United St?»es Office of Environmental Protection ' Emergency and Agency . Remedial Response EPA/ROD/R03-90/100 September 1990 EPA Superfund Record of Decision Raymark, PA ------- 50272-101 REPORT DOCUMENTATION 11. REPORTNO. 12. . PAGE EPA/ROD/R03~90/100 3. Recipienh Acceulon No. 4. TIlle 8nd Sl.t»tltIe SUPERFUND RECORD OF DECISION Raymark, PA First Remedial Action 7. Aulhor(e) 5. Report Date 09/28/90 6. 8. "-'forming Organlzetlon Rept. No. I. Pwformlng Org8InIze1Ion Name and Add.... 10.' l'tojectlTuklWorIt UnIt No. 11. ConIract(C) or Gr8nt(G) No. (C) (G) 12. 8pon8orIng Org8JUatlon Name and Addreu U.S. Environmental Protection 401 M Street, S.W. Washington, D.C. 20460 13. Type of Report . PerIod Cowrec:l Agency . 800/000 14. 15. Supplementary No.. 16. Ab81rac:t(Umlt:200_rde) The 7-acre Raymark site .is an active metal manufacturing and electroplating plant in the Borough of Hatboro, Montgomery County, Pennsylvania. The site is in an industrial area and is approximately 100 feet from the nearest residence. The nearest surface water is Pennypack Creek, which flows 4,000 feet southwest of the site. As part of the rivet manufacturing process at the plant, VOCs, including 30 to 40 gallons of TCE, were used iaily at the site to clean and degrease metal parts. In 1979, when EPA discovered TCE in the Hatboro public water supply wells, the Hatboro Borough Water Authority removed these wells from operation, and supplemented .the water supply using an interconnection with a neighboring water company. Further EPA site investigations from 1980 to 1987 identified TCE in soil and other wells onsite and adjacent to the property and seem to indicate that contaminants from the site may have been at least a contributing source of contamination in the downgradient public water supply wells. Other chemical contaminants identified in samples from the public water supply wells, including TCA, did not seem to originate at the site, thus indicating several distinct sources for this contamination. In 1987, the site owners agreed to install ground water treatment units with air stripping towers, and, as necessary, air emission control uni~s, at two Hatboro (See Attached Page) 17. Doa8MntAn8ly8la .. DMcrIpIo.. Record of Decision - Rayroark, PA First Remedial Action Contaminated Medium: gw. Key Contaminants: VOCs (TCE, PCE) . b. Iden1IIIer8ICpen.EndId T- Co COSA 11 FI8IdIGroup 18. AVlllIabIIty St8I8ment 11. Sec:urIty CI- (thill Report) None 20. Sec:urIty CI- (1hIe Page) }Jnn~ 21. No. of Pagee 170 22. PI'Iat I (See A~Z38.18) See m.trucfI- on "-- (Formerly NT1S-35) Department of Co- ------- EPA/ROD/R03-90/100 Raymark, PA First Remedial Action d Abstract (Continued) " public supply wells to return these to routine operation. This Record of Decision (ROD) addresses contaminat~d drinking water and ground water, which are referred to as Operable Units 2 and 3 (OU2 & OU3), respectively. The soil/source contamination (OU1), " will be addressed in a subsequent ROD. The primary contaminants of concern affecting th~ ground water are VOCs including TCE and PCE. The selected remedial action for this site includes continuing the operation and maintenance of the Hatboro public supply and the existing air stripping towers at the wells and the installation of new vapor phase carbon adsorption units; completing a ground water remedial design study to determine the number, location, and construction of new extraction wells with corresponding installation and implementation; onsite pumping and treatment of ground water with air stripping and vapor phase carbon adsorption units with onsite discharge to Pennypack Creek; and implementing institutional controls. The estimated present worth cost for this remedial action is $2,700,000, which includes an annual O&M cost of $125,000. '. PERFORMANCE STANDARDS OR GOALS: The ground water will be remediated until contaminant levels reach SDWA MCLs, non-zero MCLGs, or background levels, whichever are more restrictive. The residual excess cancer risk resulting from site-related contamination will be reduced to a 10-6 level and non-carcinogenic levels will be reduced to a Hazard. Index = 1. Chemical-specific standards for ground water include TCE 5 ug/l (MCL) and PCE 5 ug/l (proposed MCL). Additional still-undefined, aquifer contamination at the site may ma~e it technically impracticable to attain these levels, and if so, an ARAR ~aiver will be enacted and the ROD amended. ~ ------- DECLARATION FOR THE RECORD OF DECISION . . SITE NAME AND LOCATION Raymark site Hatboro Borough, Montgomery County, Pennsylvania Operable Units 2 and 3 STATEMENT OF BASIS AND PURPOSE This Record of Decision (ROD) presents the selected remedial action for Operable units 2 and 3 for the Raymark Site (Site), chosen in accordance with the requirements of the Comprehensive Environmental Response, Compensation and Liability Act of 1980 (CERCLA), as amended, and to the extent practicable, the National Oil and Hazardous Substances Pollution Contingency Plan (NCP). This action is based on the Administrative Record. file for the Site. '. The Commonwealth of Pennsylvania concurs with the selected remedy. A copy of the letter of concurrence is. contained within Appendix E of this ROD~ . ASSESSMENT OF THE SITE Pursuant to duly delegated authority, I hereby determine, pursuant to Section 106 of CERCLA, 42 U.S.C. 9 9606, that actual or threatened releases of hazardous substances from this Site, as discussed. in "Summary of Site Risks", Section VI, if not addressed by implementing the response actions selected in this ROD, may present an imminent and substantial endangerment to public health, welfare, or the environment. DESCRIPTION OF THE REMEDY Operable units 2 and 3 are the second and third of three operable units for the Site. Operable Units 2 and 3 address contaminated drinking water and ground water which are the principal threats posed by the site. The selected remedy provides clean drinking water for the public and protection from further site-related ground water contamination. Operable Unit 1 will address the area of soil co~tam~nation at the Site. The major components of the selected remedy include: 1. Completion of a ground water remedial design study to determine the most efficient design of a ground water extraction and treatment system. . 2. continued operation and maintenance of publie water supply wells by the Hatboro Borough Water Authority. ------- 3. 4. 5. 6. 7. 8. 9. 10. continued operation and maintenance of air' 'stripping towers installed at contaminated public water supply wells by the Hatboro Borough Water Authority. Installation, operation, and maintenance of vapor phase carbon adsorption units at public water supply wells equipped with air stripping towers. Installation, operatiQn, and maintenance of onsite ground water extraction wells to remove contaminated ground water from beneath the Site and to prevent contaminants from migrating offsite. Installation, operation, and maintenance of air stripping treatment at onsite ground water extraction wells to treat ground water to required levels. . Installation, operation, and maintenance ,of vapor phase carbon adsorption units on onsite air stripping towers. Construction, operation, and maintenance of a pipeline from the onsite ground water treatment plant to the storm sewer system to discharge treated ground water into the storm sewer system and then offsite to the Pennypack Creek. Periodic sampling of ground water and treated water to ensure treatment components are effective and ground water remediation is progressing towards the cleanup goals. ' Institutional controls to ensure that the Hatboro Water Authority continues to operate public water supply wells equipped with treatment systems. ' STATUTORY DETERMINATIONS This action is protective of human health and the environment and complies with Federal and State requirements applicable or relevant and appropriate to this action~ A waiver may be considered for certain Federal and State applicable or relevant and appropriate requirements that may not be met. In addition, this action is cost-effective. It employs permanent solutions to the maximum extent practicable and satisfies the statutory preference for remedies that e~ploy.treatment that reduces toxicity, mobility, or volume as a principal element. . . ------- Because the sele~ted remedy addresses contamination related only to the Raymark Site, the cleanup goals may not be me~ within the entire aquifer beneath Hatboro since other sources of contamination to groun~ water beneath Hatboro have been identified. ,The Commonwealth of Pennsylvania requires that contaminated 'ground water be remediated to background levels pursuant to 25 PA Code section 264.90 through 264.100. If implementation of the selected remedy demonstrates 'in corroboration with hydrogeological and chemical evidence that it will be technically impracticab~ to achieve and maintain the remediaton goals throughout the area of attainment, the EPA, in consultation with the Commonwealth of Pennsylvania, intends to amend the ROD or issue an Explanation of Significant Differences to inform the Public of alternative ground water goals. '. Because this remedy does not address the source of contamination, hazardous substances would remain onsite. A five-year review, required by section 121(c) of CERCLA, 42 U.S.C Section 9621(c), will be conducted to ensure that the selected remedy continues to provide adequate protection of human health and the environment. A five-year review will apply to this action at least until hazardous substances no longer remain onsite above health-based levels. . " ~~6' Edwin B. Erickson Regional Administrator Region III SEP 281990 Date ------- SECTION A. B. I. II. III. IV. V. VI. VII. VIII. IX. X. Table of Contents for the Decision Summary INTRODUCTION . . . . . . . . . . . . . . . . . . . . . . . . . . . . PAGE 1 3 5 8 17 21 25 32 45 60 73 77 APPENDIX A - RESPONSIVENESS SUMMARY APPENDIX B - ADMINISTRATIVE RECORD INDEX APPENDIX C -'SUMMARY OF ANALYTICAL DATA FOR onsite WELL PF-1 AND R-SERIES WELLS APPENDIX D - SUMMARY OF ANALYTICAL DATA FOR HATBORO PUBLIC SUPPLY WELLS APPENDIX E - LETTER OF CONCURRENCE . DEFINITIONS . . . . . . . . . . . . . . . . . . . . . . . . . . . . . SITE NAME, LOCATION, AND DESCRIPTION SITE HISTORY AND ENFORCEMENT ACTIVITY HIGHLIGHTS OF COMMUNITY PARTICIPATION SCOPE AND ROLE OF OPERABLE UNITS 2 , 3 SUMMARY OF SITE CHARACTERISTICS . . . . . . . . . SUMMARY OF SITE RISKS . . . . . . . . . . . . . . . . . . . ALTERNATIVES . . . . . . . . . . . . . . . . . . . . . . . . . . . . COMPARATIVE ANALYSIS OF ALTERNATIVES SELECTED REMEDY . . . . . . . . . . . . . . . . . . . . . . . . . STATUTORY DETERMINATIONS FOR THE SELECTED REMEDY . . . . . . . . . . . . . . . . . . . . . . . . . .' ------- List of Figures 1. site Location Map 2. Site Map 3. Public Supply Well Locations 4. Monitoring Well Locations 5. Extent of Ground Water contamination 6. Water Level Hydrograph for Well PF-1 7. 'Geologic Cross section List of Tables statistical Summary of Analytical Data Remedial Response Objectives Results of Packer Testing at Well PF-1 Contaminants of Concern in Ground Water Summary of Exposure Pathways Exposure Assessment Assumptions Cancer Potency Factor (CPFs) and Reference Doses (RfDs) for contaminants of Concern Off-Site No Action Scenario: Reasonable Maximum Exposure Excess Lifetime Cancer Risks Off-Site No Further Action Scenario: Reasonable Maximum Exposure Excess Lifetime Cancer Risks 10. On-site Future Action Scenario: More Probable Exposure Excess Lifetime Cancer Risks 11. On-Site Future Action Scenario: More Probable Exposure. Excess Lifetime Cancer Risks 12. On-site N~ Action Scenario: Reasonable Maximum Exposure Noncarcinogenic Exposure . 13. On-Site Future Action Scenario: Reasonable Maximum Exposure Noncarcinogenic Effects . 14. Results of Initial and Secondary Screening of Applicable Ground Water Remedial Technologies and Process Options RaYmark Focused FS 15. Descriptions of Remedial Alternatives 16.' Alternative: Off-Site Pumping with Air Stripping Treatment and Discharge to Water Supply 17. Alternative: On- and Off-Site Pumping with Air Stripping Treatment and Discharge to Water Supply and Water Supply System, Respectively 18. Alternative: On- and Off-site Pumping with Air Stripping Treatment and Re-Injection and Discharge to Water Supply, Respectively 19~ Applicable or Relevant and Appropriate Requirements (ARARs) and To-Be-Considered (TBC) Requirements 20. RaYmark Superfund Site Summary of Estimated Costs 1. 2. 3. 4. 5. 6. 7. 8. 9. ,! '. '. ------- A. INTRODUCTION The Raymark Site (Site) is located on jacksonville Road in the Borough of Hatboro, Montgomery County, Pennsylvania. The Site, which consists of approximately 7 acres of relatively flat land, is located in' an industrial area. The Borough of Hatboro (Hatboro) has a population of nearly 7600 people (U.S. Census Bureau, 1980) and the site is located approximately 100 feet from the nearest residence. The Site has been the location ~f a metal fabrication shop since 1948 and is currently operated by Penn Fasteners, Inc. Solvent containing trichloroethene (TCE), which is a hazardous substance as defined in CERCLA section 101(14) 42 U.S.C. ~ 9601(14), was historically used in the manufacturing process to clean and degrease metal parts at the site. Volatile organic compounds (VOCs), primarily TCE, have been detected by the USEPA at the Site and in several public water supply wells operated by the Hatboro Borough Water Authority. TCE was first discovered in public supply wells in 1979. The site was placed on the National Priorities List (NPL) in October 1989 making the Site eligible to receive Superfund monies for cleanup. The United States and Hatboro filed a complaint against past and current owners and operators of the Raymark site in 1985. A trial was conducted in 1987 which resulted in a settlement between USEPA, Hatboro, and several defendants. The requirements of the settlement, which include treatment at contaminated public water supply wells, are contained in a Consent Decree entered by and between USEPA, Hatboro, and several settling defendants. The Consent Decree was judicially 'entered in February 1989. To expedite remedial response at the Raymark Site and in an effort to better manage the cleanup of the Site, USEPA divided response actions into operable un~ts. The operable units are: 1. Operable Unit 1 (OU1) - Soil/Source Control 2. Operable Unit 2 (OU2) - Drinking Water Supply 3. Operable unit 3 (OU3) - Ground Water This Record of Decision (ROD) addresses the response actions for OU2 and OU3. This ROD selects a remedial alternative to pump and treat contaminated-ground water at public water supply wells and from an onsite location. Typically a Remedial Investigation and Feasibility Study (RI/FS) is performed at Superfund sites to characterize the nature and extent of site-related contamination and to evaluate potential ,risks posed by a site and potential remedial alternatives. Because the Raymark Site has a long history of environmental and chemical characterization studies, an exhaustive RI for ground water was not conducted. Instead, USEPA relied upon tqe results 1 ------- of several previous investigations to identify the nature and . extent of groundwater contamination. USEPA utilized the results of the previous investigations to assess risks posed' by contaminated ground water and to develop potential remedial alternatives for contaminated ground water. USEPA believes that the results of the previous investigations adequately characterizes the extent of contaminated ground water at the site. '. Because the existing database contained information which enabled USEPA to adequately assess risks posed only by contaminated ground water and to develop remedial alternatives only for contaminated ground water, the contaminated soil and bedrock at the site will be addressed later as part of OU1. An RI/FS is currently underway to identify the extent of soil and bedrock (source) contamination at the Raymark site. In addition, pennypack Creek will also be sampled to determine if Site-related contaminants are impacting this surface water body. . ", A pilot-scale soil treatability test is currently planned to be initiated in the Fall of 1990 to evaluate the effectiveness of a potential soil and weathered bedrock treatment alternative (soil vapor extraction) for the Site. If the pilot-scale test is successful, soil vapor extraction may be implemented as a full- scale remedial alternative for the site. OU1 will address the remedial response action for the source of contamination to ground water oLce the RI/FS and treatability study is completed and a ROD for OU1 is signed by USEPA. USEPA currently anticipates completing the RI/FS and preparing. the ROD for OU1 in the Fall of 1991. To the maximum extent practicable, the remedy(ies) selected for OU1 will be consistent and compatible with the remedies selected for OU2 and OU3. USEPA believes that the remedies for OU2 and OU3 selected in this ROD are flexible. enough to accommodate any possible modifications required by the remedy to be selected for OU1. In addition, USEPA believes that components of the remedies selected for OU2 and OU3 would be necessary to efficiently address the contaminated source area, e.g., components of OU2 or OU3 would enhance remediation of the source area, if needed. For example, the remedies implemented for OU2 and OU3 would lower the water table at the Site, thus allowing the contaminants within the soil and bedrock previously saturated by ground water to be removed by the soil vapor extraction system. This decision document