PB94-964004
                                 EPA/ROD/R04-94/170
                                 July 1994
EPA  Superfund
       Record of Decision:
       Rutledge Property Site,
       Rock HOI, SC

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           RECORD OF DECISION

SUMMARY OF REMEDIAL ALTERNATIVE SELECTION
     RDTLEDGE  PROPERTY SUPERFDND SITE

         ROCK HILL, YORK COUNTY,
              SOUTH CAROLINA
              PREPARED BY:
   U.S. ENVIRONMENTAL PROTECTION AGENCY
                REGION IV
            ATLANTA, GEORGIA

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              DECLARATION FOR THE  RECORD OF DECISION


SITE NAME AND LOCATION

Rutledge Superfund Property Site
Rock Hill, York County, South Carolina


STATEMENT OF BASIS AND PURPOSE

This decision document presents the selected remedial action for
the Rutledge Property Superfund Site (the Site), located in Rock
Hill, York County, South Carolina, which was chosen 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), 42 U.S.C.
§§ 9601 et seq.. and, to the extent practicable, the National Oil
and Hazardous Substances Pollution Contingency Plan (NCP),
40 C.F.R. Part 300 et seq.  This record of decision is based on
the administrative record for this Site.

The State of South Carolina concurs with the selected remedy.

ASSESSMENT OF THE SITE

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 public health, welfare,
or the environment.

DESCRIPTION OF THE SELECTED REMEDY

This remedial action addresses groundwater  contamination.

The major components of the selected remedy include:


     D    Extraction of contaminated groundwater;

     D    Direct discharge to POTW of extracted groundwater;

     D    Deed restrictions;

     D    Long-term groundwater monitoring; and,

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     D    Additional  work during  the remedial design phase
          including:   determining the relationship of the
          contamination detected  in the private wells to the
          contamination detected  in the on-site monitoring wells,
          collecting  additional background surface soil samples
          to confirm  that the variance in manganese levels is
          consistent  with the environmental setting, and
          collecting  additional surface water and sediment
          samples  to  determine if the selected background sample
          is representative of true background conditions.


STATUTORY DETERMINATIONS

The selected remedy is  protective of human health and the
environment, complies with Federal and State requirements that
are legally applicable  or relevant and appropriate to the
remedial action, and  is cost effective.  This remedy utilizes
permanent solutions to  the maximum extent practicable for this
Site.  The selected groundwater remedy satisfies the preference
for treatment for  this  Site.

Since selection of this remedy will result in contaminated
groundwater remaining on-site above health-based levels until the
remedial action is complete, a statutory five (5) year review
will be performed  after commencement of the remedial action to
insure that the remedy  continues  to provide adequate protection
of human health and the environment.
John H. Hankinson, Jr.                      Date
Regional Administrator

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                        TABLE OF CONTENTS
SECTION                                                      PAGE



1. 0  SITE LOCATION AND DESCRIPTION 	1

2 . 0  SITE HISTORY AND ENFORCEMENT ACTIVITIES 	4

3.0  HIGHLIGHTS OF COMMUNITY PARTICIPATION  	6

4.0  SCOPE AND ROLE OF THIS ACTION WITHIN SITE STRATEGY	7

5.0  SUMMARY OF SITE CHARACTERISTICS  	7
      5.1  Meteorology	 7
      5.2  Geologic and Hydrogeologic Setting	12
           5.2.1  Geology/Soils	12
           5.2.2  Hydrogeology	 12
      5.3  Nature and Extent of Contamination	13

6.0  SUMMARY OF SITE RISKS  	16
      6.1  Contaminants of Concern 	17
      6.2  Exposure Assessment  	18
      6.3  Toxicity Assessment of Contaminants 	18
      6.4  Risk Characterization 	20

7 . 0  DESCRIPTION OF GROUNDWATER REMEDIAL ALTERNATIVES	22
      7.1  No Action	24
      7.2  Limited Action, Institutional Controls   	25
      7.3  Groundwater Extraction and Treatment/
                Surface Water Discharge 	25
      7.4  Groundwater Extraction, POTW Discharge 	26

8. 0  SUMMARY OF COMPARATIVE ANALYSIS OF ALTERNATIVES 	27
      8.1  Groundwater Remediation Alternatives 	28
           8.1.1  Threshold Criteria  	28
           8.1.2  Primary Balancing Criteria 	28
           8.1.3  Modifying Criteria  	30

9 . 0  THE SELECTED REMEDY  	31
      9.1  Groundwater Remediation	31
           9.1.1  Description 	31
           9.1.2  Applicable or Relevant and Appropriate
                  Requirements  (ARARs)	33
           9.1.3  Performance Standards 	35
      9.2  Monitor Site Groundwater and Surface 	35

10.0  STATUTORY DETERMINATIONS  	37

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                        LIST OF APPENDICES	     	   ii
APPENDICES




      APPENDIX A - RESPONSIVENESS SUMMARY




      APPENDIX B - STATE LETTER OF CONCURRENCE

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                         LIST OF FIGURES	ill
FIGURE
   1      Site Location Map 	2
   2      Site Plan Map 	3
   3      Monitoring/Private Well Locations 	8
   4      Location of Surface Soil Samples 	9
   5      Location of Subsurface Soil Samples 	10
   6      Surface Water/Sediment Sample Locations 	11

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                          LIST OF TABLES	iv
TABLE                                                        PAGE





  1       Groundwater Remediation Levels  (Rls)  	36

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                         DECISION SUMMARY
                 RDTLEDGE PROPERTY  SUPERFUND  SITE
            ROCK HIT.T.f YORK COUNTY. SOUTH CAROLINA
1.0  SITE LOCATION AND DESCRIPTION

The Rutledge Property Site (the Site), is a 4.5 acre parcel
located between U.S. Highway 21 (Cherry Road) and Farlow Street,
just east of Cranford Street in Rock Hill, York County, South
Carolina (Figure 1).  The Site's geographic coordinates are
34°57'50" north latitude and 80°59'55" west longitude.

The property occupies two (2) plats of land:  one parcel, which
is owned by William C. Rutledge, Jr., encompasses the eastern
portion of the Site; and the second parcel, which is owned by
First Union National Bank of South Carolina, encompasses the
western portion of the Site (Figure 2).  The Site is bounded by
Cherry Road and the Rock Hill Mall to the south; First Union
National Bank of South Carolina and fast-food restaurants to the
west; residential property (single-family dwellings) and an
unnamed stream to the north; and the York Shopping Plaza to the
east.

On-site drainage is controlled by topography and man-made
drainage features.  The Site is drained by an unnamed stream,
which originates on the northern portion of the Site.  There is
another smaller drainage ditch that intersects the larger unnamed
stream.  The unnamed stream receives the ma'jority of surface
water from the 72-inch storm drain.  The origin of surface water
that flows through the 72-inch storm drain includes open land
south of the Rock Hill Mall and surface water runoff from the
Rock Hill Mall property and Cherry Road.  Another 40-inch storm
drain also intersects the unnamed stream, in the same area as the
72-inch drain.  Water from this smaller drain, originates west of
the Site.  Site runoff and surface water from the drainage ditch
also flow into the unnamed stream.  Presently, all surface water
that reaches the unnamed stream flows along its course in a
northeasterly direction for 1.9 miles and discharges into the
Catawba River.  Elevations across the Site vary from 606 feet
above mean sea level (msl) in the southern and western parts of
the Site, to 590 feet above msl in the northern portion of the
Site.

A majority of the Rock Hill residents receive potable water from
the City of Rock Hill utilities.  The residents who do not
receive their potable water from the City of Rock Hill, use both
private or community wells.

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                               ROCK HILL,
                               YORK COUNTY
-N-
      1000    0    1000   2000
          !=S5Z!=5=
          SCALE IN FEET
                                                          S OW T H

                                                        C A R\) L I N A
                             SITE LOCATION MAP

        	  RUTLEDGE PROPERTY
COM FEDERAL PROGRAMS CORPORATION  RQCK HILL, SOUTH CAROLINA
    of t*mp Dresser & MeKce IBC
                                                     Figure No. 1

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100
          -N-
                                                                           YORK
                                                                           SHOPPING
                                                                           PLAZA
                    HAPPY GARDEN
                    CHINESE
                    RESTAURANT
                                                                    LEGEND
                                                               >-<  CULVERT
                                                              ^—i  TREEUNE
                                                             	SURFACE WATER
                                                              	 SUBSURFACE
                                                                   STORM DRAIN

                                                             ----- SITE BOUNDARY
CDMFEDERALPROGRAMSCORPORATION
 subsidiary of Camp Dreiser & McKee Inc.
                               SITE PLAN MAP

                           RUTLEDGE PROPERTY
                                             CAROL|NA
                                                                         Figure No. 2

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                                               Record of Decision
                                           Rutledge Property Site
                                                           Page 4
2 . 0  SITE HISTORY AND ENFORCEMENT ACTIVITIES

The Rutledge Property (Rock Hill Chemical Company) Superfund Site
(the Site) is  located on North Cherry Road, in Rock Hill, York
County, South  Carolina.  The Site covers approximately 4.5 acres
of land in a light commercial and residential area, across from
the Rock Hill  Mall.  From  1960 through 1964, the Site was the
location of the Rock Hill  Chemical Company (RHCC), a facility
where paint solvents were  distilled and reportedly, textile dye
products were  recovered.   While RHCC was operating, residue from
RHCC's distillation still  bottoms, drum bottoms, 'and storage tank
bottoms, were  placed in piles on the surface of the facility
property and later covered with fill dirt and construction
debris.  During its operation, RHCC accepted waste oils and
solvents from  generators,  separated them, and sold the extracted
solvents and oils back to  the generators.

The reclamation process used a single pot still, a filter press,
and a* small steam generator.  In this operation, waste fluids
were reprocessed by separating solvents from the oil phase,
filtering the  oil through  a charcoal filter press, and
repackaging the reclaimed  oil for distribution to clients.  The
waste fluids initially were contained in drums, but as the
process expanded, above ground storage tanks were added as
needed.

Paint sludges, textile dye products, still bottoms, and other
wastes generated during the reclamation process, were stored in
piles placed directly onto the ground.  In some cases, waste
products were  buried at the Site.  Still bottoms generated from
the reclamation process, were incorporated into various layers of
fill dirt and  construction debris was used to fill low areas of
the property to help support heavy machinery-  Tanks that were
used to hold liquid wastes before reclamation had, on occasion,
leaked onto the ground, creating a potential source of
contamination.  One such leak was caused by a faulty tank valve.
Another release occurred when a valve on one of the tanks was
deliberately opened by a trespasser, which caused chemicals to
spill onto the ground.

By late 1961,  the demand by RHCC clients for reclaimed oil
diminished, and a surplus  remained in inventory.  Much of this
residual inventory was consumed by RHCC as fuel for its steam
generator until the company ceased operations late in 1964, or
was reprocessed and sold to various customers.  In October 1964,
a fire at the  facility caused drums of oil and chemicals to
explode, releasing their contents into the environment.  After
the fire, the  RHCC partnership was dissolved.  Since that time,
no other industrial activity has taken place at the Site.

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                                               Record of Decision
                                           Rutledge Property Site
                                           	Page 5
In 1984, First Federal Savings Bank began to construct a branch
office on the lots it purchased in 1972.  The bank had made no
use of the property for the previous twelve (12) years it had
owned the land.  During construction activities, it was
discovered that the property was contaminated.  At the time of
the 1984 discovery, First Federal Savings Bank promptly notified
the State of South Carolina Department of Health and
Environmental Control (SCDHEC) and employed consultants to
analyze the property and determine the extent of the
contamination.

First Federal Savings Bank's consultants discovered distillation
still bottoms, metal drums, and other hazardous substances buried
beneath the surface of First Federal Savings Bank's property.
Under the supervision of SCDHEC, First Federal Savings Bank
conducted a removal action on its property which was completed in
November 1986, and received SCDHEC approval in December 1966.

During the 1986 removal action, the previously contaminated
portion of the property was excavated, the contaminated soil was
deposited in an approved landfill, and the affected portion of
First Federal Savings Bank's property was covered by a clay cap.
In late 1987, EPA's Emergency Response Team used CERCLA funds to
remove approximately 46,000 gallons of waste from the above
ground tanks, along with an unknown amount of contaminated soil.
This material was transferred to a RCRA-regulated facility.

Over the years, prior to the remedial investigation, there have
been fourteen (14) sampling investigations at the Site.  These
investigations were directed by Federal, State and local agencies
in an attempt to characterize and determine the nature and extent
of environmental contamination.  In these previous studies,
samples were collected from soil, groundwater, surface water,
sediment, as well as waste samples from drums and five (5) above-
ground storage tanks.  Analytical results of these samples have
confirmed the presence of contaminants in all of the media
sampled.

Based upon this information, EPA proposed the Site for inclusion
on the National Priorities List (NPL) on June 24, 1988, and EPA
finalized the Site on the NPL on February 21, 1990, with a hazard
ranking score of 40.29.

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                                               Record of Decision
                                           Rutledge Property Site
                                           	          Pacre 6
On May 23, 1991, EPA issued special notice letters and
general/special notice letters pursuant to Section 122(e) of
CERCLA, 42 U.S.C. § 9622(6), along with CERCLA Section 104(e),
42 U.S.C. § 9604(e), information requests to all potentially
responsible parties (PRPs).  The special notice letters and
general/special notice letters offered the PRPs the opportunity
to perform, finance or otherwise participate in the remedial
investigation/feasibility study (RI/FS) activities at the Site.

On August 21, 1991, however, the PRPs notified EPA that they were
not going to sign the Administrative Order on Consent for the
RI/FS.  EPA notified the PRPs that EPA was conducting the RI/FS
utilizing money from the Hazardous Substance Superfund.  Field
work for the RI began in March 1992.

3.0  HIGHLIGHTS OF COMMUNITY PARTICIPATION

An information repository for the Site, which includes the
Administrative Record, was established at the York County Library
in March 1992, and is available to the public at both the
information repository maintained at the York County Library,
138 East Black Street, Rock Hill, South Carolina, 29731, and at
EPA, Region IV Library, 345 Courtland Street, Atlanta, Georgia,
30365.  A mailing list was established for the Site and a fact
sheet was mailed in March 1992.  The fact sheet outlined the
following:  the objectives of the RI, a summary of the Site
history, the various opportunities for public involvement
(including Technical Assistance Grants), the location of the
information repository, and an announcement of a public meeting
that was held in Rock Hill on March 19, 1992.

EPA issued a proposed plan in February 1994, which outlined EPA'8
preferred alternative.  A public comment period for the proposed
plan was held from February 22, 1994, to March 24, 1994.  EPA
held a public meeting on March 1, 1994, where EPA representatives
answered questions regarding the Site and the remedial
alternatives under consideration, which were outlined in the
proposed plan.  EPA received a request for an extension to the
public comment period, and extended the comment period to April
25, 1994.

EPA received oral comments during the March 1, 1994, public
meeting, and written comments during the sixty (60) day public
comment period.  Responses to the comments received by EPA are
included in the Responsiveness Summary (Appendix A).

This ROD presents EPA's selected remedial action for the Site,
chosen in accordance with CERCLA, as amended by SARA, and to the
extent practicable, the NCP.  The remedial action selection for

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                                               Record of Decision
                                           Rutledge Property Site
                                            	Pace 7
this Site is based on information contained in the Administrative
Record.  The public and state participation requirements under
Section 117 of CERCLA, 42 U.S.C. S 9617, have been met for this
Site.

4.0  SCOPE AND ROLE OF THIS ACTION WITHIN SITE STRATEGY

Two (2) removals, one in 1986, and the other in 1987, reduced the
risk from exposure to contaminated soil as well as reduced the
leaching of contaminants from the soil to the groundwater.  This
was confirmed during the remedial investigation.  Therefore,
according to the Baseline Risk Assessment, no additional cleanup
of the Site soil is necessary.

The purpose of the remedial alternative selected in this ROD is
to reduce potential future risks at this Site from exposure to
contaminated groundwater.  There is no unacceptable current risk
present at the Site.  The groundwater remedial action is expected
to eliminate the potential future risks to an on-site resident,
that potentially could use contaminated groundwater for potable
wate.r supply.  This is the only ROD contemplated for this Site.

5.0  SUMMARY OF SITE CHARACTERISTICS

The RI investigated the nature and extent of contamination on and
near the Site, and defined the potential risks to human health
and the environment posed by the Site.  A supporting RI objective
was to characterize the Site-specific geology and hydrogeology.
A total of sixty-five (65) soil samples, fifty-six (56)
groundwater samples, seven (7) surface water samples, and seven
(7) sediment samples were collected during the RI.  Field work
for the RI began in March 1992, during which soil and surface
water samples were collected, and a well survey was conducted.
Monitoring wells were installed and sampled from June to July
1992, along with several private wells.  Additional monitoring
wells were installed and sampled from December 1992, to January
1993.  The final RI/FS report was completed in January 1994.
Locations of groundwater samples from monitoring wells and
private wells, surface soil, subsurface soil, surface water, and
sediment samples are shown in Figures 3 through 6.

5.1  Meteorology

The Site is located in the Piedmont physiographic province and
the Charlotte Belt geologic province of South Carolina.  Summers
are long with warm weather generally lasting from May to
September.  Winters are mild and relatively short with freezing
temperatures occurring about half of the days in winter.  Average
annual daily maximum and minimum temperatures are 74°F and 50°F,
respectively.  The average annual rainfall amount is 46.7 inches

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100
                                                            YORK
                                                            SHOPPING
                                                            PIAZA
              HAPPY GARDEN
              CHINESE
              RESTAURANT
                                                     SUBSURFACE
                                                     S"3RM DRAIN
                                                     WSJ. LOCATION
                                                  A  S'^FF GAUGE
                 MONITOR/PRIVATE WELL LOCATIONS
                 	  RUTLEDGE PROPERTY
                         ROCK HILL, SOUTH CAROLINA
                                  T
Figure No. 3

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100
                                                          YORK
                                                          SHOPPING
                                                          PLAZA
                                                >-<  CULVERT
                                                    TREEUNE

                                               	SURFACE WATER

                                               	 SUBSURFACE
                                                    STORM DRAIN
                                                 •  SAMPLE LOCATION
 LOCATION OF SURFACE SOIL SAMPLES

	  RUTLEDGE PROPERTY
              HILL, SOUTH CAROLINA
                                                               Figure No. 4

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      100
                      HAPPY GARDEN
                      CHINESE
                      RESTAURANT
     CULVERT

 ^~~^ TREEUNE
	 SURFACE WATER

	 SUBSURFACE
     STORM DRAIN
  ®  SAMPLE LOCATION
                   LOCATION OF SUBSURFACE SOIL SAMPLES

                               RUTLEDGE PROPERTY
CDM FEDERAL PROGRAMS CORPORATION  RQCK H|LL SOUTH CAROLINA
• subsidiary ot Clmp Dreiser & McKee Inc.                       '
          Figure No. 5

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                                                    "-SW/SO-08
    100
                  -APPY GARDEN
                  :HINESE
                  RESTAURANT
                                                      >-< CULVERT

                                                     ^-^ TREEUNE

                                                    	SURFACE WATER

                                                    	 SUBSURFACE
                                                         STORM DRAIN

                                                      ^  SAMPLE LOCATION
               SURFACE WATER/SEDIMENT SAMPLE LOCATIONS

              	  RUTLEDGE PROPERTY
COM FEDERAL PROGRAMS CORPORATION  anrif UH i  em ITU CAROLINA
iubsidjio. of C»rap Dresser & McKec Inc.
                                                                     Figure No. 6

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                                               Record of Decision
                                           Rutledge Property Site
                                          .	       Paoe 12
and the annual evaporation rate is 41 inches resulting in a
yearly net rainfall of 5.7 inches.  The two-year/ 24-hour
rainfall amount is 3.25 inches.

5.2  Geologic and Hvdroqeoloaic Setting

5.2.1 Geology/Soils

The Site is located in the Piedmont physiographic province and
the Charlotte Belt geologic province of South Carolina.  The
Piedmont is a broad plateau ranging from 400 to 1200 feet above
sea level.  Piedmont areas are characterized by low, rounded,
gently sloping hills having relatively deeply incised dendritic
drainage patterns.  Piedmont sites typically have a thick layer
of highly weathered residual soil and weathered rock (saprolite)
overlying competent bedrock.

Residual materials at the Site generally consist of sandy, clayey
silt, fine sand and silt.  The contact between the saprolite and
bedrock typically is gradational and is often characterized by a
zone of fractured rock material.  Saprolite is weathered
decomposed in-place rock which is characterized by its retention
of the original fabric or structure of the parent bedrock.  The
residual soil and saprolite thickness in the Piedmont is
variable, but may be greater than eighty (80) feet.

The Piedmont province is characterized by metamorphic rocks which
have been intruded by igneous rocks.  The metamorphic rocks of
the Charlotte Belt include schist, gneiss, amphibolite, and meta-
gabbro.  Igneous rocks range in composition from granite to
gabbro.  Geologic mapping of the Rock Hill area indicates that
the Site is underlain by gabbro.  Unconsolidated soils consist of
a surficial layer of alluvium underlain by saprolite.  At the
Site, the alluvium consists of black-to-grey to green-to-blue
sandy, clayey silt.  The alluvium ranged in thickness from 5.5 to
9.0 feet.  The underlying saprolite consists of green-to-tan-to-
brown fine sand and silt ranging in thickness from 3.4 to 22
feet.

5.2.2  Hydrogeology

Information on the hydrogeology of the Site was obtained from the
sixteen  (16) monitoring wells installed during the RI and four
(4) existing wells.  Groundwater at the Site is first encountered
in the unconsolidated soil zones overlying bedrock.  The water
table was encountered at depths ranging from approximately five
(5)  feet to approximately eight (8) feet below land surface.  The
direction of groundwater flow within both aquifers is toward Site
surface water.

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                                               Record of Decision
                                           Rutledge Property Site
                                          	Page 13
The ability for groundwater to move horizontally through the
underlying aquifer system was evaluated using the hydraulic
conductivity values determined from the rising head tests made in
the soil and rock units.  The average horizontal hydraulic
conductivity of the soil aquifer ranged from 0.14 to 2.62 feet:
per day and averaged 1.07 feet per day.  The horizontal hydraulic
conductivity in the rock wells ranged from 0.018 to 58.2 feet per
day and averaged 1.7 feet per day.  Average hydraulic
conductivities were calculated using a geometric mean.

The ability for groundwater to move vertically through the soil
unit was evaluated by measuring the hydraulic conductivity of
four (4) Shelby tube samples collected during the subsurface
investigation.  These Shelby tube samples were then sent to a
geotechnical laboratory and tested for vertical hydraulic
conductivity.  The vertical hydraulic conductivity of the soil
unit ranged from 1.7 x 10"5 to 0.15 feet per day and averaged
1.45 x 10'2 feet per day.  As previously mentioned, the average
value was calculated using a geometric mean.

The hydraulic gradient in the soil unit, based on the January 27,
1993, water level data, varies from 0.021 to 0.1 feet per foot
and averages 0.044 feet per foot.  Using an average horizontal
hydraulic conductivity of 1.07 feet per day, an average hydraulic
gradient of 0.044 feet per foot, and an average effective
porosity of 0.20 (typical for silty material), the average
horizontal groundwater seepage velocity for the soil aquifer is
0.24 feet per day.

The hydraulic gradient in the rock unit, based on the January 27,
1993, water level data, varies from 0.008 to 0.055 feet per foot
and averages 0.024 feet per foot.  Using an average horizontal
hydraulic conductivity of 1.7 feet per day, an average hydraulic
gradient of 0.024 feet per foot, and an effective porosity of
0.05 (typical for highly weathered gabbro), the average seepage
velocity for the upper rock unit is 0.82 feet per day.

5.3  Nature and Extent of Contamination

Environmental contamination at the Site can be summarized as
follows:

Groundwater Contamination.   Sixteen (16) groundwater samples
from temporary wells were collected and analyzed for selected
parameters, prior to the installation of permanent monitoring
wells.  Ten (10) permanent monitoring wells were installed during
the second phase of field work and were sampled and analyzed for
all target compound list/target analyte list (TCL/TAL)
parameters, along with three (3) previously existing monitoring
wells and four (4) private wells  (July 1992).  Six (6) additional
wells were installed during the third phase of field work
(December 1992 to January 1993).  All sixteen  (16) permanent

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                                               Record of Decision
                                           Rutledge Property Site
                                           	           Paoe 14
monitoring wells were then sampled and analyzed for all TCL/TAL
parameters, along with the three (3) previously existing
monitoring wells and the four  (4) private wells (January 1993).

Four (4) contaminants of concern (COCs), trichloroethene (TCE),
1,2-dichloroethene, vinyl chloride, and manganese, were detected
in the groundwater.  These COCs were determined in the Baseline
Risk Assessment which is described below in Section 6.0.

TCE was the most common volatile organic contaminant as it was
detected in three (3) groundwater samples.  1,2-dichloroethene
was also detected in two (2) groundwater samples.  The highest
volatile organic contaminant detected was TCE at 84,000
micrograms/ liter (/zg/1), which is well above the maximum
contaminant level (MCL) of 5 /zg/1 for this contaminant.  The
highest detection level of 1,2-dichloroethene was 1200 /^g/1,
which is also well above its MCL of 70 /jg/1.  Vinyl chloride was
detected at 26 ^g/1, which exceeds its MCL of 2 Atg/1, and the
highest detection for manganese was 3600 Atg/1, which greatly
exceeds the risk-based cleanup level of 200
Due to the fact that very low levels of Site-related
contamination were detected in the private wells  (Figure 3),
further evaluation of  the construction characteristics of the
private wells will be  required in the remedial design.  The
primary private wells  of  concern are PW-03 and PW-04.  Two
off-site private wells, PW-01 and PW-02, may also be studied.
If the screened depths of these private wells exceed the screened
depths of the on-site  monitoring wells, additional monitoring
wells may be required. These additional monitoring wells will be
used to fully demonstrate that there is no Site related aquifer
contamination, at unacceptable risk levels, at the deeper
screened depths.

Surface and Subsurface Soil Contamination.   A total of sixty-
five (65) soil samples were collected and analyzed for all
TCL/TAL parameters .  There were no contaminants of concern as
determined in the Baseline Risk Assessment.  A further discussion
of the Baseline Risk Assessment is described below in Section
6.0.

No volatile organic contaminants were detected in the surface
soil samples, however  several volatile organic contaminants were
detected in the subsurface soil samples.  The highest of these
was acetone, up to 2.2 milligrams /kilogram (mg/kg) estimated,
which was also found in a background sample.  Several semi-
volatile organic contaminants were detected in the surface soil
samples, but only one  was detected in a single subsurface soil
sample.  All detected  levels were below 1 mg/kg, however.  A few
pesticides and polychlorinated biphenyls  (PCBs) were detected at
very low levels, all were well below 1.0 mg/kg, in a few surface
and/or subsurface soil samples.

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                                               Record of Decision
                                           Rutledge Property Site
                                          	Page 15
Several metals were detected in the surface and subsurface soil
samples at levels greater than two (2) times background/ however
these levels were only found in a few samples.  The remaining
sample locations in which these same metals were detected were
primarily below two (2) times background levels.

Manganese was detected in the surface soil samples and ranged
from 110 nag/kg to 4500 mg/kg.  However, background surface soil
samples ranged from 370 mg/kg to 5900 mg/kg.  The highest level
detected for lead was 340 mg/kg (estimated) in a surface soil
sample and 99 mg/kg (estimated) and 150 mg/kg (estimated, in a
duplicate of the same sample) in a subsurface soil sample.  Zinc
was detected in the surface soil samples significantly above
background at 530 mg/kg.

Due to a concern over the high variance of manganese levels in
the surface soil background samples, additional sample(s) will be
collected during the remedial design phase to confirm that this
variance is consistent with the environmental setting.

Surface Water Contamination.   Seven  (7) surface water samples
from the unnamed stream and drainage ditch, and from inside the
72-inch drain, were collected and analyzed for all TCL/TAL
parameters.  Surface water run-off from the Rock Hill Mall and
Cherry Road flow through the 72-inch drain and the unnamed
stream.  There were no contaminants of concern as determined in
the Baseline Risk Assessment.  A further discussion of the
Baseline Risk Assessment is described below in Section 6.0.

No semi-volatile organic contaminants, pesticides, or PCBs were
detected in any of the samples.  A few volatile organic
contaminants were detected in all of the samples, though a
specific contaminant may have been detected in just one sample.
The highest level detected, Tetrachloroethene at 65 ug/1, was
from the background sample collected  from  inside the 72-inch
drain.  This same contaminant was also detected further
downstream at lower concentrations.   Because these contaminants
were detected in the  "background" sample,  additional surface
water sample(s) will be collected during the remedial design
phase to determine if this background sample is representative of
true background conditions.  Several metals were also detected,
but were primarily found at less than two  times background or at
levels representative of naturally occurring levels for this
area.

Sediment Contamination.   Seven  (7) sediment samples from the
unnamed stream and drainage ditch, and from inside the 72-inch
drain, in the same locations as the surface water samples, were
collected and analyzed for all TCL/TAL parameters.  There were no
contaminants of concern as determined in the Baseline Risk
Assessment.  A further discussion of  the Baseline Risk Assessment
is described below in Section 6.0.

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Three  (3) volatile organic contaminants were detected in three
(3) of the sediment samples.  Tetrachloroethene was detected in
the background sample at 0.120 mg/kg, which was the highest
detected concentration, though it was also detected further
downstream.  Because these contaminants were detected in the
background sample, additional sediment sample(s) will be
collected during the remedial design to determine if this
background sample is representative of true background
conditions.

Semi-volatile organic contaminants were detected in all of the
samples, with the highest levels found in sediment sample SD-03.
Fluoranthene at 4.8 mg/kg was the highest contaminant detected.
Most of the semi-volatile organic contaminants were also detected
at significant levels in the background sample.  Metals were
detected in the samples.  The maximum detected concentration was
lead at an estimated value of 0.58 mg/kg.  The remaining metals
detected were primarily less than two times background.

6.0  SUMMARY OF SITE RISKS

A Baseline Risk Assessment was conducted to evaluate the risks
present at the Site to human health and the environment, under
present day conditions and under assumed future use conditions.
The purpose of a Baseline Risk Assessment is to provide a basis
for taking action and to identify the contaminants and the
exposure pathways that need to be addressed by the remedial
action.  It serves as an indication of the risks posed by the
Site if no action were to be taken.

This section of the ROD contains a brief summary of the results
of the Baseline Risk Assessment conducted for the Site.  The Site
land use is currently commercial.  There is, however, the
potential for part of the Site to become residential in a future
use scenario, and that a future resident potentially could
install a private well for potable use.  This is based on the
fact that there are nearby residential areas adjacent to the
Site,  and that some of these residents use groundwater as a
potable source of water.

Carcinogenic risk and noncarcinogenic Hazard Index  (HI) ratios
were calculated for both the current land use scenario, with
residents near the Site  (Site visitor), as well as on-site
workers, and the potential future land use scenario, which is
residential.  The Baseline Risk Assessment determined that the
total  cancer risk for the current Site visitor scenario is
3.34 x 10~6, and that the total cancer risk for the  current on-
site worker scenario is  2.05 x 10"6.  These risk  levels only
slightly exceed the lower target level of 1 x  10~6,  but is still
well within EPA's acceptable risk range of 1 x 10"*  to  1 x 10"6.
The Site, therefore, does not pose an unacceptable cancer risk
under  the current exposure scenario.  The total HI  for the

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current Site visitor scenario is 0.31 and for the current: on-site
worker scenario is 0.26.  These His are below any level of
concern for nonearcinogens (1.0) and indicate that the Site does
not pose an unacceptable non-carcinogenic risk under the current
exposure scenario.  Therefore, there is no unacceptable current:
risk at the Site.

The Baseline Risk Assessment also determined that the total
cancer risk for the future Site residential scenario was
2.63 x 10~2.  This risk  level is not within EPA's acceptable risk
range (1 x 10'4 to 1 x 10'6).  The HI for  the  future  Site
residential scenario was 400 for an adult and 950 for a child;
these levels exceed the acceptable HI of 1.0.  The carcinogenic
and non-carcinogenic risks are attributable to the ingestion of
groundwater.  No substantial risk to wildlife or the environment
was found to exist under present conditions or future conditions.

The Baseline Risk Assessment concluded that the surface soils,
the surface water, and the sediments at the Site are not media of
concern.  During the FS, it was determined that the subsurface
soil was not a media of concern.  The Baseline Risk Assessment
determined that the groundwater was the only media posing an
unacceptable level of risk to human health or the environment.
The actual or threatened releases of hazardous substances from
this Site, if not addressed by implementing the response action
selected in this Record of Decision, may present an imminent and
substantial endangerment to public welfare or the environment.

6.1  Contaminants of Concern

Data collected during the RI were evaluated in the Baseline Risk
Assessment.  Contaminants were not included in the Baseline Risk
Assessment evaluation if any of the following criteria applied:


     *    If an inorganic compound or element, it was not
          detected at or above twice the background
          concentration.

     *    If an inorganic compound or element, it was detected at
          low concentrations, had very low toxicity, and was
          judged to be naturally occurring.

     *    The sampling data included analytical results flagged
          as "N"  (presumptive evidence) or "R" (not usable).


The results of the Baseline Risk Assessment concluded that the
only medium of concern was the groundwater, and that the
contaminants of concern were TCE, 1,2-dichloroethene, vinyl
chloride, and manganese.  Levels of the  1,2-dichloroethene ranged
from non-detect  (the detection limit was normally 0.010 mg/1) to

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1200 Atg/1.  TCE ranged from non-detect to 84,000 /jg/1.  Vinyl
chloride levels ranged from non-detect to 26 Atg/1, and manganese
levels ranged from non-detect to 3,600 /jg/1.

For each contaminant of concern, exposure point concentrations
were determined in the Baseline Risk Assessment.  The upper
ninety-five percent (95%) confidence limit of the arithmetic mean
of all detections was used, unless it exceeded the maximum
detected concentration.  If this occurred, then the maximum
detected concentration was used.  The exposure point
concentrations calculated in the Baseline Risk Assessment for
groundwater were 434 fjg/1 for 1,2-dichloroethene, 84,000 nq/1 for
TCE, 26 Atg/1 for vinyl chloride, and 3600 ^g/1 for manganese.

6.2  Exposure Assessment

The Site land use is currently commercial.  There is, however,
the potential for part of the Site to become residential in a
future use scenario, and that a future resident potentially could
install a private well for potable use.  This is based on the
fact that there are nearby residential areas adjacent to the
Site, and that some of these residents use groundwater as a
potable source of water.  In addition, therp are other potable
wells within a half-mile radius of the Site.  Municipal water,
however, is available to the area.  The Baseline Risk Assessment
determined that the population that could potentially be exposed
to Site contaminants would be potential future on-site residents.
Based on this information, the Baseline Risk Assessment
determined that the reasonable exposure pathways consist of
ingestion of chemicals in contaminated groundwater and inhalation
of chemicals volatilized during non-ingestion domestic water use,
e.g. s howering.

The following future use scenario exposure assumptions were used*
for exposure to the non-carcinogens by an adult resident, it was
assumed that the adult resident would ingest two (2) liters per
day of groundwater for a twenty-four (24) year period.  It was
assumed that a child would be exposed for six (6) years, and
would only consume 1 liter per day of water.  For carcinogens,
the time period used was seventy (70) years.  An inhalation rate
of 0.83 cubic meter/hour was assumed for a 15-minute shower
duration.

6.3  Toxicity Assessment of Contaminants

The purpose of the toxicity assessment is to assign toxicity
values (criteria) to each chemical evaluated in,the Baseline Risk
Assessment.  The toxicity values are used in combination with the
estimated doses to which a human could be exposed  (as discussed
in the Risk Characterization subsection of the Baseline Risk
Assessment) to evaluate the potential human health risks
associated with each- contaminant.  Human health criteria

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developed by EPA (cancer slope factors and non-cancer reference
doses) were either obtained from the Integrated Risk Information
System (IRIS, 1993) or the 1992 Health Effects Assessment Summary
Tables (HEAST; EPA/ 1992).  In some cases the Environmental
Criteria Assessment Office (ECAO, 1992) was contacted to obtain
criteria for chemicals which were not listed in IRIS or HEAST.

EPA has developed slope factors (SF) to estimate excess lifetime
cancer risks associated with exposure to potentially carcinogenic
contaminants of concern.  Sfs, which are expressed as risk per
milligram per kilogram of dose, are multiplied by the estimated
intake of a potential carcinogen, in mg/kg-day, to provide an
upper-bound estimate of the excess lifetime cancer risk
associated with exposure at that intake level.

The term "upper bound" reflects the conservative estimate of the
risks calculated from the SF.  Use of this approach makes
underestimation of the actual cancer risk highly unlikely.  Slope
factors are derived from the results of human epidemiological
studies or chronic animal bioassay data to which mathematical
extrapolation from high to low dose, and from animal to human
dose, has been applied, and statistics to account for uncertainty
have been applied (e.g. to account for the use of animal data to
predict effects on humans).

EPA has also developed reference doses (RfDs) to establish the
potential for adverse human health effects from exposure to the
contaminants of concern exhibiting noncarcinogenic effects.
RfDs, which are expressed in units of mg/kg-day, are estimates of
daily exposure levels for humans, including sensitive
subpopulations, that are likely to be without risk of adverse
effect.  Estimated intakes of contaminants of concern from
environmental media (e.g. the amount of chemicals of concern
ingested from contaminated drinking water) can be compared to the
RfD.  RfDs are derived from human epidemiological studies or
animal studies to which uncertainty factors have been applied
(e.g., to account for the use of animal data to predict effects
on humans).

Carcinogenic contaminants are classified according to EPA's
weight-of-evidence system.  This classification scheme is
summarized below:

      Group A:  Known human carcinogen.

     Group Bl:  Probable human carcinogen, based on limited human
                epidemiological evidence.

     Group B2:  Probable human carcinogen, based on inadequate
                human epidemiological evidence but sufficient
                evidence of carcinogenicity in animals.

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      Group C:  Possible human carcinogen, limited evidence of
                carcinogenicity in animals.

      Group D:  Not classifiable due to insufficient data.

      Group E:  Not a human carcinogen, based on adequate
                animal studies and/or human epidemiological
                evidence.

TCE is classified as a B2 carcinogen.  The oral slope factor used
for TCE was 1.10 x 10'2 and the inhalation slope factor was
1.70 x 10~2  (the reference used was Dollar hide, 1992).  The oral
slope factor used for vinyl chloride was 1.90 and the inhalation
slope factor was 3.00 x 10'1  (HEAST,  1992).  The reference dose
used for 1,2-dichloroethene, oral only, was 1.00 x 10"2  (HEAST,
1992).  The reference dose used for TCE, oral only, was
6.00 x 10~3  (Dollarhide,  1992).  The  reference dose for
manganese, oral, was 5.00 x 10~3  (IRIS,  1993).

