Nick Speidell
4394 N Grape St.
Denver, CO 80216
March 25, 2015
Dear Mr. Speidell:
The following observations were made during a visit to 4394 Grape St on 3/18/15:
Employees were able to identify by RFID numbers all the plants in the facility noted from the
report issued on 3/18/2015. All plants in the facility on the visiting date of 3/18/2015 had been
identified as being treated with Eagle 20 and other pesticides not on the updated list from the
Colorado Department of Agriculture. The facility was also able to provide information
regarding test results, SOP's for application and pesticide application logs.
The following order supersedes the order issued on 3/18/2015.
Based upon our site visit and investigation of the premises, the Denver Department of
Environmental Health (DEH) finds sufficient evidence that marijuana plants or marijuana product
on the premises may have been contaminated by pesticides that have been determined by the
Colorado Department of Agriculture to be a violation to use on marijuana; therefore, DEH finds that
the presence of these possible pesticide residues on marijuana plants being cultivated for human
consumption either by inhalation or ingestion may pose a significant public health risk.
Given this evidence of possible pesticide contamination, and pursuant to the authority granted to the
department of environmental health to protect public health under DRMC 24-16 and 24-17, you
are ordered to hold all plants in the areas specified herein, specifically: the entire grow facility
(RFID numbers provided to inspector). All plants subject to this order shall remain on hold until
written approval is obtained from the Denver Department of Environmental Health to lift the hold.
During the period of the hold, the subject plants:
During the period of the hold:
1. The subject plants may be watered and maintained.
2. The subject plants must remain segregated from other, non-contaminated plants.
3. The subject plants may be harvested, but the resulting harvest must remain segregated
from other plants by RFID number and may not be commingled with the harvests from
any other plants. The harvested marijuana product must remain subject to the hold.
4. No clippings or clones may be taken from the subject plants until the hold is lifted.