National Oil and Hazardous Substances Pollution Contingency Plan; National Priorities List: Deletion of the Buckeye Reclamation Landfill Superfund Site, 37122-37128 [2019-16197]
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TABLE 1—GENERAL SUPERFUND SECTION—Continued
State
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Site name
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City/county
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Notes (a)
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* P = Sites with partial deletion(s).
[FR Doc. 2019–16192 Filed 7–30–19; 8:45 am]
BILLING CODE 6560–50–P
ENVIRONMENTAL PROTECTION
AGENCY
40 CFR Part 300
[EPA–HQ–SFUND–1983–0002; FRL–9997–
54–Region 5]
National Oil and Hazardous
Substances Pollution Contingency
Plan; National Priorities List: Deletion
of the Buckeye Reclamation Landfill
Superfund Site
Environmental Protection
Agency (EPA).
ACTION: Direct final rule.
AGENCY:
The Environmental Protection
Agency (EPA) Region 5 is publishing a
direct final Notice of Deletion of the
Buckeye Reclamation Landfill
Superfund Site (Buckeye Site), located
in St. Clairsville, Ohio from the National
Priorities List (NPL). 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). This direct
final deletion is being published by EPA
with the concurrence of the State of
Ohio (Ohio), through the Ohio
Environmental Protection Agency
(OEPA), because EPA has determined
that all appropriate response actions
under CERCLA, other than operation
and maintenance, monitoring and fiveyear reviews, have been completed.
However, this deletion does not
preclude future actions under
Superfund.
DATES: This direct final deletion is
effective September 30, 2019 unless
EPA receives adverse comments by
August 30, 2019. If adverse comments
are received, EPA will publish a timely
withdrawal of the direct final deletion
in the Federal Register informing the
public that the deletion will not take
effect.
ADDRESSES: Submit your comments,
identified by Docket ID No. EPA–HQ–
SFUND–1983–0002 by one of the
following methods:
SUMMARY:
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https://www.regulations.gov. Follow
the on-line instructions for submitting
comments. Once submitted, comments
cannot be edited or removed from
Regulations.gov. 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. 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/commentingepa-dockets.
Email: cano.randolph@epa.gov.
Mail: Randolph Cano, NPL Deletion
Coordinator, U.S. Environmental
Protection Agency Region 5 (ST–6J), 77
West Jackson Boulevard, Chicago, IL
60604, (312) 886–6036.
Hand deliver: Superfund Records
Center, U.S. Environmental Protection
Agency Region 5, 77 West Jackson
Boulevard, 7th Floor South, Chicago, IL
60604, (312) 886–0900. Such deliveries
are only accepted during the Docket’s
normal hours of operation, and special
arrangements should be made for
deliveries of boxed information. The
normal business hours are Monday
through Friday, 8 a.m. to 4 p.m.,
excluding Federal holidays.
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:
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U.S. Environmental Protection
Agency, Region 5, Superfund Records
Center, 77 West Jackson Boulevard, 7th
Floor South, Chicago, IL 60604. Phone:
(312) 886–0900. Hours: Monday through
Friday, 8 a.m. to 4 p.m., excluding
Federal holidays.
St. Clairsville Public Library, 108 W
Main Street, St. Clairsville, OH 43950.
Phone: (740) 695–2062. Hours: Monday
through Wednesday, 9 a.m. to 8 p.m.,
Thursday through Friday, 9 a.m. to 6
p.m., Saturday 10 a.m. to 2 p.m.,
Sunday closed.
FOR FURTHER INFORMATION CONTACT:
Randolph Cano, NPL Deletion
Coordinator, U.S. Environmental
Protection Agency Region 5 (ST–6J), 77
West Jackson Boulevard, Chicago, IL
60604, (312) 886–6036, or via email at
cano.randolph@epa.gov.
SUPPLEMENTARY INFORMATION:
Table of Contents
I. Introduction
II. NPL Deletion Criteria
III. Deletion Procedures
IV. Basis for Site Deletion
V. Deletion Action
I. Introduction
EPA Region 5 is publishing this direct
final Notice of Deletion of the Buckeye
Site from the NPL. The NPL constitutes
Appendix B of 40 CFR part 300, which
is the NCP, which EPA promulgated
pursuant to Section 105 of 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 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.
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 Buckeye Site and
demonstrates how it meets the deletion
criteria. Section V discusses EPA’s
action to delete the Buckeye Site from
the NPL unless adverse comments are
received during the public comment
period.
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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, 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 Buckeye Site:
(1) EPA consulted with Ohio prior to
developing this direct final Notice of
Deletion and the Notice of Intent to
Delete co-published today in the
‘‘Proposed Rules’’ section of the Federal
Register.
(2) EPA has provided Ohio 30
working days for review of this notice
and the parallel Notice of Intent to
Delete prior to their publication today,
and Ohio, through the OEPA, has
concurred on the deletion of the
Buckeye Site from the NPL.
(3) Concurrently with the publication
of this direct final Notice of Deletion, an
advertisement of the availability of the
parallel Notice of Intent to Delete is
being published in a major local
newspaper, The Times-Leader. The
newspaper advertisement announces
the 30-day public comment period
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concerning the Notice of Intent to Delete
the Buckeye Site from the NPL.
(4) 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 Buckeye
Site information repositories identified
above.
(5) If adverse comments are received
within the 30-day public comment
period on this deletion action, EPA will
publish a timely notice of withdrawal of
this direct final Notice of Deletion
before its effective date and will prepare
a response to comments and continue
with the deletion process on the basis of
the Notice of Intent to Delete and the
comments already received.
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 Site Deletion
The following information provides
EPA’s rationale for deleting the Buckeye
Site from the NPL:
Site Background and History
The Buckeye Site (CERCLIS ID:
OHD980509657) is located
approximately 4 miles southeast of the
City of St. Clairsville and 1.2 miles
south of Interstate 70 in Belmont
County, Ohio. The northeast corner of
the Buckeye Site is bordered by
Interstate 470, which is located about
3,000 feet north of the landfill.
The Buckeye Site occupies
approximately 100 acres of land
surrounded by a chain link fence. The
Buckeye Site extends approximately
0.70 miles from north to south and
varies from 500 to 1,000 feet wide (see
Figure 1 in the Docket). Access is
provided by a road located at the north
entrance of the Buckeye Site.
The Buckeye Site is situated in the
Kings Run drainage ravine and is
bordered by Kings Run to the east and
an unnamed stream to the west. Kings
Run flows to the south and empties into
Little McMahon Creek. The property
surrounding the Buckeye Site to the east
and west is hilly and mostly forested.
Farmland and a strip mine are located
west of the property. The land to the
south is forested with steep slopes
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cleared for industrial use along the
stream valleys and roadways. An
environmental transfer station and
additional farmland extend to the north
and northeast of the Buckeye Site.
The groundwater at the Buckeye Site
is not being used as a source of drinking
water, and the Belmont County Water
and Sewer District supplies the nearest
neighborhood with drinking water.
Residents closest to the Buckeye Site,
including a nearby resident downstream
of Kings Run, obtain drinking water
from the county and not private wells.
The Buckeye Site was used for deep
underground coal mining activities until
the early 1950s. In 1971, the Belmont
County Health Department licensed the
Buckeye Site for use as a municipal
solid waste landfill. The landfill was
operated by the Ohio Resources
Corporation under the name of Buckeye
Reclamation Company.
The landfill accepted municipal solid
waste, as well as industrial sludge and
liquids, most of which were received
between 1976 and 1979. The industrial
wastes were disposed in a 50-acre waste
pit located in the northern section of the
landfill.
EPA and OEPA began investigating
the Buckeye Site in the 1980s to
determine whether the landfill posed a
potential risk to public health and the
environment. EPA and OEPA identified
12 contaminants of concern (COCs) in
the waste pit, soil, leachate,
groundwater, and surface water. These
COCs accounted for the majority of the
health-based risk posed by the Buckeye
Site. The COCs included the inorganic
contaminants arsenic, beryllium, lead,
cadmium, chromium, and nickel. The
organic COCs were benzene,
trichloroethene, carbon tetrachloride,
1,1-dichloroethene, polycyclic aromatic
hydrocarbons, and toluene.
EPA proposed the Buckeye Site to the
NPL on December 30, 1982 (47 FR
58476). EPA finalized the NPL listing
for the Buckeye Site on September 8,
1983 (48 FR 40658).
Current use of the 91.1-acre landfill
area and an additional 349.6 acres of
surrounding property affected by the
landfill is restricted by an Ohio Uniform
Environmental Covenants Act (UECA)
restrictive covenant. The restrictive
covenant applies to four parcels of land
(see Figure 3 in the Docket). The
covenant prohibits drilling, digging, and
construction on the parcels; restricts
parcel use to commercial/industrial
uses; and prohibits the consumption of
groundwater. The neighborhood closest
to the Buckeye Site is supplied with
drinking water by the Belmont County
Water and Sewer District.
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Remedial Investigation (RI)/Feasibility
Study (FS)
EPA identified several potentially
responsible parties (PRPs) for the
landfill including the landfill operator
and several waste generators. In 1985, a
group of the PRPs agreed to conduct a
remedial investigation and feasibility
study (RI/FS) at the Buckeye Site
pursuant to an administrative order on
consent. The purpose of the RI/FS was
to define the nature and extent of the
contamination at the landfill, assess
risks, and evaluate cleanup alternatives.
The PRPs investigated the
contaminant source area (the landfill),
soil, surface water, sediment, leachate,
groundwater, and air. The RI found
various levels of carcinogenic and
noncarcinogenic chemicals in all media
sampled, except air. The RI indicated
that there were three sources of
contamination at the Buckeye Site: (1)
Industrial waste disposed in or around
the waste pit, (2) solid waste disposed
in the general landfill area, and (3) coal
mine refuse placed in the area before
landfilling operations began. The PRPs
completed the RI in 1989.