presents the selected remedial action for Operable Units 2 and 3 of the Raymark Site in Hatboro Borough, Montgomery County, Pennsylvania, chosen in accordance with CERCLA, as amended, and, to the extent practicable, the NCP. The Administrative Record file for this Site and comments received by USEPA during the public comment period for the Proposed Plan provide the basis for USEPA's decision. .., ~ ------- B. DEFINITIONS Hazard Ranking system (HRS) - A document which assigns a score based on the relative degree of risk posed by each site. A score of 28.5 places a site on the National Priorities List. National Priorities List (NPL) - USEPA's list established under section 105 of CERCLA, 42 U.S.C. section 9605, of the nation's top priority hazardous waste si~s that are eligible to receive federal money for response action under Superfund. Superfund or CERCLA - The Comprehensive Environmental Response, Compensation and Liability Act of 1980 (CERCLA), as amended by the Superfund Amendments and Reauthorization Act of 1986 (SARA)~ This Act established a trust fund, known as the Superfund, to investigate and clean up uncontrolled hazardous waste sites. National oil and Hazardous Substances Contingency Plan (NCP) - Contains the regulations that govern the Superfund program. The NCP is codified at 40 C.F.R. Part 300, amended at 55 Fed. Reg. 8666-8865 (March 8, 1990). . Remedial Investigation (RI) - An investigation to determine the nature and extent of contamination ata Superfund site and to develop information to support the assessment of risks posed by a site and the development of remedial alternatives. Feasibility Study (FS) - A study which identifies and develops remedial alternatives to address contamination at a Superfund site. Baseline Risk Assessment - an assessment of the risks posed by a Superfund site if no remedial action were taken. Proposed Plan - A document that predates the USEPA Record of Decision which identifies the remedial alternative preferred by EPA. EPA is required by Section 117(a) of CERCLA, 42 U.S.C. Sec~ion 9617(a), to prepare a Proposed Plan for public comment describing EPA's preferred remedial action at a Superfund site. Administrative Record file - A compilation of documents, required by section 113 of CERCLA, 42 U.S.C. Section 9613, which USEPA relied upon in its selection of a remedy. Maximum Contaminant Level (MCL) - The maximum amount of contaminant allowable in public drinking water to minimize or eliminate dangerous health effects under the provisions of the Safe Drinking Water Act, 40 C.F.R. sections 141.11 through 141.;16. " 3 ------- Applicable or Relevant and Appropriate Requirements (ARARs) - Requirements of federal and state environmental law~ which (unless a statutory waiver is appropriate) should be'met by the remedial actions selected for a Superfund site as required by Section 121 of CERCLA, 42 U.S.C. Section 9621. Cancer Risk of 1X10.6 - Chance of one (1) excess person in one million (1,000,000) people contracting cancer from their exposure to contaminants from a Superfund site. Information Repository - A loca~ion near a Superfund site which contains the documents generated by USEPA during the course of a RI/FS and response action. The information repository also contains the Administrative Record file. Part per billion (ppb) - One in one billion. By convention ppb is also expressed as ug/l (aqueous media) or ug/kg (solid media). Volatile organic Compound (VOC) - A group of organic compounds characterized by their greater tendency to change to a gaseous state at room temperature and pressure. [ I I . I I Record of Decision (ROD) - A formal decision document which discusses the selected remedial alternative for a Superfund site and describes the rationale for making that selection. Once the ROD is signed the design of the remedy can begin. Responsiveness Summary - A part of the ROD which contains a summary of public comments on the remedial alternatives for a particular site and USEPA's response to those comments. Land Disposal Restrictions (LDRs) - provisions restricting the land disposal of hazardous wastes identified under the Resource Conservation and Recovery Act (RCRA), as amended, and codified at 40 C.F.R. Part 268. , . 4 ------- I. Site Name, Location, and Description The Raymark Superfund Site (Raymark Site or Site) is "located on Jacksonville Road in Hatboro Borough, Montgomery County, Pennsylvania (Figure 1). Hatboro Borough (Hatboro) had a population of'nearly 7600 in 1980 (U.S. Census Bureau, 1980). The site is located at the perimeter of an industrial area approximately 100 feet from the nearest residence. The area surrounding the Site is zoned primarily for industrial use. However, residential area& are located within one quarter mile east, west, north and south of the Site. The Site is located on approximately 7 acres of relatively flat ground. The nearest surface water body is the Pennypack Creek which flows generally northwest to southeast through Hatboro. The Pennypack Creek is approximately 4000 feet southwest of the site (see Figure 1). A small tributary to the Pennypack Creek flows generally from north to south through Hatboro. The site is not located within the floodplain of Pennypack Creek. The . Pennypack Creek is used for recreation; several park areas are located along its banks. Several buildings of potential historical significance were identified in Hatboro, but none were on or near the site itself. No historic or archeological properties near the site are eligible for or listed on the National Register of Historic Places. The residents of Hatboro rely upon ground water within the Stockton Formation beneath the Borough for their drinking water supply. The Stockton Formation consists of interbedded sandstones, siltstones, and shales which imperfectly separate the Stockton Formation into several different aquifers. For example, at least three separate water-producing zones have been identified beneath the Raymark Site, but the fractured nature of the bedrock may allow the zones to be connected. The public water supply is operated by the Hatboro Borough Water Authority which currently pumps ground water from 12 large capacity wells. The Authority ,owns 16 supply wells which are identified on Figure 3 in section II, "Site History and Enforcement Activity", of this ROD. The Stockton Formation is one of the most important aquifers in southeastern Pennsylvania. The Formation contains the water supply for more than 920,000 residents. The site consists of a manufacturing building, which also contains office space, and a waste water treatment building, which was historically used to treat electroplating wastes. A metal cleaningjdegreasing operation is located in the rear (east) section of the manufacturing building and a solvent storage tank was historically located immediately outside this area. A septic tank is located near the waste water treatment building. Four small lagoons were located in the rear of the property, but were removed in the early 1970's (Figure 2). 5 ------- PENNSYLVANIA 7.5 MINUTE SERIES (TOPOGRAPHIC) I 1 MlU 1000 1000 2000 3000 «000 MOO MOO 7000 r- QUADRANGLE LOCATION Figure 1. SITE LOCATION MAP N ------- JAOCSONVLL.E . ROAD \ AVENUE @ 5TORM SEWE~ FIGURE 2 SITE MAP "\ WOOD STREET UNPAVED = ANGLE BORINGS = STRA I GHT BOR: " ~ S ------- '1- -- II. site History 'and Enforcement Activity " Metal fabrication operations, including rivet manufacturing and electroplating, began at the site in 1948. The Milford Rivet & Machine Company, under two separate ownerships, operated the facility from 1948 to 1969 (Milford I) and from 1969 to 1980 (Milford II). In 1982, the Milford Rivet & Machine Company (Milford II) currently operating the Site, merged with RMFPC, which changed its name to Raymark Formed Products, Inc. Previously, Milford I had merge~ with Raybestos-Manhattan, Inc., which then merged into Raymark Industries, Inc. in June 1982. Raymark entities ceased operations at the Site in 1980 when the facility was sold to Penn Fasteners, Inc. which is the current operator of the manufacturing facility on the site. The Site, however, is called the Raymark site. Manufacturing operations included the use of a degreasing unit which utilized TCE to clean metal parts during the rivet manufacturing process. After TCE and other volatile organic compounds (VOCs) were discovered in public water supply wells in 1979, USEPA sent Toxic Substances Control Act (TSCA) subpoenas to local industries requesting information on their use of TCE. In response to the TSCA subpoena and on November 27, 1979, the then current operator of the Raymark Site, Milford II, stated that it used 30 to 40 gallons of TCE per day~ " " '. A series of environmental samples collected in late 1979 and 1980 by USEPA, the Pennsylvania Department of Environmental Resources (PADER), and Hatboro revealed the presence of TCE and several other VOCs in 8 of 16 public supply wells pumping in 1979. TCE was detected in Hatboro wells H1, H2, H3, H7, H12, H14, H16, and H17 (Figure 3). Subsequent to the discovery of TCE and other VOCs in the public supply wells, Hatboro Borough Water Authority removed the affected wells from routine operation and began to supplement its water needs from an interconnection with a neighboring water company. USEPA installed a monitoring well (identified as PF-1) on the Raymark Site in 1981 as part of an effort to investigate regional ground water contamination (refer to Figure 2). Ground water samples collected from this well contained high concentrations of TCE. The highest concentration of TCE detected in well PF-1 was 19,900 ug/l. A pump test was conducted on well PF-1 in test, ground water samples were collected discharge. USEPA detected 37,000 ug/l of the pumping began and over 4000 ug/l from after pumping began. 19.82 . Dur ing the pu1!'P from the pump TCE in well PF-1 before most samples collected In 1983, USEPA sampled well PF-1 and detected 7600 ug/l'of TCE. " 8 ------- v . yj I__ PENNSYLVANIA 7.5 MINUTE SERIES (TOPOGRAPHIC) SCALE 1.24000 o 1000 1000 2000 3000 4QOQ MOO MOO OL*DR»NGLE LOCATION FIGURE 3 HATBORO PUBLIC SUPPLY WELL LOCATIONS IN ------- In June 1983, USEPA conducted a Site Investigation for the Raymark Site. The information collected was used to determine the relative hazards posed by the Site, e.g., the type of contaminants and routes of contaminant migration, in a subsequent Hazard Ranking System (HRS) report. The HRS, completed in July 1983, calculated a score which portrayed the relative risks posed by the Site according to available information. The Raymark site scored 26.08 in 1983. In the Fall of 1984, USEPA installed an additional 5 monitoring wells (R-series) along the Southeastern Pennsylvania Transportation Authority (SEPTA) railroad tracks located west of the site (see Figure 4). These wells, well PF-1, and other nearby monitoring wells or abandoned water supply wells, e.g., well MS-10 which is an abandoned water supply well located immediately north of the Raymark Site, were sampled in October. 1984. High levels of TCE were detected in each well. In March 1985, USEPA prepared a Focused Feasibility Study (FFS).', Potential remedial alternatives for contaminated ground water at the Raymark Site were developed and evaluated in the FFS. The FFS was based upon data collected in October 1984 and previously collected data. The wells sampled in October 1984 were sampled again in November 1985. Again, high levels of TCE were detected in the wells. " Each time the monitoring wells on or near the Site were sampled, high concentrations of TCE were detected in the wells. Other VOCs, e.g., cis 1,2-dichloroethene (cis 1,2-DCE), which are degradation products of TCE and hazardous substances as defined" in CERCLA, were detected in the R-series wells and other wells, but were detected infrequently in well PF-1. In addition, contaminants, which are most likely unrelated to the Raymark Site, e.g., 1,1,1-trichloroethane (TCA)~ have been identified in monitoring wells located offsite. The information obtained by USEPA by 1985 was sufficient for the United States to file a CERCLA and RCRA complaint against Raymark Industries, Inc., et. al., in accordance with Sections 104, 106, and 107 of CERCLA, 42 U.S.C. Sections 9604, 9606, and 9607, and section 7003 of RCRA, 42 U.S.C. Section 6973. The complaint was filed by the United states Department of Justice (USDOJ) on behalf of USEPA and requested reimbursement of USEPA's costs, injunctive relief, and declaratory relief for future remedial action and an "e"xtent of contamination" survey. In May 1986, a new HRS score was calculated for the Raymark Site. The new HRS used information collected since the 1983 HRS score was calculated, e.g., revised population estimates and new contaminant types and concentrations detected in the soil and ground water. The 1986 HRS score was 53.47. 10 ------- @' ~"'....~ ~ ~ ~+ 6 ~.I' I '. ~ '. r ~a ~ ..T.... . HATIOIIO W[LLS . MOtUTOIt\W" \Heu..:. FIGCRE 4 LOCATION MA~'" "AYIIIIMK IITI. NAT8CIIO _LLI AM) 'MItIMITP HII8HTI WILLS "0' TO SCAL.I . . . . -"c E".ICEItINQ I ""0.- .'. ------- In 1986 and 1987, USEPA prepared for trial stemming from the complaint filed in 1985. .. In November 1986, USEPA conducted an extensive inves~igation of the soils and bedrock at the Raymark Site. USEPA's samples indicated that high levels of'TCE existed in the soil and weathered bedrock at the Raymark Site. The highest TCE concentration detected in a soil sample was 3,100,000 ug/kg (ppb) from location A3 (refer to piqure 2-for soil boring locations). It is important to note, however, that the soil sample was submerged in methanol, a solvent, before analysis. Since all of the TCE that was in the soil would move into the methanol, the analytical result-depicts the total concentration of TCE in the sample and not necessarily the amount of TCE that would leach to the water table or the amount that could be remediated. '. In January 1987, the PF-1 well, the R-series of wells, and other nearby monitoring wells were again sampled by USEPA. The sample results indicated that high levels of TCE existed in well PF-1. The data also indicated th~t high levels of TCE, degradation products of TCE, e.g., cis 1,2-DCE, and other VOCs existed in th~ R-series of monitoring wells and other wells located near the Site. - The case was tried in the united states District Court for the Eastern District of Pennsylvania in May 1987. Before a decision was rendered, and in late 1988, a settlement was reached between the United States (USEPA) (Plaintiff), Hatboro Borough Authority (Plaintif~-Intervenor), and Raymark Industries, Inc., Raymark Formed Products Company, Penn Fasteners, Inc. and two individual Site owners (defendants). The terms of the settlement were eventually embodied within a Consent Decree judicially entered in February 1989. The Consent Decree obligated the defendants to pay for treatment units to be installed at Hatboro wells #16 and #2 (H16 and H2) respectively located along Earl Lane and Montgomery Avenue in Hatboro (refer to Piqure 3). The Consent Decree required Hatboro Borough Authority to implement a work plan which was attached to the Consent Decree. The work plan included tasks which would provide the necessary information to properly design treatment units at public supply . wells. Currently, Hatboro Borough Authority is performing the remedial design components of the work plan. Once the work plan is fully implemented, wells H16 and H2, which are not currently operated by the Hatboro Borough Water Authority, would be equipped with air stripping towers and could be returned to routine operation. The air stripping towers would reduce ground water contaminant levels below enforceable standards under the Safe Drinking Water Act. The standards (Maximum contaminant Levels or MCLs) are set at levels which eliminate or reduce dangerous health effects from exposure to the contaminants. For example, the MCL for TCE is 5 ug/l (ppb). In 1: ------- addition, under the Consent Decree, air emissions controls may be installed on the air stripping towers at wells H16 and H2 if the risks posed by the air emissions present an unacceptable risk to the nearby population as estimated by modelling. The Hatboro Borough Water Authority has no current plans to utilize the water pumped and treated at well H2. This well is actually located in the Hatboro Borough Building. Thus, since this well would be pumped under the terms of the Consent Decree, well H2 would be operated solely to contribute to the restoration of the contaminated ground watep system and to provide some protection for other downgradient wells. . USEPA currently believes, based upon data collected since the Consent Decree was entered, that the objectives of pumping and treating at well H2 would be better served at a location closer to or on the Penn Fasteners, Inc. property. USEPA believes that pumping and. treating closer to the actual source of contamination would serve to reduce the spread of contaminants from the site and reduce the time frame for remediation of the aquifer. USEPA also believes that locating the well closer to the source area would still provide protection to downgradient public supply wells equivalent to pumping at location H2. Thus, USEPA is now considering modifying the Consent Decree to change the location of the pump and treat system from well H2 to a well near or on the property of Penn Fasteners, Inc. The Raymark Site was proposed on the NPL in June 1988 and promulgated on the NPL in October 1989. USEPA prepared a work plan to conduct a Remedial Investigation and Feasibility Study (RI/FS) in January 1990. The RI/FS is now'in progress. .. To simplify and expedite Remedial Action at the Site, EPA divided the Site into three manageable components or operable units. The three operable units are: 1. Operable Unit 1 (OU1) - soil/Source Control: 2. operable Unit 2 (OU2) - Drinking Water: and, 3. Operable Unit 3 (OU3) - Ground Water. Limited ground water monitoring wells have already been installed onsite during the source control RI/FS to determine the effects of the contaminated soil on shallow and deep ground water. The welles) remaining to be installed during the RI/FS will also serve to collect additional information needed to design an efficient groundwater pump and treat system, e.g., identification of specific water producing zones beneath the site and their respective transmissivity (ability to transmit water). USEPA did not specifically conduct a Remedial Investigation of contaminated ground water at the Raymark site. Instead, USEPA relied upon the results of several previous investigat~ons to 13 ------- characterize the nature and extent of ground water contamination at the Raymark Site and therefore. substitutes this information for the Remedial Investigation. The investigation reports upon which USEPA relied to characterize the Raymark site are specifically identified in the Administrative Record'file. These reports are:'. '. 