United States       Office of
         Environmental Protection   Emergency and
         Agency          Remedial Response
EPA/ROD/R03-92/155
September 1992
&EPA   Superfund
         Record of Decision:
         Commodore Semiconductor
         Group, PA

-------
50272-101
 REPORT DOCUMENTATION
        PAGE
1. REPORT NO.
    EPA/ROD/R03-92/155
                                            3. Recipient's Accession No.
 4. Title and Subtitle
   SUPERFUND RECORD OF DECISION
   Commodore Semiconductor Group,  PA
   First  Remedial  Action - Final
                                            5. Report Date
                                             09/29/92
                                            6.
 7. Author)*)
                                                                     8. Performing Organization RepL No.
 9. Performing Organization Name and Address
                                                                     10. Project/Tuk/Work Unit No.
                                                                     11. Contract(C) or Grant(G) No.

                                                                     (C)

                                                                     (G)
 12. Sponsoring Organization Name and Address
   U.S. Environmental  Protection  Agency
   401 M Street,  S.W.
   Washington,  D.C.  20460
                                            13. Type of Report & Period Covered

                                              800/000
                                                                     14.
 15. Supplementary Note*

   PB93-963920
 18. Abstract (Limit: 200 words)

   The 14-acre  Commodore Semiconductor Group  (CSG)  site is  a  manufacturing facility in
   Norristown,  Montgomery  County, Pennsylvania.   Land use in  the area  is residential,
   commercial,  and industrial with a  wetland area located within 1 mile from the  site.
   The site overlies a Class IIA aquifer that is  used as a  source of drinking water.   From
   1969 to present,  the owners,  including CGS, used the site  to manufacture semiconductor
   chips.  A concrete underground storage tank was  installed  adjacent  to the southeast
   side of the  building to store a waste solution known to  contain TCE and other  solvents
   generated from the manufacturing process.  The concrete  tank was reported to have
   leaked in 1974.  As a result, an unlined steel tank was  installed next to the  concrete
   tank.  Use of the concrete tank was discontinued.  In 1978,  a local water supplier
   detected TCE in two of  its wells adjacent to the site.   The  state identified the CSG
   site as a possible TCE  contaminant source.  Subsequently,  in 1979,  the underground
   storage tanks were excavated and replaced with a waste solvent collection system.   In
   1981, CSG also eliminated use of TCE in their  manufacturing  process.  From 1981 to
   1984, to address the TCE contamination, CSG pumped and spray irrigated water from a

   (See  Attached Page)

 17. Document Analysis a.  Descriptors
   Record  of Decision  - Commodore  Semiconductor Group,  PA
   First Remedial Action - Final
   Contaminated Medium:  gw
   Key Contaminants: VOCs   (PCE, TCE)
   b. IdentrflenVOpen-Ended Terms
   c. COSATI Reid/Group
 18. Availability Statement
                                                      19. Security Class (This Report)
                                                             None
                                                      20. Security Class (This Psge)
                                                      	None	
                                                       21. No. of Page*
                                                         110
                                                                                 22. Price
(See ANSI-239.18)
                                      See Instructions on Reverse
                                                       OPTIONAL FORM 272 (4-77)
                                                       (Formerly NTIS-35)
                                                       Department of Commerce

-------
EPA/ROD/R03-92/155
Commodore Semiconductor Group,  PA                                      -     •        ~
First Remedial Action - Final

Abstract (Continued)

public supply well, purchased and installed an air stripper for treating contaminated
ground water, implemented a residential sampling program,  and installed carbon filter
systems at affected residences. . In 1984,  further state and EPA investigations confirmed
contaminants onsite in ground water and drinking water.  This ROD addresses the
contamination of onsite ground'water and drinking water.  The primary contaminants of
concern affecting the ground water are VOCs, including PCE and TCE.

The selected remedial action for this site includes extending the public water supply
lines and connecting affected residences located in areas south of the CSG facility;
abandoning contaminated wells;  continued maintenance of existing residential carbon
units, with disposal or recycling of the spent carbon filters as determined during the
remedial design phase; installing additional ground water extraction wells, air
strippers,  and vapor phase carbon units, to treat the contaminated ground water onsite
with discharge to a public water system or reuse by the CSG facility, with overflow
discharge offsite to a POTW; sampling ground water and treated water; and implementing
institutional controls, including ground water well restrictions.  The estimated present
worth cost for this remedial action is $5,573,700, which includes an annual O&N cost of
$446,500 for years 0-2, and $404,300 for years 3-30.

PERFORMANCE STANDARDS OR GOALS:

Ground water clean-up goals are based on background levels as established by SDWA MCLs or
health-based levels,  whichever are more stringent.  Chemical-specific ground water goals
include 1,2 dichlorobenzene 75 ug/1; 1,2-DCA 810 ug/1; tetrachloroethene 5 ug/1; TCA
200 ug/1; trichloroethene 5 ug/1; and vinyl chloride 2 ug/1.

-------
                        RECORD OF DECISION
           COMMODORE SEMICONDUCTOR GROUP SUPERFUND SITE
                            DECLARATION
 SITE  NAME AND LOCATION
                   /


 Commodore Semiconductor Group Superfund  Site
 Lower Providence Township, Pennsylvania


 STATEMENT OF  BASIS AND PURPOSE


 This  decision document presents the selected remedial action  for
 the Commodore Semiconductor Group Superfund Site  ("the Site"),
 located in Lower Providence Township, Montgomery  County,
 Pennsylvania.  The remedial action was selected in accordance
 with  the  Comprehensive Environmental Response, Compensation,  and
 Liability Act of 1980  ("CERCLA"), as amended by the Superfund
 Amendments and Reauthorization Act of 1986 ("SARA") and to the
 extent practicable, the National Oil and Hazardous Substances
 Pollution Contingency  Plan ("NCP").  This decision is based on
 the Administrative Record for this Site.

 The Commonwealth of Pennsylvania has concurred on this remedy.


 ASSESSMENT OF  THE  SITE


 Pursuant  to duly delegated authority, I hereby determine pursuant
 to Section 106 of  CERCLA, 42 U.S.C. §9606, that actual or
 threatened releases of hazardous substances from this Site, if
 not addressed  by implementing the response action selected in
 this Record of Decision ("ROD"), may present an imminent and
 substantial endangerment to the public health, welfare, or the
 environment.


DESCRIPTION OF THE SELECTED REMEDY
                «   —-
                                                                 «

The selected remedy for the Site will restore contaminated
groundwater to its beneficial use by cleaning both the shallow
 and deep  aquifers  to background levels as established by EPA  or
to Maximum Contaminant Levels ("MCLs") established under the
 federal Safe Drinking Water Act ("SDWA"), or to health-based
 levels identified  in the ROD, whichever is lower.  The remedy
will also  protect  the public from exposure to contaminated
groundwater.  The  selected remedy as described below is the only
planned action for the Site.

-------
                                                            ORIGINAL
                                                              (Red)
Because this remedy will result: in hazardous substances remaining
onsite above health-based levels, a review by EPA will be
conducted within five years after initiation of remedial action
to ensure that the remedy continues to provide adequate
protection of human health and the environment.
                                            SEP 29 1992
Edwin B. Erickson
Regional Administrator
Region III
Date

-------
                        RECORD OF DECISION                    ORIGINAL
                                                               (Red)
           COMMODORE SEMICONDUCTOR GROUP SUPERFUNO SITE

                         TABLE OF CONTENTS
I.      SITE  NAME,  LOCATION AND DESCRIPTION	1

II.     SITE  HISTORY AND ENFORCEMENT ACTIVITIES   	  1

III.    HIGHLIGHTS  OF COMMUNITY PARTICIPATION  	  4

IV.     SCOPE AND ROLE OF THE ACTION	4

V.      SUMMARY OF  SITE CHARACTERISTICS AND EXTENT OF
        CONTAMINATION  	  5

VI.     SUMMARY OF  SITE RISKS	9

VII.    DESCRIPTION OF ALTERNATIVES	15

VIII.   SUMMARY OF  COMPARATIVE ANALYSIS OF  ALTERNATIVES   ...   29

IX.     THE SELECTED REMEDY	35

X.      STATUTORY DETERMINATIONS  	   41

XI.     DOCUMENTATION OF SIGNIFICANT CHANGES 	   46


        APPENDIX A     FIGURES

        APPENDIX B     TABLES

        APPENDIX C     RESPONSIVENESS SUMMARY

-------
                         DECISION SUMMARY                    ORIGINAL
I.   SITE NAME,  LOCATION AND DESCRIPTION

     The Commodore Semiconductor Group  ("CSG")  Site  (the  "Site"
or the  "CSG Site") is  located  in the Valley  Forge  Corporate
Center  ("VFCC")  in Lower Providence Township, Montgomery  County,
Pennsylvania.   The CSG facility is located at 950  Rittenhouse
Road in Norristown, Pennsylvania.  The Site  is  located
approximately one mile north of the Schuylkill  River.   It is
bordered on the northwest by Rittenhouse Road,  on  the northeast
by Van  Buren Avenue and on the southeast by  Adams  Avenue.  The
General Washington Country Club golf course  occupies all  the
property immediately west of the facility on Rittenhouse  Road
with the remainder of  the surrounding property  being occupied by
industrial and  commercial facilities.  The Transcontinental Gas
company ("Transco") Pipeline which includes  three  natural  gas
pipes transverses the  CSG property.  Private residences are
located approximately  one-half mile from the Site  in all
directions.  (See Figure 1, Location of the  CSG Site)

     Groundwater is -the only source of potable  water in the area
and  residents near the Site are dependent on public or  private
wells.  EPA has classified this aquifer as a Class IIA  aquifer, a
current source  of drinking water.

     Regional surface  drainage in the vicinity  of  the Site is
toward  the Schuykill River via tributary streams.  Local surface
drainage in the vicinity of the Site is to the  south or west,
while actual Site runoff is collected and discharged through the
VFCC storm water system to Lamb Run, a small tributary  of  the
Schuylkill River.  A small portion of the stormwater detention
basin at the Site contains tall grasses and  cattails and,
therefore, is considered a wetland area.  No other wetland areas
have been identified within one-mile radius  of  the Site.

     There are no known endangered species or critical  habitats
within  the immediate vicinity  of the Site.

II.  SITE HISTORY AND  ENFORCEMENT ACTIVITIES
                 ^
     On December*3l7 1969, the real property at 950 Rittenhouse
Road, Norristown, Pennsylvania was transferred  from Valley Forge
Industrial Park, a Pennsylvania corporation, to Allen-Bradley
Company, Inc. ("Allen-Bradley"), a Wisconsin corporation.

     The 14-acre CSG facility  was originally developed  in  1970-71
to meet the specifications of  MOS Technology, Inc. ("MOS"), a
Delaware corporation,  which became the initial  lessee of the
property.   MOS leased the property from Allen-Bradley from
November 1, 1970 until March 6, 1976.  During that time, MOS was
involved in the processing of  semiconductor  chips.  Allen-Bradley

-------
ultimately sold the property to MOS on March 6, 1976.

     At the time the CSG property was transferred to MOS by
Allen-Bradley, the MOS  stock was owned by Commodore Business
Machines, inc.  ("Commodore").  Commodore obtained this stock
pursuant to a Stock Acquisition Agreement dated November 2, 1976.

     Through its acquisition of the MOS stock, Commodore
established itself as an owner/operator of the CSG Site.
Commodore Semiconductor Group or CSG is not a division of
Commodore, but is rather a name used by Commodore to describe its
operations at the Norristown facility.

     The CSG facility was originally built by Robert E. Lamb,
Inc., the developer of  the Valley Forge Corporate Center for MOS
for manufacturing semiconductor chips.  At the time the
manufacturing building  on site was constructed, a 250-gallon
underground concrete storage tank was installed adjacent to the
southeast side of the building.  The concrete tank was used by
MOS to store a waste solution known to contain trichloroethene
("TCE") and other solvents.  According to information obtained
from Commodore in response to a CERCLA §104(e) information
request from the Agency, the concrete tank leaked in 1974.  As a
result, in 1975, MOS discontinued the use of the concrete tank
and installed an unlined steel tank in the ground adjacent to the
concrete one.

     In 1978, the Audubon Water Company ("AWC"), suppliers of
water to the Village of Audubon and Lower Providence Township,
detected TCE in two of  its wells located near the CSG Site.
After some investigation, the Pennsylvania Department of
Environmental Resources ("FADER11) identified the CSG facility as
a possible TCE source.  In the fall of 1979, the underground
tanks were excavated.   Sampling, which was only for TCE and
tetrachloroethene ("PCE"), conducted during the excavation
revealed high levels of TCE and PCE in the soil directly below
the underground storage tanks and in the surrounding groundwater.
Commodore replaced the  tanks with a waste solvent collection
system consisting of a  tank within a lined vault.  In 1981,
Commodore discontinued  the use of TCE in its manufacturing
process.  At the-same time, the company installed groundwater
monitoring wells"and" began a sampling program.

     Measures to reduce TCE contamination at the Site started in
early January 1981.  From 1981 to 1983, Commodore pumped and
spray irrigated water from Audubon Water Company's public supply
well, VFCC-4.  Spray irrigation is a practice consisting of
spraying contaminated water on a field and allowing volatile
organic compounds ("VOCs") to evaporate into the air.  Commodore
had informal state approval for the spray irrigation system, but
did not operate the system under a PADER permit.

-------
     In February 1984, Commodore purchased and installed an air
stripper on VFCC-4 to be used in the treatment of contaminated
groundwater.  In 1984, Commodore began a residential sampling
program and installed whole-house carbon filter systems on
residences with at least l part per billion  ("ppb") of VOCs
detected.  A total of 23 residences were supplied with these
filters.  Commodore also began construction  of a 100,000 square
foot building expansion with a french drain  groundwater
collection system under the entire expansion.  Construction was
completed in 1985.  The groundwater from the drain is piped to an
air stripper, then discharged to the VFCC stormwater runoff
system.  As a result of the facility expansion in 1985, the
property was regraded, a stormwater detention basin was
constructed, and the parking area of the facility was
expanded.

     In February 1984, EPA performed a Site  Inspection ("SI11) at
the CSG Site.  A Preliminary Assessment ("PA") and another SI
were subsequently completed on December 5 and 12, 1986,
respectively.  Sampling results revealed the presence of TCE in
nearby residential wells.  TCE and TCE-related compounds were
also found in the groundwater, surface water, and soil samples
taken from the Site.  The Site was proposed  for inclusion on the
National Priorities List ("NPL") in January  1987.  The Site
scored 42.35 under EPA's Hazard Ranking System and was included
on the final NPL on October 4, 1989 (54 Fed. Reg. 41000-41015).

     Commodore Business Machines, Inc., ("Commodore11), the
current owner/operator of the facility at 950 Rittenhouse Road,
has been identified by EPA as a Potentially Responsible Party
(nPRPM) for contamination at the CSG Site.   Commodore conducted a
Remedial Investigation/Feasibility Study ("RI/FS") at the Site
pursuant to the terms of an Administrative Order By Consent
(Docket No.  III-88-09-DC) signed by EPA on July 29, 1988.  The
purpose of the RI/FS was to characterize the type and extent of
contamination at the Site, to quantify any existing or potential
human health risks, to evaluate potential environmental risks,
and to develop alternatives to remediate the contamination.
RI/FS Reports were submitted to EPA by Commodore in February 1992
and July 1992.
                «
     Allen-Bradley Company, Inc. ("Allen-Bradley") owned the CSG
Site during the time hazardous substances were released into the
environment.  Allen-Bradley has been identified as a PRP for
contamination at the CSG Site and was sent a General Notice
letter on February 27, 1992.

     EPA solicited comment on a draft Feasibility Study for the
CSG Site from the Delaware River Basin Commission on March 5,
1992.  On July 30, 1992, EPA sent notice of  impending remedial
design/remedial action ("RD/RA") negotiations to the Department
of Interior ("DOI") and the National Oceanic and Atmospheric

-------
Administration  ("NOAA").

III.  HIGHLIGHTS OF  COMMUNITY PARTICIPATION

     A Community Relations  Plan  for the CSG Site was finalized in
February 1989.  This document lists contacts and interested
parties throughout government and the local community.  It also
establishes communication procedures to ensure timely
dissemination of pertinent  information.  A draft RI/FS report and
the Proposed Plan for the CSG Site were released to the public on
July 21, 1992,  in accordance with Sections 113(k)(2)(B), 117(a),
and 121(f)(l) (G) of CERCLA, 42  U.S.C. §§9613(k) (2) (B) , 9617(a),
and 9621(f)(1)(G).   These and other related documents were made
available in both the Administrative Record located at the U.S.
EPA Region III  Offices, 841 Chestnut Building, Philadelphia,
Pennsylvania, 19107, and at the  Site Repositories, Lower
Providence Community Library, 2765 Egypt Road, Audubon,
Pennsylvania, 19405, and Montgomery County Planning Commission
Courthouse, One Montgomery  Plaza, Norristown, Pennsylvania,
19404.

     Due to a request for an extension, the comment period was
extended to 60  days, closing on  September 19, 1992.  In addition,
a public meeting was held on August 6, 1992 to discuss the
results of the  Ri/FS and the preferred alternative as presented
in the Proposed Plan for the Site.  Notice of the Proposed Plan
and public meeting was published in a major local newspaper of
general circulation, The Times Herald. Norristown, Pennsylvania.
Additionally, the Proposed  Plan  and the Notice of the Comment
Period Extension were mailed to  many residences in the nearby
vicinity of the Site.

     All significant comments on the Proposed Plan which were
received by EPA prior to the end of the public comment period,
including those expressed orally at the public meeting, are
addressed in the Responsiveness  Summary which is attached to this
Record of Decision.

IV.  SCOPB AMP  ROTrTt  Of TUB  ACTION

     This Record*of^.Decision ("ROD") mandates remediation of
contaminated groundwater and addresses the drinking water sources
(public supply  wells and residential wells) affected by
contamination at the CSG Site.   This ROD is the only planned
response action for  the Site.

     EPA has classified the affected aquifer at the CSG Site as a
Class IIA aquifer, a current source of drinking water, in
accordance with the  EPA document "Guidelines for Groundwater
Classification" (Final Draft, December 1986).  Ingestion of, and
contact with, contaminated  groundwater poses the primary risk to
human health being addressed by  this ROD.  The concentrations of

-------
contaminants  in the groundwater  at  the  Site  are  above  Maximum  j
Contaminant Levels  ("MCLs") which are enforceable, health-based
drinking water standards  established under the Safe  Drinking
Water Act  ("SDWA"), 42 U.S.C.  §§300f to 300J-26.

     This  Class IIA aquifer is located  in a  Groundwater  Protected
Area of Southeastern Pennsylvania as designated  by the Delaware
River Basin Commission.   As such it is  the intent of the U.S.  EPA
to beneficially reuse the contaminated  groundwater to  the maximum
extent practicable via a  treatment  system meeting federal and
Commonwealth  of Pennsylvania regulations for primary and
secondary  treatment requirements.

     The purpose of the selected response action is  to prevent
current or future exposure to  contaminated groundwater,  to
protect uncontaminated groundwater  for  current and future use,
and to restore contaminated groundwater to MCLs  or to  background
concentrations, if background  for Site-related contaminants  is
lower than the MCLs.  Pumping  and treating groundwater is the
most expeditious way to reduce the  contaminant levels  that have
been detected.

V.  SUMMARY OP SITE CHARACTERISTICS AND EXTENT OF CONTAMINATION

A. SITE CHARACTERISTICS

1.  Geology

     The Site is underlain by  the middle member  of the Triassic-
age Stockton  formation.   The Stockton formation  is characterized
by siltstone, fine-grained and medium-grained sandstone, red
shale, very fine-grained  red sandstone,  and  a few beds of coarse-
grained sandstone and conglomerate.  The strata  have a regional
dip of five to eighteen degrees  to  the  northwest.  Fractures
within the bedrock appear to be  vertical, and for the  most part,
evenly distributed.

     The unconsolidated overburden  deposits  consist  of
predominantly red-brown silt and clay.   Overburden thickness
ranges from six feet to 22.5 feet.  The  soil/bedrock interface is
gradational.  Soil gradually grades into consolidated  material
where relict bedding* is visible, and then into weathered bedrock.

2.  Hydroaeolocry

     The Site stratigraphy is  complex with many  lithologic
variations and discontinuous units.  This creates complex
hydrogeologic conditions.  Two units that are not isolated
hydraulically were identified  beneath the Site:  a shallow
(perched), water-bearing zone in  soil and shallow bedrock and a
deeper bedrock unit.  The saturated thickness of the shallow zone
varies seasonally and is dependent  upon  precipitation.   The

-------
 bedrock water-bearing zone does not  appear to  respond  to
 precipitation.   This is due to the presence of siltsone and  shale
 units  that act  as semiconfining units by  retarding the downward
 migration of groundwater.   Although  the water  levels in the
 bedrock water-bearing zone do  not appear  to respond to
 precipitation,  the shallow zone, which is a low yield  zone,
 provides water  to the deeper zone.   Water levels  in the bedrock
 water-bearing zone do fluctuate as a result of pumping of nearby
 water  supply wells.   The shallow and deep aquifers are not
 isolated hydraulically and the shallow water provides  recharge to
 the deeper zone.

       Groundwater mounding exists in the  subsurface soils around
 the vicinity of the former underground concrete storage tank
 which  were located on Site.  The mounding exists  as a  result of
 recharge from the porous and permeable material used as fill
 after  the tanks were removed.   Groundwater flow in this shallow
 zone is  directed away from the recharge area in all directions.
 Groundwater in  this  shallow zone which flows to the south-
 southeast may also be intercepted by the  Transco  pipeline.   The
 pipeline is approximately  75 feet from the former underground
 storage  tanks.   The  permeable  fill surrounding the pipeline
 probably provides a  pathway for groundwater flow  and migration of
 contaminants  to the  southwest.

     Groundwater movement  through the heterogeneous anisotropic
 bedrock  water-bearing zone occurs through a  combination of
 primary  and secondary porosity.  Groundwater movement  and hence
 migration of  the site-related  contaminants  is  influenced by  the
 pumping  of the  bedrock public  water  supply wells:  VFCC-2, VFCC-
 3, VFCC-4,  Aud-3,  and Aud-5, as well as the  gravel bed of the
 Transco  pipeline.  The regional groundwater  flow  is to the
 southeast;  however,  groundwater in the vicinity of the Site
 appears  to be moving south-southwest as well.

