National Oil and Hazardous Substances Pollution Contingency Plan; National Priorities List: Deletion of the Strasburg Landfill Superfund Site, 31826-31831 [2019-14251]
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provided that they meet the criteria of
the CAA. Accordingly, this action
merely approves state law as meeting
Federal requirements and does not
impose additional requirements beyond
those imposed by state law. For that
reason, this action:
• Is not a significant regulatory action
subject to review by the Office of
Management and Budget under
Executive Orders 12866 (58 FR 51735,
October 4, 1993) and 13563 (76 FR 3821,
January 21, 2011);
• Is not an Executive Order 13771 (82
FR 9339, February 2, 2017) regulatory
action because SIP approvals are
exempted under Executive Order 12866;
• Does not impose an information
collection burden under the provisions
of the Paperwork Reduction Act (44
U.S.C. 3501 et seq.);
• Is certified as not having a
significant economic impact on a
substantial number of small entities
under the Regulatory Flexibility Act (5
U.S.C. 601 et seq.);
• Does not contain any unfunded
mandate or significantly or uniquely
affect small governments, as described
in the Unfunded Mandates Reform Act
of 1995 (Pub. L. 104–4);
• Does not have Federalism
implications as specified in Executive
Order 13132 (64 FR 43255, August 10,
1999);
• Is not an economically significant
regulatory action based on health or
safety risks subject to Executive Order
13045 (62 FR 19885, April 23, 1997);
• Is not a significant regulatory action
subject to Executive Order 13211 (66 FR
28355, May 22, 2001);
• Is not subject to requirements of
section 12(d) of the National
Technology Transfer and Advancement
Act of 1995 (15 U.S.C. 272 note) because
application of those requirements would
be inconsistent with the CAA; and
• Does not provide EPA with the
discretionary authority to address, as
appropriate, disproportionate human
health or environmental effects, using
practicable and legally permissible
methods, under Executive Order 12898
(59 FR 7629, February 16, 1994).
In addition, the SIP is not approved
to apply on any Indian reservation land
or in any other area where EPA or an
Indian tribe has demonstrated that a
tribe has jurisdiction. In those areas of
Indian country, this rule does not have
tribal implications as specified by
Executive Order 13175 (65 FR 67249,
November 9, 2000), because
redesignation is an action that affects
the status of a geographical area and
does not impose any new regulatory
requirements on tribes, impact any
existing sources of air pollution on
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tribal lands, nor impair the maintenance
of ozone national ambient air quality
standards in tribal lands.
List of Subjects
40 CFR Part 52
Environmental protection, Air
pollution control, Incorporation by
reference, Intergovernmental relations,
Oxides of nitrogen, Ozone, Volatile
organic compounds.
40 CFR Part 81
Environmental protection, Air
pollution control, National parks,
Wilderness areas.
Dated: June 13, 2019.
Cathy Stepp,
Regional Administrator, Region 5.
[FR Doc. 2019–14154 Filed 7–2–19; 8:45 am]
BILLING CODE 6560–50–P
ENVIRONMENTAL PROTECTION
AGENCY
40 CFR Part 300
[EPA–HQ–SFUND–1989–0008; FRL–9996–
05–Region 3]
National Oil and Hazardous
Substances Pollution Contingency
Plan; National Priorities List: Deletion
of the Strasburg Landfill Superfund
Site
Environmental Protection
Agency (EPA).
ACTION: Proposed rule; notice of intent.
AGENCY:
The Environmental Protection
Agency (EPA) Region 3 is issuing a
Notice of Intent to Delete the Strasburg
Landfill Superfund Site (Site) located in
Newlin and West Bradford Townships,
Chester County, Pennsylvania from the
National Priorities List (NPL) and
requests public comments 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 Commonwealth of Pennsylvania,
through the Pennsylvania Department of
Environmental Protection (PADEP,
Southeast Region), have determined that
all appropriate response actions under
CERCLA, other than operation and
maintenance (O&M), monitoring, and
Five-Year Reviews, have been
completed. However, this deletion does
not preclude future actions under
Superfund.
SUMMARY:
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Comments must be received by
August 2, 2019.
ADDRESSES: Submit your comments,
identified by Docket ID no. EPA–HQ–
SFUND–1989–0008, by one of the
following methods:
• https://www.regulations.gov.
Follow on-line instructions for
submitting comments. Once submitted,
comments cannot be edited or removed
from Regulations.gov. The EPA may
publish any comment received to its
public docket. Do not submit
electronically any information you
consider to be Confidential Business
Information (CBI) or other information
whose disclosure is restricted by statute.
Multimedia submissions (audio, video,
etc.) must be accompanied by a written
comment. The written comment is
considered the official comment and
should include discussion of all points
you wish to make. The EPA will
generally not consider comments or
comment contents located outside of the
primary submission (i.e., on the web,
cloud, or other file sharing system). For
additional submission methods, the full
EPA public comment policy,
information about CBI or multimedia
submissions, and general guidance on
making effective comments, please visit
https://www2.epa.gov/dockets/
commenting-epa-dockets.
• Email: greaves.david@epa.gov.
• Mail: USEPA Region III, 1650 Arch
Street, Philadelphia, PA 19103.
• Hand delivery: USEPA Region III,
1650 Arch Street, Philadelphia, PA
19103. 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–1989–
0008. 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 email. The
https://www.regulations.gov website 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 email comment directly
to EPA without going through https://
www.regulations.gov, your email
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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 the
hard copy. Publicly available docket
materials are available either
electronically in https://
www.regulations.gov or in hard copy at:
USEPA Region III Administrative
Records Room: 1650 Arch Street—6th
Floor, Philadelphia, PA 19103–2029,
(215) 814–3157, Business Hours:
Monday through Friday, 8:00 a.m.–4:30
p.m.; by appointment only.
Local Repository: Kennett Library,
216 East State Street, Kennett Square,
PA 19348, (610) 444–2702, Business
Hours: Monday through Friday, 9:00
a.m.–8:00 p.m.
SUPPLEMENTARY INFORMATION:
Table of Contents
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I. Introduction
II. NPL Deletion Criteria
III. Deletion Procedures
IV. Basis for Intended Site Deletion
I. Introduction
EPA Region 3 announces its intent to
delete the Strasburg Landfill Superfund
Site from the NPL and requests public
comment on this proposed action. The
NPL constitutes Appendix B of 40 CFR
part 300 which is the NCP, which EPA
promulgated pursuant to section 105 of
the CERCLA of 1980, as amended. EPA
maintains the NPL as the list of 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). As described in 40 CFR
300.425(e)(3) of the NCP, sites deleted
from the NPL remain eligible for Fundfinanced remedial actions if future
conditions warrant such actions.
