United States
         Environmental Protection
         Agency
Office of Emergency
and Remedial
Response (OERR)
EPA-540-R-99-002
OSWER-9200.0-29A
PB99-963217
March 1999

-------
                                                    Foreword
C.PA's series of reforms have fundamentally changed the Superfund pro-
gram. Today, the  program is working better than ever—cleaning up hundreds
of hazardous waste sites and protecting public health and the environment.
EPA remains committed to completing these reforms and fully integrating
them into its base program operations.

This report highlights Superfund accomplishments through FY98, showing
how EPA is cleaning up sites faster, fairer, and more efficiently. The data
reported are current through September of 1998 unless otherwise noted.

Those seeking additional information on the reforms should visit the new
Superfund Reforms Website at  http://www.epa.gov/superfund/programs/
reforms/.  The website outlines the history of the Superfund reforms and
provides detailed  information on each reform, including results and success
stories, document links and downloads, answers to  commonly asked ques-
tions, and contact information.
                                                   Annual Report FY  199Q

-------
                    Table  of  Contents
Foreword                                                      i

Table of Contents                                              iii

Introduction                                                    1

Superfund Program Accomplishment Headlines

      Potentially Responsible Parties Commit to Over $15 Billion         5
      Program Exceeds $1 Billion in Cost Savings                     8
      Revitalizing America's  Land                                  13
      Getting the Little Guy Out                                    20
      Success Through Partnerships                               22

Reforms at a Glance and the Enforcement Pilots

      Reforms at a Glance                                        30
         Round  3                                               31
         Round  2                                               40

      The Enforcement Pilots                                      47
         PRP Search Pilots                                       48
         Expedited Settlement Pilots                               50
         The Allocation Pilots                                     52
         Community Involvement in the Enforcement Process Pilots      58
                                               	
                                                                      MI

-------
                                              Introduction
   he Superfund program is working—cleaning up hundreds of hazardous
waste sites and protecting public health and the environment.  Since EPA
announced the first round of reforms in 1993, the Agency has made
Superfund a fundamentally different and better program. EPA has imple-
mented three rounds of reforms in seven major categories: cleanups,
enforcement, risk assessment,  public participation and  environmental
justice, economic redevelopment,  innovative technology, and state and
tribal empowerment.  EPA remains fully committed to completing these
reforms and integrating them into  its base program operations.  Through
reform efforts, the Superfund program is protecting public health and the
environment in a way that is faster, fairer,  and more efficient.

The first round of reforms, announced in June 1993, responded to common
stakeholder concerns about the Superfund program, focusing primarily on
expediting site cleanups and increasing liability fairness.  Through first-round
reform implementation, EPA surpassed its goal of tripling the number of
construction completion sites—bringing  over 200 sites to  this stage by the end
of FY93.  Over the next two years, EPA removed thousands of small contribu-
tors from the liability system and produced several guidance documents on
improving cleanup efficiency. In February 1995, EPA closed out the first round
of reforms with the issuance of the "Superfund Administrative Improvements
Closeout Report."

EPA introduced the second round of reforms in February 1995. This round
strengthened and improved the program by testing many of the innovations
embodied in the proposal for the Superfund Reform Act of 1994.  Round two
initiatives produced both pilot projects and guidance designed to promote
economic redevelopment and innovative technology, enhance public involve-
ment, and empower states and tribes.

Finally, EPA announced the third round of  reforms in October 1995. This
round took a "common-sense" approach  to reform and targeted the con-
cerns of stakeholders. Round three consists of 20 reforms that promote
cost-effective cleanup choices,  reduce  litigation and transaction costs, and
ensure that states and communities are informed  and involved in cleanup
decisions.

EPA remains committed to fully implementing the reforms, refining or im-
proving them where necessary, and broadening their impact by effectively
communicating the scope, goal, and  success of each initiative.  As the
Agency evaluates each reform, it will  continue to  incorporate the most
successful  ideas into the  entire Superfund program.
                                                   	
                                                                        paqe 1

-------
Introduction
          This report highlights a number of significant program achievements attrib-
          uted to the Superfund Reforms. Through improvements fostered by the
          reforms, EPA has:

             • Accelerated the pace of cleanups to achieve "construction comple-
                tion" status at approximately 47 percent of the non-federal facility
                NPL sites; an additional 30 percent of the non-federal facility NPL sites
                had their cleanup remedy under  construction.

             • Worked with potentially responsible parties (PRPs) to obtain over $15
                billion in commitments to conduct response work and reimburse
                Agency costs, saving taxpayers' money;

             • Streamlined and enhanced the remedy selection process, producing
                estimated future cost reductions or savings of over $1 billion;

             • Facilitated productive use at numerous sites by removing over 30,000
                sites from CERCLIS and awarding 227 Brownfield Pilot grants;

             • Removed 18,000 small contributors from the Superfund liability
                system; and

             • Partnered with various stakeholders to address Superfund concerns,
                establishing over 45 community advisory groups (CAGs) and award-
                ing over 200 technical  assistance grants (TAGs).

          A strong indication of the reforms' success is the number of sites on the NPL
          where the construction of cleanup remedies has been completed  (construc-
          tion completion). In only two  years, FY97 and FY98, EPA completed construc-
                                        : US EPA
                                                  The Industri-Plex site in Woburn,
                                                  Massachusetts, illustrates Superfund's
                                                  effectiveness in returning sites to
                                                  productive use. Once a contaminated
                                                  property that threatened human health
                                                  and the environment, the site is now
                                                  poised to become a major commercial
                                                  and retail district that will include a
                                                  Target store (shown below), a state
                                                  regional transportation center, and a
                                                  wetlands preserve.

                                                             Source: Dnytott-Hstdsoa Corporation
     gal Report FY 1998
page

-------
                                                           Introductior
tion at 175 sites on the NPL, far exceeding the target of 130 construction
completion sites for those years.  Of the 175 sites completed during FY97 and
FY98, 128 sites (or 73 percent) are designated as enforcement-lead, demon-
strating the success of both the "enforcement first" policy and the numerous
enforcement reforms.  In addition, the 175 sites account for 30 percent of the
total 585 sites completed since the program's inception in 1980. These 585
construction completions account for 43 percent of all NPL sites and approxi-
mately 47 percent of the non-federal facility sites as of October 3, 1998. Based
on these results, the Superfund program plans to exceed the Agency target
of 650 construction  completion sites during FY99, one year earlier than
originally  expected.

Forty of the 175 sites completed during FY97 and FY98 were added to the NPL
during the 1990s—meaning that EPA has completed cleanup at a total of 111
sites that were added to the NPL during the  1990s.  Completion of these sites
   A site is considered
      to reach "construction completion" when physical construction of all cleanup
      remedies is complete, all immediate threats have been addressed, and all
      long-term threats are under control.
                  Pace of Site Cleanup Accelerates
                 Total Number of Construction Completions
   500
   450 -1
   400
  250
|  200
2  150
                50
                                           436
                            149
                       FY 80-92         FY 93-98
                              Fiscal Year
                                                    	
                                                                         page 3

-------
Introduction
         in less than eight years reflects improvements in the pace of Superfund clean-
         ups and demonstrates how the reforms have worked together to make
         Superfund more efficient.  Finally, states and local communities have been
         active partners in cleanups.  States have concurred on remedies and contrib-
         uted a 10 percent cost share at the Fund-financed sites, while local communi-
         ties have increased the overall effectiveness of the program through meaning-
         ful public involvement and communication.

         The initiatives, pilots, and new or reformed guidance embodied in the reforms
         all combine to produce a better Superfund program. This report will show
         how the Superfund program is working—faster, fairer, and more efficiently—to
         better protect human  health and safeguard the natural environment. These
         achievements are described in detail in Superfund Program Accomplishment
         Headlines.  Specific reform summaries and the final results of the numerous
         enforcement pilot projects are provided in Reforms at a Glance and the
         Enforcement Pilots.
                      I/)
                     
-------
                                               Superfund  Program
                                     Accomplishment  Headlines
Potentially  Responsible  Parties  Commit
to Over  $15  Billion

      EPA remains dedicated to maximizing PRP-lead cleanups, and reform initia-
      tives have significantly increased PRP commitments to cleanups.  In FY98, the
      Superfund enforcement program secured private party commitments that
      exceeded $1 billion, bringing the cumulative value of private party commit-
      ments since the program's inception to approximately $15.5 billion. This
      number includes $13.1 billion in response settlements and $2.4 billion in cost
      recovery settlements.  Response settlements conserve use of the Superfund
      Trust Fund for  use at sites without capable and willing responsible parties,
      while cost recovery settlements help replenish the Trust Fund. PRPs initiated
      approximately  72 percent of new remedial actions at NPL sites during FY98,
      and PRP-lead sites accounted for over 70 percent of all construction projects
      completed during FY97 and FY98.

Greater PRP Commitment

      EPA has seen an increase in PRP involvement since implementing key fair-
      ness reforms.  Prior to developing initiatives such as orphan share compensa-
      tion and special accounts, EPA ordered PRPs to conduct remedial cleanup
      work in  approximately 50 percent of all cases. Since EPA implemented the
      reforms, PRPs  have agreed to conduct cleanup approximately 66 percent of
      the time.
o
•o
ro
CD
_i
c/>
Q_

Q_
"c

-------
Superfund  Program
Accomplishment  Headlines
          Encouraging PRPs to enter into cooperative cleanup settlements reduces the
          need for litigation to recover past cost and oversight costs, thus reducing EPA
          and private party transaction costs. Several factors affect a PRP's decision to
          settle a case, and EPA is not privy to the reasons why PRPs ultimately decide to
          settle.  However, the Agency is encouraged by the increasing number of PRPs
          entering cooperative cleanup agreements.  In an effort to address stakeholder
          perceptions, EPA is making full use of its enforcement discretion to encourage
          settlements that are fair to all parties. EPA offers a toolbox of enforcement
          reforms that allow PRPs to achieve a more equitable settlement with the Agency.
          Several enforcement options available to PRPs are described below.
   Orphan Share
         The reform with one of the most immediate and direct impacts on EPA's
         settlement practice is Orphan Share Compensation. The term "orphan share"
         refers to costs at a site that are attributable to insolvent parties. Pursuant to
         this reform, the Agency continues to share the cost burden of the orphan
         share with settling PRPs at every eligible site. Through FY98, EPA offered
         approximately $145 million in orphan share compensation at 72 sites.  Many
         of the offers made in FY98 were in the context of cost recovery negotiations,
         as EPA has expanded this reform to include these cases.  The average offer
         was $2  million per negotiation.  These numbers demonstrate EPA's commit-
         ment to achieving greater fairness even where this commitment  may result in
         a significant reduction  of the amounts ultimately returned to the  Fund.
   Special Accounts
         Continuing in FY98, EPA encouraged the use of Special Accounts, which
         accrue interest while holding settlement funds for response actions at
         Superfund sites.  Through the end of FY98, EPA collected over $399 million,
         established 115 Special Accounts, and accrued over $69 million in interest for
         a total of $468 million. In November 1998, the Agency issued the "Interim
         Final  Guidance on Disbursement of Funds From EPA Special Accounts to
         CERCLA Potentially Responsible Parties."  The guidance provides direction to
         Regional offices on the possibility of disbursing funds from the Special Ac-
         counts to PRPs who undertake response actions at Superfund sites under a
         settlement agreement. This guidance  represents EPA's commitment to con-
         tinue improving and expanding the original reform where appropriate.
     _      	
page 6

-------
                                                  Superfund  Program
                                       Accomplishment Headlines
Equitable Issuance of Unilateral Administrative Orders (UAOs)

      EPA expects that PRPs will be more amenable to entering a settlement when
      the Agency ensures that they will otherwise face a UAO. Accordingly, in FY98
      EPA continued to implement the UAO reform, with Headquarters indepen-
      dently reviewing all 68 UAOs to ensure that they had been issued to all appro-
      priate parties (including governmental entities).  During the fiscal year, EPA
      issued its first CERCLA UAO to another federal agency; and issued at least six
      orders to state and local government entities.
           Enforcement
                                     uccess


              Hansen  Container,  CO

              A letter dated September 21,1998, from Waste Management Inc., on
              behalf of the Oil and Solvent Process Company regarding the Hansen
              Container Superfund site (Denver, CO), shows the success of several
              enforcement administrative reforms (e.g., Orphan Share Compensa-
              tion, Expedited Settlement Pilots, and Alternative Dispute Resolution)
              used at the site.  Excerpts are listed below:

              "The United States Environmental Protection Agency (EPA) Region 8 is
              to be commended for its innovative approach in these consent
              decrees which resulted in settlements quicker and with fewer transac-
              tion costs than probably would have been possible if the Agency had
              followed more conventional methods."

              "Through the use of alternative dispute resolution EPA accomplished
              this feat in a very cost-effective fashion."

              "Even without the need to be part of EPA's pilot allocation projects,
              the region was willing to consider a fundamentally different approach
              to allocation at the site. We applaud the region's use of a third-party
              neutral and senior agency officials to overcome obstacles to settle-
              ment."

              "The proposed Hansen Container settlements demonstrate a very
              substantial commitment by Region 8 to aggressively execute the
              Superfund reforms in connection with this site and to take other
              initiatives which promote early settlement, reduce costs, and foster
              cooperation among the stakeholders."
                                                       	
                                                                            paqe 7

-------
Superfund  Program
Accomplishment  Headlines


Program  Exceeds $1   Billion  in  Cost Savings

         In 1995, EPA initiated several reforms to ensure that cleanup actions are consistent
         nationally, reflect recent advances in science and technology, and are cost effective. By
         reviewing proposed high-cost remedies in real time and updating selected remedies at
         Superfund sites, Reforms 3.1 a  (Establish the National  Remedy Review Board) and 3.2
         (Update Remedy Decisions at Select Sites) have realized substantial benefits.  In particu-
         lar, these reforms have facilitated savings of over $1 billion in estimated cleanup costs for
         PRPs and the Superfund program since 1996.  Combined with new program policy and
         guidance developed under other reform initiatives, these reforms have significantly
         improved remedy selection and  implementation  at many Superfund sites.

   Remedy Reforms Lead to Dramatic Cost Savings
           National Remedy
           Review Board
             # of updates2
             Est. savings3

           Remedy Updates
             # of updates2
             Est. savings4
                                FY 1996
    12
$25 million


    60
$355 million
               FY 1997
    8
 $6 million


   80
$390 million
               FY 19981
    13
 $12 million


   >60
>$255 million
                 Total
    33
$43 million


   >200
>$1 billion

         1 As of 9/98.
         2 May include more than one update per site.
         3 Includes future cost savings as estimated at the time of the proposed plan.
         4 Includes estimated future cost savings.


   The National Remedy Review Board (NRRB)

         EPA created the  NRRB in January 1996 as part of a comprehensive package of reforms
         designed to make the Superfund program faster, fairer, and more efficient.  The NRRB is
         essentially a peer review group that understands  both the EPA regional and headquarters
         perspectives in the remedy selection process.  It  reviews proposed Superfund cleanup
         decisions that meet cost-based review criteria to  assure consistency with Superfund law,
         regulations, and  guidance. The NRRB is composed of managers or senior technical or
         policy experts from EPA offices important to Superfund remedy selection issues.

         EPA believes the NRRB has accomplished a great deal.  Its reviews have contributed to a
         more cost-effective, consistent Superfund program; improved the quality of several high-
         cost cleanup decisions; and contributed to human health  and environmental protection.
         Since the Board  began its reviews, EPA estimates that NRRB reviews have reduced total
         estimated cleanup costs involving 33 high-cost remedies by more than $43 million. EPA
page 8
         Report FY 1998

-------
                                               Superfund  Program
                                   Accomplishment  Headlines
expects these savings estimates to increase as regions complete their analyses of NRRB
comments and  issue proposed plans.  More importantly, however, the opportunity for
Board members to discuss remedy selection issues common to all regions has pro-
vided a  significant boost to national consistency, both for the sites reviewed and other
sites across the regions. Members often return from Board meetings and apply lessons
learned  to other lower cost site decisions in their home regions.

