National Oil and Hazardous Substances Pollution Contingency Plan; National Priorities List: Partial Deletion of the Rocky Mountain Arsenal Federal Facility, 34405-34415 [2010-14524]
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Federal Register / Vol. 75, No. 116 / Thursday, June 17, 2010 / Proposed Rules
rule. We have determined that the
proposed rule will not result in
expenditures by State, local, and tribal
governments, in the aggregate, or by the
private sector, of $100 million or more
in any one year. Accordingly, we have
not prepared a budgetary impact
statement or specifically addressed any
regulatory alternatives.
List of Subjects in 31 CFR Part 208
Accounting, Automated Clearing
House, Banks, Banking, Electronic funds
transfer, Financial institutions,
Government payments.
For the reasons set out in the
preamble, we propose to amend 31 CFR
part 208 as follows:
PART 208—MANAGEMENT OF
FEDERAL AGENCY DISBURSEMENTS
1. The authority citation for part 208
continues to read as follows:
Authority: 5 U.S.C. 301; 12 U.S.C. 90, 265,
266, 1767, 1789a; 31 U.S.C. 321, 3122, 3301,
3302, 3303, 3321, 3325, 3327, 3328, 3332,
3335, 3336, 6503; Pub. L. 104–208, 110 Stat.
3009.
2. In § 208.2, redesignate paragraphs
(c) through (o) as paragraphs (d) through
(p), respectively, add new paragraph (c),
and revise redesignated paragraph (e) to
read as follows:
§ 208.2
Definitions.
*
*
*
*
*
(c) Direct Express® card means the
prepaid debit card issued to recipients
of Federal benefits by a Financial Agent
pursuant to requirements established by
Treasury.
*
*
*
*
*
(e) Electronic benefits transfer (EBT)
means the provision of Federal benefit,
wage, salary, and retirement payments
electronically, through disbursement by
a financial institution acting as a
Financial Agent. For purposes of this
part, EBT includes, but is not limited to,
disbursement through an ETAsm, a
Federal/State EBT program, or a Direct
Express® card account.
*
*
*
*
*
3. Revise § 208.4(a) to read as follows:
§ 208.4
Waivers.
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*
*
*
*
*
(a) Where an individual is receiving
Federal payments from an agency by
check prior to March 1, 2011, the
individual may continue to receive
those payments by check through
February 28, 2013. In addition, an
individual who files a claim for Federal
benefit payments prior to March 1,
2011, and who requests payment of
those benefits by check at the time he
or she files the claims, may receive
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those payments by check through
February 28, 2013.
*
*
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*
*
4. Revise § 208.6 to read as follows:
§ 208.6
Card.
Availability of the Direct Express®
Any individual who receives a
Federal benefit, wage, salary, or
retirement payment shall be eligible to
open a Direct Express® card account.
The offering of a Direct Express® card
account shall constitute the provision of
EBT services within the meaning of
Public Law 104–208.
5. Revise § 208.7 to read as follows:
§ 208.7
Agency responsibilities.
Each agency shall put in place
procedures that allow each recipient to
provide the information necessary for
the delivery of payments to the recipient
by electronic funds transfer to an
account at the recipient’s financial
institution, or to sign up for a Direct
Express® card account to be held by the
recipient.
6. Revise § 208.8 to read as follows:
§ 208.8
Recipient responsibilities.
Each recipient who is required to
receive payment by electronic funds
transfer shall provide to an agency the
information requested by the agency in
order to effect payment by electronic
funds transfer.
7. Revise the third sentence in
§ 208.11 to read as follows:
§ 208.11
Accounts for disaster victims.
* * * Treasury may deliver payments
to these accounts notwithstanding any
other payment instructions from the
recipient and without regard to the
requirements of §§ 208.4 and 208.7 of
this part and § 210.5 of this chapter.
* * *
Appendixes A and B to Part 208
[Removed]
8. Remove Appendix A and Appendix
B to Part 208.
Dated: June 10, 2010.
Richard L. Gregg,
Fiscal Assistant Secretary.
[FR Doc. 2010–14614 Filed 6–16–10; 8:45 am]
BILLING CODE 4810–35–P
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34405
ENVIRONMENTAL PROTECTION
AGENCY
40 CFR Part 300
[EPA–HQ–SFUND–1987–0002; FRL–9163–4]
National Oil and Hazardous
Substances Pollution Contingency
Plan; National Priorities List: Partial
Deletion of the Rocky Mountain
Arsenal Federal Facility
AGENCY: Environmental Protection
Agency.
ACTION: Proposed rule.
SUMMARY: The Environmental Protection
Agency (EPA) Region 8 is issuing a
Notice of Intent to Delete portions of the
On-Post Operable Unit (OU3),
specifically the Central and Eastern
Surface Areas including surface media
and structures (CES), and the surface
media of the entire Off-Post Operable
Unit (OU4) (OPS) of the Rocky
Mountain Arsenal Federal Facility
(RMA) from the National Priorities List
(NPL) and requests public comment on
this proposed action. The NPL,
promulgated pursuant to section 105 of
the Comprehensive Environmental
Response, Compensation, and Liability
Act (CERCLA) of 1980, as amended, is
an appendix of the National Oil and
Hazardous Substances Pollution
Contingency Plan (NCP). The EPA and
the State of Colorado, through the
Colorado Department of Public Health
and Environment (CDPHE), have
determined that all appropriate
response actions at these identified
parcels under CERCLA, other than
operation, maintenance, and five-year
reviews, have been completed. However
this deletion does not preclude future
actions under Superfund.
This partial deletion pertains to the
surface media (soil, surface water,
sediment) and structures (both former
structures that have been demolished
and structures retained for future use)
within the CES and the surface media of
the entire OPS. The rest of the On-Post
OU (Figure 1), including groundwater
below RMA that is west of E Street, and
the groundwater that comprises the OffPost OU (see Section IV and Figure 1)
will remain on the NPL and response
activities will continue at those OUs.
The groundwater media east of E Street
(with the exception of a small area
below the northwest corner of Section 6)
was previously deleted from the NPL as
part of the Internal Parcel Partial
Deletion in 2006 (71 FR 43071).
DATES: Comments must be received by
July 19, 2010.
ADDRESSES: Submit your comments,
identified by Docket ID No. EPA–HQ–
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SFUND–1987–0002, by one of the
following methods:
• https://www.regulations.gov: Follow
the on-line instructions for submitting
comments.
• E-mail: chergo.jennifer@epa.gov.
• Fax: 303–312–7110.
• Mail: Ms. Jennifer Chergo,
Community Involvement Coordinator
(8OC), U.S. EPA, Region 8, 1595
Wynkoop Street, Denver, Colorado,
80202–1129.
• Hand Delivery: 1595 Wynkoop
Street, Denver, Colorado, 80202–1129.
Such deliveries are only accepted
during the Docket’s normal hours of
operation, and special arrangements
should be made for deliveries of boxed
information.
Instructions: Direct your comments to
Docket ID No. EPA–HQ–SFUND–1987–
0002. EPA’s policy is that all comments
received will be included in the public
docket without change and may be
made available online at https://
www.regulations.gov, including any
personal information provided, unless
the comment includes information
claimed to be Confidential Business
Information (CBI) or other information
whose disclosure is restricted by statute.
Do not submit information that you
consider to be CBI or otherwise
protected through https://
www.regulations.gov or e-mail. The
https://www.regulations.gov Web site is
an ‘‘anonymous access’’ system, which
means EPA will not know your identity
or contact information unless you
provide it in the body of your comment.
If you send an e-mail comment directly
to EPA without going through https://
www.regulations.gov, your e-mail
address will be automatically captured
and included as part of the comment
that is placed in the public docket and
made available on the Internet. If you
submit an electronic comment, EPA
recommends that you include your
name and other contact information in
the body of your comment and with any
disk or CD–ROM you submit. If EPA
cannot read your comment due to
technical difficulties and cannot contact
you for clarification, EPA may not be
able to consider your comment.
Electronic files should avoid the use of
special characters, any form of
encryption, and be free of any defects or
viruses.
Docket: All documents in the docket
are listed in the https://
www.regulations.gov index. Although
listed in the index, some information is
not publicly available, e.g., CBI or other
information whose disclosure is
restricted by statute. Certain other
material, such as copyrighted material,
will be publicly available only in hard
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copy. Publicly available docket
materials are available either
electronically in https://
www.regulations.gov or in hard copy at:
—EPA’s Region 8 Superfund Records
Center, 1595 Wynkoop Street, Denver,
Colorado, 80202–2466. Hours: 8 a.m.
to 4 p.m. by appointment (call 303–
312–6473), Monday through Friday,
excluding legal holidays; and the
—Joint Administrative Records
Document Facility, Rocky Mountain
Arsenal, 5650 Havana Street, Building
129, Commerce City, Colorado 80022–
1748. Hours: 12 p.m. to 4 p.m.,
Monday through Friday, excluding
legal holidays, or by appointment
(call 303–289–0983).
FOR FURTHER INFORMATION CONTACT: Ms.
Jennifer Chergo, Community
Involvement Coordinator (8OC), U.S.
Environmental Protection Agency,
Region 8, 1595 Wynkoop Street, Denver,
Colorado, 80202–1129; telephone
number: 1–800–227–8917 or 303–312–
6601; fax number: 303–312–7110; e-mail
address: chergo.jennifer@epa.gov.
SUPPLEMENTARY INFORMATION:
Table of Contents
I. Introduction
II. NPL Deletion Criteria
III. Deletion Procedures
IV. Basis for Intended Partial Site Deletion
I. Introduction
The Environmental Protection Agency
(EPA) Region 8 announces its intent to
delete the CES and OPS of the RMA
Site, Commerce City, Colorado, from the
NPL and requests comment on this
proposed action. The NPL constitutes
Appendix B of 40 CFR part 300 which
is the Oil and Hazardous Substances
Pollution Contingency Plan (NCP),
which EPA promulgated pursuant to
section 105 of the Comprehensive
Environmental Response, Compensation
and Liability Act (CERCLA) of 1980, as
amended. EPA maintains the NPL as
those sites that appear to present a
significant risk to public health, welfare,
or the environment. Sites on the NPL
may be the subject of remedial actions
financed by the Hazardous Substance
Superfund (Fund). This partial deletion
of the RMA Site is proposed in
accordance with 40 CFR 300.425(e) and
Notice of Policy Change: Partial
Deletion of Sites Listed on the National
Priorities List (60 FR 55466 (Nov. 1,
1995)). As described in 40 CFR
300.425(e)(3), a portion of a site deleted
from the NPL remains eligible for
further remedial actions if warranted by
future conditions.
EPA will accept comments on the
proposal to partially delete this site for
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thirty (30) days after publication of this
document in the Federal Register.
Section II of this document explains
the criteria for deleting sites from the
NPL. Section III discusses procedures
that EPA is using for this action. Section
IV discusses the CES and OPS of the
RMA Site and demonstrates how they
meet the deletion criteria.
II. NPL Deletion Criteria
The NCP establishes the criteria that
EPA uses to delete sites from the NPL.
In accordance with 40 CFR 300.425(e),
sites may be deleted from the NPL
where no further response is
appropriate. In making such a
determination pursuant to 40 CFR
300.425(e), EPA will consider, in
consultation with the State, whether any
of the following criteria have been met:
i. Responsible parties or other persons
have implemented all appropriate
response actions required;
ii. All appropriate Fund-financed
response under CERCLA has been
implemented, and no further response
action by responsible parties is
appropriate; or
iii. The remedial investigation has
shown that the release poses no
significant threat to public health or the
environment and, therefore, taking of
remedial measures is not appropriate.
Pursuant to CERCLA section 121(c)
and the NCP, EPA conducts five-year
reviews to ensure the continued
protectiveness of remedial actions
where hazardous substances, pollutants,
or contaminants remain at a site above
levels that allow for unlimited use and
unrestricted exposure. EPA conducts
such five-year reviews even if a site is
deleted from the NPL. EPA may initiate
further action to ensure continued
protectiveness at a deleted site if new
information becomes available that
indicates it is appropriate. Whenever
there is a significant release from a site
deleted from the NPL, the deleted site
may be restored to the NPL without
application of the hazard ranking
system.
III. Deletion Procedures
The following procedures apply to the
deletion of the CES and OPS of the RMA
Site:
(1) EPA consulted with the State
before developing this Notice of Intent
for Partial Deletion.
(2) EPA has provided the State 30
working days for review of this notice
prior to publication of it today.
(3) In accordance with the criteria
discussed above, EPA has determined
that no further response is appropriate.
(4) The State of Colorado, through the
CDPHE, has concurred with the deletion
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of the CES and OPS of the RMA Federal
Facility Site, from the NPL.
(5) Concurrently, with the publication
of this Notice of Intent for Partial
Deletion in the Federal Register, a
notice is being published in a major
local newspaper, the Denver Post. The
newspaper announces the 30-day public
comment period concerning the Notice
of Intent for Partial Deletion of the Site
from the NPL.
(6) The EPA placed copies of
documents supporting the proposed
partial deletion in the deletion docket
and made these items available for
public inspection and copying at the
Site information repositories identified
above.
If comments are received within the
30-day comment period on this
document, EPA will evaluate and
respond accordingly to the comments
before making a final decision to delete
the CES and OPS. If necessary, EPA will
prepare a Responsiveness Summary to
address any significant public
comments received. After the public
comment period, if EPA determines it is
still appropriate to delete the CES and
OPS of the RMA Site, the Regional
Administrator will publish a final
Notice of Partial Deletion in the Federal
Register. Public notices, public
submissions and copies of the
Responsiveness Summary, if prepared,
will be made available to interested
parties and included in the site
information repositories listed above.
Deletion of a portion of a site from the
NPL does not itself create, alter, or
revoke any individual’s rights or
obligations. Deletion of a portion of a
site from the NPL does not in any way
alter EPA’s right to take enforcement
actions, as appropriate. The NPL is
designed primarily for informational
purposes and to assist EPA
management. Section 300.425(e)(3) of
the NCP states that the deletion of a site
from the NPL does not preclude
eligibility for future response actions,
should future conditions warrant such
actions.
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IV. Basis for Intended Partial Deletion
The following information provides
EPA’s rationale for deleting the CES and
OPS of the RMA Federal Facility from
the NPL.
Site Background and History
The Rocky Mountain Arsenal Federal
Facility (RMA), EPA ID No.
CO5210020769, is located in Commerce
City—approximately eight miles
northeast of downtown Denver—in
Adams County, Colorado. RMA was
established in 1942 by the U.S. Army to
manufacture chemical warfare agents
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and incendiary munitions for use in
World War II. Following the war and
through the early 1980s, the facilities
continued to be used by the U.S. Army.
Beginning in 1946, some facilities were
leased to private companies to
manufacture industrial and agricultural
chemicals. Shell Oil Company, the
principal lessee, manufactured
pesticides at the site from 1952 to 1982.