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EPA will accept comments on the
proposal to 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 Strasburg Landfill
Superfund Site and demonstrates how it
meets 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 Commonwealth,
whether any of the following criteria
have been met:
(1) Responsible parties or other
persons have implemented all
appropriate response actions required;
(2) All appropriate Fund-financed
response under CERCLA has been
implemented, and no further response
action by responsible parties is
appropriate; or
(3) The remedial investigation has
shown that the release poses no
significant threat to public health or the
environment and, therefore, the 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
deletion of the Site:
(1) EPA consulted with the
Commonwealth of Pennsylvania before
developing this Notice of Intent to
Delete;
(2) EPA has provided the
Commonwealth of Pennsylvania 30
working days for review of this notice
prior to publication of it today;
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(3) In accordance with the criteria
discussed above, EPA has determined
that no further response is appropriate;
(4) The Commonwealth of
Pennsylvania, through PADEP
(Southeast Region), has concurred with
deletion of the Site from the NPL;
(5) Concurrently with the publication
of this Notice of Intent to Delete in the
Federal Register, a notice is being
published in a major local newspaper,
the Daily Local News. The newspaper
notice announces the 30-day public
comment period concerning the Notice
of Intent to Delete the site from the NPL;
(6) The EPA placed copies of
documents supporting the proposed
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 public comment period on this
document, EPA will evaluate and
respond appropriately to the comments
before making a final decision to delete.
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 Site, the
Regional Administrator will publish a
final Notice of 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 in the site information
repositories listed above.
Deletion of a site from the NPL does
not itself create, alter, or revoke any
individual’s rights or obligations.
Deletion 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 Site Deletion
The following information provides
EPA’s rationale for deleting the Site
from the NPL:
Site Background and History
EPA proposed the Site (EPA ID
PAD000441337) to the NPL on June 24,
1988 (53 FR 23978) and added the Site
to the NPL on March 31, 1989 (54 FR
13296). The Site is located south and
slightly east of Strasburg Road in
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Newlin Township, Chester County,
Pennsylvania.
The Site includes a 24-acre inactive
landfill located on two parcels totaling
approximately 209 acres of undeveloped
land. In addition to the 209 acres, the
Site also includes an access road on a
14.5-acre parcel that provides access
from Strasburg Road to the Site. The
access road is located in Newlin and
West Bradford Townships. The
topography of the area is characterized
by a combination of steep and gentle
hills. In general, the land in the Site area
slopes towards, and drains to the
Brandywine Creek, or Briar Run, a
tributary. These streams form the
eastern and western boundaries of the
Site area. A small wetlands area has
been created on the eastern side of the
landfill along Briar Run. The wetlands
receive the discharge from the Site’s
leachate collection system prior to
ultimately discharging into Briar Run.
Groundwater flow at the Site is to the
south, southwest, and southeast.
Land use in the area is primarily
suburban residential, with some
residual agricultural areas. There are
more than 300 single family residences
within a one-mile radius of the Site. The
drinking water to these residences is
primarily supplied from groundwater.
Most of the homes are served by private
home wells. A 57-acre parcel, adjacent
to the two parcels on which the landfill
is situated and abutting Strasburg Road,
was acquired by West Bradford
Township in August 2007 through a
property sheriff sale. The West Bradford
parcel is currently used for township
lawn waste composting.
The Site began to accept municipal
and industrial waste in 1978. The
landfill operators were cited by PADEP
for numerous operational violations,
and the landfill was closed in 1984.
During its period of operation, the
landfill accepted approximately three
million cubic yards of waste. Following
closure, the landfill began discharging
leachate into the surrounding area,
including Briar Run.
Initial sampling on and around the
landfill showed elevated levels of vinyl
chloride (VC) and trichloroethene (TCE)
both in leachate seeps emanating from
the landfill and also in home wells
adjacent to the Site. Subsequent
inspections and sampling showed that
the existing landfill cap had failed in
numerous locations and that
contaminants were flowing both into
nearby surface water streams and into
the groundwater.
PADEP required the landfill operators
to collect the leachate and transport it
offsite for treatment at a nearby
municipal sewage treatment plant. The
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leachate was collected until July 1989
when the landfill operators gave notice
that they would no longer operate the
leachate collection system. PADEP
operated the system on an interim basis
until EPA took over operations of the
temporary leachate collection system in
September 1989.
Remedial Investigation (RI) and
Feasibility Study (FS)
The RI for the Site was performed by
Ecology and Environment, Inc. (E&E) for
EPA beginning in March 1989 to assess
the nature and extent of contamination
and document the potential for
contaminant migration from the Site.
E&E field activities conducted during
the RI included:
• Installation of four shallow (MW–
1S, MW–2S, MW–3S, and MW–4S) and
five intermediate depth (MW1I, MW–2I,
MW–3I, MW–4I, and MW–5I)
downgradient monitoring wells;
• Sampling and analysis of soils
extracted during well installation;
• Surface water, sediment, and
bioassay sampling from onsite locations
and locations in Briar Run and
Brandywine Creek;
• Soil gas sampling at a grid area
southeast of the landfill and around the
landfill perimeter;
• Packer injection testing of the
intermediate-depth monitoring wells;
• Packer production testing of both
shallow (120 feet total depth) and deep
(300 feet total depth) residential wells;
• Residential well sampling and
analysis;
• Sampling and analysis of new
monitoring wells installed in 1990 and
well M5, installed in 1984; and
• Ambient air sampling.
Contaminants of concern (COCs) at
the Site included volatile and baseneutral organics and selected
inorganics. Volatile organic compounds
(VOCs) were detected in ambient air,
soil gas, soil, groundwater, surface
water, sediment, and seep areas. The
distribution of base-neutral and
inorganic contamination was limited
primarily to the sediment and water in
the seep areas and in the sediment
pond. The observed contaminant
distribution reflected the differing
mobilities of the different compounds,
with the widest distribution observed in
the most mobile class of compounds,
VOCs. Tetrachloroethene (TCE), VC, and
1,2-dichloroethene (1,2-DCE) were the
most widespread contaminants
identified at this Site.
Mechanisms for transport of organic
compounds from the landfill included
landfill gas emissions that elevate
contaminants in the ambient air and soil
gas. Gas emissions escaping through the
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landfill cover were measured at selected
locations on the landfill using a
stainless steel flux box. Elevated
concentrations of PCE (up to 567 parts
per billion (ppb)) and VC (up to 129
ppb) were measured in the gas collected
in the flux box samples. Soil gas
concentrations measured at perimeter
locations surrounding the landfill had
generally high concentrations of VOCs,
with concentrations up to 11,000 ppb
VC and up to 3,000 ppb PCE. Although
maximum VOC concentrations detected
in ambient air samples (0.09 ppb PCE,
0.48 ppb VC, and 0.64 ppb 1,2-DCE)
were much lower than concentrations
detected in the soil gas, levels still
exceeded background ambient air
concentrations.
