5574
       United States
       Environmental Protection
       Agency
Office of Solid Waste
and Emergency Response
Washington DC 20460  i
       Solid Waste
       Permit Writers
       Guidance
                                  Cctober1984
Manual
       ^•^V ^•••i • ^^M ^^B • • ^^^ ^^F • ^ • ^^B • • ^^m IB^B •
       for Hazardous Waste
       Land Storage and
       Disposal Facilities

       Phase I
       Criteria f
       Location Acceptabili
       Existing Applicable R<
       Final Draft
                               530R84101
                 ions

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          UNITED STATES ENVIRONMENTAL PROTECTION AGENCY

                      WASHINGTON, D.C. 20460
                           DEC  3 !984
                                                      OFFICE OF
                                             SOLID WASTE AND EMERGENCY RESPONSE
MEMORANDUM
SUBJECT:

   FROM:

     TO:
                           RA Phase I Location Guidance Manual

                  homas,Assistant Administrator

           egional Administrators
     Attached for your information and comment are three copies
of the Permit Writers' Guidance Manual for Location of Hazardous
Waste Land Storage and Disposal Facilities - Phase I.  This
guidance is distributed in final draft form.  The manual was
prepared by the Office of Solid Waste as guidance to permit
writers in the Regional Offices as well as authorized States to
assist them in evaluating the locational aspects of Part B permit
applications.

     This manual was developed prior to the passage of the RCRA
amendments and is not the "location guidance" called for by the
amendments.  That location guidance will be forthcoming and
will be clearly identified as guidance that fulfills the require-
ments of the RCRA amendments.

     This Phase I manual describes criteria for determining
location acceptability and discusses existing regulations that
permit writers should apply when considering location aspects.
The five criteria for determining location acceptability are:
(1) ability to characterize the site, (2) high hazard and unstable
terrains, (3) ability to monitor ground water at the location,
(4) Federally-protected lands, and (5) vulnerability of ground
water.  The Part 264 performance standards associated with
these criteria are discussed.  These regulations may provide the
bases for denying permits for facilities that do not satisfy the
first four criteria listed.

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     The fifth criterion, vulnerability of ground water, is
related to the Agency's Ground Water Protection Strategy.  Phase
II in this series of location guidance manuals will define ground-
water vulnerability; the discussion in the Phase I manual is
limited to an illustration of how the concept will be ultimately
applied in the permitting program.  The Phase II manual will
contain the vulnerable hydrogeology guidance criteria that the
Agency is required to develop as mandated by the RCRA amendments
of 1984.

     Please distribute copies of this manual to RCRA permit
writers and to their counterparts in the States within your
Region.  A copy of the manual has also been sent to the RCRA
Permits Division Director and Branch Chief in your Region.
Questions and comments regarding the manual should be directed
to Glen Galen in the Office of Solid Waste at FTS 382-4678 or
commercial (202) 382-4678.  Review comments are requested by
January 15, 1985.

     Following OMB approval, a notice of availability and
instructions for obtaining the manual will be published in
the Federal Register.  In the interim, we have sent one copy
of the manual to your Regional Library for public reference.

Attachments

cc:  Hazardous Waste Division Directors,
       Regions I-X, with attachments
     Hazardous Waste Permits Branch Chiefs,
       Regions I-X, with attachments
     John Skinner
     William Hedeman
     Gene Lucero

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                                      530R84101
    PERMIT  WRITERS' GUIDANCE  MANUAL
  FOR THE LOCATION OF HAZARDOUS WASTE
  LAND STORAGE AND DISPOSAL FACILITIES
                  PHASE I
   CRITERIA FOR LOCATION ACCEPTABILITY AND
EXISTING  REGULATIONS FOR EVALUATING LOCATIONS
                 FINAL DRAFT
             U.S. Environmental Protection Agency
             Region V,  Library
             230 South Dearborn Street
             Chicago, Illinois  60604
          Office of Solid Waste
Waste Management and Economics  Division
  U.S.  Environmental Protection Agency
            401  M Street, S.W.
        Washington, D.C.  20460
               NOVEMBER 1984

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EnvTronrrwmal Protection Agency*

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I
I                               ACKNOWLEDGEMENTS

•             This manual was  prepared  by the Waste Management and
•        Economics Division of the Office of  Solid Waste.   The
         principal editor was  Glen Galen.  Other EPA personnel
•        providing major contributions  were Arthur Day and Louise Wise.
              Consultants played major  roles  in  the preparation of the
•        guidance manual.  Dr. William  Doucette  of Radian  Corporation
•        developed the  major technical  sections  of the manual and
         provided technical assistance  and background information in
I        formulating  the manual.  Dr. Keros Cartwright of  the Illinois
         Geological Survey provided thoughtful comment on  the approach
•        to  location  evaluation.  Diane Heineman of GCA Corporation--
•        Technology Division compiled peer-review comments on the draft
         version  of the manual and provided technical support.  Back-
•        ground  information on weak and unstable soils was assembled by
         J.B.  McCutchan and K.T. Ajmera of Radian Corporation.
™             Special thanks is expressed to  the personnel of EPA
•        Regional Offices in Regions I, III,  IV, V, VI,  and IX for
         technical assistance  and support in  preparation of case study
•        background information.

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                      EXECUTIVE SUMMARY



     This manual provides guidance to RCRA facility permit


writers concerning the physical location of hazardous waste


surface impoundments, waste piles, and landfills.  Location

guidance for land treatment units will be provided in a

future document.  As part of a broad program to encourage safe

and proper siting of hazardous waste facilities, this manual

is Phase I of a five document series.  Other documents  include:


     a.  a review of State siting criteria for hazardous
         waste treatment, storage, and disposal facilities,

     b.  a Phase II document describing technical methods for
         evaluating locations and determining ground-water
         vulnerabil ity,

     c.  an appendix to the Phase II document containing case
         studies, and      , •

     d.  a permit writers' guidance manual for land treatment
         site selection.

     Section 2.0 of this guidance manual describes five criteria

for determining location acceptability.  The five criteria are

as follows:

     a.  Site Characterization - The inherent geologic, hydro-
         logic, and pedologic features of the site can be fully
         characterized .

    b.   High Hazard and Unstable Terrains -  The site provides
         a stable foundation for the engineered containment
         structure, is not subject to likely events, either
         natural or man-induced, that would damage engineered
         containment structures, and does not require active,
         ongoing maintenance of engineered containment structures
         due to instability or high hazard and unstable terrain
         conditions following closure.  Sensitive areas that
         should be evaluated against this criterion are:
         0  flood-prone areas,
         0  seismic impact zones,
                             ES-1

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                  0  volcanic impact zones,
                  0  landslide-susceptible areas,
                  0  subsidence-prone areas, and
                  0  weak and unstable soils.

              c.  Ability to Monitor at Location - All potential ground-
                  water flow paths can be monitored or the facility is
                  located in a zero recharge zone.

              d.  Protected Lands - The facility complies with statutes
                  and rules for Federally protected lands.  Protected
                  lands include:

                  0  archaeological and historic places,
                  0  endangered and threatened species and critical habitat,
                  0  parks, monuments, and scenic  rivers,
                  0  wetlands,
                  0  wilderness areas,
                  0  wildlife refuges,
                  0  coastal areas, and
                  0  significant  agricultural lands.

              e.  Ground-Water Vulnerability - The facility is not
                  in a vulnerable setting above Class I or II ground
                  water as defined in the Agency's Ground-Water
                  Protection Strategy.
              Currently,  40 CFR Part 264 permit standards specify design

•        and operating  requirements for hazardous waste facilities and

         establish ground-water monitoring and corrective action

I        requirements.  While  Part 264  does not contain explicit location

         standards based  on hydrogeologic considerations, the ground-water

•        monitoring and corrective action regulations  and the design and

•        operating requirements contain performance standards that implicitly

         involve  hydrologic and geologic factors.   Section 3.0 presents

I        existing regulations  that permit writers should apply when evaluating

         permit applications against location  issues.    These regulations

•        may provide a  basis for denying permits to owner/operators for

•        facilities at  certain locations that  do not satisfy  any of the

         first four criteria cited above.  Except with respect to the
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         ground-water vulnerability criterion, this manual describes


I        a number of locations that are particularly sensitive areas


         where the criteria for location acceptability are less likely


I        to be met.  At these locations, permit writers must examine


•        whether a facility can be designed, constructed, operated,


         and maintained to comply with existing regulations.  Table ES-1


I        provides a matrix of existing RCRA regulations related to the


         first four criteria for location acceptability that should be


I        evaluated in these sensitive locations.


•             The Agency's current regulations do not provide a clear


         basis for denying all permits to owner/operators of facilities


•        that are located in a vulnerable hydrogeology as defined in the


         vulnerable ground-water criterion.  The Agency's Ground-Water


•        Protection Strategy, however, presents a framework for implementing


•        a number of regul~atory decisions that are related to ground-water


         quality issues.   The strategy guides decision-making under


•        existing regulations, and indicates where regulations will be


         amended or created in order to fully implement the policies.  Of


•        particular importance to the RCRA program is the classification


•        of ground water  into three classes and the accompanying division


         of certain classes into vulnerable and non-vulnerable hydrogeologic


•        settings.  In addition, recent statutory amendments under RCRA


         require that certain facility design and operation provisions


B        are based on whether the facility is in an area of ground-water


•        vulnerability.


              The Phase II guidance manual will present a definition of


         ground-water vulnerability and analytical methods for use in
I
                                      ES-3

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applying the definition to individual facilities.  Additional

guidance on the definition of the three ground-water classes
™       will be provided by the EPA Office of Ground-Water Protection at


I       the same time.  The Agency will then develop amendments to the


         RCRA Part 264 ground-water protection standards to provide a


|       regulatory basis for applying a ground-water vulnerability


_       criterion in permitting RCRA hazardous waste management facilities.


™       Other regulatory amendments will also be made to fully implement


I       the other provisions of the Ground-Water Protection Strategy.


         This Phase I guidance manual discusses ground-water vulnerability


|       only to the extent necessary to illustrate how the concept will


_       be ultimately applied after the appropriate amendments are made


™       to the permitting standards.


I            All applications for Part 264 permits must be evaluated


         against certain  existing performance standards and 'application


|       information requirements that implicitly involve facility loca-


ซ       tion issues.  Permit writers may determine after analysis that


         the applicant has not demonstrated that the facility will


I       satisfy one or more of the following:

              a.  monitoring requirements (Part 264.92 and 264.97)


|            b.  liner foundation requirements (Parts 264.221(a),
                  264.251U), and 264.301 ( a) ),

I            c.  the closure standards (Parts  264.111,  264.228(a),
*                and 264.310(a) ) ,


•            d.  dike integrity requirement  (Part 264.221(d)).


         An inability to  satisfy these standards is grounds for permit
         denial.

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     Location factors may also be.relevant  to  other  decisions

made under the Part 264 permitting:,  program.   In  certain cases,

supplemental provisions under Part  264 can  be  attached  to the

permit based on certain location concerns.   Decisions  regarding

these supplemental provisions are discussed  in various  sections

of this guidance manual and referenced in Table  ES-2.   These may

include the following decisions:

     a.  whether to grant Alternate  Concentration  Limits (ACLs)
         in the facility's ground-water  protection standard
         or to exclude Appendix VIII constituents  from  monitoring
         under Section 264.93,

     b.  whether to require a contingent corrective  action program,
         and

     c.  extending the post-closure  period.

     In addition, the permit writer may  have grounds for permit

denial if the applicant is not in compliance with  certain other

Federal Statutes designed to protect scenic  rivers,  wetlands,

archaeological sites, and other Federally protected  resources.

Table ES-3 provides a summary of applicable  Federal  statutes and

Rules that form the basis of the fourth  criterion  for location

acceptability.  Under Part 270.14(bv-) (20) , the  permit applicant

may be required to submit additional documentation to  show that

the location at which his or her facility is sited is  in compli-

ance with other "protected" land statutes.   Section  2.0 of this

manual provides permit writers with guidance in  determining

whether a RCRA permit application is consistent  with these other

applicable Federal Statutes.  Permit writers should  more routinely

seek to coordinate with the appropriate  Federal  Agency  for assist-
                             ES-5

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ance  in determining  facility compliance with  other  Federal




statutes .



     The Imminent Hazard Provision  under  Section  7003  of RCRA



gives the Agency broad authority  to  issue  administrative orders



where the presence of solid waste or  hazardous  waste may present




an imminent and substantial endangerment  to health  or  the environ-



ment.  Section 3.4 of this Manual presents guidance on the  appli-




cability of Section  7003 Administrative Orders  that supplements




existing Agency guidance.



     Section 4.0 provides the permit  writer with  site  case  study




summaries based on actual RCRA permit  applications  submitted  to



various EPA Regional Offices.  The case studies are used to



illustrate how the location criteria  presented  in this manual




should be applied when evaluating RCRA permit applications.



Recommended responses that the permit  writer  should make regard-



ing various locational issues are also included.  These summaries



and additional case  studies currently  being evaluated  will  be



presented in more detail in a case  study  appendix to the Phase



II permit writers' guidance manual.



     Section 5.0 of  this manual outlines  the  current Agency



program for developing and implementing RCRA  location  guidance



and regulations under 40 CFR Part 264.  A brief description of



subsequent guidance materials is presented.



     The Phase I Location Guidance Manual was developed prior  to




the passage of the Hazardous and Solid Waste  Amendments of  1984




and is not the "location guidance" called  for by  the amendments.
                             ES-6

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That location guidance will be forthcoming and will be clearly



identified as guidance that fulfills the requirements of the



RCRA amendments.
                               ES-7

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                           CONTENTS


                                                             Page

Executive Summary 	 ES-1


     1.0 Introduction 	  1-1

         1.1 Scope of Document 	  1-3

         1.2 Related Location Guidance Documents	  1-4


     2.0 Criteria for an Acceptable Location 	  2-1

         2.1 Site Characterization 	  2-5

         2.2 High Hazard and Unstable Terrains 	  2-8

         2.3 Ability to Monitor the Location 	  2-37

         2.4 Protected Lands 	  2-43

         2.5 Ground-Water Vulnerability 	  2-54


     3.0 Existing Regulations to Evaluate Locations 	  3-1

         3.1 Existing Location Standards 	  3-1

         3.2 Existing Regulations Warranting Permit Denial

         	  3-9

         3.3 Supplemental Regulatory Provisions for
             Permit Approval	  3-20

         3.4 Consideration Under the Imminent Hazard
             Provision of RCRA 	  3-28

     4.0 Case Studies for the Application of Location
         Criteria and Applicable Existing Regulations 	  4-1

     5.0 Future Agency Efforts 	  5-1

     6.0 References 	  6-1

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                                           TABLES
TABLE ES-1


TABLE ES-2


TABLE ES-3

TABLE 2.4-1

TABLE 2.5-1



TABLE 3.0-1


TABLE 3.3-1


TABLE 4.0-1

TABLE 4.0-2


TABLE 5.0-1
Cross-Reference of Location Criteria and Existing
RCRA Standards for Evaluating Locations

Supplemental RCRA Provisions Useful as a Basis  For
Permitting

Protected Land Statutes and Regulations

Protected Land Statutes and Regulations

Ground-Water Classification Matrix - Current RCRA
Obligations Based on EPA Ground-Water Protection
Strategy

Cross-Reference of Location Criteria and Existing
RCRA Standards for Evaluating Locations

Supplemental RCRA Provisions Useful as a Basis  For
Permitting

List of Case Study Locations and Locational Settings

Matrix of Case Studies Versus Relevant Location
Acceptance Criteria
Page

ES-8


ES-9


ES-10

2-48

2-60



3-2


3-21


4-5

4-6
Program Plan for RCRA Location Guidance and Regulations    5-3
FIGURE 2.2.2-1

FIGURE 2.2.3-1


FIGURE 2.2.4-1


FIGURE 2.2.5.1-1

FIGURE 4.0-1
                                          FIGURES
Seismic Zoning in the United States

Volcanic Impact Zones of the Forty Eight
Conterminous United States

Relative Potential of Different Parts of the
Conterminous United States to Landsliding

Fluid Withdrawal Ground Failure Areas

Physiographic Regions of the United States and
Canada
Page

2-22

2-25


2-28


2-32

4-3
FIGURE 4.^-2
Ground-Water Regions of the United States
4-4

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                                                                                Page
FIGURE




FIGURE




FIGURE




FIGURE




FIGURE




FIGURE




FIGURE




FIGURE




FIGURE




FIGURE




FIGURE




FIGURE




FIGURE




FIGURE




FIGURE




FIGURE




FIGURE




FIGURE




FIGURE




FIGURE




FIGURE




FIGURE




FIGURE
4.1-1




4.1-2




4.1-3




4.1-4




4.2-1




4.2-2




4.2-3




4.2-4




4.2-5




4.3-1




4.3-2




4.3-3




4.3--4




4.3-5




4.3-6




4.4-1




4.4-2




4.4-3



4.4-4




4.4-5




4.4-6




4.4-7




4.4-8
Case Study A:



Case Study A:




Case Study A:



Case Study A:




Case Study B:



Case Study B:



Case Study B:



Case Study B:



Case Study B:




Case Study C:



Case Study C:




Case Study C:



Case Study C:



Case Study C:




Case Study C:



Case Study D:



Case Study D:




Case Study D:



Case Study D:



Case Study D:




Case Study D:



Case Study D:




Case Study D:
 Site Plan



 Location of Cross Sections




 Sections I-I1 and II-II'




Sections Ill-Ill1 and IV-IV1



 Topographic Map




 Borings and Well Map



 Section A-A'



 Section B-B1




 Section C-C1



 Topographic Map




 Location of Cross Sections



 Section A-A1



 Section B-B1



 Section C-C1




 Section D-D1



 Soil Boring Location Map




 Monitoring Well Network




 Section A-A1



 Section B-B1



 Section C-C'




 Section D-D1



 Section E-E1




 Section F-F1
4-10




4-11




4-12




4-13




4-15




4-16




4-17




4-18




4-19




4-24




4-25




4-26




4-27




4-28




4-29




4-33




4-34




4-35




4-36




4-37




4-38




4-39




4-40
                                            ill

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                       1.0 INTRODUCTION






     The purpose of this document is threefold:  (1) to provide



guidance in defining acceptable physical locations for hazardous




waste land storage and disposal (HWLSD) facilities/ (2) to




cite available regulations and statutes and how these should



be applied in evaluating the acceptability of locations, and



(3) to present an outline summary of future Agency efforts




to ensure both proper site analysis and safe location of



such facilities.  The intended audience is EPA Regional



Office staff and authorized State Agency personnel who eval-




uate permit applications under the authority of the Resource



Conservation and Recovery Act (RCRA).




     The physical location of HWLSD facilities directly




influences the potential for impacting human health and the



environment.  Physical location refers to the geologic,



hydrologic, and pedologic characteristics of a site as well




as adjoining lands, surface water, and ground water that may



be impacted in the event hazardous constituents are released



from the facility.  A 1983 EPA study (Liner/Location Study by



Ertec Atlantic, Inc.) concluded that proper site selection



and appropriate hydrologic and geologic conditions are impor-



tant factors in maintaining long-term protection of the



environment.  In addition, the RCRA reauthorization contains



specific amendments that require the Agency to promulgate




location regulations and to provide location guidance concern-




ing the potential vulnerability of a location to ground water
                             1-1

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contamination.  This Phase I Guidance Manual was developed




prior to the passage of the RCRA amendments and is not  the



"location guidance" called for by the amendments.  That loca-



tion guidance will be forthcoming and will be clearly identified




as guidance that fulfills the requirements of the RCRA  amend-




ments.  The Agency's Ground Water Protection Strategy recognizes



the importance of hydrogeolog ic factors in protecting public



health and the environment from contamination related to  a




number of waste disposal and product utilization practices.




This Strategy establishes a framework for decision-making




under several Agency programs, and outlines areas for future



rulemaking or amendments to existing regulations.



     On December 18, 1978, EPA proposed standards to control



the location of facilities in seismic zones, 100-year flood-




plains, coastal high hazard areas, 500-year floodplains,



wetlands, critical habitats of endangered and threatened




species, and recharge zones of sole source aquifers, as well




as specific standards to delimit the location of active por-




tions of facilities with respect to the facility's property



line.  Public comments and additional research regarding  the



proposed standards were evaluated and on January 12, 1981, EPA




promulgated two of the eight candidate standards:  the  100-year



floodplain and seismic zone restrictions.  The other six  stand-




ards were not promulgated because they either required  more



research, were at least partially addressed in regulations




promulgated under laws other than RCRA,  or were rejected as



unnecessary to protect human health and the environment,  e.g.,
                             1-2

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'        the 500-year were published in the Federal Reg ister on July 26,
•        1982.
              Based upon a recent review of selected RCRA permit
I        applications, the Agency has found that many HWLSD facilities
_        are located in terrains that may encourage adverse impacts
*        to public health and the environment and that the safe and
•        proper location of such facilities has not been a priority
         in the past.
|        1.1 SCOPE OF DOCUMENT
_             The scope of this guidance document covers the physical
™        location of landfills, waste piles, and surface impoundments.
I        Some information related to land treatment units is provided.
         Land treatment units are subject to many of the same location
|        concerns as are storage and disposal facilities; however,
         land treatment facilities are functionally different from
         storage and disposal facilities and require a somewhat differ-
         ent approach in defining location acceptability.  While
         storage and disposal facilities serve as a means of contain-
         ment for hazardous constituents, land treatment facilities
         are sited and operated to degrade, transform, or immobilize
         hazardous constituents.  Locational concerns related to land
         treatment will be pointed out as appropriate in the text.
              Only those parameters important to physical location
         are addressed in this guidance manual; engineered features
         such as liners are not considered.  By separating the engi-
         neered features of the hazardous waste land storage and
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         disposal unit from physical location factors of a  site,  it


         should not be inferred that the Agency considers engineered
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         elements of a unit to be unimportant.  The design of liners,


•        caps, and other features of HWLSD units is of utmost impor-


         tance in minimizing the potential for hazardous waste contam-


•        inant generation and release.  In order to evaluate locational


•        acceptability, it is important to consider separately only


         those elements that are intrinsic to the natural terrain of


I        a sensitive site.  However, in determining whether a site is


         acceptable or unacceptable, a permit writer should first


•        evaluate whether a facility can be designed to withstand


•        events and conditions that exist or that are likely to occur


         at the location.  If a facility cannot be designed to with-


•        stand such events or conditions, the permit writer must also


_      -  evaluate the ability of the location to minimize the poten-


™        tial for exposure of the public and environment to the waste
         in the event that the engineered containment structures


         (liner and cover) fail.


