| ASSOCIATED RADON SERVICES  a   subsidiary of:AMERICAN  TECHNICAL SERVICES  GROUP, Inc.5136 SE Orange St.Stuart, FL  34997phone  772-219-4334  fax 772-287-1341 email  
			Kieron Levy, Radon 
			Measurement Specialist internet   http://www.associatedradonservices.com  REPORT OF FINDINGSRADON SOIL GAS EVALUATION,  GAMMA LEVEL SCREENING & RADIUM-226 SOIL  SAMPLE COLLECTION & ANALYSIS
 October  , 2006
 18 Acre Proposed Apartment Development  Site,  Polk County  FL
 SOIL   RADON GAS A  radon gas in soil screening test was conducted on October 16 & 17, 2006  at the above noted uncleared development  property using a 24" soil probe and Niton Rad 7 and or William Johnson  radon measurement instruments. There is no existing EPA or Florida DOH protocol  for radon soil gas testing at this time, and the correlation to indoor radon  levels in a completed building is not completely understood. The scope of these  investigative services was limited to 2 days on-site data collection.  The  un-cleared building site was tested at 15 test  points located  by pacing and reference to  existing soil boring stakes by others.   No  horizontal survey control was provided or used and the location of the test  point was estimated as representative relative to the supplied site plan. All  radon soil gas test locations had normal to dry soil water saturation and the  24" probe was  able to be driven to full  penetration for all measurements. The results,  contained in appendix I,  indicate radon  soil gas levels that are not uniform with   wide variations from  27 pCi/l @ lake  5 location 1  to  179 pCi/l @ the building # 1 pad location.  These radon soil gas levels are considered as moderate to high in relation to  other areas of known elevated indoor radon levels in apartments constructed  without radon resistant or radon reduction features or prior to radon reduction.  The  dry soil conditions at the time of this investigation indicate good radon  transport and possible radon soil gas dilution at the soil probe point depths. The  underlying dense clay containing strata or any high lower level soil moisture  content may also have a tendency to reduce the surface soil radon measurements  taken by blocking the inter-granular soil transport of radon gas from strata at  lower levels.  GAMMA SCREENING A  gross gamma radiation level screening at all test locations and several  estimated building pad locations was conducted using a Ludlam surveyor R3 and  model 44-10 2" Nal low level detector. Levels measured ranged from 6.0 µR  to 7.5 µR which is at or just slightly above background. The gamma levels were  scanned while walking the site with only unexpected minor variations observed. RADIUM-226  SOIL SAMPLE ANALYSIS 26  hand augured soil samples were collected at radon soil gas test locations and  other building pad locations for radium-226 analysis by Environmental  Radiological Group Laboratory.  The  analysis results for the collected samples are contained in Appendix I &  II. There is expected wide variation and   only partial correlation with the measured radon soil gas levels at the  same locations. There are no sample measurements in the Homesite Restricted (HR) classification  noted below, however Lake 2  at 6’ is 4.79 pCi/g. 12 of the samples were  in the Potential Resource (PR) classification. The  following guidelines are based on early research and work by Dr. E Bolch, and  others at the University   of Florida and EPA funded  studies administered by Florida Department of Community Affairs in 1991. (see Appendix  III for background & history)Summary  of Fill Materials Management Guidelines ( by others)
 Restricted  Use (RU): Materials exceeding 11  pCi/g radium.  Should not be used near  the surface. Very high potential for elevated radon levels over such materials.  Also concern for potential elevated exterior gamma radiation levels. Homesite  Restricted (HR): Materials  exceeding 5 pCi/g radium. High potential for elevated indoor radon levels over  such materials. Potential  Resource (PR): Materials  exceeding 2 pCi/g but less than the HR levels of 5 pCi/g. Moderate potential  for radon naturally in the first 10 feet of earth. Can be utilized as fill if  diluted with low activity overburden to a level below 2.0 pCi/g radium. Fill  Material (FM): Fill materials  imported from off site that are to be placed under any building shall have a  radium concentration of less than 2 pCi/g.  Average  Baseline (AB): Any near surface  strata ( from 0 to 10 ft )with a weighted average radium concentration of  between 1.0 and 0.44 pCi/g.  SOIL SURFACE RADON FLUX The net radon flux for a given area of  soil surface was measured in 4 locations  using calibrated E-Perm “H” chambers. These measurements represent the radon  gas available at the soil surface per unit area per unit of time, about 20  hours in this investigation that utilized a Rad-Elec H E-Perm propriety test  method.. Soil Surface Radon  Flux 
              