Common industrial and waste disposal
practices resulted in contamination of
structures, soil, surface water, and
groundwater. As a result of this
contamination, RMA was proposed to
the NPL, excluding the Basin F surface
impoundment, on October 15, 1984, (49
FR 40320). On July 22, 1987, RMA was
finalized on the NPL and expanded to
include Basin F (52 FR 27620 and 52 FR
27643).
RMA is located at the western edge of
the Colorado Plains, consisting of a
rolling terrain characterized by
grasslands, shrublands, wetlands,
aquatic habitats, and extensive weedy
areas. Regional surface drainage is
northwest into the South Platte River
which eventually joins the North Platte
River in Nebraska. The RMA Site
consists of 30 OUs (numbers 0 through
29) including 24 Interim Response
Actions (IRA) conducted between
October 1985 and June 1996 as part of
the On-Post (OU 3) remediation and 4
IRAs completed in 1993 for remediation
of the Off-Post (OU 4). The IRAs were
conducted to prevent or minimize
further migration of groundwater
contaminants and eliminate potential
releases from source areas through
isolation or destruction of the
contaminants. Each of the OUs is
described below.
OU 00: South Adams County—
Installation of temporary granular
activated carbon filters (GAC) at the
South Adams County plant to
address trichloroethene in the
potable water supply (1986).
OU 01: Klein Water Treatment Plant—
Groundwater treatment plant
constructed on RMA property
(Section 33) to treat off-post
contaminant plumes along the
western boundary of RMA (1989).
OU 02: Chemical Sales—Remedial
investigation of off-post
groundwater plumes which resulted
in identification of the Chemical
Sales Company Superfund Site
located upgradient (south) of RMA
(1990).
OU 03: On-Post—Addresses soil and
groundwater contamination within
the fenced 27 square miles of RMA
proper (ongoing). OUs 6 through 29
contributed to remediation of the
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34407
On-Post OU and were completed
prior to or integrated into the OnPost OU as part of the 1996 On-Post
ROD.
OU 04: Off-Post—Addresses
contamination north and northwest
of the RMA proper site. OUs 00
through 02 and OU 5 contributed to
remediation of the Off-Post OU and
were completed prior to or
integrated into the Off-Post OU as
part of the 1995 ROD.
OU 05: Off-Post Groundwater Intercept
and Treatment System IRA—
Treatment plant constructed to
address contaminant plumes that
had migrated off post prior to
installation of the boundary
treatment systems (1993).
OU 06: North Boundary Groundwater
Treatment System IRA—Recharge
trenches were added along the
entire length of the North Boundary
Treatment System slurry wall and
operational improvements were
made to the existing system (1993).
OU 07: Basin F Groundwater Treatment
System IRA—Extraction of
contaminated groundwater
migrating from the Basin F area for
treatment at the Basin A Neck
Treatment System (1990).
OU 08: Abandoned Well Closure IRA—
Old or deteriorating farm wells and
unused on-post wells were grouted
closed (1990).
OU 09: Basin A Neck Groundwater
Treatment System IRA—
Groundwater treatment plant
constructed to treat contaminant
plumes migrating through
paleochannels from the Basin A
area (1990).
OU 10: Basin F Liquids & Sludges IRA—
Containment of 600,000 cubic yards
of Basin F sludges/soil in a lined,
16-acre storage area with a leachate
collection system (1989).
OU 11: Building 1727 Sump IRA—
Treatment of liquid in the Building
1727 Sump with activated alumina
and GAC to remove contaminants
(1989).
OU 12: Hydrazine IRA—The hydrazine
facility was demolished and the
debris disposed at an off-site
hazardous waste landfill. The area
was regraded and revegetated
(1992).
OU 13: Fugitive Dust Suppression
IRA—Reapplication of a dust
suppressant was applied to Basin A
(1991).
OU 14: Sanitary Sewer IRA—Sanitary
sewer manholes were plugged to
eliminate potential transport of
contaminated groundwater that may
have entered the sewer system
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through cracks or loose connections
(1992).
OU 15: Asbestos IRA—Continuation of
the Army’s survey and removal of
friable asbestos from on-post
structures (1996).
OU 16: M–1 Settling Basins IRA—The
objective was to treat the M–1
Settling Basins sludge using in situ
vitrification (ISV). However, due to
technology complications with the
ISV, implementation of the IRA was
suspended (1991).
OU 17: CERCLA Wastewater Treatment
Plant IRA—Facility constructed to
treat wastewater generated by
investigative activities and
implementation of response actions
(1992).
OU 18: Motorpool IRA—An extraction
well system was constructed to
remove a trichlorethene plume
emanating from the Motorpool area
for treatment at the Irondale
Containment System (1990). A soil
vapor extraction system was
operated in 1991 to remove volatile
contaminants from the soil.
OU 19: Rail Classification Yard IRA—
An extraction well system was
constructed to remove a
dibromochloropropane plume
emanating from the Rail Yard area
for treatment at the Irondale
Containment System (1991).
OU 20: Lime Settling Basins IRA—A
soil cover was constructed over the
Lime Settling Basins to minimize
infiltration of precipitation through
the basin waste (1993).
OU 21: South Tank Farm Plume IRA—
Continued monitoring of
groundwater plumes to assess if
additional action was necessary
(1994).
OU 22: Army Trenches IRA—Continued
monitoring of groundwater plumes
to assess if additional action was
necessary (1994).
OU 23: Shell Trenches IRA—A slurry
wall was constructed to isolate the
trenches from surrounding
groundwater and a soil cover placed
over the trenches to minimize
infiltration of precipitation through
the trench waste (1994).
OU 24: Northwest Boundary
Containment System IRA—
Additional extraction, reinjection,
and monitoring wells were installed
to increase treatment capacity
(1993).
OU 25: Basin F Liquid (SQI) IRA—
Incineration of 11 million gallons of
basin liquids and decontamination
waters (1995).
OU 26: Chemical Process-Related
Activities IRA—Decontamination
and disposal of process related
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equipment and piping for both
agent and non-agent manufacturing
processes in the North Plants and
South Plant facilities (1996).
OU 27: Underground Storage Tank
IRA—Content characterization,
deactivation, excavation,
decontamination, and removal of
underground storage tanks (1995).
OU 28: Waste Management IRA—
Temporary management of
hazardous waste in storage at RMA
or generated by the response
actions, and not addressed by
another IRA (1996).
OU 29: Polychlorinated Biphenyls (PCB)
IRA—Inventory and remediate PCBcontaminated structures and soil
(1996).
The original On-Post Operable Unit
(OU 3) encompassed 27 square miles
(16,990 acres) and was bounded by 56th
Avenue and the former Stapleton
International Airport on the south,
Buckley Road and Denver International
Airport on the east, Quebec Parkway
and Commerce City on the west,
Colorado Highway 2 and the Off-Post
OU on the northwest, and 96th Avenue
and the Off-Post OU on the north
(Figure 1). In the 1980s, it was observed
that over 300 species of wildlife,
including bald eagles, utilize much of
the natural environment that remains at
RMA. In recognition of these unique
urban wildlife resources at RMA,
President George H.W. Bush signed the
1992 Rocky Mountain Arsenal National
Wildlife Refuge Act (Public Law 102–
402). Most of the RMA On-Post OU,
including the CES, is designated to
become part of a National Wildlife
Refuge upon completion of the site-wide
remedy.
Between 2003 and 2006, EPA
conducted four partial deletions from
the On-Post OU consisting of 13,406
acres of surface media so that property
transfer could be expedited. Of the
property deleted to date, 917 acres were
sold to Commerce City for commercial
development, 12 acres were transferred
to South Adams County Water and
Sanitation District for the Klein
Treatment Facility, 126 acres were
transferred to local governments for
road-widening, and 12,188 acres have
been transferred to the National Wildlife
Refuge. Another 163 acres were retained
by the Army, primarily for water
treatment systems. While EPA has not
conducted any partial deletions for the
Off-Post OU, EPA did issue a Ready for
Reuse (RfR) Determination in September
2009 for a portion of the Shell Oil
Company property (approximately 294
acres) that is within or adjacent to the
Off-Post OU. EPA’s determination
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indicated that the Shell RfR Property ‘‘is
ready for use for any purpose allowed
under local land use and zoning laws.’’
While there has been no redevelopment/
reuse of the Shell RfR Property thus far,
the area around the Shell RfR Property
and Off-Post OU has undergone
primarily residential development in
recent years.
The proposed partial deletion for the
OPS includes the entire surface media
of the Off-Post OU (OU 4) without
exclusions. Of the 3,584 acres (5.6
square miles) of the On-Post OU (OU 3)
that remain on the NPL, the proposed
partial deletion for the CES includes
2,500 acres (3.9 square miles) of surface
media (soil, surface water, and
sediment), as shown in Figure 1, and
structures (both former structures that
have been demolished and structures
retained for future use) within the OnPost OU. The entire CES proposed for
partial deletion will be transferred from
the Army to the U.S. Fish and Wildlife
Service (USFWS) for expansion of the
RMA National Wildlife Refuge. The
portions of the On-Post OU not
proposed for deletion, also shown in
Figure 1, include the following:
• Cover areas (Hazardous Waste
Landfill (HWL), Enhanced Hazardous
Waste Landfill (ELF), Basin F, and
Integrated Cover System (ICS))
including drainages;
• Three areas of groundwater
treatment (Railyard Extraction and
Treatment System, Lime Basins Mass
Removal System, and the South Tank
Farm Mass Removal System);
• Three laydown areas (areas used to
stage equipment and construction
materials or conduct support activities
during remedy implementation); and
• Two structures: The CERCLA
Wastewater Treatment Facility and the
Landfill Wastewater Treatment System
(LWTS).
The following information provides
EPA’s rationale for deletion of the CES
and OPS of the RMA Site from the NPL:
Remedial Investigation/Feasibility Study
(RI/FS) and Selected Remedy
On-Post OU (OU 3). Prior to the
selection of remedial alternatives for the
On-Post OU, an RI/FS was conducted to
provide information on the type and
extent of contamination, human and
ecological risks, and feasibility of
remedial actions suitable for application
at RMA. The RI, completed in January
1992, studied five environmental media
at the RMA Site, including soils, water,
structures, air, and biota. The RI
identified approximately 3,000 acres of
contaminated soil, 15 groundwater
plumes, and 798 structures. The FS was
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finalized in October 1995 for the OnPost OU.
On June 11, 1996, the Army, EPA, and
the State of Colorado signed the ‘‘Record
of Decision for the On-Post Operable
Unit’’ (On-Post ROD). The On-Post ROD
formally established the cleanup
approach to be taken and specified
individual remedial actions to be
implemented for soil, structures, and
groundwater. In general, the remedial
action objectives were to prevent or
limit potential exposure of humans and
biota and any further contamination of
the surface water, groundwater, or air
due to releases from the soils,
sediments, and structures at the On-Post
OU. The overall remedy for the On-Post
OU includes extraction and treatment of
the contaminated groundwater plumes,
demolition of 750 structures with no
designated future use, excavation and
disposal of soil and demolition debris
with a cumulative contamination
concentration presenting an excess
cancer risk to human health of greater
than 1x10¥4 or a Hazard Index greater
than 1.0 for non-cancer risks
(collectively referred to as human health
exceedance (HHE) soils), as well as
munitions debris, in two state-of-the-art
hazardous waste landfills to be built
within the On-Post OU; and excavation
and consolidation of debris and soil
presenting a risk to biota (biota soil) in
the Basin A, South Plants, and Basin F
project areas. The excavated HHE soil
areas were backfilled with on-post
borrow material and revegetated. The
On-Post ROD also requires continued
use restrictions for the CES that restrict
‘‘current and future land use, specifies
that the U.S. government shall retain
ownership of RMA, and prohibits
certain activities such as agriculture, use
of on-post groundwater as a drinking
source, and consumption of fish and
game taken at RMA.’’
Multiple changes to the On-Post ROD
have been made during implementation
of the remedy over the past 14 years
through Explanations of Significant
Differences (ESD) and two ROD
Amendments. With regard to the CES,
there are 13 ESDs which document
changes in the project boundaries,
volumes of soil excavated, and
associated costs for each of the
implementation projects. These changes
have included significant increases in
excavated HHE soils at the Section 35
Soil project and excavated biota soils at
the Munitions (Testing) Soil project. Of
note, any contaminated soils to be
contained under soil covers at the North
Plants, Secondary Basins, and South
Plants Balance of Areas projects were
excavated based on additional sampling
efforts and the 1- and 2-foot soil cover
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Project—Phase I in the Section 36
Boneyard (central portion of the RMA
Site). Using state-of-the-art computer
imaging, mapping technology, and
software capability which had not
existed previously, a comprehensive
RMA-wide evaluation for the potential
presence of ordnance and explosives as
well as recovered chemical warfare
materiel hazards was completed. The
evaluation identified six additional
areas for remedial action, all in the CES,
and concluded that the future discovery
of additional sites with ordnance/
explosives or recovered chemical
warfare materiel hazards is highly
unlikely. Remediation of four of the
Summary Team sites (BT29–1, BT29–2,
BT30–01, and BT32–11) was completed
in 2004 and is documented in the
Construction Completion Report (CCR)
for the Burial Trenches Soil
Remediation Project, Part II.
Remediation of the fifth Summary Team
site (ESA–4a) was completed in 2008
and is documented in the CCR for the
Munitions (Testing) Soil Remediation
Project, Part II. Remediation of the sixth
Summary Team site (CSA–2c) was
completed in 2008 and is documented
in the Munitions (Testing) Soil
Remediation Project, Part III.
Dioxin Study. In 2001, EPA
conducted a four-part Denver Front
Range Dioxin Study which determined
that the concentration of dioxins at most
of the RMA Site, including the CES, was
not statistically different from values
observed in open space and agricultural
areas within the Denver Front Range
area. Therefore, there is no significant
health risk from dioxin in soils to future
Refuge workers, volunteers, or visitors.
RER Assessment. As required by the
Post-RODs Investigations
ROD, a RER assessment was completed
On-Post OU (OU 3). Since the signing in 2003 addressing both terrestrial and
of the On-Post ROD on June 11, 1996,
aquatic health risks. The Terrestrial
three main studies have been conducted Residual Ecological Risk Assessment
that are relevant to the deletion of the
was completed in 2002. This report
On-Post CES. These include the
concluded that no significant excess
‘‘Summary and Evaluation of Potential
terrestrial residual risks will remain
Ordnance/Explosives and Recovered
after the ROD-required cleanup actions
Chemical Warfare Materiel Hazards at
for soil, including additional areas of
the Rocky Mountain Arsenal’’ completed excavation and tilling identified as part
in 2002 (Summary Team), the ‘‘EPA
of remedial design refinement as
Denver Front Range Dioxin Study’’
required by the ROD, are completed.
completed in 2001, and a two-part
The Aquatic Residual Risk Assessment
Residual Ecological Risk (RER)
was completed in 2003. The Assessment
Assessment that was completed in 2003. presented an evaluation of risks to the
great blue heron, shorebirds and
Each of these on-post investigations is
waterbirds and concluded that there are
described below:
Summary and Evaluation of Potential no significant risks to aquatic birds in
Ordnance/Explosives and Recovered
the South Lakes beyond those already
Chemical Warfare Materiel Hazards at
identified for remediation in the ROD.