At some sites, NRRB discussions contribute to or bolster support for response plans
regions  are only beginning to formulate.  At the Region 8 Anaconda Smelter site, for
example, the region devised a decision framework involving extensive stakeholder
participation that ultimately reduced the estimated cleanup costs for the proposed
action by $20 to $70 million.  This result can be partly attributed to the extensive Board
discussion about site revegetation and long-term effectiveness of the  remedy.
       MRRB
           Anaconda,  MT
           The Anaconda Smelter Superfund site covers 15,000 acres in Anaconda,
           Montana.  A smelting operation operated on the site from the late 1800s until
           it closed in September 1980, contaminating much of the area with heavy
           metals and other dangerous substances. A key part of EPA's cleanup plan is
           to use revegetation to prevent contamination from spreading, and to protect
           the public and ecosystem from the site contamination. The NRRB reviewed
           the proposed cleanup decision for the Anaconda Smelter Superfund site in
           March and April of 1997. The Board offered several recommendations for the
           region to consider as they finalized their cleanup plans.

           EPA Region 8 responded with a creative approach to dealing with the
           Board's concerns. Among the actions Region 8 took was the development
           of a novel decision making system that helped focus the revegetation efforts.
           To develop the system, the region took into account a great deal of data
           gathered at the site before and during the public comment period on the
           proposed  cleanup. In cooperation with those responsible for cleaning up the
           contamination, as well as the state and community stakeholders, the region
           is using its system to assess physical and chemical data  and vary the site
           revegetation levels. Thus, they are able to improve the cost effectiveness of
           their cleanup without sacrificing the level of protection it provides. These
           efforts, in part, enabled the region to revise their cost estimate for the site
           cleanup from approximately $180 million to an estimated range of $90 million
           to $160 million.
                                                     	
                                                                           page 9

-------
Superfund  Program
Accomplishment Headlines
          As regional managers indicate, while it is difficult to attribute such savings to Board
          review alone, the additional analyses, ideas and encouragement provided by Board
          discussions on proposed regional initiatives are often significant factors in the site
          decision process.

    National Remedy Review Board Review Criteria
           With the exceptions noted, the NRRB reviews all proposed Superfund cleanup decisions for which:
              • the action costs more than $30 million; or
              • the action costs more than $10 million and is 50 percent greater in cost than the least-costly,
                protective, cleanup alternative that complies with Applicable or Relevant and Appropriate
                Requirements (ARARs).

           The NRRB reviews proposed decisions for Department of Energy (DOE) sites where the primary
           contaminant is radioactive waste in cases where:
              • the action costs more than $75 million; or
              • the action costs more than $25 million and this cost is 50 percent greater than that of the
                least costly, protective, cleanup alternative that complies with ARARs.

           In FY98the Board began reviewing all proposed EPA and DOE Non-Time-Critical Removal Actions
           (NTCRAs) estimated to cost more than $30 million.

           The Board does not review proposed decisions for Base Realignment and Closure (BRAC) sites.
          EPA expanded the scope of the Board in 1998.  In addition to its usual reviews of reme-
          dial cleanup plans, the Board now reviews cleanup plans for non-time-critical removal
          actions that exceed defined monetary thresholds. The Board completed one review of a
          non-time-critical removal action during FY98.  In addition, on October 5, 1998, EPA and
          the DOE signed an agreement under which the Board will review all DOE non-time-
          critical removal actions that are estimated to cost over $30 million.  The Board expects to
          review 10 to 15 sites per year during both FY99 and FYOO.

   Updating Remedy Decisions

          The updating remedy decisions reform is one of EPA's most successful reforms, based
          on its frequent use and the amount of money saved by the lead party for the remedial
          action.  This reform encourages regions to revisit selected remedy decisions at sites
          where significant new scientific information, technological advancements, or other
          considerations suggest an alternative  remedy will protect human health and the environ-
          ment while enhancing the cost effectiveness of the cleanup. From FY96 through FY98,
          EPA and other parties updated over 200 remedies and generated estimated future cost
          savings of over $1  billion.  During the same period, only eight remedy updates generated
          cost increases (estimated at approximately $65 million).
     __     	
page 10

-------
                                            Superfund  Program
                                 Accomplishment Headlines

EPA summarized the results of remedy updates completed during FY96 and FY97 in a
report entitled "Updating Remedy Decisions at Select Superfund Sites, Summary Report,
FY96 and FY97" (July 1998, OSWER Directive 9355.0-70).  The report includes a list of
sites with remedy updates that generated either estimated cost savings or cost increases.

Most remedy updates in FY96 and FY97 were initiated by parties outside of EPA (e.g.,
PRPs, states, communities, federal facilities).  Over the two-year period, parties outside
EPA initiated 90 updates and EPA initiated 34 updates (not including 24 updates initiated


   Remedy  Update  Success
      Avco Lycoming, PA
      The Avco/Textron Lycoming site in Pennsylvania proposed a remedy
      update based on successful pilot tests of molasses injection for metals
      treatment and air sparging/soil vapor extraction for organics treatment.
      The update to a new technology reduced the cleanup time by 33 percent
      and saved an estimated $5.3 million.

      Auburn Road Landfill,  MA
      At the Auburn Road Landfill in Massachusetts, new performance data
      provided the necessary information to update the selected remedy. Two
      years of monitoring and modeling performance data from the site showed
      that the original ground water pump and treat remedy successfully brought
      volatile organic compounds (VOCs) below the cleanup levels in most
      areas. Updating the remedy to monitored natural attenuation saved an
      estimated $12 million.

      The  Allied Chemical/lronton Coke Site,

      Lawrence County, OH
      On September 30,1998, EPA approved an amendment to the Record of
      Decision for the Ironton Coke site that will result in cost savings of approxi-
      mately $50 million.

      The PRP at the site proposed the alternative remedy after data collected
      during the engineering design phase showed that contamination levels in
      the soils were not as high as previously estimated. The revised remedy will
      replace in-situ bioremediation of over 450,000 cubic yards of soil with hot-
      spot excavation and wetland development; and replace incineration of
      other lagoon materials with recycling, treatment, and/or disposal of waste
      materials in an approved off-site hazardous waste facility, with some
      remaining soils used as an alternative fuel mixture. The new remedy will
      achieve cleanup levels that are protective of human health and the environ-
      ment, and the constructed wetland will create a valuable ecological habitat
      for the community.
                                                 	
                                                                     paqe 11

-------
Superfund   Program
Accomplishment  Headlines
          by more than one party). These numbers are consistent with the percentage of EPA
          versus non-EPA parties who conduct the actual cleanup work (i.e., since the inception of
          Superfund, EPA has been the lead organization on only about 30 percent of remedial
          design and constructions projects, compared with 70 percent of projects led by non-EPA
          organizations).

          After three consecutive years of over 60 updates per year, EPA is confident that the updat-
          ing remedy decisions reform plays a major role in remedy decisionmaking and  imple-
          mentation by encouraging continued review of cleanup progress for opportunities to
          ensure both protective and cost-effective remedies.

          The success of these reforms combined with the completion of other related program
          policy and guidance has significantly enhanced the remedy selection process.  Policy
          and guidance developed under other reform initiatives include the "Directive on Land
          Use in Remedy Selection;" the  "Guidance on the Role of Cost in Remedy Selection;" the
          "Directive on National Consistency in Remedy Selection;" and a series of presumptive
          remedy guidance documents for municipal landfills, sites with volatile organic contami-
          nants in  soils, wood treater sites, and contaminated ground water sites.  These guidance
          documents have heightened awareness of cost-effective cleanup measures that are
          highly protective.  Further, the initiatives have helped to ensure appropriate national
          consistency in cleanup decisions.
                                   Comments
                      "The new National Review Board is widely regarded as the flagship
                      among the 20 reforms announced on October 2,1995."
                      —"EPA's Superfund Reforms: A Report on the First Year of Imple-
                      mentation," Superfund Settlements Project, December 1996 (p. 2).

                      The following statements appeared in a Chemical Manufacturers
                      Association report, "A Chemical Industry Perspective on EPA's
                      Superfund Administrative Reforms" (April 1997):

                          "Of the five reforms covered in this report, the updating of
                          previous RODs reform generated the most positive comments,
                          both from PRPs and from EPA" (p. 15);

                          "PRPs confirm that some remedies are being updated and that
                          additional petitions to update remedies are  pending" (p. 15);

                          "In sum, this reform has produced the greatest tangible benefits
                          of any of EPA's Superfund administrative reforms" (p. 18).
     __
page 12
            _

-------
                                                       Superfund  Program
                                           Accomplishment  Headlines


Revitalizing America's Land

         EPA has stressed the reuse of formerly contaminated properties as a high priority, and
         combines many different strategies to enable these sites to be considered for redevelop-
         ment. These actions often spark a new economic boost to potentially depressed and
         formerly contaminated areas.

         The Agency's first strategy to enable reuse is the Brownfield Pilot Projects for non-
         Superfund sites, which play a major role in encouraging the redevelopment of potentially
         contaminated property.  The second strategy involves two reforms (Refining CERCLIS
         and Delete Clean Parcels from the NPL) that alter the inventory and listing status of sites
                                      	
                       Success
            Bridgeport,  CT
            Through both private and public funding, the former Jenkins Valve site, located at
            Bridgeport's main gateway, will be home to an indoor skating rink, a new 5,500-seat
            ballpark, and a new museum.  The ballpark project alone has supported 361 jobs, 68 of
            which are permanent.

            Emeryville, CA
            EPA awarded Emeryville a $200,000 Assessment Demonstration Pilot under EPA's Brownfield
            Initiative in March 1996. On an abandoned, four-acre railroad site in Emeryville, CA, the city
            and a development corporation plan to construct 200 units of housing. Approximately 100
            construction workers have already been hired to build these housing units. Within the next
            five years, construction of retail, hotel, and office complexes is expected to support as many
            as 10,600 jobs and nearly 4 million square feet of new facilities, providing an additional $6.4
            million in annual property tax revenues.

            Trenton, NJ
            EPA awarded Trenton $200,000 under its Brownfield Initiative in September 1995. Trenton's
            Gould National Battery site was home to commercial lead-acid battery manufacturing from
            the mid-1930s to the early 1980s. A research corporation developing innovative methods of
            site remediation approached the city about conducting a demonstration cleanup project on
            the Gould site. Phytotech was interested in a new soil cleanup technique called
            phytoremediation, in which plant are used to extract lead and other heavy metals from the
            ground. Indian mustard plants were planted at the site in 1996, and initial tests prove that
            lead levels on the property have already been reduced. Through efforts of the Brownfield
            Assessment Demonstration Pilot, the city, the community, and the researchers, the Gould
            site will one day return to productive use.
                                                             	
                                                                                 page 13

-------
Superfund  Program
Accomplishment Headlines
         in CERCLIS as well as of small portions of Superfund sites.  EPA uses its enforcement
         discretion as a third strategy to remove liability barriers that might impede site reuse.
         Documents such as prospective purchaser agreements and comfort/status letters have
         aided this effort.

   Brownfields Program Promotes Cleanup and Redevelopment

         EPA continues to promote cleanup and redevelopment of brownfields—abandoned,
         idled, or under-used industrial and commercial properties where expansion or redevel-
         opment is complicated by real or perceived environmental contamination.  During FY98,
         EPA funded Brownfields Pilots in three categories: Assessment Demonstrations, Job
         Training partnerships, and Showcase Community collaboration projects. EPA also
         provides support through the  Brownfields Revolving Loan Fund Program. These efforts
         are designed to promote cleanup and redevelopment through the active involvement of
         states, local governments, communities,  and tribes.

         EPA has funded 227 Brownfield Assessment Demonstration Pilots through FY98. These
         pilots award up to $200,000 over a two-year period for the creative exploration and
         demonstration of brownfield solutions. The pilots are seen as catalysts for change in
         local communities, and often spur community involvement in  local land use decision
         making.  This is accomplished by extensive outreach to all stakeholders such as bank-
         ers, developers, community and neighborhood grass-roots organizations, faith groups,
         and small and large businesses.  During FY99, EPA plans to identify new Brownfield
         Assessment Demonstration Pilots and supplement up to 50 existing pilots.  In addition,
         through the Targeted Site Assessment (TSA) process,  EPA provides funding  and technical
         assistance for environmental assessments at brownfield sites throughout the country. In
         FY98, EPA distributed $8 million for this purpose.

         During FY98, EPA announced  16 Showcase Communities that display the joint effort of
         many federal  programs and EPA to strengthen the brownfields effort. Over the next two
         years, each community will receive up to $1 million in grants and other technical and
         financial aid, depending on its specific needs. In addition, 24 community finalists
         received supplemental funding to support assessments.  The showcase communities
         will also receive the assistance of a federal staff member for the duration of  two years to
         support all brownfield activities.  These Showcases intend to empower America's  com-
         munities and  demonstrate the benefits of coordinated federal attention to brownfields.

         To strengthen economic growth within brownfields communities, EPA awarded 11 new
         Job Training Development and Demonstration Pilots in FY98. These job training pro-
         grams enable local citizens to take advantage of jobs created by the assessment and
         cleanup of the brownfield  areas. Based on the success of current training programs, EPA
         anticipates awarding ten additional pilots in FY99.
     __     	
page 14

-------
                                                 Superfund  Program
                                      Accomplishment Headlines
          •
Brownfields
Showcase
Communities
                    EPA initiated Clean Air Brownfield Partnership Programs in Balti-
                    more, Dallas, and Chicago during FY98. These creative partner-
                    ships will demonstrate the effectiveness of innovative strategies
                    designed to enhance both air quality and  economic vitality in
                    Baltimore, MD; Chicago, IL; and  Dallas, TX.

                    Finally, EPA uses the Brownfields Cleanup Revolving Loan Fund
                    Pilots (BCRLF) to provide grants to cities to leverage their ability to
                    make low-interest loans for brownfields cleanup.  The Agency is
                    currently implementing 23 grants awarded during FY97.  Due to
                    Congressional restrictions, no new pilots were awarded during
                    FY98. However, EPA expects to fund up to 63 new BCRLF pilots
                    in FY99 in amounts up to $500,000 per pilot.  Supplemental
                    support of up to $150,000 may also be available for up to 23
                    existing pilots.

                    Refining CERCLIS and NPL Status

                    Almost 42,000 sites have been entered into the Comprehensive
                    Environmental Response, Compensation, and Liability Informa-
                    tion System  (CERCLIS), EPA's database of site information for all
                    potential or confirmed Superfund sites. Yet of these 42,000 sites,
                    less than four percent have been listed on the NPL. Until re-
                    cently, sites evaluated and not placed  on the NPL remained in
                    CERCLIS, associating a perceived threat of Superfund  liability
with the sites. To rectify this problem, EPA refined the process for registering and main-
taining site information in CERCLIS by archiving such sites.

EPA introduced the CERCLIS archiving effort in early 1995 as part of the Agency's
Brownfields Economic Redevelopment Initiative. Archive candidates include sites
where the initial investigation finds no contamination, where  contamination is quickly
removed, and where contamination is insufficient to warrant  federal Superfund attention.
In June 1996, EPA provided guidance for identifying types of sites eligible for archiving.
The Agency continues to archive sites from CERCLIS as assessment and any necessary
non-NPL cleanup activities are completed. The Agency has archived 31,000 (75 percent)
of the sites in CERCLIS through FY98.