         1.2  RELATED LOCATION GUIDANCE DOCUMENTS


              This guidance manual is the first phase of a broad EPA


         program to establish guidance and standards under RCRA for


         the location of hazardous waste land treatment, storage, and


         disposal facilities.  Conducted by the Office of Solid Waste,


         the program is designed to encourage the safe and proper


         siting of facilities.  This manual is one of a series of


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five guidance documents.  The four other documents are listed

below as follows:

     a.  Review of State Siting Criteria for Hazardous Waste
         Treatment, Storage, and Disposal;

     b.  Permit Writers' Guidance Manual for the Location of
         Hazardous Waste Land Storage and Disposal Facilities.
         Phase II:• Vulnerable Hydrogeology Guidance Criteria
         and Location Analysis Methods;

     c.  Permit Writers' Guidance Manual for the Location of
         Hazardous Waste Land Storage and Disposal Facilities.
         Phase II Case Studies; and

     d.  Permit Writers Guidance Manual for the Location of Land
         Treatment Facilities.*
* Currently in draft form as "Site Selection Criteria for
  Hazardous Waste Land Treatment Facilities," by W.H. Fuller
  Draft project report, #CR810670-01-0.  Prepared under a
  cooperative agreement between the University of Arizona
  and EPA Kerr Laboratory, Ada, Oklahoma.

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           2.0 CRITERIA FOR AN ACCEPTABLE LOCATION






     The human health and environmental  impacts  that may  occur



when a hazardous waste land storage or disposal  (HWLSD) facility



fails differ dramatically depending upon the  facility's physical




location.  Analysis of the first submissions  of  RCRA Part B



permit applications indicates that in the event  of design and




operating control failure, many existing as well  as new HWSLD




facilities are sited in locations having hydrogeolog ic



characteristics that favor rapid release of waste constituents



and maximize the potential for adverse impact.   Permit writers



should evaluate both new and existing locations  for HWLSD




facilities based on the ability of hydrogeolog ic conditions  to



encourage waste containment, reduce contaminant  migration, and




minimize adverse impact.




     The Agency has established five criteria  for evaluating



an acceptable location.  These criteria are based on experience



with remedial actions at uncontrolled waste sites and investigations



of various locations of existing RCRA facilities.  The term



"location" as used in this manual encompasses  the specific



hydrolog ic , geologic, and pedologic characteristics of the



facility site and related features of the surrounding terrain.



     Criteria for an acceptable location are  as  follows:



     a.  Site Characterization - The inherent geologic/




         hydrolog ic, and pedologic features of the site and



         location at large can be fully characterized.




         Complete characterization means that a  permit

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    applicant must be able to delineate the ground-water



    flow path for constituents that may be released



    from a unit, determine ground-water flow velocity



    along the flow path, and detail geotechnical properties




    of the geologic materials necessary to design the



    unit liner, cover, and impoundment dikes.  Permit




    applicants seeking Alternate Concentration Limits




    (ACLs) and approval of corrective action programs



    must also provide additional data regarding




    contaminant transport and behavior in the ground-water



    system in the event that hazardous constituents are



    released from the engineered containment structure.




b.  High Hazard and Unstable Terrains - The site geology




    can provide a stable foundation for the engineered



  '  containment structure, is not subject to likely




    events, either natural or man-induced that would



    impair the containment structure, and does not



    reguire active ongoing maintenance of engineered




    containment measures following unit closure.  High



    hazard and unstable terrains include those locations



    that are prohibited by existing location standards




    (i.e., 100-year floodplain and seismic standards)



    and those that are highly susceptible to events and



    conditions that exist or are likely to occur at a




    site that could severely damage containment struc-



    tures and for which protective measures cannot be



    designed, such as seismism, faulting, volcanism,




    landslides, and land subsidence.
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c.  Ability to Monitor - All potential ground-water flow

    paths in the uppermost aquifer along which constituents

    can migrate from the regulated unit can be characterized

    and ground-water quality can be monitored.  In addition,

    it must be possible to install monitoring wells to

    collect samples of ground water unaffected by leakage

    from a regulated unit (i.e., background wells), except

    in areas where sources of moisture for ground-water

    recharge are negligible.  A possible exemption from

    ground-water quality monitoring may apply where a unit

    is located in a zero recharge zone.  This exemption

    does not generally apply to surface impoundments and

    other facilities that store or dispose of liquid waste

    since the presence of -these liquids may be a significant

    component of recharge to ground water.  A zero recharge

    zone is an arid terrain characterized by negligible

    sources of moisture available to recharge ground water.

    The feasibility of the permit writer granting an exemp-

    tion in such a location should be based upon a case-by-

    case determination.

d.  Protected Lands - The facility complies with statutes

    and standards applicable to Federally protected land

    resource values.  Protected lands include:

    1.  archaeological and historic places,
    2.  endangered and threatened species habitat,
    3.  parks, monuments, and scenic rivers,
    4.  wetlands,
    5.  wilderness areas,
    6.  wildlife refuges,
    7.  coastal areas, and
    8.  significant agricultural lands.
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              e.  Ground-Water Vulnerability - The facility is not within


                  a vulnerable setting above Class I or II ground water


                  as defined in the Agency's Ground-Water Protection


•                 Strategy or as may be defined directly in the RCRA


                  amendments of 1984.  (The determination of vulner-


•                 ability is described in the Phase II Permit Writers


•                 Guidance Manual for Location of HWLSD Facilities).


         Locations that do not satisfy all of the above criteria are


•        considered "unacceptable" and the permit writer should consider


         permit denial.  Current regulations, however, do not provide the


•        legal basis to deny a RCRA permit at some sensitive locations.


•        For example, there is no legal basis for permit denial at a


         location that satisfies all of the above except the ground-water


•       . vulnerability criterion.  However, several existing regulations


_        may serve as a basis for prohibiting permit issuance to owner/


™        operators of facilities at locations that do not meet the require-


•        ments of the first four criteria (see Section 3.0 of this manual)


         When a facility is sited in a sensitive location but a permit


|        cannot be denied using existing  regulations, other protective

         measures can be taken (see Section 3.3 of this manual).  New


         regulations that directly address the subject of ground-water


         vulnerability and other conditions and events discussed in this


         manual that are not addressed by existing regulations, will be


         developed to supplement current  RCRA standards.  Until these


         regulations are promulgated, siting at sensitive locations that


         fail any of the above criteria but for which existing regulations
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•        will  not provide  the  basis for permit denial  should be discour-
_        aged.   Permit writers should  also inform applicants that expan-
™        sions  of facilities in these  sensitive locations may possibly be
I        denied on the basis of future regulations.
              in evaluating  locations  against the criteria defined in
|        this guidance manual, it is important that  the permit writer
ซ        does  not overstate  the policies reflected in  this document.   The
         five criteria for location acceptability establish a general set
•        of considerations that are relevant to permit issuance.  It
_


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         would  be  a misuse  of this guidance  to  conclude that any sensitive
         location  described in this manual  is necessarily an unacceptable
         location  for  which a facility permit should  be denied.   Rather,
         the  permit writer  should  use  this manual  to  assist in evaluating
         sensitive locations where the facility design, construction,
         operation, maintenance,  and ground-water  monitoring program
         must be more  carefully examined.  The  determination of  whether
         the  facility  location is  unacceptable  and a  permit should be
         denied depends  ultimately on  the  ability  of  the owner/operator
         to comply with  all relevant existing regulations and statutes
         cited  in  this manual.
             The  following discussion of each  location criterion speci-
         fies the  existing  RCRA regulations  and other Federal statutes
         that permit writers should apply when  evaluating location,  and
         provides  recommendations  for  dealing with locations that fail
         any  of the location acceptability criteria.   Location case  studies
         based  on  information submitted in actual  RCRA facility  permit
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applications are summarized in this manual.  These case studies


illustrate how the location criteria and related existing regu-

lation and statutes should be applied.  The reader is referred

to Section 4.0 of this manual.  An Appendix to the Phase II

Location Guidance currently being developed will contain

additional detailed information about each of these case study

sites as well as other sites now being evaluated.

2.1  SITE CHARACTERIZATION

     Site characterization provides the basic information that

both the permit applicant and permit writer need in order to

establish whether a location meets the remaining criteria for

acceptability.  The kind of information and the level of detail


needed in a site characterization varies with the site complex-


ity arid the type of ground-water monitoring and response program

(i.e., ACL demonstrations or corrective actions) applicable to

the facility permit.  The two performance objectives for site

characterization are:

     1.  To provide information sufficient to determine
         compliance with location criteria b, c, d, and e; and

     2.  To provide information sufficient to predict ground-
         water transport and movement of constituents released
         should the engineered containment unit fail.  If a
         mathematical  simulation model is used, it must be able
         to predict contaminant time-of-travel within an error
         of no more than one order of magnitude.

RCRA Part B permit information requirements are set forth in

40 CFR Sections 270.14 through 270.21.  Unfortunately, the data


needed to properly analyze a particular site (that is, the

number, placement, and depth of observation borings)  are not

specified by regulation (see Permit Applicants' Guidance Manual
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         for Hazardous Waste Land Treatment, Storage, and  Disposal
•        Facilities, EPA 530 SW-84-004, May 1984  for guidance regarding
•        data needs for proper site investigations).
              Whether or not the applicant demonstrates  that the  above
• .„      criteria are met based on the information provided in  his  appl i-
_        cation depends solely on a thorough review by the permit writer,
™        An evaluation of permit applications received to  date  shows
•        that sites are generally poorly characterized and the  data
         furnished to the permit writer are deficient.   Additional
I        guidance regarding what the permit writer should  look  for  when
         evaluating whether a permit applicant has sufficiently charac-
*        terized a site will be provided in the Phase II Location
•        Guidance Manual now being developed (see Section  5.0 for a
I
         discussion of the Phase II Manual).
         2.1.1   Geologically-Complex Locations
              Certain geologically-complex locations  (for example,
_
*        karst terrain or fractured bedrock) will more extensive
I        investigation to meet the characterization performance objec-
         tives.  In theory, all sites can be characterized and the
|        dynamics of the subsurface can be described both quantitatively
_        and qualitatively given sufficient time and effort.  From a
         more practical viewpoint certain sites cannot be fully charac-
I        terized due to complex hydrogeolog ic conditions.  These latter
         sites are locations where permits for existing facilities and
|        expansion of existing facilities should be denied and construc-
         tion of new units should be discouraged.  Geologic complexity
         refers to variations in the three-dimensional geometry of


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•       geologic units and their physical properties as well  as
•       variations in soil mechanics and site stability.  Geologically
         simple locations are typically characterized by a "pancake-"
•       like arrangement of geologic units having distinct boundaries
_       that are easily correlated from one soil boring observation
•       to another.  Physical properties within each unit vary little
•       from one part to another and physical conditions provide  a
         stable setting.  Locations become more complex when geologic
I       units are dipping or folding; when units end abruptly or  are
         discontinuous; when the boundaries become obscure; when
•
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         physical properties vary greatly within a layer; or when
         soil conditions are unstable.  The most complex sites are
         those where information about geologic units and their physi.-
|        cal properties cannot be correlated based on boring data.
_        in the worst case, all sub-surface features appear to be
         random and predictions of ground-water movement are more
I        difficult.  When strategically placed, borings and detailed
         observations may provide enough information to show that a
|        systematic pattern of subsurface layers and physical proper-
         ties exists.  A reliable characterization is achieved when
         additional borings placed between previous borings provide
         consistent information about site geometry and hydraulic
         behav ior .
              Terrains commonly found to be geologically complex are:
              ฐ  Shallow bedrock areas composed of highly folded,
                 fractured, or faulted formations
              ฐ  Karst areas
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     0   Alluvial materials

     0   Certain glaciated regions, and

     0   Certain High Hazard and Unstable Terrains  (see
         Section 2.2)

2.2  HIGH HAZARD AND UNSTABLE TERRAINS

     The high hazard and unstable terrain criterion  illustrates

the importance of locating Hazardous Waste Land Storage  and

Disposal (HWLSD) facilities within a stable geologic environment

that:

     1.  results in minimal ongoing maintenance after closure,

     2.  requires minimal physical modifications to  the
         site , and

     3.  minimizes the potential for release of hazardous
         constituents due to ground failure and exposure to
         severe weather events and geologic processes.

     A high hazard and unstable terrain is a location that the

permit writer determines to be unacceptable due to  its suscep-

tibility to natural or man-induced events and forces capable

of impairing the integrity of an engineered containment

structure.   These events include flooding, vulcanism, land

subsidence, landslides, or seismic displacement, deformation,

and ground  motion.  A location is likely to be considered a

high hazard and unstable terrain if (1) it is prohibited by

existing location standards (i.e., the 100-year floodplain

standard and seismic restriction, (2) it is experiencing

existing instability (e.g., weak and unstable soils) and

protective  measures at the facility cannot be designed to

withstand the instability, or (3) historical data indicate

that an event is likely to occur at the site that would
                               2-9

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impair the engineered containment structure and protective



measures cannot be designed to withstand the event (e.g. active



subsidence, landslides, seismic events, or volcanic activity).



Facilities located in a high hazard and unstable terrain



will frequently require perpetual monitoring and maintenance,



and very likely will require extensive repairs and/or correc-



tive action following a likely natural or man-induced event.



Failure can be rapid as in the case of faulting or flooding,



or gradual as with subsidence or mass movements.  Although



the Agency has no evidence to show that any facility can be



designed to withstand natural or man-induced events that are



likely to occur in the future, the permitting standards



currently do not require perpetual responsibility from -the



owner/operator.  There is no certainty that damages incurred



after termination of the post-closure care period under



ง264.117 will be remedied.



     EPA does not have specific criteria to operationally



delineate all high hazard and unstable terrains at this



time.  The determination that a location is a high hazard



and unstable terrain will be a professional judgment on the



part of the permit writer.  This manual, however, describes



six highly sensitive areas that are considered susceptible



to existing instability or future events that would impair



the integrity of a facility containment structure.   The



following subsections describe these terrains (generally



referred to as "sensitive areas") and provides guidance with
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respect to permit decisions  in these locations.  These  areas  are




as follows:



     1.  Flood-prone areas



     2.  Seismic impact zones



     3.  Volcanic impact zones



     4.  Landslide-susceptible areas



     5.  Subsidence-prone areas



     6.  Weak and unstable soil areas



     The permit writer may base his or her decision regarding



site suitability in sensitive areas upon an evaluation  of



information on site and regional location characteristics



submitted by the permit applicant.  The permit writer may



identify a location as a high hazard and unstable terrain



unacceptable for siting based upon documented evidence  of



existing instability or past even'ts in the immediate area or



past events at other locations that possess similar physical



characteristics that a high  hazard event is likely to occur



at the site.  Such evidence may include statistics on the



probability of an event occurring (for example, seismic



activity); physical evidence of recent  events such as  land-



slides, vulcanism, or faulting; or other geologic, geomorphic,



hydrolog ic, or pedologic data indicating that a location is



likely to experience a future natural or man-induced event.



     Locations determined by the permit writer to be high



hazard and unstable terrains are considered unacceptable



locations at which siting of HWLSD facilities should be



discouraged or prohibited on the basis of existing standards



or statutes.  Current regulations may provide permit writers
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with the authority to deny permits to facilities  in locations



where terrain instability already exists or the likelihood  of  a




natural or man-induced event occurring at the site can be demon-




strated using records of past activity at the site or at sites



with the same geologic properties.



     Permitting decisions relative to high hazard and unstable




terrains may vary according to the kind of facility.  The princi-




ple distinction between storage and disposal facilities located



in a high hazard and unstable terrain is based on waste residence



time.  Current RCRA standards require that all hazardous waste



must be removed from a storage unit at closure.   In contrast,




land disposal facilities and all waste contained within remain




at a location permanently if certain design and operating stand-




ards are-met.




     In the description of the sensitive areas that follow,




the permit writer is referred to specific existing RCRA



regulations and other Federal statutes that may apply to




facilities located in high hazard and unstable terrain.



Details of how these regulations can be applied to specific



case study sites are provided in Section 3.0 of this manual.



2.2.1  Flood-Prone Areas



     Flooding can occur as a result of stream channel



overflow, tide events, storm surges, and dike or dam failure.




During a flood, wave action and flowing water can overtop




and destroy protective dikes, erode protective covers, or




undermine the containment structure and result in the washout



of hazardous materials.  High water levels during a flood






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may cause infiltration through caps or joints between caps

and liners.  Floods may also relocate stream channels, thereby

either creating or increasing the potential for damage to

facilities.  Following a flood, the facility could have been

damaged to an extent that subsequent floods may more easily

penetrate a unit.  Locations more susceptible to floods that

are generally within a floodplain include wind and lunar tide

zone and coastal areas, areas below dams, and areas behind

flood or tide dikes.

     One of two existing RCRA location standards, 40 CFR

Section 264.18(b), specifically addresses the location of HWSLD

facilities within the 100-year floodplain.  Facilities are not

permitted in the-100-year floodplain unless one of three

conditions are met:

     1.  the facility is protected, via dikes or other equiva-
         lent measures, from washout during a 100-year flood,
         or

     2.  all hazardous materials can be removed to safe ground
         prior to flooding, or

     3.  it can be demonstrated that no adverse effects to
         human health and the environment will occur should
         flood waters reach the waste.

     In addition to a location satisfying the 100-year flood-

plain standard, Executive Order 11990 (Protection of Wetlands)

must be considered by the permit writer for facilities located

on federally-owned lands that may potentially impact wetlands

in the event of a facility failure since these areas are

frequently found in or near floodplains.  A thorough presenta-

tion of the 100-year floodplain standard and the executive

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         order is found in Section 3.1.
•             Permit writers should discourage the location of new HWLSD
         facilities and expansions to existing units of disposal facil-
•        ities within flood-prone areas and deny permits for facilities
•        in these locations that cannot comply with the RCRA liner
         foundation requirements (see Section 3.2.2), the closure
•        standard (see Section 3.2.3), or the dike integrity standard
         (see Section 3.2.4) as well as the 100-year floodplain standard.
~        Facilities located in flood-prone areas pose a direct threat
•        to surface waters, wetlands, and adjacent lands since these
         areas are particularly susceptible to erosion, wave action,
•        and flooding events.
_             Although the 100-year floodplain standard explicitly
™        addresses significant threats of flooding to facilities, the
B        standard does not specifically define the types of locations
         that are especially flood prone.  These flood-prone locations
|        and conditions found to exist within certain land areas that
         are likely to be located in a 100-year floodplain are described
         as follows:
              a.   Areas Protected by Flood Control Structures
              b.   Coastal High Hazard Areas (barrier islands and
                  eroding shorelines)
              c.   Channel Encroachment Areas
              d.   Wetlands
         Case Study A, summarized in Section 4.0, is provided as an
         example  to assist the permit writer in-evaluating flood-prone
         locations.  Recommended permit actions for facilities existing
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•        or proposed in such locations are described in the following
_        subsections.
™             2.2.1.1  Areas Protected by Flood Control Structures
•        Facilities within the 100-year floodplain protected by general
         purpose flood control structures, exclusive of those structures
|        satisfying the 100-year floodplain standard, may be at jeopardy
         should the general purpose flood control structures fail.
         Where a facility is located in an area protected by general
         purpose flood control structures, the permit writer should
         request that the applicant provide the following information
|        (See 40 CFR Part 270 . 14 (b) ( 11 ) ( iii) and (iv)):  (1) evaluation
_        of the potential for structure failure, (2) resulting impact
™        of such a failure on the facility, and (3) a map showing the
I     •"  elevation of the 100-year flood before and after failure
         relative to the location of each unit.  Site conditions in
|        the absence .of general purpose flood control structures
         should be considered, because the feasibility of removing
         waste from a flooded location will generally be difficult to
         demonstrate.
              2.2.1.2  Coastal High Hazard Areas (Barrier Islands and
         Eroding Shorelines)   Coastal barrier islands are a special
         case of flood-prone area where the land may migrate in response
         to subtle changes in sea level.  Barrier islands are a string
         of sand deposits shaped by wave action and storm surges occur-
         ring predominantly along the Eastern U.S.  and Gulf of Mexico
         shorelines.  Currently, barrier islands are migrating landward


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         in response to a worldwide rise  in  sea level.   Major  changes
•       in land configuration  in these areas normally occur during
         severe weather and strong tropical  storms.   Hoffman et  al .
•       (1983) report that a global rise  in sea level of between 144
•       centimeters (4.8 feet) and 217 centimeters  (7 feet) by  2100  is
         most likely.  Along most of the  Atlantic and Gulf coasts of
•       the United States, the rise will  be 18 to 24 centimeters  (0.6
         to 0.8 foot) more than the global average.   Land storage and
•       disposal facilities located on a  barrier island may be  subjected
•       to erosion, overwash,  and eventual  exposure  to  ocean  forces as
         subsurface soils migrate away from  the facility.
I            Coastal shorelines also erode  at significant rates in
         some coastal high hazard areas.   Facilities  subject to  shore-
•       1 i'ne erosion' may be undercut and  ruptured, resulting  in waste
•       washed into surface waters.  Methods to control shoreline
         erosion are costly, reguire continuous maintenance, and have
•       been known to fail during severe  weather.
              Where a facility  is either  located or proposed on  a
•       barrier island or in close proximity to an eroding shoreline,
•       the permit writer should consider whether the facility can
         satisfy the 100-year floodplain  standard (see Section 3.1.2).
•       Because a facility on  a barrier  island is likely to be  jeop-
_       ardized by eroding shorelines as  well as flooding, the permit
™
•

•


•
         writer should also consider the following existing regulations
         as grounds for making a decision regarding permit  issuance:
              0 compliance with closure standards  (see Section  3.2.3),
                and
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              0  compliance  with liner foundation requirements (see
                Section 3.2.2) .
™        It is expected that a  facility located  on a barrier island,
•        where erosion  is likely to create unstable conditions for a
         liner foundation,  will not comply with  the above requirements.
|        If the  permit  applicant cannot demonstrate that protective
_        measures  will  adequately prevent erosion from occurring at
™        such a  site,  permit denial is recommended.  Otherwise,  siting
•        of facilities  on barrier islands should generally be discour-
         aged.  Facilities  in close proximity to an eroding shoreline
•        should  also be evaluated for potential  impacts based upon
_        each of the above  existing RCRA standards.  Land disposal
™        facilities located in  areas where evidence shows that shore-
•        line erosion  is likely are not expected to comply with  the
         above design  and operating requirements.  If protective
P        measures  cannot prevent erosion from occurring in such  cases,
_        permit  denial  is recommended.  For storage facilities,  the
         permit  writer  should request a set back distance from the
•        shoreline sufficient enough to guarantee no adverse impacts
         during  the facility active life plus closure period. A
I        conservative  estimate  of the annual  erosion rate should also
_        be considered  prior to issuing a permit.  Case Study A  summar-
         ized in Section 4.0 illustrates a facility located in close
•        proximity to estuarine channels that may be subject to  shore-
         line erosion.
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ment areas are those portions of the 100-year floodplain
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         that will  be subjected  to erosion as the stream channel
•       migrates.   An analysis  of an active floodplain may indicate
         meander scars and  other features that prove channel migration
•       has occurred.  Stream bank erosion and channel migration can
•       be minimized with  engineered structures, but cannot be pre-
         vented  during the  predictable future without continuous
•       maintenance of these structures.  For facilities located
         within  a channel encroachment area, the permit writer should
•       consider whether a facility is in compliance or will remain
•       in compliance with the  following existing RCRA regulations:
              0  floodplain  standard (see Section 3.1.2),
I            ฐ  liner foundation requirements (see Section 3.2.2),
                and
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     0 closure standard (see Section 3.2.3).
The permit writer should base permit issuance decisions on
documented evidence regarding stream channel migration in the
area.
              Because  channel  encroachment areas are dynamic locations,
•        it may be  difficult  for owner/operators of storage and disposal
         facilities to comply  with the  liner foundation and closure
•        requirements  over  the active  life of a unit and the closure
•        and post-closure periods.  If  documented evidence shows that
         encroachment  at the  site is likely during this period and if
•        the facility  cannot be designed  to mitigate encroachment
         impacts,  permit denial is recommended for proposed facilities,
•        existing  facilities,  or expansions in these locations.
•        Because channel encroachment  areas may be hydrogeologically



•                                       2-18  .