 3.  Surface Water

     The Site is  located in gently rolling terrain in  the
 Schuylkill  River Drainage  Basin.  Regional  surface water drainage
 near the Site is  directed  to the south toward  the Schuylkill
River via  tributary^systems.   Since  the CSG  facility expansion in
 1985,  roughly 50"percent of the regraded  and expanded  parking
area located  on the  southern side of the  property directs runoff
to a man-made detention  basin  measuring approximately  100 feet by
 160 feet by 190  feet.  The remainder of runoff is directed to a
drainage ditch.     The drainage ditch is dry  except for periods of
heavy or constant  rainfall.  The drainage ditch empties into the
 intermittent  portion of  Lamb Run, a  small tributary to the
Schuylkill River.

4.  Meteorology

-------
                                                             (Red;
     The Site is located in Montgomery County, Pennsylvania.
Temperatures in Montgomery County ranged from a mean monthly Low
of 19 degrees Fahrenheit in January to a mean monthly high of 86
degrees Fahrenheit in July for the years 1981 to 1986.
Seasonally, the greatest amount of precipitation occurs in the
spring and the least amount occurs during the winter months.
Average annual precipitation over the years 1980 to 1990 was
slightly less than 44 inches.

5.  Natural Resources

      The Site and surrounding area ecology consist of an
industrial/corporate park with grass-covered lawns, few trees,
and some intermittent drainage areas connected to an intermittent
stream.  Within the industrial park are some open lots with wild
grass and shrubs.  In addition to the corporate park ecology are
residential communities, vacant lots, and a golf course.

     Within the corporate park, the vacant lots support the most
diverse ecology.  This ecology includes birds, rabbits,
squirrels, rats and mice in addition to the grasses and shrubs.
Though larger animals such as raccoons and deer may possibly
wander through, there is not enough vacant area to support a
reasonable habitat for larger animals.  Areas exterior to the
corporate park also would provide minimal habitat and shelter for
wildlife beyond the size of a raccoon.

     No known threatened or endangered plant or animal species
have been identified at the Site.  The wildlife that are found
are very limited because of the human population and human
culture alterations in the Site vicinity.  A limited area of
wetlands exists in a portion of the stormwater detention basin
identified above.  Areas do get wet during rainy periods;
however, these quickly dry.  Most areas of ponding water are
manmade and these areas do not contain threatened plant or animal
species.

B.  NATURE AND EXTENT OF CONTAMINATION

     The nature and extent of contamination at the Site was
characterized through a soil gas survey; sampling of soils,
groundwater monitoring wells, residential drinking water wells,
public water supply wells,  and golf course irrigation wells; and,
sampling of surface water.

1.  Soils

     Soil gas testing revealed detectable levels in separate,
discrete locations of the following four volatile organic
compounds ("VOCs"):  1,2-Dichloroethene ("1,2-DCE"),
Trichloroethane  ("TCA"), Trichloroethene("TCE"), and
Tetrachloroethene ("PCE").

-------
     Ten soil samples were taken and analyzed (See Figure 2 for
the location of the soil borings).  The four borings located
within the boundaries of the CSG property were situated near
suspected areas of elevated VOC concentrations.  These borings
were labeled:  S-5, which was drilled near the former underground
concrete storage tank, and S-6, S-8 and S-10, which were drilled
along the trace of the Transco pipeline where elevated soil gas
concentrations had been detected.

     All ten soil borings were analyzed for the complete target
compound list ("TCL").  Soil borings S-5 and S-8 were
additionally analyzed for the target analyte list ("TAL").  The
following five VOCs were found at detectable levels at the Site:
Carbon Tetrachloride, 1,2-Dichloroethene, Trichloroethene,
1,1,2,2- Tetrachloroethane, and 1,2-Dichlorobenzene.  The highest
detected concentration of any of these compounds was for
Trichloroethene at 16 parts per billion ("ppb") from soil boring
S-8, at a 1.2 - 1.5 foot depth.  For the remaining TCL
substances, only 1,2,4-trichlorobenzene, a base neutral
extractable compound was detected at a depth of 11 feet.

     Several TAL metals were detected in the two TCL/TAL samples
including:  aluminum, arsenic, barium, beryllium, chromium,
copper, iron, lead, magnesium manganese, potassium, silver,
vanadium and zinc.  The levels detected do not exceed levels
which can occur naturally in soils.

     Each soil boring was completed as either a vapor probe or a
piezometer for the purpose of monitoring conditions in the
overburden.  Depth-to-water measurements and Organic Vapor
Analyzer ("OVA") readings were taken monthly beginning in June
1990 and ending March 1991.  See Table 1 for water level
measurements and Table 2 for OVA readings.

2.  Surface Water

     Groundwater level measurements taken in the overburden
piezometers indicate that groundwater at the Site potentially
discharges to Lamb Run, a small tributary to the Schuykill River.
Five surface water samples were taken from the intermittent
stream that parallels Rittenhouse Road, just south of the CSG
facility, and were analyzed for VOCs.  Sediment samples were not
collected because the base of Lamb Run consisted primarily of
gravel or bedrock at the sampling locations.

     The following three VOCs were detected in the surface water:
1,2 DCE, PCE, and TCE.  Figure 3 provides the locations of the
samples and a summary of the analytical results.  All
concentrations were more than 10 times lower than the Fresh Water
Acute Water Quality Criteria for aquatic life  (25 Pa. Code
Section 16.51, Table 1) .  Of the three compounds detected, only
PCE has a chronic limit established by the above cited

-------
                                                              ORIGINAL
                                                               (Red)
regulations  (840 ppb).  None of the  levels detected  exceed MCLs
established  under the SDWA.  At the  levels detected, natural
attenuation  will most likely remove  the volatile organics.

3. Groundvater

     Groundwater was sampled both upgradient and downgradient of
the facility.   (See Figure 4 for groundwater sampling locations).
The results  of the groundwater investigations are summarized in
Table 3.  The highest VOC concentrations detected were in the
shallow groundwater near the former  underground concrete tank and
the unlined  steel tank.  The VOCs detected in those  areas were
TCE, TCA, 1,1-DCE, 1,2-DCE, 1,1-DCA, PCE, and chloroform.  Vinyl
chloride was detected at only three  locations in the shallow
aquifer:  once at 2 ppb in the french drain, once at well MOS-13
at 2.2 ppb,  and once at well MOS-15  at 8.1 ppb.  Groundwater in
the bedrock wells was found to have  the same chemicals found in
the shallow  aquifer.

     The concentrations of the contaminants in the deep bedrock
aquifer (the drinking water aquifer) were generally  lower than
those in the shallow aquifer.  The exception is vinyl chloride
which was detected twice in the deep aquifer at MW-l, at 12 ppb
and 14 ppb.  The Site-related contaminants detected  in the deep
bedrock aquifer exceed MCLs.  Figure 5 represents the potential
areal extent of the Site-related plume and also represents the
approximate areal extent where MCLs  are exceeded in  the bedrock
aquifer.  Table 4 summarizes the wells with major MCL
exceedances.

VI.  SUMMARY OF SITE RISKS

     This section of the ROD summarizes the results  of the
baseline risk assessment which was conducted as part of the
RI/FS.   The risk assessment for the  CSG Site characterizes the
current and potential threats to human health and the environment
based on reasonable maximum exposures to contaminants in the
groundwater, soil and subsurface soil, the migration of
contaminants to surface water, and exposure to contaminants in
the air if no remedial action were taken.
                «
     The risk assessment consisted of identification of
contaminants of concern, a toxicity  assessment, an exposure
assessment, and risk characterization.  The first task in the
risk assessment was the selection of Site-related contaminants
for which risks were assessed.  In the data evaluation, sampling
data were reviewed by medium.  The list was based on chemical
toxicity characteristics, the occurrence and distribution of the
chemical in the medium,  potential exposure routes, and
contaminant migration characteristics.

A.  EXPOSURE ASSESSMENT

-------
                                                                10

      Exposure pathways were identified for  groundwater,  surface
water,  soils,  and air at the Site.   The human health  risk
assessment  was conducted only for exposure  to groundwater and
outdoor air.   Exposures to soil  and surface water were not
evaluated because the concentrations of contaminants  detected in
these media were low,  the duration of the exposure short, and/or
the  concentrations were below health-based  screening  criteria.
Comparisons of potential chemicals of concern detected in soils
and  surface waters to risk-based concentrations are listed in
Tables  5 and  6,  respectively.

      Current  land use in the vicinity of the Site is  residential
and  industrial park.   Future land use in the vicinity of the Site
is also expected to be residential  and industrial park.  The
George  Washington Country Club golf course  ("GWCC") is
immediately west of the Site.  Though GWCC  is currently  used for
recreation, it is zoned for residential  use.  Therefore, a
probable future use of GWCC is residential  use.

      Groundwater beneath the Site is classified as a  Class IIA
aquifer,  a  current source of drinking water.  Contaminants from
the  Site migrate towards public  supply wells and private drinking
water wells through the groundwater flow system.

      Based  on  current  and potential  future  land uses  at  the Site,
seven populations were evaluated in the  risk assessment:

        Residents who currently obtain water from private wells;
     •   Residents who currently-obtain water from public  supply
        wells;
        Hypothetical future residents of  GWCC;
        Current members and recreational  users of GWCC;
        Current workers of GWCC;
     •   Current workers at Valley Forge Corporate Center  ("VFCC");
        and
     •   Future  workers  at VFCC.

     These are the populations that are  the most probable current
and  future receptors of contamination from  the Site,  and
represent the  populations with maximum potential for  exposure to
Site-related contaminants.   Chemicals of potential concern in the
groundwater using the  exposure scenarios identified above are
listed  in Tables 7 through 12.

     Use of an exposure scenario based on future residential use
is consistent  with EPA policy  described  in  "EPA Risk Assessment
Guidance  for Superfund"  (December 1989). This policy  requires
consideration  of hypothetical  residential use.  In addition, the
National Contingency Plan ("HCP"),  40 C.F.R. Part 300, requires
that groundwater which is suitable  for use  as a water supply be
protected and  restored to its  beneficial use.

-------
                                                               ORIGINAL
                                                                 (Red)

                                                                11
      Potential  exposure  routes  considered for the purpose of
 evaluating  CSG  Site  risks  included:  ingestion of contaminated
 groundwater,  inhalation  of volatiles from tap water,  dermal
 absorption, and inhalation of volatiles  in outdoor air due to the
 existing  air  stripping emissions.  The potential exposure routes
 chosen  for  each of the exposed  populations are listed in Table
 13.

      The  next step in the  exposure assessment process involved
 the quantification of the  magnitude,  frequency,  and duration of
 exposure  for  the populations and exposure routes selected for
 evaluation.

      The  contaminant intake equations and intake parameters  were
 derived from  standard literature sources  and  data from EPA
 guidance  documents.  The exposure assumptions used to calculate
 chemical  intakes were selected  based on the reasonable maximum
 exposure  ("RME") which is  defined as the  highest exposure that is
 reasonably expected to occur at a Site.

      The  Risk Assessment compiled a  list  of contaminants  of
 concern from  the results of the various sampling activities  at
 the Site.  These contaminants of concern  were selected based on
 concentrations  at the Site, toxicity, physical/chemical
 properties that affect transport/movement in  air and  groundwater,
 and prevalence/persistence in these  media.  These contaminants of
 concern were  used in the Risk Assessment  to evaluate  potential
 health  risks  at the Site.

     The  contaminants of potential concern in the groundwater
 that were evaluated in the Risk Assessment were  VOCs.   These
 chemicals are listed below with their respective maximum
 contaminant level (MCL) or in the absence of  an  MCL,  a health-
 based calculation.  The contaminants  of potential  concern were
 selected  for evaluation at a receptor location if they were
detected  in the  groundwater of  a well or  cluster of wells to
which a receptor might potentially be exposed.   If a  chemical  was
detected  in a grouping of  wells to which  there might  be exposure,
 the chemical was evaluated for  potential  risk.

-------
                                                                ORIGINAL
                                                               i2(Red)
                                     MCL in parts per billion
                                          (ppbl
Bromodichloromethane                      100
Chloroform                                100
1,2 Dichlorobenzene                        75
1,4 Dichlorobenzene                       600
1,1 Dichloroethane                        810*
1,1 Oichloroethene                          7
1,2 Dichloroethene                         70
Tetrachloroethene                           5
1,1,1 Trichloroethane                     200
Trichloroethene                             5
Vinyl Chloride                              2

*Non-carcinogenic health-based concentration.


B. Toxicity Assessment and Risk Characterization

     Projected intakes for each risk scenario and each
contaminant were compared to acceptable intake levels for
carcinogenic and noncarcinogenic effects.  With respect to
projected intake levels for noncarcinogenic compounds, a
comparison was made to reference doses ("RfDs").  RfDs have been
developed by EPA for chronic (lifetime) and/or subchronic (less
than lifetime) exposures to chemicals.  RfDs define intake levels
that are unlikely to cause appreciable risk of deleterious
effects.  The chronic RfD for a chemical is an estimate of a
lifetime daily exposure level for the human population, including
sensitive subpopulations, that is likely to be without an
appreciable risk of deleterious effects.  The potential for non-
cancer health effects is evaluated by comparing an exposure level
over a specified time period with the RfD derived by EPA for a
similar exposure period.  The ratio of exposure to toxicity is
called the hazard quotient.  Chronic and Subchronic RfDs for
noncarcinogenic health effects are listed in Tables 14 and 15,
respectively.

     The non-cancer hazard quotient assumes that there is a
threshold level ff exposure below which it is unlikely for even
the most sensitive populations to experience adverse health
effects.  If the exposure level exceeds that threshold (the
hazard quotient exceeds a value greater than 1.0) there may be
concern for potential non-cancer effects.  If the hazard quotient
does not exceed one, there is not a concern for a non-
carcinogenic public health threat.  The greater the value of the
hazard quotient, the greater the level of concern for potential
adverse health impacts.

     To assess the overall potential for non-cancer effects posed
by multiple chemicals, a hazard index  ("HI") is derived by adding

-------
                                                               13

the individual hazard quotients for each chemical of concern.
This approach assumes additivity of critical effects of multiple
chemicals.  EPA considers any HI exceeding one to be an
unacceptable risk to human health.

     For carcinogens, risks are estimated as the incremental
probability of an individual developing cancer over a lifetime as
a result of exposure to a potential human carcinogen.  The
toxicity values that are used in the evaluation of carcinogenic
risk are cancer slope factors ("CSFs") that have been developed
by EPA.  A CSF generally is derived from animal studies of
chemical toxicity.  The high doses administered to laboratory
animals are extrapolated to the low doses generally received by
humans in a linear relationship.

     The value used in reporting the CSF is the upper 95 percent
confidence limit value on the probability of response per unit
intake of a contaminant over a lifetime (70 years).  The CSF is
multiplied by the predicted intake to result in a unitless
expression of an individual's likelihood of developing cancer as
a result of the defined exposure.  An incremental cancer risk of
1 x E-6 (also abbreviated as 1 x 10*6) indicates that the exposed
receptor has an additional risk of one in one million of
developing cancer.  Again, the risks associated with multiple
chemicals should be added together.  The carcinogenic chemicals
addressed in this evaluation and their EPA and International
Agency for Research on Cancer ("IARC") carcinogenicity
classifications are presented in Table 16.  An explanation of the
EPA and IARC carcinogenicity classification systems is presented
in Table 17.  The cancer slopes for the carcinogenic contaminants
detected at the CSG Site are listed in Table 18.

     The hazard quotients and indices for the residential
scenarios are presented in Tables 19 through 24.  The hazard
quotients and indices for the GWCC member are present in Tables
25 and 26.  Hazard quotients and indices for the worker scenarios
are presented in Tables 27 through 29.

     The lifetime carcinogenic risk and risk distributions by
chemical and pathway for each exposure scenario are.presented in
Tables 30 through* 43..  The risks and distributions for the
residential scenarios are presented in Tables 30 through 35.  The
carcinogenic risks and risk distributions for the GWCC member are
presented in Tables 36 and 37.  The carcinogenic risks and
distributions for the worker scenarios are presented in Tables 38
through 43.

     Table 44 summarizes the total risks from all exposure
pathways to contaminants in the groundwater at the CSG Site.

     The total lifetime carcinogenic risk for the private
residential well scenario is 2.0E-05, with groundwater ingestion

-------
                                                                 ORIGINAL
                                                                  (Red)
                                                                14
 representing the highest risk pathway  (61%)  and 1,1-DCE the
 highest risk chemical.   The risk from  inhalation of outdoor air
 is  4.5E-09  and accounts for .02  % of the total  risk.   The  hazard
 indices were less than  1.0,  which represents an acceptable risk
 level.

     The risk from exposure to untreated public water  (public
 residential well scenario)  is 4.0E-05  with 55%  of the  total risk
 attributed  to ingestion of  groundwater, and  1,1-DCE
 representing 61% of the total risk.  The risk associated with the
 inhalation  of outdoor air is 8.1E-09.  The hazard index for the
 adult receptor was less than 1.0 which represents an acceptable
 risk level.   For the child  receptor, the hazard index  was  1.2,
 which represents an unacceptable risk.

     The lifetime carcinogenic risk for the  hypothetical GWCC
 future  resident is 1.4E-04.   As  with the other  residential
 scenarios,  ingestion of groundwater and exposure to 1,1-DCE
 represents  the majority of  the risk.   The risk  associated  with
 inhalation  of outdooor  air  is 8.7E-07  and is 0.64%  of  the  total
 risk.   The  hazard indices were 1.0 or  less which represent an
 acceptable  risk level.

     The carcinogenic risk  posed to the GWCC member is 9.9E-07.
 Exposure to chloroform  through inhalation while showering
 represents  86%  of the total  risk.  The risk  from inhalation of
 outdoor air is  the lowest risk pathway (7.8E-10)  and accounts for
 0.08% of the total risk.  The hazard index was  less than 1.0
 which represents an acceptable risk level.

     The total  risk for the  GWCC worker is 1.5E-07.  Ingestion of
 water represents 97% of the  total risk.  Exposure to
 bromodichloromethene accounts for 47%  of the total  risk.
 The hazard  index was less than 1.0 which represents an acceptable
 risk level.

     The carcinogenic risks  posed to the current and future VFCC
workers  are  l.OE-05  and 4.9E-05,  respectively.   Groundwater
 ingestion accounts for  99%  of the risk in the current  worker
 scenario and 64% of the risk to  the future worker.  Inhalation of
 outdoor air poses, little risk to the VFCC current worker (1.3E-O8
 and VFCC future worker  (6.5E-07).  The hazard indices  were less
 than 1.0  which  represent an  acceptable risk  level.

 C.  ENVIRONMENTAL RISKS

     No known threatened or  endangered plant or animal species
 have been identified in the  immediate  vicinity  of the  Site.  The
wildlife that is found  is very limited because  of the  human
population  and  human culture alterations in  the Site vicinity.
Under current conditions, the compounds detected in surface water
 (due to  discharge from  the  shallow aquifer)  are below  the

-------
                                                                15

threshold  level  for chronic or acute  effects  to  aquatic
organisms.  Additionally, no  risks are  anticipated for
terrestrial vertebrates that  may come into contact with  Lamb Run.


D.  UNCERTAINTY  ANALYSIS

     Throughout  the risk assessment process,  uncertainties
associated with  evaluation of chemical  toxicity  and potential
exposures arise.  For example, uncertainties  arise in  derivation
of toxicity values for reference doses  (RfDs) and  carcinogenic
slope factors  (CSFs), estimation of exposure  point
concentrations,  fate and transport modeling,  exposure
assumptions, and ecological toxicity  data.

     Risks from  exposure to vinyl chloride, a breakdown  product
of TCE, were evaluated in the uncertainty analysis because vinyl
chloride has not been detected in any wells to which there is
current exposure but may be found at  detectable  concentrations in
the future.  Risks from vinyl chloride  were evaluated  using  a
concentration of one-half the required  detection limit (1 ppb) in
the following two future use  scenarios: Future GWCC Residential
Well and Future  VFCC Worker.  The risk  would  be  1.7E-04  and
5.6-05, respectively.

E.  CONCLUSION   ^'

     Actual or threatened releases of hazardous  substances from
the CSG Site, if not addressed.by implementing the response
action selected  in this ROD,  may present an imminent and
substantial endangerment to public health, welfare, and  the
environment.
VII.  DESCRIPTION OF ALTERATIVES

     A feasibility study was conducted to identify and evaluate
remedial alternatives for remediation of contaminated groundwater
at the CSG Site.  Applicable remediation technologies were
initially screened in the feasibility study based on
effectiveness, implementability, and cost.  The alternatives
meeting these criteria were then evaluated and compared to nine
criteria required by the National Contingency Plan ("NCPH).  The
NCP requires that a "no action" or "no further action"
alternative be evaluated as a point of comparison for other
alternatives.

The alternatives evaluated and their present worth costs are
described, below.  It should be noted that all costs and time
frames discussed below are estimates.  This information will be
further refined during the remedial design.  The alternatives

-------
                                                               16

describe final remedial actions for groundvater remediation.  The
RI/FS Reports dated February 1992 and July 1992 discuss the
alternatives evaluated for the Site and provide supporting
information leading to the alternative selection by EPA.


ALTERNATIVE 1; No Action

     This alternative involves taking no action at the Site to
remove, remediate, or contain the contaminated groundwater.
Maintenance of the existing whole-house carbon filtration systems
on the 23 residential wells would be discontinued and no
monitoring of residential wells would be required.  The following
groundwater monitoring wells on the CSG property would be sampled
semi-annually: MOS-15, MOS-14, MOS-13, MOS-11, and the three well
cluster at MW-20.

     Because this alternative would result in contaminated
groundwater remaining on the Site, 5-year site reviews pursuant
to Section 121(c) of CERCLA would be required to monitor the
effectiveness of this alternative.  There are no capital costs
for this alternative.   This alternative could be implemented
immediately.


Compliance with ARARs

     Since Alternative 1 does not include groundwater remediation
as a component of the remedy, this Alternative would not meet the
chemical-specific ARARs relating to groundwater remediation and
treatment.

      Additionally, Alternative 1 would not comply with the
requirements of the Pennsylvania Hazardous Waste Management
Regulations, 25 Pa. Code §§264.90-264.100 and in particular, 25
Pa. Code §§ 264.97(i) (j) and 264.100(a)(9), which require
contaminated groundwater to be remediated to background levels.

     With respect to location-specific ARARs, Alternative 1 would
not comply with EPA's Ground Water Protection Strategy policy for
a Class IIA aquifer*, which is a to be considered  ("TBC")
standard.