Off-Post OU (OU 4) Indoor Air
the Rocky Mountain Arsenal (2002).
This effort was conducted in response to Evaluation. Since the signing of the OffPost ROD in 1995, one study has been
the unexpected discovery of ten M139
conducted for the Off-Post OU. Based on
bomblets as part of the Miscellaneous
EPA guidance issued in 2002 and 2003,
Structures Demolition and Removal
requirements were eliminated. These
boundary, volume, and cover changes
have resulted in an estimated increase
of $123.5 million for the combined
individual projects while the overall
On-Post RMA remedy cost has remained
unchanged at $2.2 billion.
Off-Post OU (OU 4). The Off-Post OU
followed the same investigative process
and an RI for the Off-Post study area
that evaluated groundwater, soil, surface
water, sediment, air and biota was
completed in 1988 with an addendum
issued in 1992. The RI identified two
plume groups encompassing 590 acres
in the Off-Post area and wind-deposited
contamination in surface soils
immediately north of the On-Post
boundary in the southeast portion of
Section 14 and the southwest portion of
Section 13. The Off-Post Endangerment
Assessment/Feasibility Study (EA/FS)
was issued in 1992 and the Off-Post
ROD was signed by the Army, EPA, and
the State of Colorado on December 19,
1995. The Off-Post remedy includes
extraction and treatment of the
contaminated groundwater plumes, and
closure of poorly constructed wells that
could be acting as migration pathways.
For settlement purposes, though the
health risks present in the soils were
within EPA’s acceptable cancer risk
range (less than 1 x 10¥4) for residential
use, Shell agreed to revegetate
approximately 160 acres of soil to
enhance the degradation of low-level
pesticide residues. The Off-Post ROD
also required institutional controls to
prevent the use of groundwater
exceeding remediation goals. There
have been no remedy modifications
related to the OPS.
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EPA conducted an indoor air evaluation
of volatile organic compounds for the
entire Off-Post OU using the Johnson
and Ettinger Model (GW–SCREEN) as
implemented by EPA. Estimated indoor
air concentrations and potential cancer
and non-cancer risks were calculated for
theoretical inhalation exposure to
vapors emanating from groundwater at a
depth that varies from less than 5 feet
to 27.5 feet. Where the depth to
groundwater was less than 11 feet, slab
on grade foundations were assumed;
otherwise, the future residential
scenario assumed the residences would
be constructed with basements. The
result of the assessment indicated that
modeled concentrations were below
human health risk criteria, that no
further evaluation of the vapor intrusion
pathway was warranted, and that there
was no need to implement intrusion
controls in buildings overlying the
groundwater plumes in the Off-Post OU.
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Response Actions
Remedial Action for the CES of the OnPost (OU 3)
Surface media: The surface media of
the CES consists of soil, sediment, and
surface water within approximately 3.9
square miles (2,500 acres) in the central
and eastern portions of the RMA OnPost OU. Areas with similar
contamination were combined into
individual projects based upon evidence
gathered during the RI. This resulted in
18 separate soil/sediment cleanup
projects within the CES including
portions of Sections 1, 2, 3, 4, 6, 10, 19,
20, 23, 24, 25, 26, 29, 30, 31, 32, 34, 35,
and 36. Completion of these 18
remediation projects is documented in
individual project CCRs. The following
is a brief summary of these projects and
the soil contamination that was
remediated within the CES.
• The Basin F/Basin F Exterior Soil
Remediation Project included the
excavation of soil from three pesticidecontaminated sites within Section 26 of
the CES (NCSA–4a, 4b, and 5c). HHE
soil was excavated from all three sites
and disposed in the HWL. Biota risk soil
was excavated from two of these sites
(NCSA–4a and NCSA–4b) and
consolidated in Basins A and F. This
work, completed in 2008, is
documented in two CCRs: Basin F/Basin
F Exterior Remediation Project—Part 1
and Basin F/Basin F Exterior
Remediation Project—Part 1, Phase 2.
• The Burial Trenches Soil
Remediation Project included the
excavation of soil from six chromiumand lead-contaminated soil sites within
Sections 29, 30, 31, and 32 of the CES
(BT29–1, BT29–2, BT30–1, BT32–10,
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BT32–11, ESA–2c). All six sites
contained ordnance and explosives,
munitions debris and related soil, as
well as asbestos-containing material,
general construction-related debris and
trash that was excavated and disposed
in the HWL. This work, completed in
2004, is documented in the CCRs for the
Burial Trenches Soil Remediation
Project—Part I and Part II.
• A portion of the Complex (Army)
Disposal Trenches Subgrade
Construction Project is located within
Section 36 of the CES. This project
consisted of surface grading to provide
permanent stormwater drainage off of
the adjacent RCRA–Equivalent Cover.
No contaminated soils were identified
in Section 36 for excavation as part of
the Complex Trenches Subgrade Project.
The grading, completed in 2008, is
documented in the CCR for the Complex
(Army) Disposal Trenches Remediation
Project, Subgrade Construction.
• The Corrective Action Management
Unit (CAMU) Soil Remediation Project
included the excavation of soil from one
site (site ‘‘CAMU’’) within Sections 23,
24, 25, and 26 in the CES. This site
consisted of pesticide-contaminated,
biota risk soils and miscellaneous debris
that was excavated and consolidated in
Basin A. This work, completed in 2000,
is documented in CCRs for the CAMU
Soils Remediation Project, and the
CAMU Soils Remediation Completion
and Support Project.
• The Existing (Sanitary) Landfills
(ESL) Remediation Project included the
excavation of contaminated soil from
four sites within the CES: one site in
Section 1 (P1 soil site adjacent to SSA–
4) and three sites in Section 36 (CSA–
1d, CSA–2d, and P1 soil site adjacent to
CSA–1d). As documented in the CCR for
the Section 1 Existing (Sanitary)
Landfills Remediation Project,
completed in 2006, biota risk soil was
excavated from the P1 soil site adjacent
to SSA–4 and consolidated in Basin A.
As documented in the CCR for the
Section 36 ESL Project, completed in
2004, HHE soil, biota risk soil, and trash
and debris were excavated from site
CSA–1d and disposed in the HWL;
munitions debris was excavated from
site CSA–2d and disposed in the HWL;
and additional biota risk soil was
excavated from the P1 soil site adjacent
to CSA–1d and consolidated in Basin A.
• The Miscellaneous Northern Tier
Soil Remediation Project included the
excavation of one site in Section 25 of
the CES (NPSA–4) that contained HHE
soil contaminated with chloroacetic
acid. As documented in the CCR for the
Miscellaneous Northern Tier Soil
Remediation Project, completed in 2006,
HHE soil was excavated and disposed in
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the HWL and biota risk soil was
excavated and consolidated in Basin A.
• The Miscellaneous RMA Structures
Demolition and Removal Project
included the excavation of two sites in
Section 25 of the CES (BA9A Parcel 3
and 25CC–3). As documented in the
CCR for the Miscellaneous RMA
Structures Demolition and Removal
Project—Phase III, completed in 2009,
ACM-contaminated soil, trash, debris,
and munitions debris was excavated
from the two sites and disposed in the
Enhanced Hazardous Waste Landfill
(ELF). Some of the ACM-contaminated
soil was also disposed off-site at a
permitted, CERCLA off-site rule
approved landfill.
• The Miscellaneous Southern Tier
Soil Remediation Project included
excavation of three sites within the CES
(SSA–2a, SSA–2b, and a P1 soil site
adjacent to SSA–2a) where former
process water and wastewater ditches in
Sections 1 and 2 contained HHE and
biota risk soils contaminated with
aldrin, dieldrin, and heavy metals. This
work, completed in 2006, is
documented in the CCR for the
Miscellaneous Southern Tier Soil
Remediation Project. A subsequent
project, the Sand Creek Lateral Project,
involved excavation of additional
contaminated soil from two of the
Miscellaneous Southern Tier Soil
Remediation sites including site SSA–
2b located in Section 1 and site SSA–
2a located in Section 2. As documented
in the CCR for the Sand Creek Lateral
Project, completed in 2008, additional
HHE soil was excavated from these two
sites and disposed in the HWL and ELF,
and biota risk soil was excavated and
consolidated in Basin A.
• The Munitions (Testing) Soil
Remediation Project included 11 sites
within Sections 19, 20, 25, 29, 30, 31,
and 32 of the CES (BT32–10, CSA–2c,
ESA–1b, ESA–1c, ESA–1d, ESA–4a,
ESA–4b, MT29–1, MT–DREZ, BA 9A
Parcel 2, and BA10 Burn Area). As
documented in the CCRs for the
Munitions (Testing) Soil Remediation
Project, Parts I, II, III, and IV, completed
in 2009, munitions debris and related
soil, asbestos-containing material,
mercury-contaminated biota risk soil,
and miscellaneous debris were
excavated from all these sites and
disposed in the HWL and the ELF. Biota
risk soil and miscellaneous debris was
excavated and consolidated in Basin A.
• The North Plants Structures
Demolition and Removal Project
included seven soil remediation sites in
Section 25 of the CES (NPSA–1, NPSA–
3, NPSA–5, NPSA–6, NPSA–8c, NPSA–
9f, and a P1 soil site associated with
NPSA–1). HHE soil, biota risk soil, a
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chemical sewer system, and a sanitary
sewer system were present in the North
Plants area where the nerve agent GB,
also called Sarin, was manufactured. As
documented in the CCR for the North
Plants Structure Demolition and
Removal Project, completed in 2004,
HHE soil and chemical sewers were
excavated from three remedy sites
within the CES (NPSA–1, 5 and 6) and
disposed in the HWL. Over 6,000 linear
feet of sanitary sewer line was removed
from the North Plants manufacturing
area and also disposed in the HWL. In
addition, biota risk soil and
miscellaneous debris was excavated
from six remedy sites within the CES
(NPSA–3, 5, 6, 8c, 9f and the P1 soil site
associated with NPSA–1) and
consolidated in Basin A.
• The Residual Ecological Risk Soil
Project included excavation or tilling
with sampling of biota risk soil from 18
remedy sites within Sections 1, 2, 24,
26, 35, and 36 (1CN–2, 1WC–1, 2NW–
4, 6NW–3, 24SW–1, 26NW–5, 26SE–6,
26SW–1, 26WC–2, 35NC–7, 35SW–2,
35SW–3, 35WC–4, 36EC–1, 36NE–3,
36NW–4, Ditch 2d backfill, Basin F Area
1) and 8 Borrow Areas within Sections
1, 6, 23, 24, 25, 26, 30, 31, 35, and 36
(Borrow Areas 3, 4, 5, 6, 7, 8, 9 and 11)
of the CES. These soils were
contaminated with low levels of
pesticides, primarily aldrin and
dieldrin, which presented a residual
health risk to biota. As documented in
the CCRs for the Residual Ecological
Risk Soil Remediation Project—Part 1
and Part 2, completed in 2009, soil at
the 18 RER sites was either excavated
and consolidated in Basin A, Basin F, or
in South Plants, or tilled to an 18 inch
depth with follow-up sampling. Biota
risk soil was removed from the eight
borrow areas and used as daily cover in
the HWL, ELF, and Basin A
consolidation area, as well as gradefill at
depths at least two feet below final
grade in areas that will remain in Army
control.
• The Sanitary and Chemical Sewer
Plugging Project consists of two project
phases that were conducted
independently of each other. Phase I
included plugging manholes associated
with sanitary sewer lines in Sections 2,
24, 25, 26, and 35 of the CES. These
sewer lines potentially served as
conduits for the transport of
contaminated groundwater and,
therefore, the ROD required that the
manholes be plugged with grout. As
documented in the CCR for this project,
completed in 1998, 62 sanitary sewer
manholes in the CES were plugged.
Subsequent to this plugging project, 37
of the plugged manholes were excavated
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as part of implementation of soil
remediation projects.
• The Sanitary Sewer Manhole
Plugging Project—Phase II included
plugging additional manholes in
Sections 3, 4 and 35 of the CES. As
documented in the CCR for this project,
completed in 2009, 21 sanitary sewer
manholes in the CES were plugged with
grout. There are three manholes in
Section 35 which will remain open to
support an existing future use structure.
• The Secondary Basins Soil
Remediation Project included the
excavation of soil from six pesticidecontaminated sites within Section 26 of
the CES including two former liquid
disposal basins (NCSA–2a and –2b), one
ditch (NCSA–2d) between the two
basins, and adjacent surface soil areas
(NCSA–4b, Surface Soil site, P1 Soil
Area). As documented in the CCR for
the Secondary Basins Soil Remediation
Project, completed in 2004, HHE soil
was excavated from four of these sites
NCSA–2a, –2b, –2d, and the Surface
Soil site and disposed in the HWL. Biota
risk soil and miscellaneous debris were
excavated from all six sites and
consolidated in Basin A. In 2009,
additional HHE soil was excavated from
the ditch (NCSA–2d) and disposed in
the ELF. This additional excavation is
documented in the CCR for the
Secondary Basins Soil Remediation
Project, NCSA–2d (Basin F Drainage
Ditch) Contingent Soil Volume (CSV)
(NCSA–2d CSV Project).
• The Section 26 Human Health
Exceedance and Biota Exceedance Soil
Removal Project included the
excavation of soil from one pesticidecontaminated site (NCSA–4b) within
Section 26 of the CES. As documented
in the CCR for the Section 26 Human
Health Exceedance and Biota
Exceedance Soils Removal Project,
completed in 2000, HHE soil was
excavated from this site and disposed in
the HWL, and the biota risk soil was
excavated and either consolidated in
Basin A or used as daily cover in the
HWL. In 2003, additional contaminated
soil was excavated at this site where low
level biota risk soil was identified. The
additional excavation is documented in
an Addendum to the Section 26 Human
Health Exceedance and Biota
Exceedance Soils Removal Project CCR.
• The Section 35 Soil Remediation
Project included excavation of soil from
nine sites within the CES that were
contaminated by liquid waste from a
former retention/detention basin
including a basin located in Section 35
(NCSA–5b), former process water and
wastewater ditches in Sections 2 and 35
(NCSA–1c, NCSA–5a, NCSA–5c,
NCSA–5d, NCSA–6a), and areas
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surrounding the ditches (Surficial Biota,
Surficial P1, Additional Surficial P1).
As documented in the CCR for the
Section 35 Soil Remediation Project,
completed in 2004, HHE soil, chemical
sewers, and associated debris were
excavated and disposed in the HWL,
and biota risk soil was excavated and
consolidated in Basin A. A subsequent
project, the Sand Creek Lateral Project,
included additional work at three sites
within Section 35 of the CES including
two of the Section 35 Soil Remediation
sites (NCSA–5b and –5c) and a section
of sanitary sewer (NCSA–8a). As
documented in the CCR for the Sand
Creek Lateral Project, completed in
2008, HHE soil was excavated from
NCSA–5b and –5c and disposed in the
HWL and the ELF, and biota risk soil
was excavated and consolidated in
Basin A. The sanitary sewer (NCSA–8a)
was removed and consolidated in Basin
A.