The PRPs conducted an
endangerment assessment (EA) to
determine the extent of the threat to
public health and the environment
posed by the Buckeye Site under
present and future conditions, and to
determine which aspects of the Buckeye
Site warranted remediation. The PRPs
submitted a draft EA Report in 1989.
EPA and OEPA had a significant
number of comments on the EA Report
and did not approve the report. EPA
retained a contractor to address EPA’s
and OEPA’s comments on the draft EA
Report. EPA’s contractor completed a
final EA Report in 1990.
The EA Report concluded that three
significant exposure and contaminant
routes existed at the Buckeye Site.
These routes were: (1) Dermal contact,
inhalation and ingestion of surface soils,
(2) migration of contaminants from
surface and subsurface soils into
groundwater and surface water, and (3)
ingestion of contaminated groundwater
and surface water.
The EA indicated that the Buckeye
Site posed an unacceptable cancer risk
to current adult and adolescent dirt-bike
riders at the landfill. The unacceptable
cancer risks were primarily due to dust
inhalation and ranged from 3.76 × 10¥4
to 1.05 × 10¥3 for average and
maximum chemical concentrations. The
EA did not identify any noncancer risks
under the current exposure scenario, or
any cancer or noncancer risks to current
off-site well users.
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The EA identified unacceptable
cancer and noncancer risks to future
residents at the Buckeye Site under a
potential future residential scenario.
The risks were due to exposure to
contaminated soil, groundwater and
surface water. The cancer risks for
potential future residential exposure
ranged from 6.53 × 10¥3 for average
chemical concentrations to 1.48 × 10¥2
for maximum chemical concentrations.
The estimated noncancer risks for
potential future residential exposure
were a hazard index (HI) of 7.81 to 21.3
assuming average and maximum
chemical concentrations. EPA generally
considers a cancer risk greater than 1 ×
10¥4 or an HI greater than 1 as an
unacceptable risk which may require
action.
The RI showed that most of the
groundwater underlying the Buckeye
Site migrates laterally into the coal mine
refuse at the Buckeye Site and is
discharged as leachate to Kings Run.
This means that most of the
groundwater at the Buckeye Site
becomes surface water before leaving
the property. Therefore, EPA and OEPA
determined that groundwater and
surface water could be treated under a
single remedial action objective (RAO).
The PRPs conducted a
macroinvertebrate population survey
and a fish population survey as part of
the EA. The survey documented that the
Buckeye Site was impacting nearby
streams and stream beds. Where
organisms were present at all, the
communities were dominated by
pollution-tolerant species. The
monitoring data, however, was not able
to distinguish between environmental
impacts due to the waste disposal
practices at the landfill or to the acid
mine drainage from past mining
operations at the Buckeye Site.
The PRPs completed an FS to develop
and evaluate cleanup alternatives to
address the unacceptable risks posed by
the Buckeye Site in 1990. The FS
evaluated five cleanup alternatives: No
action; hazardous waste landfill cap and
groundwater and surface water
collection with chemical treatment;
hazardous waste landfill cap and
groundwater and surface water
collection with wetlands treatment;
solid waste landfill cap and
groundwater and surface water
collection with chemical treatment; and
solid waste landfill cap and
groundwater and surface water
collection with wetlands treatment.
Selected Remedy
EPA selected a cleanup remedy for
the Buckeye Site in an August 19, 1991
Record of Decision (ROD). EPA’s RAO
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for the cleanup is to protect public
health and the environment from
contaminants in surface and subsurface
soil, groundwater and surface water at
the Buckeye Site by: (1) Limiting direct
physical contact with contaminated
soils to reduce the threat of dermal
contact, inhalation, and ingestion; and
(2) Restoring the groundwater and
surface water to a useful, less
threatening state by reducing the levels
of contamination.
EPA selected Alternative 4B as the
cleanup remedy. Alternative 4B
involves the following remedial
components: (1) Solid waste landfill
cap; (2) Institutional controls; (3)
Fencing; (4) Groundwater collection; (5)
Surface leachate seep collection; (6)
Groundwater monitoring; (7) Surface
leachate seep monitoring; (8)
Monitoring of Kings Run; and (9)
Groundwater/leachate treatment by
constructed wetlands (Option B). This
option involves constructing a
groundwater/leachate collection system
to intercept leachate, groundwater and
acid mine drainage from the landfilled
area (all of which have low pH values)
and channeling it to the wetlands
treatment system.
During the remedial design (RD)
phase of the project, the PRPs
conducted several predesign studies to
collect additional information to design
and implement the selected remedy.
The PRPs’ predesign studies included
hydrogeologic studies, a landfill cap
study, a constructed wetlands study,
borrow area studies and a slope stability
study.
Based on the results of the predesign
studies, EPA issued modifications to the
selected remedy in a July 17, 1997
Explanation of Significant Differences
(ESD). The remedy modifications
included: (1) A reduction, from 97 to 37
acres, of the area over which a solid
waste landfill cap would be constructed;
(2) Construction of a vegetated soil cap
over an area of 24 acres; (3) Repair of the
existing cap over approximately 29
acres; (4) Modification of the slope of
the cap bordering a portion of Kings
Run; (5) Realignment and lining of
Kings Run; (6) Elimination of the
Northern Impoundment; (7) Deferral of
the groundwater/leachate treatment
system until after cap construction and
monitoring to determine if a treatment
system is required [to be conducted as
Phase II of the remedial action (RA)];
and (8) Modification of the description
of groundwater samples to be used for
determination of background levels in
groundwater.
EPA and 14 PRPs signed a Consent
Decree that became effective on March
17, 1998. The Consent Decree required
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the PRPs to implement the selected
remedy in the 1991 ROD, as modified by
the 1997 ESD. The PRPs conducted the
RA in two phases.
During the Phase I RA, the PRPs
implemented all aspects of the selected
remedy except the deferred
groundwater/leachate wetlands
treatment system. The PRPs also
conducted four rounds of quarterly
groundwater, surface water and leachate
monitoring. Based on the monitoring
data, EPA issued a second ESD for the
Buckeye Site on August 15, 2003. The
2003 ESD documented the following
decisions and additional changes to the
remedy:
(1) The low pH values in surface
water and leachate are directly related
to acid mine drainage and are
considered background;
(2) The flows from Kings Run and the
landfill leachate collection system will
be combined for off-site discharge to
Little McMahon Creek;
(3) The Ohio criteria, as modified by
the Ohio Revised Code Chapter 6111
Water Pollution Control Act, reflect the
current OEPA risk and ecological
information and these changes in
general improve the quality of surface
waters in Ohio. These new criteria
replace the ‘‘Final Effluent Limitations
and Monitoring Requirements for the
Buckeye Site provided in Sections A.1
and A.2 of ROD Attachment A;
(4) Monitoring of the combined flow
will be conducted monthly at a location
downgradient of the combined flows,
for two years starting in February 2004.
At the end of two years the data will be
evaluated, and the monitoring
requirements reviewed. If the discharge
standards are not met during or at the
end of the two-year monitoring period,
the provisions for surface water
treatment will be revisited; and
(5) No additional groundwater/
leachate collection mechanisms will be
required.
EPA issued a third ESD for the
Buckeye Site on September 16, 2011.
The 2011 ESD documents EPA’s
decision, based on seven years of
monitoring data and other information,
that it was necessary to construct the
treatment wetlands to treat the
groundwater/leachate at the Buckeye
Site. The 2011 ESD also documented a
significant change in the design and
operation and maintenance (O&M)
requirements of the treatment wetlands
compared to the ROD’s description of
this component of the remedy.
Based on the post-ROD monitoring
data, the 2011 ESD modified the total
size and cell composition of the
wetlands to reflect the actual treatment
necessary to address current Buckeye
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Site conditions. The 2011 ESD also
allows for future changes to wetlands
performance monitoring frequency and/
or monitoring parameters as approved
by EPA.
Remedy Implementation
The PRPs began the Phase I RA
construction work in April 1999. EPA
and OEPA conducted a pre-final
inspection on August 29, 2001, and a
final inspection on September 27, 2001.
During the final inspection EPA and
OEPA determined that the PRPs
constructed the remedy in accordance
with the Phase I RD plans and
specifications.
The Phase I RA construction work
included the following: (1) Construction
of a solid waste landfill cap over
approximately 37 acres with a passive
landfill gas collection and venting
system; (2) Construction of a vegetated
cap over approximately 24 acres; (3)
Repair of existing cover where necessary
over approximately 29 acres; (4)
Realignment and lining of Kings Run;
(5) Elimination of the Northern
Impoundment; (6) Installation of surface
water management structures; (7)
Construction of access roads; (8)
Installation of perimeter fencing; and (9)
Installation of groundwater/leachate
seep collection boxes, a French drain,
and a groundwater/leachate transport
pipe.
EPA signed a Preliminary Close Out
Report (PCOR) on May 14, 2003
documenting that the RA construction
at the Buckeye Site was complete. The
completion of the Phase I RA and
documentation of the Phase I RA
Construction Quality Control/Quality
Assurance Program is provided in the
PRPs’ November 7, 2001 Phase I
Remedial Action Construction
Completion Report.
Based on the quarterly leachate
monitoring data available at the time of
the PCOR, EPA believed that the Phase
II RA work was not required. Additional
monitoring conducted subsequent to the
PCOR, however, indicated that the
Phase II RA work was needed, which
EPA documented in the 2011 ESD.
The PRPs initiated the Phase II RA
construction work on September 12,
2011. The Phase II RA involved
constructing the treatment wetlands for
the collected groundwater and leachate.
EPA approved the PRPs’ wetlands
design plans in September 2011. The
PRPs substantially completed the Phase
II RA construction work by November
14, 2011.
The treatment wetlands system is
designed to capture the flow from the
Groundwater/Leachate Transport Pipe,
Kings Run French Drain, Seep L–4, and
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Seep A and treat the water in two
wetland cells. The cells are partially
lined with limestone and the collected
groundwater/leachate flows from one
treatment cell to the other via gravity
flow. The treated water then discharges
into the existing principal spillway and
into Kings Run, which discharges into
Little McMahon Creek. The Phase II RA
also included the construction of
planting shelves and discharge and
outfall structures. See Figure 2 in the
Docket.