Precipitation entering the landfill
through the cap generated leachate and
provided an additional mechanism for
contaminant migration. Leachate
generated by the landfill was
contaminated with organic and
inorganic compounds. Once generated,
leachate migrated from the landfill to
the underdrain system, to the surface
water as seeps via interflow, and to the
groundwater. Surface water collected
from the seeps and on the surrounding
landfill indicated elevated
concentrations of VC (19 micrograms
per liter)(mg/L) and cis-1,2-DCE (54 mg/
L) likely to have been derived from
landfill leachate. Elevated
concentrations of PCE (214 mg/L); 1,2DCE (129 mg/L); and VC (19.5 mg/L) were
detected in groundwater downgradient
of the landfill.
Two homes located downgradient of
the landfill had relatively low levels of
VOCs in their water supply wells (up to
80.8 mg/L total VOCs.) These homes
were equipped with whole-house pointof-use carbon filters to provide potable
water by EPA in 1989, as described in
additional detail in the following
section.
A diversity of ecological resources
exists in the area surrounding the
landfill. These resources include river,
wetland, forest, and open field
ecosystems that harbor abundant
wildlife populations. Exposure of plants
and wildlife to landfill contaminants
appeared to be limited to seep areas and
soil on the landfill perimeter, with some
limited evidence of potential exposure
to aquatic biota in areas downstream
from the Site. For aquatic and terrestrial
life residing on the landfill perimeter
and having frequent contact with
contaminant source areas, there was a
potential risk of toxic effects of
contamination.
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Response Actions
The remedial action objectives (RAOs)
for the Site, as described in the Site
decision documents, are to minimize
migration of contaminants to ground
and surface waters and to prevent direct
contact with, or ingestion of,
contaminants.
EPA divided the cleanup of the Site
into four operable units (OUs). EPA
issued a series of Records of Decision
(RODs) for the OUs, which selected the
remedies necessary to protect human
health and the environment from
contaminants at the Site. The first ROD
for OU1, dated June 29, 1989, addressed
leachate releases into surface water and
groundwater near the landfill. The
selected remedy was to collect leachate
and treat and dispose of it offsite, as
well as provide point-of-use carbon
treatment for contaminated residential
wells.
However, the potentially responsible
parties (PRPs) ceased performing work
at the Site in July 1989. Because the
PRPs ceased the offsite disposal of
collected leachate, the selected remedy
outlined in the June 1989 ROD was no
longer considered adequate. The first
Explanation of Significant Differences
(ESD) was issued on January 3, 1990 to
change the method of leachate treatment
to onsite treatment via air-stripping and
discharge to Briar Run. The onsite
treatment system was constructed from
March 1990 through March 1991 and
the Remedial Action for OU1 was
approved on March 27, 1991.
In 1989, EPA installed whole-house
carbon filtration systems in two private
residences down gradient of the Site.
EPA monitored and maintained the
systems until PADEP took over
responsibility for Operation and
Maintenance (O&M) for the Site in 2001.
No Site-related contaminants have been
detected at levels exceeding the
Maximum Contaminant Levels (MCLs)
in any wells prior to treatment since
1995. PADEP maintained the carbon
units and monitored the groundwater
from the residential wells pre-filter and
post-filter until 2010 when maintenance
and monitoring of the residential
systems was discontinued based on the
many years of sampling results not
exceeding MCLs and the stability of the
plume.
The second ROD for OU2, dated June
28, 1991, addressed Site access and
security. EPA installed a security fence
with warning signs around the entire
perimeter of the landfill from October
through December 1992. The Remedial
Action for OU2 was approved on
December 23, 1992.
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Pursuant to the ROD for OU3, dated
March 31, 1992, EPA constructed a
multi-layer cap over the landfill portion
of the Site, a landfill subsurface leachate
collection system, and a leachate
treatment system, from August 1996
through September 1999. The Remedial
Action for OU3 was approved on
September 29, 2000. The landfill was regraded, creating less steep slopes, which
conformed to the current landfill
grading practices. All of the weeds,
brush, and small trees, which had
grown up on the landfill, were removed
and an impermeable liner was placed
over the entire landfill area.
Approximately 600,000 cubic yards of
earthen material was placed over the
landfill as part of this reconstruction.
The leachate treatment system
actively treated all leachate from the
landfill until 2010. Following the
successful pilot test in 2009–2010, the
onsite wetland now serves as a passive
treatment system for the leachate. The
leachate, after being distributed via
underground level spreaders in the upgradient portions of the wetland,
eventually discharges to Briar Run. A
gas-flare system which collected and
safely burned gases developed in the
landfill has been operated since 1999.
However, due to a decrease in the
volume of gas generated by the landfill,
operation of the flare has become
difficult. PADEP requested and EPA
evaluated a change to passive gas
venting for the Site. This request was
approved by EPA in April 2016.
Finally, on September 27, 1999, EPA
issued a ‘‘No Action’’ ROD for
groundwater associated with the Site
(OU4). This decision was based on
groundwater data which demonstrated
that Site-related contaminants were not
migrating offsite from under the landfill
cap.
The Preliminary Close Out Report
(PCOR), documenting construction
completion at the Site, was issued on
September 27, 1999. Under the terms of
the Superfund State Contract (SSC),
PADEP has maintained and operated the
Site remedies since 2001. EPA issued
the Final Close Out Report (FCOR) on
March 18, 2019 to document that all
response actions at the Site had been
successfully completed in accordance
with Close Out Procedures for National
Priorities List Sites (OSWER Directive
9320.2–22, May 2011).
Institutional Controls (ICs)
ICs for the Site were developed as a
result of recommendations in the 2010
Five-Year Review. The required ICs
were selected via a second ESD dated
September 4, 2012. The ICs selected for
the Site include the following:
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• Prohibit activities on the Site
within or near the existing security
fencing that would in any manner
disturb or interfere with the remedial
systems, including the landfill cap, gas
vents, monitoring wells, leachate
collection and conveyance system, and
security measures that prevent access to
the landfill. Such prohibited activities
include, but are not limited to, digging
in the landfill cap or tampering with the
hardware associated with the gas vents,
monitoring wells, leachate collection
and conveyance systems, or the security
fencing.
• Prohibit any use of landfill leachate
unless approved by the EPA, in
consultation with PADEP, to avoid
exposure to contaminants in the
leachate via ingestion, vapor inhalation
or dermal contact.
• Prohibit installation of groundwater
wells on the Site within the existing
security fencing without notice and
approval of the EPA, in consultation
with PADEP, to avoid exposure to
contaminants in groundwater via
ingestion, inhalation, or dermal contact.
• Prohibit installation and pumping
of new groundwater wells within onequarter of a mile of the identified plume
of the Site which may influence the Site
hydrology without notice and approval
of EPA, in consultation with PADEP, to
avoid the migration of contaminants
from under the cap and exposure to
contaminants in groundwater via
ingestion, inhalation, or dermal contact.