Capital Costs - $00.00
0 & M Cost/Year - $26,600
30 Year Present Worth - $299,800

-------
                                                               17

ALTERNATIVE 2:  Installation of Private Water Lines and
Connection to the P"**lie Water Supply System and Institutional
Controls

The general components of this alternative are:

  • Connecting affected and potentially affected parties into an
    extension of the public water supply system;

  • Continuing maintenance of carbon filtration systems at
    residences previously supplied with systems;

  • Abandoning of the existing residential wells when parties
    are connected to the public water supply system;

  • Creating a. groundwater management zone with restrictions on
    installation of new wells in areas of contamination which
    exceed MCLs; and

  • Conducting quarterly groundwater monitoring.

     The intent of this alternative is to prevent any
unacceptable present and future risk associated with exposure to
contaminated groundwater.  Residences south of the CSG Site on
Rittenhouse Road and on Audubon Road between Rittenhouse Road and
Thrush Lane would be connected to the public water supply system.
Table 46 lists the affected and potentially affected residences.

The existing whole-house carbon filtration systems that have
previously been installed in residences would be maintained until
connection to the public system is complete.  One additional
system would be installed in a residence located at 2705 Audubon
Road.  Maintenance of whole-house carbon filtration systems would
also continue for the residences southeast of the Site which are
identified as Group 2 in the Feasibility Study.

     At the conclusion of the remedy construction or at the
Site's first 5-year review, whichever takes place first, this
residential area would be re-evaluated to determine whether the
maintenance of carbon filters should be continued.

     Under Alternative 2, when the affected and potentially
affected residences are connected into the public water supply
system, the residential wells would be abandoned unless the
residential well is selected as a sampling location for long-term
groundwater monitoring.

     This alternative includes development of a groundwater
management zone that encompasses the area of the Site in which
the groundwater is contaminated at levels which exceed MCLs, and
a surrounding buffer zone.  Restrictions on well installations
within the contaminated groundwater management zone would be

-------
                                                                 (P,or1\
                                                               18	'
implemented as institutional controls.  The estimated
implementation time for installation of additional water lines in
the community near the Site is two years.

     Because this alternative would result in contaminated
groundwater remaining on the Site, 5-year site reviews pursuant
to Section 121 (c) of CERCLA. would be required to monitor the
effectiveness of this alternative.

Capital Costs - $125,500
0 & M Cost/Year (Years 1-2) - $242,600
O & M Cost/Year (Years 3-30) - $211,800
30 Year Present Worth - $2,564,800

Compliance With ARARs;

     Under Alternative 2, the spent whole-house carbon filters
would be considered a RCRA hazardous waste if the toxic
characteristic leaching procedure ("TCLP") analysis performed on
the filters resulted in a VOC concentration greater than 0.5
parts per million ("ppm").  Pennsylvania's Hazardous Waste
Management Regulations, 25 Pa. Code Parts 262, 263, and 264 would
apply to the disposal of this hazardous waste.


ALTERNATIVE 31 Daep Groundvatar Extraction nn* TfTfl'frff^Tl't IMlfl
Discharge. nTd installation of Private Water Lines 
-------
                                                                 Wed)
                                                                19

 added to the existing onsite air stripper which currently treats
 contaminated water from the french drain system located on the
 CSG property.  The contaminated groundwater from well RW-i,  a
 deep recovery well,  and the contaminated groundwater from the
 french drain would then be treated by this air stripper.
 Groundwater from the deep recovery wells proposed to be located
 in close proximity to Aud-3 and Aud-5 would be treated by an air
 stripper with vapor phase carbon.   The groundwater extracted from
 the well proposed to be close in proximity to VFCC-2 would be
 treated by a separate air stripper with vapor phase carbon.

      Under Option B,  the existing  onsite air stripper would
 continue to be used for treatment  of  groundwater from the french
 drain and an aqueous phase carbon  treatment system would  be used
 to treat contaminated groundwater  recovered from the deep
 recovery well,  RW-l.   Groundwater  from the deep wells installed
 off the CSG property (those wells  proposed to be in close
 proximity to Aud-3,  Aud-5,  and VFCC-2)  would be treated as
 described in Option  A above.

      Because this  alternative would result in contaminated
 groundwater remaining on the Site,  5-year site reviews pursuant
 to Section 121(c)  of CERCLA would  be  required to monitor  the
 effectiveness of this alternative.

      For costing purposes the remediation time for this
 alternative was based on 30 years  (the maximum period of
 performance used by  EPA for costing purposes).  It is anticipated,
 however,  that this alternative-would  take more than 30 years.

      Implementation time considers  the time  required to design
 and construct the  alternative.   Implementation time for this
 alternative is estimated to be between two and five years.

 Option A Costs;
 Capital  Costs - $732,730
 O  & M/Year (Years  1-2)  - $288,900
 O  & M/Year (Years  3-30)  - $246,700
 30 Year  Present Worth  -  $3,585,300

 Option B Costs: ~  ^
 Capital  Costs - $985,730
 O  & M/Year (Years  1-2)  -  $326,600
 0  & M/Year (Years  3-30)  - $282,500
 30 Year  Present Worth  -  $4,244,700

     Alternatively, the Audubon Water  Company  water supply wells
Aud-3, Aud-5, and VFCC-2  may be utilized  for groundwater
 extraction.   Water extracted  from these wells  would continue to
 be treated by their existing air strippers.  Vapor phase  carbon
units would be installed  on these existing air strippers  to
 control  air emissions.   If the Audubon Water Company supply  wells

-------
                                                                20

 and their existing air strippers  can  be  used  for remediation as
 described above,  then the  cost  for  implementing Alternative 3,
 Option A  or Option B,  is estimated  as follows:

 Option A  Costs;
 Capital Costs  -  $420,000
 O  & M/Year (Years 1-2)  - $288,900
 O  & M/Year (Years 3-30)  -  $246,700
 30 Year Present  Worth - $3,272,500

 Option B  Costs;
 Capital Costs  -  $673,000
 O  & M/Year (Years 1-2)  - $326,600
 O  & M/Year (Years 3  -30) - $285,200
 30 Year Present  Worth - $3,932,000

 Compliance with  ARARs;

     Under this  alternative, the  spent whole-house carbon filters
 would  be  considered  a  RCRA hazardous waste if the toxic
 characteristic leaching procedure ("TCLP") analysis performed on
 the filters resulted in a  VOC concentration greater than 0.5
 parts  per million ("ppm").  Pennsylvania's Hazardous Waste
 Management Regulations,  25 Pa. Code Parts 262,  263, and 264 would
 apply  to  the disposal  of this hazardous waste.

     This alternative  would comply with the levels for the
 contaminants of  concern identified in Table 45.   Also, this
 alternative would meet the risk-based action levels as referenced
 in the NCP as acceptable groundwater cleanup criteria.
 Additionally the  Pennsylvania Safe Drinking Water Act (25 Pa.
 Code Chapter 109) lists secondary maximum contaminant levels as
 applicable requirements for public drinking water supplies.
 These  requirement would be relevant and appropriate for any
 water  provided to the Audubon Water Company.

     This  alternative would not comply with the Pennsylvania
 Hazardous  Waste Management Regulations, 25 Pa. Code §§264.90-
 264.100 and in particular, 25 Pa. Code §§ 264.97(1)(j) and
 264.100(a)(9), which require that contaminated groundwater be
 remediated to background levels since the contaminated shallow
 aquifer is not actively remediated under Alternative 3.  With
 respect to location-specific ARARs,  this alternative would not
 comply with the EPA's Ground Water Protection Strategy Policy for
 a  Class IIA aquifer, which is a "To Be Considered" ("TBC")
 standard,  since contaminated groundwater from the shallow aquifer
will be allowed to migrate vertically to the deep bedrock aquifer
which  is  the drinking water aquifer.

     This  alternative would comply with fugitive emissions
 control requirements established under the Clean Air Act, 42
U.S.C. §§7401 to  767lq,  the Pennsylvania Air Quality Regulations,

-------
                                                               21

25 Pa. Code Chapter 127, and EPA OSWER Directive 9355.0-28
regarding control of air emissions from Superfund air strippers
at Superfund groundvater sites.

     Pumping of groundwater and discharge of treated water would
be in compliance with the requirements of the Delaware River
Basin Commission (18 C.F.R. Part 430).

     Any treated water discharged through a "point source" to
"waters of the United States" would comply with the Clean Water
Act, 33 U.S.C. §§1251 et sea. . the National Pollutant Discharge
Elimination System ("NPDES") regulations promulgated thereunder
at 40 C.F.R. Parts 122-124, including any state and federal
regulations promulgated pursuant to Section 402 (p) of the Clean
Water Act, 33 U.S.C. §1342 (p) ("Municipal and Industrial
Stormwater Discharges") , the Pennsylvania NPDES regulations (25
Pa. Code §92.31), and the Pennsylvania Water Quality Standards
(25 Pa. Code §§93.1-93.9).

     All hazardous wastes generated during implementation of this
alternative would be handled, transported, treated, and disposed
of in compliance with 25 Pa. Code Chapter 262 Subparts A
(relating to hazardous waste determination and identification
numbers) , B (relating to manifesting requirements for off-site
shipments of spent carbon or other hazardous wastes) , and C
(relating to pretransport requirements; 25 Pa. Code Chapter 263
(relating to transporters of hazardous wastes) ; and with respect
to the operations at the Site generally, with the substantive
requirements of 25 Pa. Code Chapter 264 Subparts B-D, I (in the
event that hazardous waste generated as part of the remedy is
managed in containers), 25 Pa. Code Chapter 264 Subpart J (in the
event that hazardous waste is managed, treated or stored in
tanks).  40 C.F.R.  Part 264, Subpart AA (relating to air
emissions from process vents) and 40 C.F.R. Part 268, Subpart C,
Section 268.30 and Subpart E (regarding prohibitions on land
disposal and prohibitions on storage of hazardous waste) .  40
C.F.R.   Part 264, Subpart AA (relating to air emission standards
for process vents) ; 49 C.F.R. Parts 107 and 171-179 (relating to
the transportation of hazardous wastes off -site.

     This alternative would comply with EPA OSWER Directive
9834.11 and CERCLA §121 (d) (3) which prohibit the disposal of
Superfund Site waste at a facility not in compliance with §3004
and §3005 of RCRA and all applicable State requirements.


ALTERNATIVE 4: shallow aad D<


-------
                                                               22

additional components of Alternative 4 include extracting both
shallow and deep groundwater, and treating the water using air
stripping and carbon adsorption.

     Treated water from extraction may be provided to the Audubon
Water Company for use in the public water supply system or may be
utilized by the CSG facility in its operations or discharged to
the Publicly Owned Treatment Works ("POTW").  The conceptual
design developed for the approximate location of the shallow and
deep bedrock extraction wells is illustrated in Figure 7.

     The primary objective of the shallow and deep groundwater
recovery on the CSG property is to provide a hydraulic control
that would minimize migration of VOCs and recover groundwater
near the source areas.  The supplemental shallow groundwater
wells would recover the higher concentration VOCs before they
migrated down to the deep aquifer.  By extracting from both
shallow and deep groundwater on the CSG property, the overall
volume of water extracted over the life of remediation should be
reduced as well as the overall time required for groundwater
remediation.  Groundwater monitoring and 5-year site reviews
would be provided to measure the effectiveness, of the cleanup.

     Under Option A, recovered water from the deep groundwater
well, RW-1, the french drain and shallow wells: MOS-11, MOS-14,
and MOS-15, would be treated by the air stripper which currently
treats groundwater from the french drain system.  Vapor phase
carbon control would be added to this stripper.  Groundwater from
the deep recovery wells RW-3 and RW-5 proposed to be located in
close proximity to Aud-3 and Aud-5 would be treated by an air
stripper with vapor phase carbon.  The groundwater extracted from
well KW-4, proposed to be in close proximity to VFCC-2, would be
treated in a separate air stripper with vapor phase carbon.

     Under Option B, an aqueous phase carbon treatment system
would be used to treat contaminated groundwater recovered from
RW-l, the french drain, MOS-11, MOS-14, MOS-15.  Groundwater from
the deep wells RW-3, RW-5 and RW-4, the deep bedrock wells
proposed to be located in close proximity to Aud-3, Aud-5, and
VFCC-2, respectively would be treated as described in Option A
above.
                *  -—
     Because this alternative would result in contaminated
groundwater remaining on the Site, 5-year site reviews pursuant
to Section 121(c) of CERCLA would be required to monitor the
effectiveness of this alternative.

     For costing purposes the remediation time for this
alternative was based on 30 years  (the maximum period of
performance used by EPA for costing purposes).  It is
anticipated, however, that this alternative would take more than
3O years.

-------
                                                             ;Redi


                                                                23

      Implementation time considers  the  time  required to design
 and construct the alternative.   Implementation time  for this
 alternative  is estimated between two  and  five  years.

 Option A Costs:
 Capital Costs -  $810,930
 O  & M/Year  (Years 1-2) - $300,300
 O  & M/Year  (Years 3-30) - $258,000
 30 Year Present  Worth - $3,790,900

 Option B Costs:
 Capital Costs -  $1,071,230
 O & M/Year  (Years 1-2) - $356,100
 0 & M/Year  (Years 3-30) - $313,900
 30 Year Present  Worth - $4,680,300

     Alternatively, the Audubon  Water Company  water  supply wells
 Aud-3, Aud-5, and VFCC-2 may be  utilized  for groundwater
 extraction.  Water extracted from these wells  would  continue to
 be treated by their existing air strippers.  Vapor phase carbon
 units would be installed on these existing air strippers to
 control air emissions.  If the Audubon Water Company water supply
 wells and air strippers can be used to implement the remedy, the
 costs for implementing Alternative 4, Option A or Option B, is
 estimated as follows.

 Option A Costs;
 Capital Costs -  $498,200
 0 & M/Year (1-2 years) - $300,300
 O & M/Year (3-30 years) - $258,000
 30 Year Present Worth - $3,478,200

 Option B Costs:
 Capital Costs - $758,500
 0 & M/Year (1-2 years) - $356,100
 0 & M/Year (3-30 years) - $313,900
 30 Year Present Worth - $4,367,600


 Compliance with ARARS;

     Under this alternative, the  spent whole-house carbon filters
would be considered a RCRA hazardous waste if  the toxic
 characteristic leaching procedure ("TCLP") analysis performed on
 the filters resulted in a VOC concentration greater than 0.5
 parts per million ("ppm").  Pennsylvania's Hazardous Waste
Management Regulations, 25 Pa. Code Parts 262,  263, and 264 would
 apply to the disposal of this hazardous waste.

     This alternative is designed to meet MCLs established under
 the SDWA for the contaminants of  concern  identified  in Table 45.
Also,  this alternative would meet the risk-based action levels as

-------
                                                             •" -rdj


                                                                24

 referenced  in the NCP as acceptable groundwater  cleanup  criteria.
 Additionally  the  Pennsylvania  Safe Drinking Water Act  (25  Pa.
 Code Chapter  109)  lists secondary maximum  contaminant  levels as
 applicable  requirements for  public drinking water supplies.
 These  requirements would be  relevant and appropriate for any
 water  provided to the Audubon  Water Company.

     This alternative would  comply with the Pennsylvania's
 Hazardous Waste Management Regulations, 25 Pa. Code §§264.90-
 264.100 and in particular, 25  Pa. Code §§264.97(i)(j)  and
 264.100(a)(9)  which require  that contaminated groundwater  be
 remediated  to background levels.  With respect to location-
 specific ARARs, this alternative would comply with the EPA's
 Ground Water  Protection Strategy Policy for a Class IIA  aquifer,
 which  is a  "To Be  Considered"  ("TBC") standard.

     This alternative would  comply with the Pennsylvania's
 Hazardous Waste Management Regulations, 25 Pa. Code Chapter  264,
 Subchapter  F  regarding groundwater monitoring requirements.

     This alternative would  comply with fugitive emissions
 control requirements according to the federal Clean Air  Act, RCRA
 (40 C.F.R.  Part 264,  Subpart AA),the Pennsylvania Air  Quality
 Regulations,  25 Pa.  Code Chapter 127, and  EPA's OSWER  Directive
 9355.0-28 regarding the control of air emissions from  Superfund
 air strippers  at Superfund groundwater sites.

     Pumping  of groundwater  and discharging of treated water
 would  be in compliance with  the requirements of the Delaware
 River  Basin Commission (18 C.F.R. Part 430).

     Any treated water discharged through  a "point source" to
 "waters of  the United States"  would comply with the Clean Water
Act, 33 U.S.C.  §§1251 e£ sea., the National Pollutant  Discharge
 Elimination System ("NPDES") regulations promulgated thereunder
 at 40  C.F.R.  Parts 122-124,  including any  state and federal
 regulations promulgated pursuant to Section 402(p) of  the Clean
Water Act,  33  U.S.C.  §1342(p)  ("Municipal  and Industrial
 Stormwater  Discharges"),  the Pennsylvania  NPDES regulations  (25
 Pa. Code §92.31, and the Pennsylvania Water Quality Standards  (25
 Pa. Code §§93.1-93.9).

     All hazardous wastes generated during implementation of this
 alternative would  be handled,  transported, treated, and  disposed
 of in  compliance with 25 Pa. Code Chapter  262 Subparts A
 (relating to  hazardous waste determination and identification
 numbers), B (relating to manifesting requirements for  off-site
 shipments of  spent carbon or other hazardous wastes),  and  C
 (relating to  pretransport requirements; 25 Pa. Code Chapter  263
 (relating to  transporters of hazardous wastes); and with respect
 to the operations  at the Site  generally, with the substantive
 requirements  of 25 Pa.  Code  Chapter 264 Subparts B-D,  I  (in  the

-------
                                                                25

 event that hazardous  waste generated as  part of the remedy is
 managed in containers),  25 Pa.  Code  Chapter  264 Subpart J (in the
 event that hazardous  waste is managed, treated or stored in
 tanks).   40  C.F.R.  Part  264, Subpart AA  (relating to air
 emissions from process vents) and  40 C.F.R.  Part 268,  Subpart C,
 Section 268.30 and  Subpart E  (regarding  prohibitions on land
 disposal and prohibitions  on storage of  hazardous waste).   40
 C.F.R.   Part 264, Subpart  AA  (relating to air emission standards
 for process  vents); 49 C.F.R. Parts  107  and  171-179 (relating to
 the transportation  of hazardous wastes off-site.

      This alternative would comply with  the  EPA OSWER Directive
 9834.11  and  CERCLA  §121(d)(3) which  prohibit the disposal  of
 Superfund Site waste  at  a  facility not in compliance with  §3004
 and §3005 of RCRA and all  applicable State requirements.
Treatment,
Connection to Public Water Supply System

     This alternative fully incorporates all of the components of
Alternative 2 to provide public health protection. The additional
components of Alternative 5 include extracting both shallow and
deep groundwater, and treating the water using air stripping and
carbon adsorption.

     Treated water from extraction may be provided to the Audubon
Water Company for use in the public water supply system or may be
utilized by the CSG facility in its operations or discharged to
the Publicly Owned Treatment Works ("POTW").  The conceptual
design developed for the approximate location of the shallow and
deep bedrock wells is illustrated in Figure 8.

     This alternative is similar to Alternative 4 except that
deep groundwater recovery is modified such that off-property
pumping maximizes capture within the Site plume by changing the
location of one of the off-property pumping wells. Instead of
utilizing the deep well proposed to be located in close proximity
to VFCC-2 as in Alternatives 3 and 4, a new recovery well, RW-2,
would be utilized to more effectively recover the contaminated
plume.  It is assumed that RW-2 would pump at the same rate that
VFCC-2 currently pumps.  This pumping scenario is expected to
recover the highest rate of VOCs while maximizing the use of the
local water resources.  Groundwater monitoring and 5-year site
reviews would be required to measure the effectiveness of the
cleanup.

     Under Option A, recovered water from the deep groundwater
well, RW-1, the french drain, and wells MOS-11, MOS-14, and MOS-
15, would be treated by the existing french drain air stripper.
Vapor phase carbon control would be added to this stripper.

-------
                                                               26

Groundwater from the deep recovery wells RW-3 and RW-5 proposed
to be located in close proximity to Aud-3 and Aud-5 would be
treated by an air stripper with vapor phase carbon.  The
groundwater extracted from the deep bedrock well, RW-2, would be
treated in a separate air stripper with vapor phase carbon.

     Under Option B, an aqueous phase carbon treatment system
would be used to treat contaminated groundwater recovered from
RW-l, the french drain, MOS-11, MOS-14, and MOS-15.  Groundwater
from the deep wells RW-3 and RW-5 (the deep bedrock wells
proposed to be located in close proximity to Aud-3 and Aud-5) ,
and RW-2 would be treated as described in Option A above.

     Because this alternative would result in contaminated
groundwater remaining on the Site, 5-year site reviews pursuant
to Section 121(c) of CERCLA would be required to monitor the
effectiveness of this alternative.

     For costing purposes the remediation time for this
alternative was based on 30 years (the maximum period of
performance used by EPA for costing purposes) .  It is anticipated
that this alternative would take 25 years.

     Implementation time considers the time required to design
and construct the alternative.  Implementation time for this
alternative is estimated between two and five years.

Option A Costs;
Capital Costs - $946,910
O & M/Year (Years 1-2) - $446,500
O & M/Year (Years 3-30) - $404,300
30 Year Present Worth - $5,573,700

       B Costs i
Capital Costs - $1,203,910
O & M/Year (Years 1-2) - $521,500
O & M/Year (Years 3-30) - $477,400
30 Year Present Worth - $6,657,000

     Alternatively, the Audubon Water Company water supply wells
Aud-3, Aud-5 may ..be utilized for groundwater extraction.  Water
extracted from these wells would continue to be treated by their
existing air stripper.  Additionally the existing stripper at
VFCC-2 may be utilized to treated groundwater extracted from well
RW-2.   Vapor phase carbon units would be installed on these
existing air strippers to control air emissions.  If the Audubon
Water Company water supply wells and air strippers can be used to

-------
                                                               27

implement the remedy, the cost for implementing Alternative 5,
Option A or Option B, is estimated as follows.

Option A Costs;
Capital Costs - $641,500
O & M (0-2 years) - $446,500
O & M (3-30 years) - $404,300
30 Year Present Worth - $5,268,300

Option B Costs;
Capital Costs - $899,400
O & M/Year (0-2 years) - $521,500
O & M/Year (3-30 years) - $477,400
30 Year Present Worth - $6,352,800

Compliance with ARARS;

     Under this alternative, the spent whole-house carbon filters
would be considered a RCRA hazardous waste if the toxic
characteristic leaching procedure ("TCLP") analysis performed on
the filters resulted in a VOC concentration greater than 0.5
parts per million ("ppm").  Pennsylvania's Hazardous Waste
Management Regulations, 25 Pa. Code Parts 262, 263, and 264 would
apply to the disposal of this hazardous waste.