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         complex and are characterized by relatively permeable soils,
•       the following should be required before issuing a permit to
         existing facilities in these locations: (1) Contingent Correc-
•       tive Action Programs (see Section 3.3.2), and  (2) monitoring
•       of channel migration.
         2.2.1.4  Wetlands   Portions of the 100-year floodplain may
•       be composed of wetlands that frequently become flooded.  On
         December 18, 1978, the Agency proposed a location standard
•       for wetlands but the standard was never promulgated because
•       wetland protection was partially addressed under the dredge
         and fill program administered by the U.S. Army Corps of
•       Engineers pursuant to Section 404 of the Clean Water Act.
_       The permit writer is responsible for coordinating with the
™       Corps to assure that they properly determine whether or not
•       a permit applicant is in compliance with the requirements of
         the Clean Water Act.  The permit writer should also consider
|       whether an owner/operator of a facility located on federally-
^       owned land is in agreement with the directive under Executive
•       Order 11990 entitled, "Protection of Wetlands", published on
•       May 24, 1977.  Wetlands are often characterized by organic
         soils or other weak soil conditions (see Section 2.2.5).
|       Concerns for the impact of HWLSD facilities on wetlands are
_       also discussed under Protected Lands (see Section 2.5.6).
™       Case Study A in Section 4.0 is provided as an example to
•       assist the permit writer in evaluating locations characterized
         by wetlands.
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•       2.2.2  Seismic Impact Zones
              Seismic impact zones are locations subject to surface
•       deformation, ground shaking, landslides, ground failure,
_       and subsidence resulting from a seismic event.  Surface
*       faulting, the permanent horizontal and/or vertical displace-
I       ment of the ground, is one manifestation of a seismic event.
         The impact zone may be characterized by a complex of main
•       faults, branch faults, secondary faults, and associated
—       deformation features as well as ground motion.
™            Land storage and disposal units located directly over a
•       fault may become damaged due to rupture during fault displace-
         ment.  Units located in close proximity to the fault zone
|       may be damaged due to ground shaking and associated ground
         failure or subsidence.  Ground shaking may cause differential
         settling of waste within the facility or the ground supporting
         the facility, resulting in rupture of the liner, leachate
         collection pipes, or cover materials.  Ground motion may
|       also cause damage to impoundment dikes, especially at exist-
—       ing units where weak, unconsol idated soils were used as dike
         materials.  Weak and unstable soils may liquify, lose strength,
•       lurch, settle, or slide impairing the structural integrity
         of dikes (see Section 3.2.4 on the Dike Integrity Standard
|       and Section 2.2.6 on weak and unstable soils for existing units
•       in seismic impact zones).  In regions that have experienced
         significant seismic activity (see Zones 2 and 3 in Figure
•       2.2.2-1), seismic impacts must be considered in the design
         of new as well as existing units whose damage or failure
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                                        2-20

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         could  cause  widespread  adverse  impacts on human health and
I       the  environment.
              Seismic impacts to units may occur in two forms:  the
•       direct tearing  of structures that lie on the fault and the
•       acceleration of structures within the zone of more intense
         motion.   Preliminary estimates  of the seismicity experienced
I       in the United States is illustrated  in the map of earthquake
         zoning (see  Figure 2.2.2-1). The zones reflect the level of
•       engineering  consideration needed  to  ensure good facility
•       design.   In  Zone  0,  experience  suggests no influence of
         seismic  activity  on  facility design.   Zone 1 suggests nominal
•       effects  from distant earthquakes  or  very small local events.
         Seismic  impacts should  be considered  ,in unit design only if
•       local  conditions  of  subsurface  geology (i.e. faulting) at
•       the  site warrant  it.  Zone 2 implies moderate intensities
         equivalent  to accelerations as  great as 0.15g.  The effect
•       of seismic  activity  in  this zone  should be considered in
         the  design  of all  facility structures by semiempirical methods.
•       Zone 3 encompasses all  larger earthquakes whose effect should
•       be evaluated by dynamic analyses. Depending on local condi-
         tions  of the location,  permit writers should especially
•       consider what effects seismic impacts may have upon designed
         facilities  located or proposed  in Zones 2 and 3.
•           An  existing  RCRA location  standard under 40  CFR Part
•       264.18(a) prohibits  the location  of  any portion of a new
         HWLSD  facility  within 61  meters (200  feet) of a fault active
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FIGURE 2.2.2-1:   SEISMIC ZONING IN THE UNITED STATES
                 (Algermissen,  1969)
                              2-22

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         in the Holocene (during the last 10,000 years).  The standard
•       does not address the impact of landslides or ground failure
         that may occur at new and existing  facilities affected by
•       seismic impacts.  These conditions  are addressed in subsequent
•       sections of this guidance manual concerning landslide-prone
         areas, subsidence-prone areas, a'nd  weak and unstable soil
I       areas.  Case Study A summarized in  Section 4.0 illustrates a
_       seismic zone location.
•       2.2.3   Volcanic Impact Zones
•            Volcanic activity  occurs within well-defined regions and
         poses varying degrees of hazard.  The type of volcanic acti-
•       vity is determined by the composition of the magma and the
_       magma gas content.  Basaltic magmas typical of the Hawaiian
™       Island volcanoes are nonexplosive and form gently sloping
I       shield volcanoes.   Felsic (rhyolite and andesite) magmas
         tend to be viscous and  contain volatile gas that cause explo-
|       sive eruptions.  Mt. St. Helens and other volcanoes of the
_       pacific Northwest are the steep-sided composite volcanoes
         typical of felsic  magmas.  The release of pyroclastic  magma,
•       ash, and lava in an eruption can be accompanied by mud flows,
         floods, and avalanches.
|            Land treatment, storage, and disposal facilities  subjected
•       to volcanic activity may be washed  out or eroded by flood or
         mud flow, buried by ash or maqma, ruptured by ejected  material
I       or impacted by avalanches.  Run-off/run-on control and monitoring
         systems, for example, may be especially susceptible to damage
I
from debris flow.
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                                        2-23

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              Geologic evidence will  indicate  the relative  activity

•        of a volcano, and based upon this evidence,  a determination

_        can be made about whether volcanic  impacts are  likely  to

•        occur at a facility location.  Although there is no  way of

I        predicting the exact time of an eruption, the U.S. Geological

         Survey (USGS) has delineated zones  susceptible  to  floods,

|        mud flows, lava flows, and ejected  material  for the  active

_        volcanoes in Hawaii and the Pacific Northwest.   Figure  2.2.3-1

         illustrates volcanic impact  zones of  the forty  eight conterminous

I        United States (Mullineaux, 1976).   Permit writers  in EPA

         Regions IX and X should become familiar with these areas  to

|        determine whether a proposed or existing facility  location

•  "      is likely to become impacted by volcanic activity  as well  as

         subsurface conditions such as weak  and unstable soils,  faulting,

I        and landsliding that may impact designed structures.   Information

         concerning volcanic impact zones can  be obtained from  the

I        U.S. Geological Survey Volcano Hazards Program  and the  State

_        Geologist.  Technical assistance from the U.S.  Geological

         Survey should be requested from:

I                      Coordinator, Volcano Hazards Program
                              U.S. Geologic  Survey
                        345 Middle Field - Mail Stop  910
                         Menlo Park, California   94025
                                 (415) 323-8111

              Because volcanic eruptions are difficult to accurately

         predict, it is unlikely that a permit writer will  have  a basis

         for denying a permit due to the risk  of volcanic eruption  unless

         documented evidence of existing or very recent  volcanic activity

         in the area is available from the U.S. Geological  Survey.
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                                        2-24

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                                                                                                                       -,/JrC}
                                                                                                                MAP  EXPLANATION
                                                                                                  LARGE VOLCANO—Built mostly by repeated eruptions
                                                                                                      at a central vent and probably  active within
                                                                                                      the last 100,000 years.  Eruptions range from
                                                                                                      quiet to explosive.  Volcano flanks are subject
                                                                                                      to lava flows and to all other  kinds of volcanic
                                                                                                      hazards
                                                                                                  VOLCANIC VENTS—Known to have been  active within the
                                                                                                      last 10 million years.  Chiefly sites of mildly
                                                                                                      explosive Co quiet eruptions
                                                                                                  VENT AREA—Source of one or more extremely explosive
                                                                                                      and voluminous  eruptions within the last
                                                                                                      2 million years
                                                                                                  AREAS SUBJECT TO SPECIFIC VOLCANIC  HAZARDS
                                                                                                    Lava flows—Areas of groups of volcanic vents  termed
                                                                                                      "volcanic fields," In which geologically recent
                                                                                                      volcanic activity indicates that future eruptions,
                                                                                                      chiefly of lava flows and small volumes of ash,
                                                                                                      are more likely than in other nearby areas
                                                                                                    Hot avalanches, mud flows, and floods
                                                                                                      Valley flows subject to burial  by hot avalanches
                                                                                                      or small- to moderate-size mudflows caused by
                                                                                                      eruptions at "relatively active" volcanoes
                                                                                                      Valley floors subject to floods and relatively
                                                                                                      large but infrequent mud flows caused by erup-
                                                                                                      tions at "relatively active" volcanoes
                                                                                                      Valley floors subj ect to burial by hot avalanches
                                                                                                      and small- to moderate-size mudflows caused  by
                                                                                                      eruptions at "relatively Inactive" volcanoes
                                                                                                      Valley floors subject to floods and relatively
                                                                                                      large mudflows  caused by eruptions at "relatively
                                                                                                      inactive" volcanoes
                                                                                                    Volcanic ash and  gases
                                                                                                      Limits of ashfall-hazard zones; these zones  are
                                                                                                      subject to deposition of 5 cm or more of volcanic
                                                                                                      ash from eruptions of "moderate" to "very large"
                                                                                                      volume (see table 2)                            <
                                                                                                      Zone A—Area subject to 5 cm or more of ash  from
                                                                                                      a "moderate" eruption,  similar  Co the Mount  St.
                                                                                                      Helens eruption about A.D,  1800.  Also subject to
                                                                                                      deposition of about 1 cm from smaller eruptions
                                                                                                      similar to the  Mount St. Helens eruption of  A.D.
                                                                                                      1842
                                                                                                      Zone B—Atea subject to 5 cm or more of ash  froa
                                                                                                      a "large" eruption,  similar to  the Mount St.
                                                                                                      Helens eruption about 3,400 years ago
                                                                                                      Zone C—Area subject Co 5 cm or more of ash  from
                                                                                                      a '"very large11  eruption, similar to the Mount
                                                                                                      Mazaraa (Crater  Lake) eruption about 6,600 years
                                                                                                      ago
                                                                                                      Sectors  in  zone A downwind  from relatively active
                                                                                                      and explosive volcanoes—Most ash  (75-80 percent}
                                                                                                      fron those  volcanoes expected to fall  within  these
                                                                                                      areas (see  text and  fig. 1)
                           SCALE 1:7500000
                                 300
     —I	
      100
—I—
 200
—I	
 4OO
                                           4OO
                                           —I	
                                                       500
                                                      600 MILES
        500    60O KILOMETERS
FIGURE  2.2.3-1:
                 Volcanic  Impact  Zones  of  the  Forty   Eight  Conterminous
                 United  States  (Mullineaux,   1976)

                                                         2-25

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         If  USGS  data indicate  that  volcanic  activity is likely to occur
I        at  a  particular  facility location  and  the  facility is not designed
         to  withstand volcanic  impacts,  the permit  writer should discourage
•        the siting  of new facilities,  expansion  of existing  facilities,
•        and the  continued operation of  existing  facilities in such a
         location.   For facilities located  in areas where evidence of
I        existing or very recent  volcanic activity  exists,  the permit
         writer should consider whether  the facility will remain in com-
•        pliance  with the following  existing  RCRA regulations:

I
0  Compliance with the closure standard (see Section
   3.2.3)
              1ฐ   Compliance  with  liner  foundation  requirements  (see
                 Section  3.2.2)
  .       2.2.4   Landslide-Susceptible Areas

™         '    The  rapid -mass movement of  earth  materials  called  land-
•        slides,  rock  falls, mudslides, slumps,  earth flows  or debris

         flows,  are  reported for  most steeply sloping  lands  in the United
•        States.   The  timing and  extent of a landslide cannot be exactly
         predicted;  however, areas  susceptible  to  such events may be
•        characterized by considerable geomorphic  evidence of past
•        occurrences.  A  landslide  could  impact  a  HWLSD facility in  a
         variety  of  ways.  For example, the facility  may  be  carried  down-
|        slope and ruptured  and/or  mixed  with the  moving  earth materials;

_        it may be become partially or  fully ruptured  in  place and the

™        waste exposed; or it may also be covered  and  compressed, thus
•        destroying  run-on/run-off  control systems and monitoring systems.

             A generalized  map indicating the  relative susceptibility  of

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                                        2-26

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areas to landslides is shown  in Figure  2.2.4-1.   More detailed



maps prepared for a few communities by  the U.S. Geological  Survey




(USGS) in cooperation with state geological surveys must be  used




by permit writers when evaluating whether or not  the potential



for landslide susceptibility  at a site  exists.  The permit  writer



should contact both the USGS  and appropriate state survey  for



assistance in identifying landslide-prone areas in a specific



location.  Landslide susceptibility is  judged  from slope,  soil,




geologic, and meteorologic conditions by qualified geotechnical




engineers and geologists.



     Locations for which there exists geomorphic  evidence  that




rapid mass wastage is likely, either on the moving mass or  in



the slide path, are not expected to meet any of the existing




regulations presented in Section 3.2.   The permit writer suspect-




ing that a facility is within a landslide-susceptible area  should




request a geotechnical evaluation of landslide potential in



accordance with the permit application  information requirements



under 40 CFR Part 270 for liner foundation requirements  (see



Section 3.2.2), the closure standard (see Section 3.2.3), or the



dike integrity standard (see  Section 3.2.4).   If  such an eval-



uation indicates that a landslide is likely at the site, that



the facility cannot be designed to withstand the landslide,  and



that the liner foundation standard, the dike integrity standard,




or the closure requirement cannot be satisfied, the permit




should be denied by the permit writer.



2.2.5  Subsidence-Prone Areas_




     The principle locations  where land subsidence is likely
                               2-27

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to occur are areas of fluid withdrawals, karst terrains, and



subsurface mining.  Facilities subjected to subsidence can be



ruptured, deformed, or otherwise damaged such that waste is



directly released to the environment or migration of waste



already leaking from a facility is enhanced.  A sudden event



is not a prerequisite for failure of the facility's protective



containment due to subsidence.  In certain cases, faulting or



surface deformation may damage the facility structure over a



period of years without obvious manifestations of failure.



Additionally, subsidence-prone areas may be difficult locations



to monitor or in which to implement a corrective action, due to



extensive, uncharacterizable secondary porosity flow paths



(e.g., mine tunnels, earth fissures, and solution cavities).



    "As of October 1983, eight States prohibit or restrict the



location of hazardous waste land disposal operations in mining



or subsidence-prone areas.  Nine States also prohibit or



restrict location of facilities in karst/carbonate areas



(Monnig, 1984).  The States have various definitions for these



site characteristics.  Permit writers are referred to the above



reference for more information.



     The permit writer should discourage new HWLSD facilities



and proposed expansions to existing facilities from locating



in subsidence-prone areas.  For new facilities, the permit writer



should determine whether the seismic restriction is applicable



in such locations (see Section 3.1.2).  In subsidence-prone



areas not governed by the seismic standard, permits may be
                               2-29

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denied at new and existing facilities that cannot be designed




to withstand subsidence and consequentlYf cannot comply with




the following RCRA standards:



     0 Ability to Monitor Requirement (see Section 3.2.1),



     0 Liner Foundation Requirement  (see Section 3.2.2)




       (new units and new portions of existing facilities), and



     0 Closure Standard (see Section 3.2.3).




     2.2.5.1  Fluid Withdrawal Zones  The withdrawal of oil,




gas, and ground water can result in land surface subsidence and




the formation of associated earth fissures and surface faults.



Earth fissures and faults occur due  to the compaction of uncon-




solidated sediment as fluid is withdrawn.  Subsidence features




may not necessarily occur directly over the cone of depression




of a groUnd-water w'ell for example, but may appear on adjoining




lands due to variations in subsurface conditions.  Holzer  (1984)




in a review of ground failure related to ground-water withdrawal



found that earth fissures commonly have lengths of several



hundred meters and are commonly eroded to a width of 1 to  3 m



into gullies at the surface.  Faults were found to be a



kilometer or more long with vertical offsets of 0.5 m.  The



rate of growth of fissures and faults is relatively slow.



     Subsidence may impact HWLSD facilities in several ways.



Faulting may rupture the liner systems or cause differential




settlement within the facility.  Earth fissures serve as



planar conduits for infiltrating water, and may route leaking




waste past monitoring wells or otherwise complicate ground-water
                               2-30

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flow.  Subsidence may change drainage patterns,  increase  run-on,




or increase the probability of flooding.



     A generalized map identifying 14 regions  known  to be



subsiding as a result of fluid withdrawal  is shown  in Figure




2.2.5.1-1.  The permit writer should use this  map only as  a




general reference and should not attempt to make a  site



specific determination based upon this  information.  Subsid-




ence impacts can be predicted to some extent at  the  site




specific level by two approaches: (1) recognition of appro-



priate subsurface conditions at the location,  and (2)




monitoring of surface deformation for precursory signals.




     Permit writers should investigate  the possibility of




subsidence and subsidence impact occurring at  any facility




in the southwest U.S. extending over a  region  from  the



Houston area to California.  Permitting of new facilities



to be located in such subsidence-prone  locations should be




discouraged or denied as appropriate if documented  evidence



indicates that subsidence is likely at  the location.  Owner/



operators of existing facilities located in subsidence-prone




areas that cannot demonstrate through documented observations



that earth fissures and faulting during the active  life of



the facility have not occurred should be discouraged from




continued operation or expansion if the facility cannot be




designed to withstand the subsidence.   Such evidence may



also be used with other information to determine whether  a




facility is in compliance with the RCRA seismic  standard
                               2-31

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        Man
   1. South-central
   2. Southeastern

       CaMtn*
   3. Antelopt Valley
   4. Santa Clara Valley
   5. Fremont Valley
   6. Lucerne Lake playa
   7. Rogers Lake playa
   8. San Jacmto Valley
   9. San Joaquin Valley
   10. Yucaipa Valley

        Hake
   M. Raft River Valley

       Nevada
  12. Las Vegas Valley
        Texas
  13. Houston-Galveston region

        Utaft
  14. Milford area
                               A   Earth  fissures

                              V   Faults
FIGURE 2.2.5.1-1:
Fluid  withdrawal  ground  failure areas
(after Holzer,  1984).
                                         2-32

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(see Section 3.1.2), the liner foundation requirement, (see



Section 3.2.2), monitoring standards (see Section 3.2.1),




or the facility closure requirement (see Section 3.2.3).



     2.2.5.2  Karst Terrain.   Areas underlain by limestone




and dolomite are often characterized by extensive solution




cavities, sinkholes, and other features.  These locations



are referred to as karst terrain, karst topography, or a




karst plain.  Thornbury (1969) provides a thorough description




of karst topography and states four conditions that maximize




development of karst features.  These are (1) a soluble rock



such as limestone must be present or at near ground surface,




(2) the soluble rock should be dense, highly jointed, and



thinly bedded, (3) valleys entrenched into the soluble rock




exist, and  (4) the region is subject to at least moderate




rainfall.  Ground water moving in the joint spaces allows the



soluble rocks to dissolve, leaving solution channels that



expand with time.  Commonly found in karst terrains, sinkhole



formation is an infrequent but destructive event that could



cause rupture of unit liners and covers and eventual collapse



of the facility.  Lowering ground-water levels via water supply




pumping or land drainage can accelerate the process of sinkhole



collapse.  A karst terrain is also characterized by extensive



secondary porosity capable of transmitting large quantities of




ground-water through complex, unpredictable pathways.  Solution



channels may also connect via 'pipes'  through overburden




materials and intercept streams or other runoff (e.g., disap-




pearing streams).
                               2-33

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     Permit writers should consider the ability of owner/



operators of new facilities and expansions of existing facil-



ities to properly monitor ground-water quality in karst



terrains (see also Section 2.3) as grounds for permit denial.



Permit writers should also consider permit denial in the



case of existing units if the owner/operator cannot demon-




strate the ability of the liner, cover, or other engineered




features of the unit to withstand potential subsidence in



karst terrains (see Sections 3.2.2 and 3.2.4).



     2.2.5.3  Mine Subsidence Areas  The collapse of mine




tunnels often results in surface subsidence, particularly



where the mines are close to ground surface.  To date, approx-




imately one quarter of subsurface mining areas have been




affected by subsidence according to the U.S. Bureau of Mines



(GAO, 1976).  The magnitude, extent, and temporal occurrence




of mine subsidence depends upon the thickness and 'strength



of overlying strata, mine geometry, duration and rate of



mining, and the sequence of mining operation (Dunrud, 1976).



in addition to mine tunnel collapse, collapse of partially



plugged, unrecorded mine shafts have also been reported.



While the mine may not fully collapse, partial subsidence



results in earth fractures that can propagate through hundreds



of meters of strata (Dunrud, 1976).




     Subsurface mines pose an additional concern to the




location of land storage and disposal  facilities, due to




the complexity of ground-water transport within flooded
                               2-34

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mine tunnel networks, and within the fracture pattern  that



develops in the overlying materials.  Permit writers should



consider the ability of the owner/operator to meet  the



ground-water monitoring criterion  (see Section  2.3) and



other existing unit-specific design and operation require-



ments (i.e., liner and cover standards) in locations



susceptible to or experiencing mine subsidence.  Case  Study



B summarized in Section 4.0 is provided as an example  to



assist the permit writer in evaluating a mine subsidence



area.



2.2.6  Weak and Unstable Soils



     Weak and unstable soils will not provide the proper



foundation for supporting a HWLSD facility or the proper



material necessary for constructing stable embankments.