The ICs have been implemented
through an Environmental Covenant
(EC) recorded by the landfill property
owner with the Chester County
Recorder of Deeds on December 27,
2013. The EC describes the following
activity and use limitations the property
owner shall abide by:
• Any and all activity on the Property
that could in any manner disturb or
interfere with the selected remedial
systems, including the landfill cap, gas
vents, monitoring wells, leachate
collection and conveyance system, and
security measures that prevent access to
the landfill, is prohibited;
• Any and all contact, handling, or
use of landfill leachate is prohibited
without the prior written approval of
the Agencies;
• The installation of groundwater
wells on the property within the
existing fencing is prohibited without
the prior written approval of the
Agencies; and
• The installation and pumping of
new groundwater wells on the Property
within one-quarter mile of the identified
plume is prohibited without the prior
written approval of the Agencies.
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In addition, the Natural Lands Trust,
Inc. (NLT), a non-profit conservancy,
accepted a conservation easement from
the property owner for portions of the
property to permanently protect natural
features of the property including:
Deciduous woodlands, steep slopes, a
cold-water stream and breeding bird
habitat, etc. in October 2014.
Finally, via the 2012 ESD, EPA
implemented ICs placing restrictions on
installation and pumping of new
groundwater wells within one-quarter of
a mile of the identified plume through
application of the Chester County
Health Department (CCHD) regulations
relating to installation of wells in the
county. The CCHD regulations require a
permit for any new supply wells prior
to installation. The CCHD regulations
also require sampling of any new well
installed to demonstrate that it meets
drinking water standards before
permission from the CCHD is granted to
use the new well for drinking purposes.
jspears on DSK30JT082PROD with PROPOSALS
Cleanup Levels
In a letter dated December 12, 2013,
PADEP requested that EPA consider
removing groundwater monitoring from
PADEP’s O&M obligations at the Site.
EPA evaluated the request as a part of
the 2015 Five-Year Review and
determined that the frequency of
sampling could be reduced from the
biannual sampling requirement to a
frequency of one sampling event per
Five-Year Review cycle, to occur no
later than the fourth year of the FiveYear Review cycle. Groundwater
monitoring will continue to be
performed by PADEP once every FiveYear Review cycle.
The most recent sampling events
occurred on April 2010 and March 2014
as a part of the 2015 Five-Year Review.
Onsite and perimeter wells were
sampled at this time. The 1999 OU4
ROD selected No Action for
groundwater, therefore, no groundwater
cleanup levels exist for the Site.
However, for the purposes of evaluating
the groundwater monitoring results,
detected contaminant concentrations
were compared to MCLs for
contaminants with MCLs or to PADEP
Land Recycling Program (Act 2) SHS
MSCs for a residential used aquifer for
contaminants without MCLs. In
reviewing all the historic data,
including the two most recent sampling
events, it was determined that were no
exceedances of the MCLs or MSCs. This
remains consistent with EPA’s No
Action determination for groundwater
in the 1999 ROD and supports the
determination that the other remedial
actions are operating as intended.
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As indicated above, no Site-related
contaminants have been detected in
residential wells at concentrations
exceeding the MCLs since 1995 and
sampling and O&M of the systems was
discontinued in 2010. Additionally,
because no Site-related contaminants
have been detected in the landfill
monitoring wells exceeding MCLs or
MSCs, there is no potential for future
impacts to residential wells from the
Site.
Operation and Maintenance
In accordance with the SSC, PADEP
has been responsible for O&M of the
remedy components at the Site since
September 2011. The leachate collection
and treatment system treated and
discharged an approximate total of
6,153,000 gallons of leachate since
PADEP assumed responsibility. As
mentioned earlier, the mechanical
leachate treatment system was
deactivated in 2010, and the onsite
wetland now serves as a passive
treatment system for removal of the low
concentrations of contaminants from the
leachate.
The leachate, after being distributed
via underground level spreaders in the
up-gradient portions of the wetland,
eventually discharges to Briar Run. The
National Pollutant Discharge
Elimination System (NPDES) equivalent
discharge criteria was modified by
PADEP’s water program on August 2,
2013 for leachate discharge to Briar Run
through passive wetlands treatment
system modifications. All NPDES
equivalent discharge criteria have been
attained since 2013 and no problems or
issues have been identified with the
passive treatment system to date.
Groundwater monitoring as a
component of O&M will continue to be
performed by PADEP no later than the
fourth year of every Five-Year Review
cycle.
During the most recent Five-Year
Review period, in the spring, summer
and fall months, the landfill cap was
routinely mowed approximately 6–8
times per year. The landfill vegetative
cover has maintained its integrity, with
no major erosion issues. EPA has
recommended that PADEP evaluate low
maintenance caps planted with native
vegetation to reduce or eliminate
mowing and increase habitat for
wildlife.
Five-Year Review
Pursuant to CERCLA section 121(c)
and as provided in the current guidance
on Five-Year Reviews, Comprehensive
Five-Year Review Guidance (OSWER
Directive 9355.7–03B–P, June 2001),
EPA must conduct a statutory Five-Year
PO 00000
Frm 00085
Fmt 4702
Sfmt 4702
Review if hazardous substances remain
on-site above levels that would not
allow for unlimited use and unrestricted
exposure. Statutory Five-Year Reviews
have been conducted at the Site in 1994,
1999, 2005, 2010 and 2015. The
Protectiveness Statement in the 2015
Fifth Five-Year Review was as follows:
‘‘The remedies have been implemented
at this Site and are protective of human
health and the environment.
Institutional controls were identified
and selected in the September 4, 2012
Second ESD for the Site and are being
implemented through an Environmental
Covenant recorded December 27, 2013,
and additionally, through Chester
County Health Department regulations
relating to well installation. These ICs
will be used to prevent exposure to
waste and contaminated groundwater
and to preserve the integrity of the
components of the remedies (cap, fence,
leachate collection and treatment
system, etc.). The Site operation and
maintenance and sampling plans should
be updated to reflect changes in site
operations, maintenance and sampling
plan that are not consistent with current
Site conditions.’’
The only issue and recommendation
from the 2015 Five-Year Review was to
‘‘Update the O&M and Sampling Plan.’’
This issue and recommendation were
addressed in October 2016 when an
updated O&M and Sampling Plan was
submitted to and approved by EPA. Data
collected since the 2015 Five-Year
Review does not call into question any
of the findings presented in that report.
The next Five-Year Review for this
Site is scheduled to be completed in
April 2020 and every five years
thereafter.