     This alternative would comply with the Pennsylvania's
Hazardous Waste Management Regulations, 25 Pa. Code §§264.90-
264.100 and in particular, 25 Pa. Code §§264.97(i)(j) and
264.lOO(a)(9)  which require that contaminated groundwater be
remediated to background levels.  With respect to location-
specific ARARs, this alternative would comply with the EPA's
Ground Water Protection Strategy Policy for a Class II aquifer,
which is a "To Be Considered" ("TBC") standard.

     This alternative would comply with the Pennsylvania's
Hazardous Waste Management Regulations, 25 Pa. Code §264,
Subchapter F regarding groundwater monitoring requirements.

     This alternative is designed to meet the MCLs established
under the SDWA for the contaminants of concern.  Also, this
alternative would meet the risk-based action levels as referenced
in the NCP as acceptable groundwater cleanup criteria.
Additionally the Pennsylvania Safe Drinking Water Act (25 Pa.
Code, Chapter 109) lists secondary maximum contaminant levels as
applicable requirements for public drinking water supplies.
These requirements would be relevant and appropriate for any
water provided to the Audubon Water Company.

     This alternative would comply with fugitive emissions
control requirements according to the federal Clean Air Act, RCRA
(40 C.F.R.  Part 264, Subpart AA), the Pennsylvania Air Quality
Regulations, (25 Pa. Code Chapter 127), and EPA's OSWER Directive

-------
 9355.0-28  regarding the control of air emissions from Superfund
 air strippers at Superfund groundvater sites.

      Pumping of groundwater and discharging of treated water
 would be in compliance with the requirements of the Delaware
 River Basin Commission (18 C.F.R.  Part 430).

      Any discharge of treated effluent to  the  POTW  would  comply
 with federal Clean Water Act pretreatment  regulations and any
 State/federal regulations promulgated  thereunder.   Any discharge
 of  treated effluent to the Audubon Water Company would meet  SMCLs
 established under the Pennsylvania Safe Drinking Water Act,  25
 Pa.  Code,  Chapter 109.

      Any treated water discharged  through  a  "point  source" to
 "waters  of the United States" would comply with the Clean Water
 Act,  33  U.S.C.  §§1251 et seq..  the National  Pollutant Discharge
 Elimination System ("NPDES")  regulations promulgated pursuant
 thereto  at 40 C.F.R.  Parts 122-124, including  any state and
 federal  regulations promulgated pursuant to  Section 402(p) of the
 Clean Water Act,  33 U.S.C.  §1342(p) (Municipal  and  Industrial
 Stormwater Discharges"),  the Pennsylvania  NPDES  regulations  (25
 Pa.  Code §92.31),  and the Pennsylvania  Water Quality Standards
 (25  Pa.  Code §§93.1-93.9).

      All hazardous wastes generated during implementation of this
 alternative would be handled,  transported, treated,  and disposed
 of  in compliance with 25 Pa.  Code  Chapter  262  Subparts A
 (relating  to hazardous waste determination and  identification
 numbers),  B (relating to manifesting requirements for off-site
 shipments  of spent carbon or other hazardous wastes), and C
 (relating  to pretransport requirements; 25 Pa. Code Chapter  263
 (relating  to transporters of hazardous  wastes);  and with  respect
 to the operations at the Site generally, with the substantive
 requirements of  25 Pa.  Code  Chapter 264 Subparts B-D, I (in  the
 event that  hazardous waste generated as part of  the remedy is
managed  in  containers),  25 Pa.  Code Chapter 264  Subpart J (in the
 event that  hazardous waste is managed,  treated or stored  in
tanks).  40  C.F.R.  Part 264,  Subpart AA (relating to air
 emissions  from process  vents)  and  40 C.F.R. Part 268, Subpart C,
 Section  268.30 and Subpart E (regarding prohibitions on land
disposal and prohibitions on storage of hazardous waste).  40
C.F.R.   Part 264,  Subpart AA (relating  to  air emission standards
 for process  vents);  49  C.F.R.  Parts 107 and 171-179  (relating to
the transportation of hazardous wastes  off-site.

     This  alternative would  comply with CERCLA  §121(d)(3) which
prohibits the disposal  of Superfund Site waste at a facility not
 in compliance with §3004  and §3005 of RCRA and all  applicable
State requirements.

-------
                                                               29

VIII.  SUMMARY OF COMPARATIVE ANALYSIS OP ALTERNATIVES

     Each of the remedial alternatives described above were
evaluated using nine criteria.  The resulting strengths and
weaknesses of the alternatives were then weighed to identify the
alternative providing the best balance among the nine criteria.
These nine criteria are:

Threshold Criteria

- Overall protection of human health and the environment
- Compliance with applicable or relevant and appropriate
  requirements ("ARARs")

Primary Balancing Criteria

- Reduction of toxicity, mobility or volume
- Implementability
- Short-term effectiveness
- Long-term effectiveness and permanence
- Cost

Modifying Criteria

- State acceptance
- Community acceptance

A. PROTECTION OF HUMAN HEALTH AND THE ENVIRONMENT

     A primary requirement of the Comprehensive Environmental
Response, Compensation and Liability Act ("CERCLA") is that the
selected remedial action be protective of human health and the
environment.   A remedy is protective if it eliminates, reduces,
or controls current and potential risks posed through each
exposure pathway to acceptable levels through treatment,
engineering controls, or institutional controls.

     Alternative 1, the no action alternative, does not include
treatment or controls, provides no reduction in risk, and is not
protective.
                *»
     Alternatives 27 3, 4, and 5 are protective of human health.
Risks posed by exposure to contaminated groundwater are addressed
by connecting affected and potentially affected parties to the
existing public water supply system and by the use of whole-house
carbon filter systems until the water lines are installed.  Since
Alternative 2 does not provide for treatment of contaminated
groundwater or prevent migration of contaminants to currently
unaffected areas it is not as protective of human health as
Alternatives 3, 4 and 5.

     Alternatives 3, 4, and 5 include extraction and treatment of

-------
contaminated groundwater.  These alternatives would eventually
restore contaminated groundwater to background levels or MCLs,
whichever is more stringent.  By providing connection to the
existing public water supply and continuing maintenance of
existing carbon filters, human health would be protected from
exposure to contaminated groundwater while the groundwater
aquifer is being restored.  Public and environmental risks from
direct contact with, and ingestion of, contaminated groundwater
would be mitigated through treatment of the groundwater plume.
Alternatives 3, 4, and 5 would achieve a greater degree of
overall protection of human health and the environment than
Alternatives 1 and 2.  Alternatives 4 and 5 would achieve an even
greater degree of overall protection of human health and the
environment than Alternative 3 because Alternatives 4 and 5
actively remediate the shallow aquifer while Alternative 3 does
not.
B.  COMPLIANCE WITH ARARS

     Section 121(d) of CERCLA requires that remedial actions at
CERCLA sites at least attain legally applicable or relevant and
appropriate federal and State standards, requirements, criteria,
and limitations which are collectively referred to as "ARARs",
unless such ARARs are waived under CERCLA Section 121(d)(4).
Applicable requirements are those substantive environmental
protection requirements, criteria, or limitations promulgated
under federal or State laws that specifically address hazardous
substances found at the site, the remedial action to be
implemented at the site, the location of the site, or other
circumstances present at the site.

     Relevant and appropriate requirements are those substantive
environmental protection requirements, criteria, or limitations
promulgated under federal or State law which, while not
applicable to the hazardous materials found at the site, the
remedial action itself, the site location or other circumstances
at the site, nevertheless address problems or situations
sufficiently similar to those encountered at the site that their
use is well-suited to the site.  ARARs may relate to the
substances addressed by the remedial action  (chemical-specific),
to the location of the site  (location-specific), or the manner in
which the remedial action is implemented (action-specific).

     In addition to applicable or relevant and appropriate
requirements, the lead and support agencies may, as appropriate,
identify other advisories, criteria, or guidance to be considered
for a particular release.  The "to be considered" ("TBC")
category consists of advisories, criteria, or guidance that were
developed by EPA, other federal agencies, or states that may be
useful in developing CERCLA remedies.

-------
     Since Alternatives 1 and 2 do not include groundwater
remediation as a component of their respective remedies, neither
alternative would meet the chemical-specific ARARs relating to
groundwater remediation and treatment.

      Additionally, Alternatives 1, 2, and 3 would not comply
with the requirements of the Pennsylvania Hazardous Waste
Management Regulations, 25 Pa. Code §§264.90*264.100 and in
particular, 25 Pa. Code §§264.97(i)(j) and 264.100(a)(9), which
require contaminated groundwater to be remediated to background
levels.  Alternatives 1 and 2 do not involve any treatment of
contaminated groundwater, and Alternative 3 does not comply with
these regulations since the shallow aquifer would not be actively
remediated.

     With respect to location-specific ARARs, Alternatives 1, 2,
and 3 would not comply with EPA'3 Ground Water Protection
Strategy Policy for a Class IIA aquifer, which is a TBC standard.

     With respect to location-specific ARARs, Alternatives 4 and
5 would comply with the EPA's Ground Water Protection Strategy
Policy for a Class IIA aquifer, which is a TBC standard.
Alternatives 4 and 5 would protect current and potential sources
of drinking water and waters having other beneficial uses.

     With respect1 to location-specific ARARs, Alternatives 3, 4,
and 5 would comply with the substantive requirements of the
Delaware River Basin Commission (18 C.F.R. Part 430).

     Alternatives 4 and 5, which include groundwater remediation,
would meet the chemical-specific ARARs (as set forth in Section
XI of this ROD) relating to groundwater remediation and
treatment.  Alternative 3 would only meet all chemical-specific
ARARS through natural attenuation of the contaminants because the
shallow aquifer would not be actively remediated.

     Alternatives 3, 4, and 5 would meet all action-specific
ARARs relating to activities performed as part of the remedy,
including federal and State air emission requirements, federal
Pretreatment Standards for discharges to a POTW, and federal and
State treatment, j3torage, and disposal requirements for any
hazardous and solid-wastes generated during the groundwater
treatment process.

C.  REDUCTION OF TOXICITY. MOBILITY. OR VOLUME

     This evaluation criteria addresses the degree to which a
technology or remedial alternative reduces toxicity, mobility or
volume of hazardous substances.

     Alternatives 1 and 2 are remedial actions that do not use
treatment technologies.  Therefore, Alternatives 1 and 2 would

-------
not reduce the toxicity, mobility, or volume of contaminants in
the groundwater plume at the Site.  Over time, contaminant levels
in the present areas of contamination may decrease gradually
through natural attenuation, but the groundwater plume itself may
increase in area.

     Alternatives 3, 4, and 5 are the only alternatives which
involve treatment and which would result in active reduction of
VOCs in the contaminated aquifer.  Alternative 3, however, would
not actively reduce the level of VOCs in the shallow aquifer.  A
reduction of contaminants in the shallow aquifer, under
Alternative 3, would only occur through natural attenuation.
Alternatives 4 and 5 would remove contaminants from both the
shallow and the deep aquifers which would result in the reduction
of toxicity, mobility and volume of Site contaminants in
groundwater through treatment.  Specifically, a combination of
air stripping and carbon adsorption would change the physical,
chemical and/or biological characteristics of the contaminants on
Site, thereby reducing the toxicity, mobility, and volume of
these contaminants.

D. IMPT/FMENTABILITY

     Implementability refers to the technical and administrative
feasibility of a remedy, from design through construction,
operation, and maintenance.  It also includes coordination of
federal, State, and local governments to clean up the Site.  All
alternatives evaluated are considered implementable and use
technologies that have been recommended and used at other
Superfund sites.  All alternatives require groundwater monitoring
and Alternatives 3, 4, and 5 require monitoring of treated
groundwater discharge.

     Alternative 1 which includes groundwater monitoring solely
on the CSG property would be the easiest alternative to
implement.

     Alternative 2 can also be implemented easily, but would
require the participation of the Audubon Water Company and State
and local governments for the construction of water lines within
existing road right-of-ways.  The public water supply is
regulated under the--Safe Drinking Water Act.  The Audubon Water
Company is in compliance with the Safe Drinking Water Act and
operates under a State permit.

     Alternatives 3, 4, and 5 would require the participation of
the Audubon Water Company and State and local governments for the
construction of water lines within existing road right-of-ways.
Because Alternatives 3, 4, and 5 involve the extraction and
treatment of groundwater, there are more implementation and
operation considerations associated with these alternatives.
Alternatives 3, 4, and 5 present minimum technical difficulties

-------
                                                                33

 in designing and constructing the  treatment systems but may
 require additional  groundwater investigations during the design
 stage.

      The components of  the  air stripping and carbon adsorption
 systems (Alternatives 3,  4,  and 5)  are  readily implementable
 using existing  technologies.   The  reliability of  these  treatment
 technologies has also been  established  and  demonstrated
 successfully at other hazardous waste sites.   No  special
 materials or equipment  would be required to implement
 Alternatives 3,  4,  or 5.  Operation and maintenance
 considerations  include  cleaning and replacement of  wells and well
 pumps;  maintenance  of blower units; cleaning of fouled  packing;
 and regeneration of the vapor phase carbon  units  (Option A) or
 the liquid phase carbon units (Option B).

 E.  SHORT-TERM EFFECTIVENESS

      Short-term  effectiveness addresses  the period  of time  needed
 to  achieve protection of human health and the  environment and  any
 adverse  impacts  that may be posed during the construction and
 operation  period until  remediation goals are achieved.

      None  of  the alternatives evaluated  involve extensive
 construction, excavation, or  other remedial  action  measures that
 would pose any appreciable short-term risks  to the  community or
 to  workers during construction  or implementation.   Workers will
 be  required to wear appropriate  levels of protection  during
 installation  of  extraction wells to avoid direct contact with
 contaminated  groundwater.  During installation of the treatment
 systems  and other Site  activities, precautions mandated by the
 Occupational  Safety and Health Act  ("OSHA")  for construction
 activities will  be taken.  Disposal of any wastes generated
 during construction and operation will follow proper  handling
 practices  and therefore should not have  an  adverse  environmental
 impact.

      EPA's Weil-Head Protection Areas ("WHPAs) Model  was  used to
 estimate the  time frame for aquifer remediation.  The WHPA model
 is  a model which models an area through which contaminants are
 reasonably likely- to move toward and reach water wells  or
well fields.   Based o*n the model, Alternative 5 should remediate
the aquifer in the shortest time frame because the  groundwater
extracted using Alternative 5 should contain a greater
concentration of contaminants.  However, a more accurate
evaluation of the response of the aquifer to pumping  will be
undertaken during the remedial design stage.

F. LONG-TERM EFFECTIVENESS AND PERMANENCE

     Long-term effectiveness  and permanence refers  to the ability
of a remedy to maintain reliable protection of human  health and

-------
                                                                34

 the  environment over time.   This  evaluation  criterium  includes
 the  consideration of residual  risk and  the adequacy  and
 reliability  of controls.

      Since no  actions would  be taken to remediate the
 contaminated groundwater  under Alternative l, the health  risks
 remaining after implementation of this  alternative would  be very
 similar  to those posed by the  present use of contaminated
 groundwater.   Implementing Alternative  1 would result  in  more
 than minimal residual risk from groundwater  ingestion, dermal
 contact, and inhalation under  the future use reasonable maximum
 exposure scenario,  since  groundwater would not be treated or
 contained and  ARARS would not  be  attained.

      Alternative 2  meets  the objective  of eliminating  the public
 health risk  associated with  use of contaminated groundwater, but
 does not involve the actual  treatment or remediation of
 contaminated groundwater.  Therefore, it would not maintain
 reliable protection of the environment  over  time.

     With respect to environmental  risk,  the  contaminants  in the
 groundwater would continue to  migrate over time under
 Alternatives 1  and  2.   Under Alternative 3,  contaminants  would
 continue to migrate from  the shallow aquifer to the deep  aquifer.
 Therefore Alternatives 1, 2  and 3  would  not  maintain reliable
 protection of the environment  over time.

      Alternatives 4  and 5 would provide  the  greatest degree of
 long-term effectiveness and  permanence  for groundwater protection
 and  remediation and would result  in minimal  residual risk by
 attaining ARARs  for groundwater.

G. COST

      This criterion examines the estimated costs for each
 remedial alternative.   For comparison, capital, annual O&M, and
present worth costs  are shown  in Table 47.

H. STATE ACCEPTANCE

      The Pennsyl-wania  Department of Environmental Resources has
concurred on EPA's  selected  remedy, Alternative 5, Option A.

I.  COMMUNITY ACCEPTANCE

     A public meeting  on the Proposed Plan was held on August 6,
 1992  in Eagleville,  Pennsylvania.   Comments  received orally at
the public meeting  and in writing  during the public comment
period are referenced  in the Responsiveness  Summary attached to
this Record of  Decision.  Residents who  live in Lower Providence
Township have not objected to  the  selected remedy.

-------
                                                               35
IX.  THE SELECTED REMEDYt  DESCRIPTION AMD PERFORMANCE
STANDARD(8) FOR EACH COMPONENT OP THE REMEDY
A. GENERAL DESCRIPTION OF THE SELECTED REMEDY

     EPA has selected Alternative 5, Option A, as the selected
remedy for the CSG Site.  This remedy will restore the
groundvater in the area of attainment to background levels or
MCLs, whichever is lower, for the contaminants of concern and
protect the public from exposure to contaminated groundwater.
The area of attainment for the cleanup is the potential extent of
the contaminant plume as depicted in Figure 5.  Based on current
information, this alternative provides the best balance among the
alternatives with respect to the nine criteria EPA uses to
evaluate each alternative.  The selected remedy consists of the
following components:

     Construction of public water supply lines and
     connections to the residences south of the CSG facility
     on Rittenhouse Road and on Audubon Road between
     Rittenhouse Road and Thrush Lane.

     Continued maintenance of the whole-house carbon filtration
     systems previously supplied to residences along Audubon Road
     near Trooper Road;

•    Installation, operation and maintenance of groundwater
     extraction wells to remove contaminated groundwater
     from beneath the Site and to prevent contaminants from
     migrating further;

     Installation, operation, and maintenance of air strippers
     at the groundwater extraction wells to treat groundwater to
     the required levels;

     Installation, operation, and maintenance of vapor phase
     carbon units on air strippers;

     Periodic sampling of groundwater and treated water to ensure
     that treatment components are effective and that groundwater
     remediation*is-progressing towards the cleanup goals; and

•    Creation of a groundwater management zone with restrictions
     on the installation of new wells in areas of contamination
     which exceed MCLs.

Each component of the selected remedy and its performance
standard(s) is described in detail in Section C, below.

B. Stratecrv if the Selected Remedy is Not Achieved

-------
                                                          ORIGINAL
                                                            .'Red)
                                                               36

     Based on the information obtained during the Rl, and the
analysis of the remedial alternatives, EPA and the Commonwealth
of Pennsylvania believe that it may be possible to achieve the
required groundwater cleanup levels.  However, the ability to
achieve required cleanup levels at all points throughout the area
of attainment or plume of contamination cannot be determined
until the extraction system has been implemented, modified as
necessary, and plume response monitored over time.

     If it is determined by EPA, in consultation with PADER, that
on the basis of the system performance data, that certain
portions of the aquifer cannot be restored to background levels,
or MCLs, whichever is lower, and/or if EPA determines that it is
technically impracticable to restore the aquifer, EPA may amend
the ROD or issue an Explanation of Significant Differences in
accordance with the NCP.  In such event, the likely alternative
actions will attempt to remediate the groundwater to its
beneficial use that would be used as a drinking water source.  If
the aquifer cannot be restored to its beneficial use, some or all
of the following measures involving long-term management could
occur, as determined by EPA in consultation with PADER/ for an
indefinite period of time, as a modification of the existing
system:

   long term gradient control may be provided by low level
pumping, as a containment measure;

   chemical-specific ARARs may be waived for those portions of
the aquifer for which EPA and PADER determine that it is
technically impracticable to achieve further contaminant
reduction;

   institutional controls may be provided/maintained to restrict
access to those portions of the aquifer where contaminants remain
above Performancer*Standards;

   remedial technologies for groundwater restoration may be
reevaluated; and

   further sampling and/or monitoring of existing and/or new
wells may be ordered.
                *  —-

C.  PERFORMANCE STANDARDS

l) Connection to the Public Water Supply

     The extension of the Audubon Water Company water supply
lines shall be constructed in compliance with local and State
requirements.  Connections shall be offered and provided to the
residences listed in Table 46 and any other residence determined
by EPA during the Remedial Design to be affected or potentially

-------
                                                             (Red)

                                                                37

affected by the plume of contamination.  All areas  impacted  by
the construction activities during remedy  implementation and
operation and maintenance shall be restored to preexisting
conditions.  When the affected and potentially affected parties
are connected into the public water supply system,  each
residential well shall be abandoned in accordance with all
applicable regulations unless the residential well  is selected as
a sampling location for long-term groundwater monitoring.

2)  Maintenance and Disposal of Existing Whole-House Carbon
Filtration Systems

     Residences south of the Site on Rittenhouse Road and on
Audubon Road between Rittenhouse Road and  Thrush Lane shall  be
connected to the public water supply system.  The existing whole-
house carbon filtration systems that have  previously been
installed in residences to the south of the CSG property shall be
maintained in proper working order until connection to the public
system is complete.  Such maintenance will ensure that
breakthrough of contaminants does not occur.  The maintenance
shall include regular changing of carbon filters in accordance
with the work plan for the Remedial Design and/or at EPA's
request.  One additional system shall be installed  in a residence
located at 2705 Audubon Road.  Maintenance of whole-house carbon
filtration systems shall also continue for the residences
southeast of the Site along Audubon Road near Trooper Road,  which
are identified as Group 2 in the Feasibility Study.

   At the conclusion of the remedy construction or at the Site's
first 5-year review, whichever takes place first, this
residential area shall be reevaluated by EPA and EPA will
determine whether the maintenance of whole-house carbon
filtration systems will be continued.

