from Floor, photo 144251 112014-21C, W Wall, 4 from S Wall, 3 from Floor, photo 144311 112014-21D, N Wall, 4.5 from E Wall, 5 from Floor, photo 144322 112014-21E, N Wall, 3 from W Wall, 4.5 from Floor, photo 144336 White Popcorn Ceiling Textured on Drywall Ceilings, Surfacing Material (S), <1,000 square feet, Good Condition (Current Condition), throughout Interior, 3 Sample(s), 112014-22A, 2 from E Wall, 3 from S Wall, on Ceiling, photo 144441 112014-22B, 1 from W Wall, 3 from N Wall, on Ceiling, photo 144458 112014-22C, 1 from N Wall, 6 from W Wall, on Ceiling, photo 144527 HERRON Project No. 1120145 Copyright 2014 HERRON Enterprises USA, Inc. All Rights Reserved. Page 45 of 91

White Orange Peel Textured Drywall on Walls, Surfacing Material (S), <1,000 square feet, Good Condition (Current Condition), throughout Interior Living Room, Hall and Dining Room, 3 Sample(s), 112014-23A, NE Corner, 6 from Floor, photo 144550 112014-23B, S Wall, 6 from W Wall, 6 from Floor, photo 144604 112014-23C, S Wall, 2 from E Wall, 2 from Floor, photo 144617 Tan Sheet Flooring, Miscellaneous Material (M), >160 square feet, Good Condition (Current Condition), throughout Interior Laundry Room, 2 Sample(s), 112014-24A, 3 from N Wall, 6 from W Wall, on Floor, photo 144700 112014-24B,.25 from W Wall, 1 from N Wall, on Floor, photo 144853 Tan Shingle Roof, Miscellaneous Material (M), >160 square feet, Good Condition (Current Condition), throughout Roof, 1 Sample(s), 112014-25A, N Edge, 20 from E Wall, on Roof, photo 150132 Suspect materials which were not within the Scope of Work at the time of the inspection were: 1. All EPA suspect Materials not requested: a. Limited to locations of the submitted plans, only. Any locations/materials not specifically identified, assumed to be a Regulated Asbestos Containing Material, and should be inspected prior to any activity which may disturb the material; i. Refer to materials identified in the report; ii. Inspection does not take into consideration any areas outside of the inspection area(s); iii. All materials not previously indicated by Client; 1. Not applicable. 2. During a normal inspection, and more specifically when non-destructive sampling techniques are employed, it is not within the scope of the inspection to remove surface materials to inspect or quantify the structures and/or materials which may be under the surface, i.e., within or under concealed areas such as under carpet, under sub-floors, within chases, walls, crawlspaces, tunnels, etc., to remove suspect Asbestos Containing Material(s), to move and/or sample electrical wiring which has not been 'locked out', etc. All said areas are to be assumed as containing >1.0% Asbestos, until such a time that these areas are made accessible, and/or rendered safe so that sampling can be performed. Prior to renovations or demolition of these areas, it is recommended that a more destructive protocol be utilized in order to make these determinations. Concealed Materials Based on the nature of the Asbestos which could be concealed, it is recommended: Extensive destructive sampling and quantification of these materials throughout the property in order to determine if concealed locations contain an Asbestos or if isolated to a specific era of remodeling; or If extensive destructive sampling and quantification of these materials is not possible, and presumptions that concealed locations are potentially Asbestos, then it is recommended that a site specific Management Plan be developed and implemented which could effectively manage the future renovations of the property. A Management Plan can be designed to review specific locations of renovation locations, i.e., destructive sampling and quantification through concealed chases, and under carpeting prior to disturbance of these areas by the Owner or Contractors which will assist in the recognition and response to potential health risks from concealed Asbestos. HERRON Project No. 1120145 Copyright 2014 HERRON Enterprises USA, Inc. All Rights Reserved. Page 46 of 91

