File #: 20-903   
Status: Agenda Ready
In control: County Attorney
Agenda Date: 5/19/2020 Final action: 5/19/2020
Title: MOTION TO AUTHORIZE Office of the County Attorney to commence litigation and take all actions related thereto it deems appropriate against Illinois Union Insurance Company to recover the cost of removal and disposal of asbestos-contaminated soil from the Trails End Yard site.
Date Action ByActionResultAction DetailsMeeting DetailsVideo
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Broward County Commission Regular Meeting
Director's Name: Andrew J. Meyers
Department: County Attorney

Information
Requested Action
title
MOTION TO AUTHORIZE Office of the County Attorney to commence litigation and take all actions related thereto it deems appropriate against Illinois Union Insurance Company to recover the cost of removal and disposal of asbestos-contaminated soil from the Trails End Yard site.

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Why Action is Necessary
Board approval is required for the Office of the County Attorney to file this proposed lawsuit.

What Action Accomplishes
Approves the commencement of litigation against the insurer.

Is this Action Goal Related
No

Previous Action Taken


Summary Explanation/Background
In 2014, Tutor Perini Fort Lauderdale Hollywood Venture ("TPFLHV") performed work on the Terminal 4 Apron Project ("Apron") which included the demolition and removal of the existing concrete apron and other unsuitable material from the site. TPFLHV transported some of these materials off-site to Trails End Yard site ("TEY") to be sorted and reused.

Around the end of 2014 or early 2015, it was determined that asbestos originating from the apron was present in the materials placed at TEY and had been commingled with other materials. Using an Emergency Quotation, the County disposed of the contaminated materials, incurring costs of over $4,000,000.

The County had an environmental insurance policy (Policy # G24880163 001), issued by Illinois Union Insurance Company ("Insurer"), in place during the relevant time period. While the County has contractual remedies available against TPFLHV, not all of the costs may be recoverable under the contract. Accordingly, the County submitted an insurance claim (Claim # JY15J0063756) to the Insurer requesting coverage for these costs. The Insurer has taken the position that it is responsible for only a portion of the claim.

This item would authorize the County Attorney to initiate litigation against t...

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