• The Section 36 Balance of Areas
Soil Remediation Project included the
excavation of soil from six sites within
Section 36 of the CES (CSA–1d, –2b, –3,
–4, P1 East, and P1 North). As
documented in CCRs for the Section 36
Balance of Areas Soil Remediation
Project (Parts 1 and 2), completed in
2009, HHE soil, munitions debris,
chemical sewers and associated debris
from two sites (CSA–3 and –4) were
excavated and disposed in the HWL.
Biota risk soil and miscellaneous debris
from four sites (CSA–1d and –2b, P1
East and P1 North) were excavated and
disposed in Basin A. Part 2 of the
project also included grading in
Sections 31 and 36 to construct
permanent stormwater drainages off of
the adjacent Complex (Army) Trenches
RCRA–Equivalent Cover and the Shell
Disposal Trenches 2–Foot Cover.
• The South Plants Balance of Areas
and Central Processing Area Soil
Remediation Project included 16
remedy sites located in Sections 1 and
2 of the CES (SPSA–2b, –2e, –4a, –4b,
–5b, –6, –7a, –7b, –7c, –8a, –8b, –8c,
–9a, –9b, –10, and a P1 soil area outside
of Borrow Area 11) which contained
chemical sewers, HHE and biota risk
soils contaminated with pesticides,
chloroacetic acid, volatile organic
compounds, metals, and mercury, as
well as the potential for chemical
warfare agents, munitions debris and
unexploded ordnance. As documented
in the CCRs for the South Plants Balance
of Areas and Central Processing Area
Soil Remediation Project—Phase 1 and
Phase 2, completed in 2009, HHE soil,
chemical sewers, and associated debris,
and munitions debris from 12 of the
sites (SPSA–2b, –2e, –4a, –4b, –5b, –6,
–7c, –8a, –8b, –9a, –9b, –10) were
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excavated and disposed in the HWL.
Biota risk soil was excavated from all of
the sites excluding SPSA–10 and
consolidated under the South Plants
Covers or in Basin A. Structural debris
from foundation demolition was
consolidated within the South Plants
soil cover areas.
Structures: All but one of the 750
ROD-identified ‘‘no future use’’
structures within the On-Post OU have
been demolished. The remaining ROD
structure is the CERCLA Wastewater
Treatment Facility in Section 36, which
was constructed to treat remedygenerated wastewater. The CERCLA
facility currently treats groundwater
from the Groundwater Mass Removal
Project and is excluded from this
proposed partial deletion. One other
structure, the LWTS facility, built as
part of the remedy to treat wastewater
from the on-post landfills, is being
decommissioned and is also excluded
from this proposed partial deletion.
Demolition and removal of structures
within the CES was accomplished by
several projects. The remedial action for
structures included demolition of the
structures and foundations; removal and
disposal of debris, substations, roads
and parking areas; removal and disposal
or recycling of underground storage
tanks, structural steel and other metal
components; backfilling and grading;
and revegetation of the excavated areas.
The demolition of most structures is
documented in the following project
CCRs.
(1) South Plants Structure Demolition
and Removal Project Phase 1 and Phase
2 (2002);
(2) South Plants Balance of Areas and
the Central Processing Area Soil
Remediation Project Phase 2 (2009);
(3) North Plant Structure Demolition
and Removal Project (2004); and
(4) Miscellaneous RMA Structure
Demolition and Removal Projects—
Phases I, II and III (2009).
Groundwater: The proposed partial
deletion of the CES does not include
groundwater; however, the following
groundwater remedy projects are or
were located within the CES footprint of
the RMA Site. The Section 36 Bedrock
Ridge Groundwater Plume Extraction
System, constructed in 2008, is an
ongoing project which extracts
contaminated groundwater flowing from
the Basin A and South Plants areas for
treatment at the Basin A Neck
Groundwater Treatment System. The
North of Basin F IRA intercept system
was permanently shut down in 2004
due to declining flows, biofouling,
declining well capacity, and decreasing
contaminant concentrations. The
Confined Flow System Well Closure
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project, completed in 2000, included the
closure of 15 wells in the CES which
extended into the deeper, confined-low
aquifer.
In addition, the portion of the On-Post
OU that currently remains on the NPL
includes several groundwater remedy
components that are not within the
proposed CES deletion area and will
remain part of the NPL site. These
include:
• The Rail Yard Treatment System,
located in Section 3, is an ongoing
project which treats contaminated
groundwater associated with the Rail
Yard.
• The Lime Basins and South Tank
Farm Groundwater Mass Removal
extraction systems, located in Section
36 and Section 1 respectively, are part
of an ongoing project that extracts
contaminated groundwater for treatment
at the CERCLA Wastewater Treatment
Facility.
• The CERCLA Wastewater Treatment
Facility, located in Section 35, is an
ongoing project which treats
contaminated groundwater from the
Lime Basins and South Tank Farm areas
as part of the Groundwater Mass
Removal Project.
Use of the groundwater and surface
water for potable purposes from the
entire original On-Post OU, including
the CES, is prohibited by the FFA and
On-Post ROD. The FFA and On-Post
ROD also prohibit residential
development, agricultural activities, and
hunting and fishing for consumptive
purposes throughout the original OnPost OU. These restrictions will
continue to be prohibited even after the
CES is transferred to the U.S.
Department of Interior and are enforced
by the Army through an ‘‘Interim Rocky
Mountain Arsenal Institutional Control
Plan’’ approved in 2003 and revised in
2006 and 2008.
Remedial Action for the OPS of the OffPost (OU 4)
Soil: The Off-Post OU of the RMA Site
is located directly north and northwest
of the On-Post OU. To date, none of the
Off-Post OU has been deleted. As agreed
in the Off-Post ROD, though the health
risks present in the soils were within
EPA’s acceptable cancer risk range for
residential use (less than 1 × 10¥4),
Shell completed tilling and seeding of
approximately 160 acres in Sections 13
and 14 of the OPS for settlement
purposes to enhance the degradation of
low-level pesticide residues. This
activity is documented in the ‘‘Final
Inspection/Implementation Report for
the Off-Post Tillage Task’’ completed in
1997.
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Groundwater: The proposed partial
deletion of the OPS does not include
groundwater; however, the following
groundwater remedy components are or
were within the OPS footprint of the
RMA Site. The Off-Post Groundwater
Intercept and Treatment System
(OGITS), constructed in 1993, is an
ongoing project that treats contaminated
groundwater plumes that flow off-post
to the north and northwest of RMA. The
Off-Post Well Abandonment project,
completed in 1999, included the closure
of 7 wells in the Off-Post OU that
extended into the deeper, confined flow
aquifer. Institutional controls to prevent
the use of groundwater exceeding
remediation goals as well as deed
restrictions on the Shell Property have
been in place since 1996.
Cleanup Goals
Cleanup goals for the On-Post OU
were established based upon a scenario
for potential contaminant exposure
incurred by a biological worker, e.g., a
wildlife biologist working in the field,
in consideration of the anticipated
future land use of the On-Post OU as a
National Wildlife Refuge. Soils and
structures with a cumulative
contamination concentration presenting
an excess cancer risk to human health
of greater than 1 × 10¥4 or a Hazard
Index greater than 1.0 for non-cancer
risks were identified for excavation/
demolition and on-site disposal. To
confirm that the ROD-delineated soil
contamination areas and depths met
remedial action objectives, the On-Post
ROD provided for excavation of an
additional 150,000 cy of soil beyond
that estimated in the selected remedy.
For the entire On-Post OU, this volume
was identified using 1,014 confirmatory
samples as well as visual observations
(e.g., for staining, debris, and odors). For
the CES, more than 100 samples were
collected and roughly 22,000 cy of
additional soil was excavated.
Operation and Maintenance (O&M)
No O&M is required for any of the
proposed CES and OPS partial deletion
areas. However, the Army is responsible
for O&M of the On-Post internal
groundwater treatment facilities, and
Off-Post OGITS until contaminant
concentrations are below remedial
action levels, as well as continued
maintenance of groundwater wells for
long-term groundwater monitoring.
Long-term access to groundwater wells
within the On-Post OU is delineated in
Public Law 102–402 and the ‘‘Interim
Rocky Mountain Arsenal Institutional
Control Plan.’’ Long-term access to the
groundwater wells in the Off-Post OU is
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eliminating any continuing concerns
regarding the sump system.
Five-Year Review
emcdonald on DSK2BSOYB1PROD with PROPOSALS
provided through a license agreement
between the Army and Shell.
Community Involvement
Public participation activities have
been satisfied as required in CERCLA
Section 113(k), 42 U.S.C. 9613(k) and
CERCLA Section 117, 42 U.S.C. 9617.
Since 1988, each of the parties involved
with the Arsenal cleanup has made
extensive efforts to ensure that the
public is kept informed on all aspects of
the cleanup program. More than 100 fact
sheets about topics ranging from
historical information to site
remediation have been developed and
made available to the public. Upon
completion of the 30 calendar day
public comment period for this
proposed partial deletion of the RMA
Site, EPA Region 8, in consultation with
the State and the Army, will evaluate
each comment and any significant new
data received before issuing a final
decision concerning the proposed
partial deletion.
CES of the On-Post (OU 3): Following
the release and distribution of the draft
Detailed Analysis of Alternatives report
for the On-Post OU (a second phase of
the FS), the Army held an open house
for about 1,000 community members.
The open house provided opportunity
for individual discussion and
understanding of the various
technologies being evaluated for
cleanup of the On-Post RMA Site. The
Proposed Plan for the On-Post OU was
issued for public review from October
16, 1995, through January 19, 1996. A
public meeting was held on November
18, 1995, attended by approximately 50
members of the public, to obtain public
comment on the Proposed Plan.
Minimal comments were received on
the alternatives presented for the
projects in the Central Area of the OnPost OU. Specifically, the comments
requested that the health and safety of
nearby communities be protected from
air emissions during excavation and
demolition activities and that potential
dioxin contamination of the entire RMA
Site be evaluated.
The designs for the each of the 29
remediation projects within the CES (18
soil remediation projects and 11
structure demolition projects) were
provided to the public for a thirty
calendar day review and comment
period at both the 30 percent and 95
percent design completion stages (45
separate public comment periods). Most
designs were also presented for
discussion at the RMA Restoration
Advisory Board which is composed of
community stakeholders, regulatory
agencies, the Army, Shell Oil Company,
and USFWS. No written comments
Pursuant to CERCLA Section 121(c)
and § 300.430(f)(4)(ii) of the NCP, the
next five-year review will be completed
in 2011 to ensure the continued
protectiveness of remedial actions
where hazardous substances, pollutants,
or contaminants remain at a site above
levels that allow for unlimited use and
unrestricted exposure. Because the CES
and OPS are subject to restrictions on
land and water use, they will be
included in future, RMA-wide five-year
reviews.
Two site-wide, five-year reviews have
been conducted to date including the
Five-Year Review Report completed in
January 2001 and the Five-Year Review
Report completed in December 2007.
The 2005 Five-Year Review identified
13 issues requiring followup actions,
none of which affected the protection of
human health or the environment for
the Off-Post or On-Post OUs. Seven of
these actions were related to improving
reporting and coordination, and
clarification of remedy requirements.
Other issues concerned the incomplete
capture of groundwater at the Bedrock
Ridge Extraction System, operating
problems of the primary sump system in
Cell 2 of the Basin F Wastepile,
modification of the OGITS extraction
system, the discovery of fuel
contamination in the groundwater
below the North Plants area, and
updating portions of the groundwater
treatment systems including sitespecific treatment criteria known as
Practical Quantitation Limits (PQLs),
and updating monitoring well networks.
None of the issues impacted the CES or
OPS, though actions regarding the
groundwater monitoring networks may
indirectly affect small portions of the
CES and OPS.
All but three of the followup actions
have been completed. Modification of
the OGITS extraction system has been
completed and the start-up data is being
reviewed. A pilot study for assessing the
North Plants Fuel Release has been
approved and is ongoing. The PQL
study was initiated in 2009 and
submittals from laboratories are under
review.
A fourth extraction well was installed
at the Bedrock Ridge Extraction System
and, in 2008, was determined to be
adequately capturing the groundwater
plume. The Basin F Wastepile
Remediation Project, completed in 2009,
included the excavation of the
Wastepile and the liner system, and
disposed the waste in the ELF, thereby
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34413
regarding the excavation/demolition
approach or the proposed health and
safety controls for each project were
received.
OPS of the Off-Post (OU 4): An
expanded Community Relations
outreach was implemented to ensure
community members had the
opportunity to comment on the
Proposed Plan for the Off-Post OU. In
January 1993, all documents supporting
an expected Proposed Plan were made
available for public review in local
libraries. A direct mailing to more than
1200 local citizens was made. The RI, RI
Addendum, EA/FS, and Proposed Plan
for the Off-Post OU were issued for
public review on March 21, 1993, and
was extended until June 21, 1993. On
April 28, 1993, a public meeting was
held to obtain public comment of the
Proposed Plan. Comments received
focused on requests for expanded
groundwater treatment, incorporation of
a surface soil remedy, and concerns over
the selection of a DIMP cleanup
standard.
The Draft Final ROD (1993) was
revised in consideration of comments
received from the city and county
governments, environmental action
groups and private citizens. Settlement
discussions involving municipalities,
local health departments, special
districts, and citizen groups were held
from late 1994 until April 1, 1995, to
discuss the final remedies for both the
On-Post and Off-Post OUs.
Determination That the Criteria for
Deletion Have Been Met
EPA, with concurrence from the State
of Colorado, dated March 22, 2010, has
determined that all appropriate CERCLA
response actions have been completed
for the CES and OPS of the RMA Site
to protect public health and the
environment and that no further
response action by responsible parties is
required. Based on the extensive
investigations and risk assessment
performed for the CES and the OPS of
the RMA Site, there are no further
response actions planned or scheduled
for these areas.
There are no known hazardous
substances remaining in the CES above
health-based levels with respect to
anticipated uses of and access to the site
which are identified in the FFA, OnPost ROD, and Public Law 102–402.
Similarly, no known hazardous
substances remain in the OPS above
health-based levels with respect to
anticipated uses of and access to the site
which are limited through deed
restrictions. As a result, all completion
requirements for the CES and OPS have
been achieved as outlined in OSWER
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Directive 9320.2–09A–P and the NCP.
Therefore, EPA proposes to delete the
CES and OPS portions of the RMA Site
from the NPL.
emcdonald on DSK2BSOYB1PROD with PROPOSALS
List of Subjects in 40 CFR Part 300
Environmental protection, Air
pollution control, Chemicals, Hazardous
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waste, Hazardous substances,
Intergovernmental relations, Penalties,
Reporting and recordkeeping
requirements, Superfund, Water
pollution control, Water supply.
Authority: 33 U.S.C. 1321(c)(2); 42 U.S.C.
9601–9657; E.O. 12777, 56 FR 54757, 3 CFR,
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1991 Comp., p.351; E.O. 12580, 52 FR 2923,
3 CFR, 1987 Comp., p.193.
Dated: June 10, 2010.