     The management and ultimate disposition of these spent
carbon filters will be determined, subject to EPA approval,
during the remedial design.  Such management may entail treatment
and/or disposal of the carbon filters.  In the event these units
are a hazardous waste, the following ARARs will apply:  25 Pa.
Code Chapter 262, Subparts A (relating to  hazardous waste
determination and. identification numbers), B (relating to
manifesting requirements for off-site shipments of spent carbon
or other hazardous wastes), and C (relating to pretransport
requirements; 25 Pa. Code Chapter 263 (relating to transporters
of hazardous wastes); and with respect to  the operations at  the
Site generally, with the substantive requirements of 25 Pa.  Code
Chapter 264, Subparts B-D, I (in the event that hazardous waste
generated as part of the remedy is managed in containers), 25 Pa.
Code Chapter 264, Subpart J (in the event  that hazardous waste is
managed, treated or stored in tanks).  40  C.F.R. Part 264,
Subpart AA (relating to air emissions from process vents) and 40
C.F.R. Part 268, Subpart C, Section 268.30 and Subpart E

-------
                                                               38

 (regarding prohibitions  on land disposal and prohibitions on
 storage of hazardous waste).   40 C.F.R.  Part 264, Subpart AA
 (relating to air emission standards for process vents).

 3) Groundwater Extraction and  Treatment

     The selected remedy includes groundwater extraction and
 treatment which shall be required until such time as EPA in
 consultation with FADER  determine that the Performance Standard
 (remediation to background levels as established by EPA during
 the Remedial Design, or  MCLs,  whichever is lower) for each
 contaminant of concern,  as identified in Table 45, in the
 groundwater has been achieved  throughout the entire areal extent
 of groundwater contamination.  The details of the system are
 described below:

 a)  Groundwater Extraction System

     The groundwater shall be  decontaminated through extraction
 and treatment of the contaminated groundwater throughout the
 entire plume of contamination.  The extraction shall create
 capture zones to capture contaminated groundwater throughout the
 plume.  Groundwater shall be extracted using multiple extraction
 wells, the exact location, groundwater extraction flow rate, and
 number of which shall be determined during the Remedial Design
 and shall be approved by EPA in consultation with PADER.

 b)   Groundvatar Cleanup Levels

     The well system for extracting groundwater shall be operated
 until the Performance Standard for each contaminant of concern is
 met and maintained throughout the entire plume of contamination
 for a period of 12 consecutive quarters in accordance with
 Subparagraph (e), infra.  The Performance Standard for each
 contaminant of concern in the groundwater shall be the MCL for
that contaminant (the federal ARAR for public drinking water
 supplies under the Safe  Drinking Water Act) or the background
 concentration of that contaminant (the Pennsylvania ARAR under 25
 Pa. Code §§264.90-264.100), whichever is lower.  The background
 concentration for each contaminant of concern shall be
 established by EPA during the Remedial Design in accordance with
 the procedures for g-roundwater monitoring outlined in 25 Pa. Code
 §264.97.  Establishment  of background concentrations shall not
delay implementation of  the remedy.  In the event that a
 contaminant of concern is not detected in samples taken for the
 establishment of background concentrations, the method detection
 limits of EPA-approved low level drinking water analytical
methods with respect to  that contaminant of concern shall
 constitute the background concentration of the contaminant.


 c) Air stripper and vapor Phase carbon units

-------
                                                                39

      The  recovered  groundwater  shall  be  treated using packed
 column  air  stripping  units  and, where required,  vapor phase
 carbon  units.  The  Performance  Standard  for the air emissions
 from  the  air  stripping units shall be the  requirements of  the
 RCRA  regulations  set  forth  at 40 C.F.R.  Part  264,  Subpart  AA -
 Air Emission  Standards for  Process Vents.  The  total organic
 emissions from all  affected process vents  at  the site are
 required  to be below  1.4 kg/hr  and 2800  kg/yr under this
 regulation.   Any  vinyl chloride air emissions from the
 groundwater treatment units will comply  with  Section 112 of the
 Clean Air Act, 42 U.S.C. §7412, National Emission  Standard For
 Hazardous Air Pollutants (NESHAPs).   The relevant  and appropriate
 NESHAP  for  vinyl  chloride is set forth at  40  C.F.R.  Part 61,
 Subpart F.  The air emissions will also  comply with the
 Commonwealth  of Pennsylvania regulations set  forth at 25 Pa.
 Code, Chapter 127,  Subchapter A.  Those  regulations require that
 emissions be  reduced  to the minimum obtainable  levels through the
 use of  best available technology, as  defined  in  25 Pa.  Code
 §121.1.

      The  management and ultimate disposition  of  the spent  carbon
 from  the  vapor phase  carbon units will be determined,  subject to
 EPA approval, during  the remedial design.  Such  management may
 entail  treatment  and/or disposal of the  carbon filters.  In the
 event these units are a hazardous waste, the  following ARARS will
 apply as  the  Performance Standard: 25  Pa. Code Chapter 262
 Subparts  A  (relating  to hazardous waste  determination and
 identification numbers),  B  (relating  to  manifesting requirements
 for off-site  shipments of spent carbon or other  hazardous
 wastes),  and  C (relating to pretransport requirements;  25  Pa.
 Code  Chapter  263  (relating  to transporters of hazardous wastes);
 and with  respect to the operations at the Site generally, with
 the substantive requirements of 25 Pa. Code Chapter 264, Subparts
 B-D,  I  (in the event  that hazardous waste generated as part of
 the remedy is managed in containers),  25 Pa.  Code  Chapter  264,
 Subpart J (in the event that hazardous waste  is  managed, treated
 or stored in tanks).  40 C.F.R.  268 Subpart C Section  268.30 and
 Subpart E (regarding prohibitions on  land disposal  and
prohibitions on storage of hazardous waste).   40 C.F.R. Part 264,
 Subpart AA  (relating to air emission  standards for process
vents).


4) Discharge of Treated Water

     The Performance Standard for each contaminant of concern in
the effluent water from the air strippers,  which may  be supplied
to the Audubon Water Company Public Water System or may be used
by the CSG facility with overflow discharged to  the POTW,  shall
be the MCL for that contaminant as promulgated under  the Safe
 Drinking Water Act,  42 O.S.C.  §§300f to  300J-26, and  set forth at
 40 C.F.R.  §141.61(a).   In the absence of an MCL, an EPA health-

-------
                                                               40

based concentration applies.  The MCLs for the contaminants of
concern are listed in Table 45.  The Pennsylvania Safe Drinking
Water Act (25 Pa. Code, Chapter 109) lists the secondary maximum
contaminant levels ("SMCLs") as applicable requirements for
public drinking water supplies.  SMCLs are relevant and
appropriate for discharge of treated effluent to the Audubon
Water Company.


     The appropriate analytical method for the contaminants of
concern is the "Superfund Analytical methods for Low
Concentration Water for Organics Analysis, (June 1991).  The
exact point of discharge and receiver of treated water shall be
determined during the Remedial Design and shall be approved by
EPA in consultation with PADER.  The discharging of water shall
comply with any applicable Clean Water Act and Commonwealth of
Pennsylvania ARARs.

e) Periodic Monitoring and System Shutdown

     A long-term groundwater monitoring program shall be
implemented to evaluate the effectiveness of the groundwater
pumping and treatment system throughout the entire plume.
Numbers and locations of these monitoring wells shall be approved
by EPA during the remedial design, in consultation with the
PADER.  The wells shall be sampled quarterly for the first three
years and semi-annually thereafter until the levels of
contaminants of concern in these wells have reached background
levels as established by EPA, in consultation with PADER during
the Remedial Design, or MCLs whichever is lower.  Once these
required levels have been reached, the wells shall be sampled for
twelve consecutive quarters throughout the entire plume and if
contaminants remain at or below these required levels, the
operation of the extraction system shall be shut down.

     Semi-annual monitoring of the groundwater shall continue for
five years after the system is shutdown.  If subsequent to an
extraction system shutdown, monitoring shows that groundwater
concentrations of any contaminant of concern are above background
levels or MCLs, whichever is lower, the system shall be restarted
and continued until the required levels have once more been
attained for twelve consecutive quarters.  Semi-annual monitoring
shall continue until EPA determines, in consultation with the
PADER, that contaminants have reached stable levels.  The EPA-
approved analytical method will be determined in the Remedial
Design.  An operation and maintenance plan for the groundwater
monitoring system shall be required, and must be approved by EPA
in consultation with the PADER.

f)  Operation and Maintenance of Extraction and Treatment system

     An operation and maintenance plan for the groundwater

-------
                                                               41
extraction and treatment system shall be required. The
performance of the groundwater extraction and treatment system
shall be carefully monitored on a regular basis and the system
may be modified, as warranted by the performance data collected
during operation.  Samples of treated groundwater shall be
collected periodically to ensure that the treatment technologies
employed are reducing contaminant levels to required standards.
These modifications may include, for example, alternate pumping
of extraction wells or the addition or elimination of certain
extraction wells.

4)  Institutional controls

     Restrictions on the installation of new wells shall be
implemented in areas of the Site where MCLs are exceeded.

5)  Worker Safety

     During all Site work, Occupational Safety and Health
Administration ("OSHA") standards set forth at 29 C.F.R.
Parts 1910, 1926 and 1904 governing worker safety during
hazardous waste operations, shall be complied with.


6)  Five-Year Reviews

     Five-year reviews shall be conducted after the remedy is
implemented to assure that the remedy continues to protect human
health and the environment.  A 5-Year Review Work Plan shall be
required and shall be approved*by EPA in consultation with the
PADER.
X.  STATUTORY DETERMINATIONS

     EPA's primary responsibility at Superfund sites is to select
remedial actions that are protective of human health and the
environment.  Section 121 of CERCLA also requires that the
selected remedial action comply with ARARs, be cost-effective,
and utilize permanent treatment technologies to the maximum
extent practicable.  The following sections discuss how the
selected remedy for—the CS6 Site meets these statutory
requirements.


A. PROTECTION OF HUMAN HEALTH AND THE ENVIRONMENT

     The selected remedy will provide adequate protection of
human health and the environment by providing public water to
affected and potentially affected residences and maintenance of
existing whole-house carbon filtration systems, and by extracting
and treating the contaminated groundwater to achieve MCLs

-------
                                                               42

established under the SDWA  or background  levels, whichever  is
lower.

     Implementation  of the  selected remedy will not pose
unacceptable short-term risks or cross-media impacts.  The
remedial technologies employed  in the selected remedy are proven
to reduce the concentrations of volatile  organic compounds  to
acceptable levels.

B. COMPLIANCE WITH AND ATTAINMENT OF APPLICABLE QB RELEVANT ANH
APPROPRIATE REQUIREMENTS fARARS")

     The selected remedy will comply with all applicable or
relevant and appropriate chemical-specific, location-specific,
and action-specific  ARARs.  Those ARARs are:

1. Chemical-Specific ARARs

     The selected remedy will be designed to achieve compliance
with chemical-specific ARARs related to groundwater and ambient
air quality at the Site.  The Safe Drinking Water Act specifies
MCLs for drinking water at public water supplies.  The
contaminants of concern for the CSG Site  and their respective
MCLs which are listed in Table  45 (for 1,1 Dichloroethane a
health-based concentration is listed) are relevant and
appropriate for this remedial action.  These MCLs shall be
achieved throughout  the entire  contaminated groundwater plume.
These MCLs, as set forth at 40  C.F.R. §141.61(a), are listed in
Table 45.

     Pennsylvania regulations set forth at 25 Pa. Code §§
109.202(1), 109.201(2),  109.203 and 109.503 establish drinking
water quality standards at least as stringent as the federal
MCLs.

     The Commonwealth of Pennsylvania standards specify that all
groundwater containing hazardous substances must be remediated to
"background" quality as set forth in 25 Pa. Code §§264.90 -
264.100, and in particular, 25  Pa. Code §§264.97(i) and (j), and
264.100(a)(9).  The  Commonwealth of Pennsylvania also maintains
that the requirement to remediate to background is found in other
legal authorities. -This requirement that all groundwater be
remediated to background levels is a relevant and appropriate
requirement.

     The method(s) by which background levels will be determined
are set forth under  the description of the selected remedial
alternative.  These  background  levels, if more stringent than
MCLs, shall be attained as part of this remedial action unless
EPA and the PADER determine that attaining such levels is
technically impracticable.

-------
                                                                  'fiAL
     Any vinyl  chloride  emissions from the groundwater treatment
 system  shall  comply with Section 112  of the Clean Air Act,  42
 U.S.C.  Section  7412, National  Emission Standards  for Hazardous
 Air Pollutants  (NESHAPs).  The relevant and appropriate NESHAP
 for vinyl  chloride is  set forth at 40 C.F.R.  Part 61,  Subpart F.


 2.  Location-Specific  ARARs

     The substantive requirements of  the Delaware River Basin
 Commission (18  C.F.R.  Part 430)  are applicable.   These
 regulations establish  requirements for the extraction of
 groundwater within the Delaware River Basin.

 3.  Action—Specific ARARs

     Federal  Clean Air Act requirements, 42 U.S.C.  §§7401 e± seq.
 are applicable  and must  be met for the discharge  of contaminants
 to the  air.   Pennsylvania's Air Pollution  Control Act  is also
 applicable, as  are Pennsylvania's Air Pollution Control
 Regulations (25 Pa. Code Chapters 121-142).

     The requirements  of Subpart AA (Air Emission Standards for
 Process Vents)  of the  Federal  RCRA regulations set forth at 40
 CFR Part 264  are relevant  and  appropriate  and, (depending upon
 the levels of organics in  the  extracted groundwater and  treatment
 residuals) may be applicable to the air stripping operations
 conducted as part of the selected remedy.  These  regulations
 require that total organic emissions  from  the air stripping
 process vents must be  less than 1.4 kg/hr  (3 Ib/hr)  and  2800
 fcg/yr (3.1 tons/yr).

     25 Pa. Code Section 123.31 is  applicable to  the selected
 remedial alternative and prohibits  malodors detectable beyond the
 CSG property line.

     25 Pa. Code Section 127.12(a)(5)  will apply  to new  point
 source air emissions that  result  from  implementation of  the
 selected remedial alternative.  These  Commonwealth of
 Pennsylvania regulations require  that  emissions be reduced to the
minimum obtainable levels  through the use  of best available
technology ("BAT*") as defined  in  25 Pa.  Code § 121.1.

     25 Pa. Code Section 127.11 will apply to the selected remedy
 alternative.  These Commonwealth  of Pennsylvania  regulations
 require a plan  for approval for most air stripping and soil
venting/decontamination projects  designed to remove volatile
 contaminants from soil, water,  and  other materials regardless of
emission rate.

     Regulations concerning well  drilling  as set  forth in 25 Pa.
 Code Chapter 107 are applicable.  These regulations are

-------
                                                                44

established pursuant to the Water Well Drillers License Act,  32
P.S.§ 645.1 et  seq.

     The groundwater collection and treatment operations will
constitute treatment of hazardous waste  (i.e., the groundwater
containing hazardous waste), and will result in the generation  of
hazardous wastes derived from the treatment of the contaminated
groundwater (i.e., spent carbon filters  from the air stripping
operations and  whole-house carbon filtration systems).  The
remedy will be  implemented consistently  with the requirements of
25 Pa. Code Chapter 262 Subparts A (relating to hazardous waste
determination and identification numbers), B (relating to
manifesting requirements for off-site shipments of spent carbon
or other hazardous wastes), and C (relating to pretransport
requirements; 25 Pa. Code Chapter 263 (relating to transporters
of hazardous wastes); and with respect to the operations at the
Site generally, with the substantive requirements of 25 Pa. Code
Chapter 264, Subparts B-D, I (in the event that hazardous waste
generated as part of the remedy is managed in containers), 25 Pa.
Code, Subpart J (in the event that hazardous waste is managed,
treated or stored in tanks).  40 C.F.R.  Part 264, Subpart AA
(relating to air emissions from process vents)  and 40 C.F.R. Part
268, Subpart C, Section 268.30 and Subpart E (regarding
prohibitions on land disposal and prohibitions on storage of
hazardous waste).  40 C.F.R. Part 264, Subpart AA (relating to
air emission standards for process vents).

     25 Pa. Code Chapter 264, Subchapter F, regarding groundwater
monitoring is applicable to the selected remedial alternative.

     The discharge of treated effluent to the POTW shall comply
with the federal Clean Water Act (33 U.S.C. §§1251 e£ seq.1
pretreatment regulations for existing and new sources of
pollution as set forth at 40 C.F.R.  Part 403.

     Any surface water discharge of treated effluent will comply
with the substantive requirements of the Section 402 of the Clean
Water Act, 33 U.S.C. §1342, and the National Pollutant Discharge
Elimination System ("NPDES") discharge regulations set forth at
40 C.F.R. Parts 122-124, the Pennsylvania NPDES regulations (25
Pa. Code §92.31, and the Pennsylvania Water Quality Standards (25
Pa. Code §§93.1-9^J.9J .

     The Pennsylvania Safe Drinking Water Act (25 Pa. Code
Chapter 109) lists the secondary maximum contaminant levels
("SMCLs") as applicable requirements for public drinking water
supplies.  SMCLs are relevant and appropriate for discharge of
treated effluent to the Audubon Water Company.

     The Occupational Safety and Health Act  ("OSHA") regulations
codified at 29  C.F.R. Section 1910.170 are applicable for all
activities conducted during this remedial action.

-------
                                                               45

     25 Pa. Code Sections 261.24 and 273.421 are applicable
regulations for the handling of residual and other waste and for
the determination of hazardous waste by the Toxic Characteristic
Leaching Procedure ("TCLP").

     Transportation of any hazardous wastes off-site shall also
comply with the Department of Transportation ("DOT") Rules for
Hazardous Materials Transport (49 C.F.R. Parts 107 and 171-179).

4. To Be Considered Standards

     Pennsylvania's Ground Water Quality Protection Strategy,
dated February 1992 is a to be considered standard.

     EPA Directive 9355.0-28, which covers emissions from air
strippers at Superfund groundwater sites is a to be considered
standard.

     Pennsylvania Bureau of Air Quality Memorandum, "Air Quality
Permitting Criteria for Remediation Projects Involving Air
Strippers and Soil Decontamination Units" is a to be considered
standard.

     EPA's Ground Water Protection Strategy, dated July 1991, is
a to be considered standard.

     EPA OSWER Directive 9834.11 which prohibits the disposal of
Superfund Site waste at a facility not in compliance with §3004
and §3005 of RCRA and all applicable State requirements.
C.  COST-EFFECTIVENESS

     The selected remedy is cost-effective in providing overall
protection in proportion to cost, and meets all other
requirements of CERCLA.  The NCP, 40 C.F.R. Section
300.430(f)(ii)(D), requires EPA to evaluate cost-effectiveness by
comparing all the alternatives which meet the threshold criteria
- protection of human health and the environment and compliance
with ARARs - against three additional balancing criteria: long-
term effectiveness and permanence; reduction of toxicity,
mobility and volume~"through treatment; and short-term
effectiveness.  The selected remedy meets these criteria and
provides for overall effectiveness in proportion to its cost.
The estimated present worth cost for the selected remedy is
$5,573,700 if new extraction wells and treatment systems are
installed and $5,268,300 if Audubon Water Company wells and air
strippers are utilized in lieu of utilizing new extraction wells
and strippers as described under Alternative 5A.

-------
                                                               46

D. UTILIZATION OF  PERMANENT SOLUTIONS AND ALTERNATIVE TREATMENT
TECHNOLOGIES TO THE MAXIMUM EXTENT PRACTICABLE

     EPA has determined that the selected remedy represents the
maximum extent to  which permanent solutions and treatment
technologies can be utilized while providing the best balance
among the other evaluation criteria.  Of those alternatives
evaluated that are protective of human health and the environment
and meet ARARs, the selected remedy provides the best balance of
tradeoffs in terms of  long-term and short-term effectiveness and
permanence, cost,  implementability, reduction in toxicity,
mobility, or volume through treatment, State and community
acceptance, and preference for treatment as a principal element.

     Under the selected remedy, treatment of both shallow and
deep bedrock groundwater using air stripping (and vapor phase
carbon where required) will provide a greater degree of reduction
of toxicity, mobility, or volume than the other alternatives
evaluated.  Alternative 5, Option A will reduce contaminant
levels in groundwater  and reduce the risks associated with direct
contact and ingestion  of the groundwater to the maximum extent
practicable, as well as provide long-term effectiveness.

E. PREFERENCE FOR  TREATMENT AS A PRINCIPAL ELEMENT

     The selected  remedy satisfies the statutory preference for
treatment as a principal element. Alternative 5, Option A
addresses the primary  threat of future ingestion and direct
contact of contaminated groundwater through treatment using an
air stripper.

XI.  DOCOMENrrATIOM OF  SIGNIFICANT CHANGES

     The Proposed  Plan for the Commodore Semiconductor Site was
released for public comment in July 1992.  The Proposed Plan
identified Alternative 5A as the preferred alternative.  EPA
reviewed all written and oral comments submitted during the
comment period.  Upon  review of these comments, it was determined
that no significant changes to the remedy, as it was originally
identified in the  Proposed Plan were necessary.

     EPA has updated the cost estimates for Alternatives 3, 4,
and 5 based on the increased capital cost of installing, new
wells and air strippers with vapor phase carbon units if the
existing Audubon Water Company wells and strippers can not be
utilized.

     Additionally  EPA  has updated the cost estimates for
Alternatives 3, 4, and 5 if the Audubon Water Company wells and
strippers are used based on the increased cost of installing,
operating and maintaining vapor phase carbon units on the
existing air strippers that may be used to implement the remedy.

-------
APPBMDXZ A     FIGURES

-------
   Figure    i


 Site  Location Map
LEGEND
       tonloim
   hods
                                >
                                I

                             ."'  ~>
  Ul' J'Uol Ul



  '-I kt^wodl Ki. Dip



 M'l ol i) IM IP.,ajot,



 II Ihi ,.,....

-------
 Figure  2




Soil Boring

-------
 FIGURE   J   • LOCATIONS
 &<  RESULTS  OF  SURFACE
 WATER  SAMPLING
LEGEND
	 2 fi. Contours
___._ intermittent Streom
•1
•2
•3
•4
•5
ATciyljcai Resells (>n cob.'
V2-OCE   TCE    PCE
  6.7
  9.3
  * 5
  .3.7
  2.9
6.3
8.3
VB
?5
                                         too 200
                                         FtET


-------
   PUBLIC VAT0 SUFftY

•  MONITOMHC VHI.

•  nMOATUN WILL
   ntRR OOTALLID BY
  PBOPOSBD MCL
  W WLV M
  IWO
 rigure A
Ground Water
 Samp I ing
 Location

-------
      COMMODORE
    SEMICONDUCTOR
      CROUP SITE
     SErrcnucn. mi
      »» H. C030I?
   I-UDLIC »VTER SUPPLY
   MONI10RINC HELL

   IRRIGATION WCIJ,

   RESIOENTUL WKU.