Reforms have also enabled EPA to delete portions of sites that are uncontaminated or
have achieved their cleanup goals from the NPL. These steps facilitate the transfer,
development, or redevelopment of property or portions  of property where all  necessary
response work has been completed. The Agency has developed tools and guidance to
identify, map, and track these partial deletion sites, and  has initiated partial deletions at
14 sites since FY96. In FY98, the Agency completed six  partial deletions and two notices
of intent to partially delete.
Baltimore, MD
Chicago, IL
Dallas, TX
East Palo Alto, CA
Southeast, FL
Glen Cove, NY
Kansas City, KS/MO
Los Angeles, CA
Lowell, MA
Portland, OR
State of Rhode Island
St. Paul, MN
Salt Lake City, UT
Seattle/King County, WA
Stamford, CT
Trenton, NJ
                                                       	
                                                                           page 15

-------
Superfund  Program
Accomplishment  Headlines
   Removing Liability Barriers

         The prospective purchaser agreement (PPA) is one tool that EPA uses to facilitate the
         cleanup and reuse of contaminated property.  In May 1995, EPA published the "Guidance
         on Agreements with Prospective Purchasers of Contaminated Property," which superseded
         the 1989 prospective purchaser guidance.  The 1995 guidance's revised criteria allow EPA
         greater latitude in using covenants not to sue to support the cleanup and reuse of contami-
         nated property. The Agency now may enter into PRAs whenever federal action has oc-
         curred, is ongoing, or is anticipated.  In addition, the guidance provides flexibility in the
         form of benefits that purchasers must provide to  EPA to receive a covenant not to sue.
           PPA
                     buccess
              Woburn, MA
              To advance the redevelopment proposals at the Industri-Plex Superfund site in
              Woburn, MA, EPA entered into three PPAs. The PPAs enabled the public/private
              partnership to begin developing the area into a Regional Transportation Center with
              over 200,000 square feet of retail space, and potentially over 750,000 square feet of
              hotel and office space.

              Environmental and economic benefits include:

              • Creation of an open land and wetlands preserve;
              • Reduced exposure to contaminants by enhanced remedy protectiveness;
              • Improved traffic and safety conditions through alleviation of congestion at a
                 major highway interchange; and
              • An average of 700 short-term jobs with an estimated total annual income of
                 $23.6 million.
         Prior to publication of the 1995 guidance, EPA had entered into 20 PPAs.  At the end of
         FY98, close to 100 PPAs were referred to the Department of Justice; of these, close to 90 are
         final agreements. Following issuance of the revised guidance, the number of PPAs into
         which EPA entered increased by over 300 percent.

         The impact of the PPA guidance is visible in communities across the  country.  EPA
         regional staff estimate that, to date, PPAs have facilitated the purchase of over 1,500
         acres of contaminated property and have supported over 1,700 permanent jobs.  Fi-
         nally, reuse projects associated with PPAs have  resulted in an estimated  $2.6 million in
         local tax revenue and have spurred redevelopment of hundreds of thousands of adja-
         cent acres nationwide.
     _..     	
page ib

-------
                                             Superfund  Program
                                  Accomplishment  Headlines
Another tool available for re-
moving liability barriers is EPA's
"Policy on the Issuance of
Comfort/Status Letters" (No-
vember 1996). The policy
reassures parties that EPA will
not pursue them for cleanup
costs if they purchase, develop,
or operate on brownfields
property. Sample letters in the
guidance provide interested
parties with all releaseable
information EPA  has on a piece
of property, what that informa-
tion means, and  the likelihood
of or current plans for federal
Superfund action. Parties gain
"comfort" by receiving EPA's
data on a site and knowing the
Agency's intentions regarding a
Superfund response. To date,
the Agency has issued approxi-
mately 300 comfort/status letters.
Stakeholder  Comments
   EPA's reforms respond to many of the fundamental
   concerns of those considering the acquisition or
   financing of environmentally impaired real property.
   As a result, these reforms are increasingly facilitating
   the recycling of our nation's brownfields, thereby
   advancing both economic and environmental policy
   objectives.
       —Roger Platt, National Realty Committee

   EPA has demonstrated a steadfast commitment to
   reducing the anxiety of real estate investors interested
   in properties where contamination, or the threat of
   contamination, is present. Through a concerted
   series of EPA Superfund Administrative Reforms and
   associated Clinton Administration policy initiatives, a
   remarkable number of previously abandoned or
   underutilized properties are now being returned to
   productive use.
      —Lawrence Jacobson, Commercial Real Estate
        Finance Mortgage Bankers Association of
        America
 Comfort  Letter
            Success
     Woburn,  MA
     A property owner adjacent to the Industri-Plex
     Superfund site was receiving offers of less than
     half his asking price for his property due to
     potential ground water contamination. After EPA
     issued a comfort letter to the property owner, he
     received the amount he was asking.

     Glendale,  CA
     Dreamworks, the film studio founded by Steven
     Spielberg, showed interest in buying a large
     parcel of land on which to build sound stages.
     However, the land included a portion of the San
     Fernando Valley Superfund site, a contaminated
     aquifer subject to EPA cleanup activities.  EPA's
     comfort letter was able to address Dreamworks'
     concern over potential Superfund liability.
               On November 16, 1998, EPA issued
               the "Handbook of Tools for Manag-
               ing Federal Superfund Liability
               Risks at Brownfields and Other
               Sites."  This handbook compiles
               tools that describe federal liability
               as it relates to real property. The
               handbook provides background
               information on CERCLA and sum-
               marizes various statutory  provisions
               and Agency regulations, policies,
               and guidance documents that help
               manage CERCLA liability risks
               associated with brownfields and
               other sites.  EPA hopes that the
               handbook will facilitate reuse by
               helping developers weigh the
               benefits of redevelopment against
               any associated environmental risks.
                                                   Annual Report FY  19
                                                                       page

-------
Superfund  Program
Accomplishment  Headlines
         The reforms discussed in
         this section intend to help
         government and communi-
         ties work together suffi-
         ciently to start, maintain,
         and complete the
         remediation process.  The
         cooperation and participa-
         tion of all involved stake-
         holders allows redevelop-
         ment to occur both quickly
         and efficiently.  By support-
         ing brownfields initiatives,
         refining CERCLIS, and
         addressing  liability con-
         cerns, EPA has successfully
         enabled the return of sites
         to productive use.
Superfund Site Reuse Success
   Anaconda,  MT
   Through a cooperative effort involving EPA, state and
   local governments, and ARCO, the responsible party, a
   portion of the Anaconda Copper Smelter Site has been
   transformed into an award-winning golf course. After
   being capped, a 1,500-acre portion of a former smelting
   and processing area was redesigned by golf pro Jack
   Nicklaus. Nicklaus preserved and incorporated many of
   the smelting structures into features of the golf course to
   retain the lands' historical importance. A state-of-the-art
   drainage system was also implemented  to protect a
   nearby watershed. During  its six-month season, the Old
   Works Golf Course supports approximately 20 full-time,
   permanentjobs. The total annual income associated
   with these permanentjobs is estimated to be $480,000.
   These permanentjobs will result in  over $30,000 in state
   income tax. The county also expects to  receive
   $250,000 annually from golf course revenues.
        Superfund  Site
                                       Su
      uccess
        York  County,  VA
        The Chisman Creek watershed was contami-
        nated by the dumping of over 500,000 tons
        of fly ash (the soot-like byproduct from the
        burning of fossil fuels like coal and petroleum
        coke). Heavy metals such as nickel, vana-
        dium, arsenic, beryllium, chromium, copper,
        molybdenum, and selenium were leaking
        into local rivers and ponds and contaminat-
        ing drinking wells. Following site cleanup, a
        partnership of EPA, the Commonwealth of
        Virginia, Virginia Power, and York County,
        with the full support and urging of the community, constructed Chisman Creek and Wolf Trap
        Parks on a total of 41 acres.  The two recreational facilities contain softball and soccer fields,
        recreational support facilities, two ponds, and a memorial tree grove. The National Environmental
        Awards Council, representing 23 non-profit environmental advocacy groups, presented an Environ-
        mental Achievement Award to the "Chisman Creek: Fly Ash to Fly Balls" partnership.
page 18
         Report FY 1998

-------
                                                     Superfund  Program
                                          Accomplishment Headlines
Recycling Superfund Sites
      A logical outgrowth of the brownfields redevelopment work is the reuse of Superfund
      sites. Recycled Superfund sites may be redeveloped for a variety of uses, including
      commercial/industrial, recreational, and ecological projects.  Major national corpora-
      tions have established businesses at recycled Superfund sites, including Netscape,
      Target, Home Depot, and McDonalds.  Other sites have been redeveloped into athletic
      fields, community parks, golf courses,  and wetland and habitat preserves.  Preliminary
      analyses indicate that as many as 150 Superfund sites are in reuse or continued use,
      supporting thousands of jobs and generating revenue for states and local communities.
      EPA continues to make strides in spurring the beneficial reuse  of Superfund sites.
          EPA has produced
             several fact sheets that highlight successful site reuse projects, such as the
             document discussing the Denver Radium site (below). These fact sheets can
             be found online at: http://www.epa.gov/superfund/accomp/redevel/index.htm.
          3 Denvci Rdihuni Supeifund Site - Miuluiuft Internet Expluiei
           file  £* View  fio  Fsvortes  Help
           Address |j&"| hrlp//wviiw epagn^/'s
                v>EPA
Unfed 3Uto
MlWMl
••••)' •• I
Otfic* of Eme.-gency jsnd
Remedial Response
(5201S)
OStfllER 0378.0 17FS
P8 98-963J12
Warcfi 19BS
               Denver Radium Superfund Site
               Denver,  Colorado
                        A Superfund Redevelopment Success
                         Denver Radium
                           At a Glance
                Problem: Contamination of soil resulting from
                radium processing and other mcustnsl activitios.

                Solution: Excavation of soils, demolition of
                buildings, and off-site disposal of radioactrve
                materials, construction of a soil cap ever metal-
                contammatQd soil, and rQEtrictians on futurs land
                and grounctwater UGS.

                Redevelopment: Partnprsriip fnrmeil among FPA,
                Colorado Department of Pubic Health and
                Environment, and Home Depot USA, Inc., resulted m
                the construction of a 130,000 square foot retail sales
                facility on the site
                       A po-ton Qt'the Denver Raoium
                       Superfund site has been cleaned up and
                       relumed (o productive use with the
                       construction of a Home Depot store.
                                                           	r_	
                                                                                page  19

-------
Superfund  Program
Accomplishment Headlines

Getting the Little  Guy  Out
         Since initiating the reforms program in 1993, EPA has removed thousands of small waste
         contributors from the Superfund liability scheme.  Recognizing that third-party litigation
         can inordinately burden small parties, EPA has used its settlement authority to get small
         waste contributors out of Superfund litigation. This effort decreases transaction costs
         while increasing fairness and resolution speed.

         EPA recognizes two main types of small contributors: de minimis and de micromis:

         • De minimis contributors are those parties who have contributed only a very small
            amount of waste to a site, and whose contribution is minimal compared to other
            waste at the site.  For example, an individual who contributed one percent or less of
            the waste at a site may be considered a de minimis party.

         • De micromis contributors are those parties whose contribution of hazardous sub-
            stances to a facility is minimal, both in volume and in toxicity.  De micromis parties
            are defined by the following eligibility:

            —  0.002 percent  (of total volume) or 110 gallons/200 pounds of materials contain-
                ing hazardous substances, whichever  is  greater; or

            —  0.2 percent of total volume, where a contributor sent only municipal solid waste
                (MSW).

         The de minimis initiative was a Round 1 reform  that  has now been fully incorporated
         into the base Superfund program.  This reform has been one of the Agency's most
         successful,  embraced by the regions,  major PRPs, and small waste contributors.
         Through FY98,  the government has completed settlements with over 18,000 small-
         volume contributors (two-thirds since the de minimis reform was announced) at hun-
         dreds of Superfund sites.

         EPA has also sought to protect de  micromis contributors.  The Agency issued its first
         policy in 1993,  indicating that these parties should not be pursued, and subsequently
         expanded the number of parties eligible for de micromis treatment in the "Revised De
         Micromis Guidance" (June 1996).  The revised guidance  doubles previous  eligibility
         cutoffs and intends to further discourage third-party litigation against de micromis par-
         ties.  For such small parties, the cost of legal and other representation services may
         actually exceed the party's settlement share of response costs.  If private parties do
         threaten suit against these very small contributors, EPA enters into settlements providing
         contribution protection.
	
page 20

-------
                                             Superfund  Program
                                 Accomplishment  Headlines
By publicly offering parties a zero dollar settlement in the 1996 Revised Guidance, EPA
hinders big polluters from dragging de micromis contributors into litigation. The real
success of this method is measured by the untold number of potential lawsuits that the
Agency has discouraged.  The low number of sites using de micromis settlements (nine
sites through FY98) illustrates how EPA's 1993 and 1996 de micromis  policies  have
successfully deterred PRPs from pursuing small parties.

In addition, when EPA settles with the primary PRPs, the Agency asks that the  primary
PRPs waive their right to pursue de micromis parties. EPA and the Department of Justice
issued an October 2,  1998, policy entitled "Inclusion of Contribution Waiver by Private
Parties in CERCLA Administrative and Judicial Settlements." The policy provides that
EPA should seek these waivers in all agreements (e.g., Remedial Design/Remedial
Action, removal, Administrative Order on Consent, de minimis, cost recovery). Although
the 1996 Revised  De Micromis Guidance provides that the government will exercise
enforcement discretion and decline  to pursue these parties, it did not insulate such
parties from contribution actions by  other PRPs at the site.  The development of this
policy further strengthens EPA's commitment not to pursue de micromis parties and to
protect them from third-party litigation.
                                                  	
                                                                      paqe 21

-------
Superfund  Program
Accomplishment  Headlines
Success Through  Partnerships
         When EPA began investigating ways to improve the Superfund program in 1991, it immedi-
         ately recognized the critical importance of partnership and community participation.  The
         Agency saw involvement as key to the success of Superfund.  Partnership includes both
         community and EPA interaction  as well as federal, state, and tribal integration.  In addition,
         partnership includes enhancing individual stakeholder participation in the program.

   Community Involvement

         EPA believes that communities must have meaningful opportunities for  involvement
         early in the cleanup process  and should stay involved throughout site cleanup. Initia-
         tives such as Community Advisory Groups (CAGs), Technical Assistance Grants (TAGs),
         and job training programs are just a few of the ways that EPA is supporting this endeavor.

         On the local  level, CAGs foster  meaningful public involvement and  integrated problem-
         solving.  The CAG serves as a public forum for representatives of diverse community
         interests to present and discuss their needs and concerns related to the  Superfund site
         with federal,  state, tribal, and local government officials.  The number of sites with CAGs
         increased by over 50 percent before the CAG program was officially taken out of the pilot
         stage. In FY98, 14 new CAGs were
         created, bringing the total to 47.  The
         CAG concept has been so successful
         that other Agency programs (Commu-
         nity-Based Environmental Protection,
         the Resource Conservation and  Recov-
         ery Act,  and  Project XL) adopted its
         ideas in FY98.  In Region 1, use of a
         CAG led to community consensus and
         the selection of a new remedy that
         saved approximately $45 million.

