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EPA Re Amended PCB notification - Former Studebaker Foundry 1100 Prairie Avenue South Bend Indiana
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EPA Re Amended PCB notification - Former Studebaker Foundry 1100 Prairie Avenue South Bend Indiana
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Dept of Community Investment
SB No.
SB - 0265
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From: Gmitro.Todd@epamail.epa.gov <br />Sent: Monday, October 24, 2011 12:16 PM <br />To: Stefanek, Ed <br />Cc: gritchot@idem.in.gov <br />Subject: Re: Amended PCB notification - Former Studebaker Foundry 1100 <br />Prairie Avenue South Bend Indiana <br /> <br />Mr. Stefanek: <br /> <br />The U.S. Environmental Protection Agency has reviewed your change notice, dated October 21, 2011 which included additional characterization data and areas for bulk-PCB remediation waste <br />removal at the above referenced property. The EPA is approving this request under 40 CFR 761.61(a)(3)(ii). After the extent of PCB contamination has been delineated, self-implementing <br />bulk-PCB remediation waste removal should continue, and a Cleanup Completion Report prepared which documents the cleanup verification sampling required under 40 CFR 761 Subpart O. Unless <br />there are significant changes in remediation plans, a separate EPA approval from the June 20, 2011 letter is not required. <br /> <br />As for sidewall sampling requirements, the regulations are not clear, but EPA recommends following the 1.5 meter grid requirement as close as possible on the sidewalls and taking 9 point <br />composites. <br /> <br />Todd Gmitro, Project Manager <br />Remediation and Reuse Branch <br />Corrective Action Section 1 <br />Tel: (312) 886-5909 <br /> <br /> <br /> <br /> <br /> <br /> <br />From: "Stefanek, Ed" <estefanek@weaverboos.com> <br />To: Todd Gmitro/R5/USEPA/US@EPA <br />Cc: <gritchot@idem.in.gov> <br />Date: 10/21/2011 08:51 AM <br />Subject: Amended PCB notication - Former Studebaker Foundry 1100 <br /> Prairie Avenue South Bend Indiana <br /> <br /> <br /> <br />Mr. Gmitro, <br /> <br />This email is being forward to you as discussed in our earlier telephone conversation a couple weeks ago. <br /> <br />Please reference the Self-Implementing Cleanup and Disposal Correspondence, dated May 5, 2011 and submitted to the USEPA, and your reply, dated June 20, 2011 as you review the following <br />information. <br />Also reference the attached figures and tables. <br /> <br />During the demolition activities, Weaver Boos encountered elevated PCB concentrations in the soils adjacent to Transformer Room C (Area C) and at a separate location (Area D). Areas <br />A and B were discussed in the May notification and have not changed. <br /> <br />These impacted soils were encountered during screening of the soils beneath the entire footprint of the building. Sample locations identified as TP-44 and TP-71 were part of that overall <br />screening sampling program. Weaver Boos subsequently completed characterized the extent of the PCB contamination both horizontally and vertically as noted in the attached table by collecting <br />additional samples outside of <br />TP-44 and TP-71. Results indicate that PCB concentrations greater than 50 ppm were isolated near the surface adjacent to transformer room in Area C and a 15 foot deep tunnel in Area <br />D. (Note, samples were collected east of the transformer room but were OK). <br /> <br />The PCB-contaminated soil adjacent to the location of Transformer Room C will be removed after the results of the confirmation soil sampling has been completed beneath the floor slab <br />of the transformer room (as discussed in the earlier notification). Should the results of the confirmation sampling beneath the floor slab indicate that removal and disposal of underlying <br />impacted soil be necessary, the impacted soil will be removed at the same time as the adjacent impacted soil described in this email. Once the PCB-impacted soil has been removed, then <br />additional confirmation sampling will be completed in accordance with Subpart O of the PCB Regulations. <br /> <br />The PCB-impacted soil identified as Area D will also be removed. <br />Confirmation sampling will also be completed. The possible extent of excavation is indicated on the attachments. <br /> <br />The PCB-contaminated soil that equals or exceed 50 ppm will be removed and disposed of at a licensed RCRA Subtitle C hazardous waste landfill. <br />The PCB-contaminated soil that exceeds the Indiana 1996 VRP Tier II nonresidential cleanup goals but below 50 ppm will be disposed of at a licensed RCRA Subtitle D disposal facility. <br /> Cleanup goals will remain the same as indicated in the original notification. <br /> <br />The results of the cleanup will be included with the overall Cleanup Completion Report. <br /> <br />We request that this correspondence be reviewed by EPA as soon as possible. You indicated you could review this in a day or two. <br />Landfill approval has been obtained so we are standing by. <br /> <br />One question – How many sidewall sampling points are required? These excavations will at least be 3 feet in depth. I assume the floor sampling must follow the 1.5 meter grid sampling <br />protocol but what about the sidewalls. <br /> <br />If you have any questions or comments, feel free to contact me. <br /> <br />Ed Stefanek <br /> <br /> <br /> <br /> <br /> <br />Edward B. Stefanek | Sr. Project Manager Weaver Boos Consultants <br />4085 Meghan Beeler Court | South Bend, IN 46628 t. 574-271-3447 | f. 574-271-3343 | m. 574-302-0614 www.weaverboos.com | estefanek@weaverboos.com <br /> <br /> <br />DISCLAIMER <br />Designs, plans, specifications, technical documentation and other information in AutoCAD, PDF or JPG file format or other electronic format are provided by Weaver Boos Consultants AS <br />IS, WITH ALL FAULTS, WITHOUT ANY DUTY TO RECIPIENT AND WITHOUT RECOURSE, are provided without corrections, updates or other support, and are provided solely for the internal convenience <br />to recipient of being able to read and analyze its content via computer and to share the same internally with its personnel for the same purpose. The recipient understands that such <br />electronic material/information can possibly be modified, unintentionally or otherwise, and that it might be incompatible with computers, software or devices used by recipient or others. <br />Recipient accepts all risks associated with such electronic material/information and any reliance on or use of it. Recipient understands differences may exist between such electronic <br />material/information and corresponding hard copies of it or generated from it (which hard copies shall in all cases control), actual field conditions and/or as-built conditions. Such <br />electronic material/information is not to be copied, disclosed or used except as authorized in writing by Weaver Boos. Any charges for such electronic material/information are handling <br />fees only and not fees for professional services. The terms of this paragraph apply in all circumstances except only insofar as otherwise agreed in a written agreement signed by Weaver <br />Boos Consultants. <br /> <br />IMPORTANT NOTICE: The information contained in this email message (including any attachments) may be confidential, privileged or both, and is intended exclusively for the addressee(s) <br />intended by the sender. If it appears you have received this email message in error, please notify the sender immediately and then delete; any other use of this email message is prohibited. <br />Thank you. <br /> <br /> [attachment "SCAN2686_000.pdf" deleted by Todd Gmitro/R5/USEPA/US] <br />
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