                | Location
 | net radon fluxpCi/sq M/sec
 | range found  other building slabs surfaces with elevated    interior radon levels |  
                | Lake 1 | 0.896 | 0.150 – 0.750 |  
                | Lake 2 location 2 | 0.881 | 0.150 – 0.750 |  
                | Lake 4 location 2  | 0.233 | 0.150 – 0.750 |  
                | Lake 5 location 1 | 1.784 | 0.150 – 0.750 |  At this time there is no comparison data available for  radon flux from soil measurements and indoor radon levels in a finished building.  CONCLUSIONS Based  upon the radon soil gas measurement results and radium 226 levels measured  this building site does exhibit a moderate to  high potential for elevated levels of radon in buildings built according to  normal good construction practices.  We  recommend that Radon resistant construction features and a radon mitigation  system installation be incorporated into the apartment building designs. Fill  material from the Lake 3 location below 3’  depths should not be used directly on building pads.  Only 1 soil sample was taken from 10’ depth,  if fill material is to be taken from below the 6’ depth sampled further  investigation may be considered.
 We always recommend that indoor radon  screening tests be performed when a new building is completed and prior to  occupancy.
 Field  testing and sample collection was conducted   by  K. M. Levy, FL DOH Certified  Radon Measurement Technician for  Associated  Radon Services,  
 William  Levy, President
 NRPP  Listed and Approved Radon Measurement Specialist
 Florida DOH Certified Radon Specialist             APPENDIX   I  DATA Radon Soil Gas Soil Radium-226 Investigations  at  Pollk   County   FL Apartment 20 Acre, by:  Associated Radon Services  
              
                | Lake ID # or Building Pad #
 | Radon Soil Gas Test #  | Radon pCi/l highest of 4 tests  | Thoron pCi/l highest of 4 tests  | Soil Test Depth ft  | Soil Radium226 Pci/g  | Net Surface Radon Flux pCi/M2/sec  | Rn Flux Time  | Comment  |  
                | Building Pad 1  | 3001 - 4  | 179  | 30  | 3  | 3.24  |   |   |   |  
                | Building Pad 5  | 2901 - 4  | 83  | 24  | 3  | 1.91  |   |   |   |  
                | Building Pad 9  | 2101 - 4  | 33  | 32  | 3  | 2.59  |   |   |   |  
                | Building Pad 12  | B12  |   |   | 6  | 1.92  |   |   |   |  
                | Building Pad 12  | PA2  |   |   | 3  | 1.95  |   |   |   |  
                | Lake    1  | 2501 - 4  | 177  | 41  | 3  | 2.16  | 0.896  | 21hr  |   |  
                | Lake    1  | 2501 - 4  |   |   | 5  | 1.53  |   |   |   |  
                | Lake    1  | 2501 - 4  |   |   | 10  | 2.92  |   |   |   |  
                | Lake 1A  | 2601 - 4  | 131  | 30  | 3  | 2.48  |   |   |   |  
                | Lake 1A  | 2601 - 4  |   |   | 6  | 3.40  |   |   |   |  
                | Lake    2 location 1  | 2201 - 4  | 91  | 57  | 3  | 2.30  |   |   |   |  
                | Lake    2 location 1  | 2201 - 4  |   |   | 6  | 1.60  | 0.881  | 19hr  |   |  
                | Lake    2 location 2  | 2301 - 4  | 82  | 61  | 3  | 2.72  |   |   |   |  
                | Lake    2 location 2  | 2301 - 4  |   |   | 6  | 4.79  |   |   |   |  
                | Lake    3 location 1  | 2801 - 4  | 88  | 52  | 3  | 1.72  |   |   |   |  
                | Lake    3 location 1  | 2801 - 4  |   |   | 6  | 3.41  |   |   |   |  
                | Lake    3 location 2  | 2701 - 4  | 175  | 25  | 3  | 1.39  |   |   |   |  
                | Lake    3 location 2  | 2701 - 4  |   |   | 6  | 2.83  |   |   |   |  
                | Lake    4 location 2  | 2001 - 4  | 47  | 33  | 4  | 0.80  | 0.233  | 20hr  |   |  
                | Lake    4 location 1  | 1901 - 4  | 43  | 41  | 4  | 1.26  |   |   |   |  
                | Lake    4 location 1  | 1901 - 4  |   |   | 6  | 1.60  |   |   |   |  
                | Lake    4 location 2  | 2001B  |   |   | 6  | 0.75  |   |   |   |  
                | Lake    5 location 1  | 1701 - 4  | 27  | 31  | 6  | 1.15  | 1.784  | 21hr  |   |  
                | Lake    5 location 1  | 1701B  |   |   | 2  | 1.44  |   |   |   |  
                | Lake    5 location 2  | 1801 - 4  | 36  | 33  | 6  | 2.44  |   |   |   |  