A' UCL KXCEEDED  IN JULY
   OR DKCCMOr.R 1990
    SAMPIJNC ROUNDS

(f)  riLTEII INSTMJ tU BY CSC

(I)  ril.TCII INSTALLED BY
    ni.reu ROMVED uv
    Kt5IOENI/0»NtK
    I'HOI'OSED MCI, EXCEEDED
    IN JULY OH DECEMBKR
    IBM fiAUPLINC ROUNDS
    EXTENT or SITE-RELATED
 A  VOC  f'LUME WHCRE
    UCU  HAVK BEEN
    CXCEtOEO
   /ESTIU/iTED EXTENT OF THE
   SITE-DELATED VOC PLUUE

-------
IMl • l|.;ll Ml
                                                                                                       Figure  6

-------
IfII

Q -8
0 fl
Q 9
G 9
Q 0
to

»
k
c
s

*—



; ,

A
\\
>
r nnziij-r \ /
U i/ "J L
Q Q
G # 9
Q ^ 0
6 tf Q
Q Q
Q'lVLJ f2 	 ^
^1— / .-WC -2
(
t
c
f


rj
3

V
3
I)
_J
                                                  r"
         fiROUNDIATKR  EXTRACTION/COLLiniON S\S'FM FOR M.TKRNATIVE 4
                                                                                   Figure
                                                                                                        i

-------
f'xturtion lells  A
Q 8
6 0
Q 8
a 9
Q a
7
k
p
^
• —


\
,
M
/ rmcsrr \ 7
Q Q
0 O fl
Q ^Cs Q
6 # fl
Q 9
I
C
(
, 	
r

V
3
o_
 .r
                                                           >-^/
                                          1/~   I
                                                           ~v^
-^L
                                                                                         n
                                                                                           i>
                                                                           Figure  8
              GROUHDIATER  EXTRACTION/COLLECTION  SYSTEM FOR ALTERNATIVE 5

-------
AFPBXDXX B     TABLES

-------
                                           Table  1
               Depth to Water Measurements and Saturated Thickness of the Overburden
                                            CSG Site, 1990
DATE
30-M*r-90
OS-Jun-90
21-Jun-90
10-Jul-90
24-Jul-90
16-Ai«-90
29-AUJ-90
JO-Sep-90
28-Sep-90
26-Oct-90
08-Nov-90
13-Dec-90
31-Jan-91
22-Feb-91
Ol-Apr-91
WeULD.
EI(BGS)
TD
DTW
OWELEV
Sat Thick
DTW
GWELEV
Sat Thick
DTW
GWELEV
Sat. Thick
DTW
GWELEV
Sat Thick
DTW
GWELEV
Sit. Thick
DTW
GWELEV
Sat. Thick
DTW
GWELEV
Sat Thick
DTW
GWELEV
Sat Thick
DTW
GWELEV
Sat Thick
DTW
GWELEV
Sat Thick
DTW
GWELEV
Sat Thick
DTW
GWELEV
Sat Thick
DTW
GWELEV
Sat Thick
DTW
GWELEV
Sat Thick
DTW
GWELEV
Sat Thick
SB-1
217.05
15.00
14.25
20230
0.75
11.64
205.41
336
9.96
207.09
5.04
11.75
20530
325
1Z55
20450
2.45
14.40
20245
0.60
dry
14.80
•XP-X
020
dry
dry
dry
dry
1332
20333
1.18
13X0
20345
140
11.88
205.17
3.12
SB-2
219.42
20.90
1935
200.07
1.55
1930
200.12
140
18.98
200.44
152
1931
200.11
159
1951:
19951~
139
19.62
199.80
128
1934
199.48
0.96
20.10
19932
0.80
ss
0.90
20.00
199.42
0.90
20.17
199.25
0.73
1937
19955
l-OT
IBM
20052
2*00
1920
20022
1.70
18.49
20099
2X7
SB-3
217.06
930
dry
dry
dry
dry
'.- *>
*y
dty
dry
dry
dry
dry
*y
dry
dry
Jry
SB-S
215.77
1150
8.67
207.10
2JS3
8.75
207.02
2.75
8.06
207.71
3.44
537
20950
543
557
21020
553
620
20957
530
5.81
20954
5.69
6.10
20947
5.40
830
206.97
2.70
8.75
207.02
2.75
833
207X4
3J7
8.47
20730
3JB
850
20637
240
830
20657
2.70
553
21024
557
SB-6
215.17
9.90
dry
dry
dry
dry
dry
dry
dry
dry
dry
dry
dry
dry
dry
dry
*y
SB-7
21158
11.40
10.02
20156
138
9.78
20220
142
9.14
20244
226
9.79
202,19
141
9.41
20257
159
10.45
20153
0.95
1056
20L42
034
10-80
201.18
0.60
1030
201.18
0.60
11.05
20053
035
10JB
20156
138
952
20Z06
1.48
922
202.76
2.18
Note
821
203.77
3.19
SB-8
21236
11.40
dry
dry
dry
1130
20156
0.10
—
dry
dry
dry
dry
dry
dry
*y
*y
dry
*y
SB -9
20820
22.70
20.15
188.05
255
2023
18757
Z47
1958
18822
2.72
dry
20X7
187.73
223
2220
IS6M
050
22.13
186.07
057
2250
185.70
020
dcy
dry
dry
2flL78
187X2
152
20X7
187.73
223
20.40
18730
230
20.04
188.16
246
SB- 10
210.05
7.00
NA
NA
NA
NA
NA
dry
dry
dry
dry
dry
dry
*y
dry
520
20435
130
dry
SB- 11
20236
6.10
dry
dry
dry
dry
dry
dry
dry
dry
dry
dry
dry
520
19746
050
dry
dry
dry
MW-19S-
226.70
21.00
NI
NI
NI
NI
NI
NI
NI
NI
NI
NI
NI
NI
14.49
2122L
651
1540
211.10
5.40
12.14
21456
835
MW-21S
211.44
1100
dry
dry
dry
dry
dry
dry
dry
dry
dry
dry
dry
dry
dry
dry
939
20155
1.11
• MW-19S«ttcoapteted in December 1990
TD is at top of bedrock
DTW-Depth to Water
GWEL - Groundwater Elevaiion
Sat Thick - Saturated Thickness.
Note - Surface runoff ran into well
NI - Not installed at this date
MK01\RPT28550304\COMMT2-8.WK3
                                                   2-46

-------
                                         Table 2
                                          OVA Readings
                                        CSG Site,  1990-91
                    6/21/90  17/10/90  18/16/90 18/29/90 19/28/90   I lQ/26/9n
   Readings in parts per million (ppm).
   Background values ranged from .4 to .7 ppm in the ambient air before opening the
   Values have been compensated for background.
   NA- Not available.
weQorsofl boring.
MK01\RPTO855
-------
                                               COMMODORE SEMICONDUCTOR GROUP SITE
                                             LOWER PROVIDENCE TOWNSHIP, PENNSYLVANIA
                          SUMMARY OF GROUNDWATER ANALYSES, 1989-1990 (5 TOTAL SAMPLING ROUNDS INCLUDED)
 5 tf
* COMPOUND AVERAGE DETECTED
(I CONCENTRATION
MAXIMUM DETECTED
CONCENTRATION
NUMBER OF DETECTIONS
NUMBER OF NON-DETECTIONS
PRIMARY CONTAMINANTS OF CONCERN
VINYL CHLORIDE
I , 1 -DtCHLOROETHBNE
U-DICHLOROETHANE
1 ,2-DICHLOROETHENE
CHLOROFORM
1,2-DICHLOROETHANE
1 . 1 , 1 TRICHLOROETHANE
BROMOD1CHLOROETHANE
TRICHLOROETHENE
TETRACHLOROETHENE
1 ,2-DtCHLOROBENZENE
1 ,4-DICHLOROBENZENE
13.96
15.51
J.34
338.41
6.18
25.07
13.55
2.42
148.52
23.36
288.14
12.1
24
122
12
4100
24 •!'•'
110 *'
99
4.6
tsoo
280
1400
17
10
58
58
82
58
10
117
3
no
47
t »«
4
192
144
144
120
144
192
85
199
92
155
186
198
OTHER CONTAMINANTS
TRICHLOROFLUOROMETHANE
BROMOFORM
1 , 1 ,2,2-TETRACHLOROETH ANE
CHLOROBENZENE
1,3-DICHLOROBENZENE*
ETHYLBENZENB
TOLUENE
XYLBNB
2.50
4.7
1.2
t.t
2.6
108.36
2.35
273.44
4.4
4.7
1.4
1.1
2.6
300
4.2
620
6
1
\
2
I1'
1
5
4
5
196
201
200
201
201
168
169
168
All resulu tre listed In micrograim per liter dig/I.) or p«rU per billion (ppb). NA - Not analyzed durlnf umpllnf round. I • Compound pntent below die method limit of detection
ND - Not detected above method limit of detection. B - Compound prcttm In libontonr bltnk
U.S. ENVIRONMENTAL PROTECTION AGENCY
SOURCE: 1972 RI/FS Report. Appendii E
Table 3
                                                                 Prepared by Dymmae Corporation

-------
        	CumiviuuuKi!. a&ivucuNUUCTUR GROUP SITE
                               LOWER PROVIDENCE TOWNSHIP, PENNSYLVANIA
        WELLS WITH MAJOR MAXIMUM CONTAMINANT LEVEL (MCL) AND PROPOSED MCL (PMCL) EXCEEDANCE
                           1990 SAMPLING EVENTS (ONLY VALIDATED DATA INCLUDED)
WELL NO.

2705 Audubon
MOS • 1 1
MOS - 13
MOS • 14
MOS • 15
MOS • 18
MW- 19S
MW-19D
MW-20D
MW-2ID
f
•
MW- I
MW-1
DATE

08/03/90
07/24/90
12/31/90
07/23/90
12/20/90
07/25/90
12/17/90
07/26/90
12/18/90
07/23/90
12/20/90
01/31/91
07/10/90
07/26/90
12/18/90
07/26/90
12/18/90
07/25/90
12/20/90
07/24/90
12/20/90
CONTAMINANTS EXCEEDING MCL
TCB
(MCL - J ppb)
5.7 ppb
390 ppb
250 ppb
27 ppb
540 ppb
120 ppb
60 ppb
580 ppb
860 ppb
-
.
27 ppb
24/18 ppb
13 ppb
17 ppb
340 ppb
540/480 ppb
130/160 ppb
490 ppb
340 ppb
640 ppb
1,1-DCE
(MCL - 7 ppb)
.
14 ppb
8 ppb
-
.
.
.
43 ppb
120 ppb
-
-
.
.
.
-
17 ppb
25 / 25 ppb
-
-
16 ppb
39 ppb
1,2-DCA
(MCL - 5 ppb)
.
.
.
-
.
•
.
.
.
-
.
.
.
.
.
.
.
-
.
•
-
Vinyl Chloride
(MCL - 2 ppb)
.
•
,.i>:
3
f
1.2 ppb
.
*
.
8.1 ppb
,
.
-
.
.
-
-
-
11 Ml ppb
14 ppb
-
-
CONTAMINANTS EXCEEDING PMCL
1,2-DCB
(PMCL-
70ppb/oli
100 ppb/lnnf)
.
180 ppb
130 ppb
.
1900 ppb
4100 ppb
2500 ppb
570 ppb
510 ppb
-
-
•
.
.
•
220 ppb
220/200 ppb
2000/2000 ppb
2200 ppb
160 ppo
220 ppb
KB
(PMCL - 5 ppb)
.
JO ppb
27 ppb
35 ppb
74 ppb
.
.
.
.
5.2 ppb
•
-
.


14 ppb
It / 21 ppb
31 / 31 ppb
57 ppb
17 ppb
18 ppb
1,2-DCB
(PMCL-
600 ppb)
.
•
.
.
.
1400 ppb
760 ppb

.
-
.



.
.
.
1
.
-
'
U.S. ENVIRONMENTAL PROTECTION AGENCY
SOURCE: 1992 Rl/FS Report, Appendix E
                                         Table  A
Prepared by Dynamo Coiponllon
          MCLBXC.TBI
            Pi je I of 2

-------
                                       COMMODORE SEMICONDUCTOR GROUP SITE (Continued)
WELL NO.

MW-3
VFCC - 2
VPCC - 3
VFCC - 4
AUD-3
AUD-5
OW-I
OW-2
French Dnin
DATE

07/25/90
12/21/90
07/25/90
07/27/90
12/19/90
07/27/90
12/19/90
07/27/90
07/27/90
12/19/90
07/23/90
08/03/90
08/03/90
12/20/90
CONTAMINANTS EXCEEDING MCL
TCE
(MCL - 5 ppb)
28 ppb
79 ppb
7.4 ppb
24 ppb
26 / 32 ppb
150 ppb
290 ppb
16 ppb
15 ppb
32 ppb
57 ppb
31 ppb
740 ppb
650 ppb
1,1-DCB
(MCL - 7 ppb)
-
-
.
-
-
-
8.7 ppb
.
.
-
.
9.2 ppb
16 ppb
13 ppb
1,2-DCA
(MCL - 5 ppb)
-
-
-
-
-
•
-
-
.
.
-
-
.
#
Vinyl Chloride
(MCL - 2 ppb)
.
.
.
.
.•
.
-
.
.
.
.
i .
J.2ppb
-
CONTAMINANTS EXCEEDING PMCL
1,2-DCE
(PMCL -
70 ppb/eii
100 ppb/lnni)
.
210 ppb
.
.
.
.
130 ppb
.
.
.
.
.
1500 ppb
1300 ppb
PCB
(PMCL - 5 ppb)
.
19 ppb
.
.
.
5.0 ppb
11 ppb
.
.
.
.
.
.
.
1,1-DCB
(PMCL-
600 ppb)
.
.
«
.
.
-
.
.
.
.
.
.
.
-
NOTESi t
TCE - Tfichloroelhylene(TrichloroeUi»ne) .
1,1-DCE - l,l-Dichloroethylene(l,l-Dlchloroelhene)
1,2-DCA - l,2-Dichlorocthin« f
1,2-DCE - l,2-Dichloroethylene(l,2-Dienloroelhene) '
PCE , " Telrichloroethylene(Telrachloroethene)
1 ,2-DCB » 1 ,2-Dichlorobenzene
III ppb • duplicile Mmple tnilyiei retulU
• conUmintnt wit not detected tt, or ibove the MCL or PMCL
2
                                                     Table  4 cont'd
      U.S. ENVIRONMENTAL PROTECTION AGENCY
      SOURCE: 1992 RJ/FS Report, Appendix E
Prepared by Dynimto Corporation
            MCLEXC.TBI
              P»g«2of2

-------
                                                            Table 5

                                   Comparison of Compounds of Potential Concern in Soil
                                                to Risk-Based Concentrations
Maximum Detected Concentration
(mg/kg)
f\ mjfm f» i n*
^JlHIUll^S
Carbon Tetrachloridc
1,2-Dichlorobenzene
1,2-Dichloroethene ,
Tetrachlorethane • '.*.
1,2,4-Trichlorobenzcne
TricUoroethene
_ *
inorganics
Aluminum
Arsenic
Barium
Beryllium
Chromium
Copper
Iron
Lead
Magnesium
Manganese
Potasnium
Silver
Vanadium
Zinc

0.0078
0.011
j.0.005
%0059
0.04
0.016
9,110
2'
75.1
1.2'
8.3
8
11,900
3.3
1,020
518
958
3
17.7
9.7
Risk-Based Concentration
fag/kg)
f
11.3
92,000
20,400
35
1340
163
2,960,000
1.02
72,000
0.42
5,100*
38,000
— d
143e
-"
5,100
\ "d
3,070
« ^7,200
204.000
'Exceeds risk-based concentration.
feBased on Cr VI, which is lower than Cr III.
'Based on lead as carcinogen, which is lower than noncarcinogcnic endpoint.
'No number listed.
MK01\RPT:Z8530303\eommodor.s«b
02/07/92

-------
                                                       Table 6

                                   Comparison of Compounds of Potential Concern in
                                       Surface Water to Risk-Based Concentrations
Maximum Detected Concentration

-------
                                                            Table 7
                                    Compounds or Potential Concern in Residential Wells
Organics
Chloroform
1 ,2-Dichlorobenzcnc
1 ,4-Dichlorobenzene
1,1-Dichloroclhane
1,1-Dichloroelhenc
1,2-Dichloroethcne
Melhylene chloride
Tclrachloroclhcnc
1,1,1-Trichloroeihane
Trichloroelhene
Trichlorofluoromethanc
Frequency of
Detection
29/52
1/52
1/52
7/52
4/52
15/52
4/52
4/52
27/52
18/52
1/52
Concentration
Range
to/0
1.1-22
1.4'
17*
0.47-2.6
0.87-1.3
0.82-8.1
6.4-8.3
0.32-1.3
0.91-7.8
0.29-5.7
2.4*
Arithmetic
Mean
to/0
3.49
0.51
0.74
0.71
0.53
1.18
2.42
0.49
1.85
0.96
1.02
Standard
Deviation
to/0
5.16
0.08
1.37
0.48
0.10
1.61
1.35
0.11
1.73
1.10
0.12
Upper 95%
Concentration

-------

                                                                      Table  7 cont'd

                                                                        (continued)
                                                  IARC Categorization of Carcinogens (IARC, 1987)
          Group 1        •       Human carcinogen (sufficient evidence of carcinogenicity in humans).

          Group 2A     '  -       Probable human  carcinogen (limited evidence of carcinogenicity in humans -and sufficient evidence of carcinogenicity in
                                 experimental animals).
                                                                                                 t
          Group 2B       -       Possible human carcinogen (limited evidence of carcinogenicity in humans  and insufficient evidence of carcinogenicity in
                                 experimental animals; insufficient evidence of carcinogenicity in humans and sufficient evidence of carcinogenicity b experimental
                                 animals; or insufficient evidence of carcinogenicity in humans and limited evidence of carcinogenicity b experimental animals,
                                 with supporting evidence from other relevant data).                                                        .               {}
J\
          Group 3        -       Not classifiable (substances in this category do not fall into any other category).

          Group 4        -       Probably not carcinogenic to humans.
           MK01\RJT28550303\commodor.s6c                                                                                                      02/15/92

-------
                                                           Tnble  8
 
-------
  Il
                                                       Table  9
Compounds of Potential Concern in Corporate Park Supply Wells
                                                                                             J
                                                                                             '•>
Organics
Chloroform
1,1-Dichloroeihane
1,1-Dichtoroethene
1,2-Dichlorocthenc
Tetrachloroethene
1,1,1-Trichloroethanc
Trichloroelhene
Frequency of
Detection
1/3
2/3
3/3
3/3
2/3
3/3
3/3
Concentration
Range
0*g/l)
1.8'
1.5-3.2
1.6-4.25
1.05-6.7
2.1
1.9-11
7.4-29
Arithmetic
Mean
(WJ/I)
1.15
1.43
2.74
4.09
1.30
6.40
16.95
Standard
Deviation
0*g/0
0.92
1.31
1.61
3.69
1.13
6.36
13.51
Upper 95%
Concentration
0*8/0
5.23
7.28
9.93
20.56
6.35
37.80
77.27
'Only detected value.
MK01\RPT28550303\commodor.i6
                                                                                    02/07/91

-------
                                                           Table  10
       u
                               Compounds of Potential Concern in GWCC Water Supply Well
Organics
Bromodichloromethane
Chloroform ;
Trichloroeihene
Frequency of
Detection
1/2
1/2
1/2
Concentration
Range
0.16'
3.3'
0.16*
Arithmetic
Mean
0.33
1.90
0.33
Standard
Deviation
0.24
1.98
0.24
Upper 95%
Concentration
.b
.
-
'Detected only once.  Concentration represents only detected value.
'Sample size is too small to calculate.
MKOI\RJT:Z85M)303\commodor s6
02/07/W

-------
                                                                    Table  11
                                  Compounds of Potential Concern in GWCC Irrigation and Monitoring Wells
Organics
Bis(2-ethylhexyl)phthatate
1,1-Dichlorocthane
1,1-Dichloroelhenc
1,2-Dichloroelhenc
Dimethylphthalate
Di-n-Bulylphthalate
Tctrachlorocthcnc
Toluene
1,1,1-Trichloroethane
Trichloroelhenc
Peslicidcs/PCBs
Not detected
Frequency of
Detection
1/1
2/4
3/4
2/4
1/1
1/1
2/4
1/4
3/4
3/4

o/i
Concentration
Range
(WJ/I)
4'
1.6-3.1
4.1-9.2
6.4-65
5*
4.5*
1.6-2.1
4.5'
5-25
4.8-57

-
Arithmetic
Mean
<«?/') .
4
1.6
4.63
17.88
5
4.5
1.54
1.5
10.73
25.85

-
Standard
Deviation
(WJ/I)
_b
0.83
3.15
31.44
_b
_b
0.92
1.15
10.07
23.87
\
' ,.
Upper 95%
Concentration
to/0
_b
2.57
8.38
54.87
_b
_b
2.62
2.86
22.57
53.94

-
£
          'Delected only once.  Concentration represents only detected value.
          ''Sample size too small to calculate.
          MKOI\I»rr:2a550303\commodor.t6
02/07/92

-------
                                                             Table 12
.-: ct
oc —
O
                             Compounds of Potential Concern in VFCC-4 and the Deep Monitoring Wells
Organics
Chloroform
1,1-Dichlorocthanc
1,2-Dichlornclhane
1,1-Dichloroelhene
1,2-Dichloroelhenc
Melhylene chloride
Tclrachloroclhene
1,1,1-Trichloroethane
Trichloroclhcnc
Inorganics
Barium
Calcium
Magnesium
Sodium
Pesticides/PCBs
Not detected
Frequency of
Detection
1/12
6/12
1/12
10/12
12/12
2/12
12/12
12/12
12/12

1/1
1/1
1/1
1/1

-
Concentration
Range
(Mg/0
2.2*
1.9-12
2.8*
1.4-39
1.3-280
20-23
3.8-30
1.3-51
13-640

415'
55.5001
21.6001
16,500"

-
Arithmetic
Mean
0*8/0
1.35 .
4.44
1.40
11.37
101.5
5.25
14.54
18.99
253.92

-
-
-
-

•
Standard
Deviation
0*g/l)
1.26
3.88
1.27
10.86
91.65
5.06
8.59
17.85
193.79

\-
'•«•
.
•

-
Upper 95%
Concentration
Cm/0
139
7.63
2.44
20.30
176.89
9.41
21:61
33.67
41333

,
.
.
•.
o
.-^377
»-J ,-.
n> '•-•
«A. ••:.
      'Detected only once.  Concentration represents only detected value.

