Cathy Bryant, LSRP

Cathy Bryant, LSRP
Director of LSRP Services
100 Misty Lane
(973)560-1400 x 177
cathy.bryant@ewma.com

Ms. Bryant has over 20 years of experience in all phases of various NJDEP Remedial Investigations, Remedial Actions, and UST Subsurface Evaluations.  She is a NJ Licensed Site Remediation Professional. Ms. Bryant has closed out sites using compliance attainment procedures and done so in order to limit the extent of engineering controls. She is also experienced in institutional controls for remedial actions including Deed Notices and CEAs, Hazardous, Toxic and Radioactive Waste (HTRW) studies and assessments, and Due Diligence Studies and Assessments. We are thrilled to have her join our Leadership Team at EWMA, as she brings her incredible depth of knowledge and experience to our firm.

 

Expertise

  • Project Management
  • NJ LSRP
  • Environmental Remediation
  • Phase I ESA
  • NJ PA, HTRW and Linear Projects

Credentials

  • BS, Environmental Engineering, Florida Institute of Technology
  • NJDEP Licensed Site Remediation Professional (LSRP)

Professional Activities

  • NJSWEP
  • NJLSRPA

 

 

Experience Highlights

Project Manager and LSRP for Sayreville and Werner Generating Stations. Managed remedial investigation tasks in accordance with N.J.A.C. 7:26E under NJDEP ISRA for the multi-acre power generating stations at the Sayreville, Werner Gilbert and Glen Gardner Sites. She is currently the LSRP for the Sayreville and Werner ISRA Sites. Each ISRA Site has over 30 contaminated AOCs including historic fill. Contaminants of concern include metals and PAHs in soil and metals in groundwater. Several Compliance Attainment procedures are being used to comply with NJDEP Soil Remediation Standards. Some LSRP submittals included annual Remediation Funding Source, Remediation Priority Scoring, Public Notification, the May 7, 2014 RI Complete Timeframe Extension Final RI Report and a RAW. An EPA Self Implementing Plan (SIP) for PCBs was submitted and approved by the EPA for Werner and Sayreville as part of the final remedial action at the Site.

LSRP Managed remediation tasks in accordance with N.J.A.C. 7:1E and N.J.A.C. 7:26E for approximately 18 gallons of hydraulic fluid that was released to the asphalt at the HD Construction Supply Site in North Bergan; then to soil at the adjacent active rail property. Soil excavation, off-site disposal and post remediation soil sampling adjacent to an active rail property was conducted in January 2017.  An unrestricted use Response Action Outcome (RAO) was issued for the spill case. LSRP tasks included NJDEP Discharge Notification, Spill Response including asphalt washing, Public Notification, Initial Receptor Evaluation, Remedial Action Work Plan and a Remedial Investigation Report. An unrestricted use Response Action Outcome was submitted on May 18, 2017.

EWMA News

  • How surety bonds expand post-remediation care options to meet financial assurance requirements

    Earlier in 2019, the New Jersey legislature approved updates to the 2009 Site Recovery Reform Act (SRRA), a suite of improvements known collectively as SRRA 2.0. Introduced a decade after the original SRRA, this legislation sought out to improve upon the original set of regulations. One such tweak was to the list of acceptable remedial […]

  • How vapor intrusion is discovered and remediated

    Co-Authored by Don Richardson, President and Jacob Strauss, Senior Engineer.

    Vapor intrusion has evolved into one of the highest risks commercial real estate developers and owners face. Vapor intrusion can pose a greater risk than contaminated soil or groundwater. The rise of vapors from contaminated sources into buildings can pose an immediate risk if they reach hazardous levels.

  • Tackling post-remediation care in New Jersey

    Environmental remediation projects are rarely a one-and-done undertaking. A site may need to be monitored and maintained long after regulatory agency closure, if the active remediation did not achieve the most stringent cleanup standards.

  • Before you excavate, explore compliance attainment

    Developers may not know that there’s more than one way to tackle a soil remediation project. Many assume that this kind of cleanup calls for a total excavation, carting off truckloads of contaminated soil to be cleaned or replaced entirely. However, for some projects, such an invasive and labor-intensive process may not be necessary.

  • Advancing Complex Brownfields Redevelopment, Made Simple

    Decades of unregulated, uncontrolled and poor environmental practices have led to millions of acres of “brownfields” in the U.S., properties which must be properly remediated before they are repurposed or redeveloped. These properties come in all shapes and sizes, affected by a vast array of contaminants associated with industrial operations. What is a brownfield, and what makes it different from other types of contaminated sites?

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800 Lanidex Plaza
Suite 200
P.O. Box 5430
Parsippany, NJ 07054

Contact

Email info@ewma.com
Toll Free 800-969-3159
Phone 973-560-1400

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