Community Involvement
EPA community relations staff
conducted an active campaign to ensure
that the residents were well informed
about activities at the Site. Community
relations activities included the
following:
• Interviews of Township officials for
Five-Year Reviews
• Fact Sheets
In accordance with the requirements
of 40 CFR 300.425(e)(4), EPA’s
community involvement activities
associated with this deletion will
consist of placing the deletion docket in
the local Site information repository and
placing a public notice of EPA’s intent
to delete the Site from the NPL in the
Daily Local News, a major local
newspaper of general circulation. EPA is
also providing a 30-day comment period
and will respond to significant
comments and significant data in
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accordance with 40 CFR
300.425(e)(4)(iii)(iv).
jspears on DSK30JT082PROD with PROPOSALS
Determination That the Site Meets the
Criteria for Deletion in the NCP
Construction completion for the Site
was documented in the Preliminary
Closeout Report (PCOR), dated
September 27, 1999. Site completion
was documented in the Final Closeout
Report (FCOR), dated March 18, 2019.
All RAOs, performance standards, and
cleanup levels established in the 1989
OU1 ROD, 1990 ESD, 1991 OU2 ROD,
1992 OU3 ROD, 1999 OU4 ROD, and the
2012 ESD have been achieved at the
Site, and the Selected Remedy is
protective of human health and the
environment. ICs are in place and
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Jkt 247001
effective. No further Superfund
response actions, other than O&M,
monitoring, and Five-Year Reviews, are
necessary to protect human health and
the environment.
The procedures specified in 40 CFR
300.425(e) have been followed for the
deletion of the Site. EPA, with
concurrence of the Commonwealth of
Pennsylvania through the PADEP, has
determined that all appropriate
response actions under CERCLA have
been completed. Therefore, EPA is
issuing this Notice of Intent to Delete
the Site from the NPL.
List of Subjects in 40 CFR Part 300
Environmental protection, Air
pollution control, Chemicals, Hazardous
PO 00000
Frm 00086
Fmt 4702
Sfmt 9990
31831
waste, Hazardous substances,
Intergovernmental relations, Penalties,
Reporting and recordkeeping
requirements, Superfund, Water
pollution control, Water supply.
Authority: 33 U.S.C. 1321(d); 42 U.S.C.
9601–9657; E.O. 13626, 77 FR 56749, 3 CFR,
2013 Comp., p. 306; 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 20, 2019.
Cosmo Servidio,
Regional Administrator, EPA Region III.
[FR Doc. 2019–14251 Filed 7–2–19; 8:45 am]
BILLING CODE 6560–50–P
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Agencies
[Federal Register Volume 84, Number 128 (Wednesday, July 3, 2019)]
[Proposed Rules]
[Pages 31826-31831]
From the Federal Register Online via the Government Publishing Office [www.gpo.gov]
[FR Doc No: 2019-14251]
-----------------------------------------------------------------------
ENVIRONMENTAL PROTECTION AGENCY
40 CFR Part 300
[EPA-HQ-SFUND-1989-0008; FRL-9996-05-Region 3]
National Oil and Hazardous Substances Pollution Contingency Plan;
National Priorities List: Deletion of the Strasburg Landfill Superfund
Site
AGENCY: Environmental Protection Agency (EPA).
ACTION: Proposed rule; notice of intent.
-----------------------------------------------------------------------
SUMMARY: The Environmental Protection Agency (EPA) Region 3 is issuing
a Notice of Intent to Delete the Strasburg Landfill Superfund Site
(Site) located in Newlin and West Bradford Townships, Chester County,
Pennsylvania from the National Priorities List (NPL) and requests
public comments 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 Commonwealth of Pennsylvania,
through the Pennsylvania Department of Environmental Protection (PADEP,
Southeast Region), have determined that all appropriate response
actions under CERCLA, other than operation and maintenance (O&M),
monitoring, and Five-Year Reviews, have been completed. However, this
deletion does not preclude future actions under Superfund.
DATES: Comments must be received by August 2, 2019.
ADDRESSES: Submit your comments, identified by Docket ID no. EPA-HQ-
SFUND-1989-0008, by one of the following methods:
https://www.regulations.gov. Follow on-line instructions
for submitting comments. Once submitted, comments cannot be edited or
removed from Regulations.gov. The EPA may publish any comment received
to its public docket. Do not submit electronically any information you
consider to be Confidential Business Information (CBI) or other
information whose disclosure is restricted by statute. Multimedia
submissions (audio, video, etc.) must be accompanied by a written
comment. The written comment is considered the official comment and
should include discussion of all points you wish to make. The EPA will
generally not consider comments or comment contents located outside of
the primary submission (i.e., on the web, cloud, or other file sharing
system). For additional submission methods, the full EPA public comment
policy, information about CBI or multimedia submissions, and general
guidance on making effective comments, please visit https://www2.epa.gov/dockets/commenting-epa-dockets.
Email: [email protected].
Mail: USEPA Region III, 1650 Arch Street, Philadelphia, PA
19103.
Hand delivery: USEPA Region III, 1650 Arch Street,
Philadelphia, PA 19103. 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-
1989-0008. 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 email. The https://www.regulations.gov website
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 email comment directly to EPA without
going through https://www.regulations.gov, your email
[[Page 31827]]
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 the hard
copy. Publicly available docket materials are available either
electronically in https://www.regulations.gov or in hard copy at: USEPA
Region III Administrative Records Room: 1650 Arch Street--6th Floor,
Philadelphia, PA 19103-2029, (215) 814-3157, Business Hours: Monday
through Friday, 8:00 a.m.-4:30 p.m.; by appointment only.
Local Repository: Kennett Library, 216 East State Street, Kennett
Square, PA 19348, (610) 444-2702, Business Hours: Monday through
Friday, 9:00 a.m.-8:00 p.m.
SUPPLEMENTARY INFORMATION:
Table of Contents
I. Introduction
II. NPL Deletion Criteria
III. Deletion Procedures
IV. Basis for Intended Site Deletion
I. Introduction
EPA Region 3 announces its intent to delete the Strasburg Landfill
Superfund Site from the NPL and requests public comment on this
proposed action. The NPL constitutes Appendix B of 40 CFR part 300
which is the NCP, which EPA promulgated pursuant to section 105 of the
CERCLA of 1980, as amended. EPA maintains the NPL as the list of 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). As
described in 40 CFR 300.425(e)(3) of the NCP, sites deleted from the
NPL remain eligible for Fund-financed remedial actions if future
conditions warrant such actions.
EPA will accept comments on the proposal to 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 Strasburg Landfill Superfund
Site and demonstrates how it meets 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 Commonwealth, whether any of the following
criteria have been met:
(1) Responsible parties or other persons have implemented all
appropriate response actions required;
(2) All appropriate Fund-financed response under CERCLA has been
implemented, and no further response action by responsible parties is
appropriate; or
(3) The remedial investigation has shown that the release poses no
significant threat to public health or the environment and, therefore,
the 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 deletion of the Site:
(1) EPA consulted with the Commonwealth of Pennsylvania before
developing this Notice of Intent to Delete;
(2) EPA has provided the Commonwealth of Pennsylvania 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 Commonwealth of Pennsylvania, through PADEP (Southeast
Region), has concurred with deletion of the Site from the NPL;
(5) Concurrently with the publication of this Notice of Intent to
Delete in the Federal Register, a notice is being published in a major
local newspaper, the Daily Local News. The newspaper notice announces
the 30-day public comment period concerning the Notice of Intent to
Delete the site from the NPL;
(6) The EPA placed copies of documents supporting the proposed
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 public comment period on
this document, EPA will evaluate and respond appropriately to the
comments before making a final decision to delete. 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 Site, the Regional Administrator
will publish a final Notice of 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 in the
site information repositories listed above.
