Apr 22, 2023

Google is actively deleting science

I have noticed I can not find articles I and other scientists have published. Now I am getting notices from Google that published, pier reviewed articles now "go against community guidelines".

These three articles I posted were in 100's if not 1000's of websites, journals or other publications.

There were all 100% accurate and just facts.

How many of you are also seeing science deleted.

What effect will this have on education and our future?

Apr 6, 2023

The AASTM ASTM 1527-21 for Phase I Environmental Site Assessments is evaluated every 8 years.

ASTM 1527-21 is now in effect.  The ASTM Standard for Phase I Environmental Site Assessments is evaluated every eight years.  The most recent update, ASTM E1527 – 21, approved by the United States Environmental Protection Agency (EPA) on December 15, 2022, is now in effect.

On December 15, 2022, the United States Environmental Protection Agency (EPA) published its final rule, 87 Fed. Reg. 76578, which formally updates the standard to satisfy "all appropriate inquiries" under the Comprehensive Environmental Response, Compensation, and Liability Act (CERCLA).  The result is the effective adoption of ASTM E1527-21 as the new Phase I Environmental Site Assessment standard.  ASTM E1527-21, went into effect on February 13, 2023, and significantly revises a number of the prior provisions under ASTM E1527-13, and also clarifies a number of key terms and requirements.

Significant changes include:

  • A requirement for enhanced research into the history of the subject property and adjoining properties, as well as enhanced site reconnaissance requirements;
  • Clarification as to the meaning of the terms "Property Use Limitation" and "Significant Data Gap"; and
  • Clarification that the 180-day shelf life of the Phase I does not commence as of the date of the report, but rather when the various components of the Phase I report are completed, including (i) interviews with owners, operators and occupants, (ii) searches for lines, (iii) searches for government records, (iv) visual inspections by the consultant, and (v) consultant's certifications; and
  • Guidance regarding how to address emerging contaminants, such as per- and polyfluoroalkyl substances (PFAS), as a non-scope consideration.  This addition may ultimately provide an important driver for parties seeking to determine whether to evaluate PFAS.
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