1. ReDort on Plasti-seal Monitorina Wells. Montaomerv County. PA which describes the installation and sampling of the Penn Fastener monitoring well (PF-1) (USEPA, January 1981). 2. HYdroaeoloaic Field ReDort on Well DeveloDment & SteD Test at the Ravmark site. Hatboro. PA which describes the installation and testing of the R-series of monitoring wells (GMC Associates, Inc. for USEPA, September, 1984). 3. A Field TriD ReDort for Ravmark which describes installation and testing of the R-series of monitoring wells (NUS. Corp. for USEPA, February, 1985). 4. Soil SamDlina and Ground Water SamDlina ReDort which contains the results of soil and ground water sampling conducted in October, 1985 (NUS Corp. for USEPA, January, 1986). 5. Contamination bY TrichloroethYlene of a Portion of the Stockton Aauifer Under the Community of Hatboro. PennsYlvania which summarizes the extent of the ground water contamination (Dr. R. Giegengack for USEPA, February, 1986). 6. Review and Recommendations for Future Investiaations. Ravmark site which summarizes previous soil sampling data and recommends additional characterization work to be performed (Zenon Environmental, Inc. for USEPA, September, 1986) 7. Results for Soil Borinas from Wells A2 and A3 at Hatboro. PA which describes contaminant levels in soil samples collected beneath the Raymark site in November, 1986 (Walter B. Satterthwaite Associates, Inc. for USEPA, December, 1986). . 8. A Field TriD ReDort for Ravmark which describes soil/bedrock sample collection activities of November, 1986 (NUS Corp. for USEPA, January, 1987). . .. 14 ------- 9. A Field Trip Report for Ravmark which describes ground water sample results from 10 monitoring wells located on and near the Raymark site collected in January, 1987 (NUS Corp. for USEPA, March, 1987). 10. Draft Letter Report Data Screeninq For Ravmark site. Hatboro. PA which provides a quality assurance/quality control review and validation of selected samples collected at the Raymark Site (CDM for USEPA, May, 1987). . . In addition, USEPA relied upon ground water sampling results from activities which are not summarized in specific reports, but the results of which are contained within the Administrative Record, e.g., October 1984 sampling of ground water. wells near the Site, USGS and USEPA geophysical and packer test investigations of 1989, and results of the water-level monitoring performed by Hatboro Borough Water Authority during implementation of the Consent Decree work plan. The results of the previous investigations are sufficient to determine that the Raymark site is a significant source of contamination to ground water pursuant to NCP Section ~ 300.430(a) (2), as will be discussed in section V, "Summary of site Characteristics", of this ROD. The results of the previous investigations also provide sufficient information to determine that sources other than Raymark have contributed similar, as well as different, types of contaminants to the ground water system. USEPA conducted a baseline risk assessment for ground water in June 1990. The document was still in draft status when it was placed in the Administrative Record file. However, USEPA believes that the draft risk assessment adequately assessed risks posed by contaminated ground water at the Raymark Site. Additional information about offsite risks, which result from exposures to Site-related, and other, contaminants, was. subsequently developed by USEPA and added to the Administrative Record file on August 23, 1990. The newly developed information did not modify the assessment of risk posed by contaminated ground water at the Site, but provided a more detailed evaluation of the offsite risks and also provided additional justification for the calculated risk values, e.g., assumptions were provided. The draft document. evaluated offsite risks from exposure to ground water at public wells based upon sampling data for a nine month period. USEPA completed a Focused Feasibility Study (FFS) in June 1990. The FFS evaluated alternatives to clean up contaminated ground water. The FFS updated and expanded upon the FFS prepared by USEPA in 1985 since the requirements for evaluating remedial alternatives were modified by EPA in 1986 in the Superfund Amendments and Reauthorization Act (SARA) amendment to ,CERCLA, or 15 ------- Superfund, making the 1985 FFS somewhat obsolete. The 1990 FFS was still in draft status when it was placed in the Administrative Record file. However, USEPA believes'. that the draft FFS adequately developed and evaluated remedial alternatives in accordance with the requirements of section 121 of CERCLA, as amended, 42 U.S.C. Section 9621, Which requires that Superfund remedial actions comply with applicable or relevant and appropriate requirements of all federal and state environmental laws, and the NCP (40 C.F.R. Section 300.430(e)(9)(iii», which requires that each remedial alternative be evaluated agains~ nine criteria. The draft FFS required only editorial and grammatical revisions as well as factual revisions which do not materially affect the selection of the remedy. USEPA believes that the extent and quality of ground water data collected between 1979 and 1989 are sufficient to support the development and evaluation of remedial alternatives for contaminated ground water. '. A Proposed Plan for OU2 and OU3, which described USEPA's preferred alternative for remediating ground water and addressing the contaminated drinking water, was released to the public on August 15, 1990. The Proposed Plan described the remedy USEPA preferred to implement for OU2 and OU3 as well as other remedial alternatives and associated options. The remedy USEPA preferred to implement included pump and treatment of contaminated ground water at the public supply wells and from an onsite location. The water would be treated by air stripping and discharged to the public water system (from public supply wells) and to nearby surface water (from the onsite location). Treatment of public supply ¥ells is presently occurring. The emissions from the air stripping towers would be controlled through the use of vapor phase carbon adsorption units which collect the contaminants before they would be vented into the atmosphere. The Proposed Plan was sent to the information repository, Union Library of Hatboro, on August 15, 1990. In addition, a minimum 30-day comment period was conducted from August 15, 1990 to September 17, 1990, and a public meeting was held August 30, 1990 to provide the public with an opportunity to comment on the remedial alternatives for OU2 and OU3. In addition to the RaYmark Site, USEPA identified other suspected sources which potentially caused contamination of the ground water in the St~ckton Formation which is utilized by the Hatboro Borough Water Authority. Thus, there is more than one source of contamination to the public supply wells in Hatboro. The precise limits of contamination originating from the RaYmark Site are unknown and may be impossible to determine given the nature of the aquifer, the existence. of many pumping wells, and the . existence of multiple source areas. contamination within ground water beneath the Penn Fastener, Inc. property originates from the RaYmark site and upgradient sources. contaminatioq within 16 ------- the R-series of wells located west of Penn Fastener most likely originates from the Raymark site and other sources. The Fischer & Porter Company, located along County Line Road in Warminster, Bucks County, pennsylvania, was identified as a . source of TCE contamination to the stockton Formation and the Hatboro public water supply system. In November 1984, USEPA and Fischer & Porter Company entered into a Consent Decree which obligated Fischer & Porter Company to pay for the installation, operation and maintenance of air stripping towers on Hatboro public supply wells #14 and #17_(H14 and H17) respectively located along Linden Avenue and Windsor Avenue in Hatboro (refer to Fiqure 3. A statistical summary of ground water sampling results, based upon information contained within APPEHDXX C and APPENDIX D, is contained within Table 1. This table depicts the mean concentration and the 95th percentile concentration of specific contaminants detected in contaminated public supply wells (H- series), and the R-series of wells. '. III. . Highlights of Community Participation USEPA has several public participation requirements that are defined dn Sections 113(k)(2)(B), 117(a), and 121(f) (1)(G) of CERCLA, 42 U.S.C. Sections 9613(k) (2).(B), 9617(a), and 9621(f) (1) (G). The Proposed Plan for OU2 and OU3 was released to the public on August 15, 1990. The Proposed Plan defined a 30-day peripd during which the public had the opportunity to comment on the Proposed Plan and the remedial alternatives considered for OU2. The 30-day public comment period defined in the Proposed Plan started August 15, 1990 and ended'September 17, 1990. The documents which USEPA utilized to develop, evaluate, and select a remedial alternative for the RaYmark Site were sent to the information repository, located at the Union Library of Hatboro on August 15, 1990. The availability of these documents was stated in the Proposed Plan. These documents make up the Administrative Record file for the Site. The Administrative Record is a compilation of documents, required by section 113 of CERCLA, 42 V.S.C. Section 9613, which USEPA used to support the selection of a remedy for the RaYmark Site. . On August 15, 1990, USEPA published a notice of availability of the Proposed Plan and Administrative Record file in two Hatboro local newspapers; Todav'sScirit and the Montaomerv County Record. . The public was encouraged to review the Proposed Plan and 17 ------- Tobie J Result.. 01 f:tatl!itlcal AnaIY!iI!! Contaminant 01 Concern Vinyl TCE PCE I,I,I-TCA ds-l,l-nCF. trans-l,l-nCE Chloride WeiLt 111,112, II.' Numhcr or Dala Points 69 61 NA NA NA NA Arilhmetic Mcan : 49.4 0.9 NA NA NA NA Coerricicnl or Variation 1.70 1.27 NA NA NA NA Gcomctric Mean 33.11 0.33 NA NA NA NA Gcomctric Slandard Deviation 2.24 5.74 NA NA NA NA 95% Upper Confidcnce Limit 36.79 9.78 NA NA NA NA Well II? Numher or Dala Points 51 4,1 1.1 ND 'ND ND Arithmetk Mean 13.96 1.17 n.25 ND ND ND Codfic.:icnl or Varialion 4.55 1.08 74.77 ND ND ND Geomctrk Mean 3.71 n.59 U..17 ND ND ND Gcometric Standard Deviation 4.03 4.33 4.7U ND ND ND 95% Upper Cnnfidence Limit 10.33 7.71 8.1() ND' ND ND Well 1112 Numher nr Data Points 24 2:\' ND ND ND ND' . Arflhmelk Mean J.JI 0,53 ND ND ND ND Codfident or Varialion 0.74 1.82 ND ND ND ND Gcometrk Mean 1.87 n,I2 ND ND ND ND Geometric Siandard Devialion 5.49 6,13 ND ND ND ND l.I'if~ l'rper lonridcncc Limit 10.89 10.20 ND ND ND ND .' " ------- 'Cable I Results of Statistical Analysis Contaminant of Concern Vinyl TCE PCE I,I,I-TCA cls-I,Z-DCE trans-I,Z-DCE Chloride "'eU 1114 Number of Data Points 145 144 92 ND 96 10 Arithmctic Mean 291.10 2.30 2.83 ND 7.74 0.50 Coefficient of Variation' 0.49 6.01 2.13 ND 1.31 0.55 Geometric Mean 236.74 0.83 1.36 ND 5.95 0.44 Geometric Standard Deviation 2.55 2.59 3.04 ND 2.04 1.61 95% Upper Conndence Limit 240.93 5.10 6.36 ND 9.30 3.10 "'ell II US Numher uf Data Puints 40 36 4 ND 'ND ND Arithmetic Mean 30.91 4.00 2.00 ND ND ND Cocrricicnt of Variation 0.60 1.79 1.01 ND ND ND Gcomctric Mean 24.47 2.72 0.97 ND ND ND Geometric Standard Deviation 2.49 2.00 4.77 ND. ND ND 95% Upper Conndence Limit 28.56 6.00 8.82 ND ND ND WeU 1117 Numher uf Data Points 121 lit 45 ND ND 9 . Arithmetic Mean 273.30 6.20 2n.05 ND ND 0.19 Coefficient of Variation n.63 0.56 0.42 ND ND 0.60 Gcometric Mean 118.98 4.77 5.24 ND ND 0.1111 Geometric Standard Deviation 1.31 1.(J6 8.46 ND ND 2.45 ... '}""~ II ppt'r ('lInfidcnl'C 181.13 6.50 19.15 ND ND 4.n . --.--. ------- Tobie , Resulls 01 Statistical Analysis Contaminant 01 Concern Vinyl TCE PCE I,I,I-TCA ds-I,l-DCE trans-I,l-DCE Chloride Wells R I, RZ, RJ, R4, R5 Number of Data Points " 15 15 15 15 15 NA Arithmetic Mean 2819 99 81 107 liS NA Coefficient of Variation 1.1 0.9 1.2 1.1 1.0 NA Geomelric Mean 1,323 SS 27 32 41 NA GeomeUic Standard Deviation 4 4 6 8 7 NA 95% Upper Confidence Limit 1,330 61 36 45 S3 NA All concentrations in uglL or ppb. NA. Nul available. II is nol known whether compound was analyzed for. ND - Nol detected. ," ". " .' ------- Administrative Record file and to submit comments on any remedial alternative and USEPA's preferred remedial alternative. The public was given additional opportunity to comment on the Proposed Plan and Administrative Record file at a public meeting held at the Hatboro Borough Building on August 30,1990. At this meeting representatives from USEPA answered questions and received comments about the site and the remedial alternatives under consideration and the proposed remedy. Community concerns with the selected remedy are contained within the Comparative Analysis of Alternative's section of this ROD and the Responsiveness Summary. A stenographic report of the public meeting was prepared by USEPA. A response to the comments received during the 30-day public comment period and the August 30, 1990 public meeting is included as part of this ROD in the Responsiveness Summary (Appendix A). The index for the Administrative Record, upon which this decision document is based, is contained within Appendix B. This decision document is also based upon comments contained within the . stenographic report of the public meeting on August 30, 1990 and other comments received by USEPA during the pUblic comment period, which are included in the Site file maintained at USEPA's offices in Philadelphia and will be added to Administrative Record file. - IV. Scope and Role of Operable units 2 and 3 To simplify and expedite Remedial Action at the Site, USEPA has divided the Raymark site into three manageable components or operable units. The three operable units are: 1. Operable unit 1 (OU1) - Soil/Source Control 2. Operable unit 2 (OU2) ~ Drinking Water Supply 3. Operable Unit 3 (OU3) - Ground Water This Record of Decision (ROD) addresses OU2 and OU3. The ROD for OU2 and OU3 addresses remediation of contaminated ground water and addresses the drinking water supply affected by the Raymark Site. Figure 5 depicts the approximate extent of ground water contamination defined by previous USEPA investigations. Contaminants within the plume of contaminated ground water may also originate from sources other than the Raymark site. Contaminated ground water migrates from the Site towards public supply wells generally located west of the Site. The concentrations of contaminants in the ground water are well above appropriate federal standards such as the Maximum Contaminant Levels (MCLs) which are enforceable, health-based drinking water standards under the Safe Drinking Water Act. For example, the MCL for TCE is 5 ug/l (5 ppb). The concentrations of contaminants in the affected public supply wells are also above the MCLs, but the affected wells are equipped with, or will be '. 21 ------- HATBORO QUADRANGLE PENNSYLVANIA 7-5 MINUTE SERIES (TOPOGRAPHIC) SCALE 1 24000 o 1000 1000 2000 3000 4000 MOO 6000 7000 rcn PENNSYLVANIA J> FIGURE 5 APPARENT EXTENT OF ICE CONTAMINATION IN GROL'N: WATER ------- equipped with, air stripping towers which reduce the levels below the MCL before distribution into the public water sy~tem. The NCP (40 CFR Part 300.430) states that the general goal of the remedy selection process is to select remedies that are protective of. human health and the environment, that maintain protection over time, and that minimize untreated waste. In addition, Section 121 of CERCLA, 42 U.S.C. Section 9621, includes general goals for remedial actions at all Superfund sites. The goals include; aChieving a degree of cleanup which assures protection of human health and the environment (Section 121(d)), preference for selecting remedial actions in which treatment that permanently and significantly reduces the volume, toxicity, or mobility of contaminants is a principal element (Section 121(b)), and requiring that the selected remedy comply with or attain the level of any applicable or relevant and appropriate requirements of federal or state environmental laws (Section 121(d) (2) (A)). The Site-specific remedial response objectives, which take into .. consideration the level of contamination and the risks posed by the contamination, are identified in Table 2. The Site-specific remedial response objectives are based on the baseline conditions at the Site, e.g., the remedial response objectives assume that no remedial action has taken place to date. TABLE 2 SITE SPECIFIC REMEDIAL OBJECTIVES FOR OPERABLE UNIT 2 AND OPERABLE UNIT 3 1. Protect public health and the environment 2. Reduce further migration of contaminated ground water from the site towards public supply wells 3. contain the contamination within the currently affected area 4. Reduce the risk resulting from release of contam~nants into the air from treatment devices . 