6.4 . Risk: Characterization

The final step of the Baseline Risk Assessment, the generation of
numerical estimates of risk, was accomplished by integrating the
exposure and toxicity information.       \

For a carcinogen, risks are estimated as the incremental
probability of an individual developing cancer over a lifetime as
a result of exposure to the carcinogen.  Excess lifetime cancer
risk is calculated from the following equation:

Risk » GDI x SF

where:

       Risk - a unit-less probability (e.g. 2 x 10"5) of an
                   individual developing cancer,

        CDI = chronic daily intake averaged over seventy  (70)
              years  (mg/kg-day), and

         SF = slope-factor, expressed as (mg/kg-day)"1


These risks are probabilities that are generally expressed in
scientific notation  (e.g. 1 x 10*6).  An excess lifetime cancer
risk of 1 x 10'6 indicates that, as a reasonable max <«"."»
estimate, an individual has a 1 in 1,000,000 chance of developing
cancer as a result of Site-related exposure to a carcinogen over
a seventy (70) year  lifetime period  under the specific exposure
conditions at a site.

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The potential for noncarcinogenic effects is evaluated by
comparing an exposure level over a specified time period (e.g.,
life-time) with a reference dose derived for a similar exposure
period.  The ratio of exposure to toxicity is called a hazard
quotient (HQ).  An HQ less than 1 indicates that a receptor's
dose of a single contaminant is less than the RfD, and that the
toxic noncarcinogenic effects from that chemical are unlikely.
By adding the Hgs for all contaminants of concern that affect the
same target organ (e.g. liver) within a medium or across all
media to which a given population may reasonably be exposed, the
Hazard Index (HI) is generated.  An HI less than 1 indicates
that, based on the sum of all Hgs from different contaminants and
exposure routes, toxic noncarcinogenic effects from all
contaminants are unlikely.

The HQ is calculated as follows:

       Non-cancer HQ = CDI/RfD

where:

       GDI = Chronic Daily Intake

       RfD = reference dose; and


CDI and RfD are expressed in the same units and represent the
same period (i.e., chronic, subchronic, or short-term).

It was determined in the Baseline Risk Assessment that there is
no current unacceptable carcinogenic or non-carcinogenic risk at
the Site.

Under the future use scenario, the lifetime carcinogenic risk
associated with all the exposure pathways is estimated to be
1.47 x 10~2  for  an adult  and  1.16 x  10~z for a child.   The overall
carcinogenic risk for a future resident is 2.63 x 10~2.   The
estimated lifetime carcinogenic risk is due primarily to the
potential ingestion and inhalation of contaminants in the
groundwater.

Under the future use scenario, the lifetime noncarcinogenic risk,
associated with all the exposure pathways is estimated to be HI »
400 for an adult resident, and 950 for a child resident.  This
noncarcinogenic risk is due to the potential ingestion of
contaminants in the groundwater.

Because the land use adjacent to the Site is zoned for both
residential and commercial use, the ecological communities
surrounding the Site have been altered from their natural state.

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No state or federally designated endangered or threatened species
are found at the Site.

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

7.0  DESCRIPTION OF GROUNDWATER REMEDIAL ALTERNATIVES

The FS considered a wide variety of general response actions and
technologies for remediating groundwater.  No other media at the
Site require remedial action.

Based on the FS, Baseline Risk Assessment, and Applicable or
Relevant and Appropriate Requirements (ARARs), the remedial
action objectives (RAOs) listed below were established for the
Site.  Alternatives were developed with the goal of attaining
these objectives:


     •    Reduce to acceptable levels the excess risk to humans
          and environmental receptors associated with the medium
          and contaminants of concern at the Site.  This will be
          accomplished by reducing the concentrations of
          contaminants that result in excess risk to human health
          and the environment.

     •    Reduce the potential for ingesting contaminants in the
          groundwater or inhaling volatilized contaminants from
          the groundwater from the Site where:

          •    Carcinogen concentrations are above Federal or
               State standards, or in the absence of standards,
               are above levels that would exceed an acceptable
               cancer risk range of 1 x 10~4 to 1 x 10~6;

          •    Noncarcinogen concentrations are above Federal or
               State standards, or in the absence of standards,
               are above levels that would exceed an acceptable
               Hazard Index  (HI) of 1.0.


Technologies considered potentially applicable to groundwater
contamination were further evaluated based upon their
effectiveness and implementability.  Listed below are those
alternatives which passed this final screening, and are proposed
for groundwater remediation.

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Alternative 1:  No Action

Alternative 2:  Limited Action, institutional controls

Alternative 3:  Groundwater extraction, treatment, and surface
                water discharge

Alternative 4:  Groundwater extraction, POTW discharge

Each of the four (4) alternatives is discussed below.
Alternatives 1 and 2 will not meet the remediation goals
presented in Section 9.1.3 of this ROD.  Alternatives 3 and 4
will meet the remediation goals through treatment.

"O&M costs" refer to the costs of operating and maintaining the
treatment described in the alternative.  The treatment period for
Alternatives 3 & 4 was assumed to be thirty (30) years.

Groundwater monitoring for Alternatives 1 & 2 was assumed for the
purposes of projecting costs, to be for the five (5) year reviews
only.  Monitoring for Alternatives 3 & 4 was assumed, for the
purpose of projecting costs, to be once a week for the influent
and effluent for thirty (30) years and for the twenty (20)
monitoring wells, once a quarter for the first five  (5) years and
semi-annually for the next twenty-five (25) years.  O&M costs
were calculated using a seven percent  (7%) discount rate per
year.

Certain sections of Federal and State environmental statutes (see
Section 9) are applicable, or relevant and appropriate
requirements  (ARARs) for the Site, and must be met by the
selected remedial alternative or waived with justification
provided as to why that ARAR was waived.  Site groundwater is
classified by South Carolina as Class GB (SC Water
Classifications and Standards, Regulation 61-68), and by EPA as
Class IIA  (Guidelines for Ground Water Use and Classification,
EPA Ground Water Protection Strategy, US EPA 1986).

Alternatives  1 and 2 would not meet the relevant and appropriate
ARARs identified in Section 9, concerning groundwater as a
potable water source.  The National Primary and Secondary
Drinking Water Standards, promulgated under 40 C.F.R. Parts 141-
143, and the State of South Carolina Primary Drinking Water
Regulations, SC Reg. 61-58, would not be met because Alternatives
1 and 2 do not involve treatment of the contaminated groundwater,
and contaminants in the Site groundwater violate the MCLs
specified in these Federal and State regulations.  These ARARs
would be met by Alternatives 3 and 4.

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In addition, the CERCLA preference for treatment to reduce the
toxicity, mobility, or volume of the contaminants, wherever
possible, would not be satisfied by Alternatives 1 or 2 since no
treatment is involved.  The remaining Alternatives, 3 and 4,
would achieve these standards, and would also meet the CERCLA
preference for treatment, since they are active treatment
technologies.

Alternative  3 would be subject to the following ARARs or criteria
to be considered (TBCs) because of the on-site treatment plant
aspect of the alternative:  National Ambient Air Quality
Standards (NAAQS), 40 C.F.R. Part 50; National Emissions
Standards for Hazardous Air Pollutants (NESHAPs), 40 C.F.R. Part
61, TBC; South Carolina Ambient Air Quality Standards (S.C. Reg.
R61-62).  Alternatives 3 and 4 would both be subject to the South
Carolina Well Standards and Regulations, (R61-71), since both
alternatives involve the installation of extraction wells.

Other ARARs  for Alternative 3 include the Clean Water Act
Pretreatment Standards (40 C.F.R. Parts 122, 125, 129, 133, and
136), and the South Carolina NPDES Discharge Limitations for
treated water (R61-9), if discharge is to a stream.

The treatment system related to Alternative 3, may produce a
sludge, and possibly spent carbon, that may be subject to the
identification (40 C.F.R. Part 261, SCHWMR 61-79.261),
transportation (40 C.F.R. Part 262, SCHWMR 61-79.262),
manifestation (40 C.F.R. Part 263, SCHWMR 61-79.263), and land
disposal restriction (40 C.F.R. Part 268, SCHWMR 61-79.268)
requirements of the Solid Waste Disposal Act, as amended by the
Resource Conservation and Recovery Act (RCRA) 42 U.S.C. SS 6901
et seq.. if the resulting sludge is determined to be a RCRA
hazardous waste.

7.1  Alternative It  No Action

Under the no action alternative, the Site is left "as is* and no
funds are expended for the cleanup or control of the contaminated
groundwater.  Monitoring of contaminants of concern and their
degradation contaminants, not including their innocuous
compounds, would be included as part of this alternative.
However, the costs associated with the monitoring are not
considered capital costs or O&M costs.  Monitoring of the
contaminants would involve the collection and analysis of
groundwater  samples from existing Site monitoring wells, at least
every five  (5) years, to allow tracking of contaminant
concentrations and to monitor the speed, direction, and extent of
contaminant  migration.  The exact number and location of wells to
be sampled would be determined during remedial design.  In
addition, the need for any additional monitoring wells, which may
be sampled  for additional contaminants, would be determined
during the  remedial design/remedial action phases.  These wells

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may be added if it is determined later that groundwater
contamination has left the Site property or if further
characterization of the Site is needed.  Future risks to persons
living on and near the Site will remain.  Because hazardous
contaminants would remain on-site, five (5) year reviews would be
required under Section 121(c) of CERCLA, 42 U.S.C. S 9621(c).

Alternative 1:               Capital Cost:   $ 0.00
                          Annual O&M Cost:     0.00
                 Total Present Worth Cost:   $ 0.00

The cost estimate for sampling the monitoring wells was
approximately $ 181,500.00.

7.2  Alternative 2:  Limited Action. Institutional Controls

Under this alternative, institutional controls would be
implemented to restrict the withdrawal and use of contaminated
groundwater on-site.  This alternative would also include
monitoring of the contaminants, as described in Alternative 1.

The institutional controls that would apply to the Site are deed
restrictions and well permit restrictions.  Deed restrictions
would prevent future use of the contaminated groundwater for
purposes such as potable water supply or irrigation of edible
garden vegetables.  These restrictions would be written into the
property deeds to inform future property owners of the
possibility of contaminated groundwater beneath the property.
Permit restrictions issued by the State of South Carolina would
restrict all well drilling permits issued for new wells on
properties that may draw water from the contaminated groundwater
for potable use or for the irrigation of edible garden
vegetables.

Alternative 2:               Capital Cost:   $       0.00
                          Annual O&M Cost:      35,750.00
                 Total Present Worth Cost:   $ 181,456.00


7.3  Alternative 3*  Groundwater Extraction. Treatment.
                     Surface Water Discharge

Alternative 3 involves placing extraction wells throughout the
contaminated groundwater, with overlapping cones of influence, to
actively remediate the aquifer.  It would involve installing
extraction wells and removing contaminated water from the
aquifer, both horizontally and vertically, and treating the
extracted groundwater.  The groundwater would be extracted until
the performance standards are met.  This will also prevent
further migration of the contaminated groundwater.  In addition,
the contaminated groundwater near the monitoring wells that had
the highest concentration of contaminants, MW-03, shall be

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remediated as quickly as possible, to prevent the migration of
the contaminated groundwater further into the bedrock, as well
as, prevent migration of the contaminated groundwater to other
parts of the Site.  This may include installing several
extraction wells in this particular area, including into the
bedrock to the depth of the contamination.  After extraction/ the
water would go to an on-site treatment system that may include
neutralization, oxidation, sedimentation, filtration, and/or
carbon adsorption.  The "clean" water from the treatment system
would then be discharged to the surface water.  The groundwater
would be treated to remove inorganic and organic contaminants.
Modeling conducted during the RI, suggested that the pumping rate
would be about fifteen (15) to twenty (20) gal Ions /minute using
about 1-2 extraction wells for a period of about thirty (30)
years.  The actual number of wells and pumping rates shall be
determined during the remedial design.  However, in order to
quickly remove the contaminated groundwater, additional
extraction wells may need to be installed, especially near the
monitoring wells where the highest contamination was detected
(MW-03).

In addition to groundwater extraction and treatment,
institutional controls, as those described in Alternative 2,
would be implemented to limit current and future use of
groundwater until the performance standards are continuously
achieved.  Groundwater monitoring will be conducted a minimum of
once a year, during the time of the year when the highest
contamination was detected during the RI (July or August).
Monitoring wells and possibly extraction wells, shall be sampled
and analyzed for all contaminants of concern and their
degradation contaminants, not including their innocuous
compounds, as determined during the remedial design.  The amount
and frequency of sampling and contaminants to be sampled for,
shall be modified, if required by EPA.  The influent and effluent
of the treatment system will be sampled as determined during the
remedial design/remedial action.

The cost below are approximate, and an average of the costs
determined for one and two extraction well scenarios.

Alternative 3:               Capital Cost:   $   900,000.00
                          Annual O&M Cost:       348,000.00
                 Total Present Worth Cost:   $ 4,800,000.00

7.4  Alternative 4t  Groundwater Extraction. POTW discharge

Alternative 4 involves placing extraction wells throughout the
contaminated groundwater, with overlapping cones of influence, to
actively remediate the aquifer as was described in Alternative 3.
This alternative would involve installing extraction wells and
removing contaminated water  from the aquifer, both horizontally
and vertically.  The groundwater would be extracted until the

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performance standards are met.  This will also prevent further
migration of the contaminated groundwater.  In addition, the
contaminated groundwater near the monitoring wells that had the
highest concentration of contaminants, MW-03, shall be remediated
as quickly as possible, to prevent the migration of the
contaminated groundwater further into the bedrock, as well as,
prevent migration of the contaminated groundwater to other parts
of the Site.  This may include installing several extraction
wells in this particular area, including into the bedrock to the
depth of the contamination.  Modeling conducted during the RI
suggested that the pumping rate would be about fifteen (15) to
twenty (20) galIons/minute using about 1-2 extraction wells for
a period of about thirty (30) years.  The actual number of wells
and pumping rates shall be determined during the remedial design.
However, in order to quickly remove the contaminated groundwater,
additional extraction wells may need to be installed, especially
near the monitoring wells where the highest contamination was
detected (MW-03).  As opposed to Alternative 3, this alternative
would discharge the contaminants, via sewer line, to the publicly
owned treatment works (POTW).  NO pretreatment is anticipated
before the contaminated groundwater is discharged to the sewer
line.  In addition to groundwater extraction, institutional
controls, as described in Alternative 2, would be implemented to
limit current and future use of groundwater until the performance
standards are continuously achieved.  Also, contaminant
monitoring would be performed to monitor the -effectiveness of the
alternative in achieving the remediation goals, as described in
Alternative 3.

The cost below are approximate, and an average of the costs
determined during the FS, for one and two extraction well
scenarios.

Alternative 4:               Capital Cost:   $   280,000.00
                          Annual O&M Cost:       225,000.00
                 Total Present Worth Cost:   $ 2,300,000.00


8.0  SUMMARY OF COMPARATIVE ANALYSIS OF ALTERNATIVES FOR
     GROUNDWATER

The four (4) alternatives for groundwater remediation were
evaluated based upon the nine (9) criteria set forth in
40 C.F.R. § 300.430(e)(9) of the NCP.  In the sections which
follow, brief summaries of how the alternatives were judged
against these nine (9) criteria are presented.  In addition, the
sections are prefaced by brief descriptions of the criteria.

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                                               Record of Decision
                                           Rutledge Property Site
                                          .	      	Page 28
8.1  Groundwater Remediation Alternatives

8.1.1  Threshold Criteria

Two (2) threshold criteria must be achieved by a remedial
alternative before it can be selected.

1.   Overall protection of human health and the environment
addresses whether the alternative will adequately protect human
health and the environment from the risks posed by the Site.
Included is an assessment of how and whether the risks will be
properly eliminated, reduced, or controlled through treatment,
engineering controls, and/or institutional controls.

Alternative 1, No Action, will not provide overall protection of
human health and the environment, since contaminated groundwater
would be left on-site.  Alternative 2, Limited Action
(Institutional ControlsU would achieve limited protection of
human health from the contaminants by preventing exposure to
affected groundwater through deed restrictions that prohibit
future use of groundwater under the Site, but would not be
protective of the environment, nor off-site residents if the
groundwater contamination moved off-site.  Alternatives 3 & 4,
Groundwater Extraction will provide overall protection of human
health and the environment through extraction of contaminated
groundwater and either on-site or off-site treatment of the
groundwater'.

2.   Compliance with applicable or relevant and appropriate
reguirements (ARARs i addresses whether an alternative will meet
all of the requirements of Federal and State environmental laws
and regulations, as well as other laws, and/or justifies a waiver
from an ARAR.  The specific ARARs which will govern the selected
remedy are listed and described in Section 9.0, the Selected
Remedy.

The evaluation of the ability of the proposed alternatives to
comply with ARARs included a discussion of ARARs presented in
Section 7.0.  Alternative 1, No Action, and Alternative 2,
Limited Action. Institutional Controls would not meet ARARs,
since contaminated groundwater is left on-site.  Alternatives 3 &
4,  Groundwater Extraction, are expected to meet ARARs, since they
are active treatment technologies.

8.1.2  Primary Balancing Criteria

Five (5) criteria were used to weigh the strengths and weaknesses
of the alternatives, and were used to select one of the four  (4)
alternatives.  Assuming satisfaction of the threshold criteria,
these five (5) criteria are EPA's main considerations in
selecting an alternative as the remedy.

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                                               Record of Decision
                                           Rutledge Property Site
                                           	Page 29
1.  Long term effectiveness and permanence refers to the ability
of the alternative to maintain reliable protection of human
health and the environment over time, once the remediation goals
have been met.  Alternative 1, No Action, and Alternative 2,
Limited Action. Institutional Controls, will not provide long
term effectiveness, since the remediation goals will not be met.
Alternatives 3 & 4, Groundwater Extraction, will achieve
permanent reduction in contaminants through the extraction and
treatment of the contaminated groundwater, and therefore, be
effective in the long-term.

2.  Reduction of toxicity. mobility, or volume through treatment
addresses the anticipated performance of the treatment
technologies that an alternative may employ.  The 1986 amendments
to CERCLA, the Superfund Amendments and Reauthorization Act
(SARA), direct that, when possible, EPA should choose a treatment
process that permanently reduces the level of toxicity of Site
contaminants, eliminates or reduces their migration away from the
Site, and/or reduces their volume on a Site.

Alternative 1, No Action, would not achieve a reduction in the
toxicity, mobility, or volume of the contaminants since the
alternative is considered complete at this time.

Alternative 2, Limited Action. Institutional Controls, is not a
treatment technology and, therefore, does not satisfy the
statutory preference for selecting remedial actions that employ
treatment technologies that permanently and significantly reduce
the toxicity, mobility, or volume of the contaminants.

Alternatives 3 and 4, Groundwater Extraction, use active
treatment technologies to permanently reduce the toxicity,
mobility, and volume of the contaminated groundwater.

3.  Short-term effectiveness refers to the potential for adverse
effects to human health or the environment posed by
implementation of the remedy.

Alternatives 1 & 2, No Action and Limited Action. Institutional
Controls. afford the greatest level of short-term protection
because they present the least risk to remedial workers, the
community, and the environment, since these alternatives do not
involve a remedial action.  The other Alternatives, 3 & 4, could
release minimal volatile emissions during extraction well
installation and/or treatment system construction.  Standard
construction management techniques would address any potential
short-term fugitive emissions.

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                                               Record of Decision
                                           Rutledge Property Site
                                           	   	  Pace 30
4.  Implementability considers the technical and administrative
feasibility of an alternative, including the availability of
materials and services necessary for implementation.
Alternatives 1 & 2, No Action and Limited Action. Institutional
Controls, will be the easiest to implement since they do not
involve the construction of a treatment system.

The construction technologies required to implement Alternatives
3 & 4, Groundwater Extraction, are well established and very
reliable.  The extraction and treatment systems would have
additional operational requirements compared to Alternatives 1
and 2, because of the complexities of the continuous operation of
a groundwater extraction system, the operation of a multi-
component treatment system, and requisite discharge limits on the
resulting treated effluent.  The extraction and treatment system
would be more difficult to operate and maintain than options
proposed under Alternatives 1 & 2.

The technical implementability of all the evaluated alternatives
is reasonable.  Technologies required to implement the
alternatives are readily available and proven at full-scale in
similar field efforts.  Discharge permits or at least the
criteria, may need to be obtained for the implementation of
Alternative 3, since it includes an on-site treatment system
which may discharge to the unnamed stream.

5.  Cost includes both the capital (investment) costs to
implement an alternative, plus the long-term O&M expenditures
applied over a projected period of operation.  Alternative 1 has
no costs since it is completed.  Alternative 2 is lower in cost
than Alternatives 3 and 4, since it involves only the costs of
monitoring the groundwater, implementing deed and well
restrictions.  Alternative 4 is less than Alternative 3.

8.1.3  Modifying Criteria

State acceptance and community acceptance are two (2) additional
criteria that are considered in selecting a remedy, once public
comment  has been received on the Proposed Plan.

1.  State acceptance;  The State of South Carolina concurs with
this remedy.  A copy of South Carolina's letter of concurrence is
attached (Appendix B) to this ROD.

2.  Community acceptance was indicated by the verbal comments
received at the Rutledge Property Site Proposed Plan public
meeting, held on March  1,  1994.  The public comment period opened
on February 22, 1994, and closed on April 25,  1994  (after a
thirty  (30) day extension).  Written comments received  concerning
the Site, and those comments expressed at the public meeting, are
addressed in the Responsiveness Summary attached as Appendix A to
this ROD.

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                                               Record of Decision
                                           Rutledge Property Site
                                          	Page 31
9.0  THE SELECTED REMEDY

9.1 Groundvater Remediation

Based upon consideration of the requirements of CERCLA, the NCP,
the detailed analysis of the four (4) alternatives and public and
state comments, EPA has selected a remedy that addresses
groundwater contamination at this Site.

The selected remedy for the Site is:

      Alternative 4, Groundwater Extraction, POTW discharge

Total present worth cost of the selected remedy is approximately:

                   $ 2,300,000.00

This remedy consists of groundwater extraction of contaminated
groujidwater, followed by discharge to the POTW.  The following
subsections describe this remedy component in detail, provide the
criteria (ARARs and TBC material) which shall apply, and
establish the performance standards for implementation.

9.1.1  Description

This remedy component consists of the design, construction and
operation of a groundwater extraction system, and development and
implementation of a Site monitoring plan to monitor the system's
performance.  The groundwater alternative specified below shall
be continued until the performance standards listed in Section
9.1.3. are achieved, at a minimum, in all of the monitoring and
extraction wells that are associated with the Site.

This alternative involves placing extraction wells throughout the
entire area of contaminated groundwater, with overlapping cones
of influence, to actively remediate the aquifer.  It would
involve -installing extraction wells and removing contaminated
water from the aquifer, both horizontally and vertically.  The
groundwater would be extracted until the performance standards
are met continuously.  This will also prevent further migration
of the contaminated groundwater.  In addition, the contaminated
groundwater near the monitoring wells that had the highest
concentration of contaminants, MW-03, shall be remediated as
quickly as possible, to prevent the migration of the contaminated
groundwater further into the bedrock, as well as, prevent
migration of the contaminated groundwater to other parts of the
Site.  This may include installing several extraction wells in
this particular area, including into the bedrock to the depth of
the contamination.  The actual number of wells, their depths, and
their pumping rates shall be determined during the remedial
design.

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                                               Record of Decision
                                           Rutledge Property Site
                                          	Page 32
The contaminated groundwater would then be discharged, via sewer
line, to the local POTW.  No pretreatment is anticipated before
the contaminated groundwater would be discharged to the sewer
line.

In addition to the process described above, this alternative will
include implementation of all of the institutional controls and
contaminant monitoring requirements described below, thereby
monitoring the effectiveness of the alternative and limiting
future use of groundwater until clean-up goals are achieved.

Institutional controls that would apply to the Site, include deed
restrictions and well permit restrictions.  Deed restrictions
would prevent the future use of the contaminated groundwater for
purposes such as potable water supply or irrigation of edible
garden vegetables.  These restrictions will be written into the
property deeds to inform future property owners of the
possibility of contaminated groundwater beneath the property.
Permit restrictions, issued by the State of South Carolina, would
restrict all well drilling permits, issued for new wells on the
Site property, that may draw water from the contaminated
groundwater for potable water use or irrigation of edible
vegetables.                                \

Monitoring of contaminants of concern and their degradation
contaminants, not including their innocuous compounds, would be
included as part of this alternative, at a minimum.  EPA may
require additional contaminants, including all TCL/TAL
parameters, to be analyzed.  Monitoring of the contaminants would
involve the collection and analysis at regular intervals, of
groundwater samples from existing Site monitoring wells, and
possibly extraction wells, to allow tracking of contaminant
concentrations and to monitor the speed, direction, and extent of
contaminant migration.  The actual number and location of well
samples, and contaminants to be analyzed for, will be determined
during the remedial design/remedial action phases.  Samples will
be collected and analyzed for contaminants of concern and their
degradation contaminants, at a minimum, however, once every year
(at the time of the year in which the highest level of
contamination was detected during the RI, July or August), unless
a different frequency is required by EPA.  In addition, the need
for any additional monitoring wells, which may be sampled for
additional contaminants, will be determined during the remedial
design/remedial action phases.  These wells may be added if it is
determined later, that groundwater contamination has left the
Site property, or that contamination is significantly above the
clean-up criteria in the outer monitoring wells, as determined by
EPA, or that further characterization of the Site is needed.

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                                               Record of Decision
                                           Rutledge Property Site
                                          	Pace 33
The vertical extent of groundwater contamination will be
confirmed and/or updated during the remedial design.  This may
require that additional monitoring wells, screened at various
depths, be installed.  This will be determined by EPA during the
remedial design/remedial action phases.  The goal of this
remedial action is to restore groundwater to its beneficial use
as a drinking water source.  Based on the information collected
during the RI, and on a careful analysis of all remedial
alternatives, EPA and the State of South Carolina believe that
the selected groundwater remedy, Alternative 4, will achieve this
goal.

If it is determined, on the basis of the preceding criteria and
the system performance data (after all attempts have been made as
determined by EPA), that certain portions of the aquifer cannot
be restored to their beneficial use, all or some of the following
measures involving long-term management may occur, for an
indefinite period of time, as a modification of the existing
system:

     *    engineering controls such as physical barriers as
          containment measures;

     *    chemical-specific ARARs will be waived for the cleanup
          of those portions of the aquifer based on the technical
          impracticability of achieving further contaminant
          reduction;

     *    institutional controls will be provided/maintained to
          restrict access to those portions of the aquifer that
          remain above remediation goals;

     *    continued monitoring of specified well locations; and

     *    periodic re-evaluation of remedial technologies for
          groundwater restoration.

The decision to invoke any or all of these measures may be made
during a review of the remedial action, which will occur
minimally at five (5) year intervals in accordance with Section
121(c) of CERCLA, 42 U.S.C. S 9621(c) .

9.1.2  Applicable or Relevant and Appropriate Requirements
(ARARS)

Applicable Requirements.  Groundwater remediation shall comply
with all applicable portions of the following Federal and State
of South Carolina regulations:  SC Reg. 61-68, South Carolina
Water Classifications and Standards.  These regulations establish
classifications for water use, and set numerical standards for
protecting state waters.

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                                               Record of Decision
                                           Rutledge Property Site
                                           	Page 34
SC Reg. 61-71, South Carolina Well Standards and Regulations,
promulgated under the Safe Drinking Water Act, SC Code of Laws,
1976, as amended.  Standards for well construction, location and
abandonment, are established for remedial work at environmental
or hazardous waste sites.

Relevant and Appropriate Requirements.  The following regulations
are relevant to groundwater remediation at the Site.

40 C.F.R. Parts 141-143, National Primary and Secondary Drinking
Water Standards, promulgated under the authority of the Clean
Water Act.  These regulations establish acceptable maximum levels
of numerous substances in public drinking water supplies, whether
publicly owned or from other sources such as groundwater.

Maximum Contaminant Levels (MCLs) are specifically identified in
40 C.F.R. § 300.430(e)(2)(i)(B) of the NCP as remedial action
objectives for groundwater that are current or potential  sources
of drinking water supply.  Therefore, MCLs are relevant and
appropriate as criteria for groundwater remediation at this Site.

SC Reg. 61-58, South Carolina Primary Drinking Water Regulations,
promulgated pursuant to the Safe Drinking Water Act, SC Code of
Laws, 1976, as amended.  These regulations are similar to the
federal regulations described above, and are relevant and
appropriate as remediation criteria for the same reasons set
forth above.

Criteria "To Be Considered" (TBC) and Other Guidance.  TBC
criteria were utilized and/or established in the Baseline Risk
Assessment and in the FS.  Groundwater cleanup standards were
established based on these documents and both are thus considered
TBC.

In the Baseline Risk Assessment, TBC material used included
information concerning toxicity of, and exposure to, Site
contaminants.  Sources of such data included the Integrated Risk
Information System  (IRIS), Health Effects Assessment Summary
Tables  (HEAST), and EPA guidance as specified in the Baseline
Risk Assessment.

In the FS, groundwater concentrations protective of human health
and the environment were calculated based on the Site-specific
risk calculations from the Baseline Risk Assessment.  Certain of
these levels were established as remediation goals in cases where
there is no MCL for a particular contaminant.  A specific
contaminant for which a health-based goal was established was
manganese.  The groundwater remediation goals are established as
performance standards in the Section 9.1.3.

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                                               Record of Decision
                                           Rutledge Property Site
                                          	Page 35
Other TBC material include the following:

Guidelines for Groundwater Use and Classification. EPA
Groundwater Protection Strategy, U.S. EPA, 1986.  This document
outlines EPA's policy of considering a site's groundwater
classification in evaluating possible remedial response actions.
As described under Section 7.0, the groundwater at the Site is
classified by EPA as Class IIB and by South Carolina as Class 6B
groundwater, indicating its potential as a source of drinking
water.

Other requirements.  As described above in Section 9.1.2,
remedial design often includes the discovery and use of
unforeseeable but necessary requirements.  Therefore, during
design of the groundwater component of the selected remedy, EPA
may, through a formal ROD modification process such as an
Explanation of Significant Differences or a ROD Amendment, elect
to designate further ARARs which apply, or are relevant and
appropriate, to groundwater remediation at this Site.

9.1.3  Performance Standards

The standards outlined in this section comprise the performance
standards defining successful implementatidn of the remedy.  The
groundwater remediation goals in Table 1 below shall be the
performance standards for groundwater treatment.

9.2  Monitor Site Groundwater

Monitoring of contaminants of concern and their degradation
contaminants, not including their innocuous compounds, would be
included as part of Alternative 4, as was described above.
Monitoring of the contaminants would involve the collection and
analysis at regular intervals, of groundwater samples from
existing Site monitoring wells, to allow tracking of contaminant
concentrations and to monitor the speed, direction, and extent of
contaminant migration.  The number and location of well samples
will be determined during remedial design.  Samples will be
collected and analyzed for contaminants of concern and their
degradation contaminants, not including their innocuous
compounds, at a minimum, however, of once per year (during the
time of the year in which the highest level of contamination was
detected during the RI, July or August), unless a different
frequency is approved by EPA.  This annual sampling will begin
after one of the following occurs; the signing of a consent
decree, a unilateral administrative order is issued, or a
Statement of Work is issued to an EPA Contractor.  In addition,
the need for any additional monitoring wells, which may be
sampled for additional contaminants, will be determined during
the remedial design/remedial action phases.  These wells may be
added if it is determined later that groundwater contamination
has left the Site property, or that contamination is

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                                           Record  of  Decision
                                       Rutledge Property Site
                                       	Pace 36
                         TABLE 1

CONTAMINANT
Volatile Orgranics
1,2 Dichloroethene
. Vinyl Chloride
Trichloroethene
Inorganics
Manganese
Maximum
Concentrat ion
Detected (ug/L)

1200
26
84000

3600
Remediation
Goal
(ug/L)

70(a)*
2'
5*

200
 *

(a)
Maximum Cnn*-*"vi^ap'*' l-t*ve*i  (MCT-)
Groundwater samples were  analyzed for
1,2 dichloroethene  (total).   The maximum contaminant
level for  1,2  dichloroethene  (cis)  was used since it is
more conservative than  1,2 dichloroethene (trans) at
100 ug/L.

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                                               Record of Decision
                                           Rutledge Property Site
                                           	Page 37
significantly above the clean-up criteria in the outer monitoring
wells, as determined by EPA, or if further characterization of
the Site is needed.  In addition, on a time frame to be
determined by EPA, and as part of the verification sampling, when
it is believed by EPA that the remedial action is complete, the
monitoring wells and extraction wells shall be sampled for all
TAL/TCL parameters over a period of time to be determined by EPA.
The vertical extent of groundwater contamination will be
confirmed and/or updated during the remedial design.

Other Requirements

Due to the fact that very low levels of Site-related
contamination were detected in the private wells (Figure 3),
further evaluation of the construction characteristics of the
private wells will be required in the remedial design.  The
primary private wells of concern are PW-03 and PW-04.  Two
off-site private wells, PW-01 and PW-02, may also be studied.
If the screened depths of these private wells exceed the screened
depths of the on-site monitoring wells, additional monitoring
well's may be required.  These additional monitoring wells will be
used to fully demonstrate that there is no Site related aquifer
contamination, at levels of concern, at the deeper screened
depths.

Due to a concern over the high variance of manganese levels in
the surface soil background samples, additional sample(s) will be
collected during the remedial design to confirm that this
variance is consistent with the environmental setting.

Because organic contaminants were detected at elevated levels in
the background surface water and sediment samples, additional
surface water and sediment samples, from upstream, will be
collected during the remedial design to determine if this
background sample is representative of true background
conditions.

10.0  STATUTORY DETERMINATIONS

The selected remedy for this Site meets the statutory
requirements set forth at Section 121(b)(l) of CERCLA, 42 U.S.C.
§ 9621(b)(l).  This section states that the remedy must protect
human health and the environment; meet ARARs (unless waived); be
cost-effective; use permanent solutions and alternative treatment
technologies or resource recovery technologies to the m^jHmum
extent practicable; and finally, wherever feasible, employ
treatment to reduce the toxicity, mobility or volume of the
contaminants.  The following sections discuss how the remedy
fulfills these requirements.

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                                               Record of Decision
                                           Rutledge Property Site
                                           	Page 38
Protection of human health and the environment;  The groundwater
remediation alternative will extract the contaminated groundwater
and discharge it to the local POTW, thereby reducing and
eventually removing the future risks to human health which could
result from ingestion and inhalation of the groundwater.  This
remedy would also reduce the potential risk to the environment.

Compliance with ARARs;  The selected remedy will meet ARARs,
which are listed in Sections 9.1.2 of this ROD.

Cost effectiveness;  Among the groundwater alternatives that are
protective of human health and the environment and comply with
all ARARs, the selected alternative is the most cost-effective
choice because it uses a treatment technology to remediate the
contamination in basically the shortest time frame, at a cost
less than the other treatment alternative.

Utilization of permanent solutions, and alternative treatment
•technologies or resource recovery technologies to the max'tinm"
extent practicable;  The selected remedy represents the use of
treatment for a permanent solution.  Among the alternatives that
are protective of human health and the environment and comply
with all ARARs, EPA and the State of South Carolina have
determined that the selected remedy achieves the best balance of
trade-offs in terms of long-term effectiveness and permanence,
reduction of toxicity/mobility/volume, short-term effectiveness,
implementability, and cost.  The selected groundwater action is
more readily implementable than the other treatment alternative
considered and the selected groundwater remediation alternative
will fulfill the preference for treatment as a principal element.

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           APPENDIX A








     RESPONSIVENESS SUMMARY



RDTLEDGE PROPERTY SUPERFUND SITE

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                                   SRFDMD SITE
1.   Overview

The U. S. Environmental Protection Agency (EPA) held a public
comment period from February 22, 1994 to March 24, 1994, for
interested parties to comment on the remedial investigation/
feasibility study (RI/FS) results and the Proposed Plan for the
Rutledge Property Superfund Site located in Rock Hill, South
Carolina.  Upon receipt of a request, the comment period was
extended an additional thirty (30) days.  The comment period
closed on April 25, 1994.

EPA held a public meeting at 7:00 p.m. on March 1, 1994, at the
Rock Hill City Hall in South Carolina, to present the results of
the RI/FS and the Baseline Risk Assessment, to present EPA's
Proposed Plan, and to receive comments from the public.

EPA proposed a remedy consisting of extraction of contaminated
groundwater with discharge to the POTW.

The Responsiveness Summary provides a summary of citizens'
comments and concerns identified and received during the public
comment period, and EPA's response to those comments and
concerns.  These sections and attachments follow:


     •    Background of Community Involvement

     •    Summary of Comments Received During the Public
          Comment Period and EPA's Responses;

     •    Attachment A:  Proposed Plan for Rutledge Property
                         Superfund Site;

     •    Attachment B:  Public Notices of Public Comment Period
                         & Extension of Public Comment Period;

     •    Attachment C:  Written Public Comments Received During
                         the Public Comment Period;

     •    Attachment D:  Official Transcript of the Proposed Plan
                         Public Meeting.

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2.   Background of Com|min'''tv Involvement

EPA's community relations program for the Site began in January
1992, when EPA conducted community interviews in order to develop
a community relations plan for the Site.  At that time, residents
living adjacent to the Site voiced some concerns about Cranford
Park's water system that needed to be upgraded.  Since that time
this issue has been resolved by the municipal water company.
Allegations from the single resident in the Dearwood Trailer Park
that contaminated well water was being furnished to his trailer/
were made.  One resident was concerned about his child playing on
the Site property, and some concerns were raised about the use of
government money.

Throughout EPA's involvement, the community has been kept aware
and informed of Site activities and findings.  Discussions have
taken place during visits to the area by EPA's remedial project
manager (RPM).  Local officials were briefed during the community
interviews, and updated as needed.  EPA has responded to
inquiries from the community and other interested parties.

3.
     Period and Agency Responses

The Public Comment Period was opened on February 22, 1994, and
ended on March 24, 1993.  Upon request, a thirty (30) day
extension was granted, which extended the comment period to April
25, 1994.  Public notice announcements were'published in local
newspapers and copies of the announcements are included as
Attachment B.

On March 1, 1994, EPA held a public meeting to present the
Proposed Plan to the community and to receive comments.  All
comments received at this public meeting and during the public
comment period are summarized below.

Summary and Response to Local Community Concerns

The following issues and concerns were expressed at the Proposed
Plan Public Meeting, and during the public comment period.

COMMENT:  A written comment stated that during the Remedial
Design phase, an Intermediate Design (60%) submittal would not be
necessary, and would not be an efficient use of funds.

RESPONSE:  EPA, in general, agrees with this concept, however,
this will not be determined in the Record of Decision (ROD).  The
purpose of the ROD is to document the chosen remedial action
alternative.  A determination will be made during the RD phase
regarding the necessity for an intermediate design submittal.