Facilities located on these soils may be subject to differen-



tial and excessive settlement that will tear liners, rupture



dikes, render leachate collection systems inoperable,  and



possibly alter the ground-water flow system.  Specific design



and operating requirements for various facilities,  for example,



require that liners must be placed upon a foundation or base



capable of providing support to the liner and resistance to



pressure gradients to prevent failure of the liner due to



settlement, compression, or uplift (see unit-specific  require-



ments under Sections 264.221, 264.251, and 264.301).   Radical



modifications to a site may be required to compensate  for weak



and unstable soils that do not provide the proper liner
                               2-35

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foundation, base, or stable dike material.  The principle



modification is usually complete removal or replacement of




the low quality earth material.



     Geotechnical engineers recognize seven soils or condi-




tions, that, when present beneath a facility, may result  in



weak and unstable foundation conditions.  These soils and



conditions are the following:  (1) organic soils, (2) expan-




sive soils, (3) liquifaction sands, (4) soft clays,  (5)



sensitive clays, (6) loess, and  (7) quick conditions.  The



presence of these soils and conditions can be predicted from



a knowledge of regional geology and site investigation.



Although deposits of weak and unstable soils have been identi-




fied in numerous locations, these soils are commonly found




in recent unconsolidated deposits such as bay mud, and in




locations such as floodplains and deltas.  The permit writer



should determine whether the facility is in compliance with




the liner foundation requirement (see Section 3.3.2), facility




closure requirement (see Section 3.2.3), or the dike integ-



rity standard (see Section 3.2.4).  A brief description of



each soil type and its significance is presented in the



following subsections.



     2.2.6.1 Organic Soils  Soils with a significant content



of decaying vegetation can be expected to compress under the



weight of land storage and disposal facilities.  Having a




significant organic carbon content as low as ten percent,




these soils are classified as OH, OM, or Pt (peat) under the
                               2-36

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         Unified Soil Classification System and may also be referred
I        to as mucks, swamps, wetlands, or marshes.  Under the USDA
         soil classification system, organic soils are classified
|        as Histosols.  Organic soil deposits are commonly found in
•        most humid environments along riverine, lacustrine, and
         estuarine systems.   Organic soil deposits may be shallow or
I        as deep as tens of meters and range in size from less than
         an acre to several  square miles.  Unless the deposit is very
I        thin and deeply buried, these materials should be excavated
•        prior to construction (see Case Study A summarized in Section
         4.0 for an example of a location having this type of weak and
I        unstable soil) .
              2.2.6.2  Expansive Soils  Soils with a significant
|        content of shrink-swell clays, such as montmorillonite,
•        will dramatically change in volume depending upon moisture
         content.  Shrink-swell clays that have dessicated will possess
I        cracks and upon wetting, the soil material will swell and the
         cracks will close.   The concern for locations characterized
•        by expansive soils is the uneven foundation support that
•        such soils provide  to hazardous waste units.  Large increases
         in permeability upon exposure to many organic solvents is
•        also a concern.  Expansive soil deposits tend to be thin and
         should be excavated prior to construction.
•             2.2.6.3  Liquefaction Sands   Loosely compacted,
•        saturated sands characterized by round, smooth grains, are
         susceptible to liquefaction when subject to ground motion
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•        (generally due  to  a  seismic  event).   Ground  motion  causes
•        the  rearrangement  of the  sands  into  a denser configuration.
         Immediately following  a ground  motion, the  sand  particles
•        compact  to a depth below  the natural  ground-water table  and
         no longer  touch the  surficial materials or  structures  above.
•        The  overlying materials or  structures are thus supported
I        temporarily only by  water,  hence  the  term "liquefaction," and
         are  susceptible to sliding  or shear  failure.   Liquefaction
•        sands  are  limited  in extent.
_             2.2.6.4 Soft Clays    Clays  and  mixtures of clay  and
'        sand may possess very low compressive strength and  are
I        very susceptible to  shear failure  and compression.   Called
         soft or  very soft  clays,  these  materials give an unconfined
|        compressive strength of under 500  pounds per -square foot or
_        a standard penetration test  count  of  less than four.   The
™        potential  for foundation  failure  is greatest when a facility
I        extends  above grade.   Slope  stability for dikes  and embank-
         ments  requires  thorough examination  (See Case Study A
|        summarized in Section 4.0 for an  example of  a location having
         this type  of weak  and  unstable  soil).
              2.2.6.5 Sensitive Clays   Upon  recompact ion ,  certain
         clays  are  weaker than  they  were in an undisturbed state.
         Soils  that are  four  or more  times  weaker in  the  disturbed
         state  are  referred to  as  "sensitive."  In some cases,  soils
         may  be weaker by a factor of 20 times in the  disturbed state.
         Sensitive  clays are  suspected when Atterberg  limits show a
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         very high liquid limit and an in-situ moisture content near

      '   the liquid limit.  Some sensitive clays contain a large

         proportion of organic materials.  Compensatory engineering

•        to be relied upon in locations having sensitive clays include

         removal  of clay, special facility design, precautions to

•        ensure that the clays are not disturbed, and limiting facility

•        elevation above the natural  grade.

              2.2.6.6 Loess   Wind deposited materials called loess,

||        with grain sizes of .005 to  .02 millimeters, have very strong

_        intergranul ar bonding.  The  bonding can be weakened upon

•        wetting  which results in settlement and a loss in bearing

•        strength.  The bond may also weaken due to seismic shock.

         Bearing  strength is also naturally variable in loess deposits.

I        A loss in strength may eventually result in landslide,

_        differential settlement, or  slope failure.  Major loess

•        deposits are found in the mid- to lower-Mississippi-Missouri

I        Valley and in southeastern Washington State.  Engineering

         methods  used to compensate for such conditions include

|        compaction, drainage, or removal of deposits.

              2.2.6.7  Quick Conditions   Saturated cohesionless (sands)

         or low cohesion (including clays) soils subjected to pore water

         pressures greater than or equal to interqranular stress will

         result in a quick condition.  Typically, the hydraulic gradient

         in the cohesionless material is vertical upward (known as a

         ground-water discharge location).  Loads placed on the soils

         under a  quick condition will be supported only by pore water,
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         and soils will settle to the extent they are not made buoyant
•        due to pore water pressure.  Liner failure and slope instability
         are two potential disruptions that may result in units located
|        in areas having quick conditions.  Areas composed of unconsoli-
•        dated sediment and artesian aquifer conditions are susceptible
         to quick conditions.  Compensatory engineering may involve
•        high maintenance water management systems such as site drainage.
         2.3  ABILITY TO MONITOR AT THE LOCATION
|             The monitoring criterion is a critical consideration when
M        making a determination on both the acceptability of a location
         and permit issuance.  A setting must meet the ground-water
•        monitoring standards established in 40 CFR Sections 264.92 and
         264.97 in order to meet the third criterion for an acceptable
I        location.  General monitoring requirements specify that the
•        ground-water monitoring system must consist of a sufficient
         number of wells, installed at appropriate locations and
•        depths, to yield ground-water samples from the uppermost
         aquifer that represent the following:
•             1) the quality of background water that has not been
                 affected by leakage from a regulated unit; and
I             2) the quality of ground water passing the point of
                 compliance.
         in addition, the owner/operator must comply with permit con-
         ditions that ensure that hazardous constituents under Section
         264.93 entering the ground water from a regulated unit do
         not exceed the concentration limits under Section 264.94 in
         the uppermost aquifer underlying the waste management area
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         beyond the point of compliance during the compliance period.
•        Whether a facility is located in a location that is conducive
         to ground-water monitoring can be determined on the basis of
•        four tests described below.
•             In the first test, the uppermost aquifer must be  identi-
         fied and the rate and direction of ground-water flow within
•        the uppermost aguifer must be specified as reguired under
         Section 270 .14 (c ) ( 3 ) .  Many permit applicants fail to  provide
•        this information in  the initial submission of a permit
•        application.  If the permit applicant fails to provide adequate
         information to correct deficiencies in the permit application
I        after a reasonable period, the permit writer should consider
         the deficiencies as grounds for permit denial.
•             To meet the second test, the ground-water pathway(s)
•        for hazardous constituents that may leak from the facility
         at failure must be described.  This test requires a detailed
•        characterization of  the ground-water flow system.  Except
—        for the most simple geologic systems, the flow system
™        characterization may require a flow net analysis (to be
•        described in the Phase II location guidance manual).   In
         certain circumstances, a simulation of contaminant transport
•        using an accepted numerical or analytical model calibrated
         to specific site conditions may be appropriate.  Locations
•        where the pathways that hazardous constituents would follow
•        in the event of release from the regulated unit cannot be
         concisely determined are considered complex settings, and
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therefore, cannot be readily monitored.  At such locations,

permits should be denied on the grounds that the location cannot

be monitored unless an exemption from ground-water monitoring

requirements is obtained under 40 CFR Section 264.90  (b)(l),(2),

and (4).  Case studies B and D are provided as examples of appli-

cations that fail the second test in this way (see Section

4.0) .

     The third test involves the identification of background

ground-water monitoring sites.  This test is an expansion of

the flow path test to determine upgradient or off-gradient

background monitoring well sites.  Upgradient background wells

are preferred for a monitoring network designed to detect


migration of miscible contaminants; however, upgradient

background wells may not always be feasible.  Some situations


that require special attention include:

     0 waste management areas tha't are located above water-
       table mounds,

     0 waste management areas located above aquifers  in which
       ground-water flow directions change seasonally,

     0 waste management areas located above aquifers  in which
       ground-water flow directions change due to tides,

     0 waste management areas that are located close  to
       another facility's property boundary that is in the
       upgradient direction, and

     0 waste facilities containing significant amounts of
       immiscible contaminants with densities greater than
       water .

     in these and other situations that may arise, the


regulations allow the specification of background wells that
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*        may or may not be upgradient (i.e.,  off-gradient).  The speci-
•        fication of background well  location and depth in these
         situations must meet two requirements:
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                least likely to be contaminated should a leak occur,
•               and

              ฐ  a procedure for evaluating whether or not the back-
                ground wells are themselves contaminated must be
I               developed.

              Guidance concerning the identification of background moni-

|        toring  well sites and monitoring requirements is found in the

•        "RCRA Draft Permit Writers'  Manual on Ground-Water Protection;

         40 CFR Part 264, Subpart F."  Generally, the identification

•        of background monitoring well  sites by the permit applicant

         should  be feasible.  In the  rare case where background well

|       'locations cannot be established, permit denial is required

—        (unless an exemption is obtained under 40 CFR ง264.90 (b)).

              The fourth test concerns  the practicality of placing moni-

•        toring  wells.  Generally, accessible locations at a site exist

         for locating  both monitoring and background wells.  In certain

|        rare instances, however, appropriate sites for background or

•        downgradient monitoring wells  may be inaccessible due to

         rough terrain, protected land  restrictions, or an inability

I        by facility owner /opera tors  to purchase property rights

         (necessary when there is insufficient space on the owner's

•        property outside the waste management area) .  Where such on-

•i        site conditions present major  obstacles in developing a ground-

         water monitoring system that provides prompt information on
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         the presence and extent of ground-water contamination below
•        the facility, the permit writer should consider permit denial
         unless an exemption from monitoring requirements  is obtained
I        under 40 C.F.R. Section 264.90(b).
•        2.3.1  Zero Recharge Zones
              Although appropriate conditions for an exemption from
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ground-water monitoring would need to be evaluated by  the
permit writer on a case-by-case basis, locations  in  zero
recharge zones may be considered as one possible  setting
where this exemption may be especially appropriate.  A zero
         recharge zone is a land area that contributes minimal

•        quantities of water to ground-water recharge.  Zero recharge
         zones are found only in arid regions like the Basin and
•        Range physiographic province.  Within the Basin and Range

•        areas, moisture accumulates as snow at mountain ridges of

         high elevation that envelope the basins.  Spring snow melt

•        discharges off the mountains in small streams.  The mountain

         streams, however, do not reach the basins except during rare
•        storm events.  The stream flow essentially dries up on the
•        alluvial fans as the discharging waters soak into the stream
         channel as recharge to the ground-water system.  Recharge
•        only occurs within narrow reaches of mountain stream channels
         on the alluvial fans.  The upland areas located between the

•        dry streams beds are typically zero recharge zones.  Case

•        Study C summarized in Section 4.0 illustrates a zero recharge
         location in the western United States.
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               Water  movement in an arid  zero recharge zone occurs in
 •        a  predominantly vertical, cyclic pattern.   During infrequent
          rain  events,  moisture  infiltrates into the dry soil.  Subse-
 |        quent periods of high  evapo-transpiration  (E-T)  remove the
I          soil  moisture.  The entire moisture cycle  operates in a thin
                                                                '
          surface  soil  horizon between 2  to 3 feet thick.   Moisture
 •        within a land disposal facility will move  vertically upward,
          primarily in  response  to E-T demand.
 I             TO  determine whether or not a zero recharge zone exists
 •        in a  particular area requires a long term  record of potential
          evapotranspiration (PET), actual evapo-transpiration (AET),
 I        and precipitation (P).  A zero  recharge zone exists where
          PET > P  plus  AET (precipitation + surface  runoff) during any
'•        month.
 •             Zero recharge zones are also associated with thick vadose
          zones.  Facilities in  these zones may be well suited for an
 •        exemption from the ground-water protection standards under 40
          CFR Section 264.90(b)(4).  In addition, due to the very low
 •        rainfall in these zones,  the quantity of leachate generated at
 •        the facility  is minimal.
               States where zero recharge areas may  be found include the
 •        following:
               0 Arizona                           ฐ New Mexico
               1ฐ California                        ฐ Oregon (eastern)
               0 Colorado (western)                ฐ Texas
               0 Idaho                              ฐ Utah
               1ฐ Nevada                            ฐ Washington (eastern)
                                                  0 Wyoming (western)

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         The zero recharge criterion and potential  for  an  exemption

•       from Part 264 Subpart F should only be  applied  to landfills

         and waste piles with liners and leachate collection  and

•       removal systems that comply with  the Part  264  standards.

•       Surface impoundments or any facility that  receives liquid

         waste should not be considered since the presence of these

I       liquids may represent a significant component  of  recharge

         to the ground water.

•       2.4  PROTECTED LANDS

•            The protected land criterion alerts permit writers  to

         consider other existing Federal statutory  restrictions on

I       certain lands when issuing permits to facility owner/operators,

         Protected lands may include the following:

•            1.  Archaeological and Historic Places
              2.  Endangered and Threatened Species Habitat
              13.  National Parklands
              4.  Wetlands
              5.  Wilderness Areas
              16.  Wildlife Refuges
              7.  Coastal Areas
              8.  Significant Agricultural Lands

•            40 C.F.R. Section 270.3 provides that permits be  issued

         in a manner and with conditions consistent with requirements

I       of applicable federal laws including the Wild  and Scenic

•       Rivers Act, the National Historic Preservation Act of  1966,

         the Endangered Species Act, the Coastal Zone Management Act,

I       and the Fish and Wildlife Coordination  Act.  Section 270.3

         does not create a new basis to condition or deny  permits.

•       Rather, its purpose is to inform  the permit writer of  require-

         ments that exist under laws other than  RCRA that  may be
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         applicable to his or her permit decisions.
I             HWLSD facilities may be wholely prohibited  from locating
         in areas like National Parks and Wilderness Areas under
|        Federal statutory requirements other than RCRA.  For some
•j        protected lands, such as sites listed or eligible for listing
         on the National Register of Historic Places, facilities may
I        only be required to mitigate direct impacts.  Other protected
         land restrictions may require the applicant to simply obtain
•        a permit.  Wetlands regulated under Section 404  of the Clean
•        Water Act are an example where a permit is necessary before
         siting a facility.
•             New HWLSD facilities should not be located  on protected
       .  lands.  RCRA permit writers should deny RCRA permits for
I        existing facilities- that are not in compliance with the
•        protected land statutes, if required permits or  permission
         from the appropriate regulatory authority have previously
•        been denied.  The National Environmental Policy  Act (NEPA)
         regulations under 40 CFR Part 6 (Subpart C) describe more
I        specifically various Federal laws and executive  orders that
•        apply to protected lands.  Permit writers should coordinate
         with the NEPA Compliance staffs in the Regions as well as
•        with the appropriate Federal agencies to encourage routine
         consultation regarding the applicability of various protected
•        land statutes in facility permitting.  The protected land
•        statutes and regulations are listed in Table 2.4-1.
              The following subsections briefly describe various types
•        of protected lands and cites the applicable statutory authority

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and restrictions that apply in permitting the HWLSD  facilities.

Case Study A summarized in Section 4.0 highlights a  facility


proposed in a protected land (wetlands) settings.


2.4.1  Archaeological and Historic Places

     The National Historic Preservation Act  (NHPA) of 1966


(as amended in 16 U.S.C งง 470 et. seq.) provides for the


inventory and limited protection of valuable archaeological


and historic places.  NHPA establishes an Advisory Council


on Historic Preservation and a National Register of  Historic


Places.  The criteria for evaluating whether a location has

historic significance and warrants inclusion on the  National


Register are as follows:
      •v
     "The guality of significance in American History, architec-
     ture, ,•archaeology, and culture is present in districts,
     sites, buildings, structures, and objects of State and
     local  importance that possess integrity of location, design,
     setting, materials, workmanship, feeling, and association,
     and

     1.  that are associated with events that have made a
         significant contribution to the broad patterns of
         our history; and

     2.  that are associated with the lives of persons
         significant in our parts; or
              13-  that embody the distinctive characteristics of a
                  type, period, or method of construction, or that
                  represent the work of a master, or that possess
•                  high artistic values, or that represent a signifi-
                  cant and distinguishable entity whose components
                  may lack individual distinction; or
     4.  that have yielded, or may be likely to yield, in-
         formation important in prehistory or history  .  .  .'

     The NHPA is enforceable through Section 106  (16 U.S.C.

งง 470(f))  which provides that, prior to the expenditure of
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         any federal funds or the  issuance of  any  federal  license,
•        the federal agency involved must take  into  account  the  effect
         of the project on any district, site,  building, or  structure
•        that is included or is eligible for inclusion  in  the  National
•        Register.  The Advisory Council must  also be  afforded a
         chance to comment on the  project through  the  "Section 106"
I        process.  The 106 review  process is initiated  through the
         state official designated as  the "State Historic  Preservation
•        Officer."  As a result of the 106 review, specific  actions
•        to mitigate effects may be required.
              Since RCRA permits constitute a  federal  license, the  106
•        review process is required and must be  implemented  as recog-
         nized in 40 C.F.R. Section 270.3(b).   The Regional  Administrator
•        is required to adopt measures, when feasible,  to  mitigate
•        potential adverse effects of  the facility upon properties
         listed or eligible for listing in the  National Register.
I        2.4.2  Endangered and Threatened Species
              The Endangered Species Act of 1973 (16 U.S.C.  งง
•        1531-1543) provides protections for listed  endangered and
•        threatened species of animals and plants.   The possible
         impacts of siting a land disposal facility  in  an  endangered
•        and threatened species habitat may include  removal  of critical
_        habitat necessary for the survival of  the species,  restricting
™        the movement of species, and degrading the  environment  near
•        the facility.  The Agency is obligated under  Section  7  of
         the Endangered Species Act to ensure  that permitted facilities
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         are not likely to jeopardize the continued existence of any
•       endangered or threatened species or adversely affect its
         critical habitat (see 40 CFR Section 270.3(c)).  Generally,
I       the Agency interpretation of this obligation is to prohibit
•       the siting of HWLSD facilities within endangered or threat-
         ened species habitat.  Permit writers are obliged to use the
•       authority of this Act as grounds for permit denial in appro-
         priate cases.
•       2.4.3  Parks, Monuments, and Scenic Rivers
•            National parks, monuments, preserves, seashores, park-
         ways, battle field parks, and historic parks are protected
•       under the Organic Act of 1916.  The Organic Act established
         the National Park Service to administer the above listed
•       lands with the objective of "conserving scenery and the
•     - natural historic objects and the wildlife therein. . . by such
         means as will leave them umimpaired for future generations."
•       Lands administered by the National Park Service are generally
         unacceptable for the location of HWLSD facilities.  An excep-
•       tion is where the location of such a facility on these protected
•       lands is authorized by Congress.
              The Wild and Scenic Rivers Act (16 U.S.C งง 1273 et.
•       seq.) protects rivers and adjoining lands designated as wild
_       and scenic by Congress.  Section 7 of the Act prohibits the
™       Regional Administrator from licensing the construction of
I       any water resources project that would have a direct, adverse
         effect on the values for which a national wild and scenic
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         river was established.  Generally,  the  Agency interpretation
I        of this obligation  is  to  also discourage  siting  of  HWLSD
         facilities in these riverine areas  and  adjoining  lands to the
™
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         extent that such facilities may  impact  these  protected  areas.

              State and local parks, natural  areas,  scenic  rivers,  or

         recreational areas are likely  to be  protected  under State

         statutory and/or regulatory authority.   The permit writer  is

         advised to consult with State  and local  authorities should a
_

~        facility be located  in or within close  proximity  to  such areas.
         2.4.4  Wetlands

              Wetlands are land areas where  the  water  table  is  at,

         near, or above the land surface long enough  to  promote  the

         formation of hydric soils and  to  support  the  growth of

         hydrophytes (Cowardin, et al . , 1979).   Hydric soils are

         soils, that for a significant  period of the growing  season,

         have reducing conditions in  the major part of the root  zone

         and are saturated within 25 cm of the surface.   The Agency

         has two principal concerns with regard  to the location  of

         land disposal facilities in wetlands.   The first is the

         impact that new facility construction and operation will have

         upon the wetland environment.  The  second is  the potential

         impact of accidental discharges of  hazardous  waste  into  the

         wetland environment.

              HWLSD facilities located  in  a  wetland will  result  in

         the direct removal of wetland vegetation and  may also  alter

         wetland hydrology and degrade  adjacent  wetland  areas through

         the disposal of spoil material and  release of sediment.
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              The above concerns are addressed in two Federal permit
I        programs:  the NPDES and dredge and fill permit programs
         under Section 404 of the Clean Water Act, and by Presidential
|        Executive Order 11990 for wetlands located on Federally-owned
         lands.  The Section 404 dredge and fill permit program,
         administered by the U.S. Army Corps of Engineers, was estab-
         lished to prevent the discharge of dredge and fill materials
         into navigable waters of the United States and adjacent
         wetland where such discharge will have an unacceptable
         adverse effect on municipal water supplies, shellfish beds,
         fishery areas, wildlife areas, or recreational areas.  Navi-
         gable waters, as interpreted by the courts for Section 404,
         mean all waters of the United States.  However, not all
         wetlands as classified by Cowardin, et al.  (1979) are covered
         by Section 404.  The Corps of Engineers has issued general
         use permits for selected 404 wetlands, most notably, wetlands
         within the headwaters of watersheds (the upper 5 square
         miles of a stream watershed).  In areas of potential wetland
         impacts, planned discharges from land disposal facilities
         would technically require a National Pollution Discharge
         Elimination System (NPDES) permit.  This permit system has
         also been established through the Clean Water Act.
              Although it does not carry the force of a law, Executive
         Order 11990 (May 1977) directs Federal agencies to avoid
         undertaking or providing assistance for new construction of
         projects located on federally-owned wetlands unless there is
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no practical alternative.  In cases where there is no alter-



native site, all measures must be taken to minimize harm to



the wetland.