5. contribute to the restoration of the aquifer to its beneficial use, and further to background quality, if practicable 23 ------- In order to restore the aquifer to its beneficial use, the remediation system implemented in each of the alternatives would operate until Site-specific remediation goals are achieved. Thus the aquifer would be remediated until the contaminate levels reach the MCLs, Non-zero MCLGs, or background, whichever are lower. . . '. If implementation of the selected remedy demonstrates, in corroboration with hydrogeological and chemical evidence that it will be technically impracticable to achieve and maintain the remediation goals throughout the area of attainment, the USEPA in consultation with the Commonwealth of Pennsylvania, intends to amend the ROD or issue an Explanation of Significant Differences to inform the Public of alternative groundwater goals. USEPA believes that background levels, defined using upgradient concentrations, may be higher than health-based levels due to the presence of other source areas and regional TCE contamination. Due to the existence of other sources of contamination near the '. RaYmark Site, it may be technically impracticable to achieve the cleanup goals until the other sources are addressed. Ideally, USEPA would achieve cleanup goals within the Area of Attainment (plume). However, the Area of Attainment includes contaminants which originate from sources other than the Site. Thus, it is unclear, but unlikely, that cleanup goals would be achieved throughout the Area of Attainment until all sources of contamination to the aquifer beneath Hatboro are addressed. Because contaminants from the Site most likely mix with similar contaminants from other sources within the aquifer, it would very difficult, if not improbable to distinguish between contaminants which originate from the Site and contaminants from other sources. Although the remedy selected in this ROD may. not achieve clean up goals throughout the contaminated aquifer, the ground water extraction and treatment components of the remedy could be used to continue to pump and treat ground water to contribute to the restoration of the aquifer. Once the Site no longer contributes contaminants to the aquifer, the ground water pump and treat components of the remedy would be used to remove contaminants from the aquifer which have already migrated from the Site. In addition, these components serve to contain the plume within its current boundary.. The remedies selected in this ROD address each of these objectives. To the maximum extent practicable, the remedy (ies) selected for OUl will be consistent and compatible with the remedies selected for OU2 and OU3. USEPA believes that the remedies for OU2 and OU3 selected in this ROD are flexible enough to accommodate any possible modifications that may be required by the remedy selected for OUl. In addition, USEPA believ~~ that 24 ------- components of the remedies selected for OU2 and OU3 would be necessary to efficiently address the contaminated source area, e.g., components of OU2 or OU3 would enhance remediation of the source area, if needed. The RI/FS for" OU1 is scheduled to be completed in the Fall of 1991. At that time, USEPA will prepare a ROD which addresses remediation of contaminated soil and bedrock as well as environmental media, other than ground water, potentially affected by the Site, e.g., surface water. v. Summary of Site Characteristics All Hatboro residents connected into the public water supply system, nearly 7500, could be potentially exposed to ground water contaminated by the Raymark site. The approximate extent of ground water contaminated by the Rayroark site and other sources is depicted on Figure s. The vertical depth of contamination related to the Raymark site is difficult to establish. Once shallow ground water from beneath the Site moves deeper into the aquifer, it may mix with ground water which may have already been contaminated by sources other than the Raymark site. Once this ground water moves offsite it may again mix with ground water contaminated by other sources. The complexity of the aquifer, i.e., the existence of several water zones, extensive pumping at public wells, differential weathering of bedrock, and fractured bedrock, makes it extremely difficult to separate contamination and determine its source. Thus, it may not be possible to track a "plume" from the Rayroark site for significant distances beyond the Site's source areas. However, since water level studies indicate that public wells most likely pump ground water that originated beneath the Raymark site (discussed in this section), USEPA has determined that the Site is a source of contamination to Hatboro's public wells. All residents within approximately 100 meters of an operating air stripping tower could be potentially exposed to contaminated emissions from the air strippers. currently Hatboro wells H12, H14 and H17 are equipped with air stripping devices. Air stripping towers are proposed for Hatboro wells H2 and H16. Three areas of the Raymark site have been identified as sources of TCE contamination to the ground water. These areas are: 1) the lagoon area," 2) the sol vent storage tank area, and 3) the degreaser area (refer to Pigure 2). The solvent tanks, which were historically located outside the manufacturing building, are adjacent to the area inside the manufacturing building where degreasing operations occurred. Thus, the solvent storage tank area and the degreasing area can be considered to be the same. The results of the November, 1986 sampling of soil and bedrock beneath the Site confirmed these source areas. The locations of .' 25 ------- soil borings completed in. November, 1986 are depicted on Piqure 2. The highest level of TCE identified in the soil was detected in a sample collected from a soil boring which angled beneath the manufacturing building in the degreasing area/solvent storage tank area. The amount of TCE detected in this sample (identified as 'A3-5'-7') was 3,100,000 ug/kg (ppb). It is important to note, however, that the soil sample was submerged in methanol before analysis. Since all of the TCE that was in the soil would then move into the methanol, the anaLytical result depicts the total (absolute) concentration of TCE in the sample and not necessarily the amount of TCE that would leach to ground water or the amount that could be remediated. At this time USEP~ is uncertain about the amount of TCE that may have or could leach to ground water; this data will be collected during the RI/FS for OU1. Elevated levels of TCE were also identified in a sample collected from the center of the four backfilled lagoons. In addition to TCE, other VOCs and semivolatile organic compounds, including PCBs, were. identified in the soil at low concentrations. Soil samples were also analyzed for. metallic elements, but available results are of little value since the samples were composited over several intervals and did not include surface samples. TCE was also identified in some of the bedrock samples collected beneath the Raymark site. The detection of TCE in the bedrock' indicates that TCE has migrated from the soil beneath the Raymark Site down into the underlying bedrock. Since the ground water table, which can be anywhere from 15 to 60 feet below the ground surface at Raymark depending on the season and pumping status of public water supply weils, is within the bedrock beneath the. Site, and no protective layer, e.g., clay, exists between the soil and ground water table, TCE has migrated into the ground water system beneath the Site. In fact, high levels of TCE have been detected in the monitoring well installed at the site (well PF-1) . TCE. in the unsaturated zone beneath the Raymark site migrates downward with infiltrating precipitation. Although ~ome of the contaminant may adsorb onto organic matter in the soil, some of the contaminant migrates to the water table either dissolved in infiltrating precipitation or as a free product. Once in ground water, TCE moves w.ith local or regional ground water flow and may flow offsite. In 1989, USEPA, in cooperation with the united States Geological Survey (USGS) conducted testing on well PF-1 which showed that the TCE was coming from the Raymark Site. At least three water zones were identified in well PF-1 and isolated using inflatable rubber packers. When a packer is lowered to ~ predetermined depth in the well and inflated, the ground water zones above and below the packer are separated, although the ground water zones '. 26 " ------- may still be connected through 'fractures in the bedrock. After the top zone was isolated"from the lower portion of the well, a sample was collected from the ground water between 44 and 75 feet. The sample was analyzed and 11,000 ug/l (ppb) 'of TCE were detected in the sample. When the middle and lower zones were isolated and sampled, 500 ug/l and 1100 ug/l of TCE, respectively,"were detected in each zone. The different zones and the concentrations of TCE identified in each zone are depicted in Table 3. TABLE 3 RESULTS OF PACKER TESTING AT WELL PF-1 ZONE DEPTH TCE CONCENTRATION 1 44-75 11,000 ug/l 2 75-95 530 ug/l 3 125-150 1,100 ug/l The analytical results indicate that the most contaminated ground water beneath the Raymark Site is in the shallow zones. TCE migrating through the soil column and through the fractures or weathered areas of the Stockton Formation bedrock would enter the ground water system at the water table, i.e., the most shallow ground water zone. Since the shallow ground water zone at the Raymark Site was contaminated at levels which were one to two orders of magnitude higher than deeper zones, it follows that the soil and unsaturated bedrock, i.e., bedrock above the water table, is a source of TCE contamination to the ground water within the Stockton Formation beneath the Site. The packer tests conducted at well PF-1 indicate that the ground water zones beneath the Site are imperfectly separated by zones which do not produce water to the well. These zones most likely preclude a significant amount of contaminant from migrating from the shallo~ ground water zones into the deeper zones. The analytical results from samples collected from discrete zones within well PF-1 support this conclusion. During the investigation of well PF-1 in 1989, USEPA also determined that ground water in the well was not stagnant. Ground water in the well continually flowed down the well and then out into the Stockton Formation near the bottom of the well. This internal well flow occurred even under ambient (non-pumping) conditions. All identified ground water flow zones within a well would theoretically produce, or contribute, water to the well 27 ------- when they were pumped. However, under non-pumping conditions some zones contriQute water to the well which then flows out of the well through other zones called thieving zones. ..This type of internal well flow under ambient conditions is common within the stockton Formation in wells that connect more than one water zone such as well. .PF-l. This phenomenon would also explain the reason that TCE concentrations in the lower zone were higher than levels in. the middle zone. Conceptually, TCE from the upper contaminated ground water zone flows down the well, bypasses the middle zone, which produces water to the well, and then out of the well in the lower zone which removes water. Contaminated ground water at the Raymark site flows towards Hatboro's pUblic water supply wells. A water-level monitoring study completed in 1987 demonstrated that Hatboro public water. supply wells #2 and #14 (H2 and H14) lowered the water table beneath the Raymark site during their operation (Fiqure 6). Ground water flows preferentially through fractures and zones of weathered bedrock. The results of investigations completed at the site, e.g., USGS, 1989, indicate that ground water moves off-' the site at approximate depths of 125 to 150 feet in a high yield flow zone. This zone correlates with a thick sandstone unit and a thieving zone within well PF-l. The contaminant detected most frequently and at the highest concentrations onsite in weIIPF-l, located on the property of Penn Fasteners, Inc., is TCE. TCE is a volatile organic compound which USEPA considers to be a class B2 probable human carcinogen. The classification means that animal, and not human, data were used to determine that TCE is carcinogenic. TCE tends to breakdown or degrade over time into other VOCs including cis 1,2- dichloroethene (cis 1,2-DCE), trans 1,2-dichloroethene (trans '1,2-DCE), l,l-dichloroethene (l,l-DCE) which is a Class C, possible human carcinogen, and vinyl chloride (VC) which is a Class A, known human carcinogen. cis 1,2-DCE and trans 1,2 DCE were also identified in well PF-l. . One sample collected from well PF-l contained elevated levels of lead (47 ug/l), but an additional sample collected the same day contained no detectable lead. No other metals were detected in ground water from well PF-1 at levels of concern. TCE was also the compound which was detected most frequently and at the highest concentrations in the R-series of monitoring wells and other monitoring wells located offsite.. However, many other VOCs, which do not appear to be related to the Raymark site were also identified in these monitoring wells. Specifically, (TCA), 1,1,2-trichloroethane (1,1,2-TCA), 1,1-DCA, carbon tetrachloride, tetrachloroethene (Perchloroethene) (PCE), and chloroform were detected in the R-series of monitoring wells and other nearby monitoring wells. 28 ------- CONTINUOUS WATER lEVEL MONITORING ""' ~i\ r- v~ .. -- ----- ---- --- --- -- --_. . --- _\ ~ IIA' 'BOIH WEL L. 112 TUtU ED CN _n- - -- -- --- ~ IIAT ORO WEll 1114 TUR ED ( FF - -.-- ....., - /1 I\. Vt (II" ~ ~I \~J ' 1/\ " ~ .., \J " \J . .---- -..- 1-- , / -.-- - 1-- .. IIIII 'R IIIIrI .. "- , . r----' - -. ~l - , , -_A. .. \J 111 ._---- .. v --.- ---- --- '-- .. -. ... -. ".--.--- -.. ---'--. ..-. --- ~\ --- --- - . ;-- ._-. - .. .. '-.'" --.- .-..--- --.- f-._-. -- .. - -- WELL: PF 1 41 42 43. 44 ! 45 I ! 48' t:I I ~ I H 47, ::x:: I , H o 48 ~ ~ ' ~ 49' ~ i '"rj 50 M I ~ I '-' 51 I 521 I 531 54 55 '. 58 1125/87 1/30/87 2/4/87 219187 2114/87 111.11:1 /, h'..\ III: I.I.VI':I. (;1(,\1'11 OF HELL I'F-l ('") o Z >-:J H Z c: o c: U) ~ ~ >-:J M :;d I t'""' M <: M t'""' .,.. - o Z H >-:J o ~ H Z C") ,.