Deletion of a site from the NPL does not itself create, alter, or
revoke any individual's rights or obligations. Deletion 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 Site Deletion
The following information provides EPA's rationale for deleting the
Site from the NPL:
Site Background and History
EPA proposed the Site (EPA ID PAD000441337) to the NPL on June 24,
1988 (53 FR 23978) and added the Site to the NPL on March 31, 1989 (54
FR 13296). The Site is located south and slightly east of Strasburg
Road in
[[Page 31828]]
Newlin Township, Chester County, Pennsylvania.
The Site includes a 24-acre inactive landfill located on two
parcels totaling approximately 209 acres of undeveloped land. In
addition to the 209 acres, the Site also includes an access road on a
14.5-acre parcel that provides access from Strasburg Road to the Site.
The access road is located in Newlin and West Bradford Townships. The
topography of the area is characterized by a combination of steep and
gentle hills. In general, the land in the Site area slopes towards, and
drains to the Brandywine Creek, or Briar Run, a tributary. These
streams form the eastern and western boundaries of the Site area. A
small wetlands area has been created on the eastern side of the
landfill along Briar Run. The wetlands receive the discharge from the
Site's leachate collection system prior to ultimately discharging into
Briar Run. Groundwater flow at the Site is to the south, southwest, and
southeast.
Land use in the area is primarily suburban residential, with some
residual agricultural areas. There are more than 300 single family
residences within a one-mile radius of the Site. The drinking water to
these residences is primarily supplied from groundwater. Most of the
homes are served by private home wells. A 57-acre parcel, adjacent to
the two parcels on which the landfill is situated and abutting
Strasburg Road, was acquired by West Bradford Township in August 2007
through a property sheriff sale. The West Bradford parcel is currently
used for township lawn waste composting.
The Site began to accept municipal and industrial waste in 1978.
The landfill operators were cited by PADEP for numerous operational
violations, and the landfill was closed in 1984. During its period of
operation, the landfill accepted approximately three million cubic
yards of waste. Following closure, the landfill began discharging
leachate into the surrounding area, including Briar Run.
Initial sampling on and around the landfill showed elevated levels
of vinyl chloride (VC) and trichloroethene (TCE) both in leachate seeps
emanating from the landfill and also in home wells adjacent to the
Site. Subsequent inspections and sampling showed that the existing
landfill cap had failed in numerous locations and that contaminants
were flowing both into nearby surface water streams and into the
groundwater.
PADEP required the landfill operators to collect the leachate and
transport it offsite for treatment at a nearby municipal sewage
treatment plant. The leachate was collected until July 1989 when the
landfill operators gave notice that they would no longer operate the
leachate collection system. PADEP operated the system on an interim
basis until EPA took over operations of the temporary leachate
collection system in September 1989.
Remedial Investigation (RI) and Feasibility Study (FS)
The RI for the Site was performed by Ecology and Environment, Inc.
(E&E) for EPA beginning in March 1989 to assess the nature and extent
of contamination and document the potential for contaminant migration
from the Site.
E&E field activities conducted during the RI included:
Installation of four shallow (MW-1S, MW-2S, MW-3S, and MW-
4S) and five intermediate depth (MW1I, MW-2I, MW-3I, MW-4I, and MW-5I)
downgradient monitoring wells;
Sampling and analysis of soils extracted during well
installation;
Surface water, sediment, and bioassay sampling from onsite
locations and locations in Briar Run and Brandywine Creek;
Soil gas sampling at a grid area southeast of the landfill
and around the landfill perimeter;
Packer injection testing of the intermediate-depth
monitoring wells;
Packer production testing of both shallow (120 feet total
depth) and deep (300 feet total depth) residential wells;
Residential well sampling and analysis;
Sampling and analysis of new monitoring wells installed in
1990 and well M5, installed in 1984; and
Ambient air sampling.
Contaminants of concern (COCs) at the Site included volatile and
base-neutral organics and selected inorganics. Volatile organic
compounds (VOCs) were detected in ambient air, soil gas, soil,
groundwater, surface water, sediment, and seep areas. The distribution
of base-neutral and inorganic contamination was limited primarily to
the sediment and water in the seep areas and in the sediment pond. The
observed contaminant distribution reflected the differing mobilities of
the different compounds, with the widest distribution observed in the
most mobile class of compounds, VOCs. Tetrachloroethene (TCE), VC, and
1,2-dichloroethene (1,2-DCE) were the most widespread contaminants
identified at this Site.
Mechanisms for transport of organic compounds from the landfill
included landfill gas emissions that elevate contaminants in the
ambient air and soil gas. Gas emissions escaping through the landfill
cover were measured at selected locations on the landfill using a
stainless steel flux box. Elevated concentrations of PCE (up to 567
parts per billion (ppb)) and VC (up to 129 ppb) were measured in the
gas collected in the flux box samples. Soil gas concentrations measured
at perimeter locations surrounding the landfill had generally high
concentrations of VOCs, with concentrations up to 11,000 ppb VC and up
to 3,000 ppb PCE. Although maximum VOC concentrations detected in
ambient air samples (0.09 ppb PCE, 0.48 ppb VC, and 0.64 ppb 1,2-DCE)
were much lower than concentrations detected in the soil gas, levels
still exceeded background ambient air concentrations.
Precipitation entering the landfill through the cap generated
leachate and provided an additional mechanism for contaminant
migration. Leachate generated by the landfill was contaminated with
organic and inorganic compounds. Once generated, leachate migrated from
the landfill to the underdrain system, to the surface water as seeps
via interflow, and to the groundwater. Surface water collected from the
seeps and on the surrounding landfill indicated elevated concentrations
of VC (19 micrograms per liter)([mu]g/L) and cis-1,2-DCE (54 [mu]g/L)
likely to have been derived from landfill leachate. Elevated
concentrations of PCE (214 [mu]g/L); 1,2-DCE (129 [mu]g/L); and VC
(19.5 [mu]g/L) were detected in groundwater downgradient of the
landfill.
Two homes located downgradient of the landfill had relatively low
levels of VOCs in their water supply wells (up to 80.8 [mu]g/L total
VOCs.) These homes were equipped with whole-house point-of-use carbon
filters to provide potable water by EPA in 1989, as described in
additional detail in the following section.
