UNITED STATES ENVIRONMENTAL. PROTECTION AGENCY OFFICE OF THE INSPECTOR GENERAL FOR AUDtTS WESTER* DIVISION 2-, 1 Main Struct, Suite 220 San Prancl6co, CA 94105 * If f 74-7084 September 22, 1989 SUBJECT; FROM; TO: Special Review of Region 9 OSC Activities Kiddlef ield-Ellis-Whisman Study Area Mountain View, California Report No. ElsHG9-09-0111-9400042 Truman R. _ Divisional Inspector General for Audits Western Division Daniel McGovern Regional Administrator EPA Region 9 SCOPE AND OBJECTIVES We conducted a special review of the controls exercised by the EPA Region 9 On-Scene Coordinator (OSC) over the Superfund immediate removal action at the Middlefield-Ellis-Whisman (MEW) Study Area, Mountain View, California. The overall purpose of this review was directed at assessing whether the EPA OSC was exercising adequate controls over the removal action. Specifically, our review was limited to evaluating the: - Adequacy of the OSC's controls in monitoring the cleanup work and on-site spending; and - Appropriateness of the technical assistance provided by the Technical Assistance Team (TAT) contractor. The review was conducted in accordance with the Office of the Inspector General Annual Audit Workplan (Unannounced Visit to Immediate Removal Sites) and consisted of on site observations of the removal action and a review of the records being maintained by the OSC and support personnel. The review was conducted between March 22, 1989 and September 12, 1989. Other than the observations discussed in the Results of Review section of this report, nothing further came to our attention that warrants examination by this office. CO ac HDWQUARTERSUBRARY ENVIRONMENTAL PROTECTION AGENCT WASHINGTON. D.C 20460 ------- Audit Report No. ElsHG9-Q9-0111-9400042 RESULTS OF .SPECIAL REVIEW In general, the review disclosed that the OSC conducted the on-site activities in a reasonable manner and generally in compliance with existing Agency guidance for Superfund Removal Operations. The TAT contractor used on the site was active in providing: (i) technical assistance to the CSC; (ii) site cost tracking; and (iii) site safety monitoring. The auditor's observations pertaining to the OSC's activities are detailed in the following paragraphs for the Region's consideration. ERCS Costs. The costs incurred by the Emergency Response Cleanup Services (ERCS) contractor assigned to perform the cleanup generally appeared to be reasonable and allowable under the terms of the ERCS Zone 4 contract. The ERCS contractor utilized the services of a subcontractor for a significant portion of the work. While reviewing the OSC's activities, we noted that the OSC did not review the subcontractor invoices when approving the ERCS invoices. This was significant because of the high percentage of subcontract costs associated with this particular removal action. Well drilling subcontract charges totalled $90,627, or approximately 70 percent of the total ERCS vouchered costs of $129,170. The Removel Cost Management Manual (Section 3.3.4) srst.es that, "The OSC or other designated on-site personnel must verify all ERCS subcontractor charges claimed on the EPA Form 1900-55 by carefully checking subcontractor invoices." The OSC stated that this is not usually done because the Region does not receive copies of "non-team" subcontracts. Thus he does not have the information needed to check subcontractor rates. Possession of a copy of the subcontract, in our opinion, would be of benefit to the OSC for several reasons, including facilitating the verification of task rates or costs. We are therefore recommending that the Region coordinate with the ERCS contractor and obtain copies of major subcontracts on future removal actions. On-Site Controls and Organization. Because of the non-complex nature of the removal action involving a small number of contractor and TAT personnel, the OSC did not produce a formal written removal action organization structure. While a formal organizational plan was not available, our site observations disclosed that the OSC appeared to maintain adequate control over site activities. The two TAT representatives were responsible for monitoring ERCS removal activities, conducting sampling, maintaining site costs control records and providing technical assistance to the OSC. Assigned duties were generally being accomplished. ------- Audit Reoort Nc. ElsHG9-09-Oill-9400042 Site Records. The OSC, or his on-site support personnel, were maintaining the logs recommended by the Removal Cost Management Manual. The logs being maintained for this removal action included an Incident Obligation Log, an CSC Log (which included chronology of events/decisions, presence of personnel/equipment, work planned and, on occasion, site conditions), Form 190Q-55s, and occasional POLREPs. The OSC stated that, on this job, he did not formally document daily work orders authorizing work on this project because the major components of the removal activities were covered under the subcontract. He stated that other than the original delivery order, he issued only one work order, whereas on most projects he would issue daily work orders. He also stated that the TAT also maintained a log of activities to supplement the OSC's logs. RECOMMENDATIONS We recommend that the Regional Administrator: 1. Assure that all Regional OSCs review major subcontract costs for consistency with the OSC's site documentation when certifying ERCS payment vouchers. For this purpose, the OSCs should obtain a copy of major ERCS subcontracts so as to facilitate the review and control of subcontractor tasks