-------
                                                       Table   13
                                 Human Exposure Scenarios - Potential Exposure Routes
-£
Exposure Routes
Drinking water ingestion
Inhalation while showering
Dermal contact while
showering
Inhalation of outdoor air
Incidental water ingestion
while swimming
Dermal absorption while
swimming
Exposure Scenarios
Resident-Private
Well Scenario
X
X
X
X
X
X
Resident-Public
Well Scenario
X
X
X
X
X
X
GWCC Future
Resident
Scenario
X
X
X
X
X
X
GWCC
Member
Scenario
X
X
X
X
X
,x
GWCC
Worker
Scenario
X


X


VFCC Worker-
Current Use
Scenario
X


X


VFCC Worker-
Future Use
Scenario*
X
X
X
X


MKOI\RPT:285S030.1\rommodor.s«b
02/15/92

-------
                                                            Table  14
z

OS '
                                          Reference Doses Tor Noncarcinogenic Effects
                                                           (mg/kg-day)
Compound
Bromodichlornmclhanc
Chloroform
1 ,2- Dichlorohcnrenc
1,1-Dichloroelhane
1,1-Dichloroelhcnc
1,2-Dichloroclhcne
Telrachloroelhcnc
1,1,1 -Trichloroelhane
Trichloroclhene
Vinyl chloride
Chronic Inhalulion RID
2.00E02
1.00E02
4.00E-02
1.00E01
9.00E-03
1.00E02
I.OOE-02
3.00E-OI
7.40E-03
3.71 E-03
Source or Basis
EPA, I99lb*
Oral RID
EPA, 199IH
EPA, 1991b
Oral RID
Oral RID

EPA, 199lb
Oral RID
See (ext
Chronic Oral RID
2.00E-02
I.OOE-02
9.00E-02
l.OOEOI
9.00E-03
I.OOE-02'
I.OOE-02
9.00E-02
7.40E-03
I.30E-03
Source or Basis
EPA, I99la
EPA, I99la
EPA, 199la
EPA, 1991a
EPA, 199la
EPA, 1991a
EPA, 1991 a
EPA, 1991a
EPA, 1987
See text
Dermal RID"
I.80E-02
9.00E-03
NE
9.00E-02
8.IOB-02
1.80E-02
9.00E-03
8.IOE-02
6.66E-03
1.17E-03
 'Oral Rfd was used since neither an inhalation RID nor an OEL were available.
 b Derived from oral RID (see Subsection 6.5.3).
 'Lower of the two RIDs available for cis and trans isomcrs of 1,2-dichloroclhcnc.
 ACf JIH-TLV =  American Conference of Governmental Industrial Hygicnists - Time Weighted Average.
 NE          -  No exposure through this route.
MKOI\RrT:28V5IHfl1\riimini.
-------
                                                            T.ihk-  13


                                    Subchronic Reference Doses for Noncnrcinogcnic Effects
                                                           (mg/kg-day)
Compound
Bromodichloromelhcnc
Chloroform
1,2- Dichlornbcn/cnc
1,1 Dichloroethanc
1,1 Dichloroelhcnc
1,2-Dichloroclhcnc
Tclrachloroclhcnc
1,1,1 -Trichlorocl hanc
Trichloroclhenc
Vinyl chloride
Subchronic Inhalation RID
2.00E-02
I.WE 02
4.00iloi
i.flOE+oo
9.00E03
i.flOEOi"
I.OOE-OI
.inoEfOo
7.40E-0.1
3.7 IE 03
Source or Basis
EPA, IWIb
Oral RID
JR
EPA, l«Wlh
EPA, I99lh
Oral RIB
Oral RID
Oral RID
EPA, IWII*
Oral RID
Sec text
Subchronic Oral RID
2.00E02
I.OOE02
NE
NE
NE
NE
NE
NE •
7.4IIE-03
NE
Source or Basis
EPA, I99la
EPA, 199la
--
--
EPA, I99la
EPA, I99la
EPA, I99la
—
EPA, 1987
--
Subchronic Dermal RID*
1. ROE 02
9.00E-03
NE
NE
NE
NE
NE
NE
6.66E03
NE
'Subchronic dermal RfDs were calculated from the oral RIDs as described in Subsection 6.5.4.
  NE = No exposure through this route.
b Lower of the two RIDs available for cis and trans isomcrs of 1,2-dichloroclhcnc.
MKIM\RI'I •
                i •uniniinhir
l.'2/I.Y'tt

-------
g_

StI
QC *"**
O
                                                    Table 16
                            EPA and IARC Categorizations of the Carcinogenic Pollutants
Pollutant
Bromodichloromethane
Chloroform
1,1-Dichloroethane
1,2-Dichloroe thane
l^Dichloroethene
Methylene chloride
Tetrachloroethene
Trichloroethene
Vinyl chloride
EPA" Carcinogenicity Category
B2
B2
C
B2
C
B2
B2
B2
A
IARC* Carcinogenicity Category
2B
2B
NC
2B
NC
2B
2B
3
1
•EPA, 1991a.
"IARC,  1987.
NC  = Not classified.
MK01\RPT:2aS50.in.1\commodor.s«c
                                                                                                                   02/15/92

-------
                                                             Table  17
                                         EPA and IARC Categorizations of Carcinogens
                                             Based on Human and Animal Evidence
. {
EPA Categorization of Carcinogens (EPA, 1986)
Animal Evidence <

Human Evidence
Sufficient
Limited
Inadequate
No data
No evidence
Sufficient

A
Bl
B2
B2
B2
Limited

A
Bl
C
C
C
Inadequate

A
Bl
D
D
D
No Data
•
A
Bl
D
D
D
No Evidence

A
Bl
D
E
E
Key:

Group A

Group Bl

Group B2

Group C

Group D

Group E
Human carcinogen (sufficient evidence from epidemiological studies).

Probable human carcinogen (at least limited evidence of carcinogenicily to humans).

Probable human carcinogen (a combination of sufficient evidence in animals and inadequate data in humans).

Possible human carcinogen (limited evidence in animals in the absence of human data).               ' «

Not classified (inadequate animal and human data).

No evidence for carcinogenicity (no evidence for carcinogenicily in at least two adequate animal tests in different species, or in both
epidemiological and animal studies).
 MKOl\RJT:M5S0303\commodor.s(Sc
                                                                                                              OZ/15/92

-------
                                                                 Table  17  (cont'd)
 o
S: «
                                                IARC Categorization of Carcinogens (IARC, 1987)
        Group 1        -       Human carcinogen (sufficient evidence of carcinogenicity in humans).

        Group 2A      -       Probable human carcinogen  (limited evidence of carcinogenicily  in humans and  sufficient  evidence  of carcinogenicity in
                               experimental animals).

        Group 2B      -       Possible human carcinogen  (limited evidence of carcinogenicity in humans and insufficient  evidence  of carcinogenicity in
                               experimental animals; insufficient evidence of carcinogenicity in humans and sufficient evidence of carcinogenicity in experimental
                               animals; or insufficient evidence of carcinogenicity in humans and limited evidence of carcinogenicity in experimental animals,
                               with supporting evidence from other relevant data).

        Group 3        -       Not classifiable (substances in this category do not fall into any other category).

        Group 4        -       Probably not carcinogenic to humans.
        MKn'-RPTtMSSOMAcomnwxfor.sfc                                       6-1'0                                                           07/10"

-------
                                                                Table 18
                                                         	!•-.  .        •  ~>  -.-•(-»

                                                         Cancer Slope Factors
Compound
Bromodichloromelhaoe
Chloroform
1,1-Dichloroelhane
1,1-Dichloroelhene
Tetrachloroetbene
Trirhloroelhene
Vinyl chloride
Inhalation Slope Factor
I.ME 01*
8 IOC 02
NFA
1.75B-01*
I.ROE-03
1.70E-02
2.94B-01*
Source or Basis
EPA, 1991.
EPA, 1991a
--
EPA, 19911
EPA, 1991.
EPA, 19911
EPA, 1991*
Oral Slope Factor
I.30E-OI .
6.IOB-03
NFA
6.006-01
5.106-02
1.106-02
1.906400
Source or Basis
EPA, I99la
EPA, 199U
—
EPA, 199U
EPA, 19911
EPA, 199la
EPA, 1991«
Dermal Slope Factor*
1.44E-01
6.78E-03
NFA
6.6764)1
NE
1.22E-02
2.11B+00
 * Oral slope factor used because no inhalation slope factor b available.
 k Converted from inhalation concentration to CSP assuming breathing rate of 20 m'/dajr and body weight of 70 kg.
 'Dermal slope factors were calculated from oral slope factors as described in Subsection 6.5.5.
 NFA         =   No slope factor available.
 NE           =   No exposure through this route.
MKOI\RrriW50J0.1\commodof.t6t
02/15/92

-------
                                                                      Table  19
£?<£?
                     Private Residential Well Scenario
                   Child Hazard Quotients and Indices
                             Chronk Exposure
          PARAMETERS
              •ronwdl cM oromethtne
              Chloroform
              1,2-0«cM orob«ntene
              1,1-Dlchleroethww
              1,1-Olchloroethene
              1,2-DleMoroethen«
              Tetrvchloroethene
              1,1.1-TrlchloroethMW
              Trlchtoroethene
              Vtny1. chloride

              TOTAL

GROUNDWATER
INGEST ION
NA
6.4E-03
NA j
NA
9.2E-03
4.5E-02
NA
NA
3.7E-02
NA
INHALATION
WHILE
SHOWERING
NA
.1.TE-02
' '.fllA
NA
1.4E-02
7.«E-02
NA
NA
6.3E-02
NA
DERMAL
WHILE
SHOWERING
NA
T.7E-04
HA
HA
2.0E-04
5.4E-05
NA
NA
1.7E-03
NA
INHALATION
OT OUTDOOR
AIR
6.8E-09
|J.3E-06
4.7E09
7.9E-07
8.8E 06
8.1E-05
7.0E-05
4.1E-07
2.3E-OS
5.1E-08
INGEST ION
WHILE
SWIMMING
NA
1.4E-04
NA
NA
2.1E-04
1.0E-03
NA
NA
8.3E-04
NA
SWIMMING
DERMAL
ABSORPTION
NA
4.6E-04
NA
NA
5.51-04
1.5E-04
NA
NA
4.5E-03
NA

HAZARD
INDEX
8.8E-W
1.8E-02
4.7E-09
7.9E-07
Z.tt-02
1.21-01
7.0E-0)
4.1E-07
1.1E-01
5. IE-OB
    9.8E-02    1.7E-01     Z.TE-OI     T.9E-04    2.2E-0)    5.6E-0)

NA = Coufwond not detected In the nedliM.
2.7E-01
         MK01\WT:MBS03M\commodor.lh6
                                     6-117
                                                                                                    07/IJ/72

-------
                                                               Table  20
                                                «<'	.•'.••••* ,.•!•••• > .Ul«-j:if» •'«..« .,-'«.«T/ir •"~'i-.'«H

                                                  Private Residential Well Scenario
                                                Adult Hazard Quotients and Indices
                                                          Chronic Exposure
 PARAMETERS
     IrcModlchloro
     Chlorofora
     1.2 OlcMorotMniww
     1.t-Dlchloro*th*n*
     1,1-OteMoro«th«nt
     1.2-OlcMorotth«n«
                                        INHALATION    DERMAL
                            GROUNDUATER    WNUt      IMKE
                             INGESflON  SNOUERINO  SMWERINC
     1.1,1-Trlchlorotthww
     TrichtorMthtn*
     Vinyl  chloride

     fOTAL
HA
t.n-n
HA
HA
4.0E-OS
1.9E-02
HA
HA
1.M-02
HA
HA
2.SE-OS
HA
HA
3.4E-01
1.4E-02
HA
HA
1.4E-02
HA
HA
9.2E-OS
HA
HA
1.1E-M
3.0E-05
HA
HA
9.0E-0*
HA
                              INHALATION  INGESTION    SVINNIHC
                              Of OUTDOOR    WHILE       DERMAL
                                 AIR       SWIMMING   MSORPTION
                                 3.8E-09
                                 3.7E-07
                                 2.0E-09
                                 s.w-or
                                 3.BE-M
                                 3.9E-OS
                                 3.0E-K
                                 1.8E-07
                                 1.0E  05
                                 2.2E-08
                                                      HAZARD
                                                      INDEX
HA
J.1E 05
IA
HA
«.(C-OS
!.tE-(M
HA
HA
t.BE-M
HA
HA
2.SE-M
HA
HA
J.OE-04
0.1E-OJ
HA
HA
2.4E-03
HA
3.K-09
S.4C-03
2.0E-09
S.4E-07
7.BE-03
S.M-02
J.OE-05
i.ac-or
I.3E-02
2.2E-08
4.2E-02
S.Af-02
LIE -OS
8.0E-05
                                            4.71-0*
                                            3.0E-03
                                            6.2E-02
                            HA ' Compound net  W VN\rommodot «hft
                                                                                                   07/r

-------
                                                               Table  21
       •
                                                    Public Residential Well Scenario
                                                  Child Hazard Quotients and Indices
                                                            Chronic Exposure
 PARAMETERS
     •r
-------
                                                             Table  22


                                                  Public Residential Well Scenario
                                                Adult Hazard Quotients and Indices
                                                          Chronic Exposure
PARAMETERS
    CMorofem
    1,2-Dlcnlorobeniene
    1.1-Dlehlor

-------
                                                               Table  23
                                                   CWCC Future Resident Scenario
                                                 Child Hazard Quotients and Indices
                                                           Chronic Exposure
 PARAMETERS
     Chloroform
     1.1-0lchloro«th*ne
     t.l-Dlchloroethene
     1.2-DleMoroethene
     Tetraehloroethene
     1.1,1-Trlehloroethane
     lrlchloro«lhen«

     TOTAL
                                         INHALATION    DERMAL
                             CDOUNOWAIEII    UHILE       UHUE
                              INCESTION   SWMRINQ   SHOWERING
                               INHALATION  INGESTION    SKINNING
                               Of OUTDOOR    UNIIE       OERNAl
                                 AIR       SWIMMING   ABSORPTION
 NA
 NA
6.5E-OZ
.HA
 NA
1.K-02
2.7E-01
 NA
 NA
ME 01
 NA
 NA
9.IE OS
4.6E-01
 NA
 NA
1.5E-03
 NA
 NA
7.1E-0*
1.2E-02
9.0E M
I.0E-05
LIE OJ
4.7E-01
3.8E-M
f.OE-0)
1.0E 02
                                 3.5E-01     5.8E 01     1.*E 02     1.7E-02

                             NA > Compound not detected In the meditn.
 NA
 NA
I.SErOS
 NA
 NA
4.0E-04
6.0E-03

7.8E-03
 NA
 NA
J.9E-03
 NA
 NA
2.4E-03
3.2E-02

3.BE-02
HAZARD
INDEX

 9.0E-0*
 1.8E-05
 1.8E-01
 4.7E-03
 2.8E-M
 3.1E-02
 7.W-01

 1.0E«00
MKOI\RPT: »W.«mi\rommodor ibfi
                                  6-121
                                                                                                                                     07/13/92

-------
                                                             Table 24


                                                 GWCC Future Resident Scenario
                                               Adull Hazard Quotients and Indices
                                                         Chronic Exposure
PARAMETERS
    Chloroform
    t.t-OlehloTMthMW
    t.l-DlcMoroetben*
    l,2-Dlchloro«th«n*
    Tetrachlorocthene
    1.1,1-TrlchlorotthMW
    Trlchloroethene

    TOTAl
                                       INHAIATIOH
                           GROUNDWATER   MILE
                            INGESTION   SHOUERING
 NA
 NA
2.BE-02
 NA
 NA
7.6E-OS
1.1E-01
 HA
 HA
2.4E-02
 NA
 HA
1.9E-OS
9.8E-02
  DERMAL
  WHILE
s HOWE Arms

   HA
   HA
   7.8E-M
   NA
   NA
  4.9C-04
  A.5E-03
INHALATION
or OUTDOOR
AIR
3.K-04
7.8E-06
4.7E-04
2.0E-OS
t.2E-04
2.2E-05
4.JE-OJ
INGESTION
UNILE
SWIMMING
NA
HA
S.IE-M
NA
NA
e.sc-os
I.SE-OS
                              I.5E-01     I.2E-01     7.BE-03    7.36-03

                          NA * CoMpound not detected In the medlu*.
 SWIMMING
  DERMAL
AISORPTION

   HA
   HA
   2. IE-OS
   HA
   HA
   1.3E-03
   1.7E-02
HAZARD
INDEX

 3.K-M
 7.K-06
 S.«f-02
 2.0E-03
 f.ft-04
 1.1E-02
 2.4E-OI
                                           I.7E-OS     2.1E-02     J.1E-01
 «Fl:Za550303\commodor Ib5
                                                             6-P2
                                                                                                                             07/1.1 A>?

-------
                                                                  Table 25

                                                         GWCC Member Scenario
                                                   Child Hazard Quotients and Indices
                                                           Subchronic Exposure
    PARAMETERS
        •roMdl eh I oronethwit
        Chloroforn
        1,2-Dlchlorobentene
        t.t-OlchloroethMW
        t.l-Olchloroethen*
        1.2-Dlchloroethene
        Tetrtchloroethent
        I.t.t-Trlchloroethme
        THchlorotthtne
        Vinyl chloride

        TOTAL
DRINKING
UATER
INCESTION
4.4E-OS
t.BE-03
NA
NA
NA
NA
NA
NA
1.2E-04
NA
INNAIAMON DERMAL
«W«lf tm,u
SWUERmo SHOWERING
1.SE-04
6.2E-03
NA
NA
NA
NA
NA
NA
4.0E-04
NA
2.4E-06
9.6E-OS
NA
NA
NA
NA
NA
NA
1. IE-OS
NA
                                                                 OUTDOOR
                                                                   AIR
                                  2.0E-03    A.7E-03    LIE-04

                              NA ° Coipound not detected In the
 1.0E-09
 S.OE-07
 S.JE-11
 6.2E-09
 1.3E-06
 6.BE-07
 4.2E-07
 6.JE-09
 rOE 06
6.0E-09

9.9E-06
         INGESTION    SUIHNINC
           UHUE       DERNAl
          SUINNIH6   MSORPTION
 t.IE-OS
 4.7E-04
 NA
 NA
 NA
 NA
 NA
 HA
3.IE-OS
 NA
                     •AZARO
                     INKX
3.7E-OS
1.SE-03
HA
HA
NA
NA
M
NA
1.7E-04
NA
2.4E-04
t.OE-02
S.SE-11
6.2C-09
1.3E-M
A.BE-Or
4.2E-07
6.SC-09
7.4E-04
6.0E-09
                      l.rE-03    1.IE-02
MKOI\RPT: JAVWIW\rommodnr IhA
                                                                6-123
                                                                                                                                07/I1/9J

-------
                                                            Table 26

                                                     GWCC Member Scenario
                                               Adult Hazard Quotients and Indices
                                                       Subchronlc Exposure
PARAMETERS
    •roModlehloroMethan*
    Chloroform
    1.2 • 01 eh I orotwniene
    t.l-OlcMoroelhene
    1,1-Dlchloroethene
    1.2-DlchlorMthene
    Tetrechloroethene
    1(1,t-lrlchlorocthwie
    Trlchlorocthem
    Vinyl chloride

    TOTAl
                            DRINKING    INHALATION   DERMAL
                              IMTH      tMIU      UHUE
                            INCCSflON   SHOW AI NO   SHOUCMIMC
1.91-05
7.71-04
 NA
 NA
 NA
 NA
S.IE-OS
 NA

a.4E-M
3.21-05
1.SE-03
NA
NA
NA
NA
NA
NA
8.7E-OS
NA
1.JE 06
5.2E-05
NA
NA
NA
NA
NA
NA
5.7E-06
HA
4.4E-10
2.1E-07
2.4E-11
2.7E-09
5.4E-07
2.9E-07
I.8E-07
2.0E-09
3.0E-06
2.4E-09
ME-03
                               OUTDOOR    INGECTION    SWIHNINC
                                 AIR       UNILE      DERMAL     HAZARD
                              INHALATION   SWIMMING   AISORPTIOH   INDEX
                                 2.4E-06
                                 1.0E04
                                 NA
                                 NA
                                 NA
                                 NA
                                 6.6E-06
                                 NA
1.1E-04     9.2E-04     3.4E-03
2.0E-05
8. IE -04
NA
NA
NA
NA
NA
NA
9.0E-05
NA
7.5E-05
1. IE-OS
2.4E-11
2.7E-09
5.4E-07
2.9E-07
1.8E-07
2.8E-09
2.4E-04
2.6E-09
5.VE-05     4.2E-06
                           NA » Co^MWid not detected In the «edlM.
 " " tPT 2A550V)1\ronimcxJor Ihfi
                                                                                                                                07/1'

-------
                                                            Table  27
                                                      CWCC Worker Scenario
                                               Adult Hazard Quotients and Indices
                                                          Chronic Exposure
 PARAMETERS
     •roModlctilorowthane
     Chlorofom
     1,2-Oichlorobeniene
     1.1-OlchlorcwthMit
     1,1-OlchloTMIhMw
     t,2-0lchlorotthene
     T«traehloroethene
     1,1,1•Tr IcMoroethme
     TricMoroethene
     vinyl chloride

     TOTAL
                                        INHALATION
                            GftOUNOWAIER  OF OUTDOOR
                             INGEST ION     AIR
    7.8E-05
    3.ZE-03
    NA
    NA
    NA
    NA
    NA
    NA
    2.1E-04
    NA
3.7E-09
1.8E-06
2.0E-09
2.K-07
4.SE-06
2.4C-OJ
1.51-05
2.H-07
2.5E-05
2.IE-OB
HAIARO
INDEX

 roe-05
 3.M-03
 2.0E-09
 2.2E-07
 4.5E-06
 Z.« 05
 1.5E-05
 2.J8-07
 2.4E-M
 2.11 08
    3.51 03    7.If-05    3.6E-03

NA • COTpound not detected In the Medium.
MKOI\
                                     6-125
                                                                                      07/13/92

-------
     rn  01
     I? tt:
                                                             Table 28
                                                  VFCC Current Worker Scenario
                                               Adult Hazard Quotients and Indices
                                                         Chronic Exposure
PAftAMEIERS
    IrcModicMoroMthane
    Chloroform
    1,2-Dlchlorobenitne
    1,1-PlchloroethMM
    1.1-Dlchloroelhene
    1,2-Dlchloro*thtiM
    tetrachloroethene
    l.l.t-TrlcbloroethMW
    Trlchloroethen*
    Vinyl chloride

    IOTAL
                                       INHALATION
                           CDOUMHMtiR  Of OUIOOM
                            INGESflON      AIR
    MA
    i.at-03
    HA
    J.11-04
    4.6E-OI
    6.6E-OI
    2.11-01
    I.Zf-OJ
    J.8E-02
    HA
s.ot-oe
5.81-04
1.61-08
S.4C-07
1.2E-05
9.08-05
4.0C-05
5.4f-0r
8.71-05
1.7E-07
HAIAtD
IMOEN

 J.Ot-08
 1.8E-OS
 1.6E-08
 S.1E-04
 4.0E-OS
 «.6E-03
 2.1E-01
 1.2E-OS
 J.BE-02
 1.7E-07
    S.5E-02    2.4E-04    5.SE-02

HA • Compound not dtttctcd In tht
        MS50KI3\rommodorIhh
                                      6-
                                                                                        07/1'

-------
o
                              Table  29


                   VFCC Future Worker Scenario
                Adult Hazard Quotients and Indices
                          Chronic  Exposure
PARAMETERS
    ChloroforB
    I.t-Dlchloroethene
    1,1-Dlchloroetheiw
    1,2-OtcMoroethene
    letrcchloroethene
    1.1.1-lrlchloroetfiMW
    Irichloroethene

    TOIAl
                                       INHALATION
                           GMUNDUAIER   WHILE
                            INCEST IM   SHOWERING
1.8E-OJ
S.21-04
9.SE-01
1.JE  01
1.IE-M
1.4E-0)
J.81-0!