         To facilitate CAG efforts, EPA released
         two versions of a Community Advisory
         Group Toolkit during FY98. The
         toolkits—one for EPA staff and one for
         community members—were designed
         to help communities set up and main-
         tain a CAG.  EPA tested the toolkits at 18
         sites.  Based  on comments from the field
         tests, the Agency revised the toolkits and
         distributed final copies in October 1998.
         As a companion document, EPA also
         released "About the Community Advisory
TAG Success
     Vertac Site, AR
     TAGs have enabled communities to
     better understand and therefore comment
     on Superfund activities. For example, the
     Concerned Citizens Coalition (CCC) of
     the Vertac site in Arkansas was awarded a
     TAG in 1996. According to a CCC
     member, the community was better able
     to understand EPA's technical decisions
     and actions with the help of the Technical
     Advisor (TA) provided by TAG funding.

     AT&SF Site, NM
     At the AT&SF site in New Mexico, the San
     Jose Community Awareness Council used
     TAG funds to pay for the technical
     advisor as well as to help create and fund
     a community newsletter that provides site
     activities information to the neighbor-
     hood.
page 22
         Report FY 1998

-------
                                             Superfund  Program
                                  Accomplishment Headlines
Group Toolkit: A Summary of the Tools" in September 1998, describing the toolkit and
explaining its uses.  In addition to ensuring the continued success of the CAG program,
EPA will continue to evaluate CAGs; pursue CAG formation at appropriate sites; and de-
velop techniques for improving its support and assistance to communities that form CAGs.
          Success
    Orongo-Duenweg Mining Belt, MO
    At the Orongo-Duenweg Mining Belt in Missouri, the formation of a CAG in 1995 gave
    community members a voice in dealing with their concerns about EPA's plans for site
    cleanup, including the impact these plans could have on real estate values and citizens'
    health. The group helped establish a working relationship between the community and
    EPA by opening up the lines of communication. This improved communication helped
    EPA explain its site remedy choice to concerned community members.  In fact, the
    community came to agree with EPA's proposal to implement an innovative cleanup
    technology, which promises to increase the pace of the cleanup and save money.

    "Established communications forums where complex issues can be discussed in detail,
    enable people to begin to understand site issues on a deeper level and help them to not
    react from fear."
    —David Mosby, CAG Member


    Geneva City  Dump/True  Temper Sports  Site, OH
    Co-founder Beth Robinson and Chairperson Pat Simpson of the Geneva City Dump/True
    Temper Sports site's CAG in Geneva, OH, said that the CAG has strongly influenced the
    cleanup of the True Temper Sports site. They cited the CAG's success in expanding the
    scope of the original cleanup plan to include removal of contaminated sludge from a
    lagoon. They also said that EPA listened and responded to community concerns by
    doubling the size of the cleanup and incorporating citizen comments into the work plan.

    "Our Community Advisory Group has had an excellent, non-adversarial relationship with
    EPA from the beginning of the process. They said the community trusted EPA more as a
    result of the formation and operation of the Community Advisory Group."
    —Co-founder Beth Robinson and Chairperson Pat Simpson, Geneva City Dump/True
    Temper Sports Sites CAG


    Velsicol Chemical Site,  Ml
    According to Chairman Ed Lorenz of the Pine River Task Force (Velsicol Chemical site) in
    St. Louis, Ml, information in the Community Advisory Group Toolkit prompted the group
    to focus on environmental justice issues. The task force has done extensive outreach to
    local citizens, and a nearby Indian reservation now has an active member on the group.
    The task force has also reached out to seasonal migrant workers. This outreach has
    resulted in more diverse input to the cleanup process.
                                                   	
                                                                       page 23

-------
Superfund  Program
Accomplishment  Headlines
                    looikit
            The toolkit contains outlines, forms, publications, and other "tools" that can be used to
            establish and operate CAGs. A brief overview of the tools follows.

            •  Meet the Community Advisory Group
                Explains the purpose of CAGs and provides presentation materials for members to
                use in promoting their community group.

            •  Tips for Involving Hard-to-Reach Segments of the Community
                Contains suggestions on how to reach out to and involve portions of the commu-
                nity with low-income and minority populations.

            •  Let's Get Started
                Highlights a few of the steps involved in structuring and starting a CAG, including
                choosing a name, defining a mission, and setting up an organizational structure.

            •  Writing a Mission Statement
                Describes how to craft a well-written mission statement that focuses an organiza-
                tion and tells how important a statement is in communicating the CAG's objec-
                tives.

            •  Developing Operating Procedures
                Explains how to write operating procedures on how the group will conduct busi-
                ness, make decisions, and resolve disputes.

            •  Incorporating Your Community Advisory Group
                Explains the importance of incorporating the CAG for tax purposes, and describes
                the steps involved so that groups can qualify for financial assistance from federal,
                state, public or private resources, or TAGs from EPA.

            •  Securing Tax-Exempt Status
                Outlines the steps involved in applying for tax-exempt status with the IRS and
                provides guidelines for state and local governments (as incorporation does not
                automatically exempt CAGs from taxation).

            •  Community Advisory Groups and Technical Assistance Programs
                Describes the steps involved in obtaining TAGs to hire independent technical
                advisors, so that citizens can better understand complex issues at Superfund sites.

            •  Finding Funding for Community Advisory Groups
                Provides a guide to help groups write an effective proposal that will attract funding.
     __      	
page 24

-------
                                                     Superfund  Program
      Through initiatives such
      as the CAG program,
      communities gain greater
      input into and awareness
      of Superfund issues.
      Yet citizens also need to
      understand complex
      technical information.
      To fulfill  this need, TAGs
      allow eligible community
      groups to hire technical
      advisors  to help the com-
      munity better understand
      site-related technical
      information.  EPA has
      awarded 202 TAGs to
      various groups since the
      program's inception in
      1988.  In June 1999, the
      Agency plans to  publish
      the provisions of the
      revised TAG regulation,
      which is intended to
      simplify the TAG program.
       Accomplishment  Headlines

Stakeholder Comments	
   The Dutch Boy Site Community Advisory Group has been an
   effective way of getting everyone with an interest in site
   decisions to talk to each other. Now, the two homeowners
   associations work together closely—not only on site-related
   issues, but on other common concerns. The flow of informa-
   tion between the local, state, and federal government and
   community residents has improved as well.
      —Co-chairs John Chenier and Tony Davenport, Dutch
        Boy Site CAG,  Chicago, IL

   The CAG concept is "the best way to resolve issues at
   Superfund sites, because everyone talks and listens to each
   other."
      —CAG Member Catherine O'Brien, Brio Refining  Inc.,
        Superfund Site, Harris County, TX

   The partnership was successful in developing practical
   remedies that conserved financial and natural resources,
   reflected input from the public, and relied on coordination
   among regulatory agencies.
      —Tony Able,  EPA Region IV Remedial Project Manager
        regarding EPA, DOE, TDEC cooperation for Lower
        East Fork Poplar Creek Oak Ridge Site, TN
      Other outreach initiatives have also provided meaningful and timely participa-
      tion for communities. In response to requests for local economic benefit from site
      cleanups, EPA used interagency partnerships to design the Superfund Jobs Training
      Initiative (SuperJTI).  At the NL Industries-Taracorp Superfund site in Granite City, Illinois,
      EPA worked with DePaul University in Chicago to provide environmental job training for
      26 area residents, 18 of whom have been hired by environmental firms.  Additionally,
      EPA partnered with the U.S. Public Health Service to form the Superfund  Medical Assis-
      tance Work Group, which established the Medical Assistance Plan to address health
      concerns of citizens living near hazardous waste sites.  Since 1995,  the Agency for Toxic
      Substances and  Disease Registry has provided 62 environmental  health care training
      programs, workshops, lectures, and seminars to health care providers, local agencies,
      and residents of communities near hazardous waste sites.

State and Tribal Involvement

      EPA recognizes the importance of ensuring effective state and tribal involvement. States
      are successfully conducting thousands of hazardous  waste site cleanups under both
      state and federal Superfund programs. Approximately 35 states have implemented
      Voluntary Cleanup Programs (VCPs)—only one example of integrated programs that
      affirm state and  federal commitment to partnership.  EPA has identified 11 program areas
                                                           	
                                                                                page 25

-------
Superfund  Program
Accomplishment  Headlines
         for potential state involvement, with over 50 percent of all states participating in at least
         one, and with some states active in as many as five program areas.

         EPA  has begun collecting and evaluating data from state remedy selection pilots, and
         will incorporate findings into the Agency's Enhanced State and Tribal Roles  Initiative.
         EPA  is also supporting pilot initiatives in two states (New Hampshire and Texas) to
         assess the ability of states to conduct more time-critical removal actions.  The Agency  is
         developing an evaluation strategy and expects to complete it during FY99. These pilots
         will help EPA focus on efficient and effective ways to increase state involvement and
         reduce EPA oversight within the Superfund cleanup process.
   Partnershi
                   uccess

       RSR Smelter Site, Dallas, Texas
       The names of the certified students who completed the 80-hour HAZMAT (hazardous materials) training
       were sent via the remedial project manager to the selected contractors who will carry out the remedial
       action for Operable Unit #4. It is hoped that the students will be selected for employment during the
       implementation phase of the response action.

       State Marine Site, Port Arthur, Texas
       On July 22, a community meeting was held at the site to inform residents of future opportunities to
       participate in the National Institute of Environmental Health Sciences (NIEHS) Minority Worker Training
       Program. Approximately 20 students will be trained in study skills, life skills, math skills, HAZMAT, and
       other related training. When removal action begins at the site, contractors will be encouraged to hire
       the trained and certified community residents.

       EPA Brownfields  Job Training, Dallas, Texas
       In addition to the NIEHS minority training opportunities available to communities affected by
       brownfields, EPA is piloting its own brownfields-related minority worker training program. The program
       offers citizens living in brownfields communities environmental and other related training so that they
       can find jobs in local cleanup projects. EPA required that pilot applications be located within or near
       one of the 121 pre-1998 brownfields assessment pilot communities. A Dallas pilot program was
       forwarded to Headquarters for consideration and the approved proposal was announced on August 8,
       1998, with the grant to be awarded by October 1,1998. The Texas A&M Extension Center will provide
       training to 40 students in innovative technology, study skills, life skills, math skills, heavy equipment
       operation, and HAZMAT training.
         Integrated federal, state, and tribal site management efforts further empower states in the
         cleanup process.  Deferring sites from NPL listing and assigning cleanup responsibilities
         to state or tribal agencies leads to greater state involvement. Since the initiative was
         announced in 1995, at least 11 states have signed state deferral agreements that cover
         over 30 sites.  Region 8 signed a new agreement at the Smeltertown site in  September
         1998 and anticipates up to seven new agreements next year.


     _     	
page 26

-------
                                              Superfund  Program
                                  Accomplishment  Headlines
Consolidated (Block)          or-.                •-.           A
Funding can be defined as     fttate Participation Program  Areas
the consolidation of two or
                                   Pre-remedial/Site Assessment Cooperative Agreement
                                   Remedial Response Cooperative Agreement
                                   Enforcement Cooperative Agreement
                                   Removal Response Cooperative Agreement
                                   Core Program Cooperative Agreement
                                   Support Agency Cooperative Agreement
                                   Multi-site Cooperative Agreement
                                   Voluntary Cleanup Program
                                   Consolidated Cooperative Agreement Pilot
                                   Remedy Selection Pilot
      more of the six types of
      cooperative agreements
      currently offered in
      Superfund under a single
      umbrella  cooperative
      agreement (CA), with a
      single scope of work and
      budget. The initiative was
      designed  to enhance state
      flexibility  in redirecting CA
      funds between and among
      sites and  activities (to the
      extent allowed by the Superfund Advice of Allowance); expand state and tribal flexibility to
      transfer funds among sites and activities within the approved tasks for the CA without prior
      EPA approval; reduce the need for amendments when scope-of-work changes are needed;
      and reduce other specific administrative budget and reporting requirements, where appro-
      priate.  The consolidated (block) funding reform was implemented in early 1997 with a
      start-up of 13 pilots. In FY98, the number of pilots grew to over 20, resulting in reduced
      reporting  requirements, scope changes, money movement within and among CAs, and
      generic obligation of monies. EPA hopes to evaluate the program's success in FY99.

      Both community involvement and federal, state, and tribal initiatives have strengthened
      the Superfund program.  Reforms that enhance community involvement and communi-
      cation increase the effectiveness of the program overall.  Site-specific activities can move
      forward in an environment of stronger community satisfaction and involvement.  More
      resources are provided for the community, including job training and health programs.
      Federal, state, and tribal partnerships, built upon  a foundation of demonstrated state
      readiness and resources, provide clear state decisionmaking authority with support from
      (but minimal overlap with) EPA.  By forging partnerships and pooling the knowledge
      and resources of various stakeholders, the Superfund program can better protect people
      and the environment from risks associated with contaminated sites.

Enhancing Stakeholder and Citizen Participation

      EPA is improving the Superfund program by providing the opportunity for input not only
      at the state and community levels, but also at an individual level.  Through tools such as
      forums, Ombudsmen, and websites, interested stakeholders and citizens can easily
      access information and  participate  in local cleanups.

      Forums are one tool that EPA uses to enhance public participation in the Superfund
      program.  In September 1998, the Agency held the Sustainable Development/Recycling
                                                   	
                                                                        paqe 27

-------
Superfund  Program
Accomplishment  Headlines
                        Websites
                 Headquarters Superfund Homepage (www.epa.gov/superfund/)

                 Region 1 Superfund Homepage (www.epa.gov/region01/remed/superfund/index.html)
                 Region 2 Superfund Homepage (www.epa.gov/region02/superfnd/superfnd.htm)
                 Region 3 Superfund Homepage (www.epa.gov/reg3hwmd/super/index.htm)
                 Region 4 Superfund Homepage (www.epa.gov/region4/wastepgs/sf/supfnd.htm)
                 Region 5 Superfund Homepage (www.epa.gov/R5Super/)
                 Region 6 Superfund Homepage (www.epa.gov/earth1r6/6sf/6sf.htm)
                 Region 7 Superfund Homepage (www.epa.gov/region07/programs/spfd/spfd.html)
                 Region 8 Superfund Homepage (www.epa.gov/region08/sf/sf_home.html)
                 Region 9 Superfund Homepage (www.epa.gov/region09/waste/)
                 Region 10 Superfund Homepage (http://epainotes1.rtpnc.epa.gov:7777/r10/cleanup.nsf/
                 webpage/Superfund + (CERCLA))

                 Superfund Reforms Homepage (www.epa.gov/superfund/programs/reforms/)

                 National Remedy Review Board Website (www.epa.gov/superfund/programs/nrrb/)

                 Rules of Thumb for Remedy Selection Guidance (www.epa.gov/superfund/resources/rules/)

                 Clarifying the Role of Cost in the Remedy Selection Process Factsheet (www.epa.gov/
                 superfund/resources/cost_dir/cost_dir.pdf)

                 Expert Workgroup on Lead Website (www.epa.gov/superfund/programs/lead/)

                 Superfund Site Dynamic Query Function (www.epa.gov/superfund/sites/)

                 Superfund Risk Assessment Website (www.epa.gov/superfund/programs/risk/)
          Superfund Sites Forum to discuss issues surrounding the recycling of Superfund sites.
          Over two days, a broad range of participants from local government, community groups,
          private industry, and other parties involved with Superfund sites discussed their perspec-
          tives on site reuse, provided feedback to EPA, and created a valuable network of stake-
          holders who can share expertise in the field.  The forum helped EPA gather input from
          interested parties on the role the Agency can play in promoting and leveraging the reuse
          of Superfund sites.