-.. ~ M t'""' t'""' "d '"rj I ...... '-' ------- An abandoned water well', (MS-I0) located near the Penn Fasteners, Inc. property contained high concentrations of leaq (513 ug/l) and barium (2,290 ug/l). The source of the elevated inorganic constituents in this well is unknown. TCE was als'o the compound which was detected m6s~ frequently and at the highest concentrations in the public supply wells located offsite. However, TCA, t-butyl methyl ether, and benzene, which may not be related to the Raymark Site were also detected in the public water supply wells. Upon review of the sampling data, consideration of the industrialized nature of the area, and the identification of at least one other source of contamination to ground water and other suspected source areas within the Stockton Formation, it is apparent to USEPA that sources other than the Raymark Site have contributed to the contamination of Hatboro's public water supply system. In fact, TCE, which is a Site-related contaminant, also comes from other sources within the immediate area, e.g., Fischer & Porter Company. . '. The bedrock beneath the Raymark Site consists of fractured sandstones, siltstones, and shales of the Stockton Formation. Figure 7 is a geologic cross section depicting the types of rock found beneath the Raymark Site. A fracture can be considered to be any linear break in the rock. Ground water moves predominantly through the fracture system and through areas of bedrock in which the matrix which holds the individual minerals together, has weathered or dissolved leaving a large amount of intergranular pore spaces through which ground water may flow. Therefore, public supply wells penetrating the same fractures, fracture systems, or weathered zones containing ground water contaminated from the Raymark Site may themselves become contaminated. During the previous investigations, several ground water monitoring wells were installed at and near the Raymark Site (refer to Figures 2 and 4). The main objective of installing monitoring wells was to determine the extent of ground water contamination from the Raymark Site. The results of ground water sampling during the previous USEPA investigations indicate that the area of ground water contamination includes the Raymark Site and Hatboro public supply wells HI, H2, H3, H7, H9, H12, H14, H16, and H17. The area is nearly 1.5 square miles and includes approximately 4.9 billion gallons of contaminated ground water (Figure 5). A tributary to Pennypack Creek runs from north to south through Hatboro adjacent to public supply wells H16, H17, H7, H14 and H12 (see Figure 1). The plume of contaminated ground water would most likely discharge to this tributary to Pennypack Creek if the public supply wells were not pumping. However, when the public 30 ------- Waste Treatment Bu X Lagoons i N I Solvent Tank Storage ATM ShaJe and alttatona tal Fine sandstone A1 Boring location PF1 Monitoring wan Sourc*: A lUioetfttigrapfcy/tiydrogaologlc analysis of the Stockton Formation naar Hatboro, Montgomery County, PA. Meha*4 Taylor Towie, 1007. i F1I Vartlcal/ Horizontal Sea*: Feet 10 30 50 Rgura 7 LTTHOSTRATIGRAPHY OF THE MIDDLE ARKOSE MEMBER OF THE STOCKTON FORMATION NEAR MONITORING WELL PF-1 RAYMARK FOCUSED FS ------- 1- supply wells are pumping,.. the water table is lowered well below Creek level, evidenced by periodic dry reaches near operating wells in summer months and the deep pumping level of.. the public supply wells. Therefore, contaminated ground water would not discharge to the Creek. Since the public supply wells are frequently operated, it is unlikely that a significant amount of contaminated ground water would discharge to the Pennypack Creek or .flow beneath it. '. The bed and banks of the Pennypack Creek contain jurisdictional wetland areas. obligate and faQUltative wetland species were identified by USEPA in the Pennypack Creek bed and immediate floodplain. The majority of the wetland areas were located downstream (south) of Hatboro since the streams run primarily through residential yards, commercial properties, and/or developed park areas within the Borough. No wetland areas were identified on or near .the site. . VI. Summary of Site Risks Contaminants from the Site migrate towards public water supply wells through the ground water system. Potentially, all users of Hatboro's public water supply system, approximately 7500 people, could be thus be exposed to Site-related contaminants. contaminated ground water may discharge to the Pennypack Creek when certain public wells (H7 and H14) are not pumping for extended time periods. A baseline risk assessment was conducted by USEPA which. quantified the risks posed by contaminated ground water beneath Hatboro if no response action were taken to address Site-related contamination. The focus of the risk assessment was to determine human health effects that could result from exposure to the contaminants of concern in the ground water associated with the Site. contaminants which: 1) present a potential.risk to human health and the .environment at the detected concentrations; 2) originated from the RaYmark site or could have originated from the Raymark Site, e.g., degradation products of TCE; and 3) were above background levels (assumed zero), are considered to be contaminants of concern for the RaYmark Site. A contaminant presents a potential risk to human health if its concentration exceeds the 1xlO-6 (1 in 1,000,000) excess cancer risk level for cancer-causing compounds or the maximum safe dose for non-cancer effects. In other words, there is one extra chance in one million of contracting cancer due to a lifetime of exposure to Site contaminants at the 1x10-6 level. This risk exists in addition to the risk posed by all other sources, e.g., a 30,000 3: ------- chance out of 1,000,000 ~f contracting cancer from smoking. . . In addition, USEPA estimated the risk resulting from..exposure to ground water from contaminated public wells (assuming no treatment) and monitoring wells located beyond the property boundary even. though the risk most likely results from exposure to contaminants from multiple sources (including Raymark site). The contaminants of concern in the ground water beneath Hatboro are identified in Table 4. Contaminants in Table 4 identified by an asterisk (*) were detected at least once in well PF-l and are therefore considered to be contaminants of concern related to the Site. Vinyl chloride, l,l-DCE, cis 1,2-DCE, and trans l,2-DCE are potential degradation products of TCE. Although l,l-DCE and vinyl chloride were not detected at the Site, they may be considered to be contaminants of concern because they are degradation products of TCE and have been detected in nearby offsite wells. TCA, PCE, and carbon tetrachloride are not known to be related to the Raymark Site, but were detected in offsite wells and contribute to the risks posed by exposure to ground water pumped from those wells. . Since contaminants from the Raymark Site may add to the total risk posed by exposure to ground water pumped from offsite public wells, the risk assessment considered potential exposures to all contaminants. .. TABLE 4 CONTAMINANTS OF CONCERN IN GROUND WATER TCE* PCE . l,l-DCE cis l,2-DCE* trans l,2-DCE* l,l,l-TCA vinyl chloride carbon tetrachloride * Identified in well PF-l An individual may be exposed to contaminants of concern via several different exposure pathways. Table 5 identifies the exposure pathways associated with the contaminated ground water. 33 ------- TAaLE 5 - SUMMARY OF EXPOSURE PATHWAYS INGESTION (DRINKING) INHALATION (SHOWERING) INHALATION (AIR STRIPPERS) '. '. It 'is important to consider that contaminants in addition to those identified in well PF-l were identified in public supply wells and monitoring wells located beyond the property line. Some of the contaminants detected in public wells and monitoring wells beyond the property line appear to be unrelated to operations conducted at the RaYmark Site or appear to result from the degradation of TCE. Thus, the risks posed by potential exposure to ground water from contaminated public wells or monitoring wells other than PF-l most likely results from multiple sources and from compounds resulting from the degradation of TCE as it moves beyond the property boundary. In the risk assessment, EPA separated exposures into onsite and offsite exposures. Potential onsite exposures resulted from well PF-l and the R-series of wells (the R-series of wells are considered onsite for the purposes of the risk assessment due to their proximity and because they most likely contain degradation products of TCE originating from the RaYmark Site), although some of the contaminants in some of the R wells may be unrelated to the RaYmark site. Potential offsite exposures stem from ground water pumped from public supply wells. Potential exposures can be further separated into current and future exposures. Current exposure to contaminated ground water results only from air stripper emissions since water from the public wells is first treated to enforceable, health-based levels before it enters the d~stribution system. Potential future exposures may result from ingestion or inhalation of contaminated ground water from public wells (if treatment is discontinued or if the air stripping units malfunction), ingestion and inhalation of ground water from a new residential well installed within the area of the plume (calculated from data obtained from well PF-l and the R-series of wells), and inhalation of air stripper emissions. However, USEPA assumes that the area will continue to be zoned industrial. The risk from individual public wells' is evaluated separately. The total risk posed by the site is calculated as the combined risk from potential current and future exposures. USEPA bases its decision to remediate the Site upon the risks posed by the site. The assessment of risk involves many assumptions about the amount of exposure to contaminants. USEPA strives to select protective remedies and thus utilizes risk estimating assumptions which are somewhat conservative, e.g., USEPA uses the upper bound estimates of the mean values of certain parameters. For example, USEPA assumes that an individual lives at the same residence for 30 . 34 ------- years which represents the 90th percentile value from a national database for residential permanence. Table 6 lists each of the assumptions USEPA used to calculate exposure to contaminants of concern at the Raymark site. The exposure scenario which is developed using the assumptions identified below is a reasonable maximum exposure scenario. . TABLE 6 EXPOSURE ASSESSMENT ASSUMPTIONS Adult Mass (kg) : 70 Length of Lifetime (yrs). 70 Length of Adult Exposure (yrs): 30 Number of days/year exposed: 350/365* Tap Water Consumed**(l/d) 2 " . * carcinogenic effects/non-carcinogenic effects ** Tap Water Concentration is equal to the 95 percentile concentration Chemical intakes are calculated by combining the amount of chemical with the duration of the exposure to the environmental media contaminated by the contaminants of concern. Cancer potency factors (CPFs) have been developed by EPA's Carcinogenic Assessment Group for estimating excess lifetime cancer risks associated with exposure to potentially carcinogenic (cancer-causing) chemicals. CPFs, which are expressed in units of (mg/kg-day)-', are multiplied by the estimated chemical intake of a potential carcinogen, in mg/kg-day, to provide an upper bound estimate of the excess lifetime cancer risk associated with the exposure at that intake level. The term "upper bound" reflects the conservative estimate of the risks calculated from the CPF. The term "upper bound" is a statistical term and is related to the degree of certainty of the data used to calculate the"CPF. Use of this approach makes underestimation of the actual cancer risk highly unlikely. CPFs are derived from the results of human epidemiological studies or chronic animal bioassays to which animal-to-human extrapolation and uncertainty factors have been applied. CPFs for the contaminants of concern are depicted in Table 7. Reference doses (RfDs) have been developed by EPA for indicating 35 ------- the potential for adverse. health effects from exposure to chemicals exhibiting noncarcinogenic effects. RfDs, which are expressed in units of mg/kg-day, are estimates of lifetime daily exposure levels for humans, including sensitive individuals. Estimated intakes of chemicals from environmental media (e.g. the amount of chemical ingested from contaminated dr.inking water) can be compared to the RfD. -RfDs are derived from human epidemiological studies or animal studies to which uncertainty factors have been applied (to account for the use of animal data to predict effects on humans). These uncertainty factors help to ensure that the RfDs will not underestimate the potential for adverse noncarcinogenic effects to occur. RfDs for the contaminants of concern are depicted in Table 7. TABLE 7 CANCER POTENCY FACTORS (CPFs) AND REFERENCE DOSES (RfDs) FOR CONTAMINANTS OF CONCERN CONTAMINANT ORAL INHALED ORAL INHALED RfD RfD CPF CPF (mg/kg/d) (mg/kg/d) .1 TCA 9xlO-l NA NA NA PCE lX10-2 NA 5.1X10.2 3. 3X10.3 TCE NA NA 1.lX10.2 1.3X10'2 cis 1,2 DCE 1X10.2 NA NA NA trans 1, 2 DCE 2X10.2 NA NA NA Vinyl chloride NA NA 2.3 2. 95X10.1 1,1 DCE 9X10.3 NA 6x10-1 1.2 carbon tetrachloride 7X10.4 NA 1.3X10.1 1.3x10.1 Excess lifetime cancer risks are determined by mUltiplying the intake' level with the CPF. These risks are probabilities that are generally expressed in scientific notation (e.g. 1X10.6, or 1 million). An excess lifetime cancer risk of lX10-6 indicates that, as a plausible upper bound, an individual has a one in one million chance of developing cancer as a result of site-related exposure to a carcinogen over their entire lifetime. Excess .. 36 ------- lifetime cancer risks associated with site-related exposures and offsite exposures are depicted in Tables 8 through 11. The R- series of wells are considered to be "onsite" in Tabl.e 10 since the scenario (onsite residential use) assumes that the Site area is zoned residential. Presumably, a residential well could then be drilled on-or near the site. Including the R~series of wells in an "onsite" scenario -does not imply that the contaminants in theR-series of wells originate entirely from the site. Tables 10 and 11 estimate risk based upon a "more probable "exposure to contaminants pumped. from well PF-1. This exposure considers a weighted average of concentrations of TCE detected in three fracture zones, weighted by the flow rate in each zone. Potential concern for noncarcinogenic effects of a single contaminant in a single medium is expressed as a hazard quotient (or the ratio of the estimated intake derived from the contaminant concentration in a given medium to the contaminants' RfD). By adding the hazard quotient for all contaminants within. a medium or across all media to which a given population may. reasonably be exposed, the Hazard Index (HI) can be generated. The HI provides a useful reference point for gauging the potential significance of multiple contaminant exposures within a single medium or across all media. The HIs associated with Site- related exposures and offsite exposures are depicted in Tables 12 and 13. The R-series of wells are considered to be "onsite" in Table 13 since the scenario (onsite residential use) assumes that the site area is zoned residential. Presumably, a residential well could then be drilled on or near the site. Including the R- series of wells in an "onsite" scenario does not imply that the contaminants in the R-series of wells originate entirely from the site. The excess cancer risk which may result from exposure to ground water from contaminated public wells ranges from a low of 3x10-6 (3 in 1,000,000) for wells H7 and H12 to a high of 3X10.4 (3 in 10,000 or 300 in 1,000,000) for wells H14 and H17. These estimates assume that the untreated water is distributed to residents, the water is not diluted in the distribution system, the water from a particular well is delivered to residents living near the well, the risks from individual chemicals is additive, and the risks from ingestion and inhalation are additive in addition to the assumptions previously stated in Table 6. The hazard indexes range from a low of 0.06 (well H16) to a high of 0.09 (well H14). The excess cancer risks which may result from potential exposures to contaminated ground water obtained from wells located on or near the RaYmark Site are 9x10-4 (9 in 10,000 or 900 in 1,000,000) from well PF-1 and 2X10-3 (2 in 1,000 or 2,000 in 1,000,000) from the R-series of wells. 37 ------- Table ct' OFF-SITE NO FURmER AcrION SCENARIO; REASONABLE MAXIMUM EXPOSURE EXCESS UFETIME CANCER RISKSLb Total Excess Lifetime Cancer Riskc ..... ' Distance From Air Stripper Well No. (meters) toct - 500 100 H12 2 x 10-8 2 X 10-7 1 X 10-8 H14 5 x 10-5 2 x 10~ 2 x 10.7 H16 7 x 10~ 2 X 10-7 3 X 10-8 H17 1 x 10-8 2 X 10-7 1 X 10-7 -Off-Site No Further Action Scenario Assumptions: 1. 95th percentile concentration of contaminants of concern. 2. Residential exposure to emissions from existing and proposed air strippers without vapor phase carbon treatment. 3. Exposure parameters: Number of hours per day N umber of days per year Number of years 14 350 30 ~12, H14, H16, and H17 are the only wells for which air stripper design parameters are available. ~epresents total risks from TCE and PCE. Although vinyl chloride was present sporadically in wells H14, H16, and H17. the inhalation risks could not be calculated because no inhalation carcinogenic potency factor or unit risk factor is currently available. dApproximate distance of nearest'receptors (homes or apartment buildings). Impact calculated at elevated heights typical of receptor height, rather than at ground level. .. ------- Table 10 ON-SITE FUTURE ACTION SCENARIO: MORE PROBABLE EXPOSURE. EXCESS LIFETIME CANCER RISKS '- Estimated Excess Lifetime Cancer Riskb Wen No. Ingestion Inhalationc Totald PF1e 3 x 10-4 6 X 10-4 . 9 x 10'" R1-R5' 4 x 10-4 8 X 10'" 1 X 10-3 -On-Site Future Action: 1. No treatment of wells. '. 2. Residential use of wells with contamination comparable to that in wells PF1 and R1-R5. 3. No blending with water from non-contaminated wells. 4. Geometric mean concentration of contaminants of concern. 5. Exposure parameters: Daily water intake Body weight No. of days/year exposed No. of years exposed 2 liters/day 70 kg 350 30 bRepresents total risk from TCE vinyl chloride in drinking water. c=Intake from inhalation exposures assumed to be two times that from ingestion of drinking water. . . dSum of ingestion and inhalation risks. eIncludes value for TCE only. Concentration of TCE is a weighted average of concentration detected on one sampling occasion in three fracture zones, weighted by th~ flow rate in each zone. 'Data from wells RI-R5 combined into one data set. ------- Table 11 ON.SITE FUTURE ACfION SCENARIO: MORE PROBABLE EXPOSUREa.b EXCESS LU't:nME CANCER RISKS . . -.' . Excess Lifetime Cancer Risk Distance from Air Strippers Well No. - (meters) 10 Iocr 500 PF1 6 x 104 2 x 10-5 2 x 10~ . . -On-Site Future Action Scenario Assumptions: . . 1. Residential exposure to emissions from an air stripper installed at well . PF1 on the Raymark property. 2. Exposure parameters: Number of hours per day Number of days per year Number of years 14 350 30 bCalculated for TCE only. Concentration in well PF1 used in the analysis is a weighted average of concentrations detected in three fracture zones, weighted by flow rate in each zone. CApproximate distance of nearest receptor. Impact calculated at elevated height typical of receptor height, rather than ground level. . . ------- Table 12. OFF-SITE NO ACfION SCENARIO: REASONABLE MAXIMUM EXPOS1JRE8ob NONCARCINOGENIC EFFECI'S Hazard Indexc -~ Inhalationd Well No. Ingestion Totale HI, H2, H3r 0.028 - 0.056 0.084 H7 0.025 0.05 0.075 H12 0.029 0.058 0.087 H14 0.03 0.06 0.09 Hl6 0.02 0.04 0.06 Hl7 0.055 0.110 0.165 -off-site No Action Scenario Assumptions: 1. 2. 3. 4. No treatment of wells. Residential use of ground water directly from Hatboro wells. No blending with non-contaminated wells. 