3. HERRON recommends extreme caution during a renovation or demolition of these areas in the event that an area which was not suspect, visible, accessible and/or specified during the inspection, is discovered to contain or is suspected of containing an Asbestos Containing Material (ACM). Under local, state and/or federal regulations, should such an event occur, the Client and or Contractor is required to cease operations which may effect this (these) material(s) until an inspection is concluded and a determination is made by an AHERA and State Certified Asbestos Building Inspector. 4. Disturbance of these areas could create a potential health hazard. Suspect materials which were visually inspected and determined to be Non-ACM materials at the time of the inspection were: Fiberglass Wood Glass Metal Plastic Concrete Etc. Inspection Methodology: 1. HERRON selected sample locations and frequency of sampling based on observations, Client requirements and/or the assumption that like materials in the same area are homogeneous in accordance with EPA Publication EPA 560 / 5-85 - 030a Asbestos in Buildings: Simplified Sampling Scheme. 2. Sample locations and frequency of sampling of Walls and Ceilings are based on EPA 9/30/94 EPA Sampling Bulletin - ASBESTOS SAMPLING BULLETIN September 30, 1994 - Supplementary Guidance on Bulk Sample Collection and Analysis. Section V of this guidance bulletin offers a suggested strategy for distinguishing between joint compound found at joints in wallboard systems or when the material was applied as a skim coat; i.e., for determining whether joint compound has been applied as a skim coat over a wall surface (as referred to in the NESHAP Jan. 5, 1994 FR notice.). HERRON Project No. 1120145 Copyright 2014 HERRON Enterprises USA, Inc. All Rights Reserved. Page 47 of 91

Note: Plans not to scale. HERRON Project No. 1120145 Copyright 2014 HERRON Enterprises USA, Inc. All Rights Reserved. Page 48 of 91

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HERR RON Enterprises USA, Inc. Environmentall Services*Industriall Hygienists Phone (303) 763 9639 7261 W. Hampden Ave., Lakewood, Colorado 80227-5305 Asbestos Transite Note: Plans not to scale. HERRON Project No. 1120145 Copyright 2014 HERRON Enterprises USA, Inc. All Rights Reserved. Page 51 of 91

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Reservoirs Environmental, Inc. Reservoirs Environmental QA Manual Effective January 1, 2014 T:\QAQC\Lab\Reservoirs Environmental QA Manual.doc December 2, 2014 Subcontract Number: NA Laboratory Report: RES 306288-1 Project # / P.O. # 1120145 Project Description: None Given Lennie Herron Herron Enterprises, USA, Inc. 7261 W. Hampden Ave. Lakewood CO 80227 Dear Customer, Reservoirs Environmental, Inc. is an analytical laboratory accredited for the analysis of Industrial Hygiene and Environmental matrices by the National Voluntary Laboratory Accreditation Program (NVLAP), Lab Code 101896-0 for Transmission Electron Microscopy (TEM) and Polarized Light Microscopy (PLM) analysis and the American Industrial Hygiene Association (AIHA), Lab ID 101533 - Accreditation Certificate #480 for Phase Contrast Microscopy (PCM) analysis. This laboratory is currently proficient in both Proficiency Testing and PAT programs respectively. Reservoirs Environmental, Inc. has analyzed the following samples for asbestos content as per your request. The analysis has been completed in general accordance with the appropriate methodology as stated in the attached analysis table. The results have been submitted to your office. RES 306288-1 is the job number assigned to this study. This report is considered highly confidential and the sole property of the customer. Reservoirs Environmental, Inc. will not discuss any part of this study with personnel other than those of the client. The results described in this report only apply to the samples analyzed. This report must not be used to claim endorsement of products or analytical results by NVLAP or any agency of the U.S. Government. This report shall not be reproduced except in full, without written approval from Reservoirs Environmental, Inc. Samples will be disposed of after sixty days unless longer storage is requested. If you have any questions about this report, please feel free to call 303-964-1986. Sincerely, Jeanne Spencer President P: 303-964-1986 F: 303-477-4275 5801 Logan Street, Suite 100 Denver, CO 80216 1-866-RESI-ENV www.reilab.com HERRON Project No. 1120145 Page 1 of 13 Copyright 2014 HERRON Enterprises USA, Inc. All Rights Reserved. Page 70 of 91