A diversity of ecological resources exists in the area surrounding
the landfill. These resources include river, wetland, forest, and open
field ecosystems that harbor abundant wildlife populations. Exposure of
plants and wildlife to landfill contaminants appeared to be limited to
seep areas and soil on the landfill perimeter, with some limited
evidence of potential exposure to aquatic biota in areas downstream
from the Site. For aquatic and terrestrial life residing on the
landfill perimeter and having frequent contact with contaminant source
areas, there was a potential risk of toxic effects of contamination.
[[Page 31829]]
Response Actions
The remedial action objectives (RAOs) for the Site, as described in
the Site decision documents, are to minimize migration of contaminants
to ground and surface waters and to prevent direct contact with, or
ingestion of, contaminants.
EPA divided the cleanup of the Site into four operable units (OUs).
EPA issued a series of Records of Decision (RODs) for the OUs, which
selected the remedies necessary to protect human health and the
environment from contaminants at the Site. The first ROD for OU1, dated
June 29, 1989, addressed leachate releases into surface water and
groundwater near the landfill. The selected remedy was to collect
leachate and treat and dispose of it offsite, as well as provide point-
of-use carbon treatment for contaminated residential wells.
However, the potentially responsible parties (PRPs) ceased
performing work at the Site in July 1989. Because the PRPs ceased the
offsite disposal of collected leachate, the selected remedy outlined in
the June 1989 ROD was no longer considered adequate. The first
Explanation of Significant Differences (ESD) was issued on January 3,
1990 to change the method of leachate treatment to onsite treatment via
air-stripping and discharge to Briar Run. The onsite treatment system
was constructed from March 1990 through March 1991 and the Remedial
Action for OU1 was approved on March 27, 1991.
In 1989, EPA installed whole-house carbon filtration systems in two
private residences down gradient of the Site. EPA monitored and
maintained the systems until PADEP took over responsibility for
Operation and Maintenance (O&M) for the Site in 2001. No Site-related
contaminants have been detected at levels exceeding the Maximum
Contaminant Levels (MCLs) in any wells prior to treatment since 1995.
PADEP maintained the carbon units and monitored the groundwater from
the residential wells pre-filter and post-filter until 2010 when
maintenance and monitoring of the residential systems was discontinued
based on the many years of sampling results not exceeding MCLs and the
stability of the plume.
The second ROD for OU2, dated June 28, 1991, addressed Site access
and security. EPA installed a security fence with warning signs around
the entire perimeter of the landfill from October through December
1992. The Remedial Action for OU2 was approved on December 23, 1992.
Pursuant to the ROD for OU3, dated March 31, 1992, EPA constructed
a multi-layer cap over the landfill portion of the Site, a landfill
subsurface leachate collection system, and a leachate treatment system,
from August 1996 through September 1999. The Remedial Action for OU3
was approved on September 29, 2000. The landfill was re-graded,
creating less steep slopes, which conformed to the current landfill
grading practices. All of the weeds, brush, and small trees, which had
grown up on the landfill, were removed and an impermeable liner was
placed over the entire landfill area. Approximately 600,000 cubic yards
of earthen material was placed over the landfill as part of this
reconstruction.
The leachate treatment system actively treated all leachate from
the landfill until 2010. Following the successful pilot test in 2009-
2010, the onsite wetland now serves as a passive treatment system for
the leachate. The leachate, after being distributed via underground
level spreaders in the up-gradient portions of the wetland, eventually
discharges to Briar Run. A gas-flare system which collected and safely
burned gases developed in the landfill has been operated since 1999.
However, due to a decrease in the volume of gas generated by the
landfill, operation of the flare has become difficult. PADEP requested
and EPA evaluated a change to passive gas venting for the Site. This
request was approved by EPA in April 2016.
Finally, on September 27, 1999, EPA issued a ``No Action'' ROD for
groundwater associated with the Site (OU4). This decision was based on
groundwater data which demonstrated that Site-related contaminants were
not migrating offsite from under the landfill cap.
The Preliminary Close Out Report (PCOR), documenting construction
completion at the Site, was issued on September 27, 1999. Under the
terms of the Superfund State Contract (SSC), PADEP has maintained and
operated the Site remedies since 2001. EPA issued the Final Close Out
Report (FCOR) on March 18, 2019 to document that all response actions
at the Site had been successfully completed in accordance with Close
Out Procedures for National Priorities List Sites (OSWER Directive
9320.2-22, May 2011).
Institutional Controls (ICs)
ICs for the Site were developed as a result of recommendations in
the 2010 Five-Year Review. The required ICs were selected via a second
ESD dated September 4, 2012. The ICs selected for the Site include the
following:
Prohibit activities on the Site within or near the
existing security fencing that would in any manner disturb or interfere
with the remedial systems, including the landfill cap, gas vents,
monitoring wells, leachate collection and conveyance system, and
security measures that prevent access to the landfill. Such prohibited
activities include, but are not limited to, digging in the landfill cap
or tampering with the hardware associated with the gas vents,
monitoring wells, leachate collection and conveyance systems, or the
security fencing.
Prohibit any use of landfill leachate unless approved by
the EPA, in consultation with PADEP, to avoid exposure to contaminants
in the leachate via ingestion, vapor inhalation or dermal contact.
Prohibit installation of groundwater wells on the Site
within the existing security fencing without notice and approval of the
EPA, in consultation with PADEP, to avoid exposure to contaminants in
groundwater via ingestion, inhalation, or dermal contact.
Prohibit installation and pumping of new groundwater wells
within one-quarter of a mile of the identified plume of the Site which
may influence the Site hydrology without notice and approval of EPA, in
consultation with PADEP, to avoid the migration of contaminants from
under the cap and exposure to contaminants in groundwater via
ingestion, inhalation, or dermal contact.
The ICs have been implemented through an Environmental Covenant
(EC) recorded by the landfill property owner with the Chester County
Recorder of Deeds on December 27, 2013. The EC describes the following
activity and use limitations the property owner shall abide by:
Any and all activity on the Property that could in any
manner disturb or interfere with the selected remedial systems,
including the landfill cap, gas vents, monitoring wells, leachate
collection and conveyance system, and security measures that prevent
access to the landfill, is prohibited;
Any and all contact, handling, or use of landfill leachate
is prohibited without the prior written approval of the Agencies;
The installation of groundwater wells on the property
within the existing fencing is prohibited without the prior written
approval of the Agencies; and
The installation and pumping of new groundwater wells on
the Property within one-quarter mile of the identified plume is
prohibited without the prior written approval of the Agencies.
[[Page 31830]]
In addition, the Natural Lands Trust, Inc. (NLT), a non-profit
conservancy, accepted a conservation easement from the property owner
for portions of the property to permanently protect natural features of
the property including: Deciduous woodlands, steep slopes, a cold-water
stream and breeding bird habitat, etc. in October 2014.
