Patricia I. Romero, Inc. dba Pacific West Builders

CourtArmed Services Board of Contract Appeals
DecidedFebruary 13, 2024
Docket62627
StatusPublished

This text of Patricia I. Romero, Inc. dba Pacific West Builders (Patricia I. Romero, Inc. dba Pacific West Builders) is published on Counsel Stack Legal Research, covering Armed Services Board of Contract Appeals primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Patricia I. Romero, Inc. dba Pacific West Builders, (asbca 2024).

Opinion

DOCUMENT FOR PUBLIC RELEASE The decision issued on the date below is subject to an ASBCA Protective Order. This version has been approved for public release.

ARMED SERVICES BOARD OF CONTRACT APPEALS

Appeal of - ) ) Patricia I. Romero, Inc. dba Pacific West ) ASBCA No. 62627 Builders ) ) Under Contract No. N62473-l l-D-0065 )

APPEARANCE FOR THE APPELLANT: David A. Rose, Esq. Rose Consulting Law Firm Valdosta, GA

APPEARANCES FOR THE GOVERNMENT: Craig D. Jensen, Esq. Navy Chief Trial Attorney Jerry Kim, Esq. Trial Attorney

OPINION BY ADMINISTRATIVE JUDGE EYESTER ON THE GOVERNMENT’S MOTION FOR SUMMARY JUDGMENT

Patricia I. Romero, Inc. doing business as Pacific West Builders (PWB) appeals the partial denial of its claim for compensation related to the abatement of asbestos, and demolition and replacement of corridor walls at a building located on Marine Corps Base Camp Pendleton, California. The Department of the Navy (Navy or government) filed a summary judgment motion asserting that PWB cannot establish entitlement for its claim that the asbestos was unforeseen or the result of defective specifications or its claim for compensable delay. For the reasons set forth below, we grant the motion in part and deny the remainder.

STATEMENT OF FACTS FOR PURPOSES OF THE MOTION

Contract and Task Order

On September 22, 2011, Naval Facilities Engineering Systems Command Southwest (NAVFAC SW) awarded indefinite delivery, indefinite quantity (IDIQ) multiple award construction contract (MACC) No. N62473-11-D-0065 to PWB (R4, tab 1 at 1-2). The contract was for new construction and renovation of various facilities located in the NAVFAC SW area of responsibility which included California (id. at 1). As relevant to this motion, the contract incorporated by reference Federal Acquisition Regulation (FAR) 52.236-2, DIFFERING SITE CONDITIONS (APR 1984) and DOCUMENT FOR PUBLIC RELEASE The decision issued on the date below is subject to an ASBCA Protective Order. This version has been approved for public release.

explained that all task orders were subject to the terms and conditions of the contract (id. at 26, 105).

In July of 2014, NAVFAC SW issued a request for proposals to all MACC awardees for the design-build repair of the 13,245 square foot Battalion Building 53423 (Building 53423) at Marine Corps Base Camp Pendleton (gov’t ex. 1 at 21-23, 26). Offerors were required to submit a fixed-priced proposal for all labor, equipment, and materials to accomplish the work (R4, tab 6 at 135).

The RFP’s overall project description explained that the contractor was to, among many other things, “remove and dispose of all existing hazmat materials prior to construction” including asbestos removal, abatement, and clean-up as necessary; replace or repaint “[a]ll ceiling, wall, base and floor surfaces;” “[r]eplace interior non- load bearing partition walls;” and “remove the walls as needed to reconfigure the spaces” noting that if additional walls needed to be removed during construction, it would be handled as a modification (R4, tab 6 at 321-22). With respect to hazardous materials, there was a pre-award request for information (RFI), RFI 20, seeking a hazardous materials report for the building. In response, the agency stated:

A: Unfortunately[,] we do not have a Hazardous Materials report for Building 53423. However, based on recent projects in buildings built at the same time and from similar plans, we assume the following:

• At a minimum asbestos is present in the roof mastic, window caulking and hot-water piping insulation elbows, and will need to be abated. . . . Most of the vinyl floor tile has been replaced recently enough that it should not contain asbestos, but there may be traces of old asbestos mastic remaining underneath, and there may be small amounts of the original asbestos tiles under the wall framing where interior walls are being demolished.

• At a minimum lead based paint is present on painted metal window frames, door frames and handrails, and will need to be abated if disturbed. . .

These items should be assumed to be present, and base bids should include costs for Lead and Asbestos surveys, and the abatement of the items listed above. Additional materials that are discovered during surveying will be

2 DOCUMENT FOR PUBLIC RELEASE The decision issued on the date below is subject to an ASBCA Protective Order. This version has been approved for public release.

considered unforeseen and handled with a contract modification.

(Id. at 149) (emphasis added) The Navy incorporated this RFI and response into the RFP via amendment 01 (id. at 145).

On September 11, 2014, NAVFAC SW awarded PWB a fixed-priced task order in the amount of $4,334,343 for the renovation of Building 53423 (R4, tab 9 at 1306). According to the task order, the government accepted PWB’s technical and price proposals dated August 21, 2014, to complete the work in accordance with the RFP, as amended (id. at 1319). The completion date of the project was March 19, 2016, 555 calendar days from the date of award (R4, tab 13 at 1462).

Asbestos Surveys

Prior to construction, on April 24, 2015, PWB issued its final submittal basis of design report prepared in coordination with its designer of record (R4, tab 26 at 1479-80). PWB’s design report included a consultant’s Asbestos & Lead Paint Survey Report dated January 7, 2015 (id. at 1861, 1863-64). The consultant bulk sampled 12”x12” and 9”x9” assorted color floor tiles and associated floor mastic in composite form throughout the first and second floors. The analyses indicated asbestos in the brown 9”x9” floor tiles and associated floor mastic, which was classified by regulation as non-friable 1 asbestos containing material (ACM). As the building was occupied and the floors covered with carpet, the report estimated that about 3,000 square feet of this ACM needed to be removed by a licensed asbestos abatement contractor prior to demolition. (Id. at 1863)

PWB requested further asbestos testing, which was conducted on January 29, 2015. The same consultant collected samples of additional items including 12”x12” black vinyl floor tiles in the corridors. (R4, tab 26 at 1873) The test did not show asbestos in this floor tile (see id.).

PWB submitted an RFI on May 5, 2015, stating that ACM was present in approximately 3,000 square feet of mastic, as well as an unknown amount in floor tiles, and in an amount far exceeding “trace.” PWB further stated the consultant surveyed non-obvious locations and edges of the vinyl floor but did not perform destruction testing. Further, as vinyl tile had been replaced recently, PWB asked the government whether there was an accurate estimate of ACM performed at that time. PWB recommended further analysis to accurately quantify the amount of ACM, which

1 Based on the record, we define “friable” as the ability to release airborne fibers (gov’t ex. 8 at 2).

3 DOCUMENT FOR PUBLIC RELEASE The decision issued on the date below is subject to an ASBCA Protective Order. This version has been approved for public release.

would involve chipping away small areas of vinyl tile to expose the material underneath. On May 11, 2015, the government construction manager agreed that PWB should perform the necessary testing to confirm whether there was asbestos in excess of the RFP language using selective destructive testing. (R4, tab 27)

A May 15, 2015 consultant report set forth the findings of the additional asbestos sampling performed.

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