95th percentile concentration of contaminants of concern. 'Exposure Assumptions: Daily water intake 2 liters/day Body weight 70 kg No. of days/year exposed 350 Cfiazard Index = t Daily intake,,_(mg/kg/day)- where n = individual chemical x= 1 Reference DoseD (mg/kg/day) dIntake from inhalation exposures assumed to be two times that from ingestion of . drinking water (see text). esum of ingestion and inhalation risks. 'Data for wells Hl, H2, and H3 were combined into one data set. . . .' ------- Table 13 ON-SITE FUTURE ACTION SCENARIO: REASONABLE MAXIMUM EXPOSUREAoB NONCARCINOGENIC EFFECTS '. ....' - Hazard Index&: WeD No. Ingestion Inhalationd Totale PF1' 0.15 0.30 0.45 R1-R5 0.48 0.95 1.43 -On-site Future Action Scenario Assumptions: 1. No treatment of wells. 2. Residential use of wells with contamination comparable to that in wells PF1 and R1-RS. 3. No blending with water from non-contaminated wells. 4. 95th percentile concentration of contaminants of concern. ~osure Assumptions: Daily water intake 2 liters/day Body weight 70 kg No. of days/year exposed 365 CJiazard Index = t Daily intake".Jmg/kg/day)- where n = individual chemical x= 1 Reference Dosen (mg/kglday) dIn take from inhalation exposure "assumed to be two times that from ingestion of drinking water (see text). esum of ingestion and inhalation risks. 'Based on presence of cis- and trans-l,2-DCE, maximum values only. ------- Because receptor populations could reasonably be exposed via different routes evaluated in particular scenarios, ~he excess cancer risks from each exposure route could be combined to represent a reasonable maximum exposure scenario for the most exposed individual. Since exposure to more than one chemical could occur through any of the exposure pathways~ carcinogenic risks for each chemical could be added to obtain the total risk for any particular exposure pathway. The most exposed individual would obtain domestic water from a well located on or near the Site and would be concurrently exposed to untreated air stripper emissions from air strippers currently operating in Hatboro. The excess cancer risk posed to the most exposed individual would be 1.5x10-3. This means that there is approximately one extra chance in one thousand (1,000 in 1,000,000) to contract cancer from exposure to site-related contaminants. In deriving this risk number USEPA used calculations for well PF-1 to represent residential ground water contaminated by the site and calculations from the air stripper at H14 to represent air stripper emissions since USEPA has d~termined that well H14 is -- hydraulically connected to well PF-1 and therefore most likely contaminated by the Raymark Site. There are several important caveats to consider: 1. Nearly all the risk was associated with ingestion of untreated ground water, which is currently being treated with air stripping towers before distribution to the public. This risk is therefore not presently occurring. 2. The HI for inhalation may be artificially low or high since inhalation RfDs were not available for some of the compounds. The following factors contributed elements of uncertainty in the risk assessment: 1) some carcinogenic contaminants at the Raymark site have been found to cause cancer in animals only, 2) CPFs were extrapolated from high doses given to animals to low doses received from environmental exposures, 3) carcinogenic potency was extrapolated from animals to humans on the basis of dose per surface area, 4) non-cancer effects were extrapolated from animals to humans by a set of protective 10-fold uncertainty factors, and 5) data on synergism or antagonism among the contaminants were not available. In addition, water pumped from the public supply wells is pumped into the distribution system where it most likely mixes with uncontaminated water before consumption. Therefore, the contaminant levels used in the assessment of risk from ingestion of contaminated drinking water, if no treatment were installed, are most likely overestimated. However, the majority of the risk posed by the Site results from contaminated ground water which has an extensive sampling database. 44 ------- In addition to human health risks, the contaminated ground water at the Raymark Site poses a potential threat to the 'environment as well. Wetland areas were identified downstream from an area where contaminated ground water may occasionally discharge to the surface water. No endangered or threatened species were. identified. The existence of sensitive environments would be considered during the design stage of the remedy. " Actual or threatened releases of hazardous substances from the Raymark 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 environment. VII. Alternatives '. This section of the ROD describes the process of screening and developing remedial alternatives and discusses in detail each of the alternatives evaluated in the Proposed Plan. Remedial alternatives are developed which meet the remedial objectives of this response action. . Screenina of Alternatives Table 14 identifies each of the remedial technologies and process options considered for contaminated ground water. A total of 10 possible alternatives were developed from the remedial technologies and process options identified in Table 14 which were screened by USEPA in accordance with the NCP. Table 15 identifies each of the 10 alternatives developed in the. FFS to address contaminated ground water. Appendix D in the draft FFS details each of the remedial technologies and management or process options which were screened in the FFS and considered in the development of remedial alternatives for contaminated ground water. . The significance of the screening exercise is to determine which technologies and options can best satisfy the remedial objectives. Each of the technologies and options are evaluated on the basis of their effectiveness and their ability to be implemented considering Site-specific conditions. Only those measures which could conceivably meet the remedial action objectives, or the majority of them, were further developed into remedial alternatives. Remedial action alternatives are further limited to proven and/or innovative technologies and process options which have been used successfully at other sites. 45 - . '. '-"-' ~-- ........., .-. ------- ConIwrWfMt«l Mtd. QAO(.N) WAfER I" .---;- -,~"-'-;-----' (Hrwlll R.6pOn.. Action NO ACTION 1NST11UT1CNAL canRCl8 canA.1NMEHT REMOVAL TREATMENT DISP06AL R.m«IlII T«hnology QAOtH) WATER MONITORNI RESTRICT ACCESS' USE ~~W1~:::: Pt&.1C AWARENE88 ------~- Pror:.u qxton OOt1.ECTIOH PHY&ICAL TREATMENT ;.':.:::!:..,==r',:":::,:!((, VAPOR-PHASE TREATMENT ,::::::::\~:::,;:::::::j::i,':, Dl&aMROE Of OHSITE GRCItJNI) WATER Of OfFSlT OROtHJWATER . '. .." ,'."'," ,.',,' ... . .",'."."." ."','. ',' .. .. ..", ... ;..,.;. '.:',.:...:.::..' .. TABLE 14 RESUL 1S Of ItITIAL AND SECONDARY SCREENNO Of APPLICABLE GROUND WATER REMEDIAL TECHNOlOGIES AND PROCESS OPTIONS RAYIlARK FOCUSED FS ,,::,,::::::,t:::-/ I ~-===-~q.b1 ------- Table 15 Descriptions of Remedial Alternatives .. ... . ,. .....:..< AlternatiVe. NUmber.. .. ,...,.::.;::;:.. .". .. . Desaiption: .. . 1 The no action alternative calls for doing nothing about the problem. There would be no pumping and treatment at off-site supply wells. This option is included to provide a baseline amdition for comparison with the developed remedial .alternatives. Monitoring of the site would conunue. 2 The second alternative includes pumping ground water on-site and treatment by an air stripping system with vapor carbon treatment for specified air stripper. The treated water is then discharged to a surface water. The vapor phase from tbe air stripper is treated with activated carbon. 3 In the third alternative, the ground water that is pumped on-site is treated by air stripping. However, instead of discharging to surface water, the treated water is reinjected off-site into the aquifer. The vapor phase from the air stripper is treated with activated carbon. 4 This alternative calls for pumping the ground water off-site at the Hatboro wells and providing treatment by air stripping with subsequent discharge to the existing water distribution system. The vapor phase from specified air strippers is treated with activated carbon. 5 Alternative five calls for treatment of the ground water both on-site and off-site. This required pumping on-site and off-site is followed by air stripping treatment. The on-site and off-site treated water is then discharged to surface water and tbe existing water distribution system, respectively. The vapor phase from specified air Strippers is treated witb aCtivated carbon. . 6 Unlike alternative five, the on-site treated water is reinjected into the ground, while the treated water from the off-site treatment is discharged to the existing water distribution system. At botb sites, air stripping constitutes the method of treatment. The vapor phase from specified air stripers is treated with activated carbon. 7 Alternative seven includes on-site pumping of ground water followed by. carbon adsorption. The treated water is then discharged to surface water. S Alternative eight is similar to alternative seven except tbat the treated water is reinjected into the aquifer. 9 In alternative nine, ground water is pumped on-site and off-site. Pumping on-site is followed by treatment by activated carbon and tbe treated water is discharged to surface water. The contaminated water from the off-site wells.is treated by air stripping and then discharged to the existing water distribution system. The vapor phase from specified off-site air strippers is treated with activated carbon. ". ------- ." AltemativeNamber.". 10 Table 15 Descriptions of Remedial Alternatives ""Description" In this alternative, ground water is pumped out on-site and off-site and is treated separately by carbon adsorption and air stripping, respectively- Following treatment. the on-site treated water is injected intO the aquifer while the off-site treated water is discharged into the existing water distribution system.- The vapor phase from specified off-site air strippers is treated with activated carbon. .. ------- DescriDtion of Alternatives Based upon the screening and evaluation- of potentially applicable remedial technologies and management or process options and the requirement within the NCP (Section 300.430(e) (6» -to evaluate a "No Action" Alternative or a "No Further Action"-Alternative, the following remedial action alternatives have been selected for further development and detailed evaluation: 1. No Action / No Further Action 2. Offsite Ground Water Control (FFS #4) 3. Offsite and Onsite Ground Water Control 4. Offsite and Onsite Ground Water Control Reinjection (FFS #6) '. (FFS #5) with Alternatives 2, 3, and 4 have many common components. The common components are: 1) continued operation of public supply wells, 2) Ground Water Remedial Design Study, 3) ground water extraction, and 4) periodic monitoring. These common components will be discussed before individual alternatives are described. Continued ODeration of Public SUDDlv Wells The Hatboro Borough Water Authority currently operates the public water supply system in Hatboro.Several of the Authority's wells would become components of the ground water remediation. Since the wells are routinely operated to deliver water to the pUblic, they could also serve to pump and treat the ground water. Alternatives 2, 3, and 4 each require that the Hatboro Borough Water Authority continue to operate the public water supply. Air stripping towers are currently operated by Hatboro on wells H14 and H17. An aeration device is also operated on well H12. Air stripping towers will be operated on wells H2 andH16 pursuant to the consent decree. Ground Water Remedial Desian Studv A Ground Water Remedial Design Study would be necessary before a ground water remedy is fully designed. It would be difficult to determine the construction specifics of ground water extraction wells and the number of extraction wells needed to meet the remedial objectiyes and cleanup goals until more information on the distribution of contaminants at the site and the aquifer characteristics beneath the site have been obtained. Therefore, a Ground Water Remedial Design Study will be completed before any of the remedial alternatives under consideration is fully implemented. In order to develop costs to adequately compare alternatives, the FFS made assumptions about the number of extraction wells and the depth of the wells and the pumping rate. 49 ------- In addition, the location and frequency of periodic monitoring and sampling to ensure that the cleanup is progressing towards the cleanup goals will be determined during the Gro~d Water Remedial Design study. Ground Water Extraction Alternatives 3 and 4 each involve pumping contaminated ground water from beneath the RaYmark Site to prevent further migration of contaminants in the soil and~edrock at the site towards public supply wells. The plume of contamination currently includes a 1.5 square mile area depicted in Fiqure 5 and contains approximately 4.8 billion gallons of water. Since the aquifer is a Class IIA aquifer, which means that the aquifer is currently a drinking water aquifer, EPA's cleanup goals would include restoration of the aquifer to its beneficial use, if practicable. In addition, the cleanup would continue until background quality is achieved, pursuant to requirements of PADER, if practicable. USEPA estimates that the ground water beneath the site could be remediated within 20 years, but the aquifer would not be cleaned until all sources of contamination are satisfactorily addressed. Each alternative would rely in whole or in part upon natural recharge of clean water (infiltrating precipitation and flow of clean upgradient ground water) into the area of attainment (the plume or the area in which the cleanup goals would be met, if practicable). since other sources of TCE and other VOCs have been identified and since upgradient contamination has been identified, the cleanup goals may not be achieved within the aquifer until the other sources are addressed. It may not be practical, or possible, to precisely define area of attainment or the area of ground water above MCLs background without first making some assumptions, such as lateral dispersion of the plume and that Site-related contamination does not exist in wells beyond those within the area of contamination depicted in Fiqure s. otherwise, an extraordinary number of monitoring wells would 'need to be installed. Therefore, because the plume is not precisely defined, the remedy would include ground water monitoring to ensure that the plume does not spread to unaffected areas, i.e., towards Hatboro wells which are not contaminated. Existing wells, e.g., H21, beyond the current plume area would be monitored. the or minimal The ground water pump and treat would continue until the.cleanup goals are achieved, if practicable. Once cleanup goals are achieved, the risk posed by the ground water would be reduced from the 10-4 excess cancer risk range to the 10-6 excess cancer " 50 ------- risk range, at minimum. . '. Periodic Monitoring Samples of t~eated ground water would be collected periodically, e.g., monthly or quarterly, to ensure that the treatment technologies employed are reducing contaminant levels to required standards. Samples would also be collected from selected monitoring locations to ensure that the remediation is progressing towards the cleanup-goals. In addition, samples would be collected from currently unaffected wells, e.g., well H21, to ensure that the plume does not expand to this area. The location and frequency of periodic monitoring will be determined during the Ground Water Remedial Design Study. The samples will be analyzed for a list of indicator contaminants to include, at minimum, TCE and its degradation products discussed earlier. Each remedial alternative is detailed below. The estimated costs and implementation timeframes are included in the discussion of each alternative. '. 51 ------- ALTERNATIVE 1 NO ACTION / NO FURTHER ACTION Capital Cost Annual O&M Present Worth Implementation o : $11,600 :$145,000 N/A The National Contingency Plan (NCP) (40 C.F.R. Section 300.430(e) (6» requires that EPA. consider a "No Action" Alternative for each site. This alternative provides only for sampling and periodic reviews to monitor the movement of the plume of contaminated ground water. This alternative does not provide for ground water remediation nor does it reduce the further spread of contamination from the Site. The plume of contaminated ground water would continue to migrate towards the public supply wells. The future risks posed by the Site would not be reduced, except by natural processes, e.g., degradation, and the remedial objectives would not be met. This alternative serves only as a baseline against which the other alternatives should be compared. The NCP also provides for evaluation of a "No Further Action" Alternative which considers remedial actions or removal actions previously taken at a specific site. Since public supply wells are equipped with air stripping towers, which eliminate the current risk from exposure to contaminated ground water, this ROD also considers the "No Further Action" Alternative, which is actually more appropriate for the Raymark Site. The operation of the air stripping towers at affected public supply wells is required under the Consent Decrees by and between USEPA, Hatboro and settling defendants. To simplify the discussion of alternatives within the ROD, only the "No Action" Alternative is detailed since the'components of the "No Action" Alternative and the "No Further Action" Alternative are the same, namely monitoring and sampling. The "No Further Action" alternative is similar to Alternative 2 except without air emission controls which are a component of Alternative 2. According to the risk assessment, the lifetime excess cancer risk to potential future ground water users is in the range of 10.4 which means that between 100 and 999 people out of 1,000,000 people drinking contaminated water for a l.ifetime, at exposure levels discussed.. above, could contract cancer. This risk is associated with ground water beneath the Raymark site. USEPA strives to reduce the lifetime excess cancer risk to the 1x10-6 level. Thus, neither the "No Action" Alternative nor the "No Further Action" Alternative provide acceptable protection from cancer risks posed by the Site. Since contaminants from the source area would continue to migrate .. 