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COMMENT:  Another written comment stated that the letter from the
POTW stating they would accept untreated groundwater, was not in
the Administrative Record.

RESPONSE:  EPA checked both Administrative Records, one at EPA,
and one at the information repository in Rock Hill, and both
contained this letter.

COMMENT:  A written comment stated that EPA's cleanup goal for
1,2-dichloroethene (1,2-DCE) is 70 ug/1.  The commentator stated
that "1,2-DCE should be split into two standards to reflect the
MCLs of the cis- and trans- isomers of 1,2-DCE.  The trans-
isomer has a higher MCL of 100 ug/1.  The lower standard for the
cis-isomer would apply whenever analytical results are reported
as total 1,2-dichloroethene."

RESPONSE:  During the RI, as is usually done, only total
1,2-dichloroethene was analyzed for, and not the individual
isomers.  In doing so, it was tacitly assumed that all 1,2-DCE
was in the cis-isomer form, for risk assessment purposes.  By
doing so, and by using the MCL for cis-1,2-DCE of 70 ug/1, EPA
has taken an environmentally conservative approach.  Therefore,
EPA has chosen the slightly lower MCL of 70 ug/1 as the cleanup
standard for total 1,2-DCE versus 100 ug/1.

COMMENT:  Another written comment said "The RI recommended
additional study of the ecological communities that could be
impacted by this site, even though the RI Report states that the
site does not pose a threat to any state or federally listed
species of concern.  The RI's surface soil results show that
further migration of site contaminants to receiving waters is not
anticipated.  The EPA's ecological screening did not identify any
sensitive ecological communities immediately downstream of the
site.  An ecological study is therefore likely to be
unproductive, and the money for it would be better spent on
cleanup."

RESPONSE:  This comment makes the erroneous assumption that money
spent on a study of ecological concerns will be money that is
unwisely spent.  This is not the case.  Any further study of
ecological communities or impacts attributable to the Site, will
be conducted, if required by EPA, in order to determine if
unacceptable levels of risk to biological receptors have been
fully identified.  These potentially unacceptable levels of risk
would not necessarily be limited to threats to endangered or
threatened species, or to sensitive ecological communities.  The
extent of potential threats to all biological receptors,
endangered or not, in all habitats, whether or not they are
"sensitive ecological communities," may be required to be fully
delineated.

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COMMENT:  A written comment and one brought up at the public
meeting concerned the fact that contaminants similar to site-
related contaminants were detected in private wells PW-03 and PW-
04.  The written commentator felt the monitoring well network was
extensive and sufficient to determine that the contaminants were
not site related.  The commentator at the public meeting was not
sure that this was true, and that possible further
characterization was needed/ since the deepest monitoring wells
at the site may not have been as deep as the private wells.

RESPONSE:  EPA stated in the public meeting that during the
remedial design/ the depth of PW-04 would be determined.  Also
during the remedial design/ the level of the water table in the
well will be measured.  This will be compared with the water
levels of the monitoring wells on-site, to determine if the
groundwater would flow from the Site to the private well or from
the direction of the private well toward the Site.  If after
this, it is determined by EPA that a potential migration pathway
from the Site to PW-04 may exist, additional monitoring well(s)
may be installed.

COMMENT:  A written comment stated that the depth of the
extraction wells was not stated in the proposed plan, and that
the wells should not be placed in the bedrock (at least no more
than a few feet)/ because it would be difficult and technically
impracticable to extract groundwater from bedrock fractures for
remediation purposes.

RESPONSE:  The exact depth and number of extraction wells will be
determined during the remedial design.  At this time EPA does not
believe it is technically impracticable to extract groundwater
from bedrock fractures for remediation purposes, especially in
the vicinity of bedrock wells with known contamination.

COMMENT:  At the public meeting a concern was expressed about
sending untreated groundwater to the POTW.  It was felt that the
underground pipes to and from the treatment plant may leak
causing contaminants to get back into the groundwater which in
turn would get to private wells.  The commentator was also
concerned that treated water from the treatment plant would not
really be clean and, as the plant discharged treated effluent to
the stream, contaminants from the site might get into the surface
water which would flow downstream to the point where the intake
pipe for the City of Rock Hill drinking water is, and they would
then be exposed to contamination.  One commentator felt that
onsite treatment should be done to bring the water to "an
acceptable level for an acceptable dumping, wherever that site
may be."

RESPONSE:  EPA believes that sending the extracted groundwater to
the POTW is an acceptable alternative.  The personnel at the POTW
was contacted several times, both before and after the public
meeting, and is aware of the concentrations of contaminants
detected in the groundwater and has signed a letter saying they

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will accept the untreated groundwater, and have reconfirmed this
verbally since the public meeting.  In addition, three (3) of the
four (4) contaminants of concern are volatile organics which will
be effectively removed due to the aeration process at the
treatment plant, and therefore, will not likely be in water
discharged from the treatment plant.  Also, when the extraction
system is in place, it will pull in water from all directions, so
that the average concentration of the water that would be sent to
the POTW should be significantly lower than the highest
concentration detected in the one well.  Also, as was stated by
EPA at the public meeting, and as was confirmed in a phone
conversation with city personnel after the public meeting, the
groundwater infiltrates into the pipes versus water going from
the pipes into the groundwater.  In addition, the volume of water
that will be sent to the POTW from the Site, approximately 28,000
gallons/day is very small in comparison to the overall flow from
other sources that goes to the treatment plant (approximately 5
million gallons/day).  Lastly, the water from the sewage plant
(where the extracted groundwater is to be sent) discharges into
the Catawba River, far downstream of the drinking water intake.

COMMENT:  Another concern expressed at the public meeting and
from an attendee in a letter to EPA, was that not all the soil
contamination had been removed and therefore, contaminants would
keep leaching into the groundwater.

RESPONSE:  As was stated at the public meeting, there have been
two (2) removals at the Site, in which soil samples were
collected and analyzed before the removal and prior to the
excavations being backfilled with clean soil.  These results were
used initially to determine the area of where the removals needed
to take place and was used to show that the removals adequately
removed the contaminated soil.  In addition sixty-five (65) soil
samples were collected during the RI.  The Baseline Risk
Assessment determined that there was not an unacceptable current
or future risk from the soil.

COMMENT:  Another comment was that the Site should be posted with
signs and fenced off.

RESPONSE:  The Baseline Risk Assessment determined that there was
no unacceptable current or future risk from the soil, therefore
EPA does not believe a fence is required at this Site.  During a
remedial action, it is common to have a sign indicating the
activities currently underway at the Site.  This type of sign
will probably be placed at the Site during the remedial action.

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                  Attachment A
Proposed Plan for Rutledge Property Superfund Site

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UNITED STATES ENVIRONMENTAL PROTECTION AGENCY


SUPERFUND PROPOSED PLAN FACT SHEET

RUTLEDGE PROPERTY (ROCK HILL
CHEMICAL COMPANY) SUPERFUND SITE

Rock Hill, York County, South Carolina                February 1994

This fact sheet is one in a series designed to inform residents and local officials of the ongoing cleanup
efforts at the Site. A number of terms specific to the Superfund process (printed in bold print) are defined
in a glossary at the end of this publication.

INTRODUCTION

The United States Environmental Protection Agency (EPA) is proposing a cleanup plan,
referred to as the "preferred alternative", to address groundwater contamination at the
Rutledge Property Superfund Site (the Site) located in Rock Hill, South Carolina.  This
document is being issued by EPA, the lead Agency for Site activities, and the South Carolina
Department of Environmental Health and Control (SCDHEC), the support Agency.  SCDHEC
has reviewed this preferred alternative and concurs with EPA's recommendation.

This Proposed Plan summarizes the cleanup methods and technologies evaluated in the Site's
Feasibility Study (FS).  In accordance with Section 117(a) of the Comprehensive
Environmental Response, Compensation, and Liability Act of 1980 (CERCLA), known
as "Superfund", as amended by the Superfund Amendments and Reauthorization Act
of 1986 (SARA), EPA is publishing the Proposed Plan for the following reasons:

      1)    To provide an opportunity for the public's review and comment on all of the
                     PROPOSED PLAN PUBLIC MEETING
                                  for the
                  RUTLEDGE PROPERTY SUPERFUND SITE
                      Tuesday, March 1, 1994 - 7:00 P.M.
                  SULLIVAN MIDDLE SCHOOL - CAFETERIA
                   1825 Edin Terrace, Rock Hill, South Carolina

   You are encourage to attend the public meeting to learn more about the cleanup
   alternatives developed for the Rutledge Property Superfund Site, as well as the
   alternative proposed by EPA. The public meeting will also provide an opportunity for
   interested individuals to submit comments to EPA on the Feasibility Study and the
   Proposed Plan.  Representatives from EPA and the SCDHEC will be available to
   answer questions. Please plan to attend.

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             cleanup options, known as remedial alternatives, under consideration for the
             Site.

      2)     To. initiate a thirty (30) day public comment period from Friday, February 18,
             1994, to Monday, March 21, 1994 to receive comments on this Proposed Plan
             and the RI/FS reports.

EPA, in consultation with SCDHEC, will select a remedy for the Site only after the public
comment period has ended and all information submitted to EPA during that time has been
reviewed and considered.

As outlined in Section 117(a) of CERCLA, EPA encourages public participation by publishing
Proposed Plans for Superfund Sites, and by providing an opportunity for the public to
comment on the proposed remedial actions. As a result of such comments, EPA may modify,
or change, its preferred alternative before issuing a Record of Decision (ROD) for the Site.
This process is explained in more detail in the Public Participation Section of this document
which begins on page 16.

Scope and Role of this Action

Based  on the  previous soil removals, and the data present to date,   EPA's plan for
remediation  will  address the  principal threat remaining at  the  Site, contaminated
groundwater.

EPA's  preferred alternative for cleanup of the Site's groundwater is  Alternative 4-B,
Groundwater Pumping by two (2) Extraction Wells and Discharge to the City of Rock Hill
Publically Owned Treatment Works (POTW). This alternative achieves the best balance of
compliance with the criteria EPA uses to evaluate remedial alternatives.  The preferred
alternative, as well as the others considered, are summarized in this fact sheet and presented
in its entirety in the FS.

This fact sheet also summarizes information  that is explained  in greater detail in  the
Remedial Investigation/Feasibility Study (RI/FS) Report, dated December 1993, and the
Baseline Risk Assessment  (BRA), dated July 1993.  These documents, and all  other
records utilized by EPA to make the preferred alternative proposal, are  contained in the
Administrative Record for this Site. EPA and SCDHEC encourage the public to review
this information, especially during the public comment period,  and has established an
Information Repository near the site.  Review of this material will further explain Site
characteristics, the Superfund process, and EPA's logic behind this Proposed  Plan.  The
Administrative Record is available for public review, during normal working hours, at the
following locations:

                    York County Library
                    138 East Black Street
                    Rock Hill, South Carolina 29731
                    (803)324-3055

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                   Records Center
                   U.S. Environmental Protection Agency
                   345 Courtland Street, NE
                   Atlanta, GA 30365
                   (404)347-0506

This Proposed Plan:

1)    Includes a  brief history of  the Site, the  principal  findings  of the  Remedial
      Investigation (RI), and a summary of the Baseline Risk Assessment;

2)    Presents the cleanup alternatives considered by EPA, and presented in the Feasibility
      Study (FS);

3)    Outlines the criteria used by EPA to recommend a preferred alternative for use at the
      Site;

4)    Provides a summary of the analysis of alternatives;

5)    Presents EPA's rationale  for its preliminary selection of a preferred alternative;

6)    .Explains the opportunities for the public to comment on the remedial alternatives,
      and, hence, the cleanup method for the Rutledge Property Superfund Site.

SITE BACKGROUND                             \

The Rutledge Properly Site (the Site) is located between Cherry Road (U.S. Highway 21) and
Farlow Street, just east of Cranford Street in Rock Hill, York County, South Carolina.  The
4.5 acre Rutledge Property is the location where Rock Hill Chemical Company (RHCC)
operated a solvent reclamation facility from 1960 to 1964 (Fig.  1).

Waste management practices during the company's existence were poor.   Paint sludges,
textile dye products, used solvents, and other solid wastes generated during the reclamation
process were stored in piles placed directly on the ground.  In some cases, waste products
were buried at the Site. On several  occasions, tanks that were used to hold liquid wastes
before reclamation had leaked onto the ground, creating a potential source of contamination.

The Rock Hill Chemical Company ceased operations in the summer of 1964. The following
October, a fire at the facility caused drums of oil and chemicals to  explode, releasing their
contents into the environment.  In 1985, soil was removed from the western portion of the
Site,  now occupied by First Union  National Bank of South  Carolina (FUNBSC).  An
additional soil removal took place between 1987 and 1989, which included the removal of five
(5) storage tanks.

The Rutledge Property Site was  proposed for the National Priorities List (NPL) in June
of 1988 and was listed final on the NPL in February 1990. In March 1992, EPA initiated the
RI/FS to address all potential source  areas and associated contamination at the site.

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          -N-
100     0     100     200
        	  =ZT ~
       SCALE IN FEET
                                                                           YORK
                                                                           SHOPPING
                                                                           PUCA
                     HAPPY GARDEN
                     CHMESE
                     RESTAURANT
LEGEND
                                                                >•<  CULVERT
                                                               **~^  TREEUNE
                                                               	SURFACE WATER
                                                               	 SUBSURFACE
                                                                    STORM DRAIN

                                                               ----- srrr BOUNDARY
                                  SITE PLAN MAP

                              RUTLEDGE PROPERTY
                    ORATION  ROCK HILL. SOUTH CAROLINA
            Figure No. 1

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RESULTS OF THE REMEDIAL INVESTIGATION

The RI investigated the nature and extent of contamination on and near the Site, and defined
the potential risks to human health and the environment posed by the Site. A total of forty
one (41) groundwater, sixty five (65) soil, seven (7) surface water, and seven (7) sediment
samples were collected during the RI. More detailed information on the sampling locations,
procedures, and results can  be found in the RI/FS report, as  well as the Baseline Risk
Assessment.

Soil Contamination
      Soil analyses indicate  that volatile organic, semi-volatile  organic, pesticide/PCB and
      inorganic chemicals are present  above background levels. However, as concluded by
      the Baseline Risk Assessment and the RI, the levels of these contaminants are low
      enough not to pose a threat to human health or the environment. Due to a concern
      over the high variance of manganese levels in the surface soil background samples,
      additional sampleCs) will be taken during the Remedial Design to confirm that this
      variance is consistent  with the environmental setting.

Surface Water & Sediment Contamination
      Surface water analyses indicate that volatile organic  and inorganic chemicals are
      present in the on-site drainage and the Unnamed Stream.  Sediment analyses indicate
      that volatile organic, semi-volatile organic, pesticide/PCB, and inorganic chemicals are
      also present in the on-site drainage and the Unnamed Stream. As with soil, the levels
      of these contaminants are low enough not to pose a threat to human health or the
      environment.   Because  the volatile  organic, tetrachloroethene, was detected at
      elevated levels in the  background surface water and sediment samples, additional
      surface water and sediment samples) will be collected to ensure that the background
      location used has not be impacted by Site characteristics.

Groundwater Contamination
      Groundwater analyses indicate that volatile organic, pesticides, PCBs, and inorganic
      chemicals are present above background levels.  In contrast to  the surface  water,
      sediment, and soils analyses, the Baseline Risk Assessment concluded that three (3)
      volatile organics (trichloroethene, vinyl  chloride, 1,2  dichloroethene) and one (1)
      inorganic (manganese) pose a risk to human health and the environment.  All three
      (3) of the volatile organics exceeded the Maximum Contaminant Levels (MCLs)
      promulgated under the Safe Drinking Water Act. The approximate areal extent of
      groundwater contamination is  illustrated  in  Figure 2.   The  levels  of volatile
      contamination indicate the likelihood of Dense Non-Aqueous Phase Liquids
      (DNAPLs) within the groundwater media.

      Due to the fact that Site-related contamination was detected at very low levels at PW-
      04 (Fig. 2), further evaluation of the construction characteristics of this well will be
      required in the Remedial  Design.  If the screening depth of this well exceeds the
      screening depths  of the on-Site wells, additional wells may be required to fully
      demonstrate that there is no aquifer contamination at that screening depth that may
      be of concern.

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   too
                                                           TORK
                                                           SHOPPING
                                                           PLAZA
                                                               UW-UWJ
                                                  >•< CULVERT
                                                     TREEUNE
                                                 ——— SURFACE WATER
                                                     WELL LOCATION
                                                  A  STAFF GAUGE

                                                     AREA OF
                                                     CONTAMINATION
              APPROXIMATE AREAL EXTENT OF CONTAMINATION
               ABOVE REMEDIATION LEVELS IN GROUNDWATER
                            RUTLEDGE PROPERTY
COM FEDERAL PROGRAMS CORPORATION   pnrk- Hl, .  <-nil-,.
..b.i^ofOBvOTT.^iM.K^bK             HOCN HILL. SOU :H
Figure No.  2

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SUMMARY OF SITE RISKS

The  Baseline  Risk Assessment  (BRA) describes  the  risks to human  health  and the
environment which would result were the contamination not remediated.

The  BRA proceeds in a series of steps:  Initially, Contaminants of Potential Concerns
(COPCs) are identified. This list of COPCs includes all chemicals present that may pose a
potential risk to human health or the environment. The Exposure Assessment .considers the
present population potentially exposed to Site-related hazards, including on-site workers, and
visitors. In addition, potential future use scenarios, such as a future residential scenario, are
developed to determine "pathways" through which persons could potentially be exposed to the
contaminants.

The pathways of exposure can be evaluated by making assumptions such as the length and
number of times persons may be exposed and how much of the chemical is ingested. Thus,
a calculation can be made using known health effects and reasonable exposure assumptions
for each contaminant.

Both carcinogens, substances known or suspected to cause cancer, and non-carcinogens,
substances which do not cause cancer, but are hazardous and cause damage to human health
through other effects, are considered in the Risk Assessment

For carcinogens, the result is expressed as the excess cancer risk posed by Site contaminants.
EPA has established a range of IxlCT4 to  IxlO"6 as acceptable  limits for lifetime excess
carcinogenic risks. Excess risk in this range means persons exposed to Site contaminants
under the exposure scenarios evaluated stand a 1 in 10,000 to 1  in  1,000,000 chance of
developing cancer as a result of that exposure. For each pathway, the cancer risk from each
individual contaminant is added together because, in a "worst-case" scenario, a person could
be exposed through several, or all, of the possible pathways.  Non-carcinogenic risk is
expressed as a Hazard Index (HI). The HI is the ratio of the amount of chemical taken in,
divided by the reference dose, which is an intake amount below which no adverse effects are
known to occur. As for cancer risk, for each pathway, the HI for the individual contaminants
are added together.

Carcinogenic risk and non-carcinogenic risk were calculated for the potential on-site future
residential use scenario. The future residential use scenario has a carcinogenic risk of 2xlO~2.
This level  of risk results from  exposure to  contaminated groundwater via ingestion as
drinking water. This value is not within the acceptable risk limit. For the non-carcinogenic
risk, the future use HI is 950 which is also well above the EPA benchmark of 1.0. Likewise,
the HI is the result of ingestion of contaminated groundwater. The most serious pathway
and use at the Site is:

       FUTURE RESIDENTIAL USE: Adult  or child -- Ingestion of groundwater
                                     (carcinogenic and non-carcinogenic)

More detailed information on the Site risks is presented in the Baseline Risk Assessment.

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Actual or threatened releases of hazardous substances from this Site, if not addressed by the
preferred alternative, or one of the active measures considered, may present a current or
potential threat to public health, welfare, or the environment.


REMEDIAL OBJECTIVES AND ALTERNATIVES

Remedial Action Objectives

Based on the RI and the BRA, EPA has established the following remedial action objectives
for the Rutledge Property Superfund Site:

       •      Prevent ingestion of groundwater containing any carcinogen concentrations
             above federal or state limits,  or if there is no established limit, above levels
             which would allow a remaining excess cancer risk greater than the 10"* to ID*
             range.

       •      Prevent ingestion of groundwater containing any non-carcinogen concentrations
             above federal or state limits,  or if there is no established limit, above levels
             which would allow an unacceptable remaining non-carcinogenic threat (HI
             greater than 1).

       •      Restore the groundwater system to potential productive use, by remediating
             to  the standards described above, and by preventing the migration of the
             groundwater contamination beyond the existing limits of the contaminant
             plume.

Establishment of Remediation Levels

EPA  has established specific remediation levels (goals), or clean-up  standards, for the
groundwater contaminants present within the plume at the Rutledge Property Site. Such
standards are established under several federal environmental laws including the  Safe
Drinking Water Act (for water systems and potable water sources such as groundwater). The
State of South Carolina has similar statutes. Most of the contaminants present at the Site
are regulated under these federal and state standards.  In cases where there is no state or
federal standard, groundwater remediation levels were developed in the Feasibility Study
(FS) based on human health (BRA calculations). There are no soil remediation levels. Table
1 summarizes remediation levels for the groundwater at the Site.

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                                   TABLE 1
                  GROUNDWATER REMEDIATION LEVELS
      CONTAMINANT
  Maximum
 Concentration
Detected (ug/L)
Remediation
    Goal
   (ug/L)
         Volatile Oreanics

         1,2 Dichloroethene
           Vinyl Chloride
          Trichloroethene
            Inorganics

            Manganese
     1200
       26
    84000
     3600
     2'
     5'
   200*'
   *    Maximum Contaminant Level (MCL)              \
  (a)  Groundwater samples were analyzed for 1,2 dichloroeihene (total).  The maximum
      contaminant level for 1,2 dichloroethene (cis) was used since it is more conservative
      than 1,2 dichloroethene (trans) at 100 ug/L.
  (b)  The average background concentration was 185.5 ug/L. This value was rounded up to
      200 ug/L for the remediation level based on potential MCL listings.
Development of Remedial Alternatives

In the  FS, remedial alternatives  were constructed  and  evaluated  for  groundwater
contamination.  To formulate the alternatives for cleanup, all of the possible technologies,
processes, and methods which could be utilized in a cleanup effort were evaluated, and those
which could not be used at the Site were screened out. The screening criteria employed are
primarily site-specific factors that  make some of the technologies or processes ineffective,
difficult to implement, or infeasible. Such factors include soil type, geology/hydrogeology, site
location, and the volume of the contaminated media. Technologies and processes considered
to be potentially useful were then  grouped together into remedial alternatives to address
groundwater contamination. The resulting alternatives were then evaluated and compared
to one another in detail.

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SUMMARY OF REMEDIAL ALTERNATIVES

Six (6) alternatives to address groundwater contamination were developed and compared in
the FS.  The first two (2) alternatives are "No Action" and "Limited Action". The next two
(2) alternatives provide groundwater extraction with treatment on-site, the difference being
the number of extraction wells used to extract  the  groundwater.   The final two  (2)
alternatives provide groundwater extraction with one (1) or two (2) wells and direct discharge
to the PublicaUy Owned  Treatment Works (POTW).

All  of the  alternatives considered  were  subject to the  following assumptions  and
requirements:
             •      Area of groundwater contamination is 239,000 ft2
             •      Depth of contamination is 54 ft
             •      Volume of contaminated water is approximately 7,338,000 gal
             •      Present Worth (PW) cost assumes an annual 7% discount (interest) rate
For each  alternative, remedial action objectives will be considered satisfied when the
remediation goal standards are not exceeded in any of the monitoring wells. At the start of
the design phase, EPA or the Potentially Responsible Party (PRP) will initiate periodic
groundwater monitoring at the Site.

The cost given for each alternative is the Total Present Worth (PW) of capital costs plus
Operation and Maintenance (O&M) costs. More detailed descriptions of the strengths and
weaknesses of each alternative in terms of EPA's nine (9) standard criteria, can be found in
the FS.
                            Alternative 1 - No Action

CERCLA requires that EPA evaluate a "No Action" alternative to serve as a basis against
which other alternatives can be compared.  Under this alternative, no actions are taken, nor
are funds expended, for control or remediation of the contaminated groundwater.  Because
contaminants would be left on-Site under this alternative, a review is required every five (5)
years in accordance with the requirements of CERCLA. This alternative would also require
monitoring and the costs associated with laboratory analysis and report writing.

Under this alternative, Site conditions would remain unchanged. Therefore, contaminated
groundwater would continue to present an unacceptable health risk now and in the future.

Total Present Worth (PW) Cost:   $170,000
Estimated Capital  Cost:           none
Estimated Annual  O&M Cost:      none
Implementation Timeframe (months):    0
                                        10

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                          Alternative 2 - Limited Action

Under this alternative, limited action (institutional controls) would be implemented to restrict
the withdrawal and use of groundwater from the contaminated plume.  The institutional
controls would consist of deed restrictions to control future use of land and groundwater, and
long-term monitoring as presented in Alternative 1.

Deed restrictions would also be utilized to prevent future use of the aquifer for such purposes
as potable and industrial water supplies, irrigation, and washing. Permit restrictions issued
by the State of South Carolina would restrict all well drilling permits issued for public wells
on properties  that may draw water from the contaminated groundwater plume.  These
restrictions could be written into the property deeds to inform future property owners of the
possibility of contaminated groundwater beneath their property.

A second component of this alternative would be monitoring of Site groundwater conditions.
Groundwater samples from the wells would be collected and analyzed periodically to evaluate
contaminant concentrations and to monitor the extent and direction of contaminant direction.

Total Present Worth (PW) Cost:   $170,000
Estimated Capital Cost:           none
Estimated Annual O&M Cost:    $ 35,750
Implementation Timeframe (months):    0


                  Alternative 3A - Groundwater Pumping by 1
                     Extraction Well  and On-Site Treatment
                        With Discharge to Surface Water

Under this alternative, one (1) extraction well would be used to contain the contaminated
groundwater plume.  The extraction well would be located on the northeast corner of the
property, near the downgradient edge of the plume. The contaminated groundwater would
flow into the well and would then  get pumped to the surface. The water would then go
through an on-Site treatment system composed of neutralization, oxidation, sedimentation,
filtration, and carbon adsorption.  As the contaminated water passes through this treatment
"train", the volatile organics 1,2 dichloroethene, trichlorethene, and vinyl chloride, as well as
the inorganic manganese, will be reduced to their respective remediation levels. The "clean"
water would then be discharged to the surface water in accordance with National Pollutant
Discharge Elimination System (NPDES) requirements.  Deed restrictions and long-term
groundwater monitoring as described in Alternative 2 would also be enforced.

Total Present Worth (PW) Cost:          $4,115,000
Estimated Capital Cost:                $ 872,000
Estimated Annual O&M Cost:           $ 348,000
Implementation Timeframe (months):      24
                                        11

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       Alternative 3B • Groundwater Pumping by 2 Extraction Wells and
               On-Site Treatment With Discharge to Surface Water

This alternative is identical to Alternative 3A except for the fact that two (2) extraction
wells would be used to contain the contaminated groundwater plume instead of one (1).
As in Alternative 3A, one (1) well would be located on the downgradient edge of the
plume. An additional extraction well would be centrally located in the source area (Figure
2, MW-03). The advantage of adding an additional well in this location would be that the
contaminants are removed from the aquifer more quickly than if only one extraction well
is used to remove the contaminated groundwater.  The treatment train, surface water
discharge, deed restrictions, and long-term groundwater monitoring would be enforced  as
indicated in Alternative 3A.

Total Present Worth (PW) Cost:   $4,159,000
Estimated Capital Cost:          $ 915,000
Estimated Annual O&M Cost:    $ 348,000
Implementation Timeframe (months):    24

                  Alternative 4A • Groundwater Pumping by 1
                 Extraction Well and Direct Discharge to POTW

Under this alternative, the groundwater contaminant plume would be contained by one
(1) extraction well located on the downgradient edge of the plume. As opposed to
Alternatives 3A and 3B, the contaminated groundwater would then be discharged, via
sewer line, to the local POTW. No pretreatment would be required prior to discharging
the contaminated groundwater to the sewer line. Again, deed restrictions, and long-term
groundwater monitoring would be enforced as in Alternatives 3A and 3B.

Total Present Worth (PW) Cost:   $1,969,000
Estimated Capital Cost:          $ 249,000
Estimated Annual O&M Cost:    $ 225,000
Implementation Timeframe (months):    12

                  Alternative 4B - Groundwater Pumping by 2
                Extraction Wells and Direct Discharge to POTW

Likewise, this alternative is identical to Alternative 4A, except for the fact that two (2)
extraction wells would be used to contain the contaminated groundwater plume instead of
one (1).  Similarly, one (1) well would be located on the edge of the plume, while the other
located in the source area (Figure 2, MW-03). Discharge to sewer line (without
pretreatment), deed restrictions, and long-term groundwater monitoring would be enforced
as in Alternatives 3A, 3B, and 4A.

Total Present Worth (PW) Cost:   $2,031,000
Estimated Capital Cost:          $ 312,000
Estimated Annual O&M Cost:    $ 225,000
Implementation Timeframe (months):    12
                                       12

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Please refer to Table 2 below for a brief summary of the remedial alternatives, and their
respective costs.

                                      Table 2 .
REMEDIAL ALTERNATIVES COST
DESCRIPTION COST
1
2
3A
3B
4A
4B
No Action
Limited Action
Groundwater Extraction & Treatment
* On-Site
* One (1) Extraction Well
Groundwater Extraction & Treatment
* On-Site
* Two (2) Extraction Wells
XSroundwater Extraction & Disch. to POTW
* One (1) Extraction Well
Groundwater Extraction & Disch. to POTW
* Two (2) Extraction Wells
$170,000
$170,000
$4,115,000
$4,159,000
$1,969,000
$2,031,000
Evaluation of Remedial Alternatives

In selecting its preferred  alternative, EPA used the  following criteria to  evaluate the
alternatives developed in the FS. Seven (7) of the criteria were used to evaluate all of the
alternatives, based on environmental protection, cost, and engineering feasibility issues. The
preferred alternative, along with the other proposed alternatives, will be further evaluated
against the final two (2) modifying criteria, state and community acceptance, after the public
comment period has ended and all comments from the community and state have been
received.

THRESHOLD  CRITERIA:  The first two (2) statutory requirements  must be met by the
alternative.

       1. Overall Protection of Human Health and the Environment addresses the degree to
       which an alternative meets the requirement that it be protective of human health and
       the  environment.    This includes an  assessment  of  how  public  health  and
       environmental risks are eliminated, reduced, or controlled.
                                         13

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THRESHOLD CRITERIA:   The first two  (2) statutory requirements must be met by the
alternative.

       1. Overall Protection of Human Health and the Environment addresses the degree to
       which an alternative meets the requirement that it be protective of human health and
       the  environment.   This includes an assessment  of how  public health and
       environmental risks are eliminated, reduced, or controlled.

       2. Compliance with Applicable or Relevant and Appropriate Requirements
       (ARARs) addresses whether or not an alternative complies with all state and federal
       environmental and public health laws and requirements that apply, or are relevant
       and appropriate, to the conditions and remediation options at a specific site.

PRIMARY BALANCING CRITERIA:  These five (5) considerations are used to develop the decision
as to which alternative should be selected.

       3. Long-Term Effectiveness and Permanence refers to the ability of an alternative to
       maintain reliable protection of human health and the environment, over time, once
       the remediation levels are achieved.

       4. Reduction of Toxicity, Mobility, and Volume (TIMIV) addresses  the  statutory
       preference for selecting remedial actions  that employ treatment technologies that
       permanently and significantly  reduce  the  tosicity, mobility,  and volume of the
       hazardous substance.

       5. Short-Term Effectiveness addresses the impacts of the alternative on human health
       and the environment during the construction  and implementation phase, until
       remedial action objectives have been met.

       6. Implementability refers  to  the  technical and administrative  feasibility  of
       implementing an alternative, including  the availability of various services and
       materials required for its implementation.

       7. Cost consists of the capital (initial) costs of implementing an alternative, plus the
       costs to operate and maintain (O&M) the alternative over the long term. Under this
       criteria, the cost effectiveness of the alternative can be evaluated.

MODIFYING CRITERIA:   These two  (2) considerations indicate the  acceptability of the
alternative to the public, local,  or state officials.

       8. State Acceptance addresses whether, based on its  review of the RI/FS and the
       Proposed Plan, the State concurs with, opposes, or has no comments on the selected
       preferred alternative, or remedy.

       9. Community Acceptance addresses whether the public agrees  with EPA's selection
       of the preferred alternative.  Community acceptance of this Proposed Plan will be
       evaluated  based  on comments received during  the upcoming public meeting and
       during the public comment period.

                                        14

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EPA'S PREFERRED ALTERNATIVE

After conducting a detailed analysis of all of the alternatives, EPA has selected the following
alternative for remediation of the Site:

                   Alternative 4-B
                   Groundwater: Extraction (2 wells) &
                                Direct Discharge to POTW
                   Total PW Cost: $2,031,000
Rationale for the Preferred Alternative

EPA has selected Alternative 4-B as the best alternative for use at the Rutledge Property
Site.

Of the six (6) alternatives reviewed by EPA, both Alternative 1 and Alternative 2 fail to meet
the threshold criteria of protecting human health and the environment, and compliance with
ARARs.  Therefore, these two (2) alternatives were eliminated.

Of the remaining four (4) alternatives that meet the two aforementioned threshold criteria,
they all meet the five (5) primary balancing criteria of long-term effectiveness, reduction of
T/M/V, short-term effectiveness implementability, and  cost, but to varying degrees.  The
major differences being in short-term effectiveness, implementability, and cost.

Alternatives 4-A and 4-B do not require a treatment system to be built on-Site.' Rather, the
contaminated groundwater would be pumped directly, via sewer line, to the local POTW and
treated  by the  POTW.  Therefore, Alternatives 4-A and 4-B short-term effectiveness is
increased since it will be  faster to implement due to the fact that the system does not require
a complex treatment system to be designed and built  on-Site.  Additionally, the ease of
implementability for Alternatives 4-A and 4-B are far greater than Alternatives 3-A and 3-B.
As a result, the cost of Alternative 4-A and 4-B is less than Alternatives 3-A and 3-B.

Between Alternatives 4-A and 4-B,  the difference is merely tile number of extraction wells
to be utilized.   EPA feels that,  by using multiple extraction  wells, the groundwater
contamination will be removed from the contaminated  media more rapidly, resulting in a
more expeditious remediation.

Therefore, based on these comparisons, EPA believes that based on the information currently
available, Alternative 4-B  provides  the  best  balance of compliance among the  other
alternatives with respect to the evaluation criteria for the remediation of the contaminated
groundwater at the Rutledge Property Site. Employing this alternative will protect human
health and the environment, meet ARARs, be effective in the long-term, reduce contaminant
toxicity, mobility, and volume, be easy to implement, and will be very cost-effective.
                                        15

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PUBLIC PARTICIPATION

EPA will hold a public meeting on Tuesday,  March 1, 1994, to discuss the Preferred
Alternative and other alternatives evaluated in the FS. Officials from EPA and SCDHEC
will present a summary of the RI/FS, the remedial alternatives, and how the preferred
alternative was selected The public is encouraged to attend this meeting.

EPA is also conducting a 30-day public comment period from Friday. February 18. 1994. to
Monday. March 21. 1994. in order to receive public input and comments on the preferred
alternative for remediation of the Rutledge Property Superfund Site. Comments on the
preferred alternative, the other alternatives, or other issues related to the Site remediation,
are welcomed, as they are an important part of the decision-making process.  Please send all
comments to:

                              Mr. Samford T. Myers
                         North Superfund Remedial Branch
                       U.S. Environmental Protection Agency
                        Region IV, 345 Courtland Street, N.E.
                              Atlanta, Georgia 30365

EPA will review, and consider, all comments received during the public comment period and
the public  meeting before reaching a final decision  on the  most appropriate  remedial
alternative for the remediation of the Site. EPA's final decision will be issued in the Record
of Decision  (ROD),  a  legal document  which formally  pets forth the  remedy.   A
Responsiveness Summary, which contains all of the pubhq comments received and EPA's
response to them, is part of the ROD. A ROD is expected to oe completed for the Rutledge
Property in the spring of 1994.

For more information  on  community relations, the Superfund process, or this Site in
particular, please contact:

                               Ms. Cynthia Peurifoy
                            Public Relations Coordinator
                       U.S. Environmental Protection Agency
                        Region IV, 345 Courtland Street, N.E.
                              Atlanta, Georgia 30365
                          (404)347-7791 or (800)435-9233
FUTURE ACTIVITIES

Upon signature of the ROD at EPA Region IV in Atlanta, EPA will evaluate the situation
with regard to the Potentially Responsible Parties (PRPs) at this site. EPA will then
try to negotiate with the PRP(s) to secure performance and funding of the remedy under
EPA's oversight. If EPA cannot reach an agreement with the PRPs, then EPA will proceed
with Remedial Design/Remedial Action using CERCLA trust funds.
                                       16

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                                 GLOSSARY


Administrative Record - A file which is maintained and contains all information used by the
EPA to make its decision on the selection of a response action under CERCLA.  This file is
required to be available for public review and a copy is to be established at or near the site,
usually at the information repository.  A duplicate file is maintained in a central location such
as a regional EPA and/or state office.

Applicable or Relevant and Appropriate Requirements (ARARs) - Requirements which must
be met by a response action selected by EPA as a site remedy.  "Applicable" requirements are
those mandated  under one or  more  Federal  or State laws!   "Relevant  and appropriate"
requirements are those which, while not necessarily required, EPA judges to  be appropriate for
use in that particular case.

Aquifer - An underground geological formation, or group of formations,  containing usable
amounts of groundwater that can supply wells and springs.

Baseline Risk Assessment - An assessment which provides an evaluation of the potential risk
to human  health  and the environment in the absence of remedial action.

Carcinogens - Substances that cause or are suspected to cause cancer.

Comprehensive  Environmental Response, Compensation arid Liability Act (CERCLA) -
A federal law passed in 1980  and modified  in 1986  by the Superfund  Amendments and
Reauthorization Act (SARA).  The Acts create a trust fund, known as Superfund to investigate
and clean  up abandoned or uncontrolled hazardous waste sites.

Dense Non-Aqueous Phase Liquids  (DNAPL) - Dense non-aqueous liquids (DNAPLs) are
chemical compounds that are heavier than water in there pure form. DNAPL migration is gravity
driven and relatively unaffected by groundwater flow and often  moves in a manner that is
independent of groundwater flow. DNAPL contaminants (especially chlorinated organic solvents)
migrate vertically through fractures in rock or clay formations and thus, can contaminate deep
aquifer systems.

Feasibility Study - See Remedial Investigation/Feasibility Study.

Groundwater - Underground water that fills pores in soils or openings in rocks. This water can
be used for drinking, irrigation, and other purposes.