Carol Rushin,
Deputy Regional Administrator, Region 8.
BILLING CODE 6560–50–P
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Federal Register / Vol. 75, No. 116 / Thursday, June 17, 2010 / Proposed Rules
[FR Doc. 2010–14524 Filed 6–16–10; 8:45 am]
BILLING CODE 6560–50–C
DEPARTMENT OF HOMELAND
SECURITY
Federal Emergency Management
Agency
44 CFR Part 67
[Docket ID FEMA–2010–0003; Internal
Agency Docket No. FEMA–B–1114]
Proposed Flood Elevation
Determinations
AGENCY: Federal Emergency
Management Agency, DHS.
ACTION: Proposed rule.
SUMMARY: Comments are requested on
the proposed Base (1% annual-chance)
Flood Elevations (BFEs) and proposed
BFE modifications for the communities
listed in the table below. The purpose
of this notice is to seek general
information and comment regarding the
proposed regulatory flood elevations for
the reach described by the downstream
and upstream locations in the table
below. The BFEs and modified BFEs are
a part of the floodplain management
measures that the community is
required either to adopt or to show
evidence of having in effect in order to
qualify or remain qualified for
participation in the National Flood
Insurance Program (NFIP). In addition,
these elevations, once finalized, will be
used by insurance agents and others to
calculate appropriate flood insurance
premium rates for new buildings and
the contents in those buildings.
DATES: Comments are to be submitted
on or before September 15, 2010.
ADDRESSES: The corresponding
preliminary Flood Insurance Rate Map
(FIRM) for the proposed BFEs for each
community is available for inspection at
Flooding source(s)
the community’s map repository. The
respective addresses are listed in the
table below.
You may submit comments, identified
by Docket No. FEMA–B–1114, to Kevin
C. Long, Acting Chief, Engineering
Management Branch, Mitigation
Directorate, Federal Emergency
Management Agency, 500 C Street, SW.,
Washington, DC 20472, (202) 646–2820,
or (e-mail) kevin.long@dhs.gov.
FOR FURTHER INFORMATION CONTACT:
Kevin C. Long, Acting Chief,
Engineering Management Branch,
Mitigation Directorate, Federal
Emergency Management Agency, 500 C
Street, SW., Washington, DC 20472,
(202) 646–2820, or (e-mail)
kevin.long@dhs.gov.
SUPPLEMENTARY INFORMATION: The
Federal Emergency Management Agency
(FEMA) proposes to make
determinations of BFEs and modified
BFEs for each community listed below,
in accordance with section 110 of the
Flood Disaster Protection Act of 1973,
42 U.S.C. 4104, and 44 CFR 67.4(a).
These proposed BFEs and modified
BFEs, together with the floodplain
management criteria required by 44 CFR
60.3, are the minimum that are required.
They should not be construed to mean
that the community must change any
existing ordinances that are more
stringent in their floodplain
management requirements. The
community may at any time enact
stricter requirements of its own or
pursuant to policies established by other
Federal, State, or regional entities.
These proposed elevations are used to
meet the floodplain management
requirements of the NFIP and also are
used to calculate the appropriate flood
insurance premium rates for new
buildings built after these elevations are
made final, and for the contents in those
buildings.
Comments on any aspect of the Flood
Insurance Study and FIRM, other than
the proposed BFEs, will be considered.
A letter acknowledging receipt of any
comments will not be sent.
National Environmental Policy Act.
This proposed rule is categorically
excluded from the requirements of 44
CFR part 10, Environmental
Consideration. An environmental
impact assessment has not been
prepared.
Regulatory Flexibility Act. As flood
elevation determinations are not within
the scope of the Regulatory Flexibility
Act, 5 U.S.C. 601–612, a regulatory
flexibility analysis is not required.
Executive Order 12866, Regulatory
Planning and Review. This proposed
rule is not a significant regulatory action
under the criteria of section 3(f) of
Executive Order 12866, as amended.
Executive Order 13132, Federalism.
This proposed rule involves no policies
that have federalism implications under
Executive Order 13132.
Executive Order 12988, Civil Justice
Reform. This proposed rule meets the
applicable standards of Executive Order
12988.
List of Subjects in 44 CFR Part 67
Administrative practice and
procedure, Flood insurance, Reporting
and recordkeeping requirements.
Accordingly, 44 CFR part 67 is
proposed to be amended as follows:
PART 67—[AMENDED]
1. The authority citation for part 67
continues to read as follows:
Authority: 42 U.S.C. 4001 et seq.;
Reorganization Plan No. 3 of 1978, 3 CFR,
1978 Comp., p. 329; E.O. 12127, 44 FR 19367,
3 CFR, 1979 Comp., p. 376.
§ 67.4
[Amended]
2. The tables published under the
authority of § 67.4 are proposed to be
amended as follows:
* Elevation in feet (NGVD)
+ Elevation in feet (NAVD)
# Depth in feet above
ground
∧ Elevation in meters
(MSL)
Location of referenced elevation
Effective
Communities affected
Modified
emcdonald on DSK2BSOYB1PROD with PROPOSALS
Elmore County, Alabama, and Incorporated Areas
Tallapoosa River ...................
Approximately 3.0 miles downstream of the Thurlow
Dam.
Approximately 1.7 mile downstream of the Thurlow
Dam.
None
+210
None
+214
* National Geodetic Vertical Datum.
+ North American Vertical Datum.
# Depth in feet above ground.
∧ Mean Sea Level, rounded to the nearest 0.1 meter.
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City of Tallassee.
Agencies
[Federal Register Volume 75, Number 116 (Thursday, June 17, 2010)]
[Proposed Rules]
[Pages 34405-34415]
From the Federal Register Online via the Government Printing Office [www.gpo.gov]
[FR Doc No: 2010-14524]
=======================================================================
-----------------------------------------------------------------------
ENVIRONMENTAL PROTECTION AGENCY
40 CFR Part 300
[EPA-HQ-SFUND-1987-0002; FRL-9163-4]
National Oil and Hazardous Substances Pollution Contingency Plan;
National Priorities List: Partial Deletion of the Rocky Mountain
Arsenal Federal Facility
AGENCY: Environmental Protection Agency.
ACTION: Proposed rule.
-----------------------------------------------------------------------
SUMMARY: The Environmental Protection Agency (EPA) Region 8 is issuing
a Notice of Intent to Delete portions of the On-Post Operable Unit
(OU3), specifically the Central and Eastern Surface Areas including
surface media and structures (CES), and the surface media of the entire
Off-Post Operable Unit (OU4) (OPS) of the Rocky Mountain Arsenal
Federal Facility (RMA) from the National Priorities List (NPL) and
requests public comment on this proposed action. The NPL, promulgated
pursuant to section 105 of the Comprehensive Environmental Response,
Compensation, and Liability Act (CERCLA) of 1980, as amended, is an
appendix of the National Oil and Hazardous Substances Pollution
Contingency Plan (NCP). The EPA and the State of Colorado, through the
Colorado Department of Public Health and Environment (CDPHE), have
determined that all appropriate response actions at these identified
parcels under CERCLA, other than operation, maintenance, and five-year
reviews, have been completed. However this deletion does not preclude
future actions under Superfund.
This partial deletion pertains to the surface media (soil, surface
water, sediment) and structures (both former structures that have been
demolished and structures retained for future use) within the CES and
the surface media of the entire OPS. The rest of the On-Post OU (Figure
1), including groundwater below RMA that is west of E Street, and the
groundwater that comprises the Off-Post OU (see Section IV and Figure
1) will remain on the NPL and response activities will continue at
those OUs. The groundwater media east of E Street (with the exception
of a small area below the northwest corner of Section 6) was previously
deleted from the NPL as part of the Internal Parcel Partial Deletion in
2006 (71 FR 43071).
DATES: Comments must be received by July 19, 2010.
ADDRESSES: Submit your comments, identified by Docket ID No. EPA-HQ-
[[Page 34406]]
SFUND-1987-0002, by one of the following methods:
https://www.regulations.gov: Follow the on-line
instructions for submitting comments.
E-mail: chergo.jennifer@epa.gov.
Fax: 303-312-7110.
Mail: Ms. Jennifer Chergo, Community Involvement
Coordinator (8OC), U.S. EPA, Region 8, 1595 Wynkoop Street, Denver,
Colorado, 80202-1129.
Hand Delivery: 1595 Wynkoop Street, Denver, Colorado,
80202-1129. Such deliveries are only accepted during the Docket's
normal hours of operation, and special arrangements should be made for
deliveries of boxed information.
Instructions: Direct your comments to Docket ID No. EPA-HQ-SFUND-
1987-0002. EPA's policy is that all comments received will be included
in the public docket without change and may be made available online at
https://www.regulations.gov, including any personal information
provided, unless the comment includes information claimed to be
Confidential Business Information (CBI) or other information whose
disclosure is restricted by statute. Do not submit information that you
consider to be CBI or otherwise protected through https://www.regulations.gov or e-mail. The https://www.regulations.gov Web site
is an ``anonymous access'' system, which means EPA will not know your
identity or contact information unless you provide it in the body of
your comment. If you send an e-mail comment directly to EPA without
going through https://www.regulations.gov, your e-mail address will be
automatically captured and included as part of the comment that is
placed in the public docket and made available on the Internet. If you
submit an electronic comment, EPA recommends that you include your name
and other contact information in the body of your comment and with any
disk or CD-ROM you submit. If EPA cannot read your comment due to
technical difficulties and cannot contact you for clarification, EPA
may not be able to consider your comment. Electronic files should avoid
the use of special characters, any form of encryption, and be free of
any defects or viruses.
Docket: All documents in the docket are listed in the https://www.regulations.gov index. Although listed in the index, some
information is not publicly available, e.g., CBI or other information
whose disclosure is restricted by statute. Certain other material, such
as copyrighted material, will be publicly available only in hard copy.
Publicly available docket materials are available either electronically
in https://www.regulations.gov or in hard copy at:
--EPA's Region 8 Superfund Records Center, 1595 Wynkoop Street, Denver,
Colorado, 80202-2466. Hours: 8 a.m. to 4 p.m. by appointment (call 303-
312-6473), Monday through Friday, excluding legal holidays; and the
--Joint Administrative Records Document Facility, Rocky Mountain
Arsenal, 5650 Havana Street, Building 129, Commerce City, Colorado
80022-1748. Hours: 12 p.m. to 4 p.m., Monday through Friday, excluding
legal holidays, or by appointment (call 303-289-0983).
FOR FURTHER INFORMATION CONTACT: Ms. Jennifer Chergo, Community
Involvement Coordinator (8OC), U.S. Environmental Protection Agency,
Region 8, 1595 Wynkoop Street, Denver, Colorado, 80202-1129; telephone
number: 1-800-227-8917 or 303-312-6601; fax number: 303-312-7110; e-
mail address: chergo.jennifer@epa.gov.
SUPPLEMENTARY INFORMATION:
Table of Contents
I. Introduction
II. NPL Deletion Criteria
III. Deletion Procedures
IV. Basis for Intended Partial Site Deletion
I. Introduction
The Environmental Protection Agency (EPA) Region 8 announces its
intent to delete the CES and OPS of the RMA Site, Commerce City,
Colorado, from the NPL and requests comment on this proposed action.
The NPL constitutes Appendix B of 40 CFR part 300 which is the Oil and
Hazardous Substances Pollution Contingency Plan (NCP), which EPA
promulgated pursuant to section 105 of the Comprehensive Environmental
Response, Compensation and Liability Act (CERCLA) of 1980, as amended.
EPA maintains the NPL as those sites that appear to present a
significant risk to public health, welfare, or the environment. Sites
on the NPL may be the subject of remedial actions financed by the
Hazardous Substance Superfund (Fund). This partial deletion of the RMA
Site is proposed in accordance with 40 CFR 300.425(e) and Notice of
Policy Change: Partial Deletion of Sites Listed on the National
Priorities List (60 FR 55466 (Nov. 1, 1995)). As described in 40 CFR
300.425(e)(3), a portion of a site deleted from the NPL remains
eligible for further remedial actions if warranted by future
conditions.
EPA will accept comments on the proposal to partially delete this
site for thirty (30) days after publication of this document in the
Federal Register.
Section II of this document explains the criteria for deleting
sites from the NPL. Section III discusses procedures that EPA is using
for this action. Section IV discusses the CES and OPS of the RMA Site
and demonstrates how they meet the deletion criteria.
II. NPL Deletion Criteria
The NCP establishes the criteria that EPA uses to delete sites from
the NPL. In accordance with 40 CFR 300.425(e), sites may be deleted
from the NPL where no further response is appropriate. In making such a
determination pursuant to 40 CFR 300.425(e), EPA will consider, in
consultation with the State, whether any of the following criteria have
been met:
i. Responsible parties or other persons have implemented all
appropriate response actions required;
ii. All appropriate Fund-financed response under CERCLA has been
implemented, and no further response action by responsible parties is
appropriate; or
iii. The remedial investigation has shown that the release poses no
significant threat to public health or the environment and, therefore,
taking of remedial measures is not appropriate.
Pursuant to CERCLA section 121(c) and the NCP, EPA conducts five-
year reviews to ensure the continued protectiveness of remedial actions
where hazardous substances, pollutants, or contaminants remain at a
site above levels that allow for unlimited use and unrestricted
exposure. EPA conducts such five-year reviews even if a site is deleted
from the NPL. EPA may initiate further action to ensure continued
protectiveness at a deleted site if new information becomes available
that indicates it is appropriate. Whenever there is a significant
release from a site deleted from the NPL, the deleted site may be
restored to the NPL without application of the hazard ranking system.
III. Deletion Procedures
The following procedures apply to the deletion of the CES and OPS
of the RMA Site:
(1) EPA consulted with the State before developing this Notice of
Intent for Partial Deletion.
(2) EPA has provided the State 30 working days for review of this
notice prior to publication of it today.
(3) In accordance with the criteria discussed above, EPA has
determined that no further response is appropriate.
(4) The State of Colorado, through the CDPHE, has concurred with
the deletion
[[Page 34407]]
of the CES and OPS of the RMA Federal Facility Site, from the NPL.
(5) Concurrently, with the publication of this Notice of Intent for
Partial Deletion in the Federal Register, a notice is being published
in a major local newspaper, the Denver Post. The newspaper announces
the 30-day public comment period concerning the Notice of Intent for
Partial Deletion of the Site from the NPL.
(6) The EPA placed copies of documents supporting the proposed
partial deletion in the deletion docket and made these items available
for public inspection and copying at the Site information repositories
identified above.
If comments are received within the 30-day comment period on this
document, EPA will evaluate and respond accordingly to the comments
before making a final decision to delete the CES and OPS. If necessary,
EPA will prepare a Responsiveness Summary to address any significant
public comments received. After the public comment period, if EPA
determines it is still appropriate to delete the CES and OPS of the RMA
Site, the Regional Administrator will publish a final Notice of Partial
Deletion in the Federal Register. Public notices, public submissions
and copies of the Responsiveness Summary, if prepared, will be made
available to interested parties and included in the site information
repositories listed above.