52 ------- towards the public wells, the timeframe for aquifer remediation. would be exceedingly long. The ARARs or cleanup goals would not be met since contaminants would remain in ground water above the MCLs. In the "No Action" or "No Further Action" Alternatives, the air emissions from the air stripping towers would not be addressed po~ing an additional risk in the 10-5 ~ifetime excess cancer risk range. . ALTERNATIVE 2 Offsite GROUND WATER CONTROL Capital Cost Annual O&M Present Worth Implementation : $288,000 $25,000 : $600,000 : 4-10 months In addition to the common components discussed above, Alternative 2 includes installation, operation and maintenance of vapor phase carbon adsorption units at public supply wells where air stripping towers are installed without emissions controls (H14 and H17). Institutional controls would be used to ensure the continued operation of the public supply wells and treatment units to remediate the aquifer. For example, Hatboro must agree to operate the wells and treat the ground water for the duration of the remediation pursuant to a consent decree. The treatment devices would treat ground water to meet the MCLs and . requirements of the Safe Drinking Water Act, 40 C.F.R. Sections 141.11 through 141.16, before entering the Hatboro Distribution system. The treated water from H14 and H17 will continue to be sampled in accordance with pennsylvania's Safe Drinking Water Act. Hatboro currently samples its wells in accordance with Pennsylvania's Safe Drinking Water Act. An air stripping tower is an effective technology which reduces the levels of contaminant in water. Air stripping towers are currently installed at wells H14 and H17. contaminated ground water is pumped to the top of an air stripping tower and discharged into a column of plastic spheres with large surface area. At the same time, air is forced up through the contam~nated ground water in the tower. Since the contaminants are volatile organic compounds, which tend to leave water and move into air, the air stripping tower. efficiently removes contaminants from the water. The air stream leaving the top of the air stripping tower contains the contaminants which are then vented into the atmosphere. The air stripping towers currently installed on affected Hatboro wells have demonstrated that they reduce contaminant levels below the MCLs. . Preliminary calculations suggest that the total VOC emissions from the air stripping towers would be well below federal and state standards, e.g., National Ambient Air Quality Standards .' 53 ------- (NAAQS) regulated under the Clean Air Act (40 CFR Part 50) which are translated into source specific emission limitations by the Commonwealth of Pennsylvania. '. A more stringent emission rate to be considered is EPA's policy of installing air controls on treatment units which emit more than 3 lbs.jhour or 15 lbs.jday of total VOCs in ozone non- attainment areas (USEPA OSWER Directive 9355.0-28). An ozone non-attainment area is an area in which the NAAQS for ozone is not met. EPA's policy was developed since.most VOCs treated at Superfund sites are precursors ~o the formation of ground level ozone. However, current calculations of air emissions from the air stripping towers suggest that total emission rates would be less than the most stringent standard. Due to the operation of several air stripping towers within and near Hatboro, and due to a calculated lifetime excess cancer risk resulting from exposure to air stripping tower emissions that is in the 10-5 risk range, Alternative 2 would include treatment of the air discharged from the tower. A vapor phase carbon . adsorption unit would be installed on each air stripping tower on Hatboro's wells. As the contaminated air stream exits the air stripping tower it would pass through a bed of activated carbon. As the air moves through the carbon, the contaminants adsorb onto the polar surfaces of the carbon. The air exiting the carbon adsorption unit would then be free of contaminants. Thus, the combination of the air stripping tower and carbon adsorption unit on each of Hatboro's affected wells, would effectively remove contaminants from the ground water and contain them within the bed of activated carbon. When the carbon is saturated with contaminants, i.e., contaminants have adsorbed onto all available surface area, additional contaminants are not removed from air which passes through. The spent carbon, i.e., carbon saturated with contaminants, must be removed, regenerated, and replaced. During the regeneration process, the carbon vendor (the company supplying the carbon) typically heats the carbon to drive off the contaminants and then collects the contaminants. The contaminants could then be completely destroyed or otherwise reused. The spent carbon would be subject to the Land Disposal Restrictions (LDRs) within the Resource Conservation and Recovery Act (RCRA) , as amended (40 C.F.R. Part 268). Transportand handling of spent carbon would comply with all requirements of RCRA and PADER's regulations pertinent to generation, transportation, storage and handling of hazardous waste and residual waste pursuant to 25 PA Code Chapters 260 through 265 and 270 and 25 PA Code Sections 75.21 through 75.38. A detailed summary of the estimated capital and annual operation and maintenance (O&M) costs of Alternative 2 are depicted in Table 16. Alternative 2 costs assume that the Hatboro Borough ~ - . ~~ ------- Water Authority continues to pay for the operation and maintenance of the air stripping towers pursuant to the Consent Decrees. The implementation timeframe is expected to be within 4 to 10 months. ALTERNATIVE 3 OFFSITE AND ONSITE GROUND WATER CONTROL Capital Cost Annual O&M Present Worth Implementation : $1,140,000 $125,000 : $2,700,000 : 10-16 months In addition to all the components of Alternative.2 and the common components discussed above, Alternative 3 includes installation, . operation, and maintenance of ground water extraction wells to reduce the further offsite migration of contaminants from the Raymark Site towards the public .supply wells. The timeframe for aquifer remediation would be shortened since the source area would be isolated by pumping and treating, by air stripping and vapor phase carbon adsorption, near the source area such that contaminants would not travel long distances to be treated at public supply wells. The pumping and treating would continue to maintain the ground water plume within Hatboro. The ground water treated near the site would be discharged to the storm sewer (see Fiqure 2). Treated water would eventually flow to the Pennypack Creek near the Fulmor train station (see Fiqure 1). The actual flow rate and VOC loading rate (amount of contaminant per unit time) for the additional treatment location would not be known until the Ground Water Remedial Design Study is completed and the extraction system is operational. Afterwards, the air stripping towers would be tested to ensure that they perform satisfactorily and the emissions tested to ensure that the appropriate amount of vapor phase carbon has been installed. The testing would include periodic sampling to ensure that the treatment units satisfactorily reduce VOC levels in treated ground water and thus meet the required levels: requirements of a National Pollutant Discharge Elimination System (NPDES) permit. Stream samples would be collected to ensure that the discharge does not result in contaminant levels within the receiving stream to be above the ambient water quality criteria under the Clean Water Act or water quality standards contained within 25 PA Code Chapter 93. The water quality criteria and NPDES discharge requirements are based upon the desiqnated use of the receiving stream requlated by 25 PA Code Chapter 93. The Commonwealth of Pennsylvania requires a "Request for Determination of Requirement for Plan ApprovaljOperatinq Permit 55 ------- Application" be submitted for approval before a new air stripping unit is operated as part of this alternative. PADER would then determine from the information provided on the form whether a plan approval or permit is required, and if so, what""emission limits will be established. A pipeline woUld be constructed from the treatment units to the storm sewer. The discharge flow path is a combination of steel and' 'concrete pipes and cuI verts as well as open ditches. The discharge pathway would be carefully evaluated before use. The pipeline would be sized to accommodate the maximum flow from the treatment units. The construction of the pipeline and the discharge point would consider the location of any identified wetlands or other sensitive habitats. Prior to full operation of the treatment units, appropriate testing of the treated water would be completed to ensure that no impacts to sensitive downstream environments would result from the discharge of treated water into the stream. In addition, pre- and post- discharge samples of stream water and biota would be collected to determine potential effects of the discharge. ~ The amount of contaminants discharged from the treatment unit into the stream would comply with the requirements of a National Pollutant Discharge Elimination System (NPDES) permit pursuant to Pennsylvania's Clean Streams Law (25 PA Code section 92.1 et. sea.) and the Clean Water Act (33 U.S.C. ~ 1251). Requirements of an NPDES permit are contained within 25 PA Code Chapter 92. Substantive requirements of a NPDES permit would include Water Quality criteria and standards established by EPA and the Commonwealth of Pennsylvania under Sections 303 and 304 of the Clean Water Act. Since the discharge would be located in an lIoffsite" area, i.e., into an area of the stream which is not considered part of the Raymark Site, the administrative , requirements of the permitting prpcess would be met and an actual NPDES permit would be obtained. ' A detailed summary of the estimated capital and annual operation and maintenance costs of Alternative 3 are depicted in Table 17. If USEPA, Hatboro and settling defendants modify the Consent Decree to change the treatment location from H2 (as specified in the Consent Decree) to the Penn Fastener property (or nearby), Hatboro would assume much of the costs of operation and maintenance since the Borough already received this money pursuant to the Consent Decree. The implementation timeframe for Alternative 3 is_10 to 16 months. ' :.r " " , ------- Table \b Alternative : Off-Site Pumping With Air Stripping Treatment and Discharge to Water Supply CAP IT AL COSTS Vapor Phase Carbon - Off-Site $200,000 SUBTOTAL 200,000 - CONTINGENCY (20%) 40,000 SUBTOTAL 240,000 ENGINEERING, ADMINISTRATION, AND 48,000 CONTRACTOR FEES (20%) CAPITAL COSTS SUBTOTAL 288,000 . OPERATION AND MAINTENANCE (O&M) COSTS Vapor phase carbon effluent sampling (30 samples @ 12, 000 $400NOA sample) Power (@ $0.10/kW-hr) 4,000 Off-site vapor phase carbon replacement (@ $2.00/lb) 5,000 SUBTOTAL 21,000 O&M CONTINGENCY (20%). 4,000 O&M SUBTOTAL 25,000 PRESENT WORTH O&M COSTS (20 YEARS AT 5%) 312,000 TOTAL PRESENT WORTH VALUE $600,000 (Capital and O&M Costs) Note: Only those costs for off-site treatment components not already in place are included. '. '. ------- Table 17 Alternative :. On- and Off-Site Pumping With Air Stripping, Treatment and Discharge to Surface Water and Water Supply System, Respectively CAP IT AL COSTS Ground Water Extraction S 230,000 Air Stripper - On-Site 200,000 - Vapor Phase Carbon - On-Site 100,000 Vapor Phase Carbon - Off-Site 200,000 Discharge to Surface Water* 250,000 SUBTOTAL 980,000 CONTINGENCY (20%) 196,000 . SUBTOTAL 1,176,000 ENGINEERING, ADMINISTRATION, AND . 235,000 CONTRAcrOR FEES (20%) CAPITAL COSTS SUBTOTAL 1,141,000 OPERATION AND MAINTENANCE (O&M) COSTS Labor @ S25/hour . . 11,000 On-Site air stripper influer.tleffiuent monitoring (30 samples 9,000 @ S3OONOA sample) On-Site vapor phase carbon effiuent sampling (15 samples @ 6,000 S400NOA sample) Off-site vapor phase carbon effiuent sampling (30 samples @ 12,000 S400NOA sample) Power (@ SO.101k W-hr) '. 41,000 On-Site vapor phase carbon replacement (@ S2.00 per Ib) 20,000 Off-Site vapor phase 'carbon replacement (@ S2.oo per lb) 5,000 SUBTOTAL 104,000 O&M CONTINGENCY (20%) 21,000 ------- Table r7 Alternative : On- and Off-Site Pumping With Air Stripping. Treatment and Discharge to Surface Water and Water Supply System, Respectively O&M SUBTOTAL 125,000 PRESENT WORTH O&M COSTS (20 YEARS AT 5%) 1,558,000 TOTAL PRESENT WORTH VALUE S2,969,000 (Capital and O&M Costs) - .(For cost purposes only, discharge to nearby creek rather than to storm sewer was assumed.) Note: Only those costs for off-site treatment components not already in place are included. '. '. ------- Table /8 Alternative: On- and Off-Site Pumping With Air Stripping Treatment and Re-InjeCtion and Discharge to the Water Supply, Respectively CAPITAL COSTS Ground Water Extraction $ 230,000 Air Stripper - On-Site 200,000 Vapor Phase Carbon - On-Site 100,000 Vapor Phase Carbon - Off-Site - 200,000 ReinjeCtion 240,000 SUBTOTAL 970,000 CONTINGENCY (20%) 194,000 SUBTOTAL 1,164,000 ENGINEERING, ADMINISTRATION, AND 233,000 . CONTRACTOR FEES (20%) . CAPITAL COSTS SUBTOTAL 1,397,000 OPERATION AND MAINTENANCE (O&M) COSTS Labor @ S25/hour 11,000 On-Site air stripper influent/effluent monitoring (30 samples 9,000 @ S3OONOA sample) On-Site vapor phase carbon effluent sampling (15 samples @ 6,000 S400NOA sample) Off-site vapor phase carbon effluent sampling (30 samples @ 12,000 S4ooNOA sample) . . Power (@ SO.101k W-hr) 46,000 On-site vapor phase carbon replacement (@ $2.00 per lb) 20,000 Off-site vapor phase carbon replacement (@ S2.oo per lb) 5,000 SUBTOTAL 109.000 O&M CONTINGENCY (20%) 22.000 O&M SUBTOTAL 131.000 PRESENT WORTH O&M COSTS (20 YEARS AT 5%) 1.633,000 TOTAL PRESENT WORTH VALUE S3,030,000 (Capital and O&M Costs) Note: Only those costs for off-site treatment components not already in place are included. ------- ALTERNATIVE 4 OFFSITE AND ONSITE GROUND" WATER CONTROL WITH REINJECTION ", '. Capital Cost Annual O&M Present Worth Implementation : $1,400,000 $131,000 : $3,030,000 : 10-16 months '. Alternative 4 includes all the components of Alternative 3, except discharge to surface water, and the common components discussed above. In addition, Alternative 4 utilizes recharge wells to inject treated water back into the aquifer. A recharge well injects water back into the aquifer under pressure. The water would be injected outside the boundary of the Penn Fastener property to conceptually raise the elevation of the water table and prevent contaminants from migrating offsite. Because the recharge wells would increase hydraulic gradients, they could also decrease the remediation timeframe by causing contaminants to move towards the extraction wells more quickly. ", " A detailed summary of the estimated capital and annual O&M costs for Alternative 4 are depicted in Table 18. The implementation timeframe is expected to be 10-16 months. VIII. Summary of the Comparative Analysis of Alternatives Each of the remedial alternatives for OU2 and OU3 was compared and evaluated against nine criteria to determine which remedial alternative and combination of technologies and process options would best meet the remedial objectives of this response action. The evaluation of remedial alternatives against the nine criteria is required by the NCP (40 CFR, section 300.430(e) (9)(iii». The nine criteria are: Overall Protection of Human Health and the Environment: whether each alternative provides adequate protection of human health and the environment and describes how risks posed through each exposure pathway are el~minated, reduced or controlled through treatment, engineering controls, or institutional controls. ComDliance with ARARs: whether each alternative will meet all of the Applicable or Relevant and Appropriate Requirements (ARARs) "of Federal and S"tate environmental laws and/or justifies invoking a waiver; whether a remedy complies with advisories, criteria and guidance that EPA and PADER have agreed to follow. Lonq-term Effectiveness and Permanence: the ability of each alternative to maintain reliable protection of human health and the environment over time, once clean-up goals have been met. 61 ------- Reduction of Toxicity. Mobility. or Volume throuqh Treatment: addresses the statutory preference for selecting remedial actions that employ treatment technologies that permanently and significantly reduce the toxicity, mobility or volume of hazardous substances. Short-term Effectiveness: the period of time needed to achieve protection and any adverse impacts on human health and the environment that may be posed during the construction and implementation period, until clean-up goals are achieved. - ImDlementability: the technical and administrative feasibility of a remedy, including the availability of materials and services needed to implement a particular option. Cost: estimated capital, operation and maintenance (O&M) , and net present worth costs. State/SuDDort Aqency Acceptance: whether the State concurs with, opposes, or has no comment regarding the preferred alternative. . Community AcceDtance: the pUblic's general response to the alternatives. The following section of the ROD compares each of the remedial alternatives developed in this ROD against each of the nine evaluation criteria. A. Overall Protection of Human Health and the Environment The air stripping tower emissions which would result from implementation of Alternative 1 would not exceed required emissions standards, but could result in risk to public health. The contaminants would be vented into the atmosphere. The nearest residents are within 100 feet of the stripper exhaust outlet. The expected contaminant emission levels would be well below standards under the Clean Air Act and would also be below EPA's more stringent levels to be considered under EPA's air emission control policy (which considers reductions in ground level ozone). However, the emissions still p'resent a risk to nearby residents (which is greater than 1X10.6) which makes vapor phase carbon adsorption units, which are treatment components under Alternatives 2, 3, and 4, more protective. Alternatives 2, 3, and 4 are equally protective of human health. Risks posed by contaminated ground water are addressed by air stripping towers. Risks' posed by air stripping tower emissions are addressed by vapor phase carbon adsorption units. Since treated water that would be discharged to the Pennypack Creek would meet the requirements of a NPDES permit, the stream would be protected since the permit limits consider the designated use of the receiving stream. 