Reservoirs Environmental, Inc. Reservoirs Environmental QA Manual RESERVOIRS ENVIRONMENTAL, INC. NVLAP Lab Code 101896-0 TDH Licensed Laboratory # 30-0136 Effective January 1, 2014 T:\QAQC\Lab\Reservoirs Environmental QA Manual.doc TABLE PLM BULK ANALYSIS, PERCENTAGE COMPOSITION BY VOLUME RES Job Number: RES 306288-1 Client: Herron Enterprises, USA, Inc. Client Project Number / P.O. 1120145 Client Project Description: None Given Date Samples Received: November 21, 2014 Method: EPA 600/R-93/116 - Short, Bulk Turnaround: 3-5 Day Date Analyzed: December 2, 2014 =None Detected TR=Trace, <1% Visual Estimate Trem-Act=Tremolite-Actinolite Client Lab L Asbestos Content Non Non- Sample ID Number A Sub Asbestos Fibrous Number Y Physical Part Fibrous Components E Description (%) Mineral Visual Components (%) R Estimate (%) (%) 112014-1A EM 1302793 A Off white plaster 100 0 100 112014-2A EM 1302794 A Tan fibrous cementitious material 100 Chrysotile Crocidolite 12 3 0 85 112014-3A EM 1302795 A Off white sheet vinyl w/ white fibrous backing material 100 15 85 112014-4A EM 1302796 A Tan granular material 100 0 100 112014-5A EM 1302797 A Brown wood w/ off white paint 100 90 10 112014-6A EM 1302798 A Brown/multi-colored paint 100 0 100 P: 303-964-1986 F: 303-477-4275 HERRON Project No. 1120145 5801 Logan Street, Suite 100 Denver, CO 80216 1-866-RESI-ENV www.reilab.com Copyright 2014 HERRON Enterprises Page 2 of 13 USA, Inc. All Rights Reserved. Page 71 of 91

Reservoirs Environmental, Inc. Reservoirs Environmental QA Manual RESERVOIRS ENVIRONMENTAL, INC. NVLAP Lab Code 101896-0 TDH Licensed Laboratory # 30-0136 Effective January 1, 2014 T:\QAQC\Lab\Reservoirs Environmental QA Manual.doc TABLE PLM BULK ANALYSIS, PERCENTAGE COMPOSITION BY VOLUME RES Job Number: RES 306288-1 Client: Herron Enterprises, USA, Inc. Client Project Number / P.O. 1120145 Client Project Description: None Given Date Samples Received: November 21, 2014 Method: EPA 600/R-93/116 - Short, Bulk Turnaround: 3-5 Day Date Analyzed: December 2, 2014 =None Detected TR=Trace, <1% Visual Estimate Trem-Act=Tremolite-Actinolite Client Lab L Asbestos Content Non Non- Sample ID Number A Sub Asbestos Fibrous Number Y Physical Part Fibrous Components E Description (%) Mineral Visual Components (%) R Estimate (%) (%) 112014-7A EM 1302799 A Fibrous material w/ green/white paint 100 90 10 112014-8A EM 1302800 A Brown wood w/ red paint 100 95 5 112014-9A EM 1302801 A Brown wood w/ red paint 100 95 5 112014-10A EM 1302802 A Off white resinous material w/ red paint 100 0 100 112014-10B EM 1302803 A White resinous material w/ dark red paint 100 0 100 112014-11A EM 1302804 A Tan fibrous material w/ clear granular texture & white paint 100 85 15 P: 303-964-1986 F: 303-477-4275 HERRON Project No. 1120145 5801 Logan Street, Suite 100 Denver, CO 80216 1-866-RESI-ENV www.reilab.com Copyright 2014 HERRON Enterprises Page 3 of 13 USA, Inc. All Rights Reserved. Page 72 of 91

Reservoirs Environmental, Inc. Reservoirs Environmental QA Manual RESERVOIRS ENVIRONMENTAL, INC. NVLAP Lab Code 101896-0 TDH Licensed Laboratory # 30-0136 Effective January 1, 2014 T:\QAQC\Lab\Reservoirs Environmental QA Manual.doc TABLE PLM BULK ANALYSIS, PERCENTAGE COMPOSITION BY VOLUME RES Job Number: RES 306288-1 Client: Herron Enterprises, USA, Inc. Client Project Number / P.O. 1120145 Client Project Description: None Given Date Samples Received: November 21, 2014 Method: EPA 600/R-93/116 - Short, Bulk Turnaround: 3-5 Day Date Analyzed: December 2, 2014 =None Detected TR=Trace, <1% Visual Estimate Trem-Act=Tremolite-Actinolite Client Lab L Asbestos Content Non Non- Sample ID Number A Sub Asbestos Fibrous Number Y Physical Part Fibrous Components E Description (%) Mineral Visual Components (%) R Estimate (%) (%) 112014-12A EM 1302805 A B Gray plaster Off white granular material 112014-12B EM 1302806 A Off white granular material w/ off white paint 100 0 100 30 70 3 TR 97 100 112014-12C EM 1302807 A B Gray plaster Off white granular material 50 50 3 0 97 100 112014-13A EM 1302808 A Brown wood w/ yellow/multi-colored paint 100 90 10 P: 303-964-1986 F: 303-477-4275 HERRON Project No. 1120145 5801 Logan Street, Suite 100 Denver, CO 80216 1-866-RESI-ENV www.reilab.com Copyright 2014 HERRON Enterprises Page 4 of 13 USA, Inc. All Rights Reserved. Page 73 of 91