Hazard Index -A  term used in the Baseline Risk  Assessment which estimates the exposure
effects to non-carcinogenic contaminants at a hazardous waste  site.  A HI less than 1.0 indicates
that a significant hazard is likely, a HI grater than  1.0 indicates that there may be a potential
hazard at the site.
                                         17

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Information Repository - Materials on Superfund and a specific site located conveniently for
local residents.

Maximum Contaminant Levels (MCLs) - The maximum permissible level of a contaminant
in water that is consumed as drinking water.  These levels are determined by EPA and are
applicable to all public water supplies.

National Priorities List (NPL) - EPA's list of uncontrolled or abandoned hazardous wastes sites
eligible for long-term clean up under the Superfund Remedial Program.

Plume -  A three  dimensional zone within  the groundwater that contains contaminants and
generally moves in the direction of, and with, groundwater flow.

Potentially Responsible Parties (PRP's) - This may be an individual, a company or a group of
companies who may have contributed to the hazardous conditions at a site. These parties may
be held liable for costs of the remedial activities by the EPA through GERCLA Laws.

Public Comment Period - Time provided for the public to review and comment on a proposed
EPA action or rulemaking after it is published as a Proposed Plan.

Record of Decision (ROD) - A public document that explains which cleanup alternative will be
used at a National Priorities List site and the  reasons for choosing the cleanup alternative over
other possibilities.

Remedial Design/Remedial Action (RD/RA) - The remedial design (RD) is a plan formulated
by either the PRP or EPA or both to provide the appropriate measures to remediate a hazardous
waste site.  This plan may be modified many times through  negotiations between EPA an the
PRP. The remedial action (RA) is the implementation of the remedial design.

Remedial Investigation/Feasibility Study  (RI/FS) -  Two distinct but related studies, normally
conducted together, intended to define the nature and extent of contamination at a site and to
evaluate appropriate, site-specific remedies.

Superfund  Amendments and Reauthorization Act (SARA)  - Modifications  to CERCLA
enacted on October 17, 1986.
                                         18

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              USE THIS SPACE TO WRITE YOUR COMMENTS

Your input on the Proposed Plan for the Rutledge Property Superfund Site is important in
helping EPA select a final remedy for the site. You may use the space below to write your
comments,  then fold and mail.  A response to your comment will be included in the
Responsiveness Summary.
                        REQUEST TO BE PLACED ON THE
               mrrrxntits pruwKiri-v sriPKimnfn sms MAWTJtra TJST

If you would like your name and address placed on the mailing list for the Rutledge
Property Superfund Site, please complete this form and return to: Cynthia Peurtfoy,
Community Relations Coordinator, EPA-Region IV, North Superfund Remedial Branch, 349
Courtland Street, Atlanta, Georgia 30365, or call 1-800-435-9233.

TfAMK;	

ADDRESS;	
TELEPHONED
AFFILIATION^

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           United States               North supermini Remedial Branch                                           Region 4
           Environmental Protection                                                               345 Coorifamd Street, NE
           Agency                                                                                  AtiuU, Georgia 30365
Official Biulm!
Penally for Print* UK
SJM
Coramonllj EeliUom Coordlmloc

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                   Attachment B

Public Notices of Public Comment Period and Extension
             of Public Comment Period

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                    f2C-The Herald, Tuesday, February 22, 1994
                                    USE
           U.S. ENVIRONMENTAL PROTECTION AGENCY
   INVITES PUBLIC COMMENT ON THE  PROPOSED CLEANUP
    PLAN FOR THE RUTLEDGE PROPERTY SUPERFUND SITE,    ;
           ROCK HILL, YORK COUNTY, SOUTH CAROLINA

The U.S. Environmental Protection Agency is inviting public comment on the Proposed Plan for cleanup of
the Rutiedge Property/Rock Hill Chemical Company Super-fund Site. The Remedial Investigation/Feasibility
Study for the site have been completed. The Remedial Investigation determined.the-nature and extent of
contamination at the site. The Feasibility Study evaluated alternatives for addressing groundwater contam-
ination at the site; the principal threat posed by the site..
Six alternatives were considered in proposing this action. The figures in parentheses are the estimated*
present worth costs for each alternative. The following alternatives were considered:

Alternative 1:    No Action ($170.000)
Alternatives:    Limited Action ($170.000]                                            --"••••
Alternative 3A:   Groundwater Extraction & Treatment, On Site Treatment and Discharge.
               One Extraction WeO ($4.115.000)
Alternative SB:   Groundwater Extraction & Treatment. On-Sfce Treatment and Discharge.
               Two Extraction Wells ($4.159.000)
Alternative 4A:   Groundwater Extraction & POTW Discharge. One Extraction WeO ($1.969.000)
Alternative 4B:   Groundwater Extraction & POTW Discharge. Two Extraction Wells ($2.031.000)

EPA is proposing implementation of Alternative 4B. EPA believes that employing this alternative will pro-
tect human health and the environment, meet applicable or relevant and appropriate requirements, be ef-
fective in the long-term, reduce contaminant toxicrcy. mobility and volume, be easy to implement, end will
be cost effective.

The scope of the proposed action includes containment of the contaminated  groundwater plume  by two
extraction wells to be located on the down gradient edge of the plume. The  contaminated groundwatef
would then be discharged, via sewer line, to a local publicly owned treatment works (POTW). No pretreafr
merit would be required before the contaminated groundwater is discharged to the sewer fine. Deed re-
strictions, and long-term groundwater monitoring would be enforced. It is estimated that  it will take one
year to implement this remedy.

The Agency is holding a 3O-day comment period, which begins on Tuesday. February 22. 1994. and ends
on Thursday. March 24, 1994. Written comments, which must be  postmarked no later than March 24.
1994. should be send to:                                                           . .'....

                         Mr. Sandy Myers. Remedial Project Manager                     ....
                             North SuperfuncLRemediel Branch...
                       U.S. Environmental Protection Agency. Region IV
                       345 Courtiand Street. N.E.. Atlanta. GA 3O365                    -  -

EPA has scheduled a public meeting to present the proposed plan and to discuss the status of the Reme-
dial Investigation/Feasibffity Study. The meeting also provides the public an opportunity to submit oraj and
written comments on the proposed cleanup plan and the other alternatives considered. This meeting will
be:

                        Date:   Tuesday. March 1, 1994             ,
                        Time:   7:00 p.m.
                        Place:  SULLIVAN MIDDLE SCHOOL
                               1825 Eden Terrace. Rock Hill. South Carolina

Copies of the proposed plan, as wed as the administrative record for the site, are available for review at
the site information repository, which is in the York County Library. 138 East Black Street. Rock Hill, SC.
803/324-3055. These documents are also available for review at the EPA Records Center. 345 Court-'
land Street. N.E.. Atlanta. GA 30365. 4O4-347-O506.

For additional information, or to be added to EPA's mailing  list for the site, contact Cynthia B. Peurrfby. •
Community Relations Coordinator, at 1-8CO435-9233, or 404/347-7791.

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   The  Herald
                                  April  6, 1994
      &••':•: '•"  ?. "••>•'•«£'-.•"'"•;•" "" e^»'/*••••'••• •*•• •••"•O:£K^*«&:|'''.''.'&.''I^£/?'|
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      ».•»«;-.• .-   ..•.••.-.,;.   .     -VY^y/  ••""'' '"••:1* °-S8¥**SsB"'• (f ••'• •  "'   •••:. .'-,. I
      -Ks-Wir .-•':• r-x • • ;..  ..AAlA-y •'-••:<>•/.; .:.-'.#H-:iaifc)i. --».  :   .  •.-'•'.'.  "I
      i sj^if ?*'•'.-•' -  -<-*f 'rv-sV-,!.^.- ^^^•(•^^f-(--;^v^T:'-v}$ei?ra!B^\ .!•• •;,  -..;'-  ' • I
                  ,^ATES ENWRONMENTAt^RpTE^QN AGENCY
                    Extension pi the PtitiHc.Coini¥iGnt:P6fiQd tot th€i  .•-.'*••
           Proposed .Ptan/Rufledge Property Superfund Site,.':     ;
  •;  '-  •••": ^^;yi^kWli,;^Hc.Covnty,^^h0c^             ,;•''•.;.'

 The U. S. Environmentd Pro|6clBon Agency (EPA) fat extending the pertod of Hme for
 occepflng pubic cornh-wntsbhlihe Agency'sproposed cleanup plan, and theofher
 attemafives corMWered foif -'"." .''.•?:-.:!••:-.- ; . .*;
 snoufo oe seni TOIA
hoB'botn
end the ott
                 a  nd c*eoiup e jfte. • The>
ddmlnWreHve record
                       cortdnwJ in tt» AdnrtWrirdtve. Rebofil for twillft
                       Mnitol dpeuhrwnls, iepdils, end ofher matorid fh« EPA
 reBed upon In reacNng a doddon on Itie selection . oi.. Ihe proposed ptan. The'
 AdrrtnbholhwReca*; which Jncfao^^f
 ae avdlqbie tor puMe review ol *e WJ»dge $Be Information ReposKon/ located
               .Rock.Hi, South CarorM297fU (603>524r^
                              ^^i."i'i* J^l^Sl^ft^i^} fej^'V r- t •  •'   '  ••'..',...
                              > for feviewai the EPA Becocdt Center In Aflanla,.
 GA.  For moie
'to. the site's meelngfcfc.ptob^centB^                           v ...-'--.^';•;/•
 •        .'*!. -I- ;' '-"ifl*"' '• £ifcAS>*HL^ •'%;'• ••'•'\'"v • ^"' "'"' / r*** * - •'• I *••* •!•»''• •"'*» *'f,J • ' •   .*"    -•••*.
   *• '• .'  ;•'.  • • *••*** •T* r/^*. *T" ^*<*v"'-t jr«J ..*... >v '+•£-*•  .";/*'!. •  ;*••«£,»'»' '         ••"•  .-•
      .'"•-•..-• ,• t^-fc--" .^,vn. i *j-"  *  *   '.-*»».  ' •• •    •  •* - .-.•>• * • S
              Cyrthta Peuffoy, Communiiy ReloflorB Coordinator          :'';'
             U.S. EPA, Region (V, North Superfund Romedtal fconeh

                  Courttqnd Street, H.L, ABohid, Georgia 40365

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SOUTH CAROLINA BLACK MEDIA GROUP                      April 7-13.199*    9A
      THE UNITED STATES ENVIRONMENTAL PROTECTION AGENCY
    Announces an Extension of the Public Comment Period for the
           Proposed Plan, Rutledge Property Superfund Site,
                Rock Hill, York County, South Carol'na

The U. S. Environmental Protection Agency (EPA) Is extending the period of time for
accepting public comments on the Agency's proposed cleanup plan, and the other
alternatives considered for the Rutledge Property Superfund Site to Monday. April
25. 1994. Written comments, which must be postmarked on or before April 25, 1 994,
should be sent to:

                 Sneri Panabaker, Remedial Project Manager
            U.S. EPA, Region IV, North Superfund Remedial Branch
              345 Courtland Street, N.E., Atlanta, Georgia 30345

EPA will not make a final, cleanup decision for the site untH It has reviewed and
considered all public comments it receives.  Based on public comments or new
information, the EPA may decide on another alternative, rather than the plan that
has been proposed. Therefore, tt Is important to comment on the proposed plan
and the other alternatives evaluated in the feasibility study. Comments can also be
made on any documents contained in (he Administrative Record for the site. The
administrative record contains all documents, reports, and other material the EPA
relied upon In reaching  a  decision on the selection of the proposed plan. The
Administrative Records, which includes the feasibility study and EPA's proposed plan
are available for public review at the Rutledge SHe Information Repository located
at:
                  York County Library, m East Black Street,
                Rock H1H, South Caroina  29731, (803)324-3055

These documents are also available for review at the EPA Records Center in Atlanta,
GA. For more Information, to request a copy of the proposed plan or to be added
to the site's mailing Hst, please contact:

             Cynthia Peurifoy, Community Relations Coordnator
             U.S. EPA, Region IV, North Supeffund Remedial Branch
              345 Courtland Street, N.E.. Atlanta, Georgia 30345

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          Attachment C

Written Public Comments Received
During the Public Comment Period

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April 21, 1994

Mr. Samford T. Myers
North Superfund Remedial Branch
U S Environmental Protection Agency
Region IV
345 Courtland Street, NE
Atlanta, Georgia 30365

Subject:      Rutledge Property (Rock Hill Chemical Company) Superfund Site
             Rock Hill, South Carolina

Dear Mr. Myers:

RMT, Inc. reviewed the United States Environmental Protection Agency (EPA) Administrative Record
located at the York County Public Library for the Rutledge Property Superfund Site on behalf of the
following companies: BASF Inmont Corporation, Burlington Industries, Inc., Chase Packaging
Corporation, CTS Corporation, Engraph, Inc., FMC Corporation, Homelrte Division, of Textron, Inc.,
Rexham, Inc., W.R. Grace  and Company, and Celanese.  The comments included below are being
submitted by these companies in response to EPA's Superfund Proposed Plan Fact Sheet for the
Rutledge Property (Rock Hill Chemical Company) Superfund Site, dated February 1994.

The EPA's Remedial Investigation and Feasibility Study (RI/FS) is summarized in the paragraphs below
to provide context for the comments that follow. By way of background, EPA's contractor conducted
a geophysical survey to identify buried objects, then collected 22 surface soil samples evenly spaced
across the site to identify potential hot spots.  Afterwards, the contractor collected 40 subsurface soil
samples from 16 locations and installed five pairs of ground water monitoring wells on-site (each pair
consisted of a shallow well screened at the top of the surficial aquifer and a deep well screened at the
top of bedrock or several feet into the bedrock). EPA sampled the ten new wells, three existing
monitoring wells, one out-of-service commercial well, and three off-site private wells. EPA then
installed and sampled three more well pairs to fill data gaps in the monitoring well network. EPA also
sampled surface water and sediment in on-site drainage areas and conducted an ecological
screening.

EPA concluded from the investigation results  that ground water contamination at the site presents an
unacceptable risk for a future residential land use scenario.  The contaminants in ground water that
pose an alleged health risk are trichloroethene (TCE, max. concentration = 84,000 ug/l), 1,2-
dichloroethene (1,2-DCE, max concentration  =  1,200 ug/l), vinyl chloride (VC, max. concentration =
26 ug/l), and manganese (max concentration = 3,600 ug/l).  EPA's risk calculations resulted in an
estimated excess cancer risk of approximately 5 x 10~2. EPA believes that manganese concentrations
present an unacceptable health risk based on a calculated hazard index of 25.

The baseline risk assessment showed that soils on-site are within acceptable risk limits. No risk-based
remedial goal options have been  identified for surface soils.  EPA determined that the hazard index for
manganese in soil, which it calculated as 5.75, was high but acceptable. Likewise, EPA concluded
that risks posed by volatile organic compound (VOC) and metals concentrations in the drainage areas
were acceptable.


                                                                 RMT, INC. - GREENVILLE, SC
                                                               lOOVEROAfBouuvuo • 29607-3825
                     INC-                                            P.O. Box 16778 - 29606-6778
                                                              803/281-0030 - 803/281-0288 FAX
•tar

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Mr. Samford T. Myers
US EPA Region IV
April 21, 1994
Page 2

The Feasibility Study (FS) contains EPA's preferred cleanup goals for ground water, which include the
promulgated Maximum Contaminant Levels (MCLs) for TCE, 1,2-DCE, and VC.  For manganese, EPA
set a cleanup goal of 200 ug/l based on an average background concentration of 185 ug/l. In the FS,
EPA presented six possible remediation alternatives, including no action and limited action (deed
restrictions, long-term ground water monitoring).  The four alternatives requiring action consisted of
ground water extraction and either 1) treatment on-site with discharge to surface waters or 2)  no
treatment with discharge to the City of Rock Hill Publicly Owned Treatment Works (POTW).

EPA's Superfund Proposed Plan Fact Sheet for the Rutledge Property Superfund Site states EPA's
preference for Alternative 4-B, which includes extraction of ground water via two recovery wells,
discharge to the POTW, deed restrictions, and long-term ground water monitoring. While the  Rl does
not provide evidence that any remedy is necessary, Alternative 4-B appears to be a practical remedy
for the Rutledge site if one is required. However, while reviewing the Administrative Record, we noted
several issues that may impact the scope and cost of the remedy and which deserve comment
These  issues include the following:

       •      The Record of Decision (ROD) should acknowledge that the Remedial Design  for
              Alternative 4-B can be simplified and shortened by eliminating the Intermediate Design
              (60%) subm'rttal.  An intermediate submitted is  unnecessary for such a straightforward
              design. EPA will be able to judge the technical aspects of the design basis from the
              Preliminary Design (30%) submrttal. Since Alternative 4-B has no treatment
              component, the  only engineering review required forfthe design will be the extraction
              wells and the connecting pipeline to the sewer system.  These elements can easily be
              reviewed and revised in conjunction with the Prefinal/Final Design reports.

       •      We did not find in the Administrative Record reference to an agreement between EPA
              and the City of Rock Hill that the POTW would accept the extracted ground water.
              Evidence of such an agreement should be reflected in the Record. If this has  not
              already been done, the POTW should be contacted to determine effluent acceptability
              and to obtain such an agreement prior to issuing the Record of Decision.

       •      EPA's ground water cleanup goal for 1,2-dichloroethene is 70 ug/l. The Performance
              Standard for 1,2-DCE should be split into two standards to  reflect the MCLs of the c/s-
              and trans- isomers of 1,2-DCE. The trans- isomer has a higher MCL of 100 ug/l. The
              lower standard for the c/s- isomer would apply whenever analytical results are
              reported as total 1,2-dichloroethene.'

       •      The Rl recommended additional study of the ecological communities that could be
              impacted by this site, even though the Rl report states that the site does not pose a
              threat to any state or federally listed species of concern. The Rl's surface soil results
              show that further migration of site contaminants to receiving waters is not anticipated.
              The EPA's ecological screening did not identify any sensitive ecological communities

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                                         April 25,1994
                                         823 Standard St.

                                         Rock Hill, S. C.
                                                   29730
Ms. Sheri Panabaker
Remedial Project Manager
U.S.EPA, Region IV
North Superfund Remedial Branch
345 Courtland St.
N.E. Atlanta, Georgia 30365

Dear Ms. Panabaker,
     I received your handout advising me about an Extension
of the Public Comment Period for the Proposed Plan, Rutledge
Property Superfund Site, Rock Hill,S.C.I participated in
your meeting on March 1, 1994 concerning the above. The
input I added as well as other citizens,  I hope will be
reviewed and consideration given our concerns.
     In your notification of an extension , you indicated
that -the EPA may decide on another alternative rather than
the plan that had been proposed.  If this alternative plan
is different from those discussed on March 1, I would like
to be made aware of the plan chosen so that\I and other
citizens may make further comments.  At the -meeting the
alternative plan being considered was Alternative Plan 4B -
Groundwater Pumping by 2 Extraction Wells and Direct
Discharge to POTW . MY concern with this method that was
tentatively selected,or any other method is that an
additional process such as pre-treatment on site of the
ground  water be done before any other authority , whether
it be city or private , administers the final treatment as
required by the EPA Superfund Act.
     You should also be concerned with the surrounding soil
within the borders of the affected area to eliminate further
problems down the road as you continue monotoring the
superfund site.  This problem I understand existed over a
thirty year period.  If you temporily clean the undergrond
water and not pay attention to the soil which contributed to
the problem, it would simply reoccur.
     Other concerns that I have would be that more testing
be done opposite the site on Cherry Rd. and on any
bordering property that may be affected, and to insure the
safety of citizens in the area,the entire site should be
fenced off and signs need to be posted informing the public
of any possible danger.
     In closing I would like to thank you for sending me
notification, and please keep me informed .

                                    Sincerely,



                                           U

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Mr. Samford T. Myers
US EPA Region IV
April 21, 1994
Page 3

              immediately downstream of the site. An ecological study is therefore likely to be
              unproductive, and the money for it would be better spent on cleanup.

       •      The Rl Report recommended logging the depths of private wells PW-03 and PW-04 to
              evaluate whether further characterization is needed, since chemicals detected in PW-
              03 and PW-04 are similar to those detected on-site.  The monitoring well network
              constructed by EPA during the Rl is extensive and appears to be sufficient to make a
              determination now that these constituents are not site related. Further ground water
              investigation is  unwarranted and will delay cleanup activities and divert funds that are
              best spent on cleanup.

       •      The VOCs detected during the Rl were found in both top-of-rock and shallow wells.
              The Superfund Proposed Plan Fact Sheet does not specify whether the extraction wells
              will be constructed into rock.  Extraction of ground water from bedrock fractures for
              remediation purposes is difficult and, in most cases of Piedmont lithology, technically
              impracticable. At most, the two extraction wells proposed in Alternative 4-B should be
              constructed into the first few feet  of bedrock, where the rock is highly weathered and
              fractured. The screen should be  set to withdraw from both the saprolite and the
              weathered rock. Any attempt to construct wells that are screened in competent
              bedrock is expected to result in a relatively useless extraction well, since the odds of
              intercepting a producing fracture  that is connected to the small plume found by EPA's
              investigation are minute.

Please place these comments in the Administrative Record and consider them in the preparation of
the Record of Decision for the Rutledge Property Superfund Site.


Sincerely,

RMT,  Inc.
Paul A. Furtick
Project Manager

cc:    Rock Hill Chemical Company Site Generator PRPs

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                     Attachment D



Official Transcript of the Proposed Plan Public Meeting

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 UNITED STATES ENVIRONMENTAL PROTECTION AGENCY

    REGION IV PROPOSED PLAN MEETING FOR THE

RUTLEDGE PROPERTY (ROCK HILL CHEMICAL COMPANY)

                 SUPERFUND SITE

           ROCK HILL,  SOUTH CAROLINA

                 MARCH 1,  1994
        REPORTER:  KATHY STANFORD. CVR-CM
             VERBATIM COURT REPORTING
                 P. O. Box 2711 CRS
               ROCK HILL. S. C. 29730
                  (803) 328-9640

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 1                        PROCEEDINGS
 2                           ********
 3            UNITED STATES ENVIRONMENTAL PROTECTION AGENCY
 4               REGION IV PROPOSED PLAN MEETING FOR THE
 5            RUTLEDGE  PROPERTY (ROCK  HILL CHEMICAL COMPANY)
 6                           SUPERFUND SITE
 7                            MARCH I, 1994
 8                              7:10 P.M.
 9                           ********

10     "        SANDY MYERS:  GOOD EVENING AND WELCOME TO THE

11         PUBLIC MEETING, PROPOSED PLAN MEETING FOR THE RUTLEDGE

12         PROPERTY SITE.   I  APPRECIATE YOUR INTEREST IN COMING

13         TONIGHT AMID THE SEMI-MONSOON OUTSIDE.  I REALLY DO

14         APPRECIATE IT.   MY NAME IS  SANDY MYERS,  AND I'M THE

15         REMEDIAL PROJECT MANAGER WITH THE ENVIRONMENTAL

i6         PROTECTION AGENCY REGION 4, BASED IN ATLANTA.  WITH ME

17         TONIGHT ARE FELLOW EPA EMPLOYEES CYNTHIA PEURIFOY, SHE

18         IS THE COMMUNITY RELATIONS  COORDINATOR;  BERNIE HAYES,

19         WHO IS ANOTHER  RPM OR REMEDIAL PROJECT MANAGER; AND MARK

20         DAVIS, WHO IS THE  ATTORNEY  FROM THE OFFICE OF REGIONAL

21         COUNSEL.  ALSO  WITH  US TONIGHT FROM SOUTH CAROLINA

22         DEPARTMENT OF HEALTH AND ENVIRONMENTAL CONTROL CHUCK

23         GORMAN, BILLY BRITTON, AND  RICHARD HAYNES.  THE AGENDA

24         FOR TONIGHT'S MEETING CONSISTS OF BASICALLY SIX

25         SEGMENTS.  I'M  OBVIOUSLY DOING THE WELCOME AND

26         INTRODUCTIONS.   CYNTHIA IS  GOING TO BRIEFLY DISCUSS THE

27         COMMUNITY RELATIONS  PROGRAM.  I'M GOING TO DISCUSS THE

28         SITE HISTORY.  BERNIE HAYES IS GOING TO DISCUSS THE

29         BASELINE RISK ASSESSMENT PROCESS.  I'M GOING TO COME
                            DALLAS REPORTING
                          Certified Court Reporters
                          Rock Hill, South Carolina
                               (803) 328-9640

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                                                                   2

 1         BACK WITH THE REMEDIAL INVESTIGATION AND THE FEASIBILITY

 2         STUDY,  AND THEN WE'LL OPEN OP TO QUESTIONS AND ANSWERS.

 3         WE'RE GOING TO DO OUR BEST TO LIMIT THIS MEETING TONIGHT

 4         TO APPROXIMATELY 45  TO 50 MINUTES SO THAT WE CAN ALL BE

 5         OUT. I WOULD LIKE TO NOW INTRODUCE CYNTHIA PEURIFOY.

 6         SHE IS  GOING TO EXPLAIN THE SUPERFUND PROCESS IN GENERAL

 7         AND DISCUSS HOW AND  WHY THE PUBLIC PLAYS SUCH AN

 8         ESSENTIAL ROLE IN THE ULTIMATE DECISION MAKING PROCESS.

 9              CYNTHIA PEURIFOY:  GOOD EVENING.  I WANT TO THANK

10         YOU FOR COMING OUT TONIGHT.  AGAIN, MY NAME IS CYNTHIA

11         PEURIFOY, AND I AM THE COMMUNITY RELATIONS COORDINATOR

12         FOR THE SOUTH CAROLINA SECTION OF EPA'S REMEDIAL

13         PROGRAM.  I WANTED TO FIRST OF ALL SET THE STAGE FOR

14         TONIGHT'S MEETING.  THIS IS A PUBLIC HEARING, AND WE DO

15         NEED YOU TO COOPERATE WITH US TONIGHT BY WHEN YOU DO

16         HAVE A  COMMENT OR A  QUESTION, BY STANDING UP,

17         IDENTIFYING YOURSELF FOR OUR COURT REPORTER HERE AND

18         MAKING  SURE THAT SHE IS ABLE TO HEAR WHAT YOU SAY.

19         THAT'S  VERY IMPORTANT FOR US BECAUSE WE'RE HERE TO GET

20         YOUR COMMENTS AND YOUR CONCERNS ABOUT THE PROPOSED PLAN.

21         THE TRANSCRIPT THAT  SHE IS GOING TO PRODUCE IS GOING TO

22         BE USED TO PREPARE WHAT WE CALL A RESPONSIVENESS SUMMARY

23         WHERE WE WILL SIT DOWN AND WE WILL RESPOND TO EVERY

24         CONCERN THAT WE HEAR HERE TONIGHT AND THROUGHOUT THIS

25         PUBLIC  COMMENT PERIOD.  SO PLEASE COOPERATE WITH HER AND
                             DALLAS REPORTING
                          Certified court Reporters
                          Rock Bill, south Carolina
                               (803) 328-9640

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                                                                   3

 1         US  BY MAKING SURE  THAT WE  CAN HEAR WHAT YOU HAVE TO SAY.

 2         WE  ARE IN A PUBLIC COMMENT PERIOD  WHICH ENDS ON MARCH

 3         24TH.  HOWEVER,  THERE  IS A PROVISION THAT THAT COMMENT

 4         PERIOD CAN BE EXTENDED FOR AN ADDITIONAL 30 DAYS.  IF

 5         YOU FIND THAT YOU  NEED MORE TIME TO REVIEW THE DOCUMENTS

 6         OR  WHATEVER OR TO  PREPARE  YOUR COMMENTS, PLEASE GET IN

 7         TOUCH WITH EITHER  SANDY OR I AND WE WILL WORK WITH YOU

 8         TO  EXTEND THAT COMMENT PERIOD IF IT'S NEEDED.  I WANTED

 9         TO  DRAW YOUR ATTENTION TO  WHAT WE  CALL THE SITE

10         INFORMATION REPOSITORY. IT IS AT  THE YORK COUNTY

11         LIBRARY ON BLACK STREET.   AND IN THAT LIBRARY, WE HAVE

12.        PREPARED WHAT WE CALL  OUR  ADMINISTRATIVE RECORD, WHICH

13         IS  A RECORD OF ALL THE DOCUMENTS THAT WERE COMPILED AND

14         USED BY SANDY AND  THE  OTHER PEOPLE WITHIN THE EPA AND

15         THE STATE TO PROPOSE THIS  CLEANUP  PLAN.  THE REMEDIAL

16         INVESTIGATION AND  FEASIBILITY STUDY REPORTS ARE THERE;

17         THE RISK ASSESSMENT IS THERE; EVERYTHING THAT YOU WILL

18         SEE REFERENCED IN  THE  PROPOSED PLAN FACT SHEET IS THERE

19         AND YOU CAN GO BY  AND  REVIEW IT.   I WANTED TO TALK A

20         LITTLE BIT ABOUT THE SUPERFUND PROCESS.  AND I'M GOING

21         TO  PUT THIS UP,  AND I  HOPE YOU CAN SEE IT, JUST TO LET

22         YOU KNOW THAT ON THIS  PARTICULAR SITE WE HAVE BEEN

23         THROUGH SEVERAL STEPS  OF THE SUPERFUND PROCESS.  AND AS

24         YOU'LL SEE NUMBER  3, «, AND 5 HAVE BEEN CIRCLED BECAUSE

25      ~   THAT'S REALLY WHERE WE ARE NOW. WE'RE MOVING OUT OF THE
                             DALLAS REPORTING
                          Certified Court Reporters
                          Rock Sill, south Carolina
                               (803) 328-964O

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                                                                   4

 1        FEASIBILITY STUDY.   WE'RE IN THE PROPOSED PLAN.  WE'RE

 2        IN  THE  PUBLIC  COMMENT PERIOD.  A LOT HAS GONE ON THE

 3        SITE.   THE  INVESTIGATION HAS BEEN COMPLETED.  TEE

 4        FEASIBILITY STUDY HAS BEEN COMPLETED.  THE PROPOSED PLAN

 5        HAS BEEN SUBMITTED TO THE PUBLIC.  WHEN WE COMPLETE THIS

 6        PUBLIC  COMMENT PERIOD WE WILL BE DOING THE

 7        RESPONSIVENESS SUMMARY AS I SAID EARLIER, AND TEEN WE

 8        WILL BE PREPARING A RECORD OF DECISION.  ONCE THAT IS

 9        DONE, WE WILL  GO FORWARD WITH NEGOTIATIONS WITH

10        POTENTIALLY RESPONSIBLE PARTIES.  WE'LL MOVE INTO THE

11        REMEDIAL DESIGN AND INTO THE CLEANUP.  LET ME SAY A FEW

12.       THINGS  ABOUT THE COMMUNITY RELATIONS PROGRAM ITSELF.  WE

13        HAVE A  MAILING LIST FOR THE SITE.  IF YOU'RE NOT ON THE

14        MAILING LIST,  PLEASE SEE ME OR SIGN IN THAT SHEET BACK

15        THERE AND WE'LL GET YOU ON THE MAILING LIST.  WE DO

16        PREPARE FACT SHEETS FROM TIME TO TIME.  IF YOU HAVE THE

17        FACT SHEET  THAT I SENT OUT RECENTLY YOU WILL SEE AN 800

18        NUMBER  IN THAT FACT SHEET.  WE ARE ALWAYS AVAILABLE AT

19        THAT NUMBER TO ANSWER AtfY QUESTIONS OR CONCERNS YOU

20        MIGHT HAVE  AND TO GET ANY FEEDBACK THAT YOU MIGHT HAVE

21        ON  ANYTHING THAT YOU FEEL THAT WE NEED TO COVER ANY
                     k

22        INFORMATION THAT YOU DON'T HAVE THAT YOU'D LIKE TO HAVE.

23        ONE PROVISION  OF THE SUPERFUND PROGRAM IS THAT

24        COMMUNITIES WHERE THERE ARE SUPERFUND SITES HAVE THE

25        ABILITY TO  APPLY FOR A TECHNICAL ASSISTANCE GRANT.  THAT
                             DALLAS REPORTING
                          Certified court Reporters
                          Rock Bill, south Carolina
                               (803) 328-964O

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IS A GRANT THAT WILL PROVIDE YOU THE ABILITY  TO  HIRE  A

TECHNICAL ADVISOR TO ADVISE YOU ON THE DOCUMENTS AND

FINDINGS THAT EPA PUTS FORTH.  SO IF ANYBODY  HERE  IS

INTERESTED IN LOOKING INTO THE TAG PROCESS, PLEASE FEEL

FREE TO SEE ME OR CALL ME ABOUT THAT.  AND FINALLY, GIVE

ME YOUR FEEDBACK.  LET ME KNOW HOW THIS MEETING  IS, HOW

INFORMATIVE YOU THINK WE ARE.  ARE WE OVER YOUR  HEADS?

ARE WE NOT GETTING THE POINT ACROSS?  WHATEVER.  DO WE

NEED TO HAVE MORE MEETINGS?  THAT IS MY ROLE  TO  MAKE

SURE THAT THE COMMUNITY IS INFORMED AND INVOLVED IN THE

PROCESS SO PLEASE HELP ME TO DO THAT FOR YOU, AND  LET ME

KNOW WHAT YOU WOULD LIKE TO HAVE.  THANK YOU.