5.K-01
                     DEMUL    INHALATION
                     MILE     Of OUIOOON
                   SHOUERING     AIR
1.2E-03
2.K-M
*.X-OJ
a.rc-oz
7.4C-01
2.9E-04
2.6E-01

J.6C-01
4.7E-M
6./E-06
2.U-04
1.6E-04
A.K-M
r.K-05
1.7E-02

I.BE-02
A.X-06
2.9E-05
1.4E-M
4.TE-OJ
S.9E-04
1.H 05
1.3E-02
1.7E-02
HAZARD
INDEX

 I.OE-03
 5.BE-04
 t.M-02
 2.2E-01
 t.9E-02
 1.8E-OJ
 6.BE-OI

 9.3E-01
                           NA = CtMpound not detected  In the MdiuM.
                                                                6-127
                                                                                                 07/n/w

-------
      T3-                                                       Table  30

   ;j&

   "                                              Private Residential Well Scenario

                                                      Lifetime Carcinogenic Risk



                                        INHALATION   DfltNAl    INHALATION  INCEST ION    SWIMMING
                            GftOUNOUATER    UNUE      UNILE     OF OUIOOM    IMIIE      DERMAL      TOTAL
                             INGESIION   SHOMMING   SHOWERING      AIM      SKINNING   AKORPTION     HIM
PARAMETERS
    •rttwdlchlorcmethww          NA         NA         NA         S.JE-12      NA         NA         5.JE-I2
    CMorofor*                  9.1E-06     1.4E-06     2.8E-09     2.SE-10     1.4E-09     7.SE-09     1.5E-06
    1.1-OlcMoroethcne           1.ZE-05     4.0E-06     3.0E-07     I.2E-09     I.8E-07     fl.Of-07     1.71-05
    TetraehlorMthme             NA         NA         NA         2.9C-10      NA         NA         2.9E-10
    Trichlorocthene             7.0E-07     1.3E-06     3.7E 08     6.9E-10     LIE-08     9.8E-08     2.IE-06
    Vinyl ehlorldt               NA         NA         NA         1.JE  11      NA         NA         1.3t  11

    TOTAL                       1.2E-05     6.4E-06     J.4E 07     4.5E-09     1.9E-07     9.1E-07     2.0E-05

                            NA • Compound not dittcttd In  th«
   " r>rr:2H550Wl\c(immodi>r Ihr.                                        6-1""*                                                             07/1.1'

-------
ta v\i
                            Table 31


                 Private Residential Well Scenario
              Lifetime Carcinogenic  Risk Distribution
     PARAHEIERS
         BrOTOdlchloroMthane
         Chloroform
         1.1-Olchioroethcfw
         Tctrachtoroethtne
         Trlchloroethene
         Vinyl chloride

         TOTAL
                                              INHALATION   OERHAL
                                 GROUNDUATER    WHILE      WHILE
                                  IHGESTION   SIMMERING   SIMMERING
                              INHALATION  IHGESTION   SHINNING
                              OF OUTDOOR    WHILE      OERNAL
                                 AIR       SUIMNINC  AISORPTION
NA
  0.44
 M.67
NA
  3.44
NA
NA
  6.88
 19.32
NA
  6.21
NA
                      NA
  0.01
  1.47
NA
  0.18
                      NA
0.00
0.00
0.02
0.00
0.00
0.00
                                             NA
                                                        NA
0.01
0.86
0.04
3.92
                       NA
                                  NA
0.05
                                    0.48
                                             HA
                                  NA
                                       60.55       32.40       1.66       0.02

                                 HA • Compound net detected In the »edlu*.
                                               0.92
                                                          4.44
TOTAL

    0.00
    7.58
   82.26
    0.00
   10.36
    0.00

  100.00
    MKOI\RPT2HVSOW\rnmmodnr(b6
                                 6-129
                                                                                         07/13/92

-------
          -
      o" J?                                                    Table  32
     o
                                                   Public Residential Well Scenario
                                                      Lifetime Carcinogenic Risk
                                        INHALATION    DERMAL    INHALATION  INCtSTIOH    SHINNING
                            GROUNDWATER    UHILC      WNIIE     Of OUTDOOR    WHILE       OEMUl     TOTAL
                             INGESIION   SHOUERING  SIMMERING     AIR       SWIMMING   ABSORPTION    RISK
PARAMETERS
    •r
-------
                                                             Table 33



                                                  Public Residential Well Scenario

                                              Lifetime Carcinogenic Risk Distribution



                                        INNMATIOM   DERNAl    INHALATION  INGESIION   SWIMMING
                            GROUNDUATER    MILE      (WILE     Of (WIDOW   UN lit      OEMML
                             INGESTION   SMMCRIW   SIMMERING     AIR      SKINNING  ABSORPTION   TOTAl
 PARAMETERS
     •roMxIlchlorwiNthMW         HA         NA         NA           0.00     NA         NA           0.00
     CMorofon*                   NA         M         NA           0.00     NA         NA           0.00
     1.1-OlcMonwthtne            41.98       14.31       1.09       0.01       0.44       2.90      40.93
     TeirachlorMthm*            NA         NA         NA           0.00     NA         NA           0.00
     Trlchlorotthww               12.96       23.41       0.68       0.01       0.20       1.61      39.06
     Vinyl  chloride               NA         NA         NA           0.00     NA         NA           0.00

     TOTAL                         S4.94       37.72       1.76       0.02       0.84       4.71     100.00

                            NA • Compound not  dtt«ct«d In  th« Mdlu*.
MKOI\RPI':2«550303\rommndnr.lhA                                      6-13]                                                           07/13/92

-------
                                                           Table 34


                                                GWCC Future Resident Scenario
                                                    Lifetime Carcinogenic Risk
 PARAMETERS
     CMorofore
     1,1-DlchloTMthene
     Tetrachloroethene
     Trlchtoroethene

     TOTAL
INHALATION DERMAL INHALATION INGEST KM SHINNING
CROUNDWATER WHILE WHILE Of OUTDOOR WHILE DERMAL
INCEST ION SHOWERING SHOWER 1 NO AIR SHINNING ABSORPTION
NA
8.2E-OS
HA
5. IE -06
HA
2.SE-OS
NA
9.2E-06
NA
2. IE -06
HA
2.6E-07
1.7E-07
4.0E-07
1.2E 09
2.9E-07
HA
1.3E-06
HA
7.7E-08
HA
5.7E-06
HA
7.TE-07
TOTAL
RISK
1.71-07
T.ZE-04
l.if-09
1.6E-M
   8. rt-05    J.7E-05     2.4E-06

HA • Compound not detected In the
                                                               B.7E-07
          1.SE-06
6.4E-06
                                                                   1.4E-04
MKOi\RPT:2a550303\commodorll>6
6-112
                                           07/13/92

-------
3,
                                                                Table  35
                                                    CWCC Future Resident Scenario
                                                Lifetime Carcinogenic Risk Distribution
   PARAMETERS
       Chloroform
       1.1-OlcMotMthww
       TvlrMhloreethene
       Irlrhioroethene

       10TAL
                                          INNAIATION   OEMUL
                              GROUNDUATER    UHILE      IMIIE
                                INCEST ION  SHOWERING  SHOUERING
                                  INHALATION  INGESTION
                                  OF OUTDOOR    WILE
                                     AIR
NA
 60.68
NA
  3.75
NA
 20.68
NA
  A. 77
                           NA
                             1.57
                           NA
                            0.20

     64.43      27.45       1.77

NA * Compound not detected In the
0.1]
0.30
0.00
0.22

0.64
                                                    SHINNING
                                                     DCKNAL
                                         SWIMMING  ABSORPTION
                                                 NA
                                                       NA
                                                NA
 0.93
A
 0.06

 0.98
                                                           NA
 4.20
A
 0.52

 4.72
TOTAL

   0.1]
   88.36
   0.00
   11.51

  100.00
  MKOI\RPI:.Ul«(miV<>mmodorlbf>
                                     6-133
                                                                                                                                     07/l3/r>2

-------
                                                                Table  36
 .-.
''  -                                                       GWCC Member Scenario
r:
                                                           Lifetime Carcinogenic Risk
                                              INHALATION    DERMAL    INHALATION  INGESTION    SUIHNINO
                                  GftOUNMMTEA    WHILE       UNUE     Of OUTDOOR    UHIIE       OEMMl      TOTAL
                                   INCEST ION   SHOWERING   SHOWERING      AIR       SHINNING   MSORPTION     RISK
      PARAMETERS
          •roMdlcMorawthww         2.7E-08    A.2E-08     1.7E-09     6.2E-TJ     4.7E-09     2.0C-OB     1.?E-07
          Chloroform                  2.6E-OB    8.0E 07     T.AE-09     9.4E-1I     «.«E-09     2.5E 08     8.J€-Of
          T,1-DlcMorMth«nt           NA         M          NA         4.6E-10      DA         NA        4.tt-tO
          Tetrachloroelhene           NA         NA          NA         l.ft-11      NA         NA        I.Tt-11
          Trlchlore«thene             2.2E-09    8.1E-09     2.K-10     2. IE 10     4.0E-10     3.7E-09     1.K-M
          Vinyl chloride              NA         M          NA         1.SE-I2      NA         NA        1.5E-I2

          TOTAL                       5.4E-OB    B.Tf-07     S.5E-09     T.8E-10     7.7E-W     J.51-08     9.«t 07

                                  NA • Compound not detected In the nedlu*.
     MK' "PT.ZMWTOIVmmmodnMhft                                       6-1'1'*                                                            OT/P

-------
                                                             Table  37


                                                       GWCC Member Scenario
                                               Lifetime Carcinogenic Risk Distribution
 PARAMETERS
     •round I eh I oronie thaoe
     Chloroform
     1.1-Dlchloroethene
     T«tr»cM oroethene
     Trlchloroethene
     Vinyl  chloride

     TOTAL
                                         INHALATION   DERMAL
                            CROUNDWATER   WHILE      UNIIE
                              INGESTION   SHOWERING   SHOWERING
      INHALATION  INGESTION    SUINMINO
      OF OUTDOOR    WHILE       DEMMl
        AIR       SWINNIN6   AISORPTION    TOTAL
2.66
2.59
NA
NA
0.21
NA
6.26
80.47
NA
NA
0.82
NA
0.17
0.16
NA
NA
0.02
NA
5.50
                                             87.55
0.36
                            NA = Compound not detected In the
0.00
0.01
0.05
0.00
0.02
0.00

0.08
                      0.46
                      0.46
                                                        2.66
                                                        2.51
                    NA
                    NA
                                                      NA
                      0.04
                                 O.J7
                    NA
                                NA
                                             0.98
                                 5.54
 12.25
 86.20
  0.05
  0.00
  1.50
  0.00

100.00
MKOI\RPT:2R550W»\cnmmodor.iM
          6-135
                                                                                                  07/13/92

-------
                                                         Table 38
                                                      GWCC Worker Scenario
                                                     Lifetime Carcinogenic Risk
PARAMETERS
    •romodlchloromethane
    Chloroforn
    1,1-Dlchloroethene
    Tetrechloroethene
    Trlehloroethene
    Vinyl  chloride

    TOTAL
                                        INHALATION
                            GROUNDUMER  OF OUTDOOR
                             INGEST ION     AIR
7.3E-08
7.Of-09
 MA
 HA
6.2E-09
 NA
3.4E-12
5.2E-10
2.51-09
9.5E-11
1.1E-09
8.3E-12
TOTAL
 RISK

 7.3E-OS
 ME-08
 2.5E-09
 9.SE-11
 T.3E-09
 8.3E-12
                                1.5E-07    4.3E-09     1.5E-07

                            NA • Coifiound not detected In the Medium.
     RrT:Z«SM.103\rommodor.lb6

-------
                                                          Table  39
                                                      CWCC Worker Scenario
                                              Lifetime Carcinogenic Risk Dlslribution
                                        INHALATION
                            GROUNDUATER  Of OUIOOOR
                             INGEST ION     AIR        TOTAL
 PARAMETERS
     BromdlchloroMthane          47.37       0.00      47.37
     Chloroform                   45.64       0.34      46.18
     1.1-Dlchloroethene          NA           1.64       1.64
     Tetrechloroethene           NA           0.06       0.06
     Trichloroethene               4.01       0.73       4.74
     Vinyl chloride              NA           0.01       0.01

     TOTAL                        97.22       2.78      100.00

                            NA • Compound not detected In the Medium.
MKOI\RPT:ZB550303\commodor.lh6                                      6-137                                                           07/13/92

-------
                                                              Table  40


                                                   VFCC Current Worker Scenario
                                                      Lifetime Carcinogenic Risk
                                         INHALATION
                             GROMDVATER  OF  OUTDOOR    TOTAL
                              INGESTIOM      AIR         RISK
  PARAMETERS
     Bromodlchloronethane         HA         Z.8E-11     2.K-11
     Chloroform                 J.BE-08     1.TI-09     l.OE-08
     1,1-Dlchloroethene          8.9E-06     6.8E-09     8.9E-06
     Tetrachloroethene           3.7E-07     2.of-10     3.7E-07
     Trlchloroethene             1.1E-06     I.9E-09     1.1E-06
     Vinyl chloride              NA         6.BE 11     6.8E-11

     TOTAL                       1.0E-OS     1.3E-08     1.0E-05

                             NA • Compound not detected In the medium.
MK«»^RPT:2M50303\rommodor.lb6                                       6-H8                                                            07/IJ/<>2

-------
                                                              Table  41
                                                  VFCC Current Worker Scenario
                                              Lifetime Carcinogenic Risk Distribution
                                        INHALATION
                             GROUNDIMTER  OF OUTDOOR
                              I"GESUON      «m       TOMl

       •rmodlcMoronethwie        m          n nn      « M
       Chlorofom                   „ „       J-JJ      <»•«»

       t.l-D..htoW,hene           a?1I       °0%     ^'2
       Tetr^hloroetheoe             j,i       °-°T     *•"
       Trlehloroethene              t»'«       '•"?       '•»
       Voy, eh,or,de              J0^       J;g      IJ-J


                                  "•W        0.12     100.00

                            «* •  Compound not detected In the
MKOI\Rrr:ZM50»3\rommo(»or IM
                                                             6-139
                                                                                                                         07/13/W

-------
 ,\.                                                          Table 42
it:

                                                     VFCC Future Worker Scenario
                                                       Lifetime Carcinogenic Risk
                                          INHALATION    DERHAl    INHALATION
                             CROUMHMTER   UHIIE       HHILE     OF OUTDOOR    TOTAL
                               INCESTION   SIMMERING   SNOUERINfl      AIR         RISK
  PARAMETERS
      Chloroform                 3.BE-M    3.SE-07     1.0E-09     1.8E-09     3.9E-07
      1.1-Olchloroethene          1.86-05    3.6E-06     4.1C-07     7.6E-06     2.2E-05
      letrachlorocthtne           2.0E-06    4.7E-06     LIE 07     2.SE-09     2.1E-06
      Trichloroethene             LIE-OS    L2E-OS     5.0E-07     S.7E-07     2.4E-05

      TOTAL                      J.IE-OS    1.6E-05     LOE-06     6.SE-07     4.9E-05

                             NA * Confound not detected In the medium.
         r:28J30303\commodor.lh6                                       6-l<
-------
                                                                 Table 43
Cl
                       VFCC Future Worker Scenario
                  Lifetime Carcinogenic Risk Distribution
       PARAMETERS
           Chloroform
           1,1-Oichloroethene
           Tetrtchloroethene
           Irlchtoroethene

           TOTAL
GROUNDUATER
 DIGESTION

      0.08
     37.33
      4.01
     22.81
INHALATION
  WHILE
SHOWERING

     0.71
     7.44
     0.10
     24.09
  DERMAL
  WHILE
SHOWERING

      0.00
      0.84
      0.23
      1.03
INHALATION
Of OUTDOOR
   AIR

      0.00
      0.16
      0.01
      1.17
      64.21       32.33        2.10        1.33

NA • Coi*x>und not  detected in the medium.
TOTAL

    0.80
   45.76
    4.34
   49.10

  100.00
      MKOt\RPT:2H55030)\rommndor.lbA
                                      6-141
                                                                                           07/13/W

-------
               TABLE 44
Summary of Human Health Risk Results
Scenario
Private
Residential
Well
Public
Residential
Well
GWCC Future
Resident
GWCC Member
GWCC Worker
VFCC Current
Worker
VFCC Future
Worker
Child
non-cancer
total chronic
HI
0.27
a..*'
1.0
-
-
-
-
Adult
non-cancer
total chronic
HI
0.082
0.37
0.31
-
0.0036
0.055
0.93
Adult & Child
cancer total
lifetime risk
2.0E-5
4.0E-5
1.4E-4
9.9E-7
1.5E-7
l.OE-5
4.9E-5

-------
                                                             .,/..
                             Table 45



Contaminant of Concern            MCL in parts per billion (ppb)



          Bromodichloromethane        100



          Chloroform                  100



          1,2 Dichlorobenzene          75



          1,4 Dichlorobenzene         600



          1,1 Dichloroethane          810*



          1 , 2 Dichloroethane            5



          1,1 Dichloroethene            7



          1,2 Dichloroethene           70



          Tetrachloroethene             5



          1,1,1 Trichloroethane       200



          Trichloroethene               5



          Vinyl Chloride                2





* Non-carcinogenic health-based concentration

-------
                       TABLE  46
     Affected And Potentially Affected Residences To Be
     Connected To The Public Water Supply system
     Residence
1139 Rittenhouse Road
1151 Rittenhouse Road
1161 Rittenhouse Road
2660 Audubon Road
2703 Audubon Road
2705 Audubon Road
2709 Audubon Road
2711 Audubon Road
2714 Audubon^Road
2719 Audubon road
2723 Audubon Road
2729 Audubon Road

-------
                                              Table 47
                                COMMODORE SEMICONDUCTOR GROUP SITE           ^.5
                              LOWER PROVIDENCE TOWNSHIP, PENNSYLVANIA          -
                   SUMMARY OF ALTERNATIVE COSTS FOR REMEDIAL IMPLEMENTATION^
ALTERNATIVE | CAPITAL COST
O&MCOST
(30 years)
NET PRESENT
WORTH
COSTS UTILIZING THE INSTALLATION OF NEW WELLS AND STRIPPERS'
ALTERNATIVE 1
ALTERNATIVE 2
ALTERNATIVE 3 (OPTION A)
ALTERNATIVE 3 (OPTION B)
ALTERNATIVE 4 (OPTION A)
ALTERNATIVE 4 (OPTION B) "'
ALTERNATIVE 5 (OPTION A)
ALTERNATIVE 5 (OPTION B)
NONE
125,500
732,730
985,730
810,930
1,071,230
946,910
1,203,910

LUSIJ* UTlUZlMCr THE EXJ&TlNG WAl'tk iAjmX C
ADJUSTED TO REFLECT THE COSTS FOJ
VAPOR PHASE CARBON UNITS*
ALTERNATIVE 1
ALTERNATIVE 2
ALTERNATIVE 3 (OPTION A)
ALTERNATIVE 3 (OPTION B)
ALTERNATIVE 4 (OPTION A)
ALTERNATIVE 4 (OPTION B)
ALTERNATIVE 5 (OPTION A)
ALTERNATIVE 5 (OPTION B)
NONE
125400
420,000
673,000
498,200
758,500
641,500
899,400
26,640
211,800
246,700
282,500
258,00
313,900
404,300
477,400
299,800
2,564,800
3,585,300
4,244,700
3,790,900
4,680,300
5,573,700
6,657,000
OMPANY WELLS AND STRIPPERS
R INSTALLATION OF
26,640
211,800
246,700
285,200
258,000
313,900
404,300
477,400
299,900
2,564,900
3,272,500
3,932,000
3,478,200
4,367,600
5,268,300
6,352,800
       Thr i n«tircf nitcil fnr imlilliin nnrTrrlli anil Itrippr
       by Dynamic Corporation.        «•

       The caa* repotted for tuiag (he existing well* end Krippc
obutned 6am the September 21.1992, Feoability Study Coa Evaluation Report, u prepared
       to >rcounl for (be iiKillitioo of Vmpor RUJC Ccrboo Unitt
 : uken from tixJufy 1992, Rl/FS Report, •» prepared by WESTON, tnd h*vx beenmdjuced
U.S. ENVIRONMENTAL PROTECTION AGENCY
                                      Prepared by Dyounc Corponuoo
                                                 COSTSUM.TB1

-------
         V
 o  H  v  «;
 ^  C  u  £>
jy  cu  QJ
         CO
         5  o
    5  b  ^
 o>  u  _
 Qi|  Cv  £j  £3
 w'a^j  p
 Q  QJ S3  u
         a  «
 o   •  
-------