Reservoirs Environmental, Inc. Reservoirs Environmental QA Manual RESERVOIRS ENVIRONMENTAL, INC. NVLAP Lab Code 101896-0 TDH Licensed Laboratory # 30-0136 Effective January 1, 2014 T:\QAQC\Lab\Reservoirs Environmental QA Manual.doc TABLE PLM BULK ANALYSIS, PERCENTAGE COMPOSITION BY VOLUME RES Job Number: RES 306288-1 Client: Herron Enterprises, USA, Inc. Client Project Number / P.O. 1120145 Client Project Description: None Given Date Samples Received: November 21, 2014 Method: EPA 600/R-93/116 - Short, Bulk Turnaround: 3-5 Day Date Analyzed: December 2, 2014 =None Detected TR=Trace, <1% Visual Estimate Trem-Act=Tremolite-Actinolite Client Lab L Asbestos Content Non Non- Sample ID Number A Sub Asbestos Fibrous Number Y Physical Part Fibrous Components E Description (%) Mineral Visual Components (%) R Estimate (%) (%) 112014-14A EM 1302809 A Brown/multi-colored paint 100 0 100 112014-15A EM 1302810 A B C Yellow mastic Tan/multi-colored sheet vinyl w/ white fibrous backing material Black fibrous backing material 20 30 50 0 35 85 100 65 15 112014-15B EM 1302811 A B Tan/multi-colored sheet vinyl w/ white fibrous backing material Black fibrous backing material 50 50 25 85 75 15 112014-16A EM 1302812 A B Black resinous material Off white plaster 50 50 0 0 100 100 P: 303-964-1986 F: 303-477-4275 HERRON Project No. 1120145 5801 Logan Street, Suite 100 Denver, CO 80216 1-866-RESI-ENV www.reilab.com Copyright 2014 HERRON Enterprises Page 5 of 13 USA, Inc. All Rights Reserved. Page 74 of 91

Reservoirs Environmental, Inc. Reservoirs Environmental QA Manual RESERVOIRS ENVIRONMENTAL, INC. NVLAP Lab Code 101896-0 TDH Licensed Laboratory # 30-0136 Effective January 1, 2014 T:\QAQC\Lab\Reservoirs Environmental QA Manual.doc TABLE PLM BULK ANALYSIS, PERCENTAGE COMPOSITION BY VOLUME RES Job Number: RES 306288-1 Client: Herron Enterprises, USA, Inc. Client Project Number / P.O. 1120145 Client Project Description: None Given Date Samples Received: November 21, 2014 Method: EPA 600/R-93/116 - Short, Bulk Turnaround: 3-5 Day Date Analyzed: December 2, 2014 =None Detected TR=Trace, <1% Visual Estimate Trem-Act=Tremolite-Actinolite Client Lab L Asbestos Content Non Non- Sample ID Number A Sub Asbestos Fibrous Number Y Physical Part Fibrous Components E Description (%) Mineral Visual Components (%) R Estimate (%) (%) 112014-17A EM 1302813 A Off white plaster w/ green paint 100 0 100 112014-18A EM 1302814 A B C White plaster w/ light green/multi-colored paint White texture w/ green/multi-colored paint Gray granular plaster 10 25 65 0 0 TR 100 100 100 112014-18B EM 1302815 A B C White plaster w/ off white paint White texture w/ tan paint Gray granular plaster 10 30 60 0 0 TR 100 100 100 112014-18C EM 1302816 A B C White texture w/ off white paint White compound w/ blue/multi-colored paint Gray granular plaster 15 30 55 0 0 TR 100 100 100 P: 303-964-1986 F: 303-477-4275 HERRON Project No. 1120145 5801 Logan Street, Suite 100 Denver, CO 80216 1-866-RESI-ENV www.reilab.com Copyright 2014 HERRON Enterprises Page 6 of 13 USA, Inc. All Rights Reserved. Page 75 of 91