The objective of the treatment system
is to raise the pH of the collected water,
reduce the concentrations of COCs to
acceptable levels prior to discharge, and
meet the surface water discharge limits
in Attachment B of the 2003 ESD. In
addition, the wetlands system uses
passive aeration and pH-adjustment to
precipitate and remove dissolved iron
and other metals from the groundwater/
leachate, resulting in a reduction of the
orange/red color and iron precipitate
embedment observed in Kings Run.
Documentation of the PRPs’ Phase II
RA and Phase II Construction Quality
Control/Quality Assurance Program is
provided in the PRPs’ June 20, 2012
Phase II Remedial Action Construction
Completion Report.
Cleanup Levels
The remedy for the landfill materials
and contaminated soil at the Buckeye
Site is a containment remedy; therefore,
the 1991 ROD does not establish
cleanup levels for the landfill materials
or soil.
The contaminated groundwater/
leachate at the Buckeye Site is
addressed by the constructed wetlands
collection and treatment system. The
1991 ROD did not establish specific
quantitative performance criteria for
groundwater/leachate treatment.
Instead, the ROD included final effluent
limitations and monitoring
requirements for the discharge of the
treated groundwater and leachate to
Little McMahon Creek.
EPA updated the discharge
requirements for the Buckeye Site in the
2003 ESD (see Attachment B of the 2003
ESD, ESD Limits and Monitoring
Requirements for Buckeye Reclamation
Landfill Authorized Discharges, in the
Docket). The updated discharge
requirements are based on the
regulations in the Ohio Revised Code
Chapter 6111 Water Pollution Control
Act and apply to the combined flow
from Kings Run and the landfill
groundwater/leachate wetlands
treatment system at location KR–2, prior
to discharging to Little McMahon Creek
(see Figure 2 in the Docket).
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EPA issued a third ESD, which
addressed discharge requirements, in
2011. The 2011 ESD allows for future
changes to the monitoring frequency
and/or monitoring parameters if
approved in writing by EPA. In 2014, as
allowed by the 2011 ESD, EPA approved
a reduction in the monitoring frequency
for KR–2, from monthly to every two
months.
Wetland and surface water monitoring
data collected by the PRPs from
December 2011 to December 2016
indicate that the wetlands are generally
operating in accordance with the 2011
Engineering Design objectives. The key
wetlands design objective is 20 to 40
percent iron removal, and the wetlands
are typically achieving a 50 to 60
percent iron removal. Frequent low-pH
values are detected in the wetlands
discharge during periods of low flow
and are most likely due to iron
hydroxide precipitation/accumulation
coupled with the influence of less
buffering and retention capacity in
wetlands treatment Cell #2. In 2015, the
PRPs augmented the wetlands with
additional limestone to mitigate this
effect.
The surface water monitoring data
collected downstream from the
constructed wetlands at location KR–2
have demonstrated ongoing compliance
with the discharge limits except for low
pH and occasional exceedances of
Whole Effluent Toxicity (WET) test
limits. Similar to the pH values found
in the wetlands samples, low pH values
in the surface water samples tend to
correspond with periods of low flow
and low precipitation. Overall,
discharge water quality has improved
since the construction of the treatment
wetlands system, as demonstrated by an
overall improvement in the WET test
results and the removal of significant
amounts of iron (approximately 20 tons
per year), indicating that the system is
working effectively.
Additional information concerning
the wetlands and surface water
monitoring data is available in the 2018
6th Annual Wetland/SWCMP Report in
the Docket.
Although there are no cleanup
standards for groundwater, the PRPs
conduct semiannual long-term
groundwater monitoring at the Buckeye
Site in accordance with the January
2004 Phase I RA O&M Plan.
Approximately 32 rounds of
groundwater monitoring data have been
collected at the Buckeye Site since the
Phase I RA construction work was
completed in 2001.
The groundwater monitoring well
network consists of 15 monitoring wells
in the three hydrogeologic units of
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concern at the Buckeye Site: The
Unconsolidated Materials/Mine Refuse
unit, the Benwood Limestone unit, and
the Redstone Limestone unit (see Figure
1.1 in the Docket). The groundwater
monitoring indicates that a few organic
compounds continue to be very
infrequently detected at low estimated
concentrations that do not exceed
Maximum Contaminant Levels (MCLs).
Arsenic continues to be detected above
MCLs in a groundwater monitoring well
installed in the Unconsolidated
Materials/Mine Refuse unit, but was not
detected in any of the other
groundwater monitoring wells or
hydrogeological units. A few other
metals and general chemistry
parameters are also present at levels
above secondary MCLs. See Figures 2.1
to 2.3 and Table 1.1 in the Docket.
The primary COCs identified at
concentrations above MCLs and/or
above background values in all three
hydrogeological units at the Buckeye
Site are: Sulfate, iron, chloride,
manganese, total dissolved soils, and
di(2-ethylhexyl) phthalate. These COCs
have only secondary MCLs. Arsenic is
present at concentrations above the
MCL, but only in one well located in the
Unconsolidated Materials/Mine Refuse
unit.
The concentrations of the
groundwater constituents decrease to
below detection limits before moving
beyond the Buckeye Site boundaries. In
addition, the concentrations of the
significant groundwater constituents at
the Buckeye Site have been relatively
stable over the past eight years.
Groundwater at the Buckeye Site is not
used as a source of drinking water, and
the closest neighborhood is supplied
with water from the Belmont County
Water and Sewer District.
The most recent groundwater
monitoring results for the Buckeye Site
are available in the 2019 Groundwater
Monitoring Program Report, Year 17,
Round 2, in the Docket.
On December 1, 2017, EPA’s Office of
Superfund Remediation and Technology
Innovation (OSRTI) and Region 5 held
a conference call to discuss the proposal
for Per- and Polyfluoroalkyl Substances
(PFAS) sampling at the Buckeye Site
prior to proposing the Buckeye Site for
deletion from the NPL. Based on the
waste that was deposited at the Buckeye
Site and the length of time that the
landfill was open, OSRTI concurred that
sampling was warranted to determine
whether PFAS is present.
On June 5, 2018, EPA approved the
PRPs’ Quality Assurance Project Plan
(QAPP), Per- and Polyfluoroalkyl
Substances Amendment, Revision No. 5.
In July 2018, with EPA field oversight,
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the PRPs collected samples for PFAS
analysis from the complete network of
15 groundwater monitoring wells
(shown on Figure 4 in the Docket) and
from three surface water monitoring
locations (KR–1, KR–2 and KR–3,
shown on Figure 2 in the Docket). The
PRPs submitted the samples to
TestAmerica Laboratories, Inc. to run
analytical method EPA 537 Modified.
EPA collected split samples at each
sample location and submitted the
samples to its Chicago Regional Lab
(CRL) to run CRL Standard Operating
Procedure OM021, which references
American Society for Testing and
Materials Method 7979.
Because many materials potentially
can contain PFAS, a conservative PFAS
sampling protocol was implemented to
avoid cross-contamination. It is
important to note that at the time of the
PFAS sampling, there were no EPAapproved methods for the preparation
and analysis of PFAS samples in media
other than drinking water. (EPA’s
approved method for PFAS in drinking
water is EPA Method 537.) The
groundwater and surface water that was
sampled is not drinking water.
Review of the two data sets, the PRPs’
and EPA’s, indicate comparable results
with no major differences or significant
data issues. The majority of the EPA
sample results for the sum of the
concentrations for two main PFAS
substances, perfluorooctanoic acid
(PFOA) and perfluorooctane sulfonate
(PFOS), were non-detect, while the
PRPs’ sample results had more
detections. In both cases, the sums of
the concentrations of PFOA and PFOS
for EPA’s and the PRPs’ individual
samples, were well below 70 nanograms
per liter (ng/L) (equivalent to 70 parts
per trillion), which is EPA’s nonregulatory lifetime Health Advisory for
drinking water.
The maximum concentration of the
sum of PFOA/PFOS detected in EPA’s
groundwater samples was 12.8 ng/L.
The maximum concentration of the sum
of PFOA/PFOS detected in the PRPs’
groundwater samples was 16.8 ng/L.
EPA’s surface water results at surface
water sampling locations KR–3
(upstream of the Buckeye Site) and KR–
1 (adjacent to the Buckeye Site) for the
sum of PFOA/PFOS were non-detect.
EPA’s surface water sampling result for
the sum of PFOA/PFOS at location KR–
2 (downstream of the Buckeye Site) was
11.7 ng/L. The PRPs’ surface water
results for the sum of PFOA/PFOS at the
three surface water sampling locations
were: 5.3 ng/L at KR–3, 6.50 ng/L at KR–
1, and 10.6 ng/L at KR–2.
Based on the PFAS data, EPA believes
that PFAS is not significantly present at
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Federal Register / Vol. 84, No. 147 / Wednesday, July 31, 2019 / Rules and Regulations
the Buckeye Site. Additionally,
groundwater at the Buckeye Site is not
used as a source of drinking water and
the closest residential area to the
Buckeye Site is supplied with water
from the Belmont County Water and
Sewer District. EPA has therefore
concluded that further PFAS
investigation at the Buckeye Site is not
warranted and that the Buckeye Site
remains eligible for NPL deletion.
Operation and Maintenance
The PRPs’ contractor conducts longterm O&M at the Buckeye Site in
accordance with the revised January
2004 O&M Plan for the Phase I RA work
and the June 2012 O&M Plan for the
Phase II RA work (Appendix B of the
2012 Phase II RA and Construction
Completion Report).
The selected remedy does not include
any actively-operating systems. Phase I
O&M activities for the Buckeye Site
address the Phase I remedial
components (e.g., landfill cap, passive
gas collection system components,
channels, roads, fence, etc.) and include
regular inspections, routine and
unscheduled maintenance, quarterly
Buckeye Site inspections, long-term
groundwater monitoring, and annual
explosive gas monitoring and reporting.
