Bona Fide Prospective Purchasers
The bona fide prospective purchaser (BFPP) provision in the 2002 Brownfields Amendments dramatically changed the Superfund liability landscape for landowners.
Persons may now acquire property knowing, or having reason to know, of contamination on the property if they:
- acquire property after January 11, 2002,
- meet the threshold criteria and ongoing obligations outlined below, and
- do not impede the performance of a response action or natural resource restoration.
Threshold Criteria and Ongoing Obligations
To qualify as a BFPP, a landowner must meet certain criteria, which is described in the "Interim Guidance Regarding Criteria Landowners Must Meet in Order to Qualify for Bona Fide Prospective Purchasers, Contiguous Property Owner, or Innocent Landowner Limitations on CERCLA Liability ("Common Elements") (PDF)." (22pp, 366KB, About PDF)
To receive the liability protection under Superfund, a BFPP must perform "all appropriate inquiries" prior to acquiring the property, and demonstrate "no affiliation" with a liable party.
A BFPP must also satisfy the following obligations:
- compliance with land use restrictions and not impeding the effectiveness or integrity of institutional controls;
- taking “reasonable steps” with respect to hazardous substances affecting a landowner’s property;
- providing cooperation, assistance and access;
- complying with information requests and administrative subpoenas; and
- providing legally required notices.
EPA provides guidance on these criteria and obligations in its Common Elements guidance for landowner liability protections.
Windfall Lien
The Superfund statute provides that a BFPP is not liable as an owner/operator for response costs. However, the United States may have a "windfall lien" on a BFPP’s property where an EPA response action increased the fair market value of the property.
Windfall liens arise only where there is federal involvement at a site. At the vast majority of contaminated sites, there is no federal involvement and, therefore, no windfall lien.
EPA has developed guidance identifying the factors that may lead the United States to assert a windfall lien on a BFPP’s property. The guidance also provides examples of situations where EPA will generally not pursue a windfall lien and describes EPA and DOJ’s approach to settling windfall liens. Finally, the guidance provides model comfort/status letters and agreements that EPA may provide in order to address a BFPP’s windfall lien concerns. [More information on windfall liens is available from the liens category in the Superfund enforcement policy and guidance database.]
Brownfields & Land Revitalization Topics
Acronym Tips
- BFPP - Bona Fide Prospective Purchaser
- CPO - Contiguous Property Owner
- ILO - Innocent Landowner
- EPA's Terms of the Environment