     The Agency previously determined that these existing



programs adequately protected wetlands from adverse impacts



of construction and siting of hazardous waste facilities and



from adverse impacts due to discharges originating from



these facilities.  However, in the process of developing new



location standards, the Agency will need to consider more



closely that certain wetlands create specific hydrologic set-



tings of qround-water flow that may provide conditions



conducive to contamination migration when facility designs



fail.



     Since hazardous waste contamination may pose a much more



significant threat than fill or dredged materials when intro-



duced into a wetland setting, a preliminary assessment of



wetland impacts should be made on a case-by-case basis.



     In the event that preliminary review of the permit



application shows that the facility is to be located on



wetlands, the permit writer is advised to contact the Corps



of Engineers District Office and EPA's Regional Wetlands



Coordinator for verification and permitting consultation.



     The Corps of Engineer District Office can provide a



wetlands survey of the proposed site.  The operational defini-



tion and identification of wetlands is not an exact science.



The Corps of Engineers defines wetlands as "those areas that
                             2-54

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I
I
         are inundated or saturated by surface or ground water at a

|        frequency and duration sufficient to support, and that under

_        normal circumstances do support, a prevalence of vegetation

™        typically adapted for life in saturated soil conditions."

•        (see 40 C.F.R. Section 230.3).

         2.4.5  Wilderness Areas

|             The Wilderness Protection Act of 1964 (16 U.S.C. งง

_        1131-1136)  designates wilderness areas within public lands

         that include National Parks, National Wildlife Refuges,

I        National Forests, and Bureau of Land Management Lands.

         Designated  wilderness areas cannot be used as sites for

I        HWLSD facilities or land treatment units without Congres-

•        sional approval.


         2.4.6  Wildlife Refuges

I             National Wildlife Refuges are managed by the U.S. Fish

         and Wildlife Service for the primary purpose of developing a

I        national program of wildlife and ecological conservation and

         rehabilitation.  Refuges are established for the restoration,

         preservation, development, and management of wildlife and

         wildlife habitat, for the protection and preservation of

         endangered  or threatened species and their habitat, and for

         the management of wildlife and natural habitats to obtain

         the maximum benefits from these resources.  50 CFR Part 27.94

         specifically prohibits the draining  or dumping of oil, acids,

         pesticide waste, poisons, or any other chemical waste into

         refuge areas, or otherwise, polluting any waters, waterholes,
                                      2-55

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I

•       streams, or other areas within a refuge.   A right-of-way
•       permit can be retained for activities in  a refuge provided
         that the activity is found to be compatible with the purpose
•       of the refuge.   The Agency does not consider a HWLSD facility
         compatible with the purpose of a refuge;  therefore,  such
•       locations are generally unacceptable for  siting.   Permit
•       writers should  also consider the degree to which proposed or
         expanded existing facilities may impact wildlife refuges
I       that are within or in close proximity to facility property

I
boundaries.
2.4.7  Coastal Areas
•            The Coastal Zone Management Act,  16 U.S.C.  งง 1451  et
         seq., requires that all Federal activities in coastal areas
I   '    be consistent with appproved State Coastal Zone  Management
         Programs to the maximum extent possible.  If a facility
•       permitting action by the Agency may affect a coastal  zone
•       area, the permit writer is required to assess the impact of
         the permitted facility on the coastal  zone.   If  the facility
I       significantly affects the coastal zone area and  the State has
         an approved coastal zone management program, the permit  writer
•       is obliged to notify the appropriate State agency and recom-
•       mend that the State examine the issues of siting in the
         coastal  zone as appropriate under the  State's program (see
I       40 CFR Section 6.302(d)).
         2.4.8  Significant Agricultural Lands
              Until recently, only a few states provided  regulations

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to protect agricultural lands by restricting  the  location  of



HWLSD facilities.  The U.S. Department of Agriculture  (USDA)



Soil Conservation Service has promulgated a  final  rule  under




7 CFR Part 658.  The Farmland Protection Policy seeks  to




minimize the conversion of  farmlands  from agricultural  to  non-



agricultural uses.  The rule establishes criteria  that  Federal



programs must consider and  directs Federal programs  to  study




alternative actions toward  protecting farmland resources.



Technical assistance is available from the USDA to Federal,



State, and Local Agencies in assessing farmland protection




issues.  Permit writers should refer  to the  Federal  Reg ister,



Volume 49, No. 130, pg. 27716 (July 5, 1984)  and  should



coordinate with the USDA Soil Conservation Service for  further




information about the Farmland Protection Policy.




     It has always been the general policy of the Agency to




protect, to the extent possible, environmentally  significant




agricultural lands from conversion to uses which  result  in




its loss as a food production resource or environmental



resource.  Before undertaking a permit action, the permit



writer should consider whether there  are significant



agricultural lands in the area of the facility.   If  these



areas are identified, direct and indirect effects of the



facility on the land should be evaluated and  adverse effects




avoided or mitigated, to the extent possible.  The Agency's



policy regarding agricultural lands is described  in  a document




entitled, "Policy to Protect Environmentally  Significant
                              2-57

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Agricultural  Lands"  (September  8,  1978).   Permit writers

should contact  their  Regional NEPA Compliance Staff for


further  information regarding this Agency Policy (see 40 CFR

Section  6.302(c)).

2.4.9  State  and  Local  Considerations
                                 •
     In  addition  to the  protected  lands described above, state

and local governments may  also  protect other sensitive

environmental areas.  Selected  watersheds,  for example, may

be protected  in order to ensure uncontaminated water supplies


to a water supply reservoir.  The  means of  protection often

include  restrictions on  land use and may  prohibit the siting

of hazardous  waste facilities.   The permit  writer should


notify the appropriate  State hazardous waste management

agency regarding  these  and other sensitive  locations and


recommend that  the State examine the siting  issues as appro-

priate under  State law.

2.5.  GROUND-WATER VULNERABILITY

     The vulnerable ground-water criterion  is designed to

protect  Class I and Class  II ground waters  established under

the Agency's  Ground-Water  Protection Strategy (G-WPS).  The

1984 amendments to RCRA  require the Agency  to develop guidance

criteria for ground-water  "vulnerability".

     The Strategy outlines how  various Agency program offices

will operate, revise, and/or amend  existing  regulations to


assure the protection of ground-water resources.   Location

guidance and  future location standards for  RCRA facilities
                            2-58

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are major elements toward meeting  this goal.

     The G-WPS keys regulatory  activities  to  the  following

three classes of ground water:

     I.  Special Ground Water  (Irreplaceable  and  Ecologically
           Vital)

    II.  Current and Potential  Sources of  Drinking  Water  and
           Waters Having Other  Beneficial  Uses

   III.  Ground Water Not Considered  a Potential  Source of
           Drinking Water and of Limited Beneficial  Use.

     When implemented, the Ground-Water Protection  Strategy

will have far reaching implications  for both  new  and  existing

RCRA facilities located over various  classes  of ground water.

Table 2.5-1 indicates possible  means  of controlling  facility

siting for various ground-water classes.   Ultimately,  the

Agency may ban through regulations the siting of  new and"

existing HWLSD facilities in vulnerable settings  above Class

I and Class II ground water.  Until  these  rules are  promul-

gated, proposals to site new facilities or expand existing

HWLSD facilities in these locations  should be discouraged.

     A test for determining vulnerability  of ground  water

to contamination from RCRA facilities will be presented in

phase II of the Location Guidance.   Currently under  develop-

ment, the Location Case Studies Appendix to be included as

part of Phase II will illustrate how  the permit writer should

determine whether or not the ground-water  vulnerability

criterion is met in a number of specific locational  settings.

In general, locations characterized by short  time of  travel

of ground water along a ground-water  flow  line from  the
                            2-DJ

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facility through the ground-water system are considered




vulnerable settings.



     At present there are no existing regulations to prohibit




the siting of new or existing HWLSD facilities located  in



vulnerable settings above Class I and Class II ground water.



Until comprehensive location standards are promulgated,  and



after distribution of the Phase II RCRA Location Guidance



Manual, permit writers should discourage siting of new  facili-




ties, expansions to existing facilities, and permitting  of




existing disposal facilities in these areas by relying  upon



one or more of the following :




     1.  requiring contingent corrective action programs and




         supporting evidence that such programs can be



         implemented in a timely fashion (see Section 3.3.2),




     2.  consider the ground-water classification in evalua-



         ting alternate concentration limits (ACLs) in  the




         facility's ground-water protection standard




         (see Section 3.3.1), and



     3.  restrict the use of exclusions of Appendix VIII



         constituents from ground-water monitoring (see




         Sect ion 3.3.1) .



     The following subsections describe the three ground-water



classes and regulatory considerations discussed in the  G-WPS.




Various terms in quotes will be defined in guidance documents



developed by the Agency's Office of Ground-Water Protection.




Various methods for determining vulnerability of ground




water beneath a locational setting are currently being  deve-

-------
loped.  These methods will be made available to  the permit

writer for evaluating site vulnerability in the  Phase  II  RCRA

Location Guidance.

     Classification and delineation of ground water according

to the three class scheme may also be carried out by the

States.  Until any region-wide classifications are performed,

the classification of the uppermost aquifer will be determined

on a case-by-case basis.  Facility locations in vulnerable

settings above Class I and Class II ground-water systems  will

be considered unacceptable.

2.5.1  Class I Ground Water_

     Class I ground water is defined on the basis of one  of

the following two factors:

     1.  "Irreplaceable source of drinking water."  These
         include ground water located in areas where there
         is no alternative source of drinking water (islands,
         peninsulas, isolated ground water over bedrock)  or
         an insufficient alternative source for a substantial
         population; or

     2.  "Ecologically vital," in that the ground water con-
         tributes to maintaining either the base flow  or
         water level for a particularly sensitive ecological
         system that, if polluted, would destroy a unique
         habitat (e.g., those associated with wetlands that
         are habitats for unique species of flora and  fauna
         or endangered species).

     The siting of new HWLSD facilities and permitting of

existing HWLSD facilities in vulnerable settings above Class

I ground water should be discouraged.  The RCRA Part 264

regulations will eventually incorporate location standards

that ban new HWLSD facilities that pose a risk to ground

water classified as "Special."  These regulations may  also

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force phase-out of existing facilities in these locations.



Where contamination has occurred within the boundary of



existing facilities, ground-water cleanup will be required



to the appropriate level, either to drinking water standards



or background levels during the active life of the unit.



Insuance of alternate concentration limits  (ACLs) will not



normally be appropriate in these areas.



2.5.2  Class II Ground Water



     Class II encompasses all other ground water "currently



used" or "potentially available" for drinking water and other



beneficial use, whether or not it is particularly vulner-



able to contamination.  This class comprises the majority of



unable ground water in the United States.  New HWLSD facili-



ties in vulnerable settings above currently-used Class II



ground water are to be discouraged until location standards



are promulgated that may ban siting of such facilities in



these settings.  At closure, certain existing facilities in



extremely vulnerable locations may need to close under current



closure requirements for storage facilities where waste must



be removed from the unit.  Existing facilities will be subject



to current ground-water protection standards with cleanup to



drinking water standards or background levels required as



appropriate during the active life.



     For both new and existing facilities in non-vulnerable



settings above Class II ground water, the requirements will



differ based on whether the ground water has a current or

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potential use as a source of ground water.  Where ground



water exists in a non-vulnerable setting and is used now,



new and existing facilities will be subject to current RCRA



ground-water protection requirements, with cleanup to drink-



ing water standards, background levels, or alternate concen-



tration limits  (ACLs) as appropriate.  For sites which can



impact potential sources of ground water, the same policy



will generally apply.  However, for these ground waters,



the Agency may, allow various plume management options



that take into account such factors as the probability of



potential ground-water use and the availability of cost-effec-



tive methods to ensure water quality at the point of use.



     Cleanup policies for these categories of ground water



will vary, depending primarily upon whether the ground water



is currently used as a water source.  Most stringent require-



ments will apply where contamination is caused by a hazardous



waste facility.  If the ground water is defined as having a



current use, the general policy is to eliminate the source



of contamination and treat contaminated ground water to the



highest technically feasible level required to protect human



health and the environment.  The Agency recognizes that



there are circumstances which must be approached on a case-



by-case basis, in which mitigating the source of contamination



and managing the plume will be the most reasonable course of



action.  The Agency plans to consider this approach when



such circumstances arise in setting alternate concentration



limits (ACLs) and approval of corrective action plans.





                             2-64

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2.5.3  Class III Ground Water



     Ground water that is saline or otherwise contaminated



beyond levels which would allow for drinking or "other bene-




ficial use" will not be considered a potential source of



ground water.  This includes ground water with a Total Dis-




solved Solids (TDS) level over 10,000 mg/1 or that is so




contaminated by naturally-occurring contaminants or by human




activity (unrelated to a specific hazardous waste land dis-



posal site) that ground water cannot be cleaned up using



methods generally employed in public water system treatment.



     The Agency will continue to require facility design and




operating standards for Class III ground water to ensure no



migration to Class I and Class II ground water, and to prevent




a discharge to surface water that could adversely affect




human health or the environment.  Since the ground water is



not usuable, the issuance of alternate concentration limits




will often be appropriate thus minimizing the need for cor-




rective action for additional contamination resulting from



facilities over Class III ground water.

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          3.0 EXISTING REGULATIONS TO EVALUATE LOCATIONS






     Various existing regulations may be relied upon as a



basis for making permit decisions about a RCRA facility




location and whether or not it is appropriate for safe and




proper siting.  The purpose of this section  is to provide




the permit writer with a full citation of RCRA facility




performance standards and Federal Statutes that implicitly




involve hydrogeolog ic factors for addressing acceptable




locations.  Table 3.0-1 is a summary of location criteria



and applicable existing RCRA regulations.  The permit writer




should consider separately each criterion for which a facility




location will be tested by examining whether or not the




facility is in compliance with referenced existing regulations.




3.1  EXISTING RCRA LOCATION STANDARDS



     Two standards for the location of hazardous waste land




treatment, storage, and disposal (HWLTSD) facilities -- seismic



restrictions (40 CFR Part 264.18(a)) and floodplain standards



(40 CFR Part 264.18(b)) — have been promulgated.  Guidance for



determining compliance with these location standards is availa-



ble in an EPA document entitled, "Permit Applicants' Guidance



Manual for the General Facility Standards of 40 CFR Part 264"



(SW-968, October 1983).



3.1.1  Seismic Standard




     The seismic standard prohibits siting of portions of new



HWLTSD facilities within 61 meters (200 feet) of a fault known



to be active during Holocene time (a period occurring during the
                               3-1

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last 10,000 years).  The intent of this standard is to ban



new facilities in locations on or near faults that are likely



to experience displacement in the future.  Geologic evidence




indicates that faults which have moved in recent times are




most likely to move in the future.  "Fault" is defined to



include the various forms of faults (i.e., main, branch, or



secondary) that may not result in surface expression.  The




61 meter setback was based on available data indicating that




most ground deformation due to fault movement occurs within




61 meters to 91 meters (200 feet to 300 feet) of the active




fault.  The available data also indicated that deformation




generally decreases rapidly with distance from the fault.



Regulatory language and definitions from 40 CFR Part" 264.18.




(a) are provided as follows:




    (a) Seismic considerations. (1) Portions of new




        facilities where treatment, storage, or disposal of




        hazardous waste will  be conducted must not be located



         within 61 meters (200 feet) of a fault which has



         had displacement in Holocene time.



     (2) As used in paragraph (a)(l) of this Section:



     (i) "Fault" means, a fracture along which rocks on one



         side have been displaced with respect to those on



         the other side .



    (ii) "Displacement" means the relative movement of any



         two sides of a fault measured in any direction.




   (iii) "Holocene" means the most recent epoch of the

-------
         Quarternary period, extending from the end of  the




         Pleistocene to the present  (a period of  10,000  years).




         NOTE:  Procedures for demonstrating compliance  with




         this standard in Part B of  the permit application



         are specified in ง270 .1 4 (b) (11) .  Facilities that




         are located in political jurisdictions other than




         those listed in Appendix VI of this part, are




         assumed to be in compliance with this requirement.




     The seismic restriction does not explicitly  specify all  of



the concerns inherent in the location of HWLTSD facilities  in



areas susceptible to seismic impacts.  As presented in  Section




2.0, ground motion effects such as faulting or earth fissures




resulting from nonseismic events, e.g., land subsidence  d-ue




to fluid withdrawal, are also of major concern.   The major




omission from the current standard is a means of  accounting



for these ground' motion effects both within and beyond  61



meters (200 feet) of a fault.  The existing standard solely




addresses fault deformation and displacement impacts.



Ground motion may also cause ground  failures outside of  the



61 meters (200 feet) distance that may impact a facility



including landsliding, liquefaction-, settlement and lurching,



or accelerated soil creep.  The potential for seismically-



induced ground failure is related to specific geologic,




hydrologic, and pedologic characteristics of each location



evaluated.  Ground failure-prone locations may be considered




high hazard terrains which overlap,  to some extent, with

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seismic impact zones, landslide-susceptible areas, and weak




and unstable soils under certain conditions.



     The Agency may consider making revisions to current RCRA




seismic restrictions to more explicitly address the concerns




outlined above.  The permit writer is referred to other existing



regulations presented in Section 3.2 for locations suspected of




having a susceptibility to ground mot ion-induced ground failures




3.1.2  Floodplain Standard



     The floodplain standard prohibits the location of HWLTSD




facilities within the 100-year floodplain unless one of the



following three criteria are met:  a) the facility is designed,



constructed, operated, and maintained to prevent washout of




any hazardous waste by a 100-year flood, b) the applicant can



demonstrate that the waste can be safely removed before flood



waters can reach the facility, or c) for existing HWLTSD




facilities, the applicant can show no adverse effects on human



health or the environment will result if a washout occurs.




The 100-year flood was selected as the basis for this standard




because it is the most widely used parameter in other Federal



programs and has been operationally defined in a large number



of communities.



     in the January 12, 1981 Federal Register, the Agency chose



not to adopt two other standards related to flooding and flood-




plains.  A wetlands standard under RCRA is currently not in




effect since existing programs administered under the NPDES



reguirements and Section 404 of the Clean Water Act (CWA)



has been relied upon to adequately protect wetlands from any
                               3-5

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adverse impacts of facility construction and  siting.   The



permit writer should coordinate with the appropriate  Federal



Agency to be sure that the facility owner/operator complies



with existing wetland protection requirements and to  deter-



mine a course of action if the owner/operator is not  in



compliance.  The permit writer should determine whether or




not the owner/operator is also seeking approval of other




Federal permits before issuing a RCRA facility permit (See



Section 2.4.4) .




     A "Coastal High Hazard" restriction to prohibit  facili-




ties from siting in such areas may not be widely understood to



be included as part of the RCRA floodplain standards.  However,




coastal high hazard areas are generally located within the




100-year floodplain and, therefore, are locations that are



also protected under the floodplain standard.  These  areas




are subject not only to flooding but also to  wave action



during coastal storms.  The impacts of wave action should be



considered to the extent that information about the design,



construction, maintenance, and operation of a facility to



protect against flooding and washout can be required  to



support the permit application.  Two types of coastal  high




hazard areas, barrier islands and eroding shorelines, may



not be able to satisfy existing standards for liner founda-




tion stability.  The permit writer reviewing  a permit appli-




cation for an existing, proposed, or expanding facility in a




barrier island setting or a shoreline subject to erosion is
                               3-6

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I

         referred  to Sections  3.2.2 and  3.2.4 of  this guidance manual.
I        Such locations should  also be subject  to  the supplementary
         restrictions outlined  in Section  3.3.
•             The  floodplain standard and  accompanying definitions under
•        40 CFR Part 264.18(b)  are as follows:
              (b)  Flood pi a ins.
•             (1)  A facility located  in  a  100-year  floodplain must be
                   designed, constructed, operated,  and maintained  to
I                  prevent washout of any hazardous  waste by  a 100-year
•                  flood, unless the owner  or operator can demonstrate
                   to the Regional Administrator's  satisfaction that:
•             (i)  Procedures are in effect which will cause  the  waste
                   to be removed safely, before  flood waters  can  reach
•                  the facility, to a location where the waste will not
•                  be vulnerable to flood waters; or
             (ii)  For existing  surface impoundments, waste piles, land
•                  treatment units, and landfills, no adverse effects
                   on human health or the environment will result if
•                  washout occurs, considering:
•             (A)  The volume and physical  and chemical characteristics
                   of the waste  in the facility;
•             (B)  The concentration of hazardous constituents that
                   would potentially affect surface  waters as a result
•                  of washout;
•             (C)  The impact of such concentrations on the current or
                   potential uses of water  and water guality  standards
I
I
                                        3-7

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I

                  established  for  the affected  surface  waters;  and
I             (D) The  impact of hazardous constituents  on  the  sediments
                  of affected  surface waters or the  soils  of  the
I                100-year floodplain that could result from  washout.
•             (2) As used in paragraph  (b)(l) of this Section:
               (i) "100-year floodplain" means any land  area which
I                is subject to a  one percent or greater chance of
                  flooding in  any  given year from any source.
•            (ii) "Washout" means  the movement  of hazardous waste
•                from the active  portion of the facility  as  a  result
                  of flooding .
•           (iii) "100-year flood" means a flood that has  a one
                 • percent chance of being equalled or exceeded  in
I
I
         any given year.
3.1.2.1   Wetland Executive Order
              Besides the RCRA 100-year  floodplain  standard,  the
•        permit writer should consider prevention of  impacts  to wet-
         lands under Executive Order 11990  (see 40  C.F.R.  งง  6.302(a))
•        when evaluating facilities located on  federally-owned property,
•        wetlands are commonly found in  areas adjacent  to  floodplain
         locations.  Executive Order 11990 directs  Federal Agencies
•        to prevent long- and short-term adverse  impacts associated
         with the destruction or modification of  wetlands  located on
•        federally-owned property and to avoid direct or indirect
•        support of new construction in  such wetlands.  Wherever
         there is a practical alternative, the Agency is obligated to
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minimize the destruction, loss, or degradation of  wetlands

when considering issuance of a RCRA permit.  The Agency must

consider how a facility may effect both  the  survival  and

environmental quality of wetlands.  Among  these factors are:

     a.  public health, safety, and welfare  including:
         water supply, quality, recharge,  and discharge;
         pollution; flood and storm hazards; and sediment
         and erosion;

     b.  maintenance of natural systems,  including
         conservation and long-term productivity of
         existing flora and fauna; species and habitat
         diversity and stability; hydrologic utility,
         fish, wildlife, timber, and food  and fiber
         resources; and

     c.  other uses of wetlands in the public interest
         including recreational, scientific, and cultural
         uses..