     SANDY MYERS:  THANKS, CYNTHIA.  I WOULD  NOW LIKE TO

JUST GIVE A VERY BRIEF SITE HISTORY.  THIS SITE,

HOPEFULLY YOU ALL CAN READ THIS, THIS SITE IS LOCATED ON

CHERRY ROAD AT THE CORNJ2R OF CRANFORD STREET  AND FARLOW

STREET.  I HAVE ANOTHER SITE MAP THAT'S MORE  OF  A

CLOSEUP AND MIGHT BE OF SOME HELP.  BETWEEN 1960 AND

1964, ROCK HILL CHEMICAL COMPANY OPERATED A SOLVENT

RECLAMATION FACILITY AT THAT SITE.  CLASSIC WASTE

PRODUCTS SUCH AS PAINT SLUDGES, TEXTILE DYE PRODUCTS,

USED SOLVENTS, AND OTHER SOLID WASTES WERE GENERATED

DURING THE RECLAMATION PROCESS AND WERE STORED AND

DISPOSED OF AT THE SITE.  THE COMPANY CEASED  OPERATIONS

IN THE SUMMER OF 1964.  THE FOLLOWING OCTOBER A  FIRE  AT
                             DALLAS REPORTING
                          Certified court Reporters
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                                                                   6

 1         THE FACILITY CAUSED DRUMS OF OIL AND CHEMICALS TO


 2         EXPLODE RELEASING THEIR CONTENTS INTO THE ENVIRONMENT.


 3         TWO REMOVALS HAVE TAKEN PLACE AT THE SITE SINCE THEN.

 4         IN 1985 A SOILS REMOVAL WAS DONE RIGHT IN THIS AREA HERE


 5         BEHIND THE BANK.  AND THEN BETWEEN 1987 AND '89 ANOTHER

 6         SMALL SOILS REMOVALS AND A DRUM REMOVAL WAS DONE IN THIS


 7         AREA HERE.  THE SITE WAS LISTED ON THE NATIONAL


 8         PRIORITIES LIST IN FEBRUARY OF 1990.  THIS IS SIMPLY A


 9         LIST OF CONTAMINATED SITES ACROSS THE UNITED STATES.  IN


10         MARCH OF 1992,  EPA INITIATED THE R.I.F.S., OR THS


11         REMEDIAL INVESTIGATION FEASIBILITY STUDY.  AND THIS IS


12         SIMPLY WE GO OUT AND WE FIGURE OUT THE EXTENT OF


13         CONTAMINATION,  THE TYPE OF CONTAMINATION, AND WE ALSO

14         COME UP WITH A FEW ALTERNATIVES TO CLEAN THE PROBLEM UP.


15         I THINK IT'S VERY IMPORTANT TO NOTE RIGHT NOW IN THE


16         BEGINNING OF THIS TALK THAT THE RESULT OF THIS REMEDIAL


L7         INVESTIGATION INDICATES THAT WE'VE ONLY GOT A


18         GROUNDWATER PROBLEM AT THE SITE, THEREFORE, GROUNDWATER


19         IS GOING TO BE THE ONLY MEDIA THAT WE REMEDIATE.  I WILL


20         DISCUSS IN MORE DETAIL THE R.I.F.S. IN A FEW MOMENTS.


21         FIRST, I'D LIKE TO INTRODUCE BERNIE HAYES.  HE'S GOING


22         TO DISCUSS THE BASELINE RISK ASSESSMENT AND HOW IT

23         RELATES NOT ONLY TO SUPSRFUND, BUT TO THE SITE IN


24         GENERAL.

25              BERNIE HAYES:  THANK YOU, SANDY.  YOU'LL HEAR A LOT
                             DALLAS REPORTING
                          Certified Court Reporters
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                               (803) 328-964O

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 1         OF TERMS TOSSED AROUND  HERE  TONIGHT.   ONE OF TEEM IS

 2         RISK ASSESSMENT SO  I WANT  TO TALK A LITTLE BIT ABOUT

 3         WHAT EXACTLY THE  RISK ASSESSMENT PROCESS CONSISTS OF.

 4         I'LL TRY TO GO THROUGH  THIS  FAIRLY QUICKLY BECAUSE IT

 5         CAN BE A LITTLE DRY.  WHAT IS RISK ASSESSMENT?  RISK

 6         ASSESSMENT IS SIMPLY AN ATTEMPT BY TOXICOLOGISTS AND

 7         HEALTH SCIENTISTS TO QUANTIFY THE POTENTIAL IMPACT TO

 8         PUBLIC HEALTH RESULTING FROM CONTAMINATION AT THIS SITE

 9         OR ANY OTHER SITE.  IN  OTHER WORDS,  RISK ASSESSMENT IS

10         JUST LOOKING AT THE CONTAMINATION THAT EXISTS AT THE

11         SITE,  LOOKING AT  THE VARIOUS WAYS IN WHICH PEOPLE MIGHT

12'        BE EXPOSED TO THAT  CONTAMINATION, AND THEN TRYING TO

13         QUANTIFY OR PUT A NUMBER TO  THE EFFECTS THAT MIGHT

14         RESULT FROM THAT  CONTAMINATION.  THE OTHER TERM YOU

15         MIGHT HEAR AND SEE  IN THE  REPOSITORY IS BASELINE RISK

16         ASSESSMENT.  BASELINE RISK ASSESSMENT IS THE ESTIMATE OF

17         RISK TO THE PUBLIC  HEALTH  THAT WOULD RESULT IF THE SITE

18         WERE LEFT UNREMEDIATED. WE  NOT ONLY LOOK AT THE CURRENT

19         RISK ASSOCIATED WITH THE SITE UNDER CURRENT LAND USE AND

20         CURRENT EXPOSURE  SCENARIOS,  BUT WE ALSO LOOK AT WHAT

21         RISK WOULD RESULT IF WE JUST WALKED AWAY FROM THE SITE

22         IN THE FUTURE AND LEFT  IT  UNREMEDIATED.  WE LOOK AT THE

23         RISK TO PUBLIC HEALTH UNDER  FUTURE EXPOSURE SCENARIOS OF

24         VARIOUS TYPES. IT  SAYS THAT WE TRY TO QUANTIFY THE

25         LEVELS OF RISK.  AND HOW DO  WE QUANTIFY THOSE LEVELS OF
                            DALLAS REPORTING
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                                                                   8

 1        RISK?   WE  ESTIMATE EXPOSURE LEVELS BY IDENTIFYING

 2        COMPLETE EXPOSURE  PATHWAYS LEADING FROM A SOURCE OF

 3        CONTAMINATION AND  SUPERFUND THE SITE TO A POINT OF HUMAN

 4        OR  PUBLIC  EXPOSURE.  IN OTHER WORDS, THERE HAS TO BE A

 5        RELEASE OF CONTAMINANTS FROM THE SITE.  THERE HAS TO BE

 6        A WAY  FOR  THOSE CONTAMINANTS TO GET FROM THE SOURCE TO A

 7        POINT  OF EXPOSURE, AND THEN EXPOSURE TO THE PUBLIC HAS

 8        TO  TAKE PLACE.  THIS IS AN EXAMPLE OF A COUPLE OF THE

 9        TYPES  OF EXPOSURE  PATHWAYS WE LOOK AT IN A SUPERFUND

10        RISK ASSESSMENT.  WE HAVE A SITE OR A SOURCE OF

11        CONTAMINATION SHOWN BY THESE DRUMS LYING ON THE GROUND

12        HERE.   AND THERE ARE TWO PATHWAYS, COMPLETE EXPOSURE

13        PATHWAYS,  ILLUSTRATED.  ONE WOULD BE IF CONTAMINANTS

14        WERE RELEASED INTO THE AIR THROUGH VOLATILIZATION OR

15        SOME OTHER PROCESS.  THE WIND WOULD THEN BLOW THEM TO A

16        POINT  WHERE PEOPLE ROUTINELY WERE FOUND, AND PEOPLE

1.7        WOULD  BREATHE IN THOSE CONTAMINANTS WITH THE AIR.  THE

18        OTHER  ONE  AND THE  ONE THAT IS MORE GERMANE TO THIS SITE

19        AS  SANDY HAS ALREADY MENTIONED IS THE GROUNDWATER

20        PATHWAY WHERE CONTAMINANTS FROM THE SITE COULD BE

21        RELEASED INTO THE  GROUNDWATER, FLOWS WITH THE

22        GROUNDWATER TOWARDS THE WELL, IT'S DRAWN INTO TEE WELL,

23        AND SOMEBODY USING THAT WELL DRINKS IT OR IS EXPOSED TO

24        IT  THROUGH SHOWERING OR WASHING OR ANY OTHER PATHWAY.

25        WE  LOOK AT A LOT OF DIFFERENT PATHWAYS, NOT JUST THOSE
                             DALLAS REPORTING
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                                                                   9

 1         THAT WERE IN THAT ILLUSTRATION.  AND I APOLOGIZE FOR THE

 2         CRUDITY OF THIS DRAWING HERE; IT LOOKS A LITTLE SIT LIKE

 3         ELVIS I THOUGHT.  THE PRINCIPAL ROUTES OF HUMAN EXPOSURE

 4         THAT WE LOOK AT ARE:   INHALATION, BREATHING IN

 5         CONTAMINANTS; INGESTION, WHICH MEANS ANYTHING TAKEN IN

 6         BY MOUTH; AND DERMAL  ABSORPTION, WHICH IS THE ONE THAT

 7         NOT MANY PEOPLE MIGHT BE FAMILIAR WITH.  DERMAL

 8         ABSORPTION JUST MEANS THINGS THAT ARE ABSORBED THROUGH

 9         THE SKIN, DIRECTLY THROUGH SKIN ON ANY PART OF THE BODY.

10         THE FIRST ONE IS INHALATION.  THIS IS PRETTY BASIC

11         STUFF.  INHALATION EXPOSURE OCCURS THROUGH THE BREATHING

12         OF VAPORS.  AN EXAMPLE OF THAT MIGHT BE AT TEE GAS

13         STATION WHERE YOU'RE  PUMPING GAS AND YOU SMELL THE

14         FUMES, THE ACTUAL GASEOUS SUBSTANCE THAT YOU BREATHE IN.

15         THE SECOND FORM OF INHALATION EXPOSURE OCCURS THROUGH

16         THE BREATHING IN OF CONTAMINATED DUST OR AIRBORNE

1-7         PARTICLES; SOIL THAT  DRYS OUT, GETS BROKEN UP, AND IS

18         CARRIED IN THE WIND AND BREATHED IN IN THAT FASHION.

19         THE SECOND ONE, INGESTION, CAN HAPPEN IN A LOT OF WAYS

20         THAT WE MIGHT NOT THINK ABOUT.  INGESTION CAN OCCUR

21         THROUGH EATING CONTAMINATED FOOD OR DRINKING

22         CONTAMINATED WATER WHICH ARE THE ROUTES OF EXPOSURE MOST

23         COMMONLY	YOU MIGHT MOST COMMONLY THINK OF.  WE

24         ALSO CAN HAVE INCIDENTAL OR ACCIDENTAL INGESTION OF

25         SOIL.  PEOPLE ON THE  SITE WHO GET SOIL ON THEIR HANDS OR
                             DALLAS REPORTING
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                                                                  10

 1        ON  THEIR BODY SOMEHOW.AMD ACCIDENTLY GET IT IN THEIR

 2        MOUTH.   THE  SAME  THING  IS TRUE WITH INCIDENTAL OR

 3        ACCIDENTAL INGESTION  OF CONTAMINATED WATER WHILE

 4        SWIMMING OR  BOATING OR  WADING.  AGAIN,  ANY TIME YOU'RE

 5        IN  CONTACT WITH WATER DURING RECREATIONAL ACTIVITIES

 6        THERE'S  A CHANCE  THAT YOU MIGHT ACTUALLY GET SOME OF IT

 7        IN  YOUR  MOUTH.  AND WE  LOOKED AT ALL OF THESE EXPOSURE

 8        PATHWAYS AS  PART  OF THIS RISK ASSESSMENT, AND I'LL TALK

 9        ABOUT THE RESULTS OF  SOME OF THESE EXPOSURE PATHWAYS IN

10        A SECOND. DERMAL ABSORPTION OCCURS WHEN CONTAMINANTS

11        ARE ABSORBED DIRECTLY THROUGH THE SKIN.  SKIN IS A GOOD

12        BARRIER  AGAINST WATER.   IT'S A GOOD BARRIER AGAINST

13        BACTERIA; CERTAIN OTHER TYPES OF WHAT WE CALL INORGANIC

14        CONTAMINANTS, IN  OTHER  WORDS, METALS OR THINGS THAT

15        AREN'T ORGANIC IN NATURE, AND JUST SOILS AND DIRT AND

16        THINGS LIKE  THAT.  SKIN IS  NOT A VERY EFFECTIVE BARRIER.

L7        IT'S A MUCH  LESS  EFFECTIVE  BARRIER AGAINST CERTAIN TYPES

18        OF  ORGANIC CONTAMINANTS. A LOT OF TIMES WHEN YOU SEE

19        HOUSEHOLD CLEANERS OR HOUSEHOLD CHEMICALS THAT SAY IF

20        YOU GET  IT ON YOUR SKIN WASH IT OFF, HOUSEHOLD

21        PESTICIDES,  EVEN  GASOLINE.   SOME OF THE COMPONENTS OF

22        GASOLINE ARE A GOOD EXAMPLE.  IF YOU GET IT ON YOUR

23        SKIN, IT CAN BE ABSORBED DIRECTLY THROUGH THE SKIN.  SO

24        WHILE SKIN IS AS  A HUMAN ORGANISM IS A PRETTY GOOD

25        BARRIER  FOR  CERTAIN TYPES OF CONTAMINANTS AND CERTAIN
                             DALLAS REPORTING
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                                                       11

TYPES OF HEALTH THREATS, IT'S NOT A GOOD ONE  FOR OTHERS.


TAKING INTO ACCOUNT DERMAL ABSORPTION, INHALATION,  AND


INGESTION, WE LOOKED AT FOUR EXPOSURE PATHWAYS AT THE


RUTLEDGE PROPERTY SITE.  THE FIRST IS JUST AN ON SITE


WORKER.  ASSUMING THAT THERE MIGHT ACTUALLY BE - -  - THE


SITE MIGHT ACTUALLY BE USED FOR INDUSTRIAL OR COMMERCIAL


PURPOSES IN THE FUTURE.  THE SECOND IS A SITE VISITOR.


ANOTHER WAY TO LOOK AT THE SITE VISITOR MIGHT BE SITE


TRESPASSER OR CHILDREN PLAYING ON THE SITE OR ANYONE


JUST WALKING THROUGH THE SITE.  AND THEN THOSE TWO  NOT


NOTED THERE ARE CURRENT EXPOSURE CONDITIONS THAT MIGHT


EXIST NOW, BUT WE ALSO LOOKED AT FUTURE EXPOSURE


CONDITIONS.  WE LOOKED AT BOTH AN ADULT AND A CHILD WHO


MIGHT LIVE ON THE SITS IN THE FUTURE.  AND AS I  SAID, WE


LOOKED AT INHALATION, INGESTION, AND DERMAL EXPOSURE FOR


THE TWO CURRENT AND THE TWO FUTURE EXPOSURE SCENARIOS.


FOR THE ON SITE WORKER, WE JUST LOOKED AT TWO PATHWAYS.


WE LOOKED AT INCIDENTAL INGESTION OF SURFACE  SOILS, IN


OTHER WORDS THE SOILS THAT ARE ON THE SURFACE TEAT  ARE


CONTAMINATED, ACCIDENTAL INGESTION OF THOSE SOILS


THROUGH HAND TO MOUTH CONTACT WHILE SOMEONE MIGHT BE


WORKING THERE WHETHER IT BE SMOKING, EATING THEIR LUNCH,


WHATEVER WAY THAT THAT MIGHT HAPPEN.  AND THEN IF THOSE


CONTAMINATED SOILS GET ON THEIR HANDS OR THEIR SKIN OR


THEIR FACE AND ABSORPTION FROM THE SOIL DIRECTLY THROUGH
                             DALLAS REPORTING
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                                                                  12

 1         THE  SKIN.   FOR THE  SITE  VISITOR,  WE ADDED - - - WE

 2         LOOKED  AT  THOSE TWO PATHWAYS,  BUT WE ADDED SOME OTHERS.

 3         IN ADDITION TO THE  INCIDENTAL  INGESTION OF SOILS AND

 4         DERMAL  ABSORPTION OF CONTAMINANTS FROM SOILS, WE ALSO

 5         ADDED INCIDENTAL INGESTION OF  CONTAMINATED SEDIMENTS,

 6         SEDIMENTS  BEING THE MUD  AND SOIL PARTICLES THAT LIE AT

 7         THE  BOTTOM OF THE STREAMS AND  DRAINAGE PATHWAYS THAT ARE

 8         ON THE  SITE,  AND ALSO THE INCIDENTAL INGESTION OF

 9         SURFACE WATER, CONTAMINATED SURFACE WATER, AND THEN

10         DERMAL  ABSORPTION FROM THOSE TWO SOURCES AS WELL.

11         AGAIN,  THIS SITE VISITOR BEING SOMEONE WHO MIGHT JUST

12         WANDER  ONTO THE SITE AtfD WADE  OR PLAY AS A CHILD MIGHT

13         IN THE  STREAMS THAT ARji  OUT THERE.  FOR THE ADULT

14         RESIDENT WE LOOKED  AT THOSE CONTAMINANT PATHWAYS AND

15         THEN ADDED A FEW MORE.  SO IN  ADDITION TO THE ONES FOR

16         THE  SITE VISITOR, INGESTION OF SURFACE SOILS, SURFACE

17         WATER,  SEDIMENTS, WE ADDED GROUNDWATER.  IN OTHER WORDS,

18         PRESUMING  THAT SOMEBODY  MIGHT  BUILD A HOUSE THERE, DRILL

19         A WELL  INTO THE CONTAMINATED GROUNDWATER PLUME, AND

20         DRINK THE  WATER FROM THAT WELL.  IN ADDITION, WE ADDED

21         INHALATION OF VOLATILE CONTAMINANTS RELEASED WHILE

22         SHOWERING  WHICH IS  ALSO  A GROUNDWATER PATHWAY.  IF THE

23         WATER SUPPLY FOR A  HOUSE BUILT ON THAT SITE WERE A WELL

24         DRILLED INTO THE CONTAMINATED  GROUNDWATER, THAT WELL

25         WERE USED  FOR SHOWERING, CERTAIN OF THE CONTAMINANTS
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THAT EXIST AT THE SITE WOULD BE RELEASED  INTO THE AIR.
SOMEONE TAKING A SHOWER WOULD BREATHE THEM  IN AND THEY
WOULD BE EXPOSED THROUGH INHALATION IN THAT MATTER.   SO
WE ADDED IN ADDITION TO ALL THOSE OTHERS, THE
VOLATILIZATION OF CONTAMINANTS WHILE SHOWERING.  FOR THE
CHILD RESIDENT, THESE PATHWAYS ARE EXACTLY  THE SAME.
THE ONLY REASON I flAVE THIS SLIDE HERE IS TO EXPLAIN A
LITTLE BIT OF THE DIFFERENCE OF HOW WE LOOK AT CHILD
EXPOSURE VERSUS ADULT EXPOSURE.  THESE ARE  THE SAME
EXPOSURE SCENARIOS, THE SAME EXPOSURE PATHWAYS, BUT  FOR
ADULTS AND CHILDREN WE USE DIFFERENT EXPOSURE
FREQUENCIES, WE USE 	 - IN OTHER WORDS, THEY'RE
EXPOSED AT A DIFFERENT RATE.  THEY'RE EXPOSED FOR A
DIFFERENT LENGTH OF TIME.  WE EXTRAPOLATE THE EXPOSURE
ONLY OVER A CERTAIN FEW YEARS OF CHILDHOOD  AS OPPOSED TO
AN ENTIRE LIFETIME, AND THEN ADD THAT ONTO  TEE ADULT
EXPOSURE.  AND PROBABLY THE MOST IMPORTANT  THING IS  THAT
WE ALSO LOOK AT THE BODY WEIGHT OF A CHILD  AS OPPOSED TO
AN ADULT.  THE SEVERITY OF EXPOSURE IS DEPENDENT TO  SOME
EXTENT ON BODY WEIGHT.  SOMEONE WHO IS HEAVIER, HAS  A
GREATER MASS LIKE MYSELF, CAN BE EXPOSED  TO A GREATER
LEVEL OF TOXIC CONTAMINANTS AND NOT EXPERIENCE ANY
ADVERSE EFFECTS.  A CHILD WHO IS LIGHTER  OR A LIGHTER
PERSON CAN ONLY EXPERIENCE PROPORTIONALLY LIGHTER OR
PROPORTIONALLY LESS EXPOSURE FOR THE SAME EFFECT.  SO
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                                                                  14

 1         FOR CHILDREN,  WE LOOK AT THAT LOWER BODY WEIGHT IN

 2         EVALUATING THE CONTAMINANT EFFECTS.  THIS IS A LIST OF

 3         THE CONTAMINANTS THAT WERE FOUND AT THE SITE.  AND

 4         THERE'S A BIG LAUNDRY LIST OF THEM.  THE IMPORTANT THING

 5         IS NOT SO MUCH THE NUMBERS BECAUSE THE NUMBERS ARE ALL

 6         OVER THE PLACE.  THE IMPORTANT THING IS TO NOTE THAT WE

 7         LOOKED AT A LARGE NUMBER OF CONTAMINANTS, ESSENTIALLY

 8         ALL THE CONTAMINANTS THAT WERE FOUND ABOVE BACKGROUND

 9         LEVELS OUT THERE.  AND JUST FROM A QUALITATIVE SENSE,

10         I'LL SAY THAT FOR THE MOST PART, THESE LEVELS OF

11         CONTAMINATION ARE NOT PARTICULARLY HIGH OR THAT - - - IN

12         OTHER WORDS, THEY'RE SOT SIGNIFICANT IN TERMS OF RISK.

13         AS SANDY HAS ALREADY MENTIONED, THE ONLY ONES THAT ARE

14         SIGNIFICANT IN TERMS OF RISK ARE SOME OF THE GROUNDWATER

15         NUMBERS FOR JUST A FEW OF THE CONTAMINANTS, AND I'LL GO

16         INTO THAT IN A LITTLE MORE DETAIL IN A MINUTE.  BUT FOR

L7         MOST OF THE CONTAMINANTS AND FOR MOST OF THE MEDIA,

18         SURFACE SOIL, SURFACE WATER, AND SEDIMENTS, THE

19         CONTAMINANT LEVELS ARE NOT SIGNIFICANT IN TERMS OF RISK.

20         WHENEVER WE LOOK AT A BASELINE RISK ASSESSMENT, WE HAVE

21         TO LOOK AT THE TOXICITY OF THE CONTAMINANTS INVOLVED.

22         DIFFERENT CONTAMINANTS HAVE DIFFERENT TOXIC EFFECTS.

23         HOW TOXIC ARE THE CONTAMINANTS THAT WE FOUND THERE AND

24         IN WHAT WAY ARE THEY TOXIC?  WE GENERALLY LOOK AT TOXINS

25         AND SPLIT THEM UP INTO TWO CATEGORIES:  CARCINOGENS
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VERSOS NON-CARCINOGENS.  CARCINOGENS ARE CONTAMINANTS

WHICH ARE KNOWN TO CAUSE OR ARE SUSPECTED OF CAUSING THE

DEVELOPMENT OP CANCER.  MANY CONTAMINANTS INCLUDING SOME

OF THE ONES FOUND HERE ARE NOT CONSIDERED TO BE

CARCINOGENIC, BUT HAVE OTHER ADVERSE HEALTH IMPACTS; FOR

INSTANCE, TOXIC EFFECTS ALL SPECIFIC ORGANS SUCH AS THE

KIDNEYS OR THE LIVER.  THERE ARE SOME CONTAMINANTS WHICH

HAVE BOTH CARCINOGENIC AND NON-CARCINOGENIC EFFECTS.  WE

TRY TO CONTROL EXPOSURE TO THOSE BASED ON WHICH OF THOSE

TWO IS THE MOST SEVERE OR THE MOST LIKELY.  FOR NON-

CARCINOGENS, WE DEAL WITH THE EXPOSURE TO CARCINOGENS

AND NON-CARCINOGENS DIFFERENTLY.  FOR NON-CARCINOGENS,

IT'S ASSUMED THAT AT CERTAIN LOW LEVELS OF EXPOSURE,

THERE ARE NO ADVERSE IMPACTS.  IN OTHER WORDS, YOU CAN

BE EXPOSED TO A CERTAIN AMOUNT OF A NON-CARCINOGEN UP TO

A CERTAIN THRESHOLD LEVEL AND BELOW THAT THERE ARE NO

IMPACTS.  YOUR BODY CAN HANDLE THAT EXPOSURE.  ABOVE

THAT THRESHOLD LEVEL, THEN ADVERSE IMPACTS RESULT.  AT

SUPERFUND SITES, WE'RE REQUIRED TO REDUCE NON-CARCINOGEN

RISK TO A LEVEL SUCH THAT THE HAZARD INDEX RESULTING

FROM EXPOSURE TO THOSE CONTAMINANTS IS LESS THAN ONE.

SOME CONFUSING TERMS THERE, BUT THE HAZARD INDEX IS

DEFINED AS THE RATIO OF THE LEVEL OF ACTUAL EXPOSURE

COMPARED TO THE SAFE LEVEL OF INTAKE FOR THAT GIVEN

CONTAMINANT.  IN OTHER WORDS, IF YOU JUST PUT THE	
                             DALLAS REPORTING
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                                                                  16

 1         EXPOSURE  LEVEL DIVIDED BY THE SAFE LEVEL, IF THAT'S

 2         GREATER THAN ONE,  OBVIOUSLY YOU'RE OVER THE SAFE LEVEL

 3         OF  EXPOSURE AND THAT'S A PROBLEM.  THIS SAFE INTAKE LEVEL

 4         IS  KNOWN  AS THE REFERENCE DOSE,  AND THAT REFERENCE DOSE

 5         IS  DEPENDENT LIKE  THINGS LIKE BODY WEIGHT, IT'S

 6         DEPENDENT ON AGE.   WHEN WE DO A RISK ASSESSMENT, WE USE

 7         THE MOST  - - - ESSENTIALLY A WORSE CASE EVALUATION OF

 8         REFERENCE.  IN OTHER WORDS, WE USE THE MOST STRINGENT OF

 9         THE VARIOUS REFERENCE DOSES THAT MIGHT EXIST FOR A GIVEN

10         CONTAMINANT.  CARCINOGENS ARE DIFFERENT.  WHEN WE DO

11         TOXICITY  ASSESSMENT FOR CARCINOGENS, WE ASSUME THAT ANY

12         CONTAMINATION TO A CARCINOGEN, NO  MATTER HOW SMALL,

13         RESULTS IN A PROPORTIONAL LEVEL OF RISK.  IN OTHER

14         WORDS,  THERE IS NO ZERO RISK\LEVEL OF EXPOSURE AS THERE

15         ARE FOR NON-CARCINOGENS.  AT SUPERFUND SITES, WE'RE

16         REQUIRED  TO REDUCE THE *ISK ASSOCIATED WITH EXPOSURE TO

17         CARCINOGENS TO LESS THAN ONE TIMES TEN TO THE MINUS

18         FOUR.   IN OTHER WORDS, IN TERMS OF ODDS, ONE IN TEN

19         THOUSAND.  FOR THE RUTLEDGE SITE THIS MEANS TEAT UNDER

20         EVEN THE  MOST WORSE CASE AND STRINGENT EXPOSURE

21         SCENARIOS WHICH INCLUDES THE FUTURE EXPOSURE SCENARIO OF

22         PEOPLE  LIVING ON THE SITE FOR THEIR ENTIRE LIVES, THAT

23         MEANS THOSE RESIDENTS SHOULD NOT HAVE A GREATER THAN ONE

24         IN  TEN  THOUSAND CHANCES OF CONTRACTING CANCER DUE TO

25         EXPOSURE  TO SITE CONTAMINANTS.  THAT'S AN IMPORTANT
                             DALLAS REPORTING
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                                                       17
POINT, EXPOSURE TO SITE CONTAMINANTS.   THIS ONE IN TEN
THOUSAND IS THE EXCESS RISK ASSOCIATED WITH THE SITE,
THE RISK ABOVE AND BEYOND THE  RISK  THAT WE  ALL PACE
LIVING IN A MODERN ENVIRONMENT OF CONTRACTING CANCER.
THE RISK IS FAIRLY HIGH AS WE  ALL KNOW.  A  VERY MANY
PEOPLE CONTRACT CANCER AND DIE FROM CANCER.  AND IT'S
NOT CLEARLY UNDERSTOOD WHAT ALL THE CAUSES  ARE OR WHAT
ALL THE REASONS WHY PEOPLE CONTRACT CANCER.  BUT WHAT  WE
TRY TO DO IN CONTROLLING CARCINOGENIC  RISK  FROM A
SUPERFUND SITE IS MAKE SURE THAT THE ADDITIONAL RISK
THAT ANYONE EXPERIENCES AS A RESULT OF SITE
CONTAMINATION IS ONE Itt TEN THOUSAND.   ACTUALLY, YOUR
RISK OF CONTRACTING CAflCER IF  YOU LIVED TO  A RIPS OLD
AGE IS PRETTY MUCH ONE IN FOUfe OR OtoE  IN THREE.  SO THE
                             i
EXCESS RISK THAT WE TRY TO CONTROL  SITE EXPOSURE TO IS
MUCH, MUCH LESS THAN TEE ENVIRONMENTAL RISK THAT WE ALL
EXPERIENCE FROM LIVING IN A MODERN  WORLD.  SO WE'RE NOT
SAYING THAT BY CONTROLLING THE RUTLEDGE PROPERTY
EXPOSURE THAT WE'RE GOING TO REDUCE EVERYBODY'S
INDIVIDUAL RISK OF CANCER TO ONE IN TEN THOUSAND; WE'RE
JUST GOING TO REDUCE THE RISK  ASSOCIATED WITH THIS SITE
TO ONE IN TEN THOUSAND OR LESS.  WITH  THAT  IN MIND, I'M
GOING TO JUMP RIGHT TO THE RESULTS  OF  THE RISK
ASSESSMENT.  HERE'S A BREAKDOWN OF  THE SITE RISKS, THE
FOUR EXPOSURE SCENARIOS, THE HAZARD INDEX,  WHICH IS NON-
                             DALLAS REPORTING
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                                                                  18

 1         CARCINOGENIC RISK,  AND CARCINOGENIC RISK.  FOR THE ON


 2         SITE  WORKER AND THE SITE  VISITOR YOU CAN SEE THAT THE


 3         HAZARD INDEX IS MUCH,  MUCH LESS THAN ONE AND THAT THE


 4         CARCINOGENIC RISK IS VERY LOW.   NOW, CONVERTING THOSE

 5         NUMBERS TO ODDS, THIS IS  ABOUT ONE IN A HALF A MILLION


 6         AND THIS IS ABOUT ONE IN  FIVE MILLION.  FOR THE FUTURE

 7         EXPOSURE SCENARIOS FOR THE ADULT RESIDENT AND THE CHILD


 8         RESIDENT,  THE HAZARD INDEX IS MUCH GREATER THAN ONE


 9         WHICH MEANS THERE IS AN UNACCEPTABLE LEVEL OF RISK, AND


10         THE CARCINOGENIC RISK IS  MUCH GREATER THAN ONE TIMES TEN


11         TO THE MINUS FOUR WHICH AGAIN MEANS THERE IS AS


12         UNACCEPTABLE CARCINOGENIC RISK.  RATHER THAN COMPARED TO

13         THE ONE IN TEN THOUSAND,  THIS IS ABOUT ONE IN SEVENTY

14         AND THIS IS ABOUT ONE IN  A HUNDRED.  SO ONCE WE HAVE

15         DETERMINED THAT THERE IS  AN UNACCEPTABLE LEVEL OF RISK
                                                                *

16         ASSOCIATED WITH THE SITE, WE TRIED TO LOOK AT WHERE IS

17         THAT  RISK COMING FROM. AND REMEMBER FROM THAT PREVIOUS


18         SLIDE THE CURRENT RISK LEVELS ARE ACCEPTABLE; IT'S ONLY


19         THE FUTURE EXPOSURE SCENARIOS, THE IDEA THAT SOMEONE

20         WOULD COME THERE, BUILD A HOUSE ON THE SITE, SINK A WELL


21         INTO  THE CONTAMINATED GROUNDWATER, AND USE THAT AS A


22         POTABLE WATER SUPPLY FOR  DRINKING, COOKING, BATHING.

23         BUT EVEN UNDER THOSE EXPOSURE SCENARIOS, WE LOOK AT


24         WHERE THE RISK IS COMING  FROM.  AND AS SANDY HAS ALREADY


25         MENTIONED, IT'S ALL COMING FROM GROUNDWATER PATHWAYS,
                             DALLAS REPORTING
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                                                                  19

 1         DRINKING, AND SHOWERING.  THE HAZARD INDEX ASSOCIATED

 2         WITH THAT PATHWAY IS 400.  THE RISK IS ABOUT ONE IN

 3         SEVENTY AGAIN.  ALL THE OTHER PATHWAYS, THE CONTACT WITH

 4         SOIL, THE ACCIDENTAL INGESTION OF SOIL, THE PLAYING IN

 5         THE CREEKS, ALL THAT ADDS UP TO A HAZARD INDEX OF  .32;

 6         AGAIN MUCH LESS THAN ONE, AND A CARCINOGENIC RISK  OF

 7         ABOUT THREE TIMES TEN TO THE MINUS FIVE WHICH IS ABOUT

 8         ONE IN THIRTY-THREE THOUSAND.  SO IF WE COULD CONTROL

 9         THE GROUNDWATER PATHWAY AND EXPOSURE TO CONTAMINATED

10         GROUNDWATER, WE CAN ESSENTIALLY ELIMINATE ALL OF THE

11         UNACCEPTABLE RISK ASSOCIATED WITH THIS SITE STILL

12         KEEPING IN MIND THAT TEAT UNACCEPTABLE RISK IS STILL

13         BASED ONLY ON FUTURE EXPOSURE} SCENARIOS, EXPOSURE

14         SCENARIOS WHICH DON'T £XIST NOW.  THAT WAS FOR THE

15         ADULT.  THIS IS THE SAME THING FOR THE CHILD.  IT'S THE

16 .        SAME STORY, IT'S JUST THAT THE RISK NUMBERS ARE A  LITTLE

L7         HIGHER.  THE HAZARD INDEX 948 RATHER THAN 400 JUST

18         REFLECTS AGAIN THE SMALLER BODY WEIGHT OF THE CHILD, THE

19         GREATER FREQUENCY THAT A CHILD MIGHT PLAY IN A CREEK AS

20         OPPOSED TO AN ADULT.  HOPEFULLY, MOST ADULTS WOULDN'T GO

21         OUT AND PLAY IN THE CREEK EVEN IF THEY KNEW IT WAS	

22         WHETHER THEY KNEW IT WAS CONTAMINATED OR NOT.  ALL THE

23         OTHER PATHWAYS	WELL, FOR THE CHILD RESIDENT,

24         THERE'S STILL SOME UNACCEPTABLE RISK ASSOCIATED WITH

25 	SOME OF THE OTHER PATHWAYS, BUT THIS AGAIN IS A FUTURE
                             DALLAS REPORTING
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                                                                  20

 1         EXPOSURE SCENARIO AND IS NOT OCCURRING NOW.  AND THE

 2         CARCINOGENIC RISK IS VERY LOW AGAIN, ABOUT ONE IN

 3         TWENTY-THREE THOUSAND.  AND THEN THE FINAL QUESTION ONCE

 4         WE IDENTIFY THAT THERE IS SOME RISK AT THE SITE, WHAT

 5         CONTAMINANTS ARE CAUSING THE RISK.  REMEMBER THAT BIG

 6         LAUNDRY LIST OF CONTAMINANTS THAT WE HAD?  I DON'T KNOW

 7         EXACTLY HOW MANY, 25 OR 30, WHAT CONTAMINANTS ARE

 8         CONTRIBUTING TO THE EXCESS RISK AT THE SITE?  FOR THE

 9         ADULT RESIDENT, 99.8 PERCENT OF THE NON-CARCINOGENIC

10         RISK COMES FROM THREE CONTAMINANTS IN THE GROUNDWATER:

11         MANGANESE, TRICHLOROETHENE 	 EXCUSE ME, THREE

12         CONTAMINANTS, AND 1,2 DICHLOROETHENE.  ONE HUNDRED OF

13         THE CARCINOGENIC RISK COMES F$OM TWO CONTAMINANTS:

14         TRICHLOROETHENE, WHICH IS ONE OF THE SAME FOR THE NON-

15         CARCINOGENIC RISK, AND VINYL CHLORIDE.  FOR THE CHILD

16         RESIDENTS, THE SAME CONTAMINANTS CONTRIBUTE ALMOST

17         EXACTLY THE SAME LEVELS OF RISK.  I MIGHT POINT OUT THAT

18         1,2 DICHLOROETHENE AND VINYL CHLORIDE ARE LIKELY TO BE

19         BREAKDOWN OR DEGRADATION PRODUCTS OF THE

20         TRICHLOROETHENE.  SO PROBABLY THERE'S A TRICHLOROETHENE

21         PROBLEM THERE OR A DISPOSAL THERE AT ONE TIME.  OVER THE

22         YEARS, NATURAL DEGRADATION PRODUCTS TEND TO BREAK THAT

23         DOWN INTO LESS COMPLEX MOLECULES, AND THOSE DEGRADATION

24         PRODUCTS TEND TO BE 1,2 DICHLOROETHENE AND VINYL

25         CHLORIDE.  SO YOU'RE SEEING NOT ONLY THE ORIGINAL SOURCE
                             DALLAS REPORTING
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                                                                  21

 1         OF THE PROBLEM IN THE TRICHLOROETHENE,  BUT ALSO IN THE

 2         BREAKDOWN PRODUCTS OF THAT OVER TIME.  SO FINALLY,

 3         CONCLUSIONS ASSOCIATED WITH THE RUTLEDGE BASELINE RISK

 4         ASSESSMENT, THERE IS NO UNACCEPTABLE RISK UNDER CURRENT

 5         EXPOSURE CONDITIONS FOR THE SITE VISITOR OR THE ON SITE

 6         WORKER.  ALL THE UNACCEPTABLE RISK ASSOCIATED IS

 7         ASSOCIATED WITH POTENTIAL FUTURE EXPOSURE SCENARIOS.  IN

 8         OTHER WORDS, PEOPLE LIVING ON THE SITE, AND EVEN THOSE

 9         RISKS ARE ASSOCIATED ALMOST EXCLUSIVELY WITH EXPOSURE TO

10         CONTAMINATED DRINKING WATER, CONTAMINATED GROUNDWATER.

11         AND THE RISK LEVELS ARE PRIMARILY ASSOCIATED WITH

12 '        EXPOSURE TO MANGANESE, TRICHLOROETHENE, VINYL CHLORIDE,

13         AND 1,2 DICHLOROETHENE.  SO I'LL LET SANDY GO BACK OVER

14         OUR PROPOSED PLAN FOR THE SITE, AND I'LL BE AROUND FOR

15         QUESTIONS REGARDING THE RISK ASSESSMENT LATER ON.  THANK

16         YOU.

17              SANDY MYERS:  THANK YOU, BERNIE.  AT THIS POINT,

18         I'D LIKE TO BRIEFLY DISCUSS WHAT WE DID AT THE REMEDIAL

19         INVESTIGATION.  HOW DID WE GO OUT AND STUDY THE SITE,

20         HOW DID WE COME UP WITH WHICH PATHWAYS WE THINK CREATE

21         THE MOST RISK.  ESSENTIALLY, WE TOOK SEVEN SURFACE WATER

22         SAMPLES, SEVEN SEDIMENT SAMPLES, A TOTAL OF SIXTY-FIVE

23         SOIL SAMPLES, AND FORTY-ONE GROUNDWATER SAMPLES.  I'M

24         GOING TO THROW UP A FEW CHARTS HERE TO SHOW YOU WHERE

25         THESE SAMPLES WERE TAKEN.  IT'S A LITTLE DIFFICULT TO
                             DALLAS REPORTING
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                                                                  22

 1         SEE;  I APOLOGIZE.   BUT  THIS  IS  THE SITE MAP, AND THESE

 2         ARE THE  LOCATIONS  OF  THE  SURFACE  WATER AND SEDIMENT

 3         SAMPLES  RIGHT  HERE, HERE,  THERE,  THERE, AND HERE.  THOSE

 4         ARE THE  SEVEN  SPOTS.  FOR THE 65  SOIL SAMPLES I'M NOT

 5         GOING TO BE  ABLE TO POINT EVERY ONE OUT TO YOU, BUT

 6         THESE DOTS INDICATE WHERE WE TOOK SURFACE SOIL SAMPLES.

 7         AS YOU CAN SEE,  THEY'RE SCATTERED ALL OVER THE SITE.

 8         AND THESE ROUND  DOTS  INDICATE WHERE WE TOOK SUBSURFACE

 9         SOIL  SAMPLES.  THE POINT  OF  THESE FIGURES IS SIMPLY TO

10         SHOW  YOU THAT  WE SPREAD THESE SAMPLES OUT ALL OVER THE

11         SITE  WHERE WE  FEEL THE  WASTE DISPOSAL PRACTICES

12         OCCURRED, AND  WE FEEL LIKE WE SAMPLED THESE MEDIA PRETTY

13         WELL. FOR THE GROUNDWATER,  WE  SAMPLED IN THESE

14         LOCATIONS.   AND  AS YOU  CAN SEE, YOU HAVE A SHALLOW WELL

15         AND A DEEP WELL  OR A  ROCK WELL  SO YOU'VE GOT TWO WELLS

16         AT EACH  ONE  OF THESE  LOCATIONS.  WHEN WE SAMPLED THE

17         GROUNDWATER, WE  CAME  UP WITH LIKE BERNIE SAID, A LAUNDRY

18         LIST  OF  CONTAMINANTS.  AND YOU RUN THOSE NUMBERS THROUGH

19         THE RISK ASSESSMENT,  AND  YOU DISCOVER WHERE THE PROBLEM

20         IS.   AND IN  DOING  SO, YOU END UP  WITH AN AREA OF

21         CONTAMINATED GROUNDWATER  CALLED THE PLUME.  THIS FIGURE

22         HERE  INDICATES THE GROUNDWATER CONTAMINANT PLUME IN

23         RELATION TO  THE  SITE  BOUNDARY.  AS YOU CAN SEE, THE

24         CONTAMINATED GROUNDWATER  PLUME  IS BASICALLY WITHIN THE

25         SITE  BOUNDARY.  THIS  PLUME IS A COMBINATION OF ALL FOUR
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                                                       23

CONTAMINANTS THAT WE'RE LOOKING AT:  THE

TRICHLOROETHENE, THE 1,2 DICHLOROETHENE, MANGANESE, AND

VINYL CHLORIDE.  ALL THOSE CONTAMINANTS ADDED TOGETHER

GIVE US THIS ONE PLUME.  SO THIS TELLS US WHERE WE THINK

THE PLUME IS.  WE FEEL VERY CONFIDENT THAT WE'VE  DEFINED

THE PLUME IN THIS AREA.  AND FROM THIS POINT, WE  HAVE AN

IDEA OF WHAT WE'RE DEALING WITH.  WE THEN EXAMINED THE

CONTAMINANTS THAT WE'RE TALKING ABOUT IN PARTICULAR.

THIS CHART HERE SHOWS THE THREE VOLATILE ORGANICS AND

THE ONE INORGANIC, MANGANESE.  IT ALSO SHOWS THE  HIGHEST

LEVEL THAT WAS DETECTED ON SITE, AND IT SHOWS THE

REMEDIATION LEVELS THAI' WE'RE GOING TO CLEAN THIS UP TO.

NOW, THESE THREE VOLATILE ORGANICS, THE CLEANUP LEVEL IS

SIMPLE.  IT'S WHAT'S CALLED THE M.C.L. OR THE MAXIMUM

CONTAMINANT LEVEL.  AtiD FOR THOSE OF YOU THAT RECEIVED A

PROPOSED PLAN, IN THE BACK IT GIVES A DEFINITION  OF

MAXIMUM CONTAMINANT LEVEL.  BUT SIMPLY, IT'S A

PERMISSIBLE LEVEL THAT THE AGENCY ACCEPTS.  TEAT'S

ESSENTIALLY THE BOTTOM LINE.  THESE LEVELS ARE WHAT

WE'RE GOING TO CLEAN UP TO FOR THESE THREE VOLATILIZE.