          In March  1998, EPA teamed  with the International City/County Managers Association to
          hold the third Risk Assessment Guidance for Superfund (PvAGS) Stakeholder Forum in
          Atlanta, Georgia. Participants discussed the role of community involvement in
          Superfund risk assessments and helped develop public outreach products,  including an
          educational videotape for citizens.  Participants provided helpful suggestions for improv-
          ing the products and gained a better understanding of risk assessment reforms.
_____
page  28
         __ _

-------
                                                 Superfund  Program
                                    Accomplishment  Headlines
EPA's ten regional Superfund Ombudsmen help resolve concerns community members
have with cleanup actions.  For example, EPA Region 7 undertook a major action to
clean up lead contamination in approximately 3,000 residential yards. The regional
Ombudsman helped resolve complaints  from property owners who were not satisfied
with the outcome.  In one particularly difficult case, the Ombudsman made an indepen-
dent assessment and then worked out an agreement acceptable to EPA, the property
owner, local officials, and the Army Corps of Engineers.

EPA also uses its extensive Superfund website to inform and involve the public.  In
addition to the Headquarters Superfund page, all ten regions have their own homepages
that provide site information, link to important documents, and list appropriate contacts.
The Agency's  new Superfund Reforms Website allows stakeholders to view documents,
read success stories, and  access the latest information on each reform. Visit the
Superfund  Reforms Website at http://www.epa.gov/superfund/programs/reforms/.
                                                 Suoerfund
                         I tir //rjiv tmrnrtl n ffiw» rw*iJ Hwlplul Inlunvirtliui
                ky TW.  — «•-<" «•-'-" "«i«-«i-J «i™u,l. ib
                hy R«r«nd ^^^^^^^^^^^^^^^^^^H

                510 "  	      --    -  "erorjn
                       Sfau* fc* lt«ft in S^rtoflS
                                                        altti sutl th
                                                         i«iMtitti£
                                                         , EPA imp1
                       In 1993, EPA A iSmiriistrstoi C-trcJ Browm*r anr-ounced tht fiist ofliufe founds of
                       *3'j|3 tcfurid RefoEKii " Each.j'Dund ofi*f':jiiii coiisLfted of *"4i3DU3 ioiliativts
                       pilots which fociisicd on. ch-mger thai ciiald bt unplttKtri±*d Hfithir. the exii-^
                               pros'*:. Tti* Eefiuni we-ie
                         gj^g from ei-sljon.-9i] prs p-amiaatic .rt'iiu'ig-f s :r ch&nges affecting Lndi^iduil silts
                       at *vtrr fftae of the cleanup and enfci cement processes.
                       Ae a result of thep« i^Forrne, Uu ptopamjp 
-------
	
Reforms  at   a   Glance
         The Reforms Matrix section provides a quick reference tool that summarizes the current
         status and activities for each reform. The reforms are separated into broad categories
         within Rounds 2 and 3, including cleanups, enforcement, risk assessment, public in-
         volvement and environmental justice, economic redevelopment, innovative technology,
         and state and tribal empowerment.

         The matrix is intended  to be a comprehensive look at the activities and achievements of
         the reforms.  The column headings present easily accessible information for each re-
         form. The first column, "Reform," provides the reforms name  and  number, as well as a
         brief description of the reform goals. The second column, "Status," indicates whether a
         reform is complete or ongoing, and lists current activities of the reform effort. "Com-
         pleted" status indicates that the major objectives of the reform have been fulfilled and
         future activity will consist mainly of continuing efforts to implement and strengthen the
         reform.  For these reforms, activities listed under the "Status" heading reflect ongoing
         program implementation.  The third column, "Successes," lists the reform's achieve-
         ments and outcomes.
          Reforms Strengthen  and Improve
          the  Superfund  Program	
                                              hasten, hairer, More bfficient

             Ensuring consistent program implementation by applying lessons learned from past
             initiatives to make cleanups faster, more efficient, and less costly.

             Promoting economic development initiatives that foster cleanup and reuse of aban-
             doned, idled, or under-used industrial and commercial properties where expansion or
             redevelopment is complicated by real or perceived contamination.

             Involving and informing communities in the cleanup process to ensure that cleanup
             objectives are responsive to the needs of the communities served.

             Ensuring environmental justice for people of all ethnic groups and the economically
             disadvantaged through equal, prompt, and effective environmental protection.

             Getting state and tribal governments more involved in recognition of the high quality
             of state cleanup programs and state and tribal contributions to Superfund efforts.

             Making the liability system work better by test-driving innovative enforcement pro-
             cesses; reducing transaction costs for PRPs; and promoting fair, effective, and efficient
             settlements.
     _     	
page 30

-------
                                                         Reforms  at  a  Glance
      Reform
HI  FANNPS
       Status
                                                                                UU
  Successes
 Establish National Remedy
 Review Board (NRRB) (1a)
 Promotes cost-effectiveness and
 national consistency in remedy
 selection through analysis of
 site-specific cleanup strategies
 Establish New Remedy
 Selection Management Flags/
 Rules of Thumb (1b)
 Promotes cost-effectiveness by
 developing remedy selection
 rules that flag potentially "contro-
 versial" cleanup decisions for
 senior management
 Update Remedy Decisions at
 Select Sites (2)
 Revisit remedy decisions at sites
 where new scientific information
 ortechnological advancements
 will maintain protectiveness of
 human health and environment
 and enhance overall remedy and
 cost-effectiveness
Reform Complete
• Continue to review site cleanups
 and non-time-critical removal
 actions that meet certain criteria
Reform Complete
• Continue to use consolidated guide
 and guidance to improve remedy
 selection process
Reform Complete
• Work with states and PRPs to
 identify opportunities for improving
 remedies
• Tabulate specific remedy update
 data on a quarterly basis
• Established Remedy Review Board
 (11/95)
• Issued memorandum and fact sheet
 on Remedy Review Board (9/96)
• Issued annual progress report (12/96
 and 2/98)
• Created National Remedy Review
 Board website (www.epa.gov/
 superfund/programs/nrrb/index.htm)
• Reviewed and streamlined the scope
 and mission of the Board (FY98)
• Reviewed a total of 33 site deci-
 sions, saving an estimated $43
 million (through 9/98)
• Issued consolidated guide to consul-
 tation procedures for Superfund
 response decisions (5/97)
• Issued guidance on rules of thumb for
 Superfund remedy selection  (8/97)
• Posted "Rules of Thumb for Remedy
 Selection" guidance on EPA
 homepage (10/97); over 1,500 users
 have accessed the document
 (www.epa.gov/superfund/programs/
 reforms/reforms/3-1 b.htm#docs)
• Issued final implementation memo-
 randum (9/96)
• Updated over 210 remedies, with
 estimated future cost savings of over
 $1 billion (through 9/98)
• Published results of remedy updates
 completed during FY96 and FY97 in
 report, "Updating Remedy Decisions
 at Select Superfund Sites, Sum-
 mary Report" (7/98)
                                                                 	
                                                                                      page 31

-------
                a	ance^
      Reform
CLEANUPS
        Status
  Successes
 Clarify the Role of Cost in
 the Remedy Selection
 Process(3a)
 Clarify the role of cost as
 established in existing law,
 regulation, and policy
 Directive on National Consis-
 tency in Remedy Selection
 (3b)
 Emphasize critical importance
 of national consistency in the
 remedy selection process and
 request that program managers
 fully use existing tools and
 consulting opportunities to
 promote such consistency
 Clarify Information Regard-
 ing Remedy Selection
 Decisions (4)
 Design a tool for clearly pre-
 senting, in a standardized
 format, the context, basis, and
 rationale for site-specific
 remedy selection decisions
 Establish Lead Regulator for
 Federal Facilities (7)
 Develop guidance to establish a
 lead regulator at sites undergo-
 ing cleanup activities under
 competing federal and state
 authorities to eliminate overlap
 and duplication of oversight
 efforts
Reform Complete
Reform Complete
• Continue to review all proposed
 plans and Records of Decision
 (RODs) to promote national
 consistency in remedy selection
 decisionmaking
Reform Complete
• Prepare more comprehensive
 guidance
Reform Complete
1 Issued memorandum and fact
 sheet on the role of cost (9/96)
1 Fact sheet posted on Superfund
 homepage (12/96) and accessed
 by over 1,000 users (www.epa.gov/
 su perfu nd/resou rces/cost_d ir/
 cost_dir.pdf)
1 Issued national consistency memo-
 randum "National Consistency in
 Superfund Remedy Selection" (9/96)
1 Established cross-regional
 management and technical review
 workgroups to promote communica-
 tion and consistency
1 Published fact sheet on EPA's
 management review procedures
 (5/97)
• Developed interim remedy selection
 summary sheet (12/96)
• Developed draft policy
• Issued policy that promotes the
 single regulator, defines roles, and
 outlines the general principles and
 guidelines for federal and state
 partners in overseeing cleanup
 responses (FY98)
page  32
         Report  FY 1998

-------
                                                         	
      Reform
HI  FANNPS
        Status
  Successes
 Consider Response Actions
 Prior to NPL Listing (8)
 Provide greater flexibility to
 current NPL policy for evaluating
 the impact of completed remov-
 als on the MRS score by allow-
 ing post-Site Inspection com-
 pleted removals to be considered
 in MRS scoring
 Promote Risk-Based Priority
 Setting at Federal Facility
 Sites (10a)
 Develop draft guidance forthe
 regions which will address the
 role of risk and other factors in
 setting priorities at federal
 facility sites
 Promote Risk-Based Priority
 for NPL Sites (1 Ob)
 Establish national Risk-Based
 Priority Panel to evaluate the risk
 at NPL sites with respect to
 human health and the environ-
 ment; use evaluations to estab-
 lish funding priorities
Reform Complete
• Continue to collect information and
 monitor implementation of reform
Reform Ongoing
• Implement on a regional level
•Completion expected 3/99
• Issue final guidance
Reform Complete
• Continue review of cleanup projects
 and establish funding
• Reconvene panel (early Spring
 1999)
• Amended October 1992 NPL policy
 (4/97)
• Developed draft guidance
• Regions began implementing risk-
 based priority setting at federal
 facilities
• Issued "Interim Final Policy on the
 Use of Risk-Based Methodologies in
 Setting Priorities for Cleanup Actions
 at Federal Facilities" (8/98)
• Established National Risk-Based
 Priority Panel to rank sites based on
 risk (8/95)
• Evaluated over 50 projects during
 FY97 (8/97)
• Evaluated over 50 projects in FY98,
 30 of which were funded in accor-
 dance with their recommendations
 totaling over $180 million
• Ranked over $1 billion worth of
 cleanup projects since its inception
                                                                  	
                                                                                        page  33

-------
                 a	ance^
      Reform
        Status
  Successes
RISK  ASSESSMENT
 Community Participation in
 Designing Risk Assessments
 (5a)
 Create a concise, user-friendly
 reference that provides risk
 assessors and community
 members with suggestions for
 good risk assessments; pro-
 motes public participation in the
 risk assessment process
 PRP Performance of Risk
 Assessments (5b)
 Reaffirms EPA's commitment to
 authorize PRPsto perform risk
 assessments underthe proper
 circumstances
 Establish National Criteria to
 Plan, Report, and Review
 Superfund Risk Assessments
 (6a)
 Prepare documents to help
 insure that risk assessments are
 more transparent, clear, consis-
 tent and reasonable
Reform Ongoing
• Complete and distribute final
 guidance document (1/99)
• Prepare a hand-out on community
 participation (1/99)
• Produce a video that discusses
 risk assessment and opportunities
 for public involvement (Spring 1999)
 [See also Reform 3.6b]
Reform Complete
• Survey regions to determine if there
 are sites where PRPs perform the
 RI/FS but not the baseline risk
 assessment
Reform Complete
• Continue RAGS Part D pilot during
 FY99, addressing questions from
 training and website feedback
• Test RAGS Part D on various site
 types and provide clarification and
 usertips as appropriate
• Revise guidance as appropriate
 throughout and following pilot
 period
•Address lead, radionuclide, and
 ecological standardization issues
• Formed workgroup to develop
 reference document (2/97)
• Shared draft of reference document
 with the Association of State and
 Territorial Solid Waste Manage-
 ment Officials (ASTSWMO), and
 with participants at the Risk
 Assessment Reform Stakeholder
 Forum (3/98) and several EPA
 technical community involvement
 meetings
• Revised document based on
 feedback
1 Issued guidance clarifying PRP role
 in risk assessments (1/96)
• Drafted standard risk assessment
 data reporting tables (7/97 or 7/96)
• Issued Technical Approach to Risk
 Assessment for planning, reporting,
 and reviewing risk assessments (9/97)
• Issued "Risk Assessment Guidance
 forSuperfund (RAGS) (Part D)" (1/98)
• Launched RAGS Part D website
 containing guidance documents
 (2/98) (www.epa.gov/superfund/
 prog rams/risk/ragsd/index. htm)
• Released "Ecological Risk Assess-
 ment Guidance forSuperfund" (6/98)
• Conducted RAGS Part D training for
 risk assessors and risk managers
 (7-9/98)
page 34
          Report FY 1998

-------
                                                        	

      Reform
RISK  ASSFSSMFNT
       Status
  Successes
 Standardize Risk Assessments
 (6b)
 Improve current national
 Superfund risk assessment
 guidance by updating and
 expanding upon parts of the 1989
 Risk Assessment Guidance for
 Superfund (RAGS)
 Utilize Expert Workgroup on
 Lead (6c)
 Utilize expert workgroup to
 standardize risk assessment
 approaches for lead-contami-
 nated Superfund sites
Reform Ongoing
• Develop videotape "Superfund Risk
 Assessment & How Communities
 May Become Involved: A Video for
 Citizens" (Spring 1999)
• Issue guidance document and fact
 sheet on "Community Involvement
 in Superfund  Risk Assessment"
 (FY99)
• Complete expanded guidance
 document to supplement EPA's
 RAGS Part B (other-than-residen-
 tial land uses) (10/99)
• Develop technical guidance docu-
 ment for soil background determi-
 nations (10/99)
• Develop guidance document
 "RAGS Volume 3" and companion
 workbook for probabilistic risk
 assessment (10/99)
Reform Complete
• Issue a directive on lead removal
 actions (FY99)
• Plan a second national conference
 on lead (6/99)
• Formed EPA Workgroups (3/97)
• Issued draft workplans (3/97)
• Initiated guidance development for all
 RAGS reform projects (5/97)
• Updated workplan (4/98)
• Held 3rd RAGS Reform Stakeholder
 Forum (3/98), workshop with
 (ASTSWMO), and presented project
 status and draft documents at a
 number of EPA technical and
 community involvement meetings
• Released "Superfund Today: Focus
 on Revisions to Superfund's Risk
 Assessment Guidance" (10/98)
• Convened a national conference on
 lead (10/96)
• Finalized 10 issue papers(9/98)
• Held 3 meetings in 1997 and 2 in
 1998
• Posted the Technical Review
 Workgroup for Lead (TRW) website
 (FY97) (www.epa.gov/superfund/
 programs/lead/index, htm)
• Reviewed lead risk assessments at
 6 sites nationally (FY97)
                                                                	