62 ------- I -- I B. compliance with-ARARs " Table 19 identifies Applicable or Relevant or Appropriate Requirements _(ARARS) for the alternatives developed in this ROD. Under section 121(d) of CERCLA, 42 U.S.C. Section 9621(d), -and according to USEPA guidance, remedial actions at CERCLA sites must a~tain legally applicable or relevant and appropriate Federal and State environmental~tandards, requirements, criteria, and limitations ("ARARs"). Applicable requirements are those substantive environmental protection requirements, criteria, or limitations promulgated under Federal or State law that specifically address hazardous material found at the site, the remedial action to be implemented, the location of the site, or other special circumstances. Relevant and appropriate requirements are those substantive environmental protection requirements, criteria, or limitations promulgated under Federal or State law which, while not applicable to the hazardous substances at the site, the remedial action, site location, or other circumstances, nevertheless address problems or situations sufficiently similar to those encountered at the site that their use is well suited to that site. " " The Commonwealth of Pennsylvania's ARAR for ground water is that all ground water must be remediated to "background" quality as specified by 25 PA Code Section 264.90 through 264.100. The Commonwealth of Pennsylvania also maintains that the requirement to remediate to background is also found in other legal authorities. Due to the presence of other sources near the Raymark site and regional aquifer contamination, USEPA believes that the background level may be above pertinent health-based levels, e.g., MCLs. In order to restore the aquifer to its beneficial use, EPA would continue aquifer remediation until MCLs, established under the Safe Drinking Water Act (40 CFR, sections 141.11 through 141.16) are met, if practicable. In order to comply with Pennsylvania's requirement to remediate to background quality, the pump and treat system would continue to operate until background levels are met, if practicable. The ground water cleanup ARAR includes MCLs and/or "background" quality, whichever is lower or more protective. However, the cleanup goals may not be met until other sources of contamination to the Stockton Formation are addressed. Thus, the cleanup goal may be met only beneath the site which is consistent with the remedial objectives. The clean up of the entire aquifer would be considered at the time of the final ROD for the site and after other sources of contamination to the aquifer are addressed. 63 ------- TABLE 19 APPLICABLE OR RELEVANT AND APPROPRIATE REQUIREMENTS (ARARs) and TO-BE-CONSIDERED (TBC) REQUIREMENTS CHEMICAL SPECIFIC *** Safe Drinkinq Water Act (42 U.S.C. 300(f)} Maximum Cont~minant Levels (MCLs) (40 CPR ,141.11-141.16) TCE .005 mg/l * 1,1-DCE .007 mg/l * cis 1,2-DCE .070 mg/l * transl,2-DCE .070 mg/1 * VC .002 mg/l * TCA .200 mg/l carbon tete .005 mg/l For water that is to be used. for drinking, the MCLs are. relevant and appropriate standards. The aquifer should be cleaned to these levels, if practicable, in order to return to beneficial use. . Proposed Maximum contaminant Levels (PMCLs) PCE .005 mg/l For water that is to be used for drinking and an MCL is not yet established, a PMCL may be relevant and appropriate. .' . , * Contaminants of concern which are or may be related to the site. MCLs for other contaminants is provided since these contaminants are found within the area of the plume. However, these contaminants are most likely unrelated to the site. " ------- *** Clean Water Act (33 U.S.C. 1251) Federal Water Quality criteria (FWQC) (Qualitv criteria for Water, 1986, 51 CFR 43665) protection of human health Water and Fish Ingestion DCE PCE TCA TCE VC CT -" .000033 - .0008 18.4 - .0027 - .002 .0004 Fish Consumption mg/l mg/l mg/l mg/l mg/l mg/l .0019 .0089 1000 .0081 .525 .0069 PennsYlvania Chemical-Specific ARARs *** Clean Streams Law (25 PA Code Section 93.1 et. ~) Water Quality Standards ACTION SPECIFIC mg/l mg/l mg/l mg/l mg/l mg/ 1 *** Clean Air Act (Part D) (42 USC sections 7401-7642) National Ambient Air Quality Standards (NAAQS) (40 CFR Part 50) Ozone - 0.12 ppm (1 hour) Federal standards which must be met in the stream adjacent to the Raymark Site. These standards are relevant and appropriate since the stream may be used for recre~tional purposes. State standards for the quality of Pennsylvania's surface water. The NAAQS for ozone should not be exceeded more than 1 time per u year. VOCs are precursors to the development of ground-level ozone. Pertains to use of air ..strippers. ------- *** Resource Conservation and Recoverv Act (42 U.S.C. 6901) Land Disposal Restrictions (40 CFR 268.1~268.50) Requires use of specific technology to treat specific hazardous wastes. Spent carbon from carbon adsorption units is most likely a characteristic RCRA waste. General handling, transportation of hazardous waste (40 CFR Parts 262, 263) Transportation and handling of,charac- teristic hazardous wastes to comply with all requirements of RCRA. 'The spent carbon from the carbon adsorption units would most likely be a characteristic RCRA hazardous waste. Underqround Iniectiori Control Requlations (40 CFR Parts 144, 145, 146, 147) Provides regulations governing injection of treated water back into the aquifer (Class IV well). Injected water could not exceed drinking wat~r standards. Pennsylvania Action-Specific ARARs *** 25 PA Code sections 127.1 et. seq. Requires that air emissions from new sources, such as air stripping towers, be controlled with best available technology. In addition approval is required for any air stripping/soil venting plan. ' ------- *** 25 PA Code Sections 92.1 et. Average Monthly Limit 73 ug/l no limit no limit 730 ug/l ~ Sets forth provisions for the NPDES program administration within Penna. PAD~R would set discharge limitations based upon the designated uses of the receiving stream and Site-specific parameters related to the design of the proposed treatment system. carbon tetra. PCE trans 1,2-DCE TCE *** 25 PA Code'Section 264.90 through 264.100 Requires that all ground water must be remediated to background quality. *** 25 PA Code Chapters 260 through 265 and Chapter 270 Regulates generation, transportation, storage, and treatment of hazardous waste. *** 25 PA Code Sections 75.21 through 75.38 Regulates generation, transportation, storage, and treatment of residual waste. , . *** 25 PA Code 123.1 et ~ Regulates fugitive emissions during construction activities. *** REQUIREMENTS TO-BE-CONSIDERED EPA OSWER Directive 9355.0-28 Air Stripper Control Policy Suggests that total VOC releases from air strippers should not exceed 3 lbs/hr. *** 'rhese ARARs are ~pecific to the selected remedial action ------- No alternative would exceed National Ambient Air Quality standards (NAAQS) .established under the Clean Air Act (40 C.F.R. Part 50) and regulated by the Commonwealth of Pennsy~vania. However, EPA has established a more stringent policy to be considered in Superfund cleanups which occur in ozone non- attainment areas. The most stringent emission rate from all sources employed in a Superfund cleanup would be3 lbs./hour or 15 lbs./day of total VOCs (USEPA OSWER Directive 9355.0-28). Current calculations suggest that total emissions from the air stripp~rs would not exceed 15 lbs./day. - The Commonwealth of Pennsylvania requires a "Request for Determination of Requirement for Plan Approval/Operating Permit Application" be submitted for approval before a new air stripping unit is operated as part of this alternative. PADER would then determine from the information provided whether a plan approval or permit is required, and if so, what emission limits will be established. Alternatives 2, 3, and 4, which employ vapor phase carbon adsorption units, would not cause release of contaminants into the air. The spent carbon, however, would require regeneration or disposal which would be subject to Land Disposal Restrictions contained within the Resource Conservation and Recovery Act (RCRA), as amended (40 C.F.R. Part 268) and other applicable requirements of RCRA (transportation and handling requirements at 40 CFR Parts 262 and 263). The Commonwealth of Pennsylvania requires that hazardous waste and residual waste be handled, transported, and treated pursuant to 25 PA Code Chapters 260 through 265 and Chapter 270 (hazardous waste) and Sections 75.21 through 75.38 (residual waste). The spent carbon, which is saturated with volatile organic compounds, would be a characteristic RCRA hazardous waste. Thus, the spent carbon would be subject to the Land Disposal Restrictions. Typically, the carbon vendor, who would have appropriate RCRA permits, regenerates the carbon and destroys or recycles the volatile organic compounds in accordance with applicable RCRA regulations. .. Alternative 4, which relies upon aquifer recharge wells, would need to comply with the substantive requirements of an underground injection control program permit under the Safe Drinking Water Act (40 C.F.R. Parts 144, 146 and 147). Alternative 3, which relies upon discharging treated ground water into a nearby sur£ace water body, would comply with the requirements of, and would obtain, a National Pollutant Discharge Elimination System (NPDES) permit which is regulated by the Commonwealth of Pennsylvania under the Clean Streams Law (25 PA Code Chapter 92). In addition, the contaminant levels in the stream would comply with ambient water quality criteria established under the Clean Water Act (Section 303) and Pennsylvania water quality criteria established under the Clean 67 ------- streams Act (25 PA Code Chapter 93). The treatment technologies in each of the al~ernatives can be designed to meet required standards. " C. Long-term ..Effectiveness and Permanence " Alternative 3 employs reliable treatment technologies. Since carbon adsorption units would be used to treat air emissions, the contaminants would not be vented into the atmosphere. The levels of contaminants in the ground w~ter would be reduced to drinking water standards or background, if practicable. Long-term periodic sampling would be required to ensure that the air stripping towers and carbon adsorption units are properly maintained and are operating according to performance standards. Alternative 3 is therefore a permanent remedy which is the most effective over the long term.. Alternative'l, which relies upon air stripping towers currently operating within Hatboro has fewer operation and maintenance requirements than other alternatives, but may need additional controls installed if emission rates exceed required standards. Alternatives which include vapor phase carbon adsorption units to air stripper emissions may require increased sampling frequency to ensure that contaminants do not break through the carbon. However, if contaminants break through the carbon unit, the resultant release would'not exceed any required standards. Alternatives which employ carbon treatment units would result in the destruction of contaminants whereas alternatives which employ air stripping towers only would result in uncontrolled releases of contaminants into the atmosphere (at levels which are considered to present a risk to nearby residents). Alternative 4, which employs aquifer recharge wells is sUbject to potential failure if recharge wells are not properly maintained. Recharge wells tend to clog over time necessitating continued maintenance. In addition, recharge wells could cause contaminants to migrate outside the capture zone of the extraction wells resulting in residual risk remaining within the ground water system. .) D. Reduction of Toxicity, Mobility, or Volume through Treatment Alternative 3 provides the greatest reduction in contaminant volume, toxicity, and mobility. The contaminants, which were dispersed throughout the ground water would be adsorbed onto activated carbon and collected for appropriate disposal or destruction. Treated water woul~ no longer contain toxic levels of contaminants. Aquifer recharge wells could potentially result in the movement of contaminants outside the capture zone of the ground water extraction. system. 68 ------- Table 8 OFF.SITE NO AcnON SCENARIO: REASONABLE MAXIMUM EXPOSURE. EXCESS UFETIME CANCER RISKS'. . Estimated Excess Lifetime Cancer Ris~ Well No. Ingestion Inhalation' Totald HI, H2, H3e 5 x 10-6 - 1 x 10-5 2 x 10-5 H7 1 x 10-6 2 x 10-6 3 X 10-6 H12 1 x 10-6 2 x 10-6 3 x 10-6 H14 1 x 10-4 2 x 10-4 3 X 10-4 H16 4 x 10-6 8 x 10-6 1 x 10-5 H17 1 x 10-4 2 X 10-4 3 x 10-4 -off-site No Action Scenario Assumptions: 1. No treatment of wells. 2. Residential use of ground water directly from Hatboro wells. 3. No blending with non-contaminated wells. 4. Exposure parameters: Daily water intake Body weight No. of days/year exposed No. of years exposed 2 liters/day 70 kg 350 30 5. 95th percentile concentration of contaminants of concern. . bRepresents total risk from TCE and vinyl chloride in drinking water. 'Intake from inhalation exposures assumed to be two times that from ingestion of drinking water. ~um of ingestion and inhalation risks.. ~ata for wells HI, H2, and H3 were combined into one data set. ------- Alternative 1, which employs air stripping towers without vapor phase controls would reduce contaminant toxicity, but would then vent the contaminants into the atmosphere. The ground water risk posed by the Site (Well PF-1) is in the range of 10.'. The risk posed by the.emissions from the air stripping towers to nearby residents is in the range of 10.5. '. E. Short-term Effectiveness USEPA anticipates that implementation of any of the alternatives would not result in increased exposure to contaminants. However, if contaminants continue to migrate from the Site towards the public supply wells, the contaminant levels at the public supply wells could increase. Since the timeframe for aquifer remediation determines the time it takes to achieve the cleanup goals, any steps to decrease the remediation timeframe (Alternatives 3 and 4) helps to increase the short-term effectiveness of the remedy. F. Implementability Additional fieldwork must be completed before an efficient remedy can be designed and constructed. Therefore, actual construction requirements, and associated implementation requirements, are unknown, but estimated, at this time. However, the technologies considered in each alternative are generally easily constructed from readily available components. EPA has extensive experience implementing ground water pump and treat remedies. Alternative 4, which employs aquifer recharge wells rather than surface water discharge, may be unreliable since recharge wells may be difficult to locate and construct to efficiently inject treated water back into the aquifer. Each alternative requires coordination with the Pennsylvania Department of Environmental Resources. Surface water discharge requires development of . discharge requirements, aquifer recharge wells require development of permit requirements, and air stripping towers require development of operation and management plans. . G. Cost The estimated cost of each alternative is depicted in Table 20. Alternative 3 provides the most protection and the shortest remediation timeframe for a reasonable cost. Alternative 2 is less costly, but would not address contaminants at the Raymark Site, thus the remediation timeframe would be increased. Alternative 4 is more. costly, yet subject to potential failure 69 ------- ALTERNATIVE CAPITAL COST TABLE 20 RAYMARK SUPERFUND SITE SUMMARY OF ESTIMATED COSTS ANNUAL O'M COST PRESENT WORTH COST IMPLEMