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Passaic County Brownfields Commission Meeting The Various Types of Response Action Outcome & the Potential Long Term Requirements October 21, 2015 James Vander Vliet, LSRP, PE • New Jersey Professional Engineer • Licensed Site Remediation Professional • Senior Manager at JM Sorge • 20+ years of environmental consulting experience • Due diligence and site remediation 2 • • • • In business since 1986 Joseph Sorge – Founder, owner and President Supports public and private clients Due diligence and site remediation “All environmental problems are unique when you consider technical, business and regulatory aspects. JMS provides value by developing strategic solutions tailored to address each of these facets.” – Joe Sorge. www.jmsorge.com 3 • The Response Action Outcome • Types of RAOs and What the RAO Means • Long Term Requirements • Case Studies 4 • March 2009 the New Jersey Legislature passed the "Site Remediation Reform Act" (SRRA) • Site Remediation Program projects must use a private licensed site remediation professional (LSRP) to complete the remediation of cases (with some exceptions) • For most cases, the NFA and covenant not to sue is replaced by the RAO • LSRP Code of Ethics • Mandatory timeframes for initiating and completing remediation • Permit program for monitoring and maintenance of engineering and institutional controls • NJDEP retains authority to "inspect" all LSRP submittals • NJDEP provides a more detailed review of cases that require permits 5 RAO AOC ‐ Specific • Specific areas of concern are identified and addressed • Typically associated with an UST or a discrete discharge • Can be written on a site with historic fill without remediation of historic fill Site Wide • Clears the entire site • Requires a Preliminary Assessment • Typically associated with ISRA and child care cases 6 RAO Unrestricted Limited Restricted Restricted • Clears property or AOC • Clears property for • Clears property for limited limited future use future use for any future use • Residential, parks, etc. • Requires an institution • Use depends on control maintenance of an engineering and institutional • Requires remedial control action permit • Requires remedial action permit 7 RAO Unrestricted Limited Restricted Restricted • Clears property or AOC • Clears property for • Clears property for limited limited future use future use for any future use • Residential, parks, etc. • Requires an institution • Use depends on control maintenance of an engineering and institutional • Requires remedial control action permit • Requires remedial action permit 8 This type of RAO is issued when: • No contaminants found at a site or AOC • Preliminary assessment and/or site investigation (child care, ISRA) • All contaminants were remediated to the most stringent remediation standards • UST, Spill Act discharge, or any case requiring remediation 9 RAO Unrestricted Limited Restricted Restricted • Clears property or AOC • Clears property for • Clears property for limited limited future use future use for any future use • Residential, parks, etc. • Requires an institution • Use depends on control maintenance of an engineering and institutional • Requires remedial control action permit • Requires remedial action permit 10 This type of RAO is issued when: • The site is only remediated to nonresidential standards; not residential use • A deed notice and remedial action permit is required to ensure the proper use • Without an Engineering Control to limit exposure, site is only cleared for non-res • Contaminants in groundwater remain above the standard • No engineering control to contain or reduce the concentrations • A classification exception area (CEA) is established and remedial action permit obtained to prevent exposure 11 RAO Unrestricted Limited Restricted Restricted • Clears property or AOC • Clears property for • limited future use for any future use • Residential, parks, etc. • Requires an institution • control • Requires remedial action permit • Clears property for limited future use Use depends on maintenance of an engineering and institutional control Requires remedial action permit • Financial assurance 12 This type of RAO is issued when: • Standards have not been met • An engineering control to eliminate exposure pathways or reduce concentrations. • An institutional control and remedial action permit is required to ensure the proper use • RAO can be revisited and revised • Engineering control reduces the concentrations to levels that are below the standards 13 LSRP Issues the RAO • Guarantee against DEP reopening cases unless there is an order of magnitude change in the standards • Provides the LSRP with covenant not to sue and a defense against third party damage claims • For AOC specific or Site Wide RAO, it likely means the completion of the remediation - Unrestricted OR LSRP Issues the RAO • Additional remediation may be required for additional AOCs (i.e., AOC – specific RAO) • Additional remediation may be required for other media (i.e., soil only RAO) • Long term actions are required for the case – Limited Restricted or Restricted 14 • • • Restricted Use and Limited Restricted Use RAOs • • • • Remedial Action Permits Monitoring and sampling requirements Reporting requirements (biennial certifications) Annual permit fees Financial assurance Maintain the services of an LSRP Obligation to transfer permit with property $$$ COSTS $$$ 15 For sites with institutional or engineering controls, one of the following Remedial Action Permit is required Groundwater Remedial