3.2  EXISTING RCRA DESIGN AND OPERATING  STANDARDS

     In addition to the seismic and floodplain standards,

certain RCRA regulations under 40 CFR Part 264 serve  as the

basis for denying a permit to owners/operators of  HWLSD

facilities in locations characterized by  poor hydrogeologic

conditions.  Most of these regulations may not have been

previously recognized by permit writers  as a basis for

denying a permit in cases where facilities are located in

unacceptable settings.  By their nature, certain specific

design and operating performance standards require hydrolog ic

and geologic conditions that provide locational settings

conducive to safe and proper siting of facilities.

     Four existing RCRA regulations that  have inherent hydro-
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         logic and geologic  factors  are  listed below  and  are  further
'•       described in  subsequent  sections.   These  are:
               0 Monitoring Requirements
               1ฐ Liner  Foundation  Requirements
               0 Closure Performance  Standard
               0 Impoundment  Dike  Foundation  Requirement
 •             As currently written,  the  RCRA regulations  allow the
         owner/operator to demonstrate that  poor geologic  and  hydro-
 ™       logic conditions at  the  facility location may be  improved
 I       through proper unit  design  and  operation.  The permit writer
         is responsible for determining  whether the owner/operator
 •       has made a satisfactory  demonstration.
 —       3.2.1  Monitoring Requirements
 *             General ground-water monitoring requirements under  40
 •       CFR Part 264, Subpart ,F, entitled Ground-Water Protection
         Standards, are found in  Sections 264.92 and  264.97.   The
 •       components of these  sections that can be  used to  evaluate
 _       locational acceptability are provided below:
 ™         ฐ   Pursuant to Section 264.92  (Ground-Water Protection
 I             Standard), the  owner/operator must comply with condi-
               tions specified in  the facility permit  that  are  designed
 |             to ensure that  hazardous constituents as defined in
 _             Section  264.93  entering the ground water from a  regulated
               unit do  not exceed  the concentration limits  established
 I             under Section 264.94 in the uppermost aquifer underlying
               the waste management area  beyond the point of compliance
 I             established under Section  264.95 during the  compliance
               period as defined in Section 264.96.
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            0  Pursuant  to Section  264.97  (General Ground-Water  Moni-
I             toring Requirements),  the owner/operator must comply
              with  the  following requirements  for any ground-water
I             monitoring program developed  to  satisfy ง264.98,  ง264.99,
•             or  ง264.100:
              (a) The ground-water monitoring  system must consist of  a
•                 sufficient number  of wells,  installed  at appropriate
                  locations and depths to yield ground-water  samples  from
I                 the uppermost aquifer that:
•             (1) Represent the quality of  background water that has
                  not been affected  by leakage  from a regulated unit;
•                 and
              (2) Represent the quality of  ground water  passing the
•                 point of compliance.
•                               *     *      *

•             (g) Where appropriate, the ground-water monitoring
                  program must establish background ground-water
•                 quality for each of the hazardous constituents
•                 or monitoring parameters  or constituents specified
                  in the permit.
I             (1) In the detection monitoring program under ง264.98,
                  background ground-water quality for a  monitoring
H                 parameter or constituent  must be based on data from
•                 quarterly sampling of wells upgradient from the
                  waste management area for one year.
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               (2)  In  the compliance monitoring  program under ง264.99,

                   background ground-water quality  for a hazardous

                   constituent must be based on  data  from upgradient

I                 wells that:

               (i)  Is  available before the permit is  issued;

I            (ii)  Accounts for measurement errors  in sampling and

•                 analysis;


             (iii)  Accounts, to the extent feasible,  for seasonal

•                 fluctuations in background ground-water quality

                   if  such fluctuations are expected  to affect the

                                                                  1'^
                   concentration of the hazardous constituent.

•             (3)  Background quality may be based on sampling of

                   wells that are not upgradient from the waste manage-

I.                 ment area where:

               (i)  Hydrogeoloq ic conditions do not allow the owner or

•                 operator to determine what wells are upgradient; or

•            (ii)  Sampling at other wells will provide an indication

                   of background ground-water quality that is as repre-

•                 sentative or more representative than that provided

                  by the upgradient wells.

H            in summary,  the monitoring well  system must yield ground-

•       water samples from the uppermost aquifer that represent both

         the quality of background water as per Section 264.97 (a)(l)

I       and the quality of ground water passing the point of compli-

         ance as per Section 264.97 (a) (2).  Background wells are

•       preferably located upgradient but are not required to be



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            upqradient under special circumstances as outlined in Section




            2.3.  Where Section 264.92 and Subsections 264.97 (a)(l) and



            (a) (2) cannot be met, a permit can be denied.  An inability



            to install wells at sites around the waste management area



            that satisfy the criteria is one such situation that is



            grounds for permit denial.




                 Further provisions of Subpart F and permit information




            requirements of 40 CFR Part 270.14(c) require the owner/



            operator to "determine the ground-water flow rate and direc-



            tion in the uppermost aquifer."  Both the detection monitoring




            program (Part 264.98(e)) and the compliance monitoring program



            (Part 264.99(e)) specify the following:




                 (e) The owner/operator must determine the ground-water




                     flow rate and direction in the uppermost aquifer at



                     least annually.




            The same provision applies to monitoring of corrective actions



            under Part 264.100(d).  40 CFR Part 270.14(c)(2) requires the



            owner/operator to, do the following:




                 (2) Identify the uppermost aquifer and aquifers



                     hydraul ic all y interconnected beneath the facility



                     property,  including ground-water flow direction



                     and rate,  and the basis for such identification



                     (i.e., the information obtained from hydrogeologic




                     investigations of the facility area).



            Where the ground-water flow rate and direction is not identi-




            fied and the owner/operator cannot correct the deficiency
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            in the permit application after being  served  a  notice  to




            to this effect, a permit can be denied on  the grounds  that



            monitoring standards cited above cannot be met.   Furthermore,



            a basis for permit denial exists in cases  where  hydrogeolog ic



            conditions at the facility location are so complex  that a



            determination of ground-water  flow direction  and  flow  rate



            are not possible (for example, karst  terrains or  fractured




            bedrock) .



                 Certain existing HWLSD facilities may be exempt from



            ground-water monitoring requirements  as set forth  in 40 CFR




            part 264.90.



            3.2.2  Liner Foundation Requirements




                 Design and operating standards for waste piles, landfills,




            and surface impoundments require a liner  (see Parts 264.251(a),



            264.301(a), and 264.221(a), respectively)  that  is designed,



            constructed, and installed to  prevent  any migration of waste



            out of the unit to the adjacent subsurface soil, ground water,



            or surface water at any time during the active  life (including




            the closure period) of the facility.   Liner foundation require-



            ments are identical for each type of  unit.  Existing portions



            of existing facilities are exempt from the liner standard.



            The standard includes the following element:



                 The liner must be placed  upon a  foundation or base




                 capable of providing support to  the liner  and




                 resistance to pressure gradients  above and below  the




                 liner to prevent failure  of the liner due  to settlement,
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     compression, or uplift.   (see Section  264.221(a)(2)

     (surface impoundment), Section 264.251(a)(1)(ii)  (waste

     piles), and Section 264.301(a)(1)(ii)  (landfills)).

     The following sensitive areas will generally  possess

hydrologic, geologic, and pedologic characteristics  that

may create conditions at the facility  site  that could  result

in an inability to comply with the liner  foundation  standard:

     0 landslide-susceptible areas
     0 subsidence-prone areas
     0 karst terrains
     0 weak and unstable soils

     The permit writer should require  the applicant  to  submit

a geotechnical engineering report that demonstrates compliance

with the liner foundation requirement  and demonstrates, based

on the history of the location's stability,  the likelihood of

impacts at the site due to mass movement, subsidence,  and weak

soils.  The report requirement is included  under the general

ground-water information gathering authority  in 40 CFR  Part

270.14(c) plus the authority for specific units under  40 CFR

part 270.17(b) (surface impoundments), 40 CFR Part 270.19(c)

(waste piles), and 40 CFR Part 270.2Kb)  (landfills).

     The permit writer's case for permit denial may not be

based on a notion that a mere possibility of  unstable

foundation conditions exist at the site or may exist at the

site in the future.  If a facility is located in an area

where subsidence is actually occurring, the  applicant must
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demonstrate that engineering efforts to improve the foundation

of the liner will ensure compliance with the standard.  Where

there is a sound likelihood of a future landslide or subsi-

dence event, the applicant must demonstrate how the proposed

design will prevent failure in the event of a landslide or

subsidence.  The permit writer must critically evaluate

these demonstrations, seeking expert assistance as necessary,

before permit issuance.  If the demonstration shows that condi-

tions at the site are not adequate for the installation of

the liner, the permit must be denied.

3.2.3  Closure Standards

     At closure, owner/operators of landfills and surface

impoundments, where waste is not to be removed or decontami-

nated, are required to cover the unit with a final cover

designed and constructed to:

     (1) provide long-term minimization of migration of
         liquids through the closed unit,

     (2) function with minimum maintenance,

     (3) promote drainage and minimize erosion or abrasion
         of the cover,

     (4) accommodate settling and subsidence so that the
         integrity of the cover is maintained, and

     (5) have a permeability less than or  equal to the
         permeability of any bottom liner  system or natural
         subsoils present.

     (see Section 264.310(a) (landfills)  and Section 264.228(a)

     (2)(iii) for surface impoundments)).

     The closure standards apply to all units used for disposal

     independent of the requirements under the liner foundation

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                 standards  (see  Section  3.2.2).
                 High hazard and unstable  terrains may  be  subject  to
            forces and natural events  that  pose conditions where cover
^           failure and escape of hazardous waste to ground  or  surface
•           waters or the atmosphere from  a unit are likely to  occur  in
|            these locations during the post closure period,  as  well as
I           the active life of the facility.   Facilities proposed  or
j            located in high hazard and unstable terrains may be subject
|           to local hydrogeolog ic conditions  that could make compliance
^           with the closure standard difficult.  Permits  for new  facil-
i            ities, expansion of  existing units, and existing facilities
^^
•           should be denied when an owner/operator cannot demonstrate
            an ability to comply with RCRA performance  standards.
•     .           The applicant must submit an  engineering  report that
            provides the following:  (a) a description  of  how the  cover
|           standards will be complied with,  (b) a site characterization
•           that delineates the  specific site  and local conditions that
™           create high hazard and unstable conditions, and  (c) the
I           probability that the facility will be impacted by such
            conditions.  The permit writer  is  authorized to  reguire this
•           report through Section 270.17(g)  for surface impoundments
            and Section 270.21(e) for landfills.  In submitting this
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            report, the permit applicant must demonstrate how the pro-
            posed closure design will prevent the migration of waste
            from the unit.  The permit writer must critically evaluate
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this demonstration, seeking expert assistance as necessary,



before permit issuance.  If the demonstration is not adequate,



the proposed closure design should not be approved.



3.2.4  Dike Integrity Standard




     Although the dike integrity requirement applies to all




surface impoundments used to treat, store, or dispose of




hazardous waste, the requirement is particularly important




in the case of existing storage impoundments because neither




liner nor cover standards apply to these units.



     The design and operating requirements for surface impound-




ments specify the following:



      A surface impoundment must have dikes that are designed,



      constructed, and maintained with sufficient structural



      integrity to prevent massive failure of the dikes.  In




      ensuring structural integrity, it must not be presumed



      that the liner system will function without leakage



      during the active life of the unit.



      (See 40 CFR Part 264.221(d)).



High hazard and unstable terrains are subject to forces and



natural events that may impair the structural integrity of



dikes.  Seismic ground motion due to earthquakes or volcanic



activity combined with weak soil conditions in landslide-



prone locations are 'worst case' scenarios.  A permit should



be denied if the dike system cannot provide an adequate




factor of safety under various conditions that exist or are




likely to occur in these sensitive locations.  For example,
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            dikes must be safe and stable during all phases of construc-

            tion and operation of a surface  impoundment.  Of particular

            interest is the stability of the dike to preclude failures

            during  (1) the end of construction,  (2) steady-state  seepage,

            (3) rapid drawdown, and (4) seismic^and volcanic events.

                 Elements to be considered in the design and evaluation of

            dikes for stability and addressed in the application  include

            foundation conditions, embankment materials, and liner  type,

            all of which are part of the dike system.

                 Foundations may present problems where they contain

            adversely oriented joints, slickensided or fissured material,

            faults, seams of soft materials, or weak layers.  Liquefaction

            of loose, saturated sands and silts may occur under conditions

            of cyclic to shear deformation by earthquake shocks (or nearby

            heavy construction activity).

                 Slope failure of the dike system, in which a portion of

            the dike or of an embankment and foundation moves by  sliding

            or rotating relative to the remainder of the mass, is the

            major consideration in stability analyses.  Minimum factors

            of safety should be reported from slope stability analyses

            conducted for the following failure modes:

                 0 End of construction (proposed dikes only)
                 0 Steady-state seepage
                 0 Rapid drawdown
                 0 Seismic conditions (when in a sensitive area that is
                   rated as earthquake-prone; see zones 2 and 3 in Figure
                   2.2.2-1 on Seismic Zoning  in the United States)
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No single, specific, minimum Factor of Safety for slope

stability has been recommended.  An acceptable Factor of

Safety depends on the confidence with which soil data are

known and the consequences of a dike failure.  (see Section

5.2.4 on "Structural Integrity of Dikes" in the Permit Appli-

cants' Guidance Manual for Hazardous Waste Land Treatment,_

Storage, and Disposal Facilities, Final Draft, May 1984  (EPA

530-SW-84-004).  This manual is available for $13.00 from

the Government Printing Office (GPO) under stock number

055-000-00240-1 by calling GPO at (202)783-3238).

3.3   SUPPLEMENTAL REGULATORY PROVISIONS FOR PERMIT APPROVAL

     Permits for hazardous waste land storage and disposal

(HWLSD) facilities proposed or sited in unacceptable locations

can include supplemental conditions under RCRA rules as

additional safeguards to compensate for location limitations.

Table 3.3-1 lists the applicability of various supplemental

RCRA provisions to each of the criteria for location accepta-

bility.  Permit writers should investigate the feasibility of

using supplemental provisions for facility locations where a

permit denial based on the requirements presented in Section

3.2 is inappropriate.  Supplemental provisions may be used

in order to account for the added risk of an unacceptable

location.  Supplemental provisions are as follows:

     0 restricting considerations of alternate concentration
       limits (ACLs) in post-closure permits and of exclu-
       sions of Appendix VIII constituents from monitoring,

     0 requiring contingent corrective action programs,
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     0 extending the post-closure care period.

3.3.1 Alternate Concentration Limit  (ACL) and Appendix Vlli
      Exclusion Restrictions

     Regional Administrators are authorized to establish  an

alternate concentration limit (ACL)  for hazardous constituents

in the ground-water protection standard (40 CFR Part  264.94(b))

In establishing the ACL, the Regional Administrator must

consider a number of factors including:

     (1)  Potential adverse effects on ground-water quality,
          considering the following :

    (ii)  The hydrogeolog ic characteristics of the facility
          and surrounding land;

   (iii)  The quantity of ground water and the direction  of
          ground-water flow;

    (iv)  The proximity and withdrawal rates of ground-water
          users;

     (v)  The current and potential usages of ground water
          in the area;

    (vi)  The existing quality of ground water, including
          other sources of contamination and their cumulative
          impact on the ground-water quality.

     (2)  Potential adverse effects on hydraul ic ally-connected
          surface-water quality, considering the following:

    (ii)  The hydrogeolog ic characteristics of the facility
          and surrounding land;

   (iii)  The quantity and quality of ground water, and
          the direction of ground-water flow as it affects
          surface waters;

    ( iv)  The patterns of rainfall in the region;

     (v)  The proximity of the regulated unit to surface
          waters;

    (vi)  The current and potential usages of surface
          waters in the area and any water quality standards
          established for those  surface waters;
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   (vii)  The existing quality of surface water,  including
          other sources of contamination and  the  cumulative
          impact on surface-water quality.

  (viii)  The potential damage to wildlife, crops, vegetation,
          and physical structures caused by exposure  to waste
          constituents.

The Regional Administrator must also consider "any identifica-

tion of underground sources of drinking water and exempted

aquifers made under ง144.8 of this chapter" in making a

decision regarding the use of ground water in the area around

the facility (see Part 264.94(c)).

     HWLSD facilities that do not meet the design, operation,

and location standards where the first four criteria  for

location acceptability are factors in their noncompl iance

should not be issued operating permits under existing RCRA

regulations.  These facilities must close any existing

regulated units and obtain a post-closure permit  that applies

the Part 264 Subpart F Standards.  It is unlikely that the

issuance of ACLs would be appropriate at these facilities

because it would already have been demonstrated that  the

facility location presents problems that inhibit  a favorable

demonstration under the factors listed in ง264.94(b).

     Facilities located above Class I ground water and above

Class II ground water in vulnerable locations may pose a

distinct threat to the ground-water quality as well as to

hydraul ic ally-connected surface-water quality.  The Agency

may consider changes to the current RCRA standards which

would eliminate the opportunity to make ACL demonstrations
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 for  facilities  in these locations.

     The Regional Administrator may specify  the  hazardous

constituents to which the ground-water protection  standard

under Part 264.92 applies in a particular  facility permit.

Constituents to be monitored are to be selected  from  the

list in Appendix VIII of Part 264.  The Regional Administrator

may exclude an Appendix VIII constituent from  the  list of

hazardous constituents specified in the permit if  the

applicant can demonstrate that the constituent is  not capable

of posing a substantial present or potential hazard to human

health or the environment (see 40 CFR Section  264.93(b)).

In deciding whether to grant a monitoring  exemption for a

hazardous constituent, the Regional Administrator  must

consider the same factors as are required  to-grant an ACL

(see Section 3 . 3 .1)_.  Existing HWLSD facilities  that  are

sited in locations that do not meet one or more  of the criteria

for an acceptable location will, in many cases,  fail  to qualify

for an exclusion of Appendix VIII constituents.  Facilities

located in vulnerable settings above Class I or  Class II

ground water especially, pose a distinct threat  to ground-

-water quality and to hydraulically-connected  surface-water

quality.  Regional Administrators should consider  carefully

the use of an exclusion of Appendix VIII constituents from

monitoring requirements at facilities sited  in locations

that do not meet all criteria of acceptability outlined in

the Location Guidance Manual.
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3.3.2  Combined Ground-Water Protection Programs in RCRA Permits
     Provisions in the ground-water protection standard under
40 CFR Section 264.91(b) authorize Regional Administrators
to combine more than one ground-water protection program in
a facility permit.  The Regional Administrator may combine
detection monitoring, compliance monitoring, and/or corrective
action programs as part of the facility permit application
as necessary to protect human health and the environment.
In deciding whether to invoke this authority, the permit
writer should consider the potential adverse effects on
human health and the environment which might occur during
the administrative period necessary to revise the permit to
establish a different ground-water protection program.
Existing facilities sited in areas where the local hydrologic
and geologic setting creates a sensitive location present
appropriate circumstances for requiring a combined program.
Requiring a contingent corrective action program, for example,
will eliminate the added time needed for administrative
processing and permit modification preparation prior to
implementation of corrective action.  In this way, timely
corrective action is better assured when a facility failure
occurs.   The difficulty with this approach is that the Agency
cannot require the> applicant to submit the information necessary
for a contingent corrective action program unless there has been
a release of a hazardous constituent in excess of ground-water
protection standards (see 40 CFR ง270(14)(c)(8)).  The permit
writer can gather the necessary information independently of

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 y          the permit  application  process  using  other  information  gathering
 •         authorities  such as  Sections  3007  and 3013.
               Assuming that the  necessary  information  can  be obtained  and
 I         permit denial is not  appropriate,  the permit  writer should  consider
           requiring contingent  corrective action plans  in the permit  at
 I         existing HWLSD  facilities  located  in  a sensitive  area or  in
 •         vulnerable  settings  above  Class I  or  Class  II ground water.
 I          The failure  of  a facility  due to  a likely natural or man-induced
 •         event in a  sensitive  location,  or  the rapid migration of  contam-
           inants following a failure  event  in a vulnerable  setting  over
 •         Class I and  II  ground waters  will  generally require immediate
 i
           corrective  action to  protect  human health and the environment.
 I             Combining  corrective  action  provisions with  detection
 •         and/or compliance monitoring  programs may be  difficult.   In many
           cases, it may not be  possible to  include a  full,  comprehensive
 I         corrective  action plan  in  a permit due to the complexity  of
           site-specific hydrogeologic characteristics.  However,  when the
 I         situation warrants,  it  may  be possible to develop an interim
           program which would  include general steps to  be taken to  protect
 I         human health and the  environment,  and which would require the
 •         collection  of additional information  on the specific remedy
           needed.  The new information  acquired pursuant to this  interim
 •         program would then provide  the  basis  for a permit modification
           (pursuant to ง270.41  (a)(2))  to establish a more detailed
 •         corrective  action program.
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               Special attention  should  be  taken  to  assure  that  the

           corrective  action proposed  by  the permit applicant  is  appropriate

           for  the  unstable conditions that  exist  at  each  sensitive

           location.   The permit writer should  be  convinced  that  the

           corrective  action will  work to prevent  additional adverse
_

'"        impacts that may result due to local hydrogeologic conditions.
          The permit writer may  require  a  simulation  using  a  numerical


          or analytical model calibrated to  specific  site conditions.


          The permit writer should consider  requiring  a  combined  ground-water


          protection program for existing  facilities  that seek  a


          permit to operate in certain sensitive  locations  (assuming


          that permit denial has been determined  to be inappropriate).


          The Agency may change  the current  RCRA  standards  to strengthen


          the combined permit approach.


          3.3.3 Extended Post-Closure Care Period


               Facility post-closure care must continue  for thirty


          years after the date of completing closure  as  specified in

          40 CFR Part 264.117.  The Regional Administrator may  "extend


          the post-closure care period if he or she finds that  the

          extended period is necessary to protect human  health  and  the


          environment" (see 40 CFR Section 26 4.117(a)(2)(ii)).  Exist-
•


          ing land disposal facilities located in sensitive areas

•         where containment structures are likely to fail or in vulner-

          able settings above Class I or Class II ground water may


|         require an extension of the post-closure period to prevent


          significant adverse impacts from occurring when the facility
                                       3-27

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           fails.  The permit writer may be able to determine an appro-
           priate timeframe over which the post-closure care period
           should be extended based upon site hydrologic and geologic
           conditions.  The ability of the location to prevent rapid
X         waste migration when failure occurs may play a part in deter-
y         mining an appropriate closure period extension.  The Phase
•         II location guidance will provide the permit writer with
 !          various methods for making a determination.
 i
•             In certain cases, ultimate removal of waste at closure
 i          for existing land disposal units sited in either high hazard
|         and unstable terrains or in vulnerable settings above Class
 i
^         I or Class II ground water may be the only viable alternative
•         in preventing adverse impacts from occurring during the
•         post-closure period.  Facility owner/operators having land
           disposal units in these locations may eventually need to
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remove waste at closure.
                             3-28

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3.4 CONSIDERATIONS UNDER THE IMMINENT HAZARD PROVISION OF RCRA
    AND OTHER PROVISIONS OF THE RCRA AMENDMENTS OF 1984
Section 7003 of RCRA provides, in part that:
       "Notwithstanding any other provision of
       this Act, upon receipt of evidence that
       the handling, storage, treatment,
       transportation or disposal of any solid
       waste or hazardous waste may present an
       imminent and substantial endangerment to
       health or the environment, the Adminis-
       trator may bring suit on behalf of the
       United States in the appropriate district
       court to immediately restrain any person
       contributing to such handling, storage,
       treatment, transportation or disposal to
       stop such handling, storage, treatment,
       transportation, or disposal or to take
       such other action as may be necessary...."