                | Lake    5 location 2b  | 1801B  |   |   | 2  | 1.92  |   |   |   |  
                | Q/C blank run  | 2401 - 4  | >1  | >1  |   | 0.0  |   |   |   |  APPENDIX  II  DATA  
              
                | Sample Analysis  |  
                | for |  
                | Associated Radon Services |  
                |   |   |   |   |   |   |   |   |  
                |  18 Acre Apartment Site |  
                | Polk County , Florida |  
                | 11/15/2006 |  
                |   |   |   |   |   |   |   |   |  
                | Uranium238/Radium226  |  
                |   |   |   |   |   |   |   |   |  
                | Sample | Sample | Location | Ra226 | Sample | Sample | Location | Ra226 |  
                | Number | Location | Depth | pCi/g | Number | Location | Depth | pCi/g |  
                | B12 | B - 12 | 6' | 1.92 | 2301A | P - 2 | 3' | 2.72 |  
                | PA2 | PA - 2 | 3' | 1.95 | 2301B | P - 2 | 6' | 4.79 |  
                | 1701 | PA - 1 | 6' | 1.15 | 2501A | P - 1 | 3' | 2.16 |  
                | 1701B | PA - 1 | 2' | 1.44 | 2501B | P - 1 | 5' | 1.53 |  
                | 1801 | PA - 2 | 6' | 2.44 | 2501C | P - 1 | 10' | 2.92 |  
                | 1801B | PA - 2 | 2' | 1.92 | 2601A | P - 1A | 3' | 2.48 |  
                | 1901A | PA - 3 | 4' | 1.26 | 2601B | P - 1A | 6' | 3.40 |  
                | 1901B | PA - 3 | 6' | 1.60 | 2701A | P - 3 | 3' | 1.39 |  
                | 2001A | PA - 3 | 4' | 0.80 | 2701B | P - 3 | 6' | 2.83 |  
                | 2001B | P - 3 | 6' | 0.75 | 2801A | P - 3 | 3' | 1.72 |  
                | 2101 | B - 9 | 3' | 2.59 | 2801B | P - 3 | 6' | 3.41 |  
                | 2201A | P - 2 | 3' | 2.30 | 2901 | B - 5 | 3' | 1.91 |  
                | 2201B | P - 2 | 6' | 1.60 | 3001 | B - 1 | 3' | 3.24 |  APPENDIX III ( by others ) Materials Management  Guidelines Background & History Since 1975, the State of Florida  has considered the problem of radon in private homes, schools, and other  buildings.  There has been a long series  of draft building codes, proposed land use restrictions, draft guidelines,  draft standards, recommendations, research reports, state-wide surveys,  regional and county surveys, and local agency proposals of codes, restrictions  and standards.  Millions of dollars have  been expended addressing this problem.   Much has been learned and the public has benefited from those  expenditures.  Three main areas have  received considerable attention: (1) prescriptive methods and materials  necessary to construct a home with the maximum degree of radon resistance by  the foundation and construction components; (2) designs and operational  parameters for sub-slab depressurization systems; and (3) investigations and  surveys of various types that clearly indicate that there are rather limited  areas of Florida that require full radon protection expense at the construction  stage. On November 15,  1991 the Department of Community Affairs (DCA) published in the Florida  Administrative Weekly proposed Rule 9B-51.001 through 52.004 which would  incorporate the "Florida Standard for Radon Resistant Building Construction",  into the Florida Administrative Code.  On  the 29th of May 1992 the State of Florida,  Division of Administrative Hearings declared the proposed rule invalid.  There were various aspects of the proposed  "radon standard" that were found to be inconsistent with other State  of Florida  rules and standards.  In addition the  Hearing Officer recognized that "there are areas of low radon potential as  well as high radon potential in the State and … delineation of these low and  high areas can be achieved based on geography and geology.  "The DCA"standard" would have  required statewide application without provisions for variances for a low radon  potential area that would not require the added expense of the prescriptive  building codes and sub-slab depressurization systems. In late March, 1994  DCA began to circulate for technical review a new draft entitled "Florida  Standard for Radon-Resistant New Residential Building Construction."  This draft contains discussion of the new radon  potential map being developed for the state, passive radon control techniques,  and active radon control systems.  The  first site specific measurement mentioned is a soil radium profile, but there  are serious questions about the total effort in Section 602.  