NOW FOR MANGANESE, WE'RE GOING TO CLEAN UP ABOUT  200.

THE UNITS ON THIS ARE MlCROGRAMS PER LITER.  THERE IS NO

M.C.L. FOR MANGANESE.  HOW WE'VE COME UP WITH THIS

NUMBER IS IT'S APPROXIMATELY THE BACKGROUND

CONCENTRATION OF MANGANESE.  YOU TAKE A SAMPLE FROM  OFF
                             DALLAS REPORTING
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                                                                  24

 1         SITE  AND YOU COMPARE THAT TO WHAT YOU'VE GOT ON SITE.

 2         WE  HAD HIGH LEVELS OF MANGANESE ON SITE AT ABOUT 3,600.

 3         WE  NEED TO CLEAN UP TO BACKGROUND, WHICH IS ESSENTIALLY

 4         200 MICROGRAMS PER LITER.  SO THESE - - -

 5              TONY JANNETTA:  CAN WE ASK QUESTIONS AS YOU GO

 6         ALONG OR DO YOU WANT TO WAIT UNTIL A CERTAIN TIME.

 7              SANDY MYERS:  NO, ABSOLUTELY.  YOU CAN ASK

 8         QUESTIONS NOW.

 9              TONY JANNETTA:  FROM THE BEGINNING THAT AUGHT TO BE

10         MADE  KNOWN BECAUSE WE HAD QUESTIONS FROM THE PREVIOUS

11         SPEAKER.  AT THE END, HALF OF US WILL FORGET HALF OF THE

12         PROGRAM.  I DO HAVE SOME QUESTIONS ON THE AREA OF THE

13         CONTAMINATED SOURCE THAT WAS [TESTED.  MY NAME IS TONY

14         JANNETTA, AND THE QUESTIONS I HAVE WITH RESPECT TO THE

15         AREA  THAT WAS TESTED AwD THE THREE, FOUR, OR FIVE

16         COMPOUNDS THAT WERE DETECTED TO HAVE CARCINOGENS IN THE

1.7         WATER, YOU'RE SAYING TEE SOIL DOES NOT	WE'RE NOT

18         WORRIED ABOUT THE SOIL AS OF NOW.  WE'RE WORRIED ABOUT

19         THE WATER, UNDERGROUND WATER STREAMS.  WAS THE

20         NEIGHBORHOOD ADEQUATELY TESTED IN ADDITION TO THE SITE

21         AREA  AS TO HOW FAR THE PLUME WAS ON THE STRATOSPHERE OF

22         THE WATER?

23              SANDY MYERS:  WE FEEL LIKE - - - I WANT TO SHOW YOU

24         A MAP THAT HAS THE WELLS.  WHAT WE'VE DONE AS YOU CAN

25         SEE UP HERE IN THE CORNER, THIS PRIVATE WELL WHICH IS
                             DALLAS REPORTING
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                                                                  25

 1         APPROXIMATELY 500 FEET IN THAT DIRECTION, WE SAMPLED

 2         THAT WELL.  WE SAMPLED THIS PRIVATE WELL HERE.  WE

 3         SAMPLED A PRIVATE WELL THAT'S ON SITE; IT'S KIND OF HARD

 4         TO SEE.  AND WE SAMPLED THIS OTHER PRIVATE WELL HERE.

 5              JERRY COLLINS:   ARE THERE ANY OTHER PROPERTIES IN

 6         THAT VICINITY IN THE PERIMETER WHERE THE PLUME IS THAT

 7         ARE ON WELL WATER OR CITY WATER?  MY NAME IS JERRY

 8         COLLINS.  MY QUESTION IS YOU'VE CHECKED THE WELLS AND

 9         THE OUTER LOCATIONS  MORE OR LESS IT SEEMS LIKE.  THE

10         BIGGEST QUESTION, ARE THERE WELLS IN THE VICINITY JUST

11         OUTSIDE THAT PLUME OR IS EVERYONE THERE IN THAT AREA,

12         ARE THEY ON CITY WATER AND SEWAGE?

13              SANDY MYERS:  THESE POLKS RIGHT HERE ARE ON CITY

14         WATER.  WE'VE BEEN INDICATED THEY'RE ON CITY WATER.

15         THIS ARROW HERE, BY THE WAY, INDICATES THE DIRECTION OF

16         GROUNDWATER FLOW.  WHAT THAT'S TELLING YOU IS THAT'S

17         	THIS IS THE DIRECTION THAT THE CONTAMINANTS ARE

18         MOVING ESSENTIALLY.   WE SAMPLED THESE WELLS OUT HERE,

19         AND WE CAME UP WITH VERY LOW HITS OR VERY LOW

20         CONCENTRATIONS AT THIS ONE WELL.  .THE LEVELS OF THE

21         CONTAMINANT THAT WE FOUND HERE ARE ALREADY BELOW THE

22         FEDERAL M.C.L. OF FIVE MICROGRAMS PER LITER.  SO THERE

23         WAS A TRACE HIT THERE, YES, BUT THE LEVEL THAT WE FOUND

24         THERE IS SO LOW THAT TO THIS POINT IT'S NOT FIGURED IN

25         INTO THE SCOPE OF THIS GROUNDWATER PLUME.
                             DALLAS REPORTING
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                                                                  26

 1             TONY JANNETTA:   THAT'S  MOSTLY CONTAINED TO THE

 2         SITE?  MOSTLY  THE  PROBLEM IS CONTAINED TO THE SITE?

 3             SANDY MYERS:   YES,  SIR.  AT THIS POINT WE FEEL THAT

 4         THE  PLUME IS ESSENTIALLY THE SHADED AREA HERE.  NOW, THE

 5         VERY FIRST SLIDE THAT I  SHOWED YOU ALL TONIGHT, THIS WAS

 6         THE  FIRST SLIDE, THIS SHOWS  OTHER WELLS IN THE AREA.

 7         NOW, WE  WENT IN AND ASKED THESE RESIDENTS IF THEY WERE

 8         USING  THESE WELLS,  AND WE TOOK WHAT'S CALLED A WELL

 9         SURVEY.   WE DID NOT SAMPLE THESE WELLS BECAUSE WE FELT

10         THAT THEY'RE APPROXIMATELY,  IF YOU CAN SEE THE SCALE,

11         THEY'RE  ANYWHERE FROM A  QUARTER TO A HALF A MILE AWAY.

12         SO GIVEN A FEW CONSIDERATIONS LIKE THE GROUNDWATER

13         HYDROLOGY AND  HOW  THE SITE - -. - THE SITE CONCEPTUAL

14         MODEL, WHAT WE DID WAS SAMPLE THESE WELLS INSTEAD.  THIS

15         WELL HERE IS SLIGHTLY DOWNGRADE FROM THE SITE, AND IT'S

16         ROUGHLY  500 FEET FROM THE SITE SO WE CHOSE TO SAMPLE

17         THAT WELL.

18             TONY JANNETTA:   THE DEPTH WHEN YOU FIRST TRACED

19         CONTAMINANTS IN THE WELL WOULD BE WHAT FROM THE MINIMUM

20         TO THE DEEPEST POINT?

21             SANDY MYERS:   THAT'S A  GOOD QUESTION.  THE DEPTH OF

22         THESE  WELLS, OBVIOUSLY WE'VE GOT SHALLOW AND ROCK WELLS

23         AND  ACROSS THE SITE THOSE DEPTHS ARE GOING TO VARY.  I

24         BELIEVE  OUR DEEPEST WELL IS  ABOUT 58 FEET OR 56 FEET,

25         SOMEWHERE IN THAT  NEIGHBORHOOD.  AND OUR SHALLOW WELL
                             DALLAS REPORTING
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                                                                  27

 1         MIGHT BE 25 FEET.  BUT AGAIN, THE DEPTH OF THESE WELLS

 2         VARY, BUT THAT GIVES YOU A BROAD RANGE.

 3              TONY JANNETTA:  DOES THAT CORRELATE WITH THE

 4         HOMEOWNERS' WELLS AND HOW DEEP THEY WERE?

 5              SANDY MYERS:  THAT'S AN EXCELLENT QUESTION AND THAT

 6         IS SOMETHING THAT WRITTEN IN THIS PROPOSED PLAN WE ARE

 7         GOING TO INVESTIGATE TEAT AT THE REMEDIAL DESIGN' PHASE.

 8         WHAT WE'RE GOING TO DO IS GO BACK IN PARTICULAR AND LOOK

 9         AT THESE PRIVATE WELLS.  IN PARTICULAR PRIVATE WELL 4,

10         WE'RE GOING TO GO BACK AND CHECK THE DEPTH OF THAT WELL.

11         AND IF THAT WELL IS SCREENED OR IF IT'S MUCH DEEPER THAN

12'         THE WELLS THAT WE HAVE ON SITE, LET'S SAY IT'S AT 150

13         FEET OR 100 FEET, THEN WE'RE GOING TO HAVE TO GO BACK

14         AND PUT A DEEPER WELL TO MAKE SURE THAT THE CONTAMINANTS

15         AREN'T GOING UNDERNEATH THIS.

16              TONY JANNETTA:  WHY HASN'T THIS BEEN DONE TO BEGIN

17         WITH?  SEEMS LIKE IT'S ASS-BACKWARDS.  I MEAN WE'RE

18         SPENDING EPA MONEY; WE'RE SPENDING TAXPAYERS' MONEY.

19         LOOKS LIKE TO ME TO GET AN ANALYSIS AND YOU'RE DIGGING

20         WELLS, YOU WOULD SURVEY THE WHOLE SITE AND IF THERE ARE

21         DEEPER WELLS, YOU WOULD GO DEEPER IF YOU FOUND TRACES AT

22         ALL IN THE RESIDENTIAL WELLS.  SO YOU'RE REALLY

23         REDUPLICATING WHAT YOU'RE GOING TO HAVE TO DO IF THAT

24         HAPPENS.  AND YOU'RE SAYING GROUNDWATER IS THE ONLY

25         CONTAMINATED SOURCE.  HOW ABOUT THE CITY'S
                             DALLAS REPORTING
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                                                                  28

 1         INFRASTRUCTURE ON CHERRY ROAD,  WATER AND SEWER.  HAS

 2         ANYTHING BEEN TESTED ACROSS THE ROAD TO SEE IF THERE'S

 3         ANY  CONTAMINANTS  ON THE CITY SIDE PERTAINING TO THE

 4         CITY'S  INFRASTRUCTURE,  PERTAINING TO WATER AND SEWER?

 5         THERE'S BEEN SITUATIONS WHERE YOU COULD HAVE

 6         CONTAMINANTS INFILTRATING CITY SYSTEMS IN THE GROUND.

 7         SO IF YOU'VE GOT  A LOW WATER TABLE, WHICH IT VARIES FROM

 8         TIME TO TIME, YOU MAY HAVE A BREAK IN THE CITY SYSTEM

 9         WHERE YOU'VE GOT  CONTAMINANTS FROM THE SITE GOING BACK

10         IN THE  CITY SYSTEM.  SO HAS THAT BEEN LOOKED AT?

11              SANDY MYERS:  I'D LIKE TO ADDRESS YOUR FIRST

12.         QUESTION FIRST.  YOU SAID THAT IT SOUNDS LIKE WE'RE

13         GOING BACKWARDS HERE.  WE'RE SAYING THAT WE'RE GOING TO

14         COME BACK AND LOOK AT THIS WELL, WE MIGHT HAVE TO END UP

15         PUTTING ANOTHER DEEP WELL.  THAT IS TRUE, BUT TO THIS

16         POINT IF WE DO GO BACK AND DO THAT, IT'S NOT GOING TO

17         CHANGE  OUR REMEDIAL ALTERNATIVE WHICH IS ESSENTIALLY

18         GOING TO BE GROUNDWATER TREATMENT.

19              TONY JANNETTA:  OKAY, QUESTION.  GROUNDWATER

20         TREATMENT.  YOU'VE ALREADY	I WOULD ASSUME THAT

21         YOU'VE  ALREADY DONE A BASIC TREATMENT OF THE GROUNDWATER

22         THAT EXISTS FROM  SITE.

23              SANDY MYERS:  NO, SIR.  WE HAVE NOT.

24              TONY JANNETTA:  YOU HAVE NOT DONE THAT YET?

25              SANDY MYERS:  NO, SIR.
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                                                                  29

 1              TONY JANNETTA:  YOU DON'T KNOW WHAT CHEMICALS OR

 2         ANYTHING WILL NEUTRALIZE OR BRING INTO COMPATIBILITY

 3         BEFORE YOU EVEN START DUMPING IT IN THE CITY SYSTEM OR

 4         WHATEVER SYSTEM, METHOD YOU PLAN TO USE.  NO METHOD HAS

 5         BEEN USED WHEN YOU EXTRACTED THIS WATER OUT TO BRING IT

 6         DOWN TO AN ACCEPTABLE LEVEL FOR AN ACCEPTABLE DUMPING,

 7         WHEREVER THAT SITE MA* BE.  HAS ANYTHING BEEN TRIED TO

 8         NEUTRALIZE WHAT'S IN THE WATER SYSTEM NOW?

 9              SANDY MYERS:  NO, SIR.  WE'RE SIMPLY IN THE

10         INVESTIGATION PHASE OF THE SUPERFUND PROCESS RIGHT NOW.

11         WE'RE LOOKING AT DIFFERENT ALTERNATIVES THAT WE CAN USE

12'         TO REMEDIATE THE SITE.  WE HAVE NOT EXTRACTED THE

13         GROUNDWATER FROM THE SITE.
                                         \
14              TONY JANNETTA:  IS THERE TECHNOLOGY ON THOSE

15         COMPOUNDS THAT YOU RELATED TO THAT WILL BRING IT TO AN

16         ACCEPTABLE LEVEL BEFORE YOU EVEN CONSIDER DUMPING IT

17         INTO THE CITY SYSTEM?

18              BERNIE HAYES:  AS SANDY WAS SAYING, WE ARE RIGHT

19         NOW JUST TRYING TO DEFINE THE EXTENT OF THE

20         CONTAMINATION AND TO TRY AND TALK ABOUT TREATMENT

21         ALTERNATIVES OR TECHNOLOGIES THAT MIGHT ADDRESS IT.  WE

22         HAVE A GOOD IDEA OF WHAT'S IN THE GROUNDWATER.  WE

23         TESTED THE GROUNDWATER FOR HUNDREDS OF CONTAMINANTS AND

24         FOUND THE ONES THAT WE HAVE DESCRIBED ALREADY.  WE KNOW

25         THAT THERE ARE TECHNOLOGIES THAT CAN DEAL WITH TAKING
                             DALLAS REPORTING
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THOSE CONTAMINANTS OUT OF THAT GROUNDWATER  SO  TEAT THE

WATER IS REMEDIATED TO A POINT WHERE IT'S NOT  A PROBLEM


NO MATTER HOW YOU GET RID OF IT.  BUT WE'RE SKIPPING  WAY

AHEAD HERE AS FAR AS THE PROPOSED PLAN GOES.   OBVIOUSLY

A LOT OF YOU HAVE ALREADY READ IT, BUT THE  IDEA OF

PUTTING AN END TO THE TREATMENT SYSTEM THAT ALREADY

EXISTS AND THAT WILL BE EFFECTIVE FOR REMOVING THOSE

CONTAMINANTS IS A VERY COST EFFECTIVE WAY OF DOING IT


RATHER THAN BUILDING A WHOLE OTHER TREATMENT SYSTEM TO

DEAL WITH IT SPECIFICALLY.


     TONY JANNETTA:  THE POINT ON THAT WOULD BE IF

YOU'RE GOING TO TAKE RAtf UNDERGROUND WATER,  WE DON'T


KNOW HOW LONG, HOW BIG THIS PLUME IS.  DO WE KNOW THAT?


     SANDY MYERS:  IT'S AN ESTIMATION, LIKE I  SAID


BEFORE.  YES.

     TONY JANNETTA:  YOU WOULD KNOW WHERE THE  BEGINNING


AND ENDING POINT WOULD BE ONCE YOU START PUMPING?


     BERNIE HAYES:  THAT'S REALLY A VERY DIFFICULT THING


TO DO.  I MEAN THERE'S NOT	IT'S VERY  DIFFICULT  TO

ESTIMATE HOW LONG IT WILL TAKE TO PUMP A GIVEN VOLUME OF


CONTAMINATION OUT OF THE GROUND.

     TONY JANNETTA:  YOu'RE ASKING THE CITY OF ROCK HILL


TO COME IN AND PUT ADDITIONAL CHEMICALS IN  THEIR WATER


TO TREAT THIS UNDERGROUND WATER WITH THE BULK  OF THE


CITY'S WATER, WITH THE CITY'S WATER ADDITIONAL      	
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CHEMICALS.  I'M SAYING THAT THIS IS A CONSIDERATION ARE

WE	 WHERE WE MAY BE GOING ON CONSIDERING THIS

OPTION, I'M SAYING IT WOULD BE BETTER TO  TREAT IT BEFORE

YOU DUMP IT INTO THE CITY MAIN, CITY SEWER ON SITE TO

GET SOME OUT OF THE WAY.  THEN THE CITY CAN TAKE IT FROM

THAT POINT IF THAT WAS AN OPTION.

     BERNIE HAYES:  THAT'S EXACTLY THE KIND OF COMMENT

WE LIKE TO HEAR.

     TONY JANNETTA:  YOU'RE PUTTING THE CITY  AT RISK BY

JUST RUNNING IT THROUGH THE CITY SYSTEM BECAUSE IT'S

PUTTING ADDITIONAL CHEMICALS IN THE CITY'S WATER

TREATMENT FILTER PLANT.

     BERNIE HAYES:  THAT'S A GOOD POINT,  AND  THOSE ARE

EXACTLY THE KIND OF COMMENTS THAT WE ARE  HAVING THE

MEETING TO HEAR BECAUSE JUST AS THE DOCUMENT  SAYS, THIS

IS A PROPOSED PLAN.  WE HAVE NOT MADE FINAL DECISION

ABOUT WHAT WE'RE GOING TO DO WITH THIS GROUNDWATER OR

HOW WE'RE GOING TO REMEDIATE THE SITE.  SO THESE ARE

EXACTLY THE KIND OF THINGS THAT WE NEED TO HEAR IS THE

PUBLIC'S REACTION OR THE PEOPLE'S REACTION TO THESE

VARIOUS TREATMENT OPTIONS AND THE PROBLEMS TEAT THEY MAY

FORESEE WITH IT.  I THINK WE NEED TO COME BACK TO THE

QUESTION OF TALKING ABOUT THE TREATMENT OPTIONS.  AND

SANDY I'M SURE WILL COVER THAT AS PART OF THE

PRESENTATION.  AND I KNOW IT'S DIFFICULT  TO REMEMBER
                             DALLAS REPORTING
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                                                                  32

 1         YOUR QUESTIONS AS THINGS GO ALONG AND IF THERE'S ONE

 2         THAT YOU DON'T THINK YOU CAN HOLD ON TO UNTIL TEE END,

 3         THEN CERTAINLY WE'LL TAKE IT.  BUT LET'S GO AHEAD AND

 4         GET THROUGH THE PRESENTATION AND MAYBE SOME OF THOSE

 5         QUESTIONS WILL BE ANSWERED BY THE PRESENTATION ITSELF

 6         AND THAT WAY WE WON'T HAVE TO BE HERE SO LONG.  SO LET'S

 7         GET THIS ONE THEN - - -

 8              JERRY COLLINS:  MAY I ASK ONE QUESTION BEFORE WE GO

 9         INTO TALKING ABOUT TREATMENT?  YOU HAD MENTIONED THAT

10         THE PROPERTY THAT WAS A QUARTER MILE OR HALF MILE AWAY

11         FROM THE SITE THAT YOU HAD ASKED WHETHER THEY WERE USING

12         THE WELLS OR NOT.  YOU DID NOT STATE WHETHER OR NOT THEY

13         WERE USING THE WELLS.

14              SANDY MYERS:  THOSE PROPERTIES, THEY DID HAVE

15         DRINKING WELLS.

16              JERRY COLLINS:  WERE THEY USING THEM?

17              SANDY MYERS:  THE MAJORITY OF THEM, YES.  I'M NOT

18         POSITIVE IF ALL OF THEM WERE, BUT I KNOW 	

19              JERRY COLLINS:  BUT YOU DID NOT TEST ANY OF THOSE

20         WELLS?

21              SANDY MYERS:  NO.  WE DID NOT TEST THESE WELLS.

22              JERRY COLLINS:  IT SOUNDS TO ME LIKE YOU'RE

23         INCONCLUSIVE ON YOUR COLLECTION.

24              SANDY MYERS:  WHAT WE DID INSTEAD WAS WE PLACED

25         WELLS IN BETWEEN THE SITE SOURCE AREA WHICH WE BELIEVE
                             DALLAS REPORTING
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                                                                  33

 1         IS RIGHT IN HERE IN THAT LOCATION.  FOR INSTANCE, WE

 2         HAVE A MONITORING WELL 6 WHICH IS A SHALLOW AND A DEEP

 3         WELL WHICH IS DIRECTLY BETWEEN THAT AREA, THE SOURCE

 4         AREA, AND THE RESIDENTIAL WELLS.  THAT WELL IS CLEAN.

 5              JERRY COLLINS:  THERE IS NO CONTAMINATION AT THAT

 6         LEVEL?

 7              SANDY MYERS:  THERE IS NOT.  SO THAT IS SORT OF AN

 8         INDICATION THAT THE CONTAMINANT PLUME HAS NOT EXCEEDED

 9         THE SITE BOUNDARY ON THIS SIDE OF THE PROPERTY.

10              JERRY COLLINS:  ALSO, FROM WHAT I'VE READ IN THE

11         NEWSPAPER THAT THE FIRST UNION BANK PROPERTY WHEN IT WAS

12         CONSTRUCTED, THEY HAD EXTRACTED I THINK THREE FEET DEEP

13         OF SOIL BEFORE THEY BUILT THE FOUNDATION.  THE PROPERTY,

14         THAT FIRST UNION BANK, IS NOT, INCLUDED IN THAT PERIMETER

15         THAT USED TO BE PART OF THE ACTUAL PROPERTY OF THE

16         CHEMICAL COMPANY.  IS THAT CORRECT?  YOU HAVE A BOUNDARY

17         GOING AROUND THE BANK.  IT'S NOT INCLUDED IN THAT

18         PERIMETER, IS IT?

19              SANDY MYERS:  THAT'S CORRECT.

20              JERRY COLLINS:  WHY IS THAT NOT IN THERE, BUT THAT

21         WAS PART OF THE ORIGINAL?

22              SANDY MYERS:  I THINK THAT MARK MIGHT COULD HELP US

23         MORE WITH THIS QUESTION.  BUT I THINK IT'S SIMPLY THE

24         FACT THAT THE BANK OWNS THIS PROPERTY.  AND JUST FOR A

25  	SITE BOUNDARY MAP, WE DID NOT INCLUDE THAT PART OF THE
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                                                                  34

 1         PROPERTY IN THIS BOUNDARY.  HOWEVER, THE PLUME, AS YOU

 2         CAN SEE, DOES GO OVER THAT PART OF THE SITE AND IT WILL

 3         BE REMEDIATED.

 4              JERRY COLLINS:  BUT AS FAR AS THE CONTAMINATED SOIL

 5         THAT WAS OWNED	THE PROPERTY THAT WAS ORIGINALLY

 6         OWNED BY THE COMPANY, THE CHEMICAL COMPANY, WAS THAT

 7         AREA WHERE THE BANK SITS WAS INCLUDED IN THAT BUT THAT'S

 8         NOT SHOWN?

 9              SANDY MYERS:  THAT'S CORRECT.

10              JERRY COLLINS:  ACTUALLY THE ENTIRE AREA THAT WAS

11         PART OF THE CHEMICAL COMPANY?

12              SANDY MYERS:  YOU'RE CORRECT.

13              JERRY COLLINS:  AND YOU ALSO HAVE NOT STATED ABOUT

14         THAT FROM WHAT I READ IN THE PAPER THAT I BELIEVE IT WAS

15         THREE FEET OF SOIL WAS EXTRACTED IN  '84 OR '86,

16         SOMETHING LIKE THAT, WAS BEFORE THEY BUILT THE

17         FOUNDATION TO THE BANK, AND THAT'S WHEN THEY FOUND THAT

18         THERE WAS CONTAMINATION LEVELS.

19              SANDY MYERS:  RIGHT.  EARLY ON IN THE TALK I HAD

20         MENTIONED THAT THERE WERE TWO REMOVALS THAT TOOK PLACE.

21              JERRY COLLINS:  YOU STATED BEHIND THE BANK.  YOU

22         DIDN'T SAY ABOUT THE PROPERTY WHERE THE BANK IS LOCATED.

23         THEY SAY IN THE PAPERS FROM WHAT I'VE READ THAT ACTUALLY

24         THEY HAD REMOVED SOIL FROM THE PROPERTY WHERE TEE BANK

25         WAS BUILT ON THAT FOUNDATION AREA.  AND YOU ALSO HAVEN'T
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DONE ANY SOIL TESTS IN TflE AREA PROBABLY BECAUSE  IT'S

PAVED, I GUESS.  ALL THAT AREA IS PROBABLY PAVED  MORE

THAN LIKELY.

     BERNIE HAYES:  AGAIN, THAT'S SOMETHING, THAT'S

EXACTLY THE KIND OF THING THAT WE NEED TO HEAR  IS

INFORMATION THAT WE MAY NOT HAVE BEEN FULLY AWARS OF OR

THINGS THAT WE NEED TO CHECK UP ON TO SEE IF THERE IS A

NEED TO SAMPLE UNDER THE FILL THAT THE BANK WAS PLACED

ON TO THE EXTENT THAT SOIL WAS REMOVED FROM UNDER THERE

SO THAT'S SOMETHING WE WILL 	

     JERRY COLLINS:  ALSO, WHY HASN'T IT BEEN BROUGHT UP

AS AN OPTION TO REMOVE THE SOIL IN THIS AREA BECAUSE

WHEN YOU REMOVE THE WATER FROM THIS PLUME, YOU'RE GOING

TO EVENTUALLY GET	THE SAME BUILD UP IN WATER IS

JUST GOING TO BE A CONSTANT FILTRATION PROCESS.   WHY NOT

REMOVE THE SOIL?  THAT'S WHERE THE PROBLEM IS.  THE

WATER IS THE RESULT OF IT.  THE PROBLEM IS THE  SOIL

WHERE THE CHEMICALS AREA.  WHY NOT REMOVE THAT?

     BERNIE HAYES:  A GOOD POINT.  AND AGAIN, IT'S

SOMETHING THAT I THINK MAY BE COVERED AS PART OF  THE

FURTHER PRESENTATION SO LET'S GO AHEAD AND GET  THAT  OVER

WITH, AND THEN WE'LL COME BACK AND TALK ABOUT SOME OF

THESE THINGS BECAUSE THOSE ARE VERY GOOD POINTS.   I  MEAN

THOSE ARE EXACTLY THE KIND OF THINGS WE'RE HERE TO TALK

ABOUT AND WE WANT TO GET INPUT IN AS TO WHAT FOLKS THINK
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                                                                  36

 1         ABOUT THE REMEDY OF THE PROPOSAL.

 2              SANDY MYERS:  VERY QUICKLY,  THESE ARE TEE VARIOUS

 3         ALTERNATIVES THAT WE LOOKED AT.   ESSENTIALLY, WE HAVE

 4         TWO TYPES OP ALTERNATIVES.   WE'VE GOT ALTERNATIVE 3A AND

 5         3B WHICH ARE GROUNDWATER EXTRACTION AND TREATMENT ON

 6         SITE, AND 4A AND 4B WHICH ARE EXTRACTION WITH TREATMENT

 7         AT THE P.O.T.W., SENDING THE CONTAMINATED WATER TO THE

 8         P.OiT.W., THE DIFFERENCE BETWEEN EACH JUST BEING THE

 9         NUMBER OF EXTRACTION LEVELS.  THESE ARE THE ALTERNATIVES

10         THAT WE LOOKED AT AND EPA PROPOSED ALTERNATIVE 4B, WHICH

11         IS GROUNDWATER EXTRACTION USING APPROXIMATELY TWO WELLS

12'        IN DIRECT DISCHARGE TO THE P.O.T.W.  THE REASON THAT WE

13         CHOSE THIS ALTERNATIVE IS WE'VE GOT SIX REASONS:  NUMBER

14         1, IT PROTECTS HUMAN HEALTH AND THE ENVIRONMENT; NUMBER

15         2, IT MEETS APPLICABLE OR RELEVANT AND APPROPRIATE

16         REQUIREMENTS WHICH ARE SIMPLY TYPES OF RULES AND

1.7         REGULATIONS.  THEY MEET THOSE REGULATIONS.  THIS

18         ALTERNATIVE IS EFFECTIVE BOTH IN THE SHORT AND THE LONG

19         TERM.  IT REDUCES CONTAMINANT TOXICITY, MOBILITY, AND

20         VOLUME.  IT'S EASY TO IMPLEMENT,  AND IT'S COST

21         EFFECTIVE.  NOW COMING BACK TO THIS CHART HERE, YOU SEE

22         THE DIFFERENCE FROM TREATING IT ON SITE AND SENDING IT

23         DOWN THE P.O.T.W. AS FAR AS THE COST GOES.  IN CHOOSING

24         THESE ALTERNATIVES, I FELT PERSONALLY THAT IF THE

25         P.O.T.W. CAN ACCEPT THIS GROUNDWATER, THEN THERE WAS NO
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                                                                  37

 1         NEED TO BUILD A TREATMENT PLANT ON SITE TO TREAT THE

 2         WATER IF THEY WILL TREAT IT FOR US DOWN THE ROAD.

 3              JERRY COLLINS:  MAY I ASK A QUESTION WHILE WE'RE ON

 4         THAT POINT RIGHT THERE?  FIRST OFF, I'M PRETTY SURE

 5         EVERYBODY IS AWARE OF THE FACT THAT THE WASTE TREATMENT

 6         FACILITY ON DAVE LYLE GOT TO A POINT WHERE THEY COULD

 7         NOT HANDLE THE CAPACITY OF THE WASTE.  THEY HAD BEEN

 8         SHIPPING IT TO, I BELIEVE, I MAY NOT HAVE MY FACTS

 9         STRAIGHT, MAYBE LANCASTER OR CHESTER; AND THAT FACILITY

10         CLOSED DOWN.  AND THIS IS ALSO THE SAME PROBLEM WHERE,

11         IT WAS NATIONAL NEWS, WHERE THEY WERE USING FECAL MATTER

12 •        THAT CAME OUT OF THE DAVE LYLE TREATMENT FACILITY AND

13         PUTTING IT ON	SPREADING IT ON PASTURES AND LETTING

14         IT SIT STAGNANT FOR SO MANY YEARS BEFORE IT'S USABLE.

15         WELL NOW, YOU'RE GOING TO DUMP ALL THIS CHEMICAL IN THE

16         D.O.T. FACILITIES AND WHO'S TO SAY THAT MATTER IS NOT

1-7         GOING TO BE SCOOPED UP AND THEN SPREAD ON PASTURES

18         AGAIN, FIELDS AGAIN.  AND THE WORSE PART ABOUT IT IS

19         WHEN THEY EXTRACTED THIS WASTE AND SPREAD IT ON THE

20         FIELDS, THEY DIDN'T FIND OUT UNTIL LATER ON THAT THERE

21         WERE AIR POCKETS IN THE WASTE TREATMENT FACILITY AND THE

22         ACTUAL WASTE, THE FECAL HAD NOT DECOMPOSED THOROUGHLY

23         AND THERE WERE HUMAN SANITARY THINGS FOUND, BUT THEY

24         ALSO FOUND RAW FECAL MATTER ON THE FIELDS.

25              SANDY MYERS:  RIGHT.  I AM NOT FAMILIAR WITH THAT
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                                                                  38

 1        SITE  AND  THAT PROJECT.

 2              JERRY COLLINS:   ARE YOU NOT FAMILIAR WITH THAT

 3        HEADLINE  NEWS STORY  THAT WAS NATIONAL?  ROCK HILL HIT

 4        NATIONAL  NEWS FOR THAT.

 5              SANDY MYERS: OFF  THE TOP OF MY HEAD, NO; I'M SORRY

 6        I'M NOT.


 7              JERRY COLLINS:   NOBODY SAW THAT STORY?

 8              SANDY MYERS: NO.   I'M NOT SAYING NO ONE SAW THE

 9        STORY.  I'M JUST SAYING I'M NOT FAMILIAR WITH THAT

10        STORY.

11              JERRY COLLINS:   RIGHT, BUT THIS WAS NOT STUDIED

12        THAT  MAYBE THE FACT  THAT IF THEY'RE GOING TO PUMP THIS

13        TO THE  D.O.T. CENTER THAT - 	

14              SANDY MYERS: WE'RE TALKING ABOUT EXTRACTING THIS

15        GROUNDWATER AND SENDING IT VIA THE SEWER LINE TO THE

16        P.O.T.W.  WHERE THEY  TREAT WATER.

17              JERRY COLLINS:   THIS IS AT DAVE LYLE.  THIS IS THE

18        FACILITY  ON DAVE LYLE IS WHERE IT WOULD GO THOUGH.

19        THAT'S  THE SAME FACILITY WHERE THEY SCOOPED THIS WASTE

20        OUT AND IT WAS SPREAD ON PASTURES AS FERTILIZER.

21              BERNIE HAYES:  THAT'S A VERY COMMON PRACTICE.

22              GLEN PELLETT:  MY NAME IS GLEN PELLETT.  THE

23        MATERIAL  THAT WAS REMOVED AND SENT TO SEVERAL FARMS IN

24        CHESTER AND YORK COUNTY WAS ACTUALLY MATERIAL THAT WAS

25        PLACED  IN OLD LAGOONS PRE-1984 THAT HAD BASICALLY BEEN
                             DALLAS REPORTING
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                                                                  39

 1         ABANDONED IN PLACE.   THAT'S NOT FROM THE CURRENT

 2         MANCHESTER PLANT.   THAT SLUDGE IS TREATED TOTALLY

 3         SEPARATELY.  SO WHAT YOU'RE SPEAKING TO IS NOT THE

 4         SLUDGE THAT'S GOING TO BE GENERATED FROM ANY OF THE

 5         WATER THAT WOULD BE DISCHARGED TO THE P.O.T.W.  ANOTHER

 6         QUESTION I HAD, WE WERE TALKING ABOUT MAXIMUM

 7         CONCENTRATIONS OF 84,000 MICROGRAMS PER LITER.  DO YOU

 8         HAVE A GUESS AS TO WHAT THE AVERAGE CONCENTRATION MIGHT

 9         BE?  IT'S GOT TO BE SIGNIFICANTLY LOWER THAN THAT.

10              BERNIE HAYES:  I'M SURE IT WOULD BE.  AGAIN, IT'S

11         DIFFICULT TO DO THAT UNTIL WE DO SOME PUMP TESTS, UNTIL

12 •        WE TRY TO DO SOME DETERMINATION OF WHAT THE AVERAGE

13         INFLUENT MIGHT BE.  I THINK JUST TO TRY AND WRAP ALL

14         THIS UP, NORMAL SEWAGE TREATMENT PLANTS, P.O.T.W.'S,

15         WHATEVER YOU CALL THEM, ARE VERY EFFECTIVE AT REMOVING

16         CERTAIN TYPES OF CONTAMINANTS, PARTICULARLY VOLATILE

17         ORGANICS, WHICH THREE OUT OF FOUR CONTAMINANTS WE HAVE

18         HERE ARE VOLATILE ORGANICS.  THEY TEND TO COME OUT IN

19         WHAT'S CALLED THE ACTIVATED SLUDGE WHERE THEY BUBBLE A

20         LOT OF OXYGEN AND A LOT OF AIR THROUGH THIS SEWAGE IN

21         ORDER TO PROVIDE OXYGEN FOR THE BACTERIA THAT LIVE IN

22         THERE AND THAT BREAK DOWN THE CONTAMINANTS THAT ARE

23         NORMALLY IN THE SLUDGE.  AT THE SAME TIME, THAT BUBBLING

24         ACTION, ALL THAT AERATION THAT GOES ON IN THE ACTIVATED

25         SLUDGE HAS THE BENEFICIAL EFFECT OF REMOVING VOLATILE
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                                                                  40

 1         CONTAMINANTS.  SO IT'S UNLIKELY THAT ANY OF THESE

 2         VOLATILES IN THEIR CURRENT FORM ARE GOING TO END UP IN

 3         THE SLUDGE OR IN THE WATER THAT'S GOING OUT OF THE

 4         PLANT.   THE SECOND THING TO KEEP IN MIND IS THAT IN

 5         ORDER TO CONTROL THE MIGRATION OF THIS PLUME, AGAIN

 6         WE'RE GETTING AHEAD OF OURSELVES HERE, WE'RE PROBABLY

 7         NOT GOING TO HAVE TO POMP A WHOLE LOT OF WATER.  I MEAN

 8         THIS IS NOT WHAT YOU'D CALL A VERY PRODUCTIVE AQUIFER.

 9         IT'S NOT THE KIND OF THING THAT IN ORDER TO CREATE DRAW-

10         DOWN IN THE EXTRACTION WELLS YOU HAVE TO PUMP THOUSANDS

11         AND THOUSANDS OF GALLONS OF WATER.  SO THE AMOUNT OF

12 •        FLOW THAT WILL BE GENERATED BY CREATING A CONTAINMENT OR

13         REMEDIATION GROUNDWATER EXTRACTION SYSTEM FOR THIS PLUME

14         WILL BE VERY LITTLE IN COMPARISON TO THE OVERALL FLOW

15         THAT'S GOING INTO SUCH TREATMENT PLANT.  SO WHETHER OR

16         NOT THIS SYSTEM WHEN IT'S IN PLACE WHETHER IT'S RUNNING

17         OR NOT RUNNING IT WILL BE VERY DIFFICULT FOR THE PLANT

18         EVEN TO KNOW IT IN TERMS OF THE VOLUME THAT THEY'D BE

19         RECEIVING.  NOW, IF IN FACT THE PLANT HAS A CAPACITY

20         PROBLEM, THAT'S SOMETHING WE NEED TO CHECK ON.  AND I'M

21         GLAD TO HEAR THOSE KINDS OF THINGS BROUGHT OUT SO THAT

22         WE CAN GO BACK AND MAKE SURE THAT WE'RE NOT GETTING

23         OURSELVES INTO SOME KIND OF PROBLEM.  SO THESE ARE

24         EXACTLY THE KIND OF THINGS WE WANT TO HEAR.  IF THERE IS

25         A COMPLIANCE PROBLEM WITH THIS PLANT WE NEED TO KNOW, WE
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                                                       41

NEED TO FIND OUT, ALTHOUGH I THINK THAT WE'VE ALREADY

DETERMINED THAT IT'S IN COMPLIANCE.  IF THERE WAS  A

SLUDGE PROBLEM, A SLUDGE DISPOSAL PROBLEM, TEAT'S

ANOTHER THING THAT WE WEED TO FIND OUT ABOUT.   SO  THESE

ARE THE THINGS WE CAN GO BACK AND CHECK ON TO MAKE SURE

THAT WE'RE NOT GETTING OURSELVES INTO A BIGGER  PROBLEM

THEN WE ALREADY HAVE BY IMPLEMENTING THIS PREFERRED

DISPOSAL OPTION.  DID YOU HAVE ANY MORE?