     This provision gives EPA broad authority to issue adminis-

trative orders in any situation where the presence of solid

waste or hazardous waste may present an imminent and substantial

endangerment to health or the environment.   The terms "imminent

and substantial endangerment" as used in this Section have been

judicially defined several times to mean that evidence of actual

harm is not required, but only the risk of harm.

     One must judge the risk or likelihood of the harm by examining

the factual circumstances, including, but not limited to:  1)
nature and amount of the hazardous substance; 2) the potential

for exposure of humans or the environment to the substance; and

3) the known or suspected effect of the substance on humans or

that part of the environment subject to exposure to the substance.

     Guidance on the applicability and use of ง7003 Administrative

Orders has been distributed by the Office of Enforcement and
                               3-29

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Compliance Monitoring (OECM).  The OECM guidance is a revision




of a September, 1981 Agency document issued by the Office of




Waste Programs Enforcement.  The following discussion is intended



to supplement the OECM guidance on ง7003, and not to be read in




lieu of it.  Use of Section 7003 authority and various other



authorities under the RCRA amendments of 1984 may be appropriate



under several situations encountered in evaluating permit applications




under Part 264 and associated location considerations.  The




concepts presented in this section of the Phase I manual represent



situations that may be unigue to permit application evaluation




and the location criteria.




3.4.1  Considerations Prior to Permit Issuance



     Under the 1984 RCRA amendments, the Agency has new authority




in Section  3008(h) (Interim Status Corrective Action Orders)




that may be more appropriate than the current imminent hazard



provision when imminent and substantial endangerment is identified




at an interim status RCRA facility.  This authority is extremely



broad and enables the Agency to initiate a corrective action program



upon detection of a release of a hazardous waste or hazardous waste



constituent from a solid waste management unit.   Additional



guidance will be forthcoming in early 1985 on various situations



and conditions when each of the several authorities now offered



to the permit writer are most appropriate.



     Situations that may pose an imminent and substantial endanger-



ment that could be discovered during permit application evaluation



include the following:
                               3-30

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     1) An aspect of an existing facility design or operation
provides an inadequate factor of safety, and there is a risk
of massive failure.

     In particular, if a surface impoundment dike has a

factor of safety, under steady state conditions, of less

than or equal to 1.3, an imminent hazard may exist.  A simi-

lar factor of safety under a rapid drawdown analysis poses

an imminent hazard if there is any reason to anticipate a

complete or substantial emptying of the impoundment prior to

permit issuance.  Similarly, if it can be shown that the

mass of the waste management unit (i.e., waste pile, land-

fill, impoundment) is unstable, due to weak foundation soils

or landslide potential, an imminent hazard may exist.

     The potential for such problems to exist may be greater

at locations described as high hazard and unstable terrains

(see Section 2.2) than in other areas.  When evaluating

permit applications for facilities located in such terrains,

the permit writer should always determine if an imminent

hazard exists.   Imminent hazards can exist in areas that are

not considered  to be high hazard and unstable terrains,

however.  In these circumstances,  there may be a design or

operation problem unrelated to a location limitation, such

as inadequate dike compaction or resistance to erosion due

to piping.

     2)   An aspect of the hydrogeologic character of the
location, combined with a known leachate discharge,  poses an
imminent hazard to off-site ground- or surface-water quality.
                               3-31

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In this situation, there is no risk of massive physical



failure or collapse of the facility.  Rather, existing



information indicates that there is or has been an ongoing




or prior leachate release that may pose an imminent hazard to



off-site ground or surface waters.  This situation may occur



at locations that fail the "Ability to Monitor1  and 'Ground-




Water Vulnerability"  criteria (see Sections 2.3 and 2.5,



respectively).  In these cases, the Administrator may issue




an order under Section 3008(h) requiring corrective action




or such other response measure as he or she deems necessary



to protect human health or the environment.




3.4.2  Considerations After Permit Issuance




     The permit writer may determine that no imminent hazard



exists prior to the time that the permit is issued, and that




problems related to location can be satisfactorily addressed




by permit conditions.  If a permitted facility is in a



setting that does not satisfy the location criteria listed




in Section 2.0 of this manual, the permit writer should




provide special tracking of permit compliance to ensure that



an imminent hazard related to a location problem does not



develop.  This special tracking to ensure that the permit is



in compliance should be planned through consultation between



the permit writer and the Regional Office section responsible



for facility inspections.  State Agency personnel should be




involved in the tracking to the extent that State Authoriza-



tion or cooperative arrangements make it appropriate.
                               3-32

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     Under the new authority offered by Section 3004(u) of RCRA



(Continued Release at Permitted Facilities), where a release of a



hazardous waste or constituents is occurring from any solid waste




management unit at a treatment, storage, or disposal facility,



the Administrator may require a corrective action at a permitted



facility to alleviate any hazard to public health and the environment,




The use of this authority rather than the authority afforded by



Section 7003, would be more appropriate in the case where a




hazardous waste or constituent release is occurring at the




facility.
                               3-33

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4.0  CASE STUDIES FOR ANALYZING LOCATION CRITERIA AND EXISTING
     APPLICABLE REGULATIONS

     Four case studies based on actual RCRA Part B permit

applications have been summarized to demonstrate how a

permit writer should evaluate whether a location meets  the

criteria for an acceptable location.  Only those criteria

having a regulatory or statutory basis are evaluated at  this

time.  Methods for evaluating the ground-water vulnerability

criterion are reserved for the Phase II location guidance

manual currently being developed.  A more complete evaluation

of each location highlighted in this section, as well as

additional case studies in other locational settings, will be

presented in an Appendix to the Phase II guidance manual.

    • Sixty six permit applications were reviewed during

the fall of 1983 for information and data availability and

completeness.  Locations of facilities were sorted according

to physiographic province and hydrogeologic setting.  Two

general classification systems were used in the sorting

process.  These systems are A.L. Charles Hunt's physiographic

regions of the United States and Canada (1974) shown in

Figure 4.0-1 and Ralph Heath's ground-water regions of the

United States (1984)  shown in Figure 4.0-2.  The permit

applications selected for case study represent a wide variety

of locational settings appropriate for applying each of the

criteria for an acceptable location.  Table 4.0-1 lists the

case study location,  physiographic province,  and ground-

water region.  Table 4.0-2 summarizes facility types,

applicable location acceptance criteria evaluated, and permit

action recommended for each of the four case studies'discussed.
                             4-1

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     Each case study has a three-section format:  (1) loca-




tional setting description, (2) hydrogeologic analysis, and



(3) recommended permit action based on the first four location




acceptance criteria.  Information contained in the location



setting description was taken directly from the Part B permit



application.  Editorial discretion was used to reduce text




length and avoid redundance.  The identity of the facility




permit applicant and various consultants hired on behalf of



the applicant have been omitted.




     All facility owner/operators whose Part B permit



applications were used in the case study evaluations were



sent notices of deficiencies.   Although certain sections of



the application were complete, site characterization and




related hydrogeologic information was not always complete.




Additional information submitted to the Agency subsequent to



the preparation of this manual could influence the location




evaluation to some extent.  For this reason, all case studies



will eventually be supplemented with additional information



that may have been received by permit writers in response to



deficiency notices.



     The location evaluation and comment presented in this



section are currently under further study.   Any position



taken regarding case study facilities should not be



interpreted as an official Agency decision  for permit action.
                               4-2

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                                                                   Baffin Upland
                                                                                      New England
               Mountain
      F^HHHH  Plateaus
               Plains
A  Canada West of Mackenzie River
B  Pacific Mountain System, includes
   C  Pacific Border
D  Lower California
E  Columbia -Snake River Plateau
F  Thelon Plains and Back River Lowland
G  Athabasca Plain
                                   Wyoming Basin
                                   Ouachito
   Ozark Plateaus
   Interior Low Plateaus
   Appalachian Plateaus
   Valley and Ridge
   Adirondack
   St  Lawrence Lowland
P  Blue Ridge
0  Piedmont Plateau
FIGURE  4.0-1:
            Physiographic regions of the United States and Canada and their dominant landforms. About one-
  quarter of the land is mountains, one-quarter pjateaus, and about ha!f pfains
                                             4-3

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     The following subsections summarize the locational

setting and evaluation for each case study.

4.1  CASE STUDY A

     Location:                 Far Western United States
     Type of Facility:         Landfills and surface  impoundments
     Physiographic Setting:    Bay mud

     The facility totals approximately 535 acres, and is

divided into a north and south parcel.  The north parcel

contains an existing 125-acre sanitary landfill used  for the

disposal of hazardous waste and a 20-acre surface impoundment

previously used for the disposal of hazardous waste.

     The owner has proposed to extend the north parcel landfill

onto virgin marsh bay muds adjacent to the current landfill.

Nearby land uses are primarily of industrial character (petro-

leum chemical storage tanks)  with limited residential use.

Test borings in this area  indicate that the entire north

parcel is underlain by weak,  compressible,  peaty and  silty

marsh deposits of low permeability known as bay mud.  The

bay mud varies in thickness from 4 to 62 feet and is  under-

lain by relatively incompressible, moderately strong  silts

and clays of low permeability.  In turn, these sediments are

underlain by moderately hard to fractured sandstone and shale

formations (see the site plan and geologic cross-sections in

Figures 4.1-1 through 4.1-4).

     Laboratory tests performed on the bay mud indicate that

vertical permeabilities range between 1.8 x 10~^ and  3.0 x

10~7 cm/sec.   Slug testing showed the horizontal permeability

to range between 5.2 x 10~^ and 1.9 x 10~5 cm/sec.
                               4-7

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Enforcenent actions were taken to require the repair of

leaks in surface impoundment dikes at the facility.

4.1.1.  Summary of Locational Evaluation

     0  The facility is within the 100-year flood/tide zone
        of a local creek.  The facility is also to be sited
        in an area described as "marsh" and, therefore, may
        be in a wetland as defined in Section 404 of the
        Clean Water Act.

     0  The facility is suspected to overlie an active fault,
        but no direct evidence was presented in the applica-
        tion to conclusively support this assertion.

     0  The facility will be subject to ground motion during
        seismic activity and may be impacted by numerous
        active faults in the proximity of the site.  As a
        result of this ground motion the facility is expected
        to experience permanent displacement of landfill
        slopes and further displacements due to creeping of
        the marsh soils.  These displacements may threaten
        the integrity of the landfill and caps.  Continuous
        maintenance of the engineered containment structure
        will likely be required.

     0  The facility is expected to settle into the bay mud
        up to one quarter of its design thickness within
        thirty years of facility closure.   The permit appli-
        cation does not state if further settle will occur
        after thirty years but additional settlement seems
        likely.   Settlement of this magnitude will threaten
        the integrity of the landfill cap and liner and
        require continuous maintenance.

     0  As a result of an expected rise in sea level, the
        elevation of the 100-year flood may also rise above
        protecting dikes and expose the facility to wash out
        within the predictable future.   This rise may occur
        prior to closure.

     0  The uppermost aquifer is the bay mud deposit with bay
        mud water table elevations at the land surface.   The
        bay mud  is relatively impermeable vertically (1 x
        10~6 cm/sec) but is one to two orders of magnitude
        more permeable horizontally.
        Information  concerning  ground-water  flow gradients
        was not  supplied.

        The principle ground-water  flow pathways for
        pollutant  migration  are horizontal  flow in  the
                               4-8

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        bay mud with discharge to a nearby creek.  Time of
        travel for 100 feet horizontally in bay muds was
        calculated to be 15.2 years.  Waste escaping the
        facility and discharging into the creek will be
        diluted to an unknown extent, possibly below safe
        levels.

4.1.2  Discussion of Location Issues

     At facility A, the prmit writer determined that the location

fails all of the location acceptance criteria and is, therefore,

an unacceptable location.  The evidence of bay mud instability

under the landfill load and during seismic events indicates an

unstable geologic environment that will require perpetual

monitoring and maintenance of engineered containment structures.

The threat of instability is compounded by the prospect of

sea level rise in the near future.

     The permit applicant does not address key elements of a

characterization such as the presence of wetlands, ground-

water flow'gradients, and sea level rise.  The uppermost aquifer

was incorrectly identified.  Based on'available information

regarding the site hydrology, it appears that constituents

escaping the facility may move rapidly offsite, possible to a

creek near the site.

     A mitigating factor that must be considered at this

location is the attenuative capacity of the bay mud.   The

bay mud possesses a high content of organic carbon and clay

minerals.   Although these materials are known to attenuate

selected hazardous constituents,  the exact level of attenuation

cannot be predicted and is constituent specific.  No documentation

of attenuative capacity was presented in the permit application.
                               4-9

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FIGURE 4.1-2
CASE STUDY A: LOCATION OF CROSS SECTIONS
                                              4-11

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ELEVATION
   MSL
                              Debris Fill
                              Bay Mud with Varying Amounts of Peat
                             Clayey Sands and Stiff Silts and Clays
                                     SECTION I-1
100 J
                             Clayey Sands and Stiff Silts and Clays
                                     SECTION n-n
                           Note: Set Plate C1 for Location of Cross Sections
   FIGURE 4.1-3
   CASE STUDY  A: SECTIONS  I-I'  AND  II-II1
                                            4-12

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        •MOO i
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i  -100
                        Debris Fill
                        Bay Mud witJWarymj Amounts of Peat

                        Bay Mud
                        Clayay Sands and Stiff Silts and Clays
                                     SECTION m-
        •t-100 i
     to

     1     OH
     >
     01
        -100 J
                        Bay Mud with Varying Amouno of Peat

                        Bay Mud
                        Clayey Sandt tnd Stiff Silts and Clays
                                     SECTION EZ-EZ'
                                                  100 feet
                                         SCALE
FIGURE  4.1-4
CASE STUDY A: SECTIONS  Ill-Ill1  AND  IV-IV
                                            4-13

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4.2  CASE STUDY B

     Location:                      Northeastern United States
     Facility Type:                 Surface  impoundments, waste pile
     Physiographic Province:        Appalachian Mountains

     Located on a 200 acre site, the facility consists of a

waste treatment operation, three liquid waste holding tanks,

a prepared surface for solid waste holding, and a surface

impoundment for holding recycled water.  In addition, the

site also contains three abandoned surface impoundments

which were previously utilized for ultimate disposal.

     The local geology is complex and cannot be easily

summarized.  Several maps and geologic cross-sections were

prepared by the applicant and are included in Figures 4.2-1

through 4.2-5.  Dipping, nonfolded strata of sedimentary rock

are covered by a layer of alluvium and fill.  Coal seams have '

been surface mined and subsurface mined on the site.

     It is difficult if not impossible to determine all

potential ground-water flow paths that exist beneath this

facility.  One flow path not discussed by the applicant is

within the alluvium and fill, flowing toward a minor

tributary adjacent to Impoundment 4.   An examination of

topographic surface contours shows that Impoundment 5 was

built within a branch of the unnamed  tributary.  Gradients

beneath the surface impoundments will be large in the event

of liner failure due to 35 feet or more of static hydraulic

head in the impoundments.  More hydrogeologic information is

required to completely assess the potential for flow in the

alluvium and surface soils.
                               4-14

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                                                     4-18

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                                                                                       4-19

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     Flow paths into the Pittsburgh Sandstone and lower

lithologic units, including the Pittsburgh Coal and Pitts-

burgh Limestone, are very difficult to predict.  Normally,

recharge of ground water into dipping layers such as these

occurs in the limited area where the strata outcrops; in

this case, east and upgradient from the surface impoundments

and waste pile.  However, vertical fractures in the

Pittsburgh Sandstone may present a cross-strata flow path.

These fractures are likely a result of subsidence due to

mining of the Pittsburgh Coal.  Should leachate leaking from

the units reach the coal and limestone strata,  contaminants

would migrate with the regional flow toward the west and

downdip.  This 'flow path is complicated by the numerous mine

tunnels within the coal seam.   Several borings  indicate mine

tunnel voids in the range of 24 feet to 92 feet from the

surface.  In addition,  the state has documented that two

abandoned mine tunnels are located between 40 to 90 feet

below the base of the surface impoundment.  Predicting flow

in these tunnels is impossible based on data in the permit

application.  It appears likely that leachate reaching the

Pittsburgh Coal seam would reach a mine tunnel.  It is also

possible that during the construction of Impoundment 5,

flow paths to a shallow mine tunnel were created.

4.2.1  Summary of Locational Evaluation

     ฐ  The permit application does not contain information
        which would indicate that  the facility  is  located  on
        protected lands.
                                         4-20

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     0  Surface Impoundment 5 was built in a former stream
        channel receiving surface water from a watershed of
        approximately 425 acres.

     0  The potential for subsidence due to mine tunnel
        collapse was not addressed by the applicant.  The
        prevalence of mine tunnel voids may result in
        subsidence that may eventually cause liner foundation
        failure and cover subsidence.  The facility is located
        in a high hazard and unstable terrain.,

     0  Flow paths beneath the facility are difficult to
        predict.  The hydrogeology is complex due to dipping
        strata, alluvium, and both surface and subsurface
        mining.  Information on water tables in the alluvium
        and the hydraulic properties of the alluvium are not
        provided in the application.  Further information
        regarding flow paths and additional technical review
        should be conducted regarding the hydrogeology of the
        site.

     0  Landowners with wells located adjacent to the facility
        pump drinking water from seeps that may be recharged
        with ground water beneath the site of the facility.

4.2.2  Discussion of Location Issues

     Given the lack of essential information and the hydrogeo-

logic complexity of the location, this site was classified

as unacceptable for the land disposal of hazardous waste since

it would not meet the criteria for site characterization and

ability to monitor ground water.  In the event of facility

failure, leaking waste would migrate along unpredictable

flow paths that the owner/operator could not monitor for

ground-water quality data.   Corrective action would also be

inhib ited.

4.3  CASE STUDY C

     Location:                  Interior Western United States
     Type of Facility:           Landfill
     Physiographic Province:    Basin and Range
                               4-21

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     The facility is located in a desert environment and



covers approximately 80 acres.   Waste disposed in the



landfill includes inorganic acids, oxidizers and bases, pes-




ticides, cyanides, metals and metallic salts, and solvents.



Except for 'de minimus' quantities of liquids contained in



lab packs, no liquids are presently being disposed in the



landfill.




     Bedrock units at the site are identified as metamorphic



rock covered by unconsolidated  or weakly-cemented Quaternary




alluvial materials.   These alluvial or valley-fill deposits



have been shown by drilling records to be at least 570 feet



thick beneath the site.  The valley-fill deposits are silts,



sands, gravels, and  cobbles of  local origin, composed primari-




ly of volcanic rock, which have been transported to the site




by a combination of  gravity and water transport.   No distinct




boundary exists between the bajada or alluvial fan deposits



and desert flat deposits.   The  bajada deposits in this area



are primarily coarse grained, becoming finer with increased



distance from the mountain front.   Desert flat materials are



a combination of fine-to coarse-grained materials laid down




at the lower ends of alluvial fans and in alluvial deposits



of valley streams, and generally fine-grained materials



deposited in basinal lakes.   As a  result of variable-source



areas and depositional mechanisms, bajada-desert flat deposits



are typically anisotropic  and are  unsaturated to depths of




approximately 300 feet.
                               4-22

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     Individual beds of materials at the site are not



continuous due to the depositional environment and finer




grained horizons cannot be relied upon to act as barriers  to




migration (see the accompanying site plan and geologic cross-



sections in Figures 4.3-1 through 4.3-6).



     The applicant claims that leakage from the landfill will



not migrate to the uppermost aquifer because existing ground




water lies beneath a minimal recharge zone.  The two princi-



ple pathways for leachate migration in an arid, low recharge




environment are vertically upward and vertically downward.



Some horizontal movement may occur due to depositional



mechanisms that create hydraulically anisotropic conditions.



A consultant report indicates that lateral migration has



occurred due to pre-RCRA waste activities.  Under unsaturated'




conditions, soil moisture moves from wet regions to dry




regions.  In the low recharge environment, moisture cycles



in a vertical plane.  During storm events, moisture infil-



trates into the dry subsoil and is again drawn to the soil



surface when evapotranspiration increases following a storm.



Moisture movement in the unsaturated zone is also strongly



controlled by the grain size of sediments, in which capil-



larity will cause preferential movement in finer grained



materials.