It does not, for example, address any  excavation or earth moving on the site. On March 21, 1994,  the Environmental Protection Agency published "Model Standards and  Techniques for Control of New Residential Buildings" in the Federal  Register (Vol 59, No. 54, 13402-13416).   The rule addresses the EPA's Map of Radon Potential Zones and  "unique radon potential that may exist in their local building  areas."  Radium profiles are a prime  indication of any "unique radon potentials." In the Fall of  1994, DCA refocused much of its resources from single family homes to large  buildings. The key research areas of importance for the large buildings have  now been funded, but results are just beginning to become available.  Several demonstration projects are underway.  Some of the major passive construction  techniques certainly apply to the foundations of larger buildings and there  appears to be a higher potential for slab penetrations and joints that need to  be sealed against radon transport.   Radium profiles before initial planning will be extremely important as  excavations and below-surface structures are more common for the larger  buildings.  At this time, it appears that  the same indoor standards will be applied regardless of occupancy factors. It is clear that  some lands in Florida  may require the maximum effort of radon resistant construction currently known  as well as pre-construction installation of sub-slab systems.  It is also clear that land destined for  development need to be evaluated at the earliest possible stage to determine if  they have low, medium or high potentials for radon transport.  The intent of this type of investigation is  to provide such decisions.  For those  potential developments that plan earth moving for drainage retention basins;  for first floor flood protection; for the creation of lakes and aesthetic  contours; or for amenities such as golf courses and clubhouses, early knowledge  of the radon potentials materials is an invaluable first line defense against  future indoor radon problems.  The  investigation described in this report provides such a defense and has proven  to greatly reduce the indoor radon of the final developments.  Basically, the  procedure is to simply add radium 226  (the source of radon) analyses to the valuable geotechnical investigations  performed for a potential development site.   One addition parameter, after the expense of core drilling and  interpretation, is a small added expense that provides an extremely important  data set that can be used for engineering decisions well before the first  ground is broken.  Developers,  financing institutions, political units, zoning agencies, builders and  potential homeowners need specific guidelines to apply to generated radium  profiles.  One set of materials  guidelines was developed by Dr. Bolch for presentation to Sarasota County  in 1985.  The central question at that  time was the eventual placement of materials excavated from artificial  lakes.  Since radium concentrations often  increase with depth, at what concentrations should there be changes in the  management of this excavated fill?  Radium  concentrations in excess of 11 pCi/g are certainly not acceptable fill where  occupied structures will be constructed.   Since significant radon can migrate at least six feet, it is unwise to  attempt to cover 11 pCi/g or higher activity materials with lower activity fill  at potential home site pads.  In  addition, surface materials with a 11 pCi/g or greater radium concentrations  yield a measurable increment of external gamma radiation exposure to persons  walking, playing or sitting over these materials.  For all these reasons, a material management  guideline be considered for strata with radium  in excess of 11 pCi/g as Restricted Use (RU).  Depending upon the site plan, recommendations  for these materials include (a) restrictions against excavation, (b) reburial  with low activity cover at non‑residential sites, (c) use as road base for  paved and permanent roads, or (d) other case‑by‑case recommendations. If the radium  concentrations in a depth range exceed 5 pCi/g but are less than 11 pCi/g then  this strata is still not acceptable for home sites or occupied structures.  There is, however, little radiological  (external gamma) concern over its near surface placement in other areas.  For these reasons, the materials management  guideline for strata having radium  levels between 5 and 11 pCi/g became Homesite Restricted (HR).  