Deletion of a portion of a site from the NPL does not itself
create, alter, or revoke any individual's rights or obligations.
Deletion of a portion of a site from the NPL does not in any way alter
EPA's right to take enforcement actions, as appropriate. The NPL is
designed primarily for informational purposes and to assist EPA
management. Section 300.425(e)(3) of the NCP states that the deletion
of a site from the NPL does not preclude eligibility for future
response actions, should future conditions warrant such actions.
IV. Basis for Intended Partial Deletion
The following information provides EPA's rationale for deleting the
CES and OPS of the RMA Federal Facility from the NPL.
Site Background and History
The Rocky Mountain Arsenal Federal Facility (RMA), EPA ID No.
CO5210020769, is located in Commerce City--approximately eight miles
northeast of downtown Denver--in Adams County, Colorado. RMA was
established in 1942 by the U.S. Army to manufacture chemical warfare
agents and incendiary munitions for use in World War II. Following the
war and through the early 1980s, the facilities continued to be used by
the U.S. Army. Beginning in 1946, some facilities were leased to
private companies to manufacture industrial and agricultural chemicals.
Shell Oil Company, the principal lessee, manufactured pesticides at the
site from 1952 to 1982. Common industrial and waste disposal practices
resulted in contamination of structures, soil, surface water, and
groundwater. As a result of this contamination, RMA was proposed to the
NPL, excluding the Basin F surface impoundment, on October 15, 1984,
(49 FR 40320). On July 22, 1987, RMA was finalized on the NPL and
expanded to include Basin F (52 FR 27620 and 52 FR 27643).
RMA is located at the western edge of the Colorado Plains,
consisting of a rolling terrain characterized by grasslands,
shrublands, wetlands, aquatic habitats, and extensive weedy areas.
Regional surface drainage is northwest into the South Platte River
which eventually joins the North Platte River in Nebraska. The RMA Site
consists of 30 OUs (numbers 0 through 29) including 24 Interim Response
Actions (IRA) conducted between October 1985 and June 1996 as part of
the On-Post (OU 3) remediation and 4 IRAs completed in 1993 for
remediation of the Off-Post (OU 4). The IRAs were conducted to prevent
or minimize further migration of groundwater contaminants and eliminate
potential releases from source areas through isolation or destruction
of the contaminants. Each of the OUs is described below.
OU 00: South Adams County--Installation of temporary granular activated
carbon filters (GAC) at the South Adams County plant to address
trichloroethene in the potable water supply (1986).
OU 01: Klein Water Treatment Plant--Groundwater treatment plant
constructed on RMA property (Section 33) to treat off-post contaminant
plumes along the western boundary of RMA (1989).
OU 02: Chemical Sales--Remedial investigation of off-post groundwater
plumes which resulted in identification of the Chemical Sales Company
Superfund Site located upgradient (south) of RMA (1990).
OU 03: On-Post--Addresses soil and groundwater contamination within the
fenced 27 square miles of RMA proper (ongoing). OUs 6 through 29
contributed to remediation of the On-Post OU and were completed prior
to or integrated into the On-Post OU as part of the 1996 On-Post ROD.
OU 04: Off-Post--Addresses contamination north and northwest of the RMA
proper site. OUs 00 through 02 and OU 5 contributed to remediation of
the Off-Post OU and were completed prior to or integrated into the Off-
Post OU as part of the 1995 ROD.
OU 05: Off-Post Groundwater Intercept and Treatment System IRA--
Treatment plant constructed to address contaminant plumes that had
migrated off post prior to installation of the boundary treatment
systems (1993).
OU 06: North Boundary Groundwater Treatment System IRA--Recharge
trenches were added along the entire length of the North Boundary
Treatment System slurry wall and operational improvements were made to
the existing system (1993).
OU 07: Basin F Groundwater Treatment System IRA--Extraction of
contaminated groundwater migrating from the Basin F area for treatment
at the Basin A Neck Treatment System (1990).
OU 08: Abandoned Well Closure IRA--Old or deteriorating farm wells and
unused on-post wells were grouted closed (1990).
OU 09: Basin A Neck Groundwater Treatment System IRA--Groundwater
treatment plant constructed to treat contaminant plumes migrating
through paleochannels from the Basin A area (1990).
OU 10: Basin F Liquids & Sludges IRA--Containment of 600,000 cubic
yards of Basin F sludges/soil in a lined, 16-acre storage area with a
leachate collection system (1989).
OU 11: Building 1727 Sump IRA--Treatment of liquid in the Building 1727
Sump with activated alumina and GAC to remove contaminants (1989).
OU 12: Hydrazine IRA--The hydrazine facility was demolished and the
debris disposed at an off-site hazardous waste landfill. The area was
regraded and revegetated (1992).
OU 13: Fugitive Dust Suppression IRA--Reapplication of a dust
suppressant was applied to Basin A (1991).
OU 14: Sanitary Sewer IRA--Sanitary sewer manholes were plugged to
eliminate potential transport of contaminated groundwater that may have
entered the sewer system
[[Page 34408]]
through cracks or loose connections (1992).
OU 15: Asbestos IRA--Continuation of the Army's survey and removal of
friable asbestos from on-post structures (1996).
OU 16: M-1 Settling Basins IRA--The objective was to treat the M-1
Settling Basins sludge using in situ vitrification (ISV). However, due
to technology complications with the ISV, implementation of the IRA was
suspended (1991).
OU 17: CERCLA Wastewater Treatment Plant IRA--Facility constructed to
treat wastewater generated by investigative activities and
implementation of response actions (1992).
OU 18: Motorpool IRA--An extraction well system was constructed to
remove a trichlorethene plume emanating from the Motorpool area for
treatment at the Irondale Containment System (1990). A soil vapor
extraction system was operated in 1991 to remove volatile contaminants
from the soil.
OU 19: Rail Classification Yard IRA--An extraction well system was
constructed to remove a dibromochloropropane plume emanating from the
Rail Yard area for treatment at the Irondale Containment System (1991).
OU 20: Lime Settling Basins IRA--A soil cover was constructed over the
Lime Settling Basins to minimize infiltration of precipitation through
the basin waste (1993).
OU 21: South Tank Farm Plume IRA--Continued monitoring of groundwater
plumes to assess if additional action was necessary (1994).
OU 22: Army Trenches IRA--Continued monitoring of groundwater plumes to
assess if additional action was necessary (1994).
OU 23: Shell Trenches IRA--A slurry wall was constructed to isolate the
trenches from surrounding groundwater and a soil cover placed over the
trenches to minimize infiltration of precipitation through the trench
waste (1994).
OU 24: Northwest Boundary Containment System IRA--Additional
extraction, reinjection, and monitoring wells were installed to
increase treatment capacity (1993).
OU 25: Basin F Liquid (SQI) IRA--Incineration of 11 million gallons of
basin liquids and decontamination waters (1995).
OU 26: Chemical Process-Related Activities IRA--Decontamination and
disposal of process related equipment and piping for both agent and
non-agent manufacturing processes in the North Plants and South Plant
facilities (1996).
OU 27: Underground Storage Tank IRA--Content characterization,
deactivation, excavation, decontamination, and removal of underground
storage tanks (1995).
OU 28: Waste Management IRA--Temporary management of hazardous waste in
storage at RMA or generated by the response actions, and not addressed
by another IRA (1996).
OU 29: Polychlorinated Biphenyls (PCB) IRA--Inventory and remediate
PCB-contaminated structures and soil (1996).
The original On-Post Operable Unit (OU 3) encompassed 27 square
miles (16,990 acres) and was bounded by 56th Avenue and the former
Stapleton International Airport on the south, Buckley Road and Denver
International Airport on the east, Quebec Parkway and Commerce City on
the west, Colorado Highway 2 and the Off-Post OU on the northwest, and
96th Avenue and the Off-Post OU on the north (Figure 1). In the 1980s,
it was observed that over 300 species of wildlife, including bald
eagles, utilize much of the natural environment that remains at RMA. In
recognition of these unique urban wildlife resources at RMA, President
George H.W. Bush signed the 1992 Rocky Mountain Arsenal National
Wildlife Refuge Act (Public Law 102-402). Most of the RMA On-Post OU,
including the CES, is designated to become part of a National Wildlife
Refuge upon completion of the site-wide remedy.
Between 2003 and 2006, EPA conducted four partial deletions from
the On-Post OU consisting of 13,406 acres of surface media so that
property transfer could be expedited. Of the property deleted to date,
917 acres were sold to Commerce City for commercial development, 12
acres were transferred to South Adams County Water and Sanitation
District for the Klein Treatment Facility, 126 acres were transferred
to local governments for road-widening, and 12,188 acres have been
transferred to the National Wildlife Refuge. Another 163 acres were
retained by the Army, primarily for water treatment systems. While EPA
has not conducted any partial deletions for the Off-Post OU, EPA did
issue a Ready for Reuse (RfR) Determination in September 2009 for a
portion of the Shell Oil Company property (approximately 294 acres)
that is within or adjacent to the Off-Post OU. EPA's determination
indicated that the Shell RfR Property ``is ready for use for any
purpose allowed under local land use and zoning laws.'' While there has
been no redevelopment/reuse of the Shell RfR Property thus far, the
area around the Shell RfR Property and Off-Post OU has undergone
primarily residential development in recent years.
The proposed partial deletion for the OPS includes the entire
surface media of the Off-Post OU (OU 4) without exclusions. Of the
3,584 acres (5.6 square miles) of the On-Post OU (OU 3) that remain on
the NPL, the proposed partial deletion for the CES includes 2,500 acres
(3.9 square miles) of surface media (soil, surface water, and
sediment), as shown in Figure 1, and structures (both former structures
that have been demolished and structures retained for future use)
within the On-Post OU. The entire CES proposed for partial deletion
will be transferred from the Army to the U.S. Fish and Wildlife Service
(USFWS) for expansion of the RMA National Wildlife Refuge. The portions
of the On-Post OU not proposed for deletion, also shown in Figure 1,
include the following:
Cover areas (Hazardous Waste Landfill (HWL), Enhanced
Hazardous Waste Landfill (ELF), Basin F, and Integrated Cover System
(ICS)) including drainages;
Three areas of groundwater treatment (Railyard Extraction
and Treatment System, Lime Basins Mass Removal System, and the South
Tank Farm Mass Removal System);
Three laydown areas (areas used to stage equipment and
construction materials or conduct support activities during remedy
implementation); and
Two structures: The CERCLA Wastewater Treatment Facility
and the Landfill Wastewater Treatment System (LWTS).
The following information provides EPA's rationale for deletion of
the CES and OPS of the RMA Site from the NPL:
Remedial Investigation/Feasibility Study (RI/FS) and Selected Remedy
On-Post OU (OU 3). Prior to the selection of remedial alternatives
for the On-Post OU, an RI/FS was conducted to provide information on
the type and extent of contamination, human and ecological risks, and
feasibility of remedial actions suitable for application at RMA. The
RI, completed in January 1992, studied five environmental media at the
RMA Site, including soils, water, structures, air, and biota. The RI
identified approximately 3,000 acres of contaminated soil, 15
groundwater plumes, and 798 structures. The FS was
[[Page 34409]]
finalized in October 1995 for the On-Post OU.
On June 11, 1996, the Army, EPA, and the State of Colorado signed
the ``Record of Decision for the On-Post Operable Unit'' (On-Post ROD).
The On-Post ROD formally established the cleanup approach to be taken
and specified individual remedial actions to be implemented for soil,
structures, and groundwater. In general, the remedial action objectives
were to prevent or limit potential exposure of humans and biota and any
further contamination of the surface water, groundwater, or air due to
releases from the soils, sediments, and structures at the On-Post OU.
The overall remedy for the On-Post OU includes extraction and treatment
of the contaminated groundwater plumes, demolition of 750 structures
with no designated future use, excavation and disposal of soil and
demolition debris with a cumulative contamination concentration
presenting an excess cancer risk to human health of greater than
1x10-\4\ or a Hazard Index greater than 1.0 for non-cancer
risks (collectively referred to as human health exceedance (HHE)
soils), as well as munitions debris, in two state-of-the-art hazardous
waste landfills to be built within the On-Post OU; and excavation and
consolidation of debris and soil presenting a risk to biota (biota
soil) in the Basin A, South Plants, and Basin F project areas. The
excavated HHE soil areas were backfilled with on-post borrow material
and revegetated. The On-Post ROD also requires continued use
restrictions for the CES that restrict ``current and future land use,
specifies that the U.S. government shall retain ownership of RMA, and
prohibits certain activities such as agriculture, use of on-post
groundwater as a drinking source, and consumption of fish and game
taken at RMA.''
Multiple changes to the On-Post ROD have been made during
implementation of the remedy over the past 14 years through
Explanations of Significant Differences (ESD) and two ROD Amendments.
With regard to the CES, there are 13 ESDs which document changes in the
project boundaries, volumes of soil excavated, and associated costs for
each of the implementation projects. These changes have included
significant increases in excavated HHE soils at the Section 35 Soil
project and excavated biota soils at the Munitions (Testing) Soil
project. Of note, any contaminated soils to be contained under soil
covers at the North Plants, Secondary Basins, and South Plants Balance
of Areas projects were excavated based on additional sampling efforts
and the 1- and 2-foot soil cover requirements were eliminated. These
boundary, volume, and cover changes have resulted in an estimated
increase of $123.5 million for the combined individual projects while
the overall On-Post RMA remedy cost has remained unchanged at $2.2
billion.
Off-Post OU (OU 4). The Off-Post OU followed the same investigative
process and an RI for the Off-Post study area that evaluated
groundwater, soil, surface water, sediment, air and biota was completed
in 1988 with an addendum issued in 1992. The RI identified two plume
groups encompassing 590 acres in the Off-Post area and wind-deposited
contamination in surface soils immediately north of the On-Post
boundary in the southeast portion of Section 14 and the southwest
portion of Section 13. The Off-Post Endangerment Assessment/Feasibility
Study (EA/FS) was issued in 1992 and the Off-Post ROD was signed by the
Army, EPA, and the State of Colorado on December 19, 1995. The Off-Post
remedy includes extraction and treatment of the contaminated
groundwater plumes, and closure of poorly constructed wells that could
be acting as migration pathways. For settlement purposes, though the
health risks present in the soils were within EPA's acceptable cancer
risk range (less than 1 x 10-\4\) for residential use, Shell
agreed to revegetate approximately 160 acres of soil to enhance the
degradation of low-level pesticide residues. The Off-Post ROD also
required institutional controls to prevent the use of groundwater
exceeding remediation goals. There have been no remedy modifications
related to the OPS.