     Moisture must accumulate during a moisture cycle for



ground-water recharge to occur.   It was calculated that



percolation at the site would occur during only three months




over the course of the 60-year period of weather record.
                               4-23

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                                              4-26

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FIGURE  4.3-4
CASE  STUDY  C  CROSS  SECTION  B-B'
          SOUTH

          ELEV.
          (FEET)

          2780
          2760
          2740
          2720
           2700
           7680
           2660
           2640
           2620
           2600
                    B
BROWN SILTY SAND WITH TRAVEL
AND COBBLES, NOX-CEHKSTED
                                                       B'
                           URiiMS MI.TY CUfiY

                           SXS'D A':i) fiRAVCL

                           WITH C'BBLKS
   VKRY DENSE
   SAND WITH
   COBBLES,
                             BRUWN SANDY GRAVEL
                                                   VERY DENSE
                                                   SILT AND
                                                   WITH TRAVEL
                             VKKY llENSK II KHUN  AND CRAY-
                             TA'.1 SILTY SA.NO WITH GRAVEL
                             A"n O'KBI.KS, PARTHI.I.Y-
                             fO -KI.L-O.:ป.1.TED
                               BROWN SILTY SA'iO V10
                               GRAVEL WITH GOBBLES
                                     BRLHJN SANDY SILT
                                   /"WITH GRAVEL
                                   \             5
                                                                                TRENCH  10
GRAY-TAN SILTY
GRAVEL V!D
NON- IOPARTMI.I.Y-
CEMENTED
                  CRAY  A;:D TAN
                  "0/6" S1I.TY S4SD
                                                                ป5/6 •
                                                               - 150/6
                                                             ^ -  150/6	ป
                                                                          VERY DENSE GRAY-
                                                                          BROU'K SILH SAND
                                                                          AND GRAVEL, WITH
                                                               -  130/6
                            COBBLES, WELL-CEMEHTED

                                   '
                            VERY DENSE CRAY-
                            TAN SILTY SAND AND
                            CRAVCL WITH COBBLES,
                            PARTIAI.LY-CtMKNrED
                                                                       VLRY IVSSE CRAY-TAN
                                                                       san; SV;D A.-;D
                                                                       WITH O)HMLฃS,
                                                    100/4

                                                    1*0/5"

                                                    150/5"
                                  • 200/5"

                                  • 2OO/4"

                                  - 170/3"

                                  - ISO/*"
                                                           T D • 156'
                                 BK'IWI A.ND RKD  SANDY
                                 C1.AYKY SILT WITH
                                 r.RAVEL AND COBI'.KS
                       T 0ปJ65'
                                                         - MO/6"

                                                         -I4Z
                                                      TO* 156'
                                                                  LEGEND


                                                                  60SCHOLC  NUMBER
                    STANDARD PENETRATION  TEST
                    BLO*S/I2" PENETRATION
                    UNUESS OTHERWISE NOTED


                    UNDlSIURBEC SAMPLE ATTEMPT
                                                                  TERMINATION DEPTH
                                            NORTH

                                            ELEV
                                            (FEET)

                                            2780
                                                                                                            2760
                                                                                                            2740
                                                                                                            2720
                                                                                                            2700
                                                                                                            2680
                                                                                                            2660
                                                                                                            2640
                                                                                                             2620
                                                              2600
                                400
                                                          4-27

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FIGURE  4.3-5

CASE  STUDY  C   CROSS  SECTION  C-C'
 SOUTH   C



 ELEV
  ;t60
                                                                  Cl
                                                                     NOHTH



                                                                     CLEV
                                    •IOW. HI.TT SAKD MSO SJLN3Y CRA'.TL

                                    ttlTN COIPLU AHO KULOCU
                                       . OKANCE, AN.") Kฃ^ IX.-TJT CUYCY

                                   SILT WIT* GIIAVEL AND COftlLCS
                                  :B*CHN SIETT'inure^AMO'CLATCT ixror -r
                                   CMVEL Urn CCMtZS AM) SOKT KK.1CCX5
                                       I MIOTr ODJi. I
r cum ltd vu

MT -V~_:L-
                                                         •   naura
                                                         •OCLDf ซ If/CUT
                                                                                                                           2660
                             ป0ซCNU<.ฃ N'JMIE
                                                        •ASUCUT AOCX
                      T C tMI TCWUUTIOH KFTN
                                                                    4-28

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FIGURE 4.3-6
CASE STUDY C CROSS SECTION D-D'
SOUTH U

ELEV.
(FEET)
I
2780 *
— —
•™

2760




2740 	
Bป0'-N
SILTY
cR^a
1— •""""
2720 ปRO'Jป
ISO
ป— """

2700




2680 .



2660

2640 ,*-•*'

	 •
2620 ">"


2600

^,-
2580 *""



2560
^
	 ' ^\^\ io_Vi'^
BK"Wi CLAYEY SII.TY
S.VJD A;;U CRAV:L
WITH SOME coปปi.r.s




— . K
O , NORTH

'• ELEV.
o 2 ' (FEET,


- — -~ 	 UKSSE ro VEKY IKSSE
SANDY GRAVEL,
VKKY UKSSE BK'.V)
WITH GRAVEL NUN-


VEKY UtHSE CKAY-BlfVN SILTY SAMDY GRAVEL
WITH COBBLES, DOM- TO PARTIAI.LY IE COBBLES, NON- TO
PARTIALLY-CEMENTZD
-^
^^
**^&
^- •**<***' <>* x* ^
^ - C** 0* s*
1 	 r>-oy. -.tt.u
- so rv(V(-jR(H,".i sti-TY1
202-J___J^i-— "-^ ^^^^
Sl\.tX M>i'Ji,\,<4-Cl-'*i23i

- iso/T1 	 ^

1 __^_ 	
- ซซ/S" 7
L^ VtKY DENSE
L IOO/ซ" K'3'fl StLTY
	 ? SAMI) ASI) i
!•-" CRWKI., NON-
- 200/S" CMKHTliO
- 170 1
~ 'ซ /X .
- 100/5* .X
.•— BB^^™
- 'ซ - 2780
- •
- M
- 1*0/10"
1 	
. S7 2760
•^•"^
- zoo/io"

- 144
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1
- m .
J ' ' 2720
^•iso
- 400/4
x _, -L zoo/e~
-^200/5" ^,^ 8TปT4S'
^ 200/1" ^-^
- 100/4*'
S
•

- 200/2"
7^*^\0 >•* -s'' -L 190/1"
^•^l %K"^lf^ B T • 99'
*V\.-Ct* -^ ViRY rป:MSK CRAY-TAN
2700
f '



2680

*u^^ SILFY SAND, WF.LL-CEMENTKD


7
HRiii."! sv::nv SILT ui
M.AY, c.f uri., ,V;D >


BH i..-: s v:pv CM \vt.i.
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-------
The total amount of recharge was 1.5 inches or an average

of 0.025 inches per year.  As noted earlier, recharge of

the uppermost aquifer occurs in relatively confined areas

of stream channels as mountain streams reach the foothills.

     The evidence presented strongly suggests that, based

upon minimal precipitation, ground-water recharge will be

minimal.  In addition, leachate generated as a result of

precipitation should also be minimal.  The moisture balance

may also be inadequate however, since in arid areas of the

southwest, most precipitation events are high intensity,

short duration storms.  Therefore performing a monthly water

balance is not accurate.   A daily water balance is more

appropriate and at present the site owner/ operator is per-

forming these calculations.

4.3.1  Summary of Locational Evaluation

     0  The facility is not within protected lands or a high
        hazard and unstable terrain.

     0  All evidence presented indicates that the facility is
        located in an arid environment characterized by large
        minimal recharge  areas and limited recharge/discharge
        areas.  All evidence indicates that units at the
        facility are positioned above a minimal recharge area.

     0  The effect of evapotranspiration on infiltration
        needs to be clarified.   At present it appears that
        the effect of evaporation is only significant for
        liquids that have not migrated more than a few feet
        below the land surface.  Although it could be argued
        that transpiration due to deep-rooted desert plants
        may remove water  that infiltrates, these plants have
        been removed and  take many years to re-establish.

     0  Although the potential for groundwater recharge and
        leachate generation is minimal,  it must be stressed
        that at this site the precipitation-induced leachate
        generation was not as much of a  concern as potential
        leachate from old (but post-RCRA) disposal practices
        in which drummed  liquids were disposed of.   Also,
                               4-30

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        numerous old wells are located at the site; even the
        thick unsaturated zone cannot preclude contaminant
        migration down the well casings.

     0  The discussion of the location of the site only
        considered precipitation induced leachate generation
        in the natural setting.  Therefore the statement
        concerning the low potential for leachate migration
        is not appropriate since the site has disposed of
        bulk liquids and has disturbed the natural environ-
        ment.  The potential for leachate migration (leachate
        from all sources) has not been adequately addressed.

     0  The possibility of lateral movement above the ground-
        water surface, past the point of compliance, is a
        concern at this and other sites with similar hydro-
        geologic settings.

4.3.2  Discussion of Location Issues

     The locational evaluation indicated that this facility

is located in a zone having a low potential for recharge.

Leachate escaping a unit is not likely to reach the uppermost

aquifer or migrate horizontally to any extent.  Verification

of minimal recharge occurring at this setting will require a

simulation of the unsaturated flow regime calibrated using

site-specific information.  Additional site investigation

will be required to determine the extent of lateral movement

of contaminants from pre-RCRA activities.

4.4  CASE STUDY D

     Location:                 Southeastern United States
     Type of Unit:             Surface impoundment, land treatment
     Physiographic Province:   Gulf Coastal Plain

     This facility is at a refinery that has operated since

the late 1930s.  Two regulated units are used to store and

dispose API separator sludge.   Both the surface impoundment

and the land treatment area are located approximately 250

feet east of a major river.   Approximately 13 acres are used
                               4-31

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for the land treatment area and a slightly smaller area  is



used for the surface impoundment.  A review of monitoring




data collected over a period of one year indicates the



presence of arsenic in downgradient wells, selenium in all



wells, ammonia in downgradient wells, and barium, cadmium,



and lead in isolated samples.   High levels of TOC were



detected in all wells but appeared higher in downgradient




wells.  Although no review of the statistical analysis of



the data was performed, the use of a contaminated upgradient




well as a background well is questionable.



     Most of the waste management area is situated on loosely



consolidated floodplain deposits consisting primarily of




unconsolidated clays, with some lenses of silt and sand.




These sediments were deposited in the incised erosional




channel of the river.  The upper surface of the waste treat-




ment area is covered with five feet to more than 30 feet of



rubble and fill materials.  The natural soil below the fill



is a 10 to 30 foot thick clay layer underlain by 10 to 60



feet of loosely consolidated,  tan and gray silty clay to



sandy clayey silts, interbedded with relatively thin lenses



of clay, silt,  and sand of limited lateral extent.  Near the



river, the silt/clay unit is underlain by a very permeable



sand and gravel layer more than 30 feet thick.   The total




thickness of the alluvial deposits at the site is not known



(see the site plan and geologic cross-sections in Figures




4.4-1 through 4.4-8) .
                               4-32

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                                                         FIGURE 4.4-1
                                                         EXPLANATION
                                                    ง.2  SOIL BORING  LOCATION
                                                      O AND NUMBER,
                                                    DW-I  SCXL BORING  LOCATION
                                                       ฉ AND NUMBER
                                                               -I960
                                                          SOIL BORING LOCATION
                                                          AND NUMBER,
                                                                  -1982
                                                          HAZARDOUS WASTE
                                                          FACILITIES

                                                                   ปoo nrr
CASE  STUDY D:    SOIL BORING LOCATION
                    4-33

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                                                      FIGURE 4.4-2
                                                DM-23
                                                      EXPLANATION
                                                      UPGRADIENT SHALLOW
                                                   W WELL (25-50')
                                                DM-14
DOWNGRADIENT SHALLOW
WELL (25-50')


DEEP WELL (IIO'-!20')
                                                                ป00 FEET
"D" CASE  STUDY MONITOR ING-WELL NEM1RK
                       4-34

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                       ELEVATION, IN FEET, MSL
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-------
75-1
                                                                 EXPLANATION
                                                                 CLAY
                                                                 SILTY CLAY,
                                                                 CLAYEY SILT
                                                                 SILT, SAND,
                                                                 GRAVEL
                                                                 FILL
                FIGURE 4.4-4

                CASE STUDY D: GEOLOGIC SECTION B-B'
                                                                        500 FEET
                                  4-36

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             c
           WEST
 C'
EAST
_ 50
                              SILTY CLAY,
                              CLAYEY SILT
 -50 J
                              SILT, SAND,
                              GRAVEL
                              FILL
                                     K>0 FEET
                 FIGURE 4.4-5

                 CASE STUDY  D:   GEOLOGIC SECTION C-C'


                                    4-37

-------
m
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                                                                                                  500 FEET
                                          PfttftTKOtNU.ft A.
                                                    JDYD
GEOLOGIC SECTION D-D'
                                                              4-38

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                                                                   SILTY CLAY,
                                                                   CLAYEY SILT
-100
                                                                          500 FEET
                                FIGURE 4.4-7

                   CASE STUDY D:     GEOLOGIC SECTION E-E'



                                         4-39

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             F
           WEST
  50-1
  25
-100-
-125 J
                                  M-4
                                                       F'
                                                     EAST
                                                          D-16
  •,=.-- ^ -, t- \^v "    r  ^.l  '*!*** t
- - '-^.•"l '.~\', ' -,,"'$ r.~": :-;-:r-"""r -
                                                                                 EXPLANATION
                                                                                 CLAY
                                                                          25=-^  SILTY  CLAY,
                                                                          -^=!*'1  CLAYEY SILT

                                                                                 SILT, SAND,
                                                                                 GRAVEL
                                                                                 FILL
                                                                                        500 FEET
                                     FIGURE 4.4-8

                       CASE  STUDY D:     GEOLOGIC SECTION F-F'

-------
     The upper alluvial materials contain a water table that

is hydraulically connected to the river by an underlying

aquifer.  Some seasonal change in gradients is expected but

no flow reversals have been demonstrated.  Permeabilities

ranged between 10~3 anc; 1Q-6 cm/sec based on field testing.

The steepest horizontal gradient was 0.017 and a vertical

gradient as steep as 0.2 was estimated.

4.4.1  Summary of Locational Evaluation

     0  The facility is not within protected lands or a high
        hazard and unstable terrain.

     0  The uppermost aquifer is not identified.  It is clear,
        however,  that most production wells are located over
        300 feet  deep in sandy aquifers.   Hydraulic conducti-
        vity and  gradient information is incomplete.

     0  Two principle ground-water flow pathways can be identified
        for potential contaminant migration.  One is horizontally
        west toward the river.  The other is vertical toward
        the lower sandy aquifers.  The role of the fill material
        and the underlying sand and gravel aquifer in ground-water
        flow has  not been studied thoroughly.

     0  The flow  regime appears to be relatively uncomplicated
        and proper monitoring should be feasible at the site.

     0  The major river system is directly downgradient.

     0  The facility is located over aquifers which are used for
        the water supply of a medium-sized city.  Contamination
        of this aquifer has not been ruled out by the above
        analysis.

4.4.2  Discussion of Location Issues

     Based on the information available,  it was determined that

this site fits into the category of unacceptable locations principally

due to inadequate site characterization and failure to meet the

site monitoring criterion since a well network designed for

proper ground-water monitoring has not been thoroughly designed.
                               4-41

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                                 REFERENCES


U.S. Geological Survey, 1981.  Facing Geologic and Hydrologic Hazards.
     Geological Survey Professional Paper 1240-B.  W. W. Hays, ed.
     U.S. Government Printing Office.  Washington, D.C.

Mullineaux, 0. R., 1976.  Preliminary Overview Map of Volcanic Hazards
     in the 48 Conterminous United States.  U.S. Geological Survey
     Miscellaneous Field Studies Map MF-786, Scale 1:7,500,000.

Davies, W. E.  , 1970.  Karst Lands and Caverns.  U.S. Geological Survey.
     National  Atlas of the United States of America.  U.S. Government
     Printing Office.  Washington, D.C.

Bailey, R. A., P. R. Beauchemin, F.' P. Kapinos,. and D. W. Klick,  1983.
     The Volcano Hazards Program:  Objectives and Long-Range Plans.
     U.S. Geological Survey.  Open-File Report 83.-400.   Reston, VA.

Monnig, E. C., 1984.  Review of State Siting Criteria for Hazardous
     Waste Treatment, Storage, and Disposal Facilities.  Radian
     Corporation Technical Report to the U.S. Environmental Protection
     Agency, Office of Solid Waste.  Research Triangle Park, NC.

Hoffman, J. S., 0.  Keyes, and J. G. Titus, 1983.  Projecting Future Sea
     Level Rise:   Methodology, Estimates to the Year 2100, and Research
     Needs.  U.S. Environmental Protection Agency, Office of Policy and
     Resource Management.  EPA 230-09-007 Revised.  Washington, D.C.

Rib, H. T. and Ta Liang, 1978.  Recognition and Identification (of
     Landslide Potential) in Landslides:  Analysis and Control.
     L. Schuster and R. J. Krizek, eds.  National Research Council,
     Transportation Research Board.  Special Report 176.
     Washington,  D.C.

Mitnzer, 0. W. and R. A. Struble, 1965.  Manual of Terrain Investigation
     Techniques for Engineers.  Engineering Experiment Station.   Ohio
     State University.  Report 196-2 and Appendix I.  Columbus, OH.

Helm, D. C. , 1984.   Field Based Computational Techniques for Predicting
     Subsidence Due to Fluid Withdrawal in Reviews in Engineering
     Geology,  Volume VI:  Man Induced Subsidence.  T. L. Holzer, ed.
     Geological Society of America.  Boulder, CO.
                                    4-42

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Holzerr T. L, 1984.  Ground Failure Induced by Ground-Water Withdrawal
     from Unconsolidated Sediment.  In:  Reviews in Engineering Geology,
     Volume VI:  Man Induced Subsidence.  T. L. Holzer, ed.  Geological'
     Society of America.  Boulder, CO.

Dunrud, C. R., 1976.  Some Engineering Geologic Factors Controlling Coal
     Mine Subsidence in Utah and Colorado.  U.S. Geological Survey
     Professional Paper 969.

Heath, R. C., 1984.  Ground-Water Regions of the United States.
     U.S. Geological Survey Water Supply Paper 22-12.  U.S. Government
     Printing Office.  Washington, D.C.

Hunt, C. B.,  1974.  Natural Regions of the United States  and Canada.
     W. H. Freeman and Company.San Francisco, CA.~
                               4-43

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5.0  FUTURE AGENCY EFFORTS



     The Location Guidance and Regulatory'Program  Under




     40 CFR Part 264



     The Agency recognizes the need  for comprehensive



hydrogeologic standards  to supplement existing  land  disposal




facility design, operation, and ground-water  protection




standards.  As a first step in developing a location program,




the Office of Solid Waste and Emergency Response will  issue




a series of guidance manuals  in phases for use  by  RCRA land



disposal facility permit writers as  well as owner/operators.



These manuals will be designed to assist the  reader  in evalu-




ating hydrogeologic conditions that  exist at  a  particular




facility location.




    . This manual (Phase  I) identifies five criteria  for




location acceptability that,  if not  met, may  warrant permit



denial under the present Part 264 permitting  standards and



other Federal statutes and regulations.  A second  RCRA guid-




ance (Phase II) will supplement the  Agency's  Ground-Water



Protection Strategy.  An important factor in  the implementa-



tion of this Strategy will be the definition  of ground-water



"vulnerability." The Agency's response to facility location




over several classes of ground water and usage  classifica-



tions will depend upon whether or not the facility is  in a




vulnerable hydrogeolog ic setting that can lead  to  contamina-




tion of the ground water.  The guidance will  present a defini-




tion of site acceptability based upon how vulnerable the usable



ground water is to contamination.  In addition, the  manual
                               5-1

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will provide permit writers with step-by-step means of




evaluating whether or not various criteria for an acceptable



site are met and technical methods for analyzing hydrologic



and geologic factors including subsurface flow conditions




and contaminant time of travel.  Technical methods will be




calibrated and tested using actual RCRA facility location



data and other sources, and risk assessment techniques.




Locational issues discussed in the Phase I manual will be



highlighted in a series of Phase II appendices that will



illustrate the use of various graphic and simulation tech-




niques for evaluating location.



     In addition to the guidance manuals described above,




the Agency has begun a longer-term program to revise current




RCRA standards to incorporate hydrogeologic concerns.




Hydrogeologic criteria are needed to help provide long-term



protection of public health and the environment.  A 1983 EPA



study (Liner/Location Study by Ertec Atlantic, Inc.)  conclud-




ed that proper site selection and appropriate hydrologic and




geologic conditions are important factors in maintaining



long-term protection of the environment.   The pending RCRA



reauthorization is likely to contain specific amendments



that require the Agency to promulgate location regulations.



In addition, the Agency's Ground-Water Protection Strategy



directs the need for location regulations based on ground-




water classification and vulnerability.




     The following table describes the major milestones of



the program:
                               5-2

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   Table 5.0-1:  PROGRAM MILESTONE  FOR  RCRA LOCATION GUIDANCE
                 AND REGULATIONS
Program Milestone

1.  Background Support Document  -  Review of State
    Siting Criteria
2.  Issue Technical Guidance

    A.  Permit Writers' Guidance  Manual  for  the
        Location of Land-Based Hazardous  Waste
        Storage and Disposal Facilities

        Phase I:  Criteria  for Acceptable
                  Locations

        - Explains use of existing  applicable  RCRA
          regulations and other Federal  statutes

        Phase II:  Technical Methods  for  Evaluating
                   Locat ion

           Incorporates GWP strategy
        -  Defines vulnerable and- nonvulnerable ground
           water based on ground-water  flow  analyses
           Provides detailed methods  for  site  analysis

        Location Case Studies

        -  Phase II technical methods and  definition
           of vulnerability tested  and  calibrated  using
           actual RCRA facility location  data  and  other
           sources

    B.  Permit Writers' Guidance  Manual  for  the
        Location of Hazardous Waste Land
        Treatment Units

3.  Regional Training Programs for  Permit  Writers
       - Phases I and II Guidance Manuals

4.  Begin Development of Proposed Hydrogeolog ic -Based
    Location Standards Under 40 CFR Part  264

5.  Propose Hydrogeolog ic-Based Location  Standards
    Under 40 CFR Part 264

6.  Promulgate Final Hydrogeolog ic-Based
    Location Standards Under 40 CFR Part  264

7.  Regional Training Programs for  Permit  Writers
       - Location Standards Under 40 CFR  Part  264
Date of
Completion

January 84
(Rev i sed
 September 84)
 November 84
    June 85
  (in progress)
     June 85
  (in progress)
  (in progress)
                            5-3

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                       6.0  REFERENCES
Algermissen, S.T., Seismic Risk Studies  in the  United
     States.  Proceedings of  the Fourth  World Conference
     on Earthquake Engineering, Santiago, Chile,  1969.

Cowardin, L. M., F. C. Golet, and E. T.  LaRoe,  1979.
     Classification of Wetlands and Aquatic Habitats of
     the United States.  U.S.  Fish and  Wildlife  Service
     Publication No. FWS/OBS  79/31.

Dunrud, C. R., 1976.  Some Engineering Geologic Factors
     Controlling Coal Mine Subsidence  in Utah and Colorado.
     U.S. Geol. Survey Prof.  Paper 969.

GAO, Alternatives to Protect  Property  Owners from Damages
     Caused by Mine Subsidence.  Bureau  of Mines, CED-79-25,
     February 14, 1979.

Hoffman, J.S., O.K. Keyes, and J.G. Titus, 1983.  Projecting
     Future Sea Level Rise.   Office of Policy and Resource
     Management, U.S. Environmental Protection  Agency, EPA
     230-09-007, Washington,  B.C.

Holzer, T. L. , 1984.  Ground  Failure Induced by Ground-Water
     Withdrawal from Unconsol idated Sediment.   Published in
     "Man-Induced Land Subsidence."  Volume VI  of Reviews in
     Engineering Geology.  Geo. Soc. Am.  Boulder, CO.

Mullineaux, D. R. , 1976.  Preliminary  Overview  Map of
     Volcanic Hazards in the  48 Conterminous United States.
     U.S.  Geological Survey.  Miscellaneous Field studies
     Map MF-786, Scale 1: 7,500,000.

Thornbury, W. D., 1969.  Principles of Geomorphology.
     John Wiley and Sons, Inc.  New York, NY.

Wiggins, J.H., Slosson, J. F., and J.  P. Krohn, 1978.
     National Hazards - Earthquake, Landslide,  Expansive
     Soil Loss Models.  J. H. Wiggins  Company Technical
     Report.  Redondo Beach, CA.

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                     otection
    Environ
Chicago, Illinois

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