invoiced to EPA. REGIONAL COMMENTS AND OUR EVALUATION An exit conference was held with the Region 9 Emergency Response Section Chief on September 21, 1989. The Section Chief generally agreed with the audit observations and commented that he would remind the OSCs of the Removal Cost Management Manual requirement for reviewing subcontract costs. Since the Section Chief agreed with our observations, no additional auditor comments are necessary. Compliance with the audit recommendation should be appropriately documented. ACTION REQUIRED In accordance with EPA Directive 2750, the Action Official is required to provide this office with a written response to the audit recommendation included in this report within 90 days of the date of the report. Please refer to the audit report number on related correspondence. If you have any questions regarding this audit, please call Mr. Paul Jalbert at FTS 454-7084. ------- Audit Report No. ElsHG9-09-Cill-9400042 SITS SACKGROUND The MEW Study Area is located in Mountain View, California. Soil and groundwater contamination by volatile organic compounds were first identified in the MEW area in 1981. The source of the contamination (primarily trichloroethylene—TCE), was thought to emanate from the various industrial facilities in the area which utilized this common degreasing agent. The MEW Study Area includes facilities owned or operated by approximately twenty companies, including three separately listed or nominated Superfund sites: Fairchild Semiconductor, Intel Corporation and Raytheon Company. The groundwater level in the MEW Study Area had recently lowered due to continued drought conditions and increasing municipal consumption. A drop in the groundwater level is a cause for concern that the contaminated water from the MEW Study Area could be drawn into the municipal drinking water supply. The possible conduit for the contaminated water flow would be abandoned agricultural wells in the Study Area. The Silva Well and the Parks and Recreation Well were both identified as wells that could serve as conduits between the contaminated shallow aquifer and the deeper relatively clean aquifers. Properly abandoning these wells is expected to reduce the potential for the migration of contamination to occur. On January 18, 1989 EPA met with representatives from the three identified Potential Responsible Parties (PRPs). The PRPs agreed with EPA that action was necessary but refused to assume responsibility for undertaking action until the MEW area source investigation study is completed. Region 9's Emergency Response Section believed that an extended delay in the proposed action could result in the migration of TCE to the area's clean deep water aauifer and ultimately to Mountain View's drinking water Well #18. On February 9, 1989, a Request for Removal Action was initiated justifying the action, "Because conditions at the site meet the NCP Section 300.65 (b) (2) (ii) criteria for a removal (Actual or potential contamination of drinking water supplies or sensitive ecosystems)." The final proposed remedy for this area includes the identification and abandonment of conduit wells. The wells must be abandoned in accordance with procedures established by the California Department of Water Resources and the Santa Clara Valley Water District. Abandonment procedures included cleaning the well, perforating the casing, pressure grouting the entire well, and completing the top of the well to match the original conditions. The generation of hazardous waste at this site was not anticipated. Non-hazardous production water ------- Audit Report No. ElsHG9-09-0111-9400042 would be discharged to the local sanitary sewer; clean sludge would be disposed of at a local landfill. The immediate removal action on the site was started on April 5, 1989 with most of the well work done by May 6, 1989. All site removal action activities were completed by June 29, 1989. The removal action's project cost ceiling was originally approved at $188, 433. The project cost ceiling was subsequently increased by $57,567 on May 1, 1989 due to necessity of using more sophisticated methods of abandoning the wells. Clean-up services were performed by Riedel Environmental Services, Inc., under the ERGS Zone IV contract. Riedel employed the services of Kaggiora Brothers, a well drilling company, to perform the majority of the well closure activities. The TAT contractor assisting the OSC in overseeing the removal activities was Ecology and Environment, Inc. ------- ;1) Audit Report Title (2) Audit Report "(4) AIC F. . (6) Signatory Official (7) Staff Days Used: Less Trainee Time: 0 ? C Ac r,''i r,<*<; f'a (3) Issue Date (5) Supervisor ft b/6-A us 6 If GRID Computer Credit: Total Staff Days: (8) Cost of Audit X V..;~ / IOTEPNAL / / National /7 Pilot /T Follow-on Single Location / / Other (identify) (9) Type of Audit: [J EXTERNAL [7 Request by SPA staff / / Hotline complaint / / Request by U.S. Attorney /__/ Congressional request fj Initiated by OIG /__/ Interim audit /__/ Followup work 7~7 Other (identify) (10) Other Audit Results: Referrals to DIGI /_/ Referrals for additional external ajdits /~7 Suggestions for annual audit plan (internal) 7 7 Deficiencies in SPA performance/programs also reported to orooram officials (for external audits only) 7~7 Recommendations to program staff for administrative actions and/or legal actions against program participants £7 Other (identify) Reasons for Delay (Be as specific as possible as to reasons and period of time.) .Assigned Started Draft Report Final Report Slaosed Time ------- |