Reservoirs Environmental, Inc. Reservoirs Environmental QA Manual RESERVOIRS ENVIRONMENTAL, INC. NVLAP Lab Code 101896-0 TDH Licensed Laboratory # 30-0136 Effective January 1, 2014 T:\QAQC\Lab\Reservoirs Environmental QA Manual.doc TABLE PLM BULK ANALYSIS, PERCENTAGE COMPOSITION BY VOLUME RES Job Number: RES 306288-1 Client: Herron Enterprises, USA, Inc. Client Project Number / P.O. 1120145 Client Project Description: None Given Date Samples Received: November 21, 2014 Method: EPA 600/R-93/116 - Short, Bulk Turnaround: 3-5 Day Date Analyzed: December 2, 2014 =None Detected TR=Trace, <1% Visual Estimate Trem-Act=Tremolite-Actinolite Client Lab L Asbestos Content Non Non- Sample ID Number A Sub Asbestos Fibrous Number Y Physical Part Fibrous Components E Description (%) Mineral Visual Components (%) R Estimate (%) (%) 112014-18D EM 1302817 A B White texture w/ tan paint Gray granular plaster w/ yellow paint 25 75 0 TR 100 100 112014-18E EM 1302818 A B C White texture w/ blue/multi-colored paint White plaster w/ tan paint Gray granular plaster 20 30 50 0 0 TR 100 100 100 112014-18F EM 1302819 A B White texture w/ off white paint Gray granular plaster 30 70 0 TR 100 100 P: 303-964-1986 F: 303-477-4275 HERRON Project No. 1120145 5801 Logan Street, Suite 100 Denver, CO 80216 1-866-RESI-ENV www.reilab.com Copyright 2014 HERRON Enterprises Page 7 of 13 USA, Inc. All Rights Reserved. Page 76 of 91

Reservoirs Environmental, Inc. Reservoirs Environmental QA Manual RESERVOIRS ENVIRONMENTAL, INC. NVLAP Lab Code 101896-0 TDH Licensed Laboratory # 30-0136 Effective January 1, 2014 T:\QAQC\Lab\Reservoirs Environmental QA Manual.doc TABLE PLM BULK ANALYSIS, PERCENTAGE COMPOSITION BY VOLUME RES Job Number: RES 306288-1 Client: Herron Enterprises, USA, Inc. Client Project Number / P.O. 1120145 Client Project Description: None Given Date Samples Received: November 21, 2014 Method: EPA 600/R-93/116 - Short, Bulk Turnaround: 3-5 Day Date Analyzed: December 2, 2014 =None Detected TR=Trace, <1% Visual Estimate Trem-Act=Tremolite-Actinolite Client Lab L Asbestos Content Non Non- Sample ID Number A Sub Asbestos Fibrous Number Y Physical Part Fibrous Components E Description (%) Mineral Visual Components (%) R Estimate (%) (%) 112014-18G EM 1302820 A B White texture w/ off white paint Gray granular plaster 40 60 0 TR 100 100 112014-18H EM 1302821 A B Yellow paint w/ gray granular plaster White/off white texture w/ tan paint 20 80 TR 0 100 100 112014-18I EM 1302822 A B White texture w/ off white paint Gray granular plaster 30 70 0 TR 100 100 112014-19A EM 1302823 A Brown granular material w/ off white paint 100 0 100 P: 303-964-1986 F: 303-477-4275 HERRON Project No. 1120145 5801 Logan Street, Suite 100 Denver, CO 80216 1-866-RESI-ENV www.reilab.com Copyright 2014 HERRON Enterprises Page 8 of 13 USA, Inc. All Rights Reserved. Page 77 of 91