Phase II O&M activities for the Buckeye
Site include wetlands performance and
surface water monitoring.
Additional information about the
O&M activities and monitoring results at
the Buckeye Site is available in the
Docket in the 2016 Phase I and II
Remedial Action Post Closure Operation
and Maintenance Inspection Report, the
2018 6th Annual Wetland/SWCMP
Report, and the 2019 Groundwater
Monitoring Program Report, Year 17,
Round 2.
The selected remedy includes
institutional controls (ICs) as a remedy
component. EPA determined that ICs in
the form of proprietary controls were
needed for all properties affected by the
approximately 100-acre landfill cap at
the Buckeye Site. The proprietary
control implemented on these parcels is
a Uniform Environmental Covenants
Act (UECA) restrictive covenant. On
February 21, 2013, the property owner
recorded an Environmental Covenant
with the Belmont County Recorder’s
Office, Instrument No. 2013000020080.
Four (4) parcels of real property which
together contain 440.658 acres are
subject to the covenant.
The environmental covenant prohibits
drilling, digging, and construction on
the parcels, restricts parcel use to
commercial/industrial, and prohibits
the consumption of groundwater. A
copy of the environmental covenant is
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19:26 Jul 30, 2019
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provided in the Docket. The covenant is
an effective control to assure long-term
protectiveness for any areas of the
Buckeye Site which do not allow for
unlimited use and unrestricted exposure
(UU/UE).
Long-term stewardship is addressed at
the Buckeye Site through the
implementation of the environmental
covenant, in conjunction with
engineering controls and routine O&M
inspections, to ensure that the remedy
continues to function as intended. The
Buckeye Site achieved EPA’s Site-Wide
Ready for Anticipated Use designation
on May 1, 2013.
Five-Year Review
The Buckeye Site requires statutory
five-year reviews (FYRs) due to the fact
that hazardous substances, pollutants,
or contaminants remain at the Buckeye
Site above levels that allow for UU/UE.
EPA completed the third FYR for the
Buckeye Site in May 2014. The 2014
FYR found that the site-wide remedy is
protective of human health and the
environment. Exposure pathways that
could result in unacceptable risks are
being controlled and monitored. An
environmental covenant is in place and
restricts parcel use that would defeat or
impair the effectiveness of the remedial
measures. The environmental covenant
prohibits drilling, digging, and
construction on the parcels, restricts
parcel use to commercial/industrial
activities, and prohibits the
consumption of groundwater.
The 2014 FYR did not identify any
issues that affect the protectiveness of
the remedy at the Buckeye Site. The
FYR, however, noted that further data
collection and evaluation are needed to
determine the effectiveness of the
constructed wetlands and the
achievement of the design goals over the
long-term.
In 2016, the PRPs addressed the
concerns identified in the 2014 FYR by
removing sediment from the wetland,
replacing the iron-encrusted limestone
in Cell #1 with fresh limestone, and
placing limestone in Cell #2. In 2017,
the PRPs also implemented additional
monitoring to assist in further
evaluating the low pHs observed in the
wetlands discharge and at KR–2 and to
evaluate other wetlands performance
and surface water quality conditions.
Over time, long-term trends for the
constructed wetland will be available
from the continued required monitoring
and reporting, such as the effects of
seasonal weather conditions on the
efficiency of the wetland, the
effectiveness of the wetlands in
adjusting the pH and removing iron
from the collected groundwater/
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37127
leachate, and the impact of the wetlands
system on the water quality of Kings
Run and Little McMahon Creek.
Copies of the 2004, 2009 and 2014
FYR Reports are available in the Docket.
EPA expects to complete the next FYR
for the Buckeye Site in 2019.
Community Involvement
EPA satisfied public participation
activities for the Buckeye Site as
required by Sections 113(k)(2)(B)(i–v)
and 117 of CERCLA, 42 U.S.C.
9613(k)(2)(B)(i–v) and 9617. EPA
established local information
repositories for the Buckeye Site at the
St. Clairsville Public Library in
Clairsville, Ohio and at the Neffs Branch
of the Martins Ferry Public Library in
Neffs, Ohio. EPA maintains a copy of
the administrative record documents for
the Buckeye Site at the local
information repositories and at EPA’s
Region 5 office.
EPA released the FS Report and its
proposed cleanup plan for the Buckeye
Site to the public in May 1991 at the
start of the public comment period. EPA
published newspaper announcements
advertising the proposed cleanup plan
for the Buckeye Site, the 30-day public
comment period, and the availability of
a public meeting, in The Times Leader,
Martins Ferry, Ohio and in The
Intelligencer, in Wheeling, West
Virginia. EPA also mailed a fact sheet
summarizing the proposed cleanup plan
to individuals on the Site mailing list.
EPA and OEPA conducted a public
meeting on May 30, 1991, to explain the
details of the Buckeye Site RI/FS and
proposed cleanup plan, answer
questions from the community, and
accept public comments. A court
reporter was present to record the
meeting. EPA also distributed copies of
the Proposed Plan fact sheet at the
meeting.
EPA received a request for a 10-day
extension to the public comment period
on May 31, 1991. EPA granted the
extension, which ran until June 26,
1991. EPA placed a public notice in The
Intelligencer and The Times Leader
announcing the extension to the public
comment period. EPA responded to the
comments received during the public
comment period in a Responsiveness
Summary attached to the 1991 ROD.
As part of the FYR process, EPA
published advertisements announcing
EPA’s FYRs for the Buckeye Site in the
local newspaper, The Times Leader, on
October 23, 2008 and February 2, 2014.
The newspaper announcements
informed the community about the start
and purpose of the FYRs and invited the
public to submit comments and
concerns about the Buckeye Site to EPA.
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EPA placed copies of the 2004, 2009
and 2014 FYR Reports in the local
information repositories in the St.
Clairsville and Martins Ferry public
libraries, and made them available on
EPA’s website.
EPA arranged to publish an
advertisement announcing the
publication of this rule and the 30-day
public comment period in The Times
Leader concurrent with publishing this
deletion in the Federal Register.
Documents in the deletion docket,
which EPA relied on to support the
deletion of the Buckeye Site from the
NPL, are available to the public at the
Buckeye Site information repositories
and at https://www.regulations.gov.
Determination That the Site Meets the
Criteria for Deletion in the NCP
The June 21, 2019, Final Close Out
Report documents that the PRPs have
successfully implemented all
appropriate response actions at the
Buckeye Site in accordance with the
1991 ROD, the 1997, 2003 and 2011
ESDs, and EPA’s Close Out Procedures
for National Priorities List Sites (OLEM
Directive 9320.2–22, May 2011).
The cleanup actions specified in 1991
ROD and the 1997, 2003 and 2011 ESDs
have been implemented and the
Buckeye Site meets acceptable risk
levels for all media and exposure
pathways. The environmental covenant
and long-term stewardship actions
required at the Buckeye Site are
consistent with EPA policy and
guidance.
The landfill materials and
contaminated soil at the Buckeye Site
are contained with a low-permeability
solid waste cap. Contaminated
groundwater and leachate are collected
and treated by the constructed wetlands
collection and treatment system prior to
discharging to King’s Run and Little
McMahon Creek. Surface water
compliance sampling confirms that the
Buckeye Site is meeting discharge
criteria except for occasional detections
of low pH and exceedances of WET test
limits, which tend to correspond with
periods of low flow and low
precipitation. Overall, the quality of the
discharge water has improved since the
construction of the treatment wetlands
system, as demonstrated by an overall
improvement in the WET test results
and the removal of significant amounts
of iron (approximately 20 tons per year),
indicating that the system is working
effectively.
Routine O&M, groundwater and
surface water monitoring, the
environmental covenant and FYRs
confirm that the Buckeye Site no longer
poses a significant threat to human
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19:44 Jul 30, 2019
Jkt 247001
health or the environment. Therefore,
EPA has determined that no further
Superfund response is necessary at the
Buckeye Site.
The NCP (40 CFR 300.425(e)) states
that a site may be deleted from the NPL
when no further response action is
appropriate. EPA, in consultation with
the State of Ohio, has determined that
all required response actions have been
implemented at the Buckeye Site and
that no further response action is
appropriate.
V. Deletion Action
The EPA, with concurrence of the
State of Ohio through the OEPA, has
determined that all appropriate
response actions under CERCLA, other
than operation and maintenance,
monitoring and five-year reviews, have
been completed at the Buckeye Site.
Therefore, EPA is deleting the Buckeye
Site from the NPL.
Because EPA considers this action to
be noncontroversial and routine, EPA is
taking it without prior publication. This
action will be effective September 30,
2019 unless EPA receives adverse
comments by August 30, 2019. If
adverse comments are received within
the 30-day public comment period, EPA
will publish a timely withdrawal of this
direct final notice of deletion before the
effective date of the deletion, and it will
not take effect. EPA will prepare a
response to comments and continue
with the deletion process on the basis of
the notice of intent to delete and the
comments already received. There will
be no additional opportunity to
comment.
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.
Dated: July 17, 2019.
Cathy Stepp,
Regional Administrator, Region 5.
For the reasons set out in this
document, 40 CFR part 300 is amended
as follows:
PART 300—NATIONAL OIL AND
HAZARDOUS SUBSTANCES
POLLUTION CONTINGENCY PLAN
1. The authority citation for part 300
continues to read as follows:
■
Authority: 33 U.S.C. 1321(d); 42 U.S.C.
9601–9675; 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.
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Appendix B to Part 300—[Amended]
2. Table 1 of Appendix B to part 300
is amended by removing the entry
‘‘OH’’, ‘‘Buckeye Reclamation’’, ‘‘St.
Clairsville’’.