                                                                                     page 35

-------
                 a	ance^
      Reform
           Status
  Successes
ECONOMIC   REDEVELOPMENT
T
 Delete Clean Parcels from
 theNPL(9)
 Delete portions of sites from the
 NPL that have been cleaned up
 and are available for productive
 use
   Reform Complete
   • Issue additional notices of intent to
     delete clean parcels
   • Pilot deletion of remediated parcels
     at closing military bases
   • Continue to promote the use of
     partial deletions of NPL sites
1 Issued notice on policy change to
 allow partial deletions (11 /95)
1 Issued partial deletion guidance
 (4/96)
1 Deleted clean parcels at 14 sites;
 issued notice of intent to delete
 clean parcels at 3 sites (through
 FY98)
ENFORCEMENT
 Orphan Share Compensation
 (11)
 Provide greater fairness, reduce
 litigation, and promote cleanup
 of Superfund sites by compen-
 sating parties who perform
 cleanups for a portion of cleanup
 costs to orphan shares
 Site Specific Special Accounts
 (12)
 Encourage greater use of Special
 Accounts for settlement funds to
 be used for response actions at
 Superfund sites; insure that
 interest earned by Special
 Accounts be credited and
 available for response actions at
 the site for which the Special
 Account was established
   Reform Complete
   • Continue to offer orphan share
     compensation at every eligible site
     underthe June 1996 interim
     guidance on orphan share compen-
     sation
   • Continue to offer orphan share
     compensation in cost recovery
     negotiations under discretionary
     September 1997 policy
   Reform Complete
   • Continue to promote and refine the
     use of Special Accounts, and
     develop guidance as needed
   • Explore options for disbursing these
     funds to PRPs to perform response
     work as an expansion of the original
     reform
• Issued interim final guidance on
 orphan share compensation (6/96)
• Existence of orphan share may be
 considered in settlement cost
 recovery cases, as stated in the
 Addendum to the "Interim CERCLA
 Settlement Policy," issued Septem-
 ber 30,1997
• Approximately $145 million offered in
 orphan share compensation at 72
 sites (through FY98)
• Reached agreement with OMB
 allowing interest to accrue directly
 to special accounts (10/96)
• Through FY98, collected over $399
 million, established 115 special
 accounts, and accrued over $69
 million in interest (through 8/31/98)
 for a total of $468 million
• Issued the "Interim Final Guidance
 on Disbursement of Funds From
 EPA Special Accounts to CERCLA
 Potentially Responsible Parties"
 (11/3/98)
  nnqal  Report FY 1998
page

-------
                                                          	
      Reform
FNFORnFMFNT
        Status
  Successes
 Equitable Issuance of Unilat-
 eral Administrative Orders
 (UAO)(13)
 Ensure that UAOs are issued to
 all appropriate parties following
 consideration of the adequacy of
 evidence of the party's liability,
 theirfinancial viability, and their
 contribution to the site; establish
 several different document
 requirements
 Revised De Micromis Guid-
 ance (14)
 Further discourage third-party
 contribution litigation against de
 micromis parties; where neces-
 sary, resolve de micromis parties'
 liability concerns quickly and
 fairly
 Adopting Private Party Alloca-
 tions (15)
 Provide private parties with the
 opportunity to submit an alloca-
 tion approach that covers 100
 percent of the costs at a given
 site
Reform Complete
Reform Complete
• Only 9 sites have had de micromis
 settlements. This low number
 illustrates how the reform has
 proactively deterred PRPs from
 pursuing minuscule parties
Reform Complete
• This reform was merged with the
 orphan share reform (FY97)
• Issued memorandum to regions
 directing changes in procedures for
 UAO issuance (8/96)
• EPA Headquarters personnel
 independently reviewed the docu-
 mentation prepared by regional staff
 and determined consistency with
 existing Agency policy, including the
 8/96 memorandum
• Issued 68 UAOs (FY98)
• Issued first CERCLA UAO to another
 federal agency (FY98)
• Issued at least 6 orders to state/
 local government entities (FY98)
 Issued de micromis guidance and
 models in which levels previously
 identified for small party protection
 were doubled, and streamlined and
 simplified the settlement process
 (6/96)
 EPA and the Department of Justice
 (DOJ) issued the policy "Inclusion of
 Contribution Waiver by Private
 Parties in CERCLA Administrative
 and Judicial Settlements" (10/2/98)
• Determined that current Superfund
 policies are adequate for providing
 direction to implement this reform
• Used allocations as basis for
 settlement at several sites (9/96)
                                                                  	
                                                                                        page 3

-------
                a	ance^
      Reform
        Status
  Successes
ENFORCEMENT
 Improving the Administration
 of PRP Oversight (16)
 Maximize effectiveness and
 efficiency of EPA oversight of
 PRPs through enhancement of
 EPA's working relationship with
 these parties
Reform Complete
• Organize meetings between
 regions and PRPs to discuss
 oversight issues
• Conduct site-specific evaluations to
 assess reform impacts
• Issued definition to Regions on
 requirements for implementing the
 reform during FY98 (FY98)
• Included over 70 PRPs as partici-
 pants in the reform (FY98)
• Issued statement that the reform
 has been reoriented to focus on
 improving working relationships with
 PRPs and the efficiency of oversight
 management (FY98)
• Conducted panel discussion at
 annual conference of National
 Association of Remedial Project
 Managers to promote implementa-
 tion of reform (6/98)
• Participated on panel discussion of
 oversight and cost recovery issues
 at the semi-annual conference of the
 Information Network for Superfund
 Settlements (10/98)
STATE  AND  TRIRAI   EMPOWERMENT
 Pilot Remedy Selection by
 Selected States and Tribes
 (17)
 Provide states and tribes with an
 increased role in remedy selec-
 tion at NPL sites when possible
Reform Ongoing
• Continue implementing the remedy
 selection process for pilot sites
• Collect state remedy selection
 dates (began FY98)
• Prepare closeout report FY99
• Incorporate conclusions into EPA's
 Enhanced State and Tribal Roles
 Initiative
1 Formed national workgroup to
 develop criteria and process to
 select pilot sites and evaluate
 impact of reform (FY96)
1 Identified 11 pilot sites from 6
 regions (FY97)
       	::	
       i         ^"^^~^^~^^~
page

-------
                                                        	

      Reform
          Status
      Successes
PUBLIC  INVOLVFMFNT/FNVIRONMFNTAIINSTirLF
 Pilot Community-Based
 Remedy Selection (18)
 Promote greater public involve-
 ment in the Superfund program,
 especially during remedy
 selection
f
 Establish Superfund Ombuds-
 man in Every Region (19)
 Place an Ombudsman in each
 region to serve as a point of
 contact for the public and help
 resolve stakeholder concerns
 Improve Communication with
 Superfund Stakeholders (20)
 Increase communication among
 all Superfund stakeholders and
 improve access to Superfund
 information using electronic
 tools, such as the Internet
   Reform Ongoing
   • Complete case studies
   • Complete and distribute compen-
    dium of useful experiences, ap-
    proaches, and techniques (1/99)
   • Continue to discuss regional
    approaches to community-based
    remedy selection


   Reform Complete
   • Continue to conduct public out-
    reach
MJ
   Reform Complete
   • Continue to post and revise
    Superfund information on EPA
    Superfund homepage, including
    enhancements to the dynamic
    Superfund Site Information Query,
    visual improvements, restructuring
    according to survey responses
    (planned) of website users
     Discussed regional community-
     based remedy selection approaches
     (ongoing)
    • Appointed an Ombudsman in each
     region (completed 3/96)
    • Published "Fact Sheet: Regional
     Ombudsman-Providing a Meaning-
     ful Forum for Stakeholder Concerns"
     (6/96)
    • Convened annual meetings (6/96,
     2/97,4/98)
    • Conducted ongoing public outreach
     and mediation training (2/97)
    • Developed new outreach tools, toll-
     free numbers for stakeholders to call,
     and new processes to resolve issues
    • Created Headquarters Superfund
     homepage (4/96); over 100,000
     users have accessed the site since
     10/96 (www.epa.gov/superfund/)
    • Revised website (3/97) to facilitate
     stakeholder access to Superfund
     information
    • Released Superfund Site Dynamic
     Query function on website for
     personalized Superfund searches
     (2/98) (www.epa.gov/superfund/sites)
    • Released Superfund Risk Assess-
     ment website (11/98) (www.epa.gov/
     superfund/prog rams/risk/index, htm)
    • Updates to website during FY98
     include: online customer survey, user
     buttons, and posted success stories
                                                                 	
                                                                                      page  39

-------
                 a	ance^
      Reform
ENFORCEMENT
        Status
  Successes
 PRP Search Pilots (1)
 [See Enforcement Pilots Section]
 Determine whether the time line
 proposed in the Superfund
 Reform Act of 1994 can be
 accomplished through comple-
 tion of early PRP searches; pilot
 several techniques developed to
 streamline and improve the PRP
 search process
 Expedited Settlement Pilots (2)
 [See Enforcement Pilots Section]
 Reduce transaction costs for all
 PRPs at Superfund sites through
 early settlements. Reform was
 designed to encourage early de
 minimissettlements, encourage
 ability to pay settlements, and
 give PRPs opportunity to  nomi-
 nate other PRPs
 The Allocation Pilots (3)
 [See Enforcement Pilots Section]
 Offer a fundamentally different
 approach to allocating Superfund
 costs between parties-a neutral
 "allocator" selected by the
 parties conducts a non-binding,
 out-of-court process resulting in
 an allocation report from which
 parties may offer to settle with
 EPA based on their allocated
 share
Reform Complete
• Incorporating lessons learned into
 the program
• Sponsor a national PRP Search
 Enhancement Conference
• Initiated pilots at 15 Superfund sites
 (FY95)
• Developed "Regional Pilot Participa-
 tion Package" as resource for pilots
 (6/95)
• Pilots completed
Reform Complete
• Continue to monitor remainder of
 pilots
• Incorporating lessons learned into
 the program
1 Initiated pilots at 18 Superfund sites
1 Issued guidance on standardizing de
 minimis premiums (7/95)
Reform Complete
• Incorporate lessons learned into
 the program
• Finish the allocation process for
 the remaining pilots
• Offered allocation process at 12
 sites; process being piloted at 9
 Superfund sites
• Issued 5 allocation reports
• Settlement complete at 4 sites
• Settled pre-allocation report at 5
 other sites
page  40
          Report FY 1998

-------
                                                          	
      Reform
        Status
  Successes
                      RFDFVFI DPMFMT
Brownfields Pilot Projects
and Brownfields Community
Outreach (4a-b)
Fund pilots designed to support
creative explorations and
demonstrations of brownfields
solutions; provide EPA, states,
tribes, municipalities, and
communities with useful informa-
tion and strategies; promote
community involvement and
partnerships
Refining CERCLIS (4c)
Refine CERCLIS (automated
inventory of site information);
encourage cleanup and redevel-
opment by archiving sites that
no longer need to be tracked
Reform Complete
• Identify up to 50 new Brownfields
 Assessment Demonstration Pilots
 and supplement up to 50 existing
 pilots
• Identify up to 70 additional
 Brownfields Cleanup Revolving Loan
 Fund Pilots
• Identify up to 10 new Job Training
 and Development Demonstration
 Pilots
• Work with NIEHS to coordinate
 minority workers with pilot activities
• Work with American Society for
 Testing and Materials (ASTM) to
 develop standard guide to identify
 interrelationship aspects of
 brownfields revitalizations.
Reform Complete
• Continue to archive sites from
 CERCLIS
• Awarded 227 Assessment Demon-
 stration pilots - up to $200,000 per
 pilot (through FY98)
• Announced selection of 16
 Brownfields Showcase Communities
 as part of National Partnership
 (FY98)
•Awarded 11 job training pilots (FY98)
• Continued oversight and develop-
 ment of 23 Brownfields Cleanup
 Revolving Loan Fund Pilots  (FY98)
• Awarded 3 Clean Air/ Brownfields
 Partnership Pilots (FY98)
• Provided support for brownfields
 targeted site assessments (FY98)
• Department of Transportation
 announced policy to recognize the
 importance of revitalizing brownfields
 as part of transportation projects
 (Earth Day '98)
• Conducted Brownfields National
 Conference with 12 co-sponsoring
 organizations (11/98)
• HMTRI held workshop to assist
 community colleges in developing
 environmental job training programs
 (6/98)
• Archived sites (31,116 as of 10/7/98)
• Sent 200 letters to mayors with
 archived sites in their cities (7/95)
• Developed fact sheet "Archival of
 CERCLIS Sites" as a reference (4/97)
• Posted an inventory of archived sites
 by state on the Internet (4/97)
                                                                  	
                                                                                        paqe 41

-------
                a	ance^
      Reform
       Status
  Successes
ECONOMIC  REDEVELOPMENT
 Clarifying NPL Sites (4d)
 Provide regions with flexibility to
 clarify areas within Superfund
 sites determined to be contami-
 nated oruncontaminated
Reform Complete
 Removing Liability Barriers:
 PPAs (4e)
 Identify options and tools to
 remove liability barriers to
 encourage the cleanup and
 redevelopment of contaminated
 properties
Reform Complete
• Continue using PPAs and Comfort
 Letters to encourage redevelop-
 ment of Superfund sites
• Convened workgroup (5/95)
• Workgroup recommended a policy
 change to allow partial deletions
• Published Federal Register notice
 (11/95)
• Published guidance describing
 procedures for partial deletions (4/96)
• Deleted clean parcels at 14 sites
 and issued notices of intent to
 delete 3 other sites (through FY98)
1 Issued guidance documents provid-
 ing assurance to prospective
 purchasers, lenders, and property
 owners on CERCLA liability (5/95)
1 Issued "Policy on the Issuance of
 Comfort/Status Letters" (11/96)
1 Issued "Handbook of Tools for
 Managing Federal Superfund
 Liability Risks at Brownfields and
 Other Sites" (11/98)
1 Referred almost 100 PPAs to DOJ;
 of these, close to 90 were finalized
 asofendofFY98
1 Issued approximately 300 comfort
 letters to date
      ___      	
paqe  42
page

-------
                                                       	
      Reform
       Status
  Successes
PUBLIC  INX/OI  WFMFNT/FNWIPnNMFNTAI    Jll.STIHF
                             MJ
 Community Advisory Groups
 (5a)
 Encourage regions to promote
 the establishment of CAGs,
 which provide a public forum for
 community members to present
 and discuss their needs and
 concerns about the decision
 making process at sites affecting
 them and to participate more
 effectively in the Superfund
 decision making process
 Technical Assistance Grants
 (5b)
 Provide resources to eligible
 communities affected by
 Superfund sites to acquire
 independent technical assis-
 tance to help them understand
 and comment on site-related
 information
Reform Complete
• Evaluate existing CAGs
• Promote and assist CAGs by
 developing a CAG website
• Make continual improvements to
 CAG Toolkit
Reform Ongoing
• Publish proposed TAG regulation
 (March 1999)
• Promote citizen involvement by
 improving TAGs and facilitating the
 process
• Publish provisions to the TAG
 regulation in FY99
• Continue to implement enhanced
 community involvement activities at
 the remainder of the selected sites
• Incorporate lessons learned into the
 program
• Issued guidance summary on use of
 CAGs (8/96)
• Issued case studies of 5 sites,
 "Community Assistance Groups:
 Partners in Decisions at Hazardous
 Waste Sites" (11/96)
• Issued the CAG Toolkit, one of the
 most effective mechanisms for
 implementing the CAG program at
 Superfund sites (8/97)
• Established CAGs at 47 sites total
 (through FY98)
• Published CAG Guidance/Reference
 sheet in English and Spanish (4/98)
• CAG concept used by other Agency
 programs (FY98)
• Completed field-tests of the toolkits
 at18sites(FY98)
• Revised toolkits and final copies
 printed and distributed (10/98)
• Developed and produced booklet
 highlighting content and promoting
 toolkit use by communities (9/98)
• Drafted proposed TAG regulation
• More than 202 TAGs awarded since
 the program's inception in 1988 (as
 ofFY98)
• Published strategic plan in FY98
                                                                	