     SANDY MYERS:  ACTUALLY, THIS WAS OUR PREFERRED

ALTERNATIVE.  THIS WAS ESSENTIALLY THE END OF MY TALK.

     BERNIE HAYES:  OKAY.  WELL, LET'S TAKE QUESTIONS

NOW.

     LARRY CRUMP:  IF YOU'RE GOING TO PUMP THE  WATER

OUT, HOW ARE YOU GOING TO STOP THE WATER IN TESRS

BECOMING CONTAMINATED SINCE THE CONTAMINATION IS IN THE

SOIL?  BY THE WAY, WOULD YOU TAKE YOUR CHILD AND BRING

HIM TO FOOTBALL OR SOFTBALL IN THAT FIELD TODAY?   CAN ME

AND MY SON GO ACROSS THE STREET AND PASS THE FOOTBALL TO

SOME OF MY FAMILY?

     BERNIE HAYES:  TO ANSWER YOUR QUESTION, I  WOULD SAY

YES.  THE SITE VISITOR SCENARIO THAT WE EXAMINED	

     LARRY CRUMP:  WE'RE NOT VISITORS.  WE'RE THERE

EVERY DAY.

     BERNIE HAYES:  WELL, A VERY FREQUENT EXPOSURE - - -

IT'S NOT JUST THE TYPE OF EXPOSURE OF SOMEONE WALKING
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                                                                  42

 1        ACROSS THE  SITE  ONCE A YEAR OR SOMETHING LIKE THAT.  FOR

 2        FREQUENCY OF  EXPOSURE  AND THAT SITE VISITOR THING IS

 3        GENERALLY I THINK TWO  TIMES A WEEK, SEVEN MONTHS OUT OF

 4        THE YEAR.   SO UNLESS YOU'RE OVER THERE PLAYING ON THAT

 5        PROPERTY OR VISITING THAT PROPERTY MORE THAN TWO OR

 6        THREE TIMES A WEEK, THEN THE ANSWER IS YES, THEN THE

 7        RISK ASSOCIATED  WITH EXPOSURE TO THE SURFACE SOIL FROM

 8        AN INCIDENTAL BASIS IS VERY LOW.

 9             LARRY  CRUMP: P.C.P.  IS SOMETHING THAT REALLY

10        WORRIES  ME.  I HAVE, A  TEN YEAR OLD SON I HAVE A HARD

11        TIME KEEPING  AN  EYE ON TWENTY-FOUR HOURS AROUND THE

12'        CLOCK.

13             BERNIE HAYES: I  UNDERSTAND THAT.  AND AT A LOT OF

14        SITES THAT'S  A PROBLEM.  AND I\THINK THE RISK ASSESSMENT

15        WOULD INDICATE	 THE RESULTS OF THE RISK ASSESSMENT

16        TELL US  THAT  EVEN UNDER VERY FREQUENT EXPOSURE FROM A

17        SITE VISITOR  CHILD PLAYING, SITE TRESPASSER, WHATEVER

18        YOU WANT TO CALL IT BASIS, THE RISK ASSOCIATED WITH THAT

19        KIND OF  EXPOSURE IS VERY LOW.  I'M NOT SAYING I WOULD

20        LET YOUR SON  GO  OVER THERE AND PLAY FOOTBALL BECAUSE

21        IT'S SOMEBODY ELSE'S PROPERTY AND HE COULD GET HURT.  I

22        MEAN THINGS BESIDES ANY CONTAMINATION THAT HE MIGHT

23        EXPERIENCE  OR ANY EXPOSURE HE MIGHT EXPERIENCE.  I'M NOT

24        SAYING YOU  SHOULD LET  HIM GO OVER THERE AND PLAY

25        FOOTBALL.   I'M SAYING  IF HE GOES OVER THERE AND PLAYS ON
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                                                                  43

 1         THE SITE ONCE IN A WHILE, THE LEVEL OF CONTAMINATION

 2         THAT EXISTS OVER THERE IS NOT GOING TO BE A SUBJECT OF

 3         RISK TO HIS HEALTH.

 4              BILL RUTLEDGE:  WE'VE HAD THE PROPERTY POSTED FOR

 5         SEVERAL YEARS WITH MANY SIGNS THAT HAVE BEEN TORN DOWN.

 6              LARRY CRUMP:  A FENCE WOULD BE MORE APPROPRIATE.

 7         I'M LARRY CRUMP.  AND I'M SURE MR. RUTLEDGE HAS PUT

 8         SIGNS UP BEFORE BECAUSE I'VE SEEN THEM UP BEFORE.

 9         SOMETIMES IT'S PEOPLE.  THERE ARE STILL PEOPLE THAT'S

10         ILLITERATE.  THERE ARE STILL PEOPLE THAT DON'T PAY NO    i

11         ATTENTION TO THE SIGNS.  THEY MAY BE WALKING AROUND

12-         LOOKING AT THE GROUND NOT SEEING A SIGN.  BUT A FENCE, A

13         FENCE MAY KEEP PEOPLE FROM GOI^JG ACROSS IT.  IT MAY KEEP

14         MY SON OUT OF IT TOO.

15              JANE DAVENPORT:  HAS THE CITY OF ROCK HILL BEEN

16         ADVISED OF THE PROPOSED PUMPING OF THE CHEMICAL

17         CONTAMINATIONS AND HAVE THEY AGREED TO PARTICIPATE?

18              SANDY MYERS:  YES, MA'AM, THEY HAVE.

19              JANE DAVENPORT:  HAS THERE BEEN ENGINEERING COST

20         ESTIMATES DONE ON WHAT THE COST WILL BE TO DO THIS?

21              SANDY MYERS:  THOSE COST ESTIMATES WERE LISTED HERE

22         ON THIS CHART.  WE'RE PROPOSING ALTERNATIVE 4B WHICH IS

23         ROUGHLY TWO MILLION DOLLARS.

24              JANE DAVENPORT:  WHO DID THE ESTIMATE?

25              SANDY MYERS:  IT WAS A PRIVATE CONTRACTOR THE EPA
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                                                       44

HIRED, CDM, INC., BASED OUT OF ATLANTA.

     JANE DAVENPORT:  IS THERE A COPY OF THAT REPORT OR

THAT ESTIMATE AVAILABLE?

     SANDY MYERS:  YES, MA'AM.  THAT IS IN WHAT'S  CALLED

THE REMEDIAL INVESTIGATION FEASIBILITY STUDY.   THAT'S IN

THE FEASIBILITY STUDY PORTION OF THAT DOCUMENT.

     TONY JANNETTA:  AGAIN, IT SEEMS LIKE THE DIRECTION

OF SOLVING THE PROBLEM, WHICH I AGREE THE PROBLEM  NEEDS

TO BE SOLVED AND IT'S NOT GOING TO GO AWAY,  SO ONE OF

THE ALTERNATIVES IS GOING TO BE SUGGESTED AND IT SOUNDS

LIKE IT'S GOING TO BE DUMPING IT INTO THE CITY'S SEWAGE

SYSTEM FOR THE CITY TO TREAT IT AT ITS OWN FACILITIES.

MY SUGGESTION WOULD BE EPA AND THE CITY MAKE SURE  THAT

THE INFRASTRUCTURE THAT YOU'RE DUMPING THE CONTAMINATED

WATER IN IS PROPERLY SECURED AND TIGHT AND IS NOT  ANY

KIND OF INFILTRATION FROM GROUNDWATER INTO THE SYSTEMS

THAT YOU'RE DUMPING THE WATER IN.  AND MY QUESTION WOULD

BE WILL THE EPA INVESTIGATE THE CITY'S LATERAL LINES

CONCERNING THE SEWER IF THERE'S GOING TO BE  A SEWER DROP

OR WILL THE CITY PROVIDE THE NECESSARY VIDEO INSPECTIONS

OF THE LINE TO MAKE CERTAIN THAT THOSE LINES ARE NOT

LEACHING WATER, WHICH IF YOU DUMP WATER IN IT WOULD

LEACH BACK OUT INTO THE GROUNDWATER GROUND AGAIN AND YOU

HAVE TO REDUPLICATE THE PROCESS SOMEWHERE DOWN THE LINE.

SO YOU'RE GOING TO HAVE TO MAKE CERTAIN IF THE CITY'S
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                                                                  45

 1         GOING TO USE THEIR SYSTEMS,  THEIR LINES ARE PROPERLY

 2         INTACT BECAUSE I DON'T KNOW WHAT THE DISTANCE WOULD BE

 3         FROM THERE TO THE TREATMENT PLANT.  AND RIGHT NOW, WE

 4         HAVE A TREATMENT PLANT OUT HERE ON CHERRY ROAD AND DO

 5         YOU KNOW THE DEPTH OF THAT?   THAT COULD BE A PROBLEM.

 6              SANDY MYERS:  I HEAR YOUR CONCERN.  IT'S ON THE

 7         RECORD.

 8              TONY JANNETTA:  AND ALL THOSE CONCERNS AUGHT TO BE

 9         ADDRESSED BY THE EPA AND THE CITY BEFORE THEY ACCEPT

10         THIS MONUMENTAL CONTRACT BECAUSE I STILL SAY ON SITE

11         CLEANING OF THE CONTAMINATION THEN DUMPING IT INTO THE

12         SYSTEM WOULD PROVIDE A SAFER ENVIRONMENTAL SITUATION.

13         MY QUESTION WOULD BE IS THE CITY STILL TREATING THEIR

14         TREATED WATER, ARE THEY TREATING THEIR WATER WITH

15         CHEMICALS THAT YOU HAVE ALLUDED TO THAT ARE IN THE

16         GROUNDWATER NOW?  ARE 'fEEY TREATING THE CITY'S WATER

17         WITH CHEMICALS THE WAY IT WOULD DEVIATE OUR DRINKING

18         WATER?  IF THAT WERE THE CASE, THEY WOULD HAVE THE

19         FACILITIES TO DO IT AND THE KNOWLEDGE TO DO IT.

20              SANDY MYERS:  RIGHT.  LET ME SAY THIS TREATMENT

21         FACILITY IS VERY WELL AWARE OF WHAT TYPE CONTAMINANTS

22         WE'VE GOT AT THIS SITE, AND THEY'RE ALSO VERY WELL AWARE

23         THAT THEY CAN TREAT THESE CONTAMINANTS.  THESE

24         CONTAMINANTS ARE NOT VERY DIFFICULT TO TREAT.  AS BERNIE

25 	MENTIONED BEFORE, THE TREATMENT SYSTEMS THAT THEY
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                                                                  46

 1        ALREADY HAVE  IN PLACE,  SUCH AS ACTIVATED SLUDGE, THAT

 2        ALONE  CAN TAKE  CARE  OF  THESE CONTAMINANTS.

 3             TONY JANNETTA:   YOU'RE LOOKING AT SOME OLD LATERAL

 4        LINES  THAT YOU  MAY BE DUMPING INTO THAT MAY HAVE A

 5        PROBLEM.

 6             SANDY MYERS:  RIGHT.   THAT'S A DIFFERENT ISSUE THAN

 7        WHETHER THE TREATMENT PLANT CAN TREAT THE WATER.  AND I

 8        AGREE  WITH YOU,  THAT'S  SOMETHING I'LL HAVE TO LOOK INTO.

 9             BERNIE HAYES:  JUST ONE CLARIFICATION THERE.

10        CERTAINLY SEWER LINES ARE NOT PRESSURE LINES SO YOU CAN

11        HAVE WATER LEAK INTO THEM OR WATER LEAK OUT OF THEM.  IN

12        THIS PART OF  THE COUNTRY,  WATER LEAKING OUT OF SEWER

13        LINES  IS USUALLY NOT THE PROBLEM; USUALLY IT'S WATER

14        LEAKING INTO  THE SEWER  LINES.  SO IT'S SOMETHING WE

15        PROBABLY COULD  TAKE  A LOOK AT DURING THE DESIGN PHASE TO

16        MAKE SURE THAT  WE'RE NOT GOING TO CREATE ANY WHAT YOU

1.7        CALL EX-FILTRATION PROBLEMS FROM SEWER LINES.  BUT IN

18        THIS PART OF  THE COUNTRY,  YOU USUALLY HAVE MUCH MORE OF

19        A PROBLEM WITH  LEAKING  INTO THE SEWER LINES.  SO WHILE

20        YOU'RE RIGHT  IF WE TREATED IT ON SITE IT WOULD

21        COMPLETELY ELIMINATE THAT PROBLEM, IT'S PROBABLY NOT A

22        SERIOUS PROBLEM, BUT IT'S SOMETHING WE CAN LOOK AT

23        DURING THE DESIGN.

24             TONY JANNETTA:   *OU HAVE VIDEO CAMERAS THAT GO DOWN

25        THE LINE AND  CHECK IT IN ITS ENTIRETY.
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                                                       47

     BERNIE HAYES:  THOSE DO EXIST, BUT WHETHER OR NOT

IT'S SOMETHING THAT'S NECESSARY TO BE DONE  IS  SOMETHING

WE'LL JUST HAVE TO LOOK AT.

     JERRY COLLINS:  MY NAME IS JERRY COLLINS.   THE ONLY

LAST QUESTION I HAVE IS THAT I'M CONCERNED  WITH JUST

DUMPING THE CHEMICAL A1- THE D.O.T. BECAUSE  NATIONAL

STATUS HAS JUST RELEASED THAT IT'S EITHER LIKE 900

TREATMENT FACILITIES IN SOUTH CAROLINA ARE  NOT UP TO PAR

FOR FRESH DRINKING WATER.  SO RIGHT NOW, WE DON'T KNOW

WHETHER WE'RE GETTING ADEQUATE TREATMENT OF THE WATER AS

IT IS.  I'M CONCERNED WITH WHAT I'M DRINKING NOW.  I HAD

MEN WITH ROCK HILL, THE CITY, AND TEST MY WATER IN THE

HOUSE I JUST BOUGHT BECAUSE IT'S BEEN TASTING  FUNNY EVER

SINCE I BOUGHT THE HOUSE.  SO MY CONCERN IS THE WATER

I'M DRINKING NOW WITH THE NATIONAL AVERAGES THEY SAY

THAT ALL THE STATES, NORTH CAROLINA AND SOUTH  CAROLINA

INCLUDED, THE WATER TREATMENT IS NOT UP TO  PAR AND IT'S

NOT MEETING STANDARDS.  SO YOU'RE GOING TO  DUMP THIS

CHEMICAL IN ON TOP OF IT AND I'M GOING TO DRINK THAT FOR

30 YEARS.  IN 30 YEARS YOU'RE GOING TO TREAT,  RUN THIS

SYSTEM, 30 YEARS IS HOW LONG IT WOULD TAKE  BEFORE I

FOUND OUT WHETHER I HAVE CANCER OR NOT PROBABLY.  THAT'S

MY BIGGEST CONCERN THAT YOU'RE GOING TO DUMP THIS IN ON

TOP OF WHAT ALREADY THEY'RE TRYING TO TREAT NOW WHICH I

DON'T THINK MY BELIEF IS INADEQUATE ANYWAY.
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                                                       48

     SANDY MYERS:  YOU'VE ALLUDED TO A HANDFUL  OF .

ISSUES.

     JERRY COLLINS:  BUT ALL I'M SAYING IS  I THINK IT

SHOULD BE TREATED ON SITE AND THEN DUMPED.  THAT'S THE

BOTTOM LINE.

     BERNIE HAYES:  JUST ONE QUICK RESPONSE TO  THAT.  I

DON'T WANT Y'ALL TO GET THE IMPRESSION THAT WE'RE JUST

TRYING TO SAY THAT NONE OF YOUR CONCERNS ARE YOU SHOULD

BE CONCERNED ABOUT THEM, BECAUSE THAT'S NOT TRUE.  BUT

WE NEED TO BE CAREFUL THAT WE KEEP SEWAGE TREATMENT AND

WATER TREATMENT SEPARATE.  THIS WATER IS GOING  TO A

SEWAGE TREATMENT PLANT AND NOT A DRINKING WATER PLANT.

     JERRY COLLINS:  WHERE DOES THE LIQUID  THAT IS BEING

RUN OFF FROM THAT WASTE TREATMENT, WHERE IS IT  GOING?

     BERNIE HAYES:  WELL, IT'S GOING TO GO  BACK,  YOU'RE

RIGHT, INTO A RIVER OR CREEK SOMEWHERE AND  DEPENDING  ON

WHAT WATER SOURCE IS USED FOR - 	

     JERRY COLLINS:  WELL, I UNDERSTAND THAT.   THAT

LIQUID WAS BEING CLEANED AND THAT IS YOUR. DRINKING

WATER.  THAT IS INCORRECT?

     BERNIE HAYES:  NO.  IN A LOT OF CASES, IT  IS. BUT

IT DEPENDS ON WHERE YOU ARE IN RELATION TO  THE  DISCHARGE

FROM THIS PLANT.  I DON'T KNOW WHERE THE WATER  SUPPLIED

FOR THE CITY AROUND HERE IS.  IS IT SURFACE WATER OR

GROUNDWATER?
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                                                       49

     AUDIENCE:  RIVER.

     JANE DAVENPORT:  WOULD A STUDY NOT BE DONE TO MAKE

SURE THAT IT DOESN'T GET BACK IN OUR DRINKING WATER?   I

WOULD THINK THAT WOULD BB PART OF THE PROCESS.

     SANDY MYERS:  I THINK A STUDY OF THAT NATURE IS

VIRTUALLY IMPOSSIBLE.  I THINK THAT IF YOU'RE GOING TO

TAKE WATER IN A SEWAGE TREATMENT PLANT THAT THEY

DISCHARGE INTO A CREEK AND THEN SOMEHOW OR ANOTHER TRACK

THAT WATER DOWN TO A DRINKING WATER PLANT THROUGH THE

PLANT DOWN THE LINES TO YOUR TAP, THAT'S VERY DIFFICULT.

     BERNIE HAYES:  AND LET'S KEEP THIS IN PROSPECTIVE.

OKAY?  IF YOU HAVE A DRINKING WATER PLANT THAT'S DRAWING

FROM A RIVER IN THIS AREA, IT'S NOT AS IF THE EFFLUENT

FROM THE SITE IS GOING TO GO DIRECTLY INTO THAT RIVER.

OR EVEN IF YOU ASSUME IT'S GOING TO BE TREATED, THAT

THAT'S THE ONLY THING THAT'S GOING INTO THAT RIVER AND

IT'S THE ONLY THING THAT THAT WATER TREATMENT PLANT HAS

TO DEAL WITH.  YOU COULDN'T GO DOWN TO THE RIVER AND

DRINK RIGHT OUT OF IT.  THAT WATER TREATMENT PLANT IS

RESPONSIBLE FOR TREATING THAT WATER AND REMOVING

WHATEVER IS IN THERE TO MAKE THAT WATER SAFE, UNDER THE

SAFE DRINKING WATER ACT, NO MATTER WHAT'S IN THERE, NO

MATTER WHERE IT'S COMING FROM.  SO YOU DO HAVE THIS

ROUTE, THIS POTENTIAL ROUTE OF CONTAMINANTS FROM THIS

SITE SOMEHOW GETTING THROUGH THE SEWER SYSTEM AND INTO
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                                                                  50

 1         THE  RIVER AND BACK INTO THE DRINKING WATER PLANT, BUT

 2         WHAT YOU HAVE IS UNLESS THEY'RE UPSTREAM FROM ONE

 3         ANOTHER, WHICH IS WHAT I THINK THIS GENTLEMAN HAS

 4         ALLUDED TO,  BUT EVEN IF THAT WERE THE CASE, YOU'VE GOT A

 5         SEWAGE TREATMENT PLANT THAT'S DESIGNED TO REMOVE THE

 6         CONTAMINANT  BEFORE IT GOES INTO THE RIVER AND YOU'VE GOT

 7         A WATER TREATMENT PLANT DESIGNED TO REMOVE THE

 8         CONTAMINANTS AS THEY COME OUT OF THE RIVER.  AND BOTH OF

 9         THOSE PLANTS ARE REGULATED BY THE STATE OF SOUTH

10         CAROLINA AND OVER YOU ALL BY EPA TO MAKE SURE THAT THEY

11         ARE  FUNCTIONING PROPERLY.  AND I'M NOT GOING TO SAY THAT

12         THEY ALWAYS  FUNCTION PROPERLY, BUT 	

13              JERRY COLLINS:  IN THE NATURAL STATUS OF RELEASE

14         THEY SAID THAT THE MAJORITY OF THEM WERE NOT UP TO PAR.

15         HOW  DO WE FIND THAT OUT IS MY NEXT QUESTION?

16              BERNIE  HAYES:  WELL, THAT'S PART OF 	

1.7              JERRY COLLINS:  WE MAY NOT DRINK THE WATER OUT OF

18         THAT WELL, OUT OF THAT PLUME, BUT WE'RE STILL DRINKING

19         TREATED WATER.  DOESN'T MATTER WHAT'S BEEN DUMPED IN IT;

20         WE'RE DRINKING IT,  AND WE DON'T KNOW WHAT WE'RE

21         DRINKING.

22              BERNIE  HAYES:  WELL, YOU CAN FIND THAT OUT.  THE

23         MONITORING AND COMPLIANCE RECORDS FOR A PUBLIC WATER

24         SUPPLY ARE A MATTER OF	

25 	JERRY COLLINS;  WELL, I'VE HAD THE WATER TESTED,
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                                                       51

BUT I'M NOT SATISFIED STILL.  I'VE HAD THEM COME  OUT AND

TEST IT TWICE, AND MY WATER STILL TASTES FUNNY.

     BERNIE HAYES:  THE OTHER THING YOU CAN DO IS ASK

THE PUBLIC WATER SUPPLY FOR THEIR RECORDS OF THEIR

TESTING AND THAT'S A MATTER OF PUBLIC RECORD.  IF YOU

HAVE A PROBLEM WITH THEM, I IMAGINE DHEC COULD HELP  YOU

WITH IT, THE STATE COULD HELP YOU WITH GETTING THOSE

RECORDS.  THEY'RE REQUIRED TO TEST THE WATER FOR  A WIDE

RANGE OF CONTAMINANTS ON A REGULAR BASIS 	

     JERRY COLLINS:  BUT THEY POLICE THEMSELVES;  NOBODY

POLICES THEM.

     BERNIE HAYES:  NO.  THE STATE POLICES THEM AND  TO

SOME EXTENT THE EPA POLICES THEM.

     JANE DAVENPORT:  I HAVE A QUESTION.  THAT GENTLEMAN

SAID SOMETHING ABOUT IF THE SOIL IS NOT REMOVED THAT THE

CONTAMINANTS ARE CONTAINED IN THE SOIL AND IF THE SOIL

ON THE SITE IS NOT REMOVED, WON'T THE WATER BE

CONTAMINATED AGAIN?  AND I DIDN'T HEAR A RESPONSE TO

THAT.

     SANDY MYERS:  OKAY.  I MIGHT ASK YOU TO CLARIFY,

BUT I THINK I CAN ANSWER YOUR QUESTION.  THERE IS

CONTAMINATION PRESENT IN THE SUBSURFACE AND SURFACE

SOILS; BUT THE CONTAMINATION THAT'S PRESENT, THEY'RE NOT

AT LEVELS THAT POSE AN UNACCEPTABLE RISK.

     JERRY COLLINS:  BUT I WAS THE ONE THAT ASKED THAT
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                                                                  52

 1        QUESTION.   MY  QUESTION  WAS IS THAT THE WATER IS BEING

 2        CONTAMINATED FROM THE CHEMICALS IN THE SURFACE SOIL.  IS

 3        THAT  CORRECT?

 4              SANDY  MYERS:   NOT  NECESSARILY, NO.

 5              JERRY  COLLINS:  HOW IS THE WATER BEING

 6        CONTAMINATED?

 7              SANDY  MYERS:   THE  CONTAMINANTS CAN BE INTRODUCED AT

 8        THE SURFACE SOILS,  AND  THEY CAN LEACH DOWN TO THE

 9        GROUNDWATER OVER A PERIOD OF 30 YEARS.

10              JERRY  COLLINS:  RIGHT, BUT THE WATER IS BEING

11        CONTAMINATED FROM THE SOIL THAT'S ON THE PROPERTY.

12  '      RIGHT?

13              SANDY  MYERS:   NOT  NECESSARILY, NO.  I MEAN THE

14        CONTAMINANTS CAN BE DOwri IN THE GROUNDWATER.

15              TONY JANNETTA:  WAS IT DUMPED IN THE WELL OR DID IT

16        GO THROUGH  THE SOIL?

17              SANDY  MYERS:   IT WENT THROUGH THE SOIL.

18              JERRY  COLLINS:  BUT THE CHEMICALS ARE STILL IN THE

19        SOIL.  CORRECT?

20              SANDY  MYERS:   YES.  THERE ARE CHEMICALS IN THE

21        SOIL.

22              JERRY  COLLINS:  ALL RIGHT, BUT WHAT YOU'RE

23        BASICALLY GOING TO BE DOING THOUGH IS THE CONSTANTLY

24        FILTRATION  SYSTEM WHER£ THE WATER GOES DOWN THROUGH THE

25        SOIL  GETS DOWN TO WHERE THE PLUME IS AND YOU PUMP IT OUT
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                                                                  53

 1         AND IT'S JUST A CONSTANT - - - YOU'RE LETTING THE DIRT

 2         BASICALLY FILTER OUT THE CHEMICAL.   EVENTUALLY YOU'RE

 3         HOPING THERE WILL BE NO MORE CHEMICAL LEFT TO GET DOWN

 4         TO THAT WATER LEVEL.  RIGHT?

 5              SANDY MYERS:  NO.  THAT'S NOT THE WAY THAT I SEE

 6         THIS.

 7              JANE DAVENPORT:  THE WATER CANNOT BE CONTAMINATED

 8         AGAIN ONCE THIS IS DONE?

 9              SANDY MYERS:  I WOULD NEVER MAKE THAT STATEMENT.  I

10         CAN'T WALK INTO THAT ONE.  BUT I CAN SAY - - -

11              LARRY CRUMP:  I'M LARRY CRUMP.  WHY DO YOU KEEP

12*         BEATING AROUND THE BUSH AROUND NOT TAKING THE SOIL OUT

13         OF THERE?  THERE'S WHERE THE CONTAMINATION IS COMING

14         FROM.

15              BERNIE HAYES:  I THINK THE ANSWER TO THAT IS THE

16         VAST MAJORITY OF CONTAMINATED SOIL HAS ALREADY BEEN

1.7         REMOVED.  I THINK IT'S A VALID COMMENT AND A VALID

18         CONCERN ON YOUR ALL'S PART THAT WE MAKE SURE THAT THAT'S

19         BEEN SUFFICIENTLY DONE.  AND THAT'S SOMETHING WE CAN

20         TAKE BACK MAKE SOME DECISION ABOUT.  I'M NOT GOING TO

21         SIT HERE AND PROMISE YOU THAT WE'RE GOING TO LOOK AT

22         WHAT SOIL IS LEFT THERE AND TAKE MORE OF IT OUT, BUT

23         THAT'S PART OF THE PUBLIC PARTICIPATION PROCESS IS TO

24         LISTEN TO THESE COMMENTS, GO BACK, LOOK AT THE DATA

25         AGAIN, TRY TO MAKE A DECISION ABOUT WHETHER OR NOT
                             DALLAS REPORTING
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                                                                  54
 1        ADEQUATE SOIL REMOVAL HAS BEEN DONE.  AND YOU KNOW WHEN
 2        WE  MAKE' A DECISION ABOUT WHAT TO DO AT THE SITE, LET
 3        Y'ALL KNOW THEN AGAIN WHAT THE DECISION IS.  BUT THE
 4        BOTTOM LINE,  THE BASIC ANSWER TO YOUR QUESTION RIGHT NOW
 5        IS  THE VAST MAJORITY OF CONTAMINATED SOIL HAS ALREADY
 6        BEEN REMOVED  FROM THE SITE.  LIKE SANDY SAYS, WE CAN'T
 7        SIT HERE AND  PROMISE YOU THAT EVERY LAST PARTICLE HAS
 8        BEEN REMOVED  TO THE POINT WHERE NO FURTHER LEACHING INTO
 9        GROUNDWATER WILL TAKE PLACE,  BUT	
10              JERRY COLLINS:  WHY ARE  THE LEVELS SO HIGH STILL
11        THEN IF THE SOIL HAS BEEN REMOVED, AND THIS WAS A LONG
12        TIME AGO THAT THE SOIL WAS REMOVED?  WHY ARE THE LEVELS
13        SO  HIGH THEN  IN THE WATER?  IF IT'S THAT HIGH, 17,000
14        MILLIPARTS OR WHATEVER.
15              BERNIE HAYES:  GROQNDWATER TAKES A VERY LONG TIME
16        TO  CLEAN ITSELF UP, IF YOU WILL.  I MEAN THAT'S NOT EVEN
L7        THE RIGHT TERM TO USE.
18              JERRY COLLINS:  IT'S NOT JUST GOING TO SIT THERE;
19        IT'S GOT TO GO SOMEWHERE, THAT WATER.
20              BERNIE HAYES:  IT CAN SIT THERE FOR A VERY LONG
21        TIME.
22              JERRY COLLINS:  IT'S GOT TO GO SOMEWHERE.  IT'S
23        GOING TO BUILD UP TO THE POINT THAT WATER HAS TO GO
24        SOMEWHERE, EITHER INTO A WELL SYSTEM OR MOVE ON TO OTHER
25        GROUNDS OR CREEKS OR SOMETHING.
                             DALLAS REPORTING
                          Certified court Reporters
                          Rock Bill, south Carolina
                               (8O3) 32B-964O

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                                                                  55

 1              SANDY MYERS:  ONE POINT I'D LIKE TO MAKE IS THAT

 2         THE PHYSICAL CHARACTERISTICS OF THE CHEMICALS TEAT WE'RE

 3         TALKING ABOUT, ESPECIALLY THE THREE VOLATILES, THEIR

 4         DENSITY IS HEAVY THAN WATER.  WHAT THAT MEANS IS

 5         ESSENTIALLY THEY SINK.  SO THESE CONTAMINANTS, THEY HAVE

 6         THE ABILITY TO SINK THROUGH THE SURFACE SOILS, THROUGH

 7         THE SEDIMENT	I MEAN THROUGH THE SUBSURFACE SOILS

 8         DOWN IN THROUGH THE GROUNDWATER.  THEY HAVE THE ABILITY

 9         TO SINK LIKE THAT.  THEY DON'T NECESSARILY JUST FLOW OFF

10         THE SITE SOMEWHERE.  THAT'S HOW YOU CAN REACH SUCH HIGH

11 •        CONCENTRATIONS AFTER A 30 YEAR PERIOD.

12              JERRY COLLINS:  WELL, I'M SURE THEY'RE BELOW THAT

13         WATER LEVEL, AND THEY'LL PROBABLY STAY THERE AND KEEP ON

14         SINKING DOWN INTO THE EARTH HOPEFULLY AND CLEAN

15         THEMSELVES UP.

16              SANDY MYERS:  THAT'S A GOOD POINT.

17              BERNIE HAYES:  YOU'RE HITTING THE NAIL RIGHT ON THE

18         HEAD WITH HOW DIFFICULT THIS REMEDIATION OF GROUNDWATER

19         CONTAMINATION IN THIS FASHION CAN BE. •

20              JERRY COLLINS:  BUT IN NONE OF THESE STUDIES ANYONE

21         HAS SAID ABOUT FURTHER REMOVAL OF DIRT.  ALL YOU'RE

22         TALKING ABOUT IS PUMPIiNiG WATER OUT.  YOU'RE NOT TALKING

23         ABOUT CLEANING UP THE SOIL THAT'S THERE, REMOVING IT.

24              SANDY MYERS:  THAT'S CORRECT.  AND THE REASON WE'RE

25         SAYING THAT IS BECAUSE THE LEVELS OF CONTAMINATION THAT
                             DALLAS REPORTING
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                                                        56

WE HAVE IN THE SOILS DO NOT POSE AN  UNACCEPTABLE RISK.

     GLEN PELLETT:  MY NAME IS  GLEN  PELLETT AGAIN.  ONE

THING WE MAY BE MISSING IS THAT IT WASN'T THE SOIL THAT

CONTAMINATED THE GROUNDWATER; IT WAS WASTE THAT WAS

PLACED IN AND ON THAT SOIL, AND I BELIEVE ALL THE WASTE

HAS BEEN REMOVED.  IS THAT CORRECT?

     SANDY MYERS:  WELL, THE ABOVE GROUND STORAGE TANKS

HAVE BEEN REMOVED.  YES.  AND SOME OF THE OBVIOUS SOIL

- -- IN THE PAST REMOVALS, SOME OF  THE SOILS, WE HAD

THE REMOVALS WHERE THEY TOOK OUT THE SOILS.

     GLEN PELLETT:  SO THAT WAS SORT OF THE SOURCE OF

THE CONCENTRATION.                                       j

     JERRY COLLINS:  EVERY TIME YOU  CHANGE YOUR OIL AND [

DUMP IT IN YOUR BACKYARD AND FIVE YEARS FROM NOW DIG A

WELL AND DRINK THAT WATER.  DIG THE  DIRT UP FIRST THO'JGH i

AND PUT SOME FRESH DIRT DOWN, BUT THEN DRINK THAT WATER, j

YOU'RE NOT GOING TO GET IT OUT. IT'S IN THAT DIRT ANO

THAT'S SEEPING DOWN, IT'S CONTINUALLY SEEPING, BLEEDING

DOWN AS A FILTERING SYSTEM BASICALLY, THE SOIL IS.  YOU

CAN ONLY GET SO MUCH DIRT OUT.  YOU  CAN'T DIG DOWN 54

FEET AND TAKE OUT ALL THAT SOIL DOWN TO THE WATER LT.TL.

     TONY JANNETTA:  I'D LIKE TO ASK A QUESTION IN

REFERENCE TO ONCE THIS IS DONE  WHETHER YOU DUMP IT ANC

TREAT THE WATER AND YOU REMOVE  THE AREA OF THE PL'JMZ A.SC

YOU FEEL COMFORTABLE THAT YOU'VE REMOVED THAT MUCH
                  DALLAS REPORTING
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                     (803) 328-9640

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                                                                  57

 1         AND IT'S SUFFICIENT AND EVERYTHING TESTS OUT OKAY AT A

 2         CERTAIN POINT IN TIME/ WHAT WILL THE EPA AND THE STATE

 3         DO TO MAKE CERTAIN THAT THE PROBLEM DOES NOT EXIST  IN

 4         THE FUTURE.  WILL THEY STILL REMAIN - - - WILL THERE BE

 5         TESTING AFTERWARDS?

 6              SANDY MYERS:  YES.  THERE WILL BE LONG TERM

 7         MONITORING.  WE WILL MAKE SURE THAT THE PROBLEM DOESN'T

 8         POP UP AGAIN.  THAT'S THE WHOLE PURPOSE OF OUR

 9         MONITORING PROGRAM.  YES.

10              TONY JANNETTA:  THROUGHOUT THE SITE?  THROUGHOUT

11         THE NEIGHBORHOOD?

12 '             SANDY MYERS:  YES, THROUGH THE WELLS THAT WE WILL

13         HAVE ON THE SITE.  AT THIS POINT, WE DON'T KNOW EXACTLY

14         WHERE THE WELLS ARE GOING TO BE.  WE DECIDE THAT IN THE

15         DESIGN PHASE.  WE'LL DECIDE WHERE THE ACTUAL WELLS  WILL

16         BE PLACED, BUT THERE WILL BE COMPLIANCE WELLS PLACED,

1.7         AND WE'LL MONITOR THOSE WELLS.

18              TONY JANNETTA:  SINCE WE KNOW THOSE CHEMICALS  ARE

19         DEEPER THAN THE WATER STRATUM, WILL THERE BE DEEPER

20         WELLS?

21              SANDY MYERS:  SINCE 	

22              LARRY CRUMP:  HOW DID THAT BANK GET BUILT THERE ON

23         THAT SOIL IF THE KIND OF CONTAMINATION EXISTED?

24              JERRY COLLINS:  THEY TRIED TO CLEAN IT UP.  THEY

25         DUG UP THREE FEET.
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                               (8O3) 328-964O

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                                                                  58

 1             LARRY  CRUMP:   THEY DIDN'T DIG DEEP ENOUGH, MY

 2        FRIEND.

 3             JERRY  COLLINS:   I  KNOW THAT.

 4             LARRY  CRUMP:   THEY STILL BUILT.

 5             JERRY  COLLINS:   AND THEY'RE NOT INCLUDING THIS

 6        BANK, THAT  PROPERTY,  IN THIS CLEANUP.  IF THE PLUME DOES

 7        GO  UNDERNEATH THE  PROPERTY OF THAT BANK, THE SOIL THREE

 8        FEET UNDER  WHERE THEY EXTRACTED THAT SOIL, IT'S STILL

 9        CONTAMINATED AND HOPEFULLY IT WILL BE CLEANED UP ON ITS

10        OWN WHEN IT FILTRATES OUT.  BUT IT'S GOT CONCRETE

11        COVERING THAT SOIL OVER THAT WHERE THE SITE IS AND I

12 '       DON'T SEE HOW THE  RAINWATER, THE WATER TABLE, WHATEVER,

13        CAN FILTER  THAT OUT.  THAT'S TRAPPED UNDER THAT

14        CONCRETE.

15             SANDY  MYERS:   WE'LL HAVE TO LOOK INTO THAT.

16             MARK DAVIS:  LET ME CLARIFY THAT.  THE BANK REMOVED

17        THAT SOIL WHICH WAS CONTAMINATED, AND THEY DID THAT

18        REMOVAL WITH OVERSIGHT  FROM EPA AND THE STATE OF SOUTH

19        CAROLINA.

20             JERRY  COLLINS:  RIGHT, BUT THEY ONLY TOOK OUT ABOUT

21        THREE  FEET  OF SOIL.

22             MARK DAVIS:  THEY  TOOK OUT THE HOT SPOTS, THE AREAS

23        THAT HAD THE CONTAMINATED SOIL.  THEY REMOVED ALL THAT

24        SOIL.

25             JERRY  COLLINS:  THREE FEET OF IT.  THEY ONLY TOOK
                             DALLAS REPORTING
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                                                        59

OUT THREE FEET.