Reservoirs Environmental, Inc. Reservoirs Environmental QA Manual RESERVOIRS ENVIRONMENTAL, INC. NVLAP Lab Code 101896-0 TDH Licensed Laboratory # 30-0136 Effective January 1, 2014 T:\QAQC\Lab\Reservoirs Environmental QA Manual.doc TABLE PLM BULK ANALYSIS, PERCENTAGE COMPOSITION BY VOLUME RES Job Number: RES 306288-1 Client: Herron Enterprises, USA, Inc. Client Project Number / P.O. 1120145 Client Project Description: None Given Date Samples Received: November 21, 2014 Method: EPA 600/R-93/116 - Short, Bulk Turnaround: 3-5 Day Date Analyzed: December 2, 2014 =None Detected TR=Trace, <1% Visual Estimate Trem-Act=Tremolite-Actinolite Client Lab L Asbestos Content Non Non- Sample ID Number A Sub Asbestos Fibrous Number Y Physical Part Fibrous Components E Description (%) Mineral Visual Components (%) R Estimate (%) (%) 112014-19B EM 1302824 A Brown granular material w/ off white paint 100 TR 100 112014-19C EM 1302825 A Gray granular plaster w/ off white paint 100 TR 100 112014-20A EM 1302826 A White resinous material w/ off white paint 100 0 100 112014-21A EM 1302827 A B White/multi-colored wall covering White/tan drywall 20 80 0 25 100 75 112014-21B EM 1302828 A B White/tan wall covering White/tan drywall 30 70 0 35 100 65 P: 303-964-1986 F: 303-477-4275 HERRON Project No. 1120145 5801 Logan Street, Suite 100 Denver, CO 80216 1-866-RESI-ENV www.reilab.com Copyright 2014 HERRON Enterprises Page 9 of 13 USA, Inc. All Rights Reserved. Page 78 of 91

Reservoirs Environmental, Inc. Reservoirs Environmental QA Manual RESERVOIRS ENVIRONMENTAL, INC. NVLAP Lab Code 101896-0 TDH Licensed Laboratory # 30-0136 Effective January 1, 2014 T:\QAQC\Lab\Reservoirs Environmental QA Manual.doc TABLE PLM BULK ANALYSIS, PERCENTAGE COMPOSITION BY VOLUME RES Job Number: RES 306288-1 Client: Herron Enterprises, USA, Inc. Client Project Number / P.O. 1120145 Client Project Description: None Given Date Samples Received: November 21, 2014 Method: EPA 600/R-93/116 - Short, Bulk Turnaround: 3-5 Day Date Analyzed: December 2, 2014 =None Detected TR=Trace, <1% Visual Estimate Trem-Act=Tremolite-Actinolite Client Lab L Asbestos Content Non Non- Sample ID Number A Sub Asbestos Fibrous Number Y Physical Part Fibrous Components E Description (%) Mineral Visual Components (%) R Estimate (%) (%) 112014-21C EM 1302829 A B White/tan wall covering White/tan drywall 30 70 0 25 100 75 112014-21D EM 1302830 A B White/tan wall covering White/tan drywall 20 80 0 20 100 80 112014-21E EM 1302831 A B White/green wall covering White/tan drywall 20 80 0 20 100 80 112014-22A EM 1302832 A B C D Yellow foam White fibrous woven material White foamy texture White/tan drywall 5 10 25 60 0 90 0 25 100 10 100 75 P: 303-964-1986 F: 303-477-4275 HERRON Project No. 1120145 5801 Logan Street, Suite 100 Denver, CO 80216 1-866-RESI-ENV www.reilab.com Copyright 2014 HERRON Enterprises Page 10 of 13 USA, Inc. All Rights Reserved. Page 79 of 91