Action Permit • Application required • Subject to NJDEP approval • Applied for CEA, monitored natural attenuation, groundwater treatment systems • Financial assurance may be required for active system Soil Remedial Action Permit Vapor Intrusion Remedial Action Permit??? • Application required • Currently not available • Subject to NJDEP approval • Any vapor intrusion • Applied for deed notices, system or monitoring capped sites, active insitu soil remediation required is to be rolled • Financial assurance may into groundwater or be required for an soil permit engineering control 16 • Groundwater (typical remedy is MNA with a CEA) – Suggested sampling frequency is provided for MNA / CEA in NJDEP MNA guidance Operations and maintenance and monitoring and sampling for an active system would be dependent upon the system and the levels of contamination – Sampling also required at the end of the remediation – 17 • Soil (typical remedy is a protective cap and deed notice) – For a cap and deed notice, there are no sampling requirements – Periodic inspections are required to insure the cap remains intact, documented in log – Operations and Maintenance Monitoring for an active system is required to ensure the system is working – Sampling would be required at the end of the remediation 18 • Vapor Intrusion (typical remedy is a SubSlab Depressurization System) – No sampling required beyond demonstrating the effectiveness of the system – Suggested monitoring frequency provided in the NJDEP Vapor Intrusion Technical Guidance – ** Not complete table 19 Groundwater Remedial Action Permit • Biennial submission • Remedial Action Protectiveness / Biennial Certification Form - Ground Water • Groundwater data • Revised well search • Revised CEA and CEA / WRA fact, if appropriate • LSRP Certification • Permit fee Soil Remedial Action Permit Vapor Intrusion Remedial Action Permit??? • Biennial submission • Remedial Action Protectiveness / Biennial Certification Form - Soil • Revisions to Deed Notice • Disturbances to cap • Cap inspection logs • LSRP Certification • Permit fee • Biennial submission • Remedial Action Protectiveness / Biennial Certification Form - Ground Water or Soil • Indoor air data, if applicable • Maintenance and Monitoring logs • LSRP Certification 20 All SRP cases have a annual remediation fee, once the permit is approved, the annual fee is replaced by the permit fee 21 • Must be posted to ensure funds are available to maintain long term engineering controls • Several acceptable mechanisms – – – – Remediation Trust Fund Agreement Line of Credit Agreement Letter of Credit Environmental Insurance Policy • NJDEP provides model docs for most mechanisms • Annual reporting on the mechanism is required 22 • All biennial certification forms and reports are to be certified by an LSRP • Monitoring and sampling activities conducted during the permit time are to be overseen by an LSRP • Any case that requires an institutional control, engineering control, or remedial permit are required to have a LSRP • Once the control is deemed no longer needed to protect human health and environment, the permit can be terminated, the LSRP released, and at the point the case is truly complete 23 • If the property is sold, the responsibility of the permit and financial assurance remains with the permittee, unless • The permit responsibility is also transferred as part of the transaction • NJDEP form to complete the permit transfer requirements • Fee associated with transfer 24 Case Studies 25 • Several UST cases for a local municipality • Impacted soils, USTs, previously remediated but never closed • Case closure complicated by other site issues (i.e., historic fill) • Completed soil sampling requirements to close cases • Three yards closed with AOCspecific RAOs and no long term requirements 26 • Shopping center in commercial/residential area • Soil and groundwater impacted with metals related to historic fill • Soil remedy includes a deed notice and a protective cap Remedial action permit for soils, inspection and biennial certs – Financial assurance not required, owner met Spill Act exemption – • Groundwater remedy includes CEA Remedial action permit not required – CEA related to historic fill does not require a permit – 27 • County Park/Maintenance yard in a residential area • Soil and groundwater impacted with gasoline compounds (BTEX) • Soil remediation resulted in an AOC specific RAO for soils only • Residual groundwater contamination required a long term solution • Groundwater remedy consisted of monitored natural attenuation and a classification exemption area CEA expected to be in place over 100 years – Reporting, monitoring and annual fees will continue until GW levels come below the groundwater standards – 28 • Chlorinated solvents in soil and GW • Numerous rounds of soil sampling, groundwater sampling and subslab and indoor air sampling • Posed an immediate risk to occupants • Final remedy – – Engineering and institutional controls for groundwater and soil Active subslab depressurization system for vapor 29 • Groundwater MNA with a CEA as the institutional control. • Groundwater remedial action permit includes ongoing monitoring, reporting and fees • O&M of the SSDS to address vapor mitigation rolled into the groundwater remedial action permit • Soil engineering control is the concrete floor as a protective cap, with a deed notice to ensure the property use doesn’t change • Soil remedial action permit includes financial assurance, cap inspections and reporting 30 Q&A Jim Vander Vliet 201.452.2735 [email protected] 31