                                                                                     page 43

-------
                a	ance^
      Reform
       Status
  Successes
PUBLIC  INVOLVEMENT/ENVIRONMENTAL  JUSTICE
 Community Involvement in
 the Enforcement Process
 Pilots (6)
 [See Enforcement Pilots Section]
 Pilot ways in which community
 involvement in the enforcement
 process could be enhanced
 Training and Health Service
 Assistance to Communities
 (7a)
 Respond to health concerns of
 communities near hazardous
 waste sites by establishing the
 Medical Assistance Plan (MAP)
 in coordination with the U.S.
 Public Health Service
 Superfund Jobs Training
 Initiative (7b)
 Develop interagency partner-
 ships to train and employ
 community residents living near
 Superfund sites through class-
 room instruction and hands-on
 experience
Reform Complete
• Incorporating lessons learned into
 the program
Reform Ongoing
• Target 4 sites for assistance (9/97)
Reform Complete
• Continue funding NIEHS's Minority
 Worker Training Program
• Continue establishing SuperJTI
 pilots
• Continue awarding grants to health
 and safety programs
• Initiated pilots at 13 sites in 9 out of
 10 regions
• Completed piloted activities at some
 of the 13 sites selected
• Used effective approaches at a
 number of sites outside the pilot
 project
1 Established Superfund Medical
 Assistance Work Group to develop
 MAP (FY94)
• Started 5 pilots at Superfund sites
• Established 7 programs at 11 sites
 (6/96)
• Awarded 20 grants for health and
 safety programs (9/96)
• Funded NIEHS Minority Worker
 Training Program for FY97
page  44
         Report FY 1998

-------
                                                         	
      Reform
HI  FANNPS
        Status
  Successes
 Guidance for Remedy Selec-
 tion (8)
 Improve consistency and take
 advantage of streamlining
 opportunities in site character-
 ization and remedy selection
Reform Complete
• Issue user's guide for wood treater
 sites presumptive remedy
• Complete evaluation of implemen-
 tation of presumptive remedy
• Issue presumptive remedy directive
 for metals-in-soils (FY99)
 Issued final soil screening guidance
 (5/96)
 Issued new land use directive (5/95)
 Issued "CERCLA Landfill Caps RI/FS
 Data Collection Guide" (8/95)
 Issued presumptive remedy guid-
 ance for: MSW landfills (9/93),
 VOCs in soils (9/93), presumptive
 remedy policies and procedures (9/
 93), wood treater sites (12/95),
 MSW landfills at military bases (4/
 96), and ground watersites (10/96)
 Issued a presumptive remedy users
 guide for volatile organic compounds
 in soils (7/96)
 Issued supplemental bulletin report-
 ing results of MSW landfill presump-
 tive remedy pilots (1/97)
 Issued supplemental bulletin for
 multi-phase extraction technology for
 the VOCs in soils presumptive
 remedy (4/97)
IMMDVATIVF  TFCHMDI  PHY
 Risk Sharing: Implementing
 Innovative Technology (9a)
 Share the risks associated with
 implementing innovative tech-
 nologies for a limited number of
 approved projects by "underwrit-
 ing" the use of certain promising
 approaches
 Risk Sharing: Identifying
 Obstacles to Using Innovative
 Technology (9b)
 Develop programs to share
 implementation risks associated
 with the use of innovative
 technologies
Reform Complete
• Engage state agencies in this
 initiative through the Interstate
 Technology & Regulatory Coopera-
 tion Working Group (ITRC)
• Review proposals from Regions 5
 and 7
Reform Complete
• Issued final guidance for Risk
 Sharing Initiative (3/98)
• Technical evaluation panel reviewed
 Region 7 proposal and forwarded
 decision package recommending
 approval to Assistant Administrator
 (11/98)
 Issued innovative technologies in
 waste management directive,
 "Promotion of Innovative Technolo-
 gies in Waste Management Pro-
 gram" (4/96)
                                                                  	
                                                                                        page 45

-------
                      a  Glance
       Reform
        Status
  Successes
STATE  AND  TRIBAL  EMPOWERMENT
                               r
 Voluntary Cleanup Program
 (10)
 Support and promote effective
 state/tribal voluntary cleanup
 programs, and, in conjunction
 with the Brownfields Initiative,
 provide limited financial assis-
 tance to such programs
 Integrated Federal/State/
 Tribal Management Program
 (11)
 With combined EPA and state
 effort, develop a pilot program
 which defers sites from NPL
 listings to the states, territories,
 commonwealths, and federally
 recognized tribes who would
 oversee and compel PRP actions
 at selected sites
 State/Tribal Superfund
 Consolidated (Block) Funding
 (12)
 Offerways forstates and tribes
 to realize greater flexibility in
 their use of Cooperative Agree-
 ment (CA) resources
Reform Complete
• Continue to work on developing
 agreements with state and tribal
 voluntary cleanup programs
•Anticipate continuation of coopera-
 tive agreement awards to states in
 FY99
Reform Complete
• Evaluate review of state deferrals
 and determine appropriate follow-up
 actions
Reform Complete
• 12 states and 3 tribal pilots are
 underway
• Collect information from EPA
 regions and states to evaluate and
 develop lessons learned from the
 pilots (8/99)
• Incorporate block funding concepts
 into Subpart O revision (2/00)
 Decided preferred approach is for
 EPA regions and states to negotiate
 MOAs on a case-by-case basis that
 can be customized to better fit the
 state's VCP and legislation
 35 states have implemented pro-
 grams since its inception
 Signed MOAs with 11 states
 (through FY98)
 Published guidance on drafting
 MOAs between regions and states
 (9/97)
 EPA distributed $10 million of FY97
 funding to support state Voluntary
 Cleanup Program infrastructure
1 Issued final guidance on deferral
 program (5/95)
1 Initiated review of Superfund deferral
 sites (FY97)
1 Signed agreements with 12 states
 (through 9/98)
1 Issued final report documenting
 obstacles in awarding and utilizing
 Superfund resources (12/97)
1 Initiated evaluation of ongoing pilots
 in FY98
page 46
          Report FY 1998

-------
The  Enforcement   Pilots
        As part of the Superfund reforms effort, EPA committed to improving the enforcement
        process—primarily by increasing fairness, reducing transaction costs, and expediting
        settlements. In February 1995, the Agency announced its efforts to pilot ways to meet
        this commitment. Over the past several years, EPA has implemented four enforcement
        pilots: Potentially Responsible Party Search, Expedited Settlements,  Community In-
        volvement in the Enforcement Process, and Allocations. These pilot sites test concepts
        introduced  in the Superfund Reform Act (SRA) of 1994 at Superfund sites. After more
        than three years, the pilots have generated clear trends and provided lessons that will
        improve the Superfund enforcement process. The following summaries look at cumula-
        tive accomplishments and lessons learned for each of the respective pilots.  EPA will
        continue to monitor these pilots; however, the Agency will not issue another detailed
        summary unless new trends develop.
                                                      	
                                                                        paqe 47

-------
The  Enforcement  Pilots
PRP  Search  Pilots:
A  Balance  of Speed and  Comprehensiveness

         The primary goal of the PRP Search Pilots was to determine whether the time frame
         proposed in the Superfund Reform Act (SRA) of 1994 (H.R. 4916) could be best accom-
         plished through completion of early PRP searches.  EPA also tested several techniques,
         identified during a national PRP search conference, designed to streamline and improve
         the PRP search process. In addition, EPA's Office of Site Remediation Enforcement
         (OSRE) formed the national PRP Search Enhancement  Team (Team) in early 1997. The
         Team has worked closely with regional PRP search staff to identify, develop, and priori-
         tize a number of tasks designed to support and promote an enhanced PRP search
         process.

         In the Spring of 1995, EPA identified 15 sites where PRP searches hadjust begun or were
         about to be initiated as pilot candidates. To test the relevant provisions contained in
         SRA, each pilot site was set up to conform as closely as possible to a time frame that
         would lead to notification of potential de minimis parties within 12 months after the
         search start, and notification of all other parties within 18 months after the search start.
         Each pilot also tested one or more of the streamlining techniques.

         At the 15 pilot sites, PRP searches varied widely in their duration and scope due to
         variation in site size, the number of PRPs, nature and extent of contamination, available
         documentation, and level of state involvement. None of the 13 sites that had potential de
         minimis parties notified those parties within 12 months  of the search start date. Five
              Piloted  streamlining
              techniques included:
                      Using radio announcements, newspaper advertising, and toll-free
                      telephone numbers to solicit information about PRPs from the public;

                      Conducting early interviews of parties to obtain information and
                      minimize the need for multiple rounds of information requests; and

                      Establishing a publicly available repository for PRP search information
                      to help PRPs identify other PRPs earlier in the enforcement process.
	
page 48

-------
                                        	
sites made the deadline for notifying all other parties within 18 months of the search start
date.  The results of the PRP Search Pilots, as well as previous PRP search improvement
efforts and evaluations, serve as building blocks for EPA's efforts currently underway to
enhance PRP searches.

Several of the streamlining techniques improved PRP searches. At one site, use of the
new model information request letter was instrumental in identifying 150 additional
parties early in the search process.  At another site, an early interview led to valuable
information about other PRPs, and  assisted in a better understanding of business prac-
tices contributing to contamination of that site. Also, the use of a publicly available
repository for PRP search information  was very helpful  in providing valuable information
to PRPs and a local community group, and  led to  nomination of additional parties earlier
in the search process.  Early interviews of people with knowledge of a site was the
technique most commonly  cited as being effective in increasing the speed and  efficiency
of PRP searches.

EPA learned several lessons from the PRP Search Pilots.  Primarily, SRA notification time
frames were too ambitious  for the  piloted sites, and  would most likely be too ambitious
for a majority of Superfund  sites. Of all the difficulty  factors, the three  most common
factors preventing adherence to the SRA time frames were complex sites, troublesome
hazardous substances,  and  uncooperative PRPs. To  improve the PRP search process, it
appears that speed is most effective when balanced with comprehensiveness.
                                                      	
                                                                           page 49

-------
	
Expedited  Settlement  Pilots
          In 1995, EPA announced the Expedited Settlement Pilots reform, intended to reduce
          transaction costs for all PRPs at Superfund sites through early settlements.  The reform
          had three specific goals:  to encourage early (i.e., pre-ROD) de minimis settlements; to
          encourage ability to pay (ATP) settlements with de minimis PRPs who demonstrate they
          cannot pay their full share of response costs at the site; and to give PRPs the opportunity
          to nominate other PRPs who they believe are also responsible for site cleanup. EPA
          initiated pilots at 18 Superfund sites to test concepts for meeting these expedited settle-
          ment goals.

          At the end of FY98, EPA had settled with  a total of 1,402 de minimis and ATP parties,
          resulting in  recovery of approximately $22.7 million.  From the pilots' inception through
          the end of FY98, EPA achieved early de minimis settlements at eight pilot sites and ATP
          settlements at 5 pilot sites, and solicited  nominations of additional  PRPs. During FY98,
          EPA also began three new efforts to track the progress of these pilots: determine the
          feasibility of pre-ROD settlements; evaluate the lessons learned from these pilots; and
          examine which aspects of this reform should be  incorporated into  the existing
          Superfund Enforcement Program.

   Lessons Learned and Recommendations

          After over three years of piloting expedited settlements, EPA has learned  several valuable
          lessons.  First, the Agency has learned the benefits of encouraging  pre-ROD de minimis
          settlements.  Reaching these settlements helps EPA resolve liability issues early in the
          process, reduces future transaction costs, creates funds that can be used to encourage
          other PRPs to settle with the Agency, and generates positive feedback from de minimis
          and non-de minimis PRPs.

          In addition,  EPA has recognized several factors that lead to successful expedited settle-
          ments. Regions should plan to do significant work early in the cleanup  process to
          identify the de minimis PRPs and to craft an appropriate strategy for each of them. As
          early as possible, regions should obtain  reliable information on  the identity and contri-
          butions of each  PRR This includes obtaining good data on the type and volume of
          waste contributed by each PRP to the site.  In addition, credible and accurate informa-
          tion on the costs of likely future response actions help establish the basis for a de mini-
          mis settlement and allow the Agency to  provide PRPs with that information. Performing
          these research tasks early in the process allows the regions to proactively solicit interest
          in early de minimis and ability to pay settlements.

          It is important to involve PRPs in the de  minimis identification process (EPA makes the
          ultimate decision on whether a PRP is a  de  minimis party for that site) and to make sure
          that PRPs understand pre-ROD de minimis settlements, their benefits and risks, and the
      _      	
page  50

-------
                                     The  Enforcement  Pilots
premium payment provision.  This involvement is especially beneficial to PRPs who are
not generally knowledgeable about CERCLA. PRPs who believe that they are not finan-
cially able to pay their full share of any de minimis settlement should be aware that EPA
is willing to consider them for an ATP settlement. The regions should also inform them
of the information that they must provide to EPA to establish their limited ATP situation.

In some cases, PRPs may choose not to enter into a settlement with EPA before the
Agency has selected the response action. The PRPs may feel that paying a share of the
estimated costs of a yet-to-be-selected response action plus a premium  is too  risky for
them, and they may prefer to wait to negotiate any settlement until EPA decides on a
response action.  Finally,  it is important to allow PRPs to nominate other parties as PRPs.
EPA will then have time to include such nominated PRPs, should they qualify and
choose to be included, in an early de  minimis settlement.
             buccess
           Tulalip Landfill, Region 10
           EPA settled with 207 de minimis parties, resulting in recovery of
           approximately $10.0 million. All three goals of the reform were
           achieved at this remedial pilot: early de minimis settlement, ATP
           settlement, and nomination of additional parties.

           Solvent Recovery Services,  Region 1
           EPA settled with 945 de minimis parties, resulting in recovery of
           approximately $7.3 million. EPA was also able to achieve two goals
           of the reform at this pilot: early de minimis settlement and ATP
           settlement.
                                                 	
                                                                     page

-------
	
The  Allocation  Pilots:
Sharing  Responsibility  Among  Parties

          EPA initiated the Allocation Pilots in May 1995, offering a fundamentally different ap-
          proach to allocating Superfund costs between parties. The main purpose of the pilot
          was to test the implementability of the allocation scheme proposed by the 103rd
          Congress and assess the impact of an allocation process on settlement.

          Under the pilot, allocation parties were initially given the opportunity to nominate
          additional parties. The parties then selected a neutral "allocator" to conduct a non-
          binding, out-of-court process resulting in an allocation report.  The allocation  report
          detailed each allocation party's assignment of shares of responsibility.  Parties were
          offered an opportunity to settle with EPA based on their allocated share.  Under the
          pilot, EPA was responsible for 100 percent of the orphan share, which consists of the
          shares of allocation parties that are insolvent or defunct.

   Implementing the Process

          In previous reports, EPA has provided useful information regarding the strengths and
          weaknesses of the SRA allocation provisions and of the various aspects of the allocation
          pilot process in general (e.g., allocator selection, development of protocol document
          between parties, settlement issues, and information derived from surveying the alloca-
          tion parties). These findings have proved consistent throughout the sites.  This year, EPA
          is reporting on the nomination process, discovery of new parties during the allocation
          process, the role of the allocator, consequences of an pre-allocation settlement, and the
          cost of conducting an allocation.

   The Nomination Process at Pilot Sites

          The allocation pilot process allowed PRPs to propose for inclusion on the  PRP list any
          additional parties whose potential liability could  be justified by supporting documenta-
          tion.  At eight of the nine pilot allocation sites, PRPs submitted nominations of additional
          parties to be included on the list of PRPs for those sites.  At one pilot site, parties waived
          the nomination stage due to no  evidence of additional PRPs.