Finally, via the 2012 ESD, EPA implemented ICs placing restrictions
on installation and pumping of new groundwater wells within one-quarter
of a mile of the identified plume through application of the Chester
County Health Department (CCHD) regulations relating to installation of
wells in the county. The CCHD regulations require a permit for any new
supply wells prior to installation. The CCHD regulations also require
sampling of any new well installed to demonstrate that it meets
drinking water standards before permission from the CCHD is granted to
use the new well for drinking purposes.
Cleanup Levels
In a letter dated December 12, 2013, PADEP requested that EPA
consider removing groundwater monitoring from PADEP's O&M obligations
at the Site. EPA evaluated the request as a part of the 2015 Five-Year
Review and determined that the frequency of sampling could be reduced
from the biannual sampling requirement to a frequency of one sampling
event per Five-Year Review cycle, to occur no later than the fourth
year of the Five-Year Review cycle. Groundwater monitoring will
continue to be performed by PADEP once every Five-Year Review cycle.
The most recent sampling events occurred on April 2010 and March
2014 as a part of the 2015 Five-Year Review. Onsite and perimeter wells
were sampled at this time. The 1999 OU4 ROD selected No Action for
groundwater, therefore, no groundwater cleanup levels exist for the
Site. However, for the purposes of evaluating the groundwater
monitoring results, detected contaminant concentrations were compared
to MCLs for contaminants with MCLs or to PADEP Land Recycling Program
(Act 2) SHS MSCs for a residential used aquifer for contaminants
without MCLs. In reviewing all the historic data, including the two
most recent sampling events, it was determined that were no exceedances
of the MCLs or MSCs. This remains consistent with EPA's No Action
determination for groundwater in the 1999 ROD and supports the
determination that the other remedial actions are operating as
intended.
As indicated above, no Site-related contaminants have been detected
in residential wells at concentrations exceeding the MCLs since 1995
and sampling and O&M of the systems was discontinued in 2010.
Additionally, because no Site-related contaminants have been detected
in the landfill monitoring wells exceeding MCLs or MSCs, there is no
potential for future impacts to residential wells from the Site.
Operation and Maintenance
In accordance with the SSC, PADEP has been responsible for O&M of
the remedy components at the Site since September 2011. The leachate
collection and treatment system treated and discharged an approximate
total of 6,153,000 gallons of leachate since PADEP assumed
responsibility. As mentioned earlier, the mechanical leachate treatment
system was deactivated in 2010, and the onsite wetland now serves as a
passive treatment system for removal of the low concentrations of
contaminants from the leachate.
The leachate, after being distributed via underground level
spreaders in the up-gradient portions of the wetland, eventually
discharges to Briar Run. The National Pollutant Discharge Elimination
System (NPDES) equivalent discharge criteria was modified by PADEP's
water program on August 2, 2013 for leachate discharge to Briar Run
through passive wetlands treatment system modifications. All NPDES
equivalent discharge criteria have been attained since 2013 and no
problems or issues have been identified with the passive treatment
system to date.
Groundwater monitoring as a component of O&M will continue to be
performed by PADEP no later than the fourth year of every Five-Year
Review cycle.
During the most recent Five-Year Review period, in the spring,
summer and fall months, the landfill cap was routinely mowed
approximately 6-8 times per year. The landfill vegetative cover has
maintained its integrity, with no major erosion issues. EPA has
recommended that PADEP evaluate low maintenance caps planted with
native vegetation to reduce or eliminate mowing and increase habitat
for wildlife.
Five-Year Review
Pursuant to CERCLA section 121(c) and as provided in the current
guidance on Five-Year Reviews, Comprehensive Five-Year Review Guidance
(OSWER Directive 9355.7-03B-P, June 2001), EPA must conduct a statutory
Five-Year Review if hazardous substances remain on-site above levels
that would not allow for unlimited use and unrestricted exposure.
Statutory Five-Year Reviews have been conducted at the Site in 1994,
1999, 2005, 2010 and 2015. The Protectiveness Statement in the 2015
Fifth Five-Year Review was as follows: ``The remedies have been
implemented at this Site and are protective of human health and the
environment. Institutional controls were identified and selected in the
September 4, 2012 Second ESD for the Site and are being implemented
through an Environmental Covenant recorded December 27, 2013, and
additionally, through Chester County Health Department regulations
relating to well installation. These ICs will be used to prevent
exposure to waste and contaminated groundwater and to preserve the
integrity of the components of the remedies (cap, fence, leachate
collection and treatment system, etc.). The Site operation and
maintenance and sampling plans should be updated to reflect changes in
site operations, maintenance and sampling plan that are not consistent
with current Site conditions.''
The only issue and recommendation from the 2015 Five-Year Review
was to ``Update the O&M and Sampling Plan.'' This issue and
recommendation were addressed in October 2016 when an updated O&M and
Sampling Plan was submitted to and approved by EPA. Data collected
since the 2015 Five-Year Review does not call into question any of the
findings presented in that report.
The next Five-Year Review for this Site is scheduled to be
completed in April 2020 and every five years thereafter.
Community Involvement
EPA community relations staff conducted an active campaign to
ensure that the residents were well informed about activities at the
Site. Community relations activities included the following:
Interviews of Township officials for Five-Year Reviews
Fact Sheets
In accordance with the requirements of 40 CFR 300.425(e)(4), EPA's
community involvement activities associated with this deletion will
consist of placing the deletion docket in the local Site information
repository and placing a public notice of EPA's intent to delete the
Site from the NPL in the Daily Local News, a major local newspaper of
general circulation. EPA is also providing a 30-day comment period and
will respond to significant comments and significant data in
[[Page 31831]]
accordance with 40 CFR 300.425(e)(4)(iii)(iv).
Determination That the Site Meets the Criteria for Deletion in the NCP
Construction completion for the Site was documented in the
Preliminary Closeout Report (PCOR), dated September 27, 1999. Site
completion was documented in the Final Closeout Report (FCOR), dated
March 18, 2019. All RAOs, performance standards, and cleanup levels
established in the 1989 OU1 ROD, 1990 ESD, 1991 OU2 ROD, 1992 OU3 ROD,
1999 OU4 ROD, and the 2012 ESD have been achieved at the Site, and the
Selected Remedy is protective of human health and the environment. ICs
are in place and effective. No further Superfund response actions,
other than O&M, monitoring, and Five-Year Reviews, are necessary to
protect human health and the environment.
The procedures specified in 40 CFR 300.425(e) have been followed
for the deletion of the Site. EPA, with concurrence of the Commonwealth
of Pennsylvania through the PADEP, has determined that all appropriate
response actions under CERCLA have been completed. Therefore, EPA is
issuing this Notice of Intent to Delete the 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(d); 42 U.S.C. 9601-9657; E.O. 13626,
77 FR 56749, 3 CFR, 2013 Comp., p. 306; 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 20, 2019.
Cosmo Servidio,
Regional Administrator, EPA Region III.
[FR Doc. 2019-14251 Filed 7-2-19; 8:45 am]
BILLING CODE 6560-50-P