HomeMy WebLinkAboutEPA Re Amended PCB notification - Former Studebaker Foundry 1100 Prairie Avenue South Bend IndianaFrom: Gmitro.Todd@epamail.epa.gov
Sent: Monday, October 24, 2011 12:16 PM
To: Stefanek, Ed
Cc: gritchot@idem.in.gov
Subject: Re: Amended PCB notification - Former Studebaker Foundry 1100
Prairie Avenue South Bend Indiana
Mr. Stefanek:
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
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
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
there are significant changes in remediation plans, a separate EPA approval from the June 20, 2011 letter is not required.
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
composites.
Todd Gmitro, Project Manager
Remediation and Reuse Branch
Corrective Action Section 1
Tel: (312) 886-5909
From: "Stefanek, Ed" <estefanek@weaverboos.com>
To: Todd Gmitro/R5/USEPA/US@EPA
Cc: <gritchot@idem.in.gov>
Date: 10/21/2011 08:51 AM
Subject: Amended PCB notication - Former Studebaker Foundry 1100
Prairie Avenue South Bend Indiana
Mr. Gmitro,
This email is being forward to you as discussed in our earlier telephone conversation a couple weeks ago.
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
information.
Also reference the attached figures and tables.
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
A and B were discussed in the May notification and have not changed.
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
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
additional samples outside of
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
D. (Note, samples were collected east of the transformer room but were OK).
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
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
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
additional confirmation sampling will be completed in accordance with Subpart O of the PCB Regulations.
The PCB-impacted soil identified as Area D will also be removed.
Confirmation sampling will also be completed. The possible extent of excavation is indicated on the attachments.
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.
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.
Cleanup goals will remain the same as indicated in the original notification.
The results of the cleanup will be included with the overall Cleanup Completion Report.
We request that this correspondence be reviewed by EPA as soon as possible. You indicated you could review this in a day or two.
Landfill approval has been obtained so we are standing by.
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
protocol but what about the sidewalls.
If you have any questions or comments, feel free to contact me.
Ed Stefanek
Edward B. Stefanek | Sr. Project Manager Weaver Boos Consultants
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
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