Post-RODs Investigations
On-Post OU (OU 3). Since the signing of the On-Post ROD on June 11,
1996, three main studies have been conducted that are relevant to the
deletion of the On-Post CES. These include the ``Summary and Evaluation
of Potential Ordnance/Explosives and Recovered Chemical Warfare
Materiel Hazards at the Rocky Mountain Arsenal'' completed in 2002
(Summary Team), the ``EPA Denver Front Range Dioxin Study'' completed
in 2001, and a two-part Residual Ecological Risk (RER) Assessment that
was completed in 2003. Each of these on-post investigations is
described below:
Summary and Evaluation of Potential Ordnance/Explosives and
Recovered Chemical Warfare Materiel Hazards at the Rocky Mountain
Arsenal (2002). This effort was conducted in response to the unexpected
discovery of ten M139 bomblets as part of the Miscellaneous Structures
Demolition and Removal Project--Phase I in the Section 36 Boneyard
(central portion of the RMA Site). Using state-of-the-art computer
imaging, mapping technology, and software capability which had not
existed previously, a comprehensive RMA-wide evaluation for the
potential presence of ordnance and explosives as well as recovered
chemical warfare materiel hazards was completed. The evaluation
identified six additional areas for remedial action, all in the CES,
and concluded that the future discovery of additional sites with
ordnance/explosives or recovered chemical warfare materiel hazards is
highly unlikely. Remediation of four of the Summary Team sites (BT29-1,
BT29-2, BT30-01, and BT32-11) was completed in 2004 and is documented
in the Construction Completion Report (CCR) for the Burial Trenches
Soil Remediation Project, Part II. Remediation of the fifth Summary
Team site (ESA-4a) was completed in 2008 and is documented in the CCR
for the Munitions (Testing) Soil Remediation Project, Part II.
Remediation of the sixth Summary Team site (CSA-2c) was completed in
2008 and is documented in the Munitions (Testing) Soil Remediation
Project, Part III.
Dioxin Study. In 2001, EPA conducted a four-part Denver Front Range
Dioxin Study which determined that the concentration of dioxins at most
of the RMA Site, including the CES, was not statistically different
from values observed in open space and agricultural areas within the
Denver Front Range area. Therefore, there is no significant health risk
from dioxin in soils to future Refuge workers, volunteers, or visitors.
RER Assessment. As required by the ROD, a RER assessment was
completed in 2003 addressing both terrestrial and aquatic health risks.
The Terrestrial Residual Ecological Risk Assessment was completed in
2002. This report concluded that no significant excess terrestrial
residual risks will remain after the ROD-required cleanup actions for
soil, including additional areas of excavation and tilling identified
as part of remedial design refinement as required by the ROD, are
completed. The Aquatic Residual Risk Assessment was completed in 2003.
The Assessment presented an evaluation of risks to the great blue
heron, shorebirds and waterbirds and concluded that there are no
significant risks to aquatic birds in the South Lakes beyond those
already identified for remediation in the ROD.
Off-Post OU (OU 4) Indoor Air Evaluation. Since the signing of the
Off-Post ROD in 1995, one study has been conducted for the Off-Post OU.
Based on EPA guidance issued in 2002 and 2003,
[[Page 34410]]
EPA conducted an indoor air evaluation of volatile organic compounds
for the entire Off-Post OU using the Johnson and Ettinger Model (GW-
SCREEN) as implemented by EPA. Estimated indoor air concentrations and
potential cancer and non-cancer risks were calculated for theoretical
inhalation exposure to vapors emanating from groundwater at a depth
that varies from less than 5 feet to 27.5 feet. Where the depth to
groundwater was less than 11 feet, slab on grade foundations were
assumed; otherwise, the future residential scenario assumed the
residences would be constructed with basements. The result of the
assessment indicated that modeled concentrations were below human
health risk criteria, that no further evaluation of the vapor intrusion
pathway was warranted, and that there was no need to implement
intrusion controls in buildings overlying the groundwater plumes in the
Off-Post OU.
Response Actions
Remedial Action for the CES of the On-Post (OU 3)
Surface media: The surface media of the CES consists of soil,
sediment, and surface water within approximately 3.9 square miles
(2,500 acres) in the central and eastern portions of the RMA On-Post
OU. Areas with similar contamination were combined into individual
projects based upon evidence gathered during the RI. This resulted in
18 separate soil/sediment cleanup projects within the CES including
portions of Sections 1, 2, 3, 4, 6, 10, 19, 20, 23, 24, 25, 26, 29, 30,
31, 32, 34, 35, and 36. Completion of these 18 remediation projects is
documented in individual project CCRs. The following is a brief summary
of these projects and the soil contamination that was remediated within
the CES.
The Basin F/Basin F Exterior Soil Remediation Project
included the excavation of soil from three pesticide-contaminated sites
within Section 26 of the CES (NCSA-4a, 4b, and 5c). HHE soil was
excavated from all three sites and disposed in the HWL. Biota risk soil
was excavated from two of these sites (NCSA-4a and NCSA-4b) and
consolidated in Basins A and F. This work, completed in 2008, is
documented in two CCRs: Basin F/Basin F Exterior Remediation Project--
Part 1 and Basin F/Basin F Exterior Remediation Project--Part 1, Phase
2.
The Burial Trenches Soil Remediation Project included the
excavation of soil from six chromium- and lead-contaminated soil sites
within Sections 29, 30, 31, and 32 of the CES (BT29-1, BT29-2, BT30-1,
BT32-10, BT32-11, ESA-2c). All six sites contained ordnance and
explosives, munitions debris and related soil, as well as asbestos-
containing material, general construction-related debris and trash that
was excavated and disposed in the HWL. This work, completed in 2004, is
documented in the CCRs for the Burial Trenches Soil Remediation
Project--Part I and Part II.
A portion of the Complex (Army) Disposal Trenches Subgrade
Construction Project is located within Section 36 of the CES. This
project consisted of surface grading to provide permanent stormwater
drainage off of the adjacent RCRA-Equivalent Cover. No contaminated
soils were identified in Section 36 for excavation as part of the
Complex Trenches Subgrade Project. The grading, completed in 2008, is
documented in the CCR for the Complex (Army) Disposal Trenches
Remediation Project, Subgrade Construction.
The Corrective Action Management Unit (CAMU) Soil
Remediation Project included the excavation of soil from one site (site
``CAMU'') within Sections 23, 24, 25, and 26 in the CES. This site
consisted of pesticide-contaminated, biota risk soils and miscellaneous
debris that was excavated and consolidated in Basin A. This work,
completed in 2000, is documented in CCRs for the CAMU Soils Remediation
Project, and the CAMU Soils Remediation Completion and Support Project.
The Existing (Sanitary) Landfills (ESL) Remediation
Project included the excavation of contaminated soil from four sites
within the CES: one site in Section 1 (P1 soil site adjacent to SSA-4)
and three sites in Section 36 (CSA-1d, CSA-2d, and P1 soil site
adjacent to CSA-1d). As documented in the CCR for the Section 1
Existing (Sanitary) Landfills Remediation Project, completed in 2006,
biota risk soil was excavated from the P1 soil site adjacent to SSA-4
and consolidated in Basin A. As documented in the CCR for the Section
36 ESL Project, completed in 2004, HHE soil, biota risk soil, and trash
and debris were excavated from site CSA-1d and disposed in the HWL;
munitions debris was excavated from site CSA-2d and disposed in the
HWL; and additional biota risk soil was excavated from the P1 soil site
adjacent to CSA-1d and consolidated in Basin A.
The Miscellaneous Northern Tier Soil Remediation Project
included the excavation of one site in Section 25 of the CES (NPSA-4)
that contained HHE soil contaminated with chloroacetic acid. As
documented in the CCR for the Miscellaneous Northern Tier Soil
Remediation Project, completed in 2006, HHE soil was excavated and
disposed in the HWL and biota risk soil was excavated and consolidated
in Basin A.
The Miscellaneous RMA Structures Demolition and Removal
Project included the excavation of two sites in Section 25 of the CES
(BA9A Parcel 3 and 25CC-3). As documented in the CCR for the
Miscellaneous RMA Structures Demolition and Removal Project--Phase III,
completed in 2009, ACM-contaminated soil, trash, debris, and munitions
debris was excavated from the two sites and disposed in the Enhanced
Hazardous Waste Landfill (ELF). Some of the ACM-contaminated soil was
also disposed off-site at a permitted, CERCLA off-site rule approved
landfill.
The Miscellaneous Southern Tier Soil Remediation Project
included excavation of three sites within the CES (SSA-2a, SSA-2b, and
a P1 soil site adjacent to SSA-2a) where former process water and
wastewater ditches in Sections 1 and 2 contained HHE and biota risk
soils contaminated with aldrin, dieldrin, and heavy metals. This work,
completed in 2006, is documented in the CCR for the Miscellaneous
Southern Tier Soil Remediation Project. A subsequent project, the Sand
Creek Lateral Project, involved excavation of additional contaminated
soil from two of the Miscellaneous Southern Tier Soil Remediation sites
including site SSA-2b located in Section 1 and site SSA-2a located in
Section 2. As documented in the CCR for the Sand Creek Lateral Project,
completed in 2008, additional HHE soil was excavated from these two
sites and disposed in the HWL and ELF, and biota risk soil was
excavated and consolidated in Basin A.
The Munitions (Testing) Soil Remediation Project included
11 sites within Sections 19, 20, 25, 29, 30, 31, and 32 of the CES
(BT32-10, CSA-2c, ESA-1b, ESA-1c, ESA-1d, ESA-4a, ESA-4b, MT29-1, MT-
DREZ, BA 9A Parcel 2, and BA10 Burn Area). As documented in the CCRs
for the Munitions (Testing) Soil Remediation Project, Parts I, II, III,
and IV, completed in 2009, munitions debris and related soil, asbestos-
containing material, mercury-contaminated biota risk soil, and
miscellaneous debris were excavated from all these sites and disposed
in the HWL and the ELF. Biota risk soil and miscellaneous debris was
excavated and consolidated in Basin A.
The North Plants Structures Demolition and Removal Project
included seven soil remediation sites in Section 25 of the CES (NPSA-1,
NPSA-3, NPSA-5, NPSA-6, NPSA-8c, NPSA-9f, and a P1 soil site associated
with NPSA-1). HHE soil, biota risk soil, a
[[Page 34411]]
chemical sewer system, and a sanitary sewer system were present in the
North Plants area where the nerve agent GB, also called Sarin, was
manufactured. As documented in the CCR for the North Plants Structure
Demolition and Removal Project, completed in 2004, HHE soil and
chemical sewers were excavated from three remedy sites within the CES
(NPSA-1, 5 and 6) and disposed in the HWL. Over 6,000 linear feet of
sanitary sewer line was removed from the North Plants manufacturing
area and also disposed in the HWL. In addition, biota risk soil and
miscellaneous debris was excavated from six remedy sites within the CES
(NPSA-3, 5, 6, 8c, 9f and the P1 soil site associated with NPSA-1) and
consolidated in Basin A.
The Residual Ecological Risk Soil Project included
excavation or tilling with sampling of biota risk soil from 18 remedy
sites within Sections 1, 2, 24, 26, 35, and 36 (1CN-2, 1WC-1, 2NW-4,
6NW-3, 24SW-1, 26NW-5, 26SE-6, 26SW-1, 26WC-2, 35NC-7, 35SW-2, 35SW-3,
35WC-4, 36EC-1, 36NE-3, 36NW-4, Ditch 2d backfill, Basin F Area 1) and
8 Borrow Areas within Sections 1, 6, 23, 24, 25, 26, 30, 31, 35, and 36
(Borrow Areas 3, 4, 5, 6, 7, 8, 9 and 11) of the CES. These soils were
contaminated with low levels of pesticides, primarily aldrin and
dieldrin, which presented a residual health risk to biota. As
documented in the CCRs for the Residual Ecological Risk Soil
Remediation Project--Part 1 and Part 2, completed in 2009, soil at the
18 RER sites was either excavated and consolidated in Basin A, Basin F,
or in South Plants, or tilled to an 18 inch depth with follow-up
sampling. Biota risk soil was removed from the eight borrow areas and
used as daily cover in the HWL, ELF, and Basin A consolidation area, as
well as gradefill at depths at least two feet below final grade in
areas that will remain in Army control.
The Sanitary and Chemical Sewer Plugging Project consists
of two project phases that were conducted independently of each other.
Phase I included plugging manholes associated with sanitary sewer lines
in Sections 2, 24, 25, 26, and 35 of the CES. These sewer lines
potentially served as conduits for the transport of contaminated
groundwater and, therefore, the ROD required that the manholes be
plugged with grout. As documented in the CCR for this project,
completed in 1998, 62 sanitary sewer manholes in the CES were plugged.
Subsequent to this plugging project, 37 of the plugged manholes were
excavated as part of implementation of soil remediation projects.
The Sanitary Sewer Manhole Plugging Project--Phase II
included plugging additional manholes in Sections 3, 4 and 35 of the
CES. As documented in the CCR for this project, completed in 2009, 21
sanitary sewer manholes in the CES were plugged with grout. There are
three manholes in Section 35 which will remain open to support an
existing future use structure.
The Secondary Basins Soil Remediation Project included the
excavation of soil from six pesticide-contaminated sites within Section
26 of the CES including two former liquid disposal basins (NCSA-2a and
-2b), one ditch (NCSA-2d) between the two basins, and adjacent surface
soil areas (NCSA-4b, Surface Soil site, P1 Soil Area). As documented in
the CCR for the Secondary Basins Soil Remediation Project, completed in
2004, HHE soil was excavated from four of these sites NCSA-2a, -2b, -
2d, and the Surface Soil site and disposed in the HWL. Biota risk soil
and miscellaneous debris were excavated from all six sites and
consolidated in Basin A. In 2009, additional HHE soil was excavated
from the ditch (NCSA-2d) and disposed in the ELF. This additional
excavation is documented in the CCR for the Secondary Basins Soil
Remediation Project, NCSA-2d (Basin F Drainage Ditch) Contingent Soil
Volume (CSV) (NCSA-2d CSV Project).
The Section 26 Human Health Exceedance and Biota
Exceedance Soil Removal Project included the excavation of soil from
one pesticide-contaminated site (NCSA-4b) within Section 26 of the CES.
As documented in the CCR for the Section 26 Human Health Exceedance and
Biota Exceedance Soils Removal Project, completed in 2000, HHE soil was
excavated from this site and disposed in the HWL, and the biota risk
soil was excavated and either consolidated in Basin A or used as daily
cover in the HWL. In 2003, additional contaminated soil was excavated
at this site where low level biota risk soil was identified. The
additional excavation is documented in an Addendum to the Section 26
Human Health Exceedance and Biota Exceedance Soils Removal Project CCR.
The Section 35 Soil Remediation Project included
excavation of soil from nine sites within the CES that were
contaminated by liquid waste from a former retention/detention basin
including a basin located in Section 35 (NCSA-5b), former process water
and wastewater ditches in Sections 2 and 35 (NCSA-1c, NCSA-5a, NCSA-5c,
NCSA-5d, NCSA-6a), and areas surrounding the ditches (Surficial Biota,
Surficial P1, Additional Surficial P1). As documented in the CCR for
the Section 35 Soil Remediation Project, completed in 2004, HHE soil,
chemical sewers, and associated debris were excavated and disposed in
the HWL, and biota risk soil was excavated and consolidated in Basin A.