If these  materials were excavated, there would be no restrictions upon their direct use  on golf courses, greenspace, berms, unpaved roads or trails, parks, or other  areas where structures would not be placed directly over this source material. No structure will  have an indoor radon of zero, primarily because no soil or near‑surface strata  will have a zero concentration of radium.   Thus, there is no baseline or cutoff concentration of radium.  A good comparative landmark is the  "average" soil radium that is associated with the "average"  indoor radon concentration.  The data is,  of course, from existing homes and are not impacted by the new guidelines,  codes, experience, or awareness.  The  geometric mean indoor radon level in Florida  is very near 1 pCi/l with different data sets producing values just above and  just below that level.  The data sets are  geometric means rather than simple averages. The soil radium  level associated with the indoor radon level of 1 pCi/l is somewhat more  difficult to present, since concentrations change with each depth and some six  to ten feet of strata may significantly contribute to radon influx to a  structure.  One landmark, the normal  surface soil (generally 0 ‑ 1 ft.) radium content in Florida is about 0.4 pCi/g (again a  geometric mean).  Another landmark, is  the Effective Radium Concentration (ERC) which attempts to express a complex  radium depth profile in a single number related to the profile's contribution  to radon flux at the surface.  A  geometric mean ERC value for Florida  is just above 1 pCi/g. To put this  discussion into a simple materials management format consider a materials  classification labeled Average Baseline (AB) as being any near surface  average radium of 0.44 to 1 pCi/g.  Any tract of land with this level of near‑surface  radium would be expected to yield a near average or below indoor radon  concentration in homes constructed over this strata. As the radium level  in near surface materials increases so also does the potential for increased  indoor radon levels.  However, with  current building practices and attention to eliminating penetrations, it should  be possible to build upon lands having radium concentrations above this AB category.  One of the early proposed State radon  resistant building code drafts limited offsite Fill Material (FM) to a radium concentration of 2 pCi/g or less.  The 1994 draft mentioned in the opening  section above suggests that fill material be limited to 1 pCi/g or less.  This is a  severe limitation and the authors believe that radon potential calculations for  small layers of material less than 2 pCi/g will not exceed the naturally  existing profiles that contain such levels.   The materials management recommendations of the authors will remain  essentially the same, with some additional caution remarks when appropriate. The following  recommendations made by the authors has essentially been the same since  1985.  Radium profiles normally begin at  levels less than 1 pCi/g at the surface and increase with depth, sometimes  rather slowly and sometimes dramatically.   The materials management reports by this group have recommended that  when lakes and DRAs are excavated, the mixed  stockpile of materials from the  surface down to the level at which the HR (5 pCi/g) strata is first encountered be considered separately.  At no time  have the authors recommended building directly upon 5 pCi/g materials.  Mixed stockpile materials can be traced to  their destination by manifest systems and tracked with properly calibrated  (microR) gamma survey meters. It now seems  appropriate to recommend that strata falling between the HR and the FM criteria  be assigned a separate title.  Materials between 2.0 and 5.0 pCi/g of  Radium 226 have an elevated radon potential, but have some  development value as fill IF diluted with sufficient overburden to create a  mixed stockpile of a lower concentration.  These strata are normally buried and only  become of concern when excavated for the creation of lakes or drainage  retention areas.  The strata having  radium between 2.0 and 5.0 pCi/g will be categorized as Potential Resource (PR).  These  materials are not suitable for direct use at house pads and should only be  considered for excavations when the overburden plus the PR material have a  predicted concentration of less than 2.0 pCi/g.   Mixed stockpiles should undergo some Quality Assurance testing before  final placement.  This can be either  random re-sampling or a (microR) gamma survey calibrated against surface radium  concentration.  Any published local or  state guideline or standard for fill material should be addressed before  consideration of excavation and use of PR materials. 
 |