Reservoirs Environmental, Inc. Reservoirs Environmental QA Manual RESERVOIRS ENVIRONMENTAL, INC. NVLAP Lab Code 101896-0 TDH Licensed Laboratory # 30-0136 Effective January 1, 2014 T:\QAQC\Lab\Reservoirs Environmental QA Manual.doc TABLE PLM BULK ANALYSIS, PERCENTAGE COMPOSITION BY VOLUME RES Job Number: RES 306288-1 Client: Herron Enterprises, USA, Inc. Client Project Number / P.O. 1120145 Client Project Description: None Given Date Samples Received: November 21, 2014 Method: EPA 600/R-93/116 - Short, Bulk Turnaround: 3-5 Day Date Analyzed: December 2, 2014 =None Detected TR=Trace, <1% Visual Estimate Trem-Act=Tremolite-Actinolite Client Lab L Asbestos Content Non Non- Sample ID Number A Sub Asbestos Fibrous Number Y Physical Part Fibrous Components E Description (%) Mineral Visual Components (%) R Estimate (%) (%) 112014-22B EM 1302833 A B White foamy texture White/tan drywall 20 80 0 20 100 80 112014-22C EM 1302834 A B White foamy texture White/tan drywall 15 85 0 18 100 82 112014-23A EM 1302835 A B C D White texture w/ white paint White tape White joint compound Tan/white drywall 25 25 25 25 0 98 0 55 100 2 100 45 P: 303-964-1986 F: 303-477-4275 HERRON Project No. 1120145 5801 Logan Street, Suite 100 Denver, CO 80216 1-866-RESI-ENV www.reilab.com Copyright 2014 HERRON Enterprises Page 11 of 13 USA, Inc. All Rights Reserved. Page 80 of 91

Reservoirs Environmental, Inc. Reservoirs Environmental QA Manual RESERVOIRS ENVIRONMENTAL, INC. NVLAP Lab Code 101896-0 TDH Licensed Laboratory # 30-0136 Effective January 1, 2014 T:\QAQC\Lab\Reservoirs Environmental QA Manual.doc TABLE PLM BULK ANALYSIS, PERCENTAGE COMPOSITION BY VOLUME RES Job Number: RES 306288-1 Client: Herron Enterprises, USA, Inc. Client Project Number / P.O. 1120145 Client Project Description: None Given Date Samples Received: November 21, 2014 Method: EPA 600/R-93/116 - Short, Bulk Turnaround: 3-5 Day Date Analyzed: December 2, 2014 =None Detected TR=Trace, <1% Visual Estimate Trem-Act=Tremolite-Actinolite Client Lab L Asbestos Content Non Non- Sample ID Number A Sub Asbestos Fibrous Number Y Physical Part Fibrous Components E Description (%) Mineral Visual Components (%) R Estimate (%) (%) 112014-23B EM 1302836 A B White texture w/ white paint White/tan drywall 20 80 0 20 100 80 112014-23C EM 1302837 A B White texture w/ white paint White/tan drywall 20 80 0 20 100 80 112014-24A EM 1302838 A Off white/tan sheet vinyl w/ off white fibrous backing material 100 20 80 P: 303-964-1986 F: 303-477-4275 HERRON Project No. 1120145 5801 Logan Street, Suite 100 Denver, CO 80216 1-866-RESI-ENV www.reilab.com Copyright 2014 HERRON Enterprises Page 12 of 13 USA, Inc. All Rights Reserved. Page 81 of 91

Reservoirs Environmental, Inc. Reservoirs Environmental QA Manual RESERVOIRS ENVIRONMENTAL, INC. NVLAP Lab Code 101896-0 TDH Licensed Laboratory # 30-0136 Effective January 1, 2014 T:\QAQC\Lab\Reservoirs Environmental QA Manual.doc TABLE PLM BULK ANALYSIS, PERCENTAGE COMPOSITION BY VOLUME RES Job Number: RES 306288-1 Client: Herron Enterprises, USA, Inc. Client Project Number / P.O. 1120145 Client Project Description: None Given Date Samples Received: November 21, 2014 Method: EPA 600/R-93/116 - Short, Bulk Turnaround: 3-5 Day Date Analyzed: December 2, 2014 =None Detected TR=Trace, <1% Visual Estimate Trem-Act=Tremolite-Actinolite Client Lab L Asbestos Content Non Non- Sample ID Number A Sub Asbestos Fibrous Number Y Physical Part Fibrous Components E Description (%) Mineral Visual Components (%) R Estimate (%) (%) 112014-24B EM 1302839 A Off white sheet vinyl w/ off white fibrous backing material 100 20 80 112014-25A EM 1302840 A B Black fibrous tar Gray/white/black shingle 35 65 40 40 60 60 TEM Analysis recommended for organically bound material (i.e. floor tile) if PLM results are <1%. Analyzed by: Data QA: P: 303-964-1986 F: 303-477-4275 HERRON Project No. 1120145 5801 Logan Street, Suite 100 Denver, CO 80216 1-866-RESI-ENV www.reilab.com Copyright 2014 HERRON Enterprises Page 13 of 13 USA, Inc. All Rights Reserved. Page 82 of 91

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