          The nomination stage of the pilot was a valuable opportunity for PRPs to identify addi-
          tional  allocation parties who could be assigned shares by the allocator.  This opportunity
          provided the Agency additional information about parties linked to the site and enabled
          the Agency to determine the nominated party's status (e.g., whether the party is eligible
          for de minimis or ATP settlements) while ensuring fairness to the existing allocation
          parties.  To discourage PRPs from making frivolous nominations, EPA tested a "fee-
          shifting" provision adopted from  the proposed Superfund legislation.  Under fee-shifting,
          a PRP who nominated another PRP would pay the costs incurred by that party if the
     _     	
page 52

-------
                                       The  Enforcement  Pilots
Allocation   Pilots   Data
                                                   net
      Pilot Facts
      EPA offered the pilot at 12 sites. At three sites, parties declined to enter the pilot
      because they believed they could reach settlement outside the allocation process
      (e.g., orphan share reform) or had already performed a private allocation. At the
      remaining nine pilot sites, the following activities occurred:

      Nominations Process
      •  At eight sites, PRPs submitted nominations of additional parties to be included
         in the allocation process. At the remaining site, parties waived the nominations
         stage due to no evidence of additional PRPs.
      •  Based on nomination and followup PRP search efforts, additional parties were
         added to the list of allocation parties at seven sites. At one site, there was
         insufficient evidence to include parties in the allocation process.

      Selection of Allocator
      •  Allocators were selected at all sites.

      Allocation Report
      •  Allocators issued an allocation report at five sites:
         • At two of the sites, the allocator issued a report that reflected an agreement
          on the shares of responsibility reached between the parties;
         • At two other sites, the majority of parties settled, but the allocator had to
          issue a report for parties who did notjoin the settlement; and
         • At one site, the allocator issued a report that there had been no settlements
          to date.

      Settlement Offers Based on Allocation
      •  At two sites, parties submitted settlement offers based on the allocation report;
         at one site, the Agency is awaiting settlement offers.

      Status of Remaining Site

      Without Allocation Report
      •  For the four sites without an allocation report, the status is as follows: at one
         site the parties reached an agreement on shares and the allocator was dis-
         missed; at two sites there are agreements that have not yet been finalized; and
         at the one remaining site the allocation process is ongoing.
                                                   	
                                                                       paqe 53

-------
	
          nominee is subsequently assigned a zero share by the allocator.  During implementation,
          however, private parties did not agree to fee-shifting because they believed it was an
          unfair burden. Instead, they withdrew the names of nominated parties who EPA did not
          believe were liable.

          In the summer of 1997, EPA  began surveying participants at the nine allocation pilot sites
          to collect their perceptions of issues related to the pilot, including the nomination of
          additional PRPs.  The survey asked parties to consider whether they had enough time to
          nominate additional PRPs, and if they did not, what factors limited the nomination of
          additional parties.

          Overall,  allocation parties participating in the survey were generally satisfied with the
          time and opportunity allowed for nominating additional PRPs. Only a small number of
          parties indicated that they had specific complaints about the fairness of the nomination
          process, while others indicated that site  data and access to documents were limited.

    Discovery of New Parties During  the Allocation Process

          During the information gathering process, there were instances in which new parties
          were discovered (e.g., a transporter remembered hauling from a company he previously
          did  not identify).  Potentially adding these new parties to the ongoing allocation process
          raised procedural and substantive issues.  Procedurally, EPA had to consider the timing
          of the addition of new allocation parties. To protect the rights of newly added parties,  it
          was suggested that the allocator or EPA impose a deadline for adding new parties to the
          allocation.  This time restriction attempted to protect the newly added parties from the
          potential unfairness associated with inadequate time  to participate in the allocation
          process  in a meaningful way.

          Substantively, the addition of new parties was treated  differently at different sites. At one
          site,  the allocator decided whether to add new parties after the information gathering
          phase of the process brought new information to light (the allocator ultimately added
          approximately 30 new parties).  At several other sites, the parties directed the allocator to
          make recommendations on adding new parties, but left the ultimate decision to EPA.  In
          these cases, the  standard for adding a new party was that, based on new information,
          there was an adequate basis in law or fact to conclude that the additional party might be
          liable under CERCLA.

    The Role of the Allocator

          When EPA commenced the  allocation pilots, the Agency developed the allocator selec-
          tion  process to identify experienced neutrals who  could implement a process resulting
          in an allocation report delineating the parties' shares of responsibility at the site.  Al-
          though many neutrals had experience as mediators or facilitators,  most had limited
          experience as allocators. For the majority of the pilots, the  parties wanted a person who


	
page  54

-------
                                               The  Enforcement  Pilots
      could act as both a mediator and allocator because they believed there would be at-
      tempts to settle the matter before or during the allocation.  The neutral could act as a
      mediator during early settlement negotiations and act as an allocator (and issue the
      allocation report) if settlement negotiations proved fruitless.  For example, at one site, the
      parties selected one group of neutrals to serve as mediators while another group was
      directed to perform the allocation.  When the case at that site was settled, the mediators
      assisted  in finalizing the settlement and dismissed the allocators.

      As part of information gathering, several allocators asked the parties to fill out question-
      naires, and interviewed parties with knowledge of the waste disposal practices  at a site.
      Although the allocator conducted the interviews, parties were able to attend the inter-
      views and provide questions for the allocator to ask the witnesses.  Overall, most parties
      found this approach fairer than the normal EPA  PRP search process.  However,  at one
      site, parties believed that the allocators did not have the site experience to ask the  most
      pertinent questions.  Other parties questioned the fairness of this process because they
      could not cross-examine witnesses.

      Neutrals performed several  activities other than the actual allocation. At one site, the
      mediators helped resolve issues such as  remedy selection, access, covenants, re-
      openers, and premiums.  Other neutrals were charged with convening the parties to aid
      the allocator selection  process and  protocol agreement negotiations. Even when acting
      as the allocator, the neutral  conducted numerous meetings with the allocation  parties to
      help resolve issues.  Each of these activities proved time-consuming and resource-
      intensive. The major benefit of these activities is that they enabled the allocation parties
      to participate in each stage of the process and (when appropriate) remain involved in
      decisionmaking.

      When the allocator acts as a mediator to assist in settlement negotiations, there is the
      potential for a conflict of interest.  In one case, while the neutral was preparing  the
      allocator report, he tried to simultaneously convince all parties to settle,  and successfully
      used the threat of issuance of the allocator report to encourage all parties to settle.  That
      approach may have made the neutral appear less "neutral" and raised questions on the
      allocator's impartiality.  One way to address this concern is to have different parties serve
      as mediator and allocator. Overall, the use of neutrals as mediators  appeared to facilitate
      settlement.

Pre-Allocation Settlements

      At almost all  pilot sites the allocation parties requested settlement negotiations with the
      government prior to completing the allocation process. Where successful, this ap-
      proach benefitted both the parties and the federal government. EPA was able to begin
      site cleanup earlier, and the  PRPs received certainty as to their cost share. However,
      there were a number of issues and consequences to conducting settlement negotiations
      during the allocation process.  Most often, the allocation process was tolled, sometimes
                                                            	
                                                                                 paqe 55

-------
	
          indefinitely.  Instead of issuing an allocation report within six months, the reports were
          delayed for several months.  For some pilots, settlement negotiations occurred concur-
          rently with the allocation process.  Both the government and parties incurred transaction
          costs associated with negotiations and the allocation process.  This approach was
          contrary to the intent of the proposed legislation EPA was testing, which was to limit
          transaction costs.

          Unfortunately, at times only some of the allocation parties sought a  settlement to perform
          cleanup work, while others sought to cash out of their responsibilities at the site. A
          settlement that resulted in less than 100 percent of the liability at the site required that the
          government incur  transaction costs associated with settlement  negotiations  as well as
          those associated with conducting the allocation  pilot for allocation  parties who did not
          settle before an allocation report was issued. This approach was not considered effi-
          cient by the government, but at times it was necessary to conduct both negotiations and
          an allocation because  of site-specific factors.

   Cost of Conducting an Allocation (Allocator Costs)

          To date, allocator costs total $1.3 million, or roughly $182,000 per site for seven of the
          nine pilot sites. Allocator costs per site ranged from approximately $11,500 to $540,000.
          For one pilot site where the allocator was recently hired, the allocator costs are projected
          to be approximately $280,000. No estimate is available for the one  remaining site where
          the allocator contract has not yet been awarded.

          The broad range in costs can be attributed to the scope and complexity of the responsi-
          bilities of the allocator, the level of information available and complexity of the site, and
          the number of parties participating in the allocation.

          The significance of these costs can be put into some perspective by considering the
          remedy costs associated with each site.  The average cost to clean  up the nine pilot sites
          for the components of the remedy addressed by the pilot is $10.5 million,  ranging from
          $1.4 million to $26 million. EPA's findings are that the lower cost allocations in the pilot
          seemed relatively consistent with the lower-cost remedies. The more expensive alloca-
          tor costs were incurred at sites with  remedies expected to cost over $10 million dollars.

          It should be noted that the cost of hiring the allocator is not the only cost associated with
          the allocation process. The cost of implementing the process for both the government
          and  private parties is also significant. In  addition, in  several instances, mediators were
          employed as  well  as allocators. Since the pilots are  ongoing, only a portion of that cost
          data has been collected and, therefore, cost data are not included in this analysis.
      _     	
page  56

-------
                                         The  Enforcement  Pilots
essons  Learne
led
   Implementing the  allocation  scheme

   •  Flexibility was needed in the allocation process (e.g., for selecting the alloca-
      tor, gathering information) to address site-specific issues.

   •  The allocation process was not cost-effective for small businesses because
      many believed they had to participate to protect their interests.

   •  Time frames were exceeded for each step of the allocation process. For
      example, projected time frames for completing the nominations process and
      hiring the allocator were insufficient to address numerous issues raised by
      parties.

   •  Allocation parties were generally satisfied with the time and opportunity
      allowed for nominating additional PRPs, but felt that the allocation process as
      a whole was expensive and time-consuming.

   •  Parties believed that the use of neutrals was beneficial to the process.
   Effect  on settlements

   •  It was difficult to translate individual shares into a global agreement to perform
      work.  (Parties only wanted to be responsible for their individual share.)

   •  At a number of sites, 90 percent or more of the parties (including EPA) wanted
      to settle before the allocator issued a report, but the allocation scheme
      required a 100 percent settlement before the process could be stopped.

   •  Filing briefs when simultaneously negotiating with parties was difficult because
      arguments were directed to all parties without knowing which of them would
      actually remain in the allocation.

   •  The length of the process hindered progress of cleanup. (Parties wanted to
      know their share prior to committing to perform work.)
                                                       	
                                                                             page

-------
	
Community Involvement
in the Enforcement  Process  Pilots
   Piloting Innovative Ways to Enhance Community Involvement
   in the Enforcement Process

         As part of the Superfund reforms effort, EPA committed to pilot ways in which commu-
         nity involvement in the enforcement process could be enhanced.  This initiative was
         originally developed to pilot the relevant provisions of the 1994 proposed SRA.  The
         regions would implement those provisions that would have required EPA to invite com-
         munities to participate in technical workplan discussions related to remedial design/
         remedial action negotiations. However, EPA regions were given the discretion to modify
         the initiative to pilot other innovative approaches in lieu of the relevant SRA provisions,
         including looking at community participation at other points in the Superfund response
         pipeline.
          Over half the pilot sites submitted
          by the regions did fall within the
          criteria identified. For the pilot sites
          that did not meet the criteria, re-
          gions proposed to involve commu-
          nities in  discussions before EPA
          selected the response action.  EPA
          initiated  pilots at 13 sites in nine of
          its 10 regions where PRPs were
          committed to conducting cleanup
          actions or investigations. A variety
          of approaches were tested to
          enhance community involvement.
          These approaches provided com-
          munities the  opportunity to:
Site Selection Criteria

    Each EPA region was asked to identify sites at
    which increased public participation methods
    could be tested and evaluated.  In general, EPA
    was looking for sites where:

    •  EPA had already selected (or will, in the very
       near future, select) the response action;

    •  EPA expects that PRPs will perform the
       response action; and

    •  The community demonstrated an interest in
       the cleanup.
             Assist in creating and comment on draft technical documents (i.e., the Statement of
             Work for designing and conducting the cleanups and for evaluation of possible
             measures for reducing threats) (post-ROD);

             Assist in the re-evaluation and revision of a site community relations plan so that any
             special  community methods that work for the community could be addressed (pre-
             ROD/post-ROD);

             Be involved in technical discussions with PRPs and federal officials to increase the
             level of participation and understanding of site activities (pre-ROD/post-ROD);  and
page 58
         Report  FY  1998

-------
                                              The  Enforcement  Pilots
       • Be actively involved in the decision making process for determining the appropriate
          cleanup goals and/or appropriate remedy for a site (pre-ROD).

       EPA piloted these approaches to observe their impact on Superfund cleanups and
       settlement negotiations.  At selected sites, piloted activities are completed; at other sites,
       EPA continues to test various approaches.  EPA is using effective approaches at a num-
       ber of sites outside the pilots.

 Pilot Evaluation

       Information was gathered via two different survey instruments, which are summarized
       below.  The surveys covered a range of community involvement influences, from involve-
       ment in the development/review of draft work plans and technical documents to whether
       community involvement affected technical discussions or  negotiations with PRPs.
       Pilot
                  buccess
           Vertac, Jacksonville, AR
           At the Vertac site, EPA conducted several open houses and a number of official briefings since
           the development of the remediation for the site. The purpose of the meetings was to solicit
           comments from the citizens on how they wanted to see the site cleaned up. The proposed
           plan for soils was rewritten as a result of community input. Also, EPA established a satellite
           community involvement office which helped EPA staff to establish a greater presence within the
           community and made it easier for the region to oversee community involvement. The satellite
           office served as the focal point where community members could ask questions, articulate
           concerns, and obtain information.  Most community members felt that the EPA was very
           responsive to their concerns.
 Impacts on Superfund Cleanups and Settlement Negotiations

       For the 13 pilots examined, some delays were reported to be due to increased commu-
       nity participation. For many of the pre-ROD pilots, it was generally noted that community
       involvement had resulted in considerable but unspecified delays in finalizing the ROD.
       At a few post-ROD sites, community involvement delayed construction activities.  At
       these sites, community involvement played a crucial role in lengthening the negotiation
       period with PRPs.  However, these delays resulted in higher quality work products and
       increased community acceptance and support.


	
                                                                              page 59

-------
	
                         earned
                   Communities whose members regularly attend technical meetings are more informed
                   and, therefore, better able to understand the progress of response activities at a site;

                   Efforts to involve the community can be extensive and require a significant amount of
                   time, but the efforts are well worth the investment and can result in widespread accep-
                   tance and support of cleanup actions; and

                   Increased community involvement tends to result in greater community satisfaction
                   with the selected remedy at a site.
   General Observations

          Soliciting input from the communities yielded varied results.  Where communities have
          become involved, their input has often proven valuable.  In many pilots, increased
          community involvement resulted in greater community understanding and acceptance
          of the work being conducted.  Community members appreciate the opportunity to
          participate and act as stakeholders in the decisionmaking process.  Communities were
          also satisfied with the level and quality of PRP interaction.
          Approaches  that add value
                                         ocess and the  Community

                 TAGs and CAGs. Useful and effective, these mechanisms keep commu-
                 nities affected by Superfund sites well informed and involved with decisions
                 concerning the site. They also enable communities to better articulate their
                 concerns in the decisionmaking process.

                 Door-to-door/face-to-face/individual meetings. Several sites
                 interviewed individuals in an attempt to develop consensus on cleanup goals
                 and appropriate remedy selection. Also, door-to-door activities helped
                 generate previously lacking community interest.

                 Establishment of a satellite community  involvement
                 office. Although not identified as a part of the pilot, at one pilot site this
                 approach greatly facilitated communication between EPA and the community
                 during many phases of the Remedial Action (RA). This office also served as
                 the focal point where community members could ask questions, articulate their
                 concerns, and get information.
page  60
         Report FY 1998

-------