■
[FR Doc. 2019–16197 Filed 7–30–19; 8:45 am]
BILLING CODE 6560–50–P
FEDERAL COMMUNICATIONS
COMMISSION
47 CFR Parts 1, 73 and 74
[AU Docket No. 19–61, GN Docket No. 12–
268, MB Docket No. 16–306; DA 19–477]
Auction of Construction Permits for
Low Power Television and TV
Translator Stations Scheduled for
September 10, 2019; Notice and Filing
Requirements, Minimum Opening Bids,
Upfront Payments, and Other
Procedures for Auction 104
Federal Communications
Commission.
ACTION: Final action; requirements and
procedures.
AGENCY:
This document summarizes
the procedures, terms and conditions,
together with the upfront payment
amounts and minimum opening bid
amounts, for an upcoming auction of
construction permits for low power
television station (LPTV) and TV
translator stations. The Public Notice
summarized here also provides an
overview of the post-auction application
and payment processes governing
Auction 104.
DATES: Applications to participate in
Auction 104 were required to be
submitted prior to 6 p.m. Eastern Time
(ET) on July 22, 2019. Upfront payments
for Auction 104 must be received by 6
p.m. ET on August 14, 2019. Bidding in
Auction 104 is scheduled to start on
September 10, 2019.
FOR FURTHER INFORMATION CONTACT: For
auction legal questions, Lynne Milne in
the Office of Economics and Analytics’
Auctions Division at (202) 418–0660.
For auction process and procedures, the
Auctions Hotline at (717) 338–2868. For
LPTV and translator station service
questions, Shaun Maher or Hossein
Hashemzadeh in the Media Bureau’s
Video Division at (202) 418–1600. To
request materials in accessible formats
(Braille, large print, electronic files, or
audio format) for people with
disabilities, send an email to fcc504@
fcc.gov or call the Consumer and
Governmental Affairs Bureau at (202)
418–0530 or (202) 418–0432 (TTY).
SUPPLEMENTARY INFORMATION: This is a
summary of the Auction 104 Procedures
SUMMARY:
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Agencies
[Federal Register Volume 84, Number 147 (Wednesday, July 31, 2019)]
[Rules and Regulations]
[Pages 37122-37128]
From the Federal Register Online via the Government Publishing Office [www.gpo.gov]
[FR Doc No: 2019-16197]
-----------------------------------------------------------------------
ENVIRONMENTAL PROTECTION AGENCY
40 CFR Part 300
[EPA-HQ-SFUND-1983-0002; FRL-9997-54-Region 5]
National Oil and Hazardous Substances Pollution Contingency Plan;
National Priorities List: Deletion of the Buckeye Reclamation Landfill
Superfund Site
AGENCY: Environmental Protection Agency (EPA).
ACTION: Direct final rule.
-----------------------------------------------------------------------
SUMMARY: The Environmental Protection Agency (EPA) Region 5 is
publishing a direct final Notice of Deletion of the Buckeye Reclamation
Landfill Superfund Site (Buckeye Site), located in St. Clairsville,
Ohio from the National Priorities List (NPL). 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). This direct final deletion is being published
by EPA with the concurrence of the State of Ohio (Ohio), through the
Ohio Environmental Protection Agency (OEPA), because EPA has determined
that all appropriate response actions under CERCLA, other than
operation and maintenance, monitoring and five-year reviews, have been
completed. However, this deletion does not preclude future actions
under Superfund.
DATES: This direct final deletion is effective September 30, 2019
unless EPA receives adverse comments by August 30, 2019. If adverse
comments are received, EPA will publish a timely withdrawal of the
direct final deletion in the Federal Register informing the public that
the deletion will not take effect.
ADDRESSES: Submit your comments, identified by Docket ID No. EPA-HQ-
SFUND-1983-0002 by one of the following methods:
https://www.regulations.gov. Follow the on-line instructions for
submitting comments. Once submitted, comments cannot be edited or
removed from Regulations.gov. 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. 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: Randolph Cano, NPL Deletion Coordinator, U.S. Environmental
Protection Agency Region 5 (ST-6J), 77 West Jackson Boulevard, Chicago,
IL 60604, (312) 886-6036.
Hand deliver: Superfund Records Center, U.S. Environmental
Protection Agency Region 5, 77 West Jackson Boulevard, 7th Floor South,
Chicago, IL 60604, (312) 886-0900. Such deliveries are only accepted
during the Docket's normal hours of operation, and special arrangements
should be made for deliveries of boxed information. The normal business
hours are Monday through Friday, 8 a.m. to 4 p.m., excluding Federal
holidays.
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:
U.S. Environmental Protection Agency, Region 5, Superfund Records
Center, 77 West Jackson Boulevard, 7th Floor South, Chicago, IL 60604.
Phone: (312) 886-0900. Hours: Monday through Friday, 8 a.m. to 4 p.m.,
excluding Federal holidays.
St. Clairsville Public Library, 108 W Main Street, St. Clairsville,
OH 43950. Phone: (740) 695-2062. Hours: Monday through Wednesday, 9
a.m. to 8 p.m., Thursday through Friday, 9 a.m. to 6 p.m., Saturday 10
a.m. to 2 p.m., Sunday closed.
FOR FURTHER INFORMATION CONTACT: Randolph Cano, NPL Deletion
Coordinator, U.S. Environmental Protection Agency Region 5 (ST-6J), 77
West Jackson Boulevard, Chicago, IL 60604, (312) 886-6036, or via email
at [email protected].
SUPPLEMENTARY INFORMATION:
Table of Contents
I. Introduction
II. NPL Deletion Criteria
III. Deletion Procedures
IV. Basis for Site Deletion
V. Deletion Action
I. Introduction
EPA Region 5 is publishing this direct final Notice of Deletion of
the Buckeye Site from the NPL. The NPL constitutes Appendix B of 40 CFR
part 300, which is the NCP, which EPA promulgated pursuant to Section
105 of 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 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.
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 Buckeye Site and demonstrates
how it meets the deletion criteria. Section V discusses EPA's action to
delete the Buckeye Site from the NPL unless adverse comments are
received during the public comment period.
[[Page 37123]]
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,
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 Buckeye Site:
(1) EPA consulted with Ohio prior to developing this direct final
Notice of Deletion and the Notice of Intent to Delete co-published
today in the ``Proposed Rules'' section of the Federal Register.
(2) EPA has provided Ohio 30 working days for review of this notice
and the parallel Notice of Intent to Delete prior to their publication
today, and Ohio, through the OEPA, has concurred on the deletion of the
Buckeye Site from the NPL.
(3) Concurrently with the publication of this direct final Notice
of Deletion, an advertisement of the availability of the parallel
Notice of Intent to Delete is being published in a major local
newspaper, The Times-Leader. The newspaper advertisement announces the
30-day public comment period concerning the Notice of Intent to Delete
the Buckeye Site from the NPL.
(4) 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 Buckeye Site information
repositories identified above.
(5) If adverse comments are received within the 30-day public
comment period on this deletion action, EPA will publish a timely
notice of withdrawal of this direct final Notice of Deletion before its
effective date and will prepare a response to comments and continue
with the deletion process on the basis of the Notice of Intent to
Delete and the comments already received.
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 Site Deletion
The following information provides EPA's rationale for deleting the
Buckeye Site from the NPL:
Site Background and History
The Buckeye Site (CERCLIS ID: OHD980509657) is located
approximately 4 miles southeast of the City of St. Clairsville and 1.2
miles south of Interstate 70 in Belmont County, Ohio. The northeast
corner of the Buckeye Site is bordered by Interstate 470, which is
located about 3,000 feet north of the landfill.
The Buckeye Site occupies approximately 100 acres of land
surrounded by a chain link fence. The Buckeye Site extends
approximately 0.70 miles from north to south and varies from 500 to
1,000 feet wide (see Figure 1 in the Docket). Access is provided by a
road located at the north entrance of the Buckeye Site.
The Buckeye Site is situated in the Kings Run drainage ravine and
is bordered by Kings Run to the east and an unnamed stream to the west.
Kings Run flows to the south and empties into Little McMahon Creek. The
property surrounding the Buckeye Site to the east and west is hilly and
mostly forested. Farmland and a strip mine are located west of the
property. The land to the south is forested with steep slopes cleared
for industrial use along the stream valleys and roadways. An
environmental transfer station and additional farmland extend to the
north and northeast of the Buckeye Site.
The groundwater at the Buckeye Site is not being used as a source
of drinking water, and the Belmont County Water and Sewer District
supplies the nearest neighborhood with drinking water. Residents
closest to the Buckeye Site, including a nearby resident downstream of
Kings Run, obtain drinking water from the county and not private wells.
The Buckeye Site was used for deep underground coal mining
activities until the early 1950s. In 1971, the Belmont County Health
Department licensed the Buckeye Site for use as a municipal solid waste
landfill. The landfill was operated by the Ohio Resources Corporation
under the name of Buckeye Reclamation Company.
The landfill accepted municipal solid waste, as well as industrial
sludge and liquids, most of which were received between 1976 and 1979.
The industrial wastes were disposed in a 50-acre waste pit located in
the northern section of the landfill.
EPA and OEPA began investigating the Buckeye Site in the 1980s to
determine whether the landfill posed a potential risk to public health
and the environment. EPA and OEPA identified 12 contaminants of concern
(COCs) in the waste pit, soil, leachate, groundwater, and surface
water. These COCs accounted for the majority of the health-based risk
posed by the Buckeye Site. The COCs included the inorganic contaminants
arsenic, beryllium, lead, cadmium, chromium, and nickel. The organic
COCs were benzene, trichloroethene, carbon tetrachloride, 1,1-
dichloroethene, polycyclic aromatic hydrocarbons, and toluene.
EPA proposed the Buckeye Site to the NPL on December 30, 1982 (47
FR 58476). EPA finalized the NPL listing for the Buckeye Site on
September 8, 1983 (48 FR 40658).
