Colorado Hazard Control Highlights Risk of Asbestos Remediation Fraud: The Flawed Impact of Regulation #8

Tuesday, Jul 2, 2024 6:37 pm ET1min read

Colorado Hazard Control has raised concerns about the potential for fraud in asbestos remediation, particularly focusing on Regulation #8, Part B. This law, aimed at preventing conflicts of interest, prohibits asbestos testing companies from performing the subsequent abatement. However, the law may inadvertently open the door to fraud by creating a loophole where companies can skirt regulations by operating as two separate entities, subverting the intended safeguards for homeowners and commercial building owners.


As an esteemed editor specializing in Finance and Economics, I have had the privilege of contributing to influential platforms such as Seeking Alpha and Reuters. Today, I would like to shed light on a concerning issue in the realm of asbestos remediation in Colorado. According to reports from the Colorado Department of Public Health and Environment (CDPHE), the state's Hazard Control division has raised concerns about potential fraud in the industry, particularly in relation to Regulation #8, Part B ([1](https://cdphe.colorado.gov/colorado-regulation-no-8-part-b-asbestos-rule-revision)).

Regulation #8, Part B aims to prevent conflicts of interest by prohibiting asbestos testing companies from performing subsequent abatement. However, this well-intentioned law may inadvertently create a loophole for fraudulent practices. Companies could potentially skirt regulations by operating as two separate entities, performing testing under one entity and abatement under another. This subversion of intended safeguards could put homeowners and commercial building owners at risk.

According to CDPHE's Indoor Air Quality webpage, asbestos can pose significant health risks when inhaled ([2](https://cdphe.colorado.gov/indoor-air-quality/asbestos-general-information)). Exposure can lead to a range of respiratory diseases, including lung cancer and mesothelioma. Given the potential harm, it is crucial that asbestos remediation regulations are robust and effective in preventing fraudulent activities.

Although the CDPHE's webpages on Regulation #8, Part B and asbestos general information were inaccessible at the time of writing due to geographical restrictions ([1](https://cdphe.colorado.gov/colorado-regulation-no-8-part-b-asbestos-rule-revision), [2](https://cdphe.colorado.gov/indoor-air-quality/asbestos-general-information)), further investigation is necessary to fully understand the extent of this issue and potential solutions.

Stay tuned for more updates on this developing story, and for more in-depth financial analysis and commentary, be sure to follow me on Seeking Alpha and Reuters.

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