A subsequent project, the Sand Creek Lateral Project, included
additional work at three sites within Section 35 of the CES including
two of the Section 35 Soil Remediation sites (NCSA-5b and -5c) and a
section of sanitary sewer (NCSA-8a). As documented in the CCR for the
Sand Creek Lateral Project, completed in 2008, HHE soil was excavated
from NCSA-5b and -5c and disposed in the HWL and the ELF, and biota
risk soil was excavated and consolidated in Basin A. The sanitary sewer
(NCSA-8a) was removed and consolidated in Basin A.
The Section 36 Balance of Areas Soil Remediation Project
included the excavation of soil from six sites within Section 36 of the
CES (CSA-1d, -2b, -3, -4, P1 East, and P1 North). As documented in CCRs
for the Section 36 Balance of Areas Soil Remediation Project (Parts 1
and 2), completed in 2009, HHE soil, munitions debris, chemical sewers
and associated debris from two sites (CSA-3 and -4) were excavated and
disposed in the HWL. Biota risk soil and miscellaneous debris from four
sites (CSA-1d and -2b, P1 East and P1 North) were excavated and
disposed in Basin A. Part 2 of the project also included grading in
Sections 31 and 36 to construct permanent stormwater drainages off of
the adjacent Complex (Army) Trenches RCRA-Equivalent Cover and the
Shell Disposal Trenches 2-Foot Cover.
The South Plants Balance of Areas and Central Processing
Area Soil Remediation Project included 16 remedy sites located in
Sections 1 and 2 of the CES (SPSA-2b, -2e, -4a, -4b, -5b, -6, -7a, -7b,
-7c, -8a, -8b, -8c, -9a, -9b, -10, and a P1 soil area outside of Borrow
Area 11) which contained chemical sewers, HHE and biota risk soils
contaminated with pesticides, chloroacetic acid, volatile organic
compounds, metals, and mercury, as well as the potential for chemical
warfare agents, munitions debris and unexploded ordnance. As documented
in the CCRs for the South Plants Balance of Areas and Central
Processing Area Soil Remediation Project--Phase 1 and Phase 2,
completed in 2009, HHE soil, chemical sewers, and associated debris,
and munitions debris from 12 of the sites (SPSA-2b, -2e, -4a, -4b, -5b,
-6, -7c, -8a, -8b, -9a, -9b, -10) were
[[Page 34412]]
excavated and disposed in the HWL. Biota risk soil was excavated from
all of the sites excluding SPSA-10 and consolidated under the South
Plants Covers or in Basin A. Structural debris from foundation
demolition was consolidated within the South Plants soil cover areas.
Structures: All but one of the 750 ROD-identified ``no future use''
structures within the On-Post OU have been demolished. The remaining
ROD structure is the CERCLA Wastewater Treatment Facility in Section
36, which was constructed to treat remedy-generated wastewater. The
CERCLA facility currently treats groundwater from the Groundwater Mass
Removal Project and is excluded from this proposed partial deletion.
One other structure, the LWTS facility, built as part of the remedy to
treat wastewater from the on-post landfills, is being decommissioned
and is also excluded from this proposed partial deletion.
Demolition and removal of structures within the CES was
accomplished by several projects. The remedial action for structures
included demolition of the structures and foundations; removal and
disposal of debris, substations, roads and parking areas; removal and
disposal or recycling of underground storage tanks, structural steel
and other metal components; backfilling and grading; and revegetation
of the excavated areas. The demolition of most structures is documented
in the following project CCRs.
(1) South Plants Structure Demolition and Removal Project Phase 1
and Phase 2 (2002);
(2) South Plants Balance of Areas and the Central Processing Area
Soil Remediation Project Phase 2 (2009);
(3) North Plant Structure Demolition and Removal Project (2004);
and
(4) Miscellaneous RMA Structure Demolition and Removal Projects--
Phases I, II and III (2009).
Groundwater: The proposed partial deletion of the CES does not
include groundwater; however, the following groundwater remedy projects
are or were located within the CES footprint of the RMA Site. The
Section 36 Bedrock Ridge Groundwater Plume Extraction System,
constructed in 2008, is an ongoing project which extracts contaminated
groundwater flowing from the Basin A and South Plants areas for
treatment at the Basin A Neck Groundwater Treatment System. The North
of Basin F IRA intercept system was permanently shut down in 2004 due
to declining flows, biofouling, declining well capacity, and decreasing
contaminant concentrations. The Confined Flow System Well Closure
project, completed in 2000, included the closure of 15 wells in the CES
which extended into the deeper, confined-low aquifer.
In addition, the portion of the On-Post OU that currently remains
on the NPL includes several groundwater remedy components that are not
within the proposed CES deletion area and will remain part of the NPL
site. These include:
The Rail Yard Treatment System, located in Section 3, is
an ongoing project which treats contaminated groundwater associated
with the Rail Yard.
The Lime Basins and South Tank Farm Groundwater Mass
Removal extraction systems, located in Section 36 and Section 1
respectively, are part of an ongoing project that extracts contaminated
groundwater for treatment at the CERCLA Wastewater Treatment Facility.
The CERCLA Wastewater Treatment Facility, located in
Section 35, is an ongoing project which treats contaminated groundwater
from the Lime Basins and South Tank Farm areas as part of the
Groundwater Mass Removal Project.
Use of the groundwater and surface water for potable purposes from
the entire original On-Post OU, including the CES, is prohibited by the
FFA and On-Post ROD. The FFA and On-Post ROD also prohibit residential
development, agricultural activities, and hunting and fishing for
consumptive purposes throughout the original On-Post OU. These
restrictions will continue to be prohibited even after the CES is
transferred to the U.S. Department of Interior and are enforced by the
Army through an ``Interim Rocky Mountain Arsenal Institutional Control
Plan'' approved in 2003 and revised in 2006 and 2008.
Remedial Action for the OPS of the Off-Post (OU 4)
Soil: The Off-Post OU of the RMA Site is located directly north and
northwest of the On-Post OU. To date, none of the Off-Post OU has been
deleted. As agreed in the Off-Post ROD, though the health risks present
in the soils were within EPA's acceptable cancer risk range for
residential use (less than 1 x 10-\4\), Shell completed
tilling and seeding of approximately 160 acres in Sections 13 and 14 of
the OPS for settlement purposes to enhance the degradation of low-level
pesticide residues. This activity is documented in the ``Final
Inspection/Implementation Report for the Off-Post Tillage Task''
completed in 1997.
Groundwater: The proposed partial deletion of the OPS does not
include groundwater; however, the following groundwater remedy
components are or were within the OPS footprint of the RMA Site. The
Off-Post Groundwater Intercept and Treatment System (OGITS),
constructed in 1993, is an ongoing project that treats contaminated
groundwater plumes that flow off-post to the north and northwest of
RMA. The Off-Post Well Abandonment project, completed in 1999, included
the closure of 7 wells in the Off-Post OU that extended into the
deeper, confined flow aquifer. Institutional controls to prevent the
use of groundwater exceeding remediation goals as well as deed
restrictions on the Shell Property have been in place since 1996.
Cleanup Goals
Cleanup goals for the On-Post OU were established based upon a
scenario for potential contaminant exposure incurred by a biological
worker, e.g., a wildlife biologist working in the field, in
consideration of the anticipated future land use of the On-Post OU as a
National Wildlife Refuge. Soils and structures with a cumulative
contamination concentration presenting an excess cancer risk to human
health of greater than 1 x 10-\4\ or a Hazard Index greater
than 1.0 for non-cancer risks were identified for excavation/demolition
and on-site disposal. To confirm that the ROD-delineated soil
contamination areas and depths met remedial action objectives, the On-
Post ROD provided for excavation of an additional 150,000 cy of soil
beyond that estimated in the selected remedy. For the entire On-Post
OU, this volume was identified using 1,014 confirmatory samples as well
as visual observations (e.g., for staining, debris, and odors). For the
CES, more than 100 samples were collected and roughly 22,000 cy of
additional soil was excavated.
Operation and Maintenance (O&M)
No O&M is required for any of the proposed CES and OPS partial
deletion areas. However, the Army is responsible for O&M of the On-Post
internal groundwater treatment facilities, and Off-Post OGITS until
contaminant concentrations are below remedial action levels, as well as
continued maintenance of groundwater wells for long-term groundwater
monitoring. Long-term access to groundwater wells within the On-Post OU
is delineated in Public Law 102-402 and the ``Interim Rocky Mountain
Arsenal Institutional Control Plan.'' Long-term access to the
groundwater wells in the Off-Post OU is
[[Page 34413]]
provided through a license agreement between the Army and Shell.
Five-Year Review
Pursuant to CERCLA Section 121(c) and Sec. 300.430(f)(4)(ii) of
the NCP, the next five-year review will be completed in 2011 to ensure
the continued protectiveness of remedial actions where hazardous
substances, pollutants, or contaminants remain at a site above levels
that allow for unlimited use and unrestricted exposure. Because the CES
and OPS are subject to restrictions on land and water use, they will be
included in future, RMA-wide five-year reviews.
Two site-wide, five-year reviews have been conducted to date
including the Five-Year Review Report completed in January 2001 and the
Five-Year Review Report completed in December 2007. The 2005 Five-Year
Review identified 13 issues requiring followup actions, none of which
affected the protection of human health or the environment for the Off-
Post or On-Post OUs. Seven of these actions were related to improving
reporting and coordination, and clarification of remedy requirements.
Other issues concerned the incomplete capture of groundwater at the
Bedrock Ridge Extraction System, operating problems of the primary sump
system in Cell 2 of the Basin F Wastepile, modification of the OGITS
extraction system, the discovery of fuel contamination in the
groundwater below the North Plants area, and updating portions of the
groundwater treatment systems including site-specific treatment
criteria known as Practical Quantitation Limits (PQLs), and updating
monitoring well networks. None of the issues impacted the CES or OPS,
though actions regarding the groundwater monitoring networks may
indirectly affect small portions of the CES and OPS.
All but three of the followup actions have been completed.
Modification of the OGITS extraction system has been completed and the
start-up data is being reviewed. A pilot study for assessing the North
Plants Fuel Release has been approved and is ongoing. The PQL study was
initiated in 2009 and submittals from laboratories are under review.
A fourth extraction well was installed at the Bedrock Ridge
Extraction System and, in 2008, was determined to be adequately
capturing the groundwater plume. The Basin F Wastepile Remediation
Project, completed in 2009, included the excavation of the Wastepile
and the liner system, and disposed the waste in the ELF, thereby
eliminating any continuing concerns regarding the sump system.
Community Involvement
Public participation activities have been satisfied as required in
CERCLA Section 113(k), 42 U.S.C. 9613(k) and CERCLA Section 117, 42
U.S.C. 9617. Since 1988, each of the parties involved with the Arsenal
cleanup has made extensive efforts to ensure that the public is kept
informed on all aspects of the cleanup program. More than 100 fact
sheets about topics ranging from historical information to site
remediation have been developed and made available to the public. Upon
completion of the 30 calendar day public comment period for this
proposed partial deletion of the RMA Site, EPA Region 8, in
consultation with the State and the Army, will evaluate each comment
and any significant new data received before issuing a final decision
concerning the proposed partial deletion.
CES of the On-Post (OU 3): Following the release and distribution
of the draft Detailed Analysis of Alternatives report for the On-Post
OU (a second phase of the FS), the Army held an open house for about
1,000 community members. The open house provided opportunity for
individual discussion and understanding of the various technologies
being evaluated for cleanup of the On-Post RMA Site. The Proposed Plan
for the On-Post OU was issued for public review from October 16, 1995,
through January 19, 1996. A public meeting was held on November 18,
1995, attended by approximately 50 members of the public, to obtain
public comment on the Proposed Plan. Minimal comments were received on
the alternatives presented for the projects in the Central Area of the
On-Post OU. Specifically, the comments requested that the health and
safety of nearby communities be protected from air emissions during
excavation and demolition activities and that potential dioxin
contamination of the entire RMA Site be evaluated.
The designs for the each of the 29 remediation projects within the
CES (18 soil remediation projects and 11 structure demolition projects)
were provided to the public for a thirty calendar day review and
comment period at both the 30 percent and 95 percent design completion
stages (45 separate public comment periods). Most designs were also
presented for discussion at the RMA Restoration Advisory Board which is
composed of community stakeholders, regulatory agencies, the Army,
Shell Oil Company, and USFWS. No written comments regarding the
excavation/demolition approach or the proposed health and safety
controls for each project were received.
OPS of the Off-Post (OU 4): An expanded Community Relations
outreach was implemented to ensure community members had the
opportunity to comment on the Proposed Plan for the Off-Post OU. In
January 1993, all documents supporting an expected Proposed Plan were
made available for public review in local libraries. A direct mailing
to more than 1200 local citizens was made. The RI, RI Addendum, EA/FS,
and Proposed Plan for the Off-Post OU were issued for public review on
March 21, 1993, and was extended until June 21, 1993. On April 28,
1993, a public meeting was held to obtain public comment of the
Proposed Plan. Comments received focused on requests for expanded
groundwater treatment, incorporation of a surface soil remedy, and
concerns over the selection of a DIMP cleanup standard.
The Draft Final ROD (1993) was revised in consideration of comments
received from the city and county governments, environmental action
groups and private citizens. Settlement discussions involving
municipalities, local health departments, special districts, and
citizen groups were held from late 1994 until April 1, 1995, to discuss
the final remedies for both the On-Post and Off-Post OUs.
Determination That the Criteria for Deletion Have Been Met
EPA, with concurrence from the State of Colorado, dated March 22,
2010, has determined that all appropriate CERCLA response actions have
been completed for the CES and OPS of the RMA Site to protect public
health and the environment and that no further response action by
responsible parties is required. Based on the extensive investigations
and risk assessment performed for the CES and the OPS of the RMA Site,
there are no further response actions planned or scheduled for these
areas.
There are no known hazardous substances remaining in the CES above
health-based levels with respect to anticipated uses of and access to
the site which are identified in the FFA, On-Post ROD, and Public Law
102-402. Similarly, no known hazardous substances remain in the OPS
above health-based levels with respect to anticipated uses of and
access to the site which are limited through deed restrictions. As a
result, all completion requirements for the CES and OPS have been
achieved as outlined in OSWER
[[Page 34414]]
Directive 9320.2-09A-P and the NCP. Therefore, EPA proposes to delete
the CES and OPS portions of the RMA Site from the NPL.
List of Subjects in 40 CFR Part 300
Environmental protection, Air pollution control, Chemicals,
Hazardous waste, Hazardous substances, Intergovernmental relations,
Penalties, Reporting and recordkeeping requirements, Superfund, Water
pollution control, Water supply.
Authority: 33 U.S.C. 1321(c)(2); 42 U.S.C. 9601-9657; E.O.
12777, 56 FR 54757, 3 CFR, 1991 Comp., p.351; E.O. 12580, 52 FR
2923, 3 CFR, 1987 Comp., p.193.
Dated: June 10, 2010.
Carol Rushin,
Deputy Regional Administrator, Region 8.
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[FR Doc. 2010-14524 Filed 6-16-10; 8:45 am]
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