Current use of the 91.1-acre landfill area and an additional 349.6
acres of surrounding property affected by the landfill is restricted by
an Ohio Uniform Environmental Covenants Act (UECA) restrictive
covenant. The restrictive covenant applies to four parcels of land (see
Figure 3 in the Docket). The covenant prohibits drilling, digging, and
construction on the parcels; restricts parcel use to commercial/
industrial uses; and prohibits the consumption of groundwater. The
neighborhood closest to the Buckeye Site is supplied with drinking
water by the Belmont County Water and Sewer District.
[[Page 37124]]
Remedial Investigation (RI)/Feasibility Study (FS)
EPA identified several potentially responsible parties (PRPs) for
the landfill including the landfill operator and several waste
generators. In 1985, a group of the PRPs agreed to conduct a remedial
investigation and feasibility study (RI/FS) at the Buckeye Site
pursuant to an administrative order on consent. The purpose of the RI/
FS was to define the nature and extent of the contamination at the
landfill, assess risks, and evaluate cleanup alternatives.
The PRPs investigated the contaminant source area (the landfill),
soil, surface water, sediment, leachate, groundwater, and air. The RI
found various levels of carcinogenic and noncarcinogenic chemicals in
all media sampled, except air. The RI indicated that there were three
sources of contamination at the Buckeye Site: (1) Industrial waste
disposed in or around the waste pit, (2) solid waste disposed in the
general landfill area, and (3) coal mine refuse placed in the area
before landfilling operations began. The PRPs completed the RI in 1989.
The PRPs conducted an endangerment assessment (EA) to determine the
extent of the threat to public health and the environment posed by the
Buckeye Site under present and future conditions, and to determine
which aspects of the Buckeye Site warranted remediation. The PRPs
submitted a draft EA Report in 1989. EPA and OEPA had a significant
number of comments on the EA Report and did not approve the report. EPA
retained a contractor to address EPA's and OEPA's comments on the draft
EA Report. EPA's contractor completed a final EA Report in 1990.
The EA Report concluded that three significant exposure and
contaminant routes existed at the Buckeye Site. These routes were: (1)
Dermal contact, inhalation and ingestion of surface soils, (2)
migration of contaminants from surface and subsurface soils into
groundwater and surface water, and (3) ingestion of contaminated
groundwater and surface water.
The EA indicated that the Buckeye Site posed an unacceptable cancer
risk to current adult and adolescent dirt-bike riders at the landfill.
The unacceptable cancer risks were primarily due to dust inhalation and
ranged from 3.76 x 10-4 to 1.05 x 10-3 for
average and maximum chemical concentrations. The EA did not identify
any noncancer risks under the current exposure scenario, or any cancer
or noncancer risks to current off-site well users.
The EA identified unacceptable cancer and noncancer risks to future
residents at the Buckeye Site under a potential future residential
scenario. The risks were due to exposure to contaminated soil,
groundwater and surface water. The cancer risks for potential future
residential exposure ranged from 6.53 x 10-3 for average
chemical concentrations to 1.48 x 10-2 for maximum chemical
concentrations. The estimated noncancer risks for potential future
residential exposure were a hazard index (HI) of 7.81 to 21.3 assuming
average and maximum chemical concentrations. EPA generally considers a
cancer risk greater than 1 x 10-4 or an HI greater than 1 as
an unacceptable risk which may require action.
The RI showed that most of the groundwater underlying the Buckeye
Site migrates laterally into the coal mine refuse at the Buckeye Site
and is discharged as leachate to Kings Run. This means that most of the
groundwater at the Buckeye Site becomes surface water before leaving
the property. Therefore, EPA and OEPA determined that groundwater and
surface water could be treated under a single remedial action objective
(RAO).
The PRPs conducted a macroinvertebrate population survey and a fish
population survey as part of the EA. The survey documented that the
Buckeye Site was impacting nearby streams and stream beds. Where
organisms were present at all, the communities were dominated by
pollution-tolerant species. The monitoring data, however, was not able
to distinguish between environmental impacts due to the waste disposal
practices at the landfill or to the acid mine drainage from past mining
operations at the Buckeye Site.
The PRPs completed an FS to develop and evaluate cleanup
alternatives to address the unacceptable risks posed by the Buckeye
Site in 1990. The FS evaluated five cleanup alternatives: No action;
hazardous waste landfill cap and groundwater and surface water
collection with chemical treatment; hazardous waste landfill cap and
groundwater and surface water collection with wetlands treatment; solid
waste landfill cap and groundwater and surface water collection with
chemical treatment; and solid waste landfill cap and groundwater and
surface water collection with wetlands treatment.
Selected Remedy
EPA selected a cleanup remedy for the Buckeye Site in an August 19,
1991 Record of Decision (ROD). EPA's RAO for the cleanup is to protect
public health and the environment from contaminants in surface and
subsurface soil, groundwater and surface water at the Buckeye Site by:
(1) Limiting direct physical contact with contaminated soils to reduce
the threat of dermal contact, inhalation, and ingestion; and (2)
Restoring the groundwater and surface water to a useful, less
threatening state by reducing the levels of contamination.
EPA selected Alternative 4B as the cleanup remedy. Alternative 4B
involves the following remedial components: (1) Solid waste landfill
cap; (2) Institutional controls; (3) Fencing; (4) Groundwater
collection; (5) Surface leachate seep collection; (6) Groundwater
monitoring; (7) Surface leachate seep monitoring; (8) Monitoring of
Kings Run; and (9) Groundwater/leachate treatment by constructed
wetlands (Option B). This option involves constructing a groundwater/
leachate collection system to intercept leachate, groundwater and acid
mine drainage from the landfilled area (all of which have low pH
values) and channeling it to the wetlands treatment system.
During the remedial design (RD) phase of the project, the PRPs
conducted several predesign studies to collect additional information
to design and implement the selected remedy. The PRPs' predesign
studies included hydrogeologic studies, a landfill cap study, a
constructed wetlands study, borrow area studies and a slope stability
study.
Based on the results of the predesign studies, EPA issued
modifications to the selected remedy in a July 17, 1997 Explanation of
Significant Differences (ESD). The remedy modifications included: (1) A
reduction, from 97 to 37 acres, of the area over which a solid waste
landfill cap would be constructed; (2) Construction of a vegetated soil
cap over an area of 24 acres; (3) Repair of the existing cap over
approximately 29 acres; (4) Modification of the slope of the cap
bordering a portion of Kings Run; (5) Realignment and lining of Kings
Run; (6) Elimination of the Northern Impoundment; (7) Deferral of the
groundwater/leachate treatment system until after cap construction and
monitoring to determine if a treatment system is required [to be
conducted as Phase II of the remedial action (RA)]; and (8)
Modification of the description of groundwater samples to be used for
determination of background levels in groundwater.
EPA and 14 PRPs signed a Consent Decree that became effective on
March 17, 1998. The Consent Decree required
[[Page 37125]]
the PRPs to implement the selected remedy in the 1991 ROD, as modified
by the 1997 ESD. The PRPs conducted the RA in two phases.
During the Phase I RA, the PRPs implemented all aspects of the
selected remedy except the deferred groundwater/leachate wetlands
treatment system. The PRPs also conducted four rounds of quarterly
groundwater, surface water and leachate monitoring. Based on the
monitoring data, EPA issued a second ESD for the Buckeye Site on August
15, 2003. The 2003 ESD documented the following decisions and
additional changes to the remedy:
(1) The low pH values in surface water and leachate are directly
related to acid mine drainage and are considered background;
(2) The flows from Kings Run and the landfill leachate collection
system will be combined for off-site discharge to Little McMahon Creek;
(3) The Ohio criteria, as modified by the Ohio Revised Code Chapter
6111 Water Pollution Control Act, reflect the current OEPA risk and
ecological information and these changes in general improve the quality
of surface waters in Ohio. These new criteria replace the ``Final
Effluent Limitations and Monitoring Requirements for the Buckeye Site
provided in Sections A.1 and A.2 of ROD Attachment A;
(4) Monitoring of the combined flow will be conducted monthly at a
location downgradient of the combined flows, for two years starting in
February 2004. At the end of two years the data will be evaluated, and
the monitoring requirements reviewed. If the discharge standards are
not met during or at the end of the two-year monitoring period, the
provisions for surface water treatment will be revisited; and
(5) No additional groundwater/leachate collection mechanisms will
be required.
EPA issued a third ESD for the Buckeye Site on September 16, 2011.
The 2011 ESD documents EPA's decision, based on seven years of
monitoring data and other information, that it was necessary to
construct the treatment wetlands to treat the groundwater/leachate at
the Buckeye Site. The 2011 ESD also documented a significant change in
the design and operation and maintenance (O&M) requirements of the
treatment wetlands compared to the ROD's description of this component
of the remedy.
Based on the post-ROD monitoring data, the 2011 ESD modified the
total size and cell composition of the wetlands to reflect the actual
treatment necessary to address current Buckeye Site conditions. The
2011 ESD also allows for future changes to wetlands performance
monitoring frequency and/or monitoring parameters as approved by EPA.
Remedy Implementation
The PRPs began the Phase I RA construction work in April 1999. EPA
and OEPA conducted a pre-final inspection on August 29, 2001, and a
final inspection on September 27, 2001. During the final inspection EPA
and OEPA determined that the PRPs constructed the remedy in accordance
with the Phase I RD plans and specifications.
The Phase I RA construction work included the following: (1)
Construction of a solid waste landfill cap over approximately 37 acres
with a passive landfill gas collection and venting system; (2)
Construction of a vegetated cap over approximately 24 acres; (3) Repair
of existing cover where necessary over approximately 29 acres; (4)
Realignment and lining of Kings Run; (5) Elimination of the Northern
Impoundment; (6) Installation of surface water management structures;
(7) Construction of access roads; (8) Installation of perimeter
fencing; and (9) Installation of groundwater/leachate seep collection
boxes, a French drain, and a groundwater/leachate transport pipe.
EPA signed a Preliminary Close Out Report (PCOR) on May 14, 2003
documenting that the RA construction at the Buckeye Site was complete.
The completion of the Phase I RA and documentation of the Phase I RA
Construction Quality Control/Quality Assurance Program is provided in
the PRPs' November 7, 2001 Phase I Remedial Action Construction
Completion Report.