     MARK DAVIS:  THAT'S RIGHT.  THAT'S  ALL THEY TOOK

OUT.

     JERRY COLLINS:  FROM THE TIME THAT  THAT LIQUID, THE

CHEMICALS, WERE LEAKING FROM 1964, WHO'S TO SAY IT

DIDN'T GO FOUR FEET, FIVE FEET, IN THAT  SITE IN THAT

AREA?

     TONY JANNETTA:  THEY WERE NOT TESTING WELLS AT THAT

POINT IN TIME.

     MARK DAVIS:  THEY WEREN'T ANY TESTS OF WELLS,  BUT

THERE WAS SOIL TESTING.

     JERRY COLLINS:  THEY DIDN'T DO ANY  SOIL TESTING ON

THAT SITE WHERE THAT BANK IS.

     MARK DAVIS:  BACK WHEN THEY DID THE REMOVAL, YES,

THEY DID.

     JERRY COLLINS:  SACK IN THE REMOVAL.   WHAT ABOUT

NOW?

     MARK DAVIS:  RIGHT.  THEY HAD GOTTEN A CLEAN BILL

OF HEALTH FROM THE STATE OF SOUTH CAROLINA STATING THAT

THAT SOIL THAT WAS LEFT AFTER THE EXCAVATION WAS CLEAN




     JERRY COLLINS:  BACK THEN.  WHAT ABOUT NOW?  NO ONE

DID ANY TESTS ON THAT PROPERTY NOW.  THEY'RE NOT EVEN




     BERNIE HAYES:  IF IT WAS CLEAN THEN IT'S CERTAINLY
                             DALLAS REPORTING
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                                                        60

NOT GOING TO GET ANY WORSE OVER TIME.   IT'S  ONLY GOING

TO GET BETTER.

     LARRY CRUMP:  HOW DO YOU KNOW  IT'S CLEAN NOW?

     TONY JANNETTA:  WHY DON'T YOU  BUILD A DIAGONAL WELL

AND GO UP UNDER THE BANK AND SEE IF THERE'S  ANYTHING




     MARK DAVIS:  WE KNOW THERE'S GROUNDWATER

CONTAMINATION UNDER THAT BANK PROPERTY.  THAT'S GOING TO

BE EXTRACTED ALONG WITH THE REST OF THE GROUNDWATER

DURING THE REMEDIATION.

     JERRY COLLINS:  YOU DIDN'T EVEN TELL  US IN THE

BEGINNING THAT THAT PROPERTY THAT THAT  BANK  IS SITTING

ON WAS ORIGINALLY OWNED BY THAT CHEMICAL COMPANY.

YOU'VE GOT A BARRIER DRAWN AROUND THAT  PROPERTY.

     MARK DAVIS:  THAT PROPERTY WASN'T  OWNED - - - THE

CHEMICAL COMPANY DIDN'T OWN ANY OF  THAT PROPERTY.   THE

CHEMICAL COMPANY OPERATED ITS FACILITY  ON  THAT AREA, BUT

THAT PART WHERE THE BANK IS WAS NOT THE PHYSICAL

LOCATION OF THE CHEMICAL COMPANY.   ACTUALLY, THE TWO HOT

SPOTS THAT THE REMOVAL WAS DONE THAT SANDY MENTIONED


EARLIER, THAT IS THE LOCATION OF THE CHEMICAL COMPANY'S

OPERATIONS.  FOR SOME UNKNOWN REASON, THE  OPERATOR OF

THAT CHEMICAL COMPANY TOOK ITS CHEMICALS AND TRANSFERRED

OVER TO THE AREA WHERE THE BANK IS.

     JERRY COLLINS:  YOU'RE SAYING  THAT THEY NEVER OWNED
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                                                                  61

 1         THE PROPERTY WHERE THE BANK IS SITTING?


 2              MARK DAVIS:   THE CHEMICAL COMPANY NEVER OWNED ANY


 3         OF THAT PROPERTY.

 4              JERRY COLLINS:   IT'S JUST OUT OF THE WAY OF THE


 5         BOUNDARY THAT'S DRAWN OUT AROUND IT, IT LOOKS LIKE IT


 6         WOULD BE A FULL BLOCK OR WHATEVER.


 7              MARK DAVIS:   THE REASON THAT WAS DRAWN OUT IS


 8         BECAUSE IT WAS NOT PART OF THE CHEMICAL COMPANY'S


 9         OPERATIONS, NUMBER ONE.


10              JERRY COLLINS:   OPERATIONS, BUT THEY NEVER OWNED


11         THAT PROPERTY?


12  •            MARK DAVIS:   RIGHT.  THEY DIDN'T OWN THAT PROPERTY,


13         BUT THEY OPERATED  ON TEAT PROPERTY.


14              JANE DAVENPORT:  THEY DUMPED ON IT.


15              MARK DAVIS:   THEY DUMPED ON IT.  THEY WERE LIKE A


16         MIDNIGHT DUMPER, WHAT YOU WOULD CALL A MIDNIGHT DUMPER


17         ON THE PROPERTY WHERE THE BANK WAS LOCATED.


18              JERRY COLLINS:   WHAT IT SAID IN THE PAPERS THAT


19         THIS WAS NOT JUST  WHERE THEY WERE STORING THE CHEMICALS,


20         THEY WERE TRYING TO CLEAN IT UP.  THIS IS A COMPANY THAT


21         CLEANED CHEMICALS, CLEANED UP THE WASTE, THAT THEY W!!»f


22         ACTUALLY DUMPING IT ON SITE.  SINCE 1964, THERE'S NO


23         TELLING HOW MUCH IS IN THAT SOIL DOWN THERE.


24              MARK DAVIS:   WE HAVE DONE SOIL SAMPLING TEROUGECVT


25  	THAT WHOLE AREA.	


                             DALLAS REPORTING
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                                                                  62

 1              JERRY COLLINS:   ESPECIALLY WHERE THE BANK'S AT,

 2         YOU'RE SAYING THAT'S WHERE THEY WERE DUMPING IT AT.

 3              MARK DAVIS:   THAT'S WHERE THEY DID DUMPING.  THAT'S

 4         WHERE THE BANK EXCAVATION - 	

 5              JERRY COLLINS:   IT'S KIND OF ODD THAT THREE FEET OF

 6         SOIL WAS REMOVED  THEN BOOM, THE BUILDING WAS BUILT ON

 7         TOP OF THAT.   THAT'S A HOT SPOT.

 8              TONY JANNETTA:   YOU'RE NOT BEING CONCLUSIVE AFTER

 9         GOING THROUGH ALL THIS AND PUMP ALL THIS SOMEWHERE, AND

10         THERE'S ANOTHER PROBLEM SOMEWHERE ELSE.  YOU WANT TO BE

11         CONCLUSIVE IN THE OTHER AREAS BEFORE YOU SINK IN TWO

12         MILLION DOLLARS TO DO SOMETHING WHEN YOU MIGHT HAVE TO

13         REDO IT AGAIN.

14              SANDY MYERS:  CERTAINLY.  ABSOLUTELY.

15              TONY JANNETTA:   YOU WANT TO BE SURE ABOUT IT.

16              SANDY MYERS:  WE aURE DO.

17              BERNIE HAYES:  LIKE I SAID, THIS IS GOOD

18         DISCUSSION.  IT'S IMPORTANT THAT WE GET THESE THINGS ON

19         THE TABLE SO THAT WE CAN - 	 I MEAN WE CAN'T ANSWER

20         YOUR QUESTIONS ABOUT WHETHER OR NOT SUFFICIENT SOIL

21         REMOVAL WAS DONE  UNDER THE BANK.  OBVIOUSLY WE FROM OUR

22         INVESTIGATIONS FEEL THAT THERE WAS.  BUT THE FACT THAT

23         IT'S SUCH A MAJOR POINT OF CONCERN FOR SEVERAL PEOPLE

24         HERE MEANS THAT WE NEED TO GO BACK AND TAKE A LOOK AT

25         	
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                                                                  63

 1              JERRY COLLINS:  YOU DIDN'T CHECK IT OUT.  YOU JUST

 2         LOOKED AT OLD REPORTS SAYING THAT THEY WERE CONCLUSIVE

 3         BACK IN 1985.  YOU DIDN'T DO ANY STUDIES, RESEARCH SOIL

 4         SAMPLES NOW.

 5              BERNIE HAYES:  THAT MAY BE A VALID CRITICISM, AND

 6         WE CAN GO BACK AND TAKE A LOOK AND DETERMINE WHETHER OR

 7         NOT WE IN FACT NEED TO DO MORE WORK THERE.

 8              TONY JANNETTA:  YOU'VE GOT PROPERTY IN THE AREA

 9         THAT MAY BE REDEVELOPED, MY BUSINESS, ALL OF OUR HOMES.

10         LET'S JUST SAY FOR BUSINESS PRACTICE.  AND THEY'RE GOING

11         TO HAVE TO GO THROUGH THE SAME PROCEDURE KNOWING THAT

12  '       THAT'S A CONTAMINATED AREA, THAT'S GOING TO BE RIGHT UP

13         FRONT.  THEY'RE GOING TO HAVE TO HAVE ALL KINDS OF

14         ANALYSIS DONE BEFORE THEY CAN GET PERMITS AND EVERYTHING

15         TO MAKE SURE THAT THEIR PROPERTY IS SAFE.  AND YOU'VE

16         GOT SOME UNDEVELOPED LAwD AROUND THERE THAT'S GOING TO

17         BE DEVELOPED ONE OF THESE DAYS, AND THIS MAY COME BACK

18         TO HAUNT THEM AND Y'ALL.

19              JERRY COLLINS:  WHAT IF THIS PROPERTY IS EVER SOLD

20         WHERE THE BANK SITS?  THE FRESH CITY WATER COMING UP

21         THROUGH THAT PROPERTY, THAT'S WHERE THE PLUME AREA IS.

22         I CERTAINLY WOULDN'T EVER WANT TO WORK THERE AND GO IN

23         TO USE THE BATHROOM AND DRINK WATER OR SOMETHING LIKE

24         THAT.  I CERTAINLY WOULDN'T WANT TO WORK THERE.

25              MARK DAVIS:  LET ME CLARIFY SOMETHING.  SIMPLY
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                                                                  64

 1         BECAUSE THE MAP THAT SANDY HAS DRAWN CARVED OUT THE  BANK

 2         DOESN'T MEAN THAT THAT GROUNDWATER THAT IS LOCATED

 3         UNDERNEATH THE BANK IS NOT GOING TO BE CLEANED UP.   THAT

 4         IS ALL GOING TO BE PART OF THE OVERALL CLEANUP.  WE'RE

 5         TALKING ABOUT ONE OBSTACLE - - -

 6              JERRY COLLINS:  WATER EXTRACTION ONLY.  THE SOIL IS

 7         NOT GOING TO BE CLEANED UP.

 8              MARK DAVIS:  THE SOIL RECEIVED A CLEAN BILL OF

 9         HEALTH.

10              JERRY COLLINS:  BACK IN '85, THREE FEET OF IT.

11              BERNIE HAYES:  AGAIN, LET'S TRY TO PULL BACK FROM

12         THIS A LITTLE BIT AND TRY TO KEEP IT IN PROSPECTIVE.  WE

13         SAMPLED THE SOILS.

14              JERRY COLLINS:  THAT PROPERTY WILL GO REAL CHEAP.

15              BERNIE HAYES:  THE ONLY - - -

16              LARRY CRUMP:  DID if'ALL DO A SAMPLE UP AROUND BY

1-7         THE BANK?  HOW COME Y'ALL DIDN'T DRILL A WELL UP THERE

18         BY THE BANK, NEAR ITS PROPERTY?

19              BERNIE HAYES:  AGAIN, LET'S KEEP THIS IN.

20         PROSPECTIVE.  MORE WELLS WOULD ONLY TELL US - - -

21              LARRY CRUMP:  THE BANK IS IN PROSPECTIVE HERE.  AS

22         I'M ASKING QUESTIONS I WOULD LIKE TO HAVE ANSWERS FOR

23         AND I DON'T WANT TO BE BEAT AROUND THE BUSH ABOUT IT.

24              BERNIE HAYES:  SOME OF THE THINGS THAT Y'ALL ARE

25         BRING UP ARE THINGS WE CAN'T ANSWER RIGHT NOW.  YOUR
                             DALLAS REPORTING
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                                                                  65

 1         OPINION IS AND THE COMMENTS THAT YOU'RE EXPRESSING HERE


 2         ARE THAT WE DIDN'T DO ENOUGH TO INVESTIGATE CERTAIN


 3         ASPECTS OF THIS SITE.  THAT MAY BE.  ALL WE CAN TELL YOU


 4         IS  WE'LL GO BACK,  WE'LL LOOK AT THE DATA THAT WE HAVE,


 5         WE'LL HAVE OTHER PEOPLE LOOK AT THE DATA THAT WE HAVE


 6         AND SEE IF IN FACT THAT IS THE CASE.  BUT FOR US TO SIT


 7         HERE AND TELL YOU THAT BECAUSE OF YOUR CONCERNS ABOUT


 8         THE EXTENT AND THE INVESTIGATION THAT WAS DONE OR THE


 9         LACK OF IT THAT WE'RE GOING TO GO OUT AND DO MORE WORK,


10         IT  WOULDN'T BE A GOOD IDEA FOR US SPENDING YOUR MONEY TO


11         MAKE A BLANKET COMMITMENT TO THAT RIGHT HERE TONIGHT


12  •       WITHOUT GOING BACK AND LOOKING AT THE SITUATION AND


13         LOOKING AT THE DATA THAT WE HAVE.  SO AGAIN, I'LL TELL

14         YOU THESE ARE VALID COMMENTS.  THERE'S REASON FOR US TO


15         GO  BACK AND LOOK AT WHAT WE'VE DONE AND DETERMINE


16         WHETHER OR NOT IN FACT AS YOU ALL HAVE EXPRESSED WE


17         MAYBE SHOULD HAVE DONE MORE.  BUT IT WOULD BE


18         IRRESPONSIBLE FOR US TO COMMIT TO YOU OR TO TELL YOU


19         THAT IN FACT THAT'S WHAT WE'RE GOING TO DO SIMPLY ON THE


20         BASIS OF YOUR COMMENTS TONIGHT AND MAKE A SNAP DECISIC*


21         HERE IN THIS ROOM TO SPEND ANOTHER SEVERAL HUNDRED


22         THOUSANDS DOLLARS OF TAXPAYER MONEY.  SO IN A SENSE,


23         WE'RE TRYING TO ANSWER YOUR QUESTIONS, BUT IN ANOTHER


24         SENSE WHEN YOU SAY WE HAVEN'T DONE ENOUGH AND WE NEE2 T*:


25  	DO  MORE, WE CAN'T ANSWER THAT TONIGHT OTHER THAN TO SAY


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                                                                  66

 1         THOSE ARE THE KIND OF COMMENTS WE WANT TO HEAR AND WE'LL

 2         GO BACK AND WE'LL LOOK AT THE DATA WE HAVE AND TRY TO

 3         MAKE A DECISION WHETHER THAT IN FACT IS THE CASE.  AND

 4         THAT'S WHAT WE'LL DO.

 5              LARRY CRUMP:  HOW WILL WE KNOW WHAT THAT DECISION

 6         WILL BE?

 7              BERNIE HAYES:  WELL, THERE WILL BE OTHER PUBLIC

 8         MEETINGS AND OTHER OPPORTUNITIES FOR PUBLIC

 9         PARTICIPATION.

10              LARRY CRUMP:  THIS IS NOT THE FINAL ONE?

11              BERNIE HAYES:  NO, BY NO MEANS.

12              JERRY COLLINS:  HAS ANYONE IN THE EPA WHEN THEY HAD

13         THE MEETINGS IN THE MINUTES AND RECORDS, HAS ANYONE IN

14         THE EPA EVER RECOMMENDED REMOVING OF THAT SOIL.  NOWHERE

15         IN HERE DOES IT SAY ANYTHING ABOUT REMOVING THE SOIL.

16         AND IT SAYS OPTIONS THAT THEY SAID WERE UNSATISFACTORY

17         ABOUT LIKE LEAVING IT DORMANT, NOT DOING ANYTHING WITH

18         IT.  THAT'S UNSATISFACTORY.  THE FIRST TWO CHOICES WERE

19         UNSATISFACTORY.  WAS REMOVAL OF THE SOIL EVER BROUGHT UP

20         BY SOMEONE ON THE EPA COMMITTEE OR WHOEVER, BY AN

21         OUTSIDER?  IS THERE ANY PUBLIC RECORDS OF ANYBODY

22         SUGGESTING THAT THE SOIL BE REMOVED?

23              BERNIE HAYES:  SANDY, CAN YOU 	

24              SANDY MYERS:  AGAIN, WE'D HAVE TO GO BACK AND LOOK

25         THROUGH THE RECORDS TO SEE.
                             DALLAS REPORTING
                          Certified Court Reporters
                          Rock Hill, South Carolina
                               (8O3) 328-964O

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                                                                  67

 1              JERRY COLLINS:  TO MY UNDERSTANDING I GUESS  I  CAN

 2         SEE THAT IT WOULD BE VERY EXPENSIVE TO REMOVE THAT  SOIL

 3         AND THEN YOU HAVE TO TAKE THAT SOIL TO ANOTHER FACILITY

 4         AND BURY IT.

 5              TONY JANNETTA:  DO YOU BURY IT OR DO YOU INCINERATE

 6         IT?

 7              SANDY MYERS:  THAT'S A QUESTION THAT WOULD BE

 8         ANSWERED IN THE FEASIBILITY STUDY WHERE WE GO IN  AND

 9         LOOK AT DIFFERENT ALTERNATIVES.

10              TONY JANNETTA:  ISN'T THERE TECHNOLOGY THAT  IF

11         YOU'VE GOT CONTAMINATED SOIL, WE DON'T KNOW IT, YOU

12  '       CAN'T OBLIGATE WHAT METHOD WOULD BE USED?

13              SANDY MYERS:  YES.  THERE .ARE ALTERNATIVES TO  CLEAN

14         UP CONTAMINATED SOIL.

15              TONY JANNETTA:  w£ HAD A SCHOOL HERE THAT HAD

16         BURIED TANKS, AND THE SOIL WAS DUG UP AND INCINERATED

17         AND BROUGHT IT BACK TO LIFE WHERE YOU COULD REUSE IT

18         AGAIN.  SO I'M SURE TECHNOLOGY IS THERE.

19              SANDY MYERS:  YES.  THERE ARE OPTIONS.  THERE  ARE

20         TECHNOLOGIES AVAILABLE TO CLEAN UP CONTAMINATED SOIL.

21              TONY JANNETTA:  IT SOUNDS LIKE TO ME YOU'RE  LEAVING

22         SOMETHING UNDONE.

23              JERRY COLLINS:  IT SOUNDS TO ME LIKE THERE'S A

24         LITTLE BIT OF LET'S GET THIS SMOOTHED OVER, LET'S GET IT

25         OUT OF THE WAY HERE.  LET'S LET THESE PEOPLE THINK  THAT
                             DALLAS REPORTING
                           Certified court Reporters
                           .Roc* Bill, south Carolina
                               (803) 328-9640

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                                                        68

EVERYTHING'S BEING TAKEN CARE OF.

     SANDY MYERS:  I CERTAINLY RESPECT YOUR  OPINION.

     JERRY COLLINS:  THE SOIL IS A PRIMARY CONCERN,

ISSUE.  SURE YOU WANT THAT WATER CLEANED UP,  BUT WHAT'S

CAUSING THAT WATER.  IT'S THE CHEMICAL THAT  IS  STILL

LEFT IN THAT SOIL.

     TONY JANNETTA:  IT'S A SPONGE, THE SOIL.

     JERRY COLLINS:  YOU CAN THINK OF IT 	

     BILL RUTLEDGE:  I'M BILL RUTLEDGE, AND  I'D JUST

LIKE TO SAY A COUPLE OF THINGS, MAYBE IT WILL HELP.

SOME OF THESE FOLKS HAVE A BETTER UNDERSTANDING.  PART

OF THEIR CONCERN I THINK IS CAUSED BY LACK OF KNOWLEDGE

AND UNDERSTANDING AT JUST WHAT HAS BEEN DONE  AND WHAT'S

PLANNED FOR THE FUTURE.  A LOT OF TESTING OF  SOIL

FOLLOWED THE REMOVAL OF THE LIQUIDS ON SITE,  AND SOIL

HAS BEEN REMOVED.  AND WHAT HAS BEEN DONE IS  EXACTLY

WHAT THE GENTLEMAN SAID WHY WOULDN'T IT BE DONE, AND

THAT IS TESTING AND REMOVAL OF SOME SOIL, EXTENSIVE

TESTING OF THE SITE BEHIND THE BANK BUILDING THAT YOU

HAVE CUT OUT THERE.  THERE'S TWO SEPARATE SITES FOR THE

BANK, IF I MIGHT JUST ADDRESS THAT IN A POSITIVE WAY,

WAS NEVER OWNED OR CONTROLLED IN ANY WAY BY  THE CHEMICAL

COMPANY.  THE FRONT SITE THAT'S ON THE HIGHWAY, THE SITE

BEHIND IT WAS A LOW	AND IT WAS USED AS A  FILL OF

CONSTRUCTION MATERIAL ABOUT FOUR OR FIVE DRUMS  OF STILL
                             DALLAS REPORTING
                          certified Court Reporters
                          Roc* Sill, south Carolina
                               (803) 328-9640

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 1         BOTTOMS, WHICH WAS PAIBTS OR DYES, GOT OVER THERS AND

 2         THEY PROBABLY HAD TEN OR FIFTEEN GALLONS OF DRIED - - -

 3         IF YOU'VE EVER HAD AN OLD PAINT CAN AND IT DRIED  OUT,

 4         YOU KNOW WHAT I'M TAKING ABOUT, WHAT'S LEFT AFTER ALL

 5         THE SOLVENTS AND LIQUIDS HAVE DISSIPATED.  AND THAT'S

 6         EXACTLY WHAT WAS BEHIND WHAT IS NOW THE VACANT BANK

 7         BUILDING.  IT WASN'T BURIED THERE AS A DUMP.  I DON'T

 8         LIKE THAT MIDNIGHT DUMPING.  I SAY THAT IN HUMOR  BECAUSE

 9         I KNOW WHAT YOU'RE TALKING ABOUT.  IT WAS JUST ONE OF

10         THOSE THINGS.  I WAS IN THE CONSTRUCTION BUSINESS.   WE

11         WERE DUMPING ASPHALT BACK THERE.  WE WERE DUMPING ROCKS.

12  '       WE WERE DUMPING SAND, DIRT, AND WHATNOT, AND THAT'S ALL

13         THAT GOT BACK THERE.  THAT WAS NOT FOUND WHEN THEY DUG

14         THE FOUNDATIONS.  LAW ENGINEERING WENT BACK IS THERE TO

15         DO SOME SITE STUDIES WITH DRILLING EQUIPMENT.  THESE

16         DRUMS WERE FOUND, SOME OF THEM, AND THEY WERE IN

17         DIFFERENT LOCATIONS.  THEY WEREN'T CONCENTRATED.   SO THE

18         BANK DECIDED JUST TO GO IN THERE AND STRIP THE WHOLE

19         SITE.  THEY STRIPPED THAT WHOLE SITE, TOOK THE DIRT OUT,

20         HAULED PART OF IT TO THE FILL DOWNSTATE AND PART  OF IT

21         TO THE COUNTY LANDFILL.  AND THEY HAULED IN RED CLAY ON

22         THAT SITE.  THEY DID EXTENSIVE SOIL TESTING TO DETERMINE

23         AT WHAT LEVEL THEY QUIT EXCAVATING.  AND EPA AND  DHEC

24         WERE ON SITE.  IT WAS iiONITORED.  I THOUGHT THEY  DID AN

25         AWFUL LOT MYSELF, AND ALSO ON THE SITE NEXT DOOR  WE DID
                             DALLAS REPORTING
                           Certified court Reporters
                           Rock Bill, south Carolina
                               (803) 328-9640

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                                                                  70

 1         THE SAME THING.  WE EXCAVATED AND HAULED OUT.   SO  THERE


 2         HAS TO BE SOME BOUNDARY SOMEWHERE.  SO A LOT OF TIME,

 3         MONEY, AND EFFORT HAS BEEN PUT FORTH TO GET IT  TO  THE

 4         POINT THAT IT IS.  THERE'S NO WAY ANY SOIL, IF  YOU JUST

 5         GO ON ANY SOIL ALMOST YOU FIND IN ANYWHERE, THERE  ARE

 6         SOME LEVELS OF CONTAMINATION.  SOME OF THEM ARE METALS.

 7         WE FIND SILVER, MANGANESE, IRON IN SOILS.  AND  SOME OF

 8         THEM ARE AT A	 YOU HAVE TO SAY THERE'S AN

 9         ACCEPTABLE LEVEL.  YOU CAN'T GUARANTEE ANYTHING AND

10         EVERYTHING.  WHEN WE WALK OUT OF HERE TONIGHT,  THE ROADS

11         HAVE BEEN PROVIDED FOR OUR SAFETY, THE STOP SIGNS,  THE

12         HIGHWAY PATROL; BUT IT DOESN'T GUARANTEE ME SAFE PASSAGE

13         HOME.  I MAY BE KILLED BEFORE I GET THERE.  SO  YOU CAN'T

14         JUST - - - YOU CAN'T GO TO CHINA TO GET RID OF  THE

15         CONTAMINATED SOIL.

16              JERRY COLLINS:  YOU'RE MR. RUTLEDGE?

17              BILL RUTLEDGE:  YOU NEED TO ADDRESS THEM IF YOU

18         HAVE A QUESTION.

19              JERRY COLLINS:  IS THIS MR. RUTLEDGE HERE?

20              BILL RUTLEDGE:  I AM BILL RUTLEDGE.

21              JERRY COLLINS:  DO YOU OWN THIS PROPERTY?

22              BILL RUTLEDGE:  TH£ CORPORATION OWNS THE PROPERTY.

23         I DON'T.


24              JERRY COLLINS:  DO YOU OWN THE CORPORATION?

25              SANDY MYERS:  LET'S NOT GET INTO A DEBATE	
                             DALLAS REPORTING
                          Certified court Reporters
                          Rock Hill,  south Carolina
                               (803) 328-9640

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                                                                  71

 1              JERRY COLLINS:   WHAT I'M GETTING AT, IT SOUNDS VERY

 2         CONVINCING,  BUT I  BELIEVE THIS MAN OWNS THIS PROPERTY.

 3         AND  THAT FROM WHAT I'VE  READ IS MR. RUTLEDGE AND THE TEN

 4         OTHER COMPANIES THAT ARE RESPONSIBLE FOR DELIVERING THE

 5         CHEMICALS EVEN THOUGH THEY DIDN'T DUMP THE CHEMICALS ON

 6         SITE,  THEY'RE RESPONSIBLE FOR THE CLEANUP COSTS BECAUSE

 7         THEY HAVE CONTRIBUTED TO - - - LIKE ONE OF THEM IS

 8         CELANESE, I BELIEVE.  CELANESE HERE IN ROCK HILL WAS

 9         PART OF ONE OF THOSE TEN COMPANIES THAT DELIVERED

10         CHEMICALS TO THEM.  SO HIS STORY SOUNDS VERY GOOD, BUT

11         FROM WHAT I UNDERSTAND HE OWNS THIS PROPERTY OR HAS

12         SOMETHING TO DO WITH IT  STILL AND HE IS ALSO HAVING TO

13         PAY  FOR THIS CLEANUP. SO DON'T JUST BE FOOLED.

14              SANDY MYERS:   ARE THERE ANY OTHER QUESTIONS OR

15         CONCERNS?

16              TONY JANNETTA:   THE DIFFERENCE IN PRICE BETWEEN AN

1.7         ON SITE CLEANING AND USING THE CITY'S FACILITIES, WHAT

18         WAS  THAT DETERMINATION?

19              SANDY MYERS:   IT'S  ROUGHLY HALF.  TREATING ON SITE

20         WAS  ABOUT IN THE NEIGHBORHOOD OF FOUR MILLION DOLLARS

21         AND  DIRECT DISCHARGE WAS ABOUT TWO MILLION DOLLARS.

22              TONY JANNETTA:   YOU KNOW, THE CITY HAS A NEW POLICY

23         NOW.  BACK THEN WHEN THEY DID IT, WHEN THE CHEMICAL

24         COMPANIES WERE AROUND, THEY DID IT THEIR WAY.  THE

25         CITIES DID NOT HAVE THE  REGULATIONS THAT THEY HAVE NOW.
                             DALLAS REPORTING
                          Certified court Reporters
                          Rock Hill, south Carolina
                               (803) 32B-964O

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                                                                  72

 1        THE REGULATIONS  ARE CHANGING AS OF TODAY, DAY TO DAY.

 2        CHEMICAL  COMPANIES  NOW HAVE TO TREAT THEIR WASTE TO AN

 3        ACCEPTABLE  CITY  STANDARDS,  STATE STANDARDS, BEFORE IT'S

 4        DUMPED  INTO THE  CITY'S SEWER SYSTEM.  THIS IS WHERE I GO

 5        BACK  IF YOU TREAT IT ON SITE TO AN ACCEPTABLE LEVEL ,

 6        PRIOR TO  DUMPING IT IW THE  CITY SEWER SYSTEM THAT'S NOW

 7        BEING USED  THAT  IS  NOW BEING ADDRESSED TO OTHER

 8        COMPANIES THAT ARE  ESTABLISHING HERE IN ROCK HILL, THAT

 9        WOULD PROVIDE OUR SAFEGUARD IN ADDITION TO THE CITY'S

10        TREATMENT SYSTEM.

11              SANDY  MYERS:  I APPRECIATE YOUR COMMENT.  ARE THERE

12  '      ANY OTHER QUESTIONS?

13              JERRY  COLLINS:  I HAVE JUST ONE QUESTION RELATED TO

14        WHAT  I  SAID ABOUT THE TEN COMPANIES THAT ARE GOING TO BE

15        RESPONSIBLE FOR  CLEANING UP.  HOW COME THIS HAS NOT BEEN

16        BROUGHT UP  AS FAR AS WHO IS PAYING FOR THIS?  IT'S NOT

17        THE CITY  OF ROCK HILL THAT'S GOING TO PAY FOR THIS?

18              MARK DAVIS: NO.  IT IS NOT.  THE PARTIES

19        RESPONSIBLE FOR  THE CONTAMINATION WILL PAY FOR ALL THE

20        COSTS,  ALL  THE PAST COSTS,  ALL THE FUTURE COSTS.

21              JERRY  COLLINS:  HE WILL?

22              MARK DAVIS: ALL THE PARTIES RESPONSIBLE.

23              JERRY  COLLINS:  WHO ARE THOSE PARTIES?

24              MARK DAVIS: I THINK YOU MENTIONED TEN OF THOSE

25        -  - - TEN COMPANIES THAT YOU KNEW OF.
                            DALLAS  REPORTING
                          Certified court Reporters
                          Rock Bill,  south Carolina
                               (803)  328-9640

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                                                                  73

 1              JERRY COLLINS:  IS BILL RUTLEDGE ONE OF THESE

 2         PARTIES?

 3              MARK DAVIS:  WE HAVE NOT FILED A LAWSUIT AS OF YET

 4         SO I CAN'T NAME WHO.  WE'RE GOING TO GO AFTER EVERYBODY

 5         WHO WE CAN WHO WE CAN RECOVER MONEY FROM.

 6              JERRY COLLINS:  DID THE COMPANY, I  WANT TO SAY

 7         BILL RUTLEDGE'S COMPANY, DID THEY ILLEGALLY DUMP THIS

 8         CHEMICAL ON THE LOCATION WHERE THE BANK IS AT?

 9              MARK DAVIS:  NO.

10              JERRY COLLINS:  THEY DO NOT OWN THAT PROPERTY SO

11         THEY WERE DUMPING IT, SOMEBODY WAS DUMPING IT ILLEGALLY  J
                                                                    I
12         IF THEY DIDN'T OWN IT.                                   ;

13              MARK DAVIS:  YOU HAVE TO UNDERSTAND WHEN THIS       ;

14         COMPANY WENT OUT OF BUSINESS BACK IN 1964, SUPERFUND LAW

15         WAS NOT ENACTED UNTIL i$80.  AND AT THE TIME THEY DI2

16         THE DUMPING, THERE WAS NO SUCH THING AS ILLEGAL DUMPING;

17         THEY JUST DID WHAT WAS COMMON BUSINESS PRACTICE AT THE

18         TIME SO THERE WAS NO ILLEGAL DUMPING THAT WAS GOING CM.

19         THERE ARE COMPANIES AND THERE ARE PARTIES OUT THERE WHO

20         ARE RESPONSIBLE FOR THE CONTAMINATION OF IT.

21              JERRY COLLINS:  IS THIS GENTLEMAN ONE OF THEM?

22              MARK DAVIS:  HE IS THE CURRENT OWNER OF THE

23         PROPERTY UNDER THE SUPERFUND LAW - - - "

24              LARRY CRUMP:  YOU KNOW IT DOESN'T REALLY MATTES  I?

25         MR. RUTLEDGE IS RESPONSIBLE FOR THIS OR NOT.  WE'RE NOT
                             DALLAS REPORTING
                           certified Court Reporters
                           Rock Hill, south Carolina
                               (803) 328-964O

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                                                                  74

 1         HERE TONIGHT OVER WHO IS TO ARGUE WHO IS RESPONSIBLE.


 2         WE'RE TRYING TO CLEAN IT UP.  THIRTY YEARS AGO  H2  HAD  NO


 3         KNOWLEDGE OF WHAT COULD BECOME OF CHEMICALS BEING  DUMPED


 4         IN THE GROUND.   THIS IS 1994.  LET'S KEEP THE SUBJECT  IN


 5         1994.

 6              JERRY COLLINS:  WHY IS THIS MAN HERE?  WHY IS THIS


 7         MAN HERE?

 8              LARRY CRUMP:  BECAUSE HE CARES EVIDENTLY.   I  HAVE


 9         THE GREATEST RESPECT AND ADMIRATION FOR HIM BEING  HERE

10         TONIGHT.


11              JERRY COLLINS:  HE'S JUST PAINTING A PRETTY PICTURE


12         FOR EVERYBODY.


13              LARRY CRUMP:  WELL, I DON'T THINK HE'S THAT WAY.


14              BERNIE HAYES:  WELL GENTLEMEN, THANKS.  THOSE

15         COMMENTS ARE WELL TAKEw ON BOTH SIDES SO LET'S  NOT FX1L


16         INTO A DEBATING SOCIETY HERE.


17              SANDY MYERS:  WE CERTAINLY DON'T WANT TO HAVE A


18         DEBATE BETWEEN  THE DIFFERENT - - - IF THERE ARE NO CTHEH


19         QUESTIONS, THEN THIS MEETING IS ADJOURNED.  I APPRECIATE


20         YOUR ATTENDANCE AND YOUR INTEREST.


                WHEREUPON, THE MEETING WAS ADJOURNED AT 8:50  ?.-'•.
                               KATHY STANFORD, CVR-CM
                               COURT REPORTER


      (RECORDED TAPES RETAINED FOR FIFTEEN DAYS FROM DATE OF
      CERTIFICATION UNLESS OTHERWISE REQUESTED)	


                             DALLAS REPORTING
                          Certified court Reporters
                          Rock Hill,  south Carolina
                               (803) 328-9640

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                APPENDIX B








STATE OF SOUTH CAROLINA CONCURRENCE LETTER



     RUTLEDGE PROPERTY SUPERFUND SITE

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      South Carolina
                          Commissioner Douglas E Bryant

                          Board: Richard E. Jabbour. DOS, Chairman
                              Robert J. Stripling, Jr., Vice Chairman
                              Sandra J. Molander. Secretary

                          Promoting Health, Protecting the Environment


                           June  14,  1994
William EApplegate. Ill,
John H. Burriss
Tony Graham. Jr.. MO
John B. Pate, MD
DHEC
Department of Health and Environmental Control
2600 Bull Street Columbia, SC 29201
John H.  Hankinson, Jr.
Regional Administrator
U.S. EPA,  Region IV
345 Courtland Street
Atlanta,  GA 30365
RE:  Rutledge Property - Record  of  Decision
Dear Mr.  Hankinson:

The Department has reviewed  the revised Record  of Decision  (ROD)
dated June  2,  1994  for the Rutledge Property site and concurs with
the ROD. In concurring with this ROD, the South Carolina Department
of Health and  Environmental Control  (SCDHEC)  does  not waive  any
right or  authority it may have under  federal or state law. SCDHEC
reserves  any  right and authority it may have to require corrective
action  in  accordance  with  the  South Carolina Hazardous  Waste
Management  Act and the South Carolina Pollution Control Act.  These
rights  include, but are  not  limited to, the right to ensure that
all necessary permits  are obtained, all clean-up goals and criteria
ar*e met,  and to take a separate action in the event clean-up  goals
and criteria are not met. Nothing in the concurrence shall preclude
SCDHEC  from  exercising  any  administrative,  legal  and equitable
remedies  available to  require  additional response actions in  the
event  that:  (l)(a) previously  unknown  or undetected  conditions
arise at  the  site, or (b)  SCDHEC receives  additional information
not previously available concerning the premises upon which SCDHEC
relied  in concurring  with  the  selected remedial alternative;  and
(2) the implementation of the remedial alternative selected in the
ROD is  no longer  protective of public  health and the environment.

The  State  concurs with  the   selected  groundwater  remediation
alternative of extraction and direct discharge to the local  POTW.
The State also concurs with the additional investigative work  to be
completed  during  the  Remedial  Design   phase.  This  includes:
determining the relationship between the contamination detected in
the private wells  and the contamination  detected  in  the  on-site
monitoring  wells,  collecting additional  background  surface  soil
samples to confirm that the variance  in manganese  is  consistent
with the  environmental setting, and collecting additional  surface
water and sediment  samples to determine if the selected background
sample  is  representative of true background conditions.
                                recycled paper

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Page 2
Mr. John H. Hankinson, Jr.
Rutledge Property - ROD
June 14, 1994


State concurrence  on this remedial  alternative is  based  on the
alternative meeting all applicable clean-up criteria. Concurrence
is also contingent upon the results of the additional investigative
work to be  completed during the Remedial Design phase. Depending on
the  results  of  the   investigative  work,   an  Explanation  of
Significant Differences (ESD) and/or ROD Amendment may be required.
An ESD and/or ROD Amendment would reguire State concurrence.
                                   Sincerely,
                                   R.  Lewis Shaw, P.E.
                                   Deputy Commissioner
                                   Environmental Quality Control
cc:  Hartsill Truesdale
   "  Keith Lindler
  *  Gary Stewart
     Richard Haynes
     Billy Britton
     Al Williams, Catawba EQC

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