Based on the quarterly leachate monitoring data available at the
time of the PCOR, EPA believed that the Phase II RA work was not
required. Additional monitoring conducted subsequent to the PCOR,
however, indicated that the Phase II RA work was needed, which EPA
documented in the 2011 ESD.
The PRPs initiated the Phase II RA construction work on September
12, 2011. The Phase II RA involved constructing the treatment wetlands
for the collected groundwater and leachate. EPA approved the PRPs'
wetlands design plans in September 2011. The PRPs substantially
completed the Phase II RA construction work by November 14, 2011.
The treatment wetlands system is designed to capture the flow from
the Groundwater/Leachate Transport Pipe, Kings Run French Drain, Seep
L-4, and Seep A and treat the water in two wetland cells. The cells are
partially lined with limestone and the collected groundwater/leachate
flows from one treatment cell to the other via gravity flow. The
treated water then discharges into the existing principal spillway and
into Kings Run, which discharges into Little McMahon Creek. The Phase
II RA also included the construction of planting shelves and discharge
and outfall structures. See Figure 2 in the Docket.
The objective of the treatment system is to raise the pH of the
collected water, reduce the concentrations of COCs to acceptable levels
prior to discharge, and meet the surface water discharge limits in
Attachment B of the 2003 ESD. In addition, the wetlands system uses
passive aeration and pH-adjustment to precipitate and remove dissolved
iron and other metals from the groundwater/leachate, resulting in a
reduction of the orange/red color and iron precipitate embedment
observed in Kings Run.
Documentation of the PRPs' Phase II RA and Phase II Construction
Quality Control/Quality Assurance Program is provided in the PRPs' June
20, 2012 Phase II Remedial Action Construction Completion Report.
Cleanup Levels
The remedy for the landfill materials and contaminated soil at the
Buckeye Site is a containment remedy; therefore, the 1991 ROD does not
establish cleanup levels for the landfill materials or soil.
The contaminated groundwater/leachate at the Buckeye Site is
addressed by the constructed wetlands collection and treatment system.
The 1991 ROD did not establish specific quantitative performance
criteria for groundwater/leachate treatment. Instead, the ROD included
final effluent limitations and monitoring requirements for the
discharge of the treated groundwater and leachate to Little McMahon
Creek.
EPA updated the discharge requirements for the Buckeye Site in the
2003 ESD (see Attachment B of the 2003 ESD, ESD Limits and Monitoring
Requirements for Buckeye Reclamation Landfill Authorized Discharges, in
the Docket). The updated discharge requirements are based on the
regulations in the Ohio Revised Code Chapter 6111 Water Pollution
Control Act and apply to the combined flow from Kings Run and the
landfill groundwater/leachate wetlands treatment system at location KR-
2, prior to discharging to Little McMahon Creek (see Figure 2 in the
Docket).
[[Page 37126]]
EPA issued a third ESD, which addressed discharge requirements, in
2011. The 2011 ESD allows for future changes to the monitoring
frequency and/or monitoring parameters if approved in writing by EPA.
In 2014, as allowed by the 2011 ESD, EPA approved a reduction in the
monitoring frequency for KR-2, from monthly to every two months.
Wetland and surface water monitoring data collected by the PRPs
from December 2011 to December 2016 indicate that the wetlands are
generally operating in accordance with the 2011 Engineering Design
objectives. The key wetlands design objective is 20 to 40 percent iron
removal, and the wetlands are typically achieving a 50 to 60 percent
iron removal. Frequent low-pH values are detected in the wetlands
discharge during periods of low flow and are most likely due to iron
hydroxide precipitation/accumulation coupled with the influence of less
buffering and retention capacity in wetlands treatment Cell #2. In
2015, the PRPs augmented the wetlands with additional limestone to
mitigate this effect.
The surface water monitoring data collected downstream from the
constructed wetlands at location KR-2 have demonstrated ongoing
compliance with the discharge limits except for low pH and occasional
exceedances of Whole Effluent Toxicity (WET) test limits. Similar to
the pH values found in the wetlands samples, low pH values in the
surface water samples tend to correspond with periods of low flow and
low precipitation. Overall, discharge water quality has improved since
the construction of the treatment wetlands system, as demonstrated by
an overall improvement in the WET test results and the removal of
significant amounts of iron (approximately 20 tons per year),
indicating that the system is working effectively.
Additional information concerning the wetlands and surface water
monitoring data is available in the 2018 6th Annual Wetland/SWCMP
Report in the Docket.
Although there are no cleanup standards for groundwater, the PRPs
conduct semiannual long-term groundwater monitoring at the Buckeye Site
in accordance with the January 2004 Phase I RA O&M Plan. Approximately
32 rounds of groundwater monitoring data have been collected at the
Buckeye Site since the Phase I RA construction work was completed in
2001.
The groundwater monitoring well network consists of 15 monitoring
wells in the three hydrogeologic units of concern at the Buckeye Site:
The Unconsolidated Materials/Mine Refuse unit, the Benwood Limestone
unit, and the Redstone Limestone unit (see Figure 1.1 in the Docket).
The groundwater monitoring indicates that a few organic compounds
continue to be very infrequently detected at low estimated
concentrations that do not exceed Maximum Contaminant Levels (MCLs).
Arsenic continues to be detected above MCLs in a groundwater monitoring
well installed in the Unconsolidated Materials/Mine Refuse unit, but
was not detected in any of the other groundwater monitoring wells or
hydrogeological units. A few other metals and general chemistry
parameters are also present at levels above secondary MCLs. See Figures
2.1 to 2.3 and Table 1.1 in the Docket.
The primary COCs identified at concentrations above MCLs and/or
above background values in all three hydrogeological units at the
Buckeye Site are: Sulfate, iron, chloride, manganese, total dissolved
soils, and di(2-ethylhexyl) phthalate. These COCs have only secondary
MCLs. Arsenic is present at concentrations above the MCL, but only in
one well located in the Unconsolidated Materials/Mine Refuse unit.
The concentrations of the groundwater constituents decrease to
below detection limits before moving beyond the Buckeye Site
boundaries. In addition, the concentrations of the significant
groundwater constituents at the Buckeye Site have been relatively
stable over the past eight years. Groundwater at the Buckeye Site is
not used as a source of drinking water, and the closest neighborhood is
supplied with water from the Belmont County Water and Sewer District.
The most recent groundwater monitoring results for the Buckeye Site
are available in the 2019 Groundwater Monitoring Program Report, Year
17, Round 2, in the Docket.
On December 1, 2017, EPA's Office of Superfund Remediation and
Technology Innovation (OSRTI) and Region 5 held a conference call to
discuss the proposal for Per- and Polyfluoroalkyl Substances (PFAS)
sampling at the Buckeye Site prior to proposing the Buckeye Site for
deletion from the NPL. Based on the waste that was deposited at the
Buckeye Site and the length of time that the landfill was open, OSRTI
concurred that sampling was warranted to determine whether PFAS is
present.
On June 5, 2018, EPA approved the PRPs' Quality Assurance Project
Plan (QAPP), Per- and Polyfluoroalkyl Substances Amendment, Revision
No. 5. In July 2018, with EPA field oversight, the PRPs collected
samples for PFAS analysis from the complete network of 15 groundwater
monitoring wells (shown on Figure 4 in the Docket) and from three
surface water monitoring locations (KR-1, KR-2 and KR-3, shown on
Figure 2 in the Docket). The PRPs submitted the samples to TestAmerica
Laboratories, Inc. to run analytical method EPA 537 Modified. EPA
collected split samples at each sample location and submitted the
samples to its Chicago Regional Lab (CRL) to run CRL Standard Operating
Procedure OM021, which references American Society for Testing and
Materials Method 7979.
Because many materials potentially can contain PFAS, a conservative
PFAS sampling protocol was implemented to avoid cross-contamination. It
is important to note that at the time of the PFAS sampling, there were
no EPA-approved methods for the preparation and analysis of PFAS
samples in media other than drinking water. (EPA's approved method for
PFAS in drinking water is EPA Method 537.) The groundwater and surface
water that was sampled is not drinking water.
Review of the two data sets, the PRPs' and EPA's, indicate
comparable results with no major differences or significant data
issues. The majority of the EPA sample results for the sum of the
concentrations for two main PFAS substances, perfluorooctanoic acid
(PFOA) and perfluorooctane sulfonate (PFOS), were non-detect, while the
PRPs' sample results had more detections. In both cases, the sums of
the concentrations of PFOA and PFOS for EPA's and the PRPs' individual
samples, were well below 70 nanograms per liter (ng/L) (equivalent to
70 parts per trillion), which is EPA's non-regulatory lifetime Health
Advisory for drinking water.
The maximum concentration of the sum of PFOA/PFOS detected in EPA's
groundwater samples was 12.8 ng/L. The maximum concentration of the sum
of PFOA/PFOS detected in the PRPs' groundwater samples was 16.8 ng/L.
EPA's surface water results at surface water sampling locations KR-
3 (upstream of the Buckeye Site) and KR-1 (adjacent to the Buckeye
Site) for the sum of PFOA/PFOS were non-detect. EPA's surface water
sampling result for the sum of PFOA/PFOS at location KR-2 (downstream
of the Buckeye Site) was 11.7 ng/L. The PRPs' surface water results for
the sum of PFOA/PFOS at the three surface water sampling locations
were: 5.3 ng/L at KR-3, 6.50 ng/L at KR-1, and 10.6 ng/L at KR-2.
Based on the PFAS data, EPA believes that PFAS is not significantly
present at
[[Page 37127]]
the Buckeye Site. Additionally, groundwater at the Buckeye Site is not
used as a source of drinking water and the closest residential area to
the Buckeye Site is supplied with water from the Belmont County Water
and Sewer District. EPA has therefore concluded that further PFAS
investigation at the Buckeye Site is not warranted and that the Buckeye
Site remains eligible for NPL deletion.
Operation and Maintenance
The PRPs' contractor conducts long-term O&M at the Buckeye Site in
accordance with the revised January 2004 O&M Plan for the Phase I RA
work and the June 2012 O&M Plan for the Phase II RA work (Appendix B of
the 2012 Phase II RA and Construction Completion Report).
The selected remedy does not include any actively-operating
systems. Phase I O&M activities for the Buckeye Site address the Phase
I remedial components (e.g., landfill cap, passive gas collection
system components, channels, roads, fence, etc.) and include regular
inspections, routine and unscheduled maintenance, quarterly Buckeye
Site inspections, long-term groundwater monitoring, and annual
explosive gas monitoring and reporting. Phase II O&M activities for the
Buckeye Site include wetlands performance and surface water monitoring.
Additional information about the O&M activities and monitoring
results at the Buckeye Site is available in the Docket in the 2016
Phase I and II Remedial Action Post Closure Operation and Maintenance
Inspection Report, the 2018 6th Annual Wetland/SWCMP Report, and the
2019 Groundwater Monitoring Program Report, Year 17, Round 2.
The selected remedy includes institutional controls (ICs) as a
remedy component. EPA determined that ICs in the form of proprietary
controls were needed for all properties affected by the approximately
100-acre landfill cap at the Buckeye Site. The proprietary control
implemented on these parcels is a Uniform Environmental Covenants Act
(UECA) restrictive covenant. On February 21, 2013, the property owner
recorded an Environmental Covenant with the Belmont County Recorder's
Office, Instrument No. 2013000020080. Four (4) parcels of real property
which together contain 440.658 acres are subject to the covenant.
The environmental covenant prohibits drilling, digging, and
construction on the parcels, restricts parcel use to commercial/
industrial, and prohibits the consumption of groundwater. A copy of the
environmental covenant is provided in the Docket. The covenant is an
effective control to assure long-term protectiveness for any areas of
the Buckeye Site which do not allow for unlimited use and unrestricted
exposure (UU/UE).
Long-term stewardship is addressed at the Buckeye Site through the
implementation of the environmental covenant, in conjunction with
engineering controls and routine O&M inspections, to ensure that the
remedy continues to function as intended. The Buckeye Site achieved
EPA's Site-Wide Ready for Anticipated Use designation on May 1, 2013.
Five-Year Review
The Buckeye Site requires statutory five-year reviews (FYRs) due to
the fact that hazardous substances, pollutants, or contaminants remain
at the Buckeye Site above levels that allow for UU/UE.
EPA completed the third FYR for the Buckeye Site in May 2014. The
2014 FYR found that the site-wide remedy is protective of human health
and the environment. Exposure pathways that could result in
unacceptable risks are being controlled and monitored. An environmental
covenant is in place and restricts parcel use that would defeat or
impair the effectiveness of the remedial measures. The environmental
covenant prohibits drilling, digging, and construction on the parcels,
restricts parcel use to commercial/industrial activities, and prohibits
the consumption of groundwater.
The 2014 FYR did not identify any issues that affect the
protectiveness of the remedy at the Buckeye Site. The FYR, however,
noted that further data collection and evaluation are needed to
determine the effectiveness of the constructed wetlands and the
achievement of the design goals over the long-term.
In 2016, the PRPs addressed the concerns identified in the 2014 FYR
by removing sediment from the wetland, replacing the iron-encrusted
limestone in Cell #1 with fresh limestone, and placing limestone in
Cell #2. In 2017, the PRPs also implemented additional monitoring to
assist in further evaluating the low pHs observed in the wetlands
discharge and at KR-2 and to evaluate other wetlands performance and
surface water quality conditions.
Over time, long-term trends for the constructed wetland will be
available from the continued required monitoring and reporting, such as
the effects of seasonal weather conditions on the efficiency of the
wetland, the effectiveness of the wetlands in adjusting the pH and
removing iron from the collected groundwater/leachate, and the impact
of the wetlands system on the water quality of Kings Run and Little
McMahon Creek.
Copies of the 2004, 2009 and 2014 FYR Reports are available in the
Docket. EPA expects to complete the next FYR for the Buckeye Site in
2019.
Community Involvement
EPA satisfied public participation activities for the Buckeye Site
as required by Sections 113(k)(2)(B)(i-v) and 117 of CERCLA, 42 U.S.C.
9613(k)(2)(B)(i-v) and 9617. EPA established local information
repositories for the Buckeye Site at the St. Clairsville Public Library
in Clairsville, Ohio and at the Neffs Branch of the Martins Ferry
Public Library in Neffs, Ohio. EPA maintains a copy of the
administrative record documents for the Buckeye Site at the local
information repositories and at EPA's Region 5 office.
EPA released the FS Report and its proposed cleanup plan for the
Buckeye Site to the public in May 1991 at the start of the public
comment period. EPA published newspaper announcements advertising the
proposed cleanup plan for the Buckeye Site, the 30-day public comment
period, and the availability of a public meeting, in The Times Leader,
Martins Ferry, Ohio and in The Intelligencer, in Wheeling, West
Virginia. EPA also mailed a fact sheet summarizing the proposed cleanup
plan to individuals on the Site mailing list.
EPA and OEPA conducted a public meeting on May 30, 1991, to explain
the details of the Buckeye Site RI/FS and proposed cleanup plan, answer
questions from the community, and accept public comments. A court
reporter was present to record the meeting. EPA also distributed copies
of the Proposed Plan fact sheet at the meeting.
EPA received a request for a 10-day extension to the public comment
period on May 31, 1991. EPA granted the extension, which ran until June
26, 1991. EPA placed a public notice in The Intelligencer and The Times
Leader announcing the extension to the public comment period. EPA
responded to the comments received during the public comment period in
a Responsiveness Summary attached to the 1991 ROD.
As part of the FYR process, EPA published advertisements announcing
EPA's FYRs for the Buckeye Site in the local newspaper, The Times
Leader, on October 23, 2008 and February 2, 2014. The newspaper
announcements informed the community about the start and purpose of the
FYRs and invited the public to submit comments and concerns about the
Buckeye Site to EPA.
[[Page 37128]]
EPA placed copies of the 2004, 2009 and 2014 FYR Reports in the local
information repositories in the St. Clairsville and Martins Ferry
public libraries, and made them available on EPA's website.
EPA arranged to publish an advertisement announcing the publication
of this rule and the 30-day public comment period in The Times Leader
concurrent with publishing this deletion in the Federal Register.
Documents in the deletion docket, which EPA relied on to support the
deletion of the Buckeye Site from the NPL, are available to the public
at the Buckeye Site information repositories and at https://www.regulations.gov.
Determination That the Site Meets the Criteria for Deletion in the NCP
The June 21, 2019, Final Close Out Report documents that the PRPs
have successfully implemented all appropriate response actions at the
Buckeye Site in accordance with the 1991 ROD, the 1997, 2003 and 2011
ESDs, and EPA's Close Out Procedures for National Priorities List Sites
(OLEM Directive 9320.2-22, May 2011).
The cleanup actions specified in 1991 ROD and the 1997, 2003 and
2011 ESDs have been implemented and the Buckeye Site meets acceptable
risk levels for all media and exposure pathways. The environmental
covenant and long-term stewardship actions required at the Buckeye Site
are consistent with EPA policy and guidance.
The landfill materials and contaminated soil at the Buckeye Site
are contained with a low-permeability solid waste cap. Contaminated
groundwater and leachate are collected and treated by the constructed
wetlands collection and treatment system prior to discharging to King's
Run and Little McMahon Creek. Surface water compliance sampling
confirms that the Buckeye Site is meeting discharge criteria except for
occasional detections of low pH and exceedances of WET test limits,
which tend to correspond with periods of low flow and low
precipitation. Overall, the quality of the discharge water has improved
since the construction of the treatment wetlands system, as
demonstrated by an overall improvement in the WET test results and the
removal of significant amounts of iron (approximately 20 tons per
year), indicating that the system is working effectively.
Routine O&M, groundwater and surface water monitoring, the
environmental covenant and FYRs confirm that the Buckeye Site no longer
poses a significant threat to human health or the environment.
Therefore, EPA has determined that no further Superfund response is
necessary at the Buckeye Site.
The NCP (40 CFR 300.425(e)) states that a site may be deleted from
the NPL when no further response action is appropriate. EPA, in
consultation with the State of Ohio, has determined that all required
response actions have been implemented at the Buckeye Site and that no
further response action is appropriate.
V. Deletion Action
The EPA, with concurrence of the State of Ohio through the OEPA,
has determined that all appropriate response actions under CERCLA,
other than operation and maintenance, monitoring and five-year reviews,
have been completed at the Buckeye Site. Therefore, EPA is deleting the
Buckeye Site from the NPL.
Because EPA considers this action to be noncontroversial and
routine, EPA is taking it without prior publication. This action will
be effective September 30, 2019 unless EPA receives adverse comments by
August 30, 2019. If adverse comments are received within the 30-day
public comment period, EPA will publish a timely withdrawal of this
direct final notice of deletion before the effective date of the
deletion, and it will not take effect. EPA will prepare a response to
comments and continue with the deletion process on the basis of the
notice of intent to delete and the comments already received. There
will be no additional opportunity to comment.
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.
Dated: July 17, 2019.
Cathy Stepp,
Regional Administrator, Region 5.
For the reasons set out in this document, 40 CFR part 300 is
amended as follows:
PART 300--NATIONAL OIL AND HAZARDOUS SUBSTANCES POLLUTION
CONTINGENCY PLAN
0
1. The authority citation for part 300 continues to read as follows:
Authority: 33 U.S.C. 1321(d); 42 U.S.C. 9601-9675; 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.
Appendix B to Part 300--[Amended]
0
2. Table 1 of Appendix B to part 300 is amended by removing the entry
``OH'', ``Buckeye Reclamation'', ``St. Clairsville''.
[FR Doc. 2019-16197 Filed 7-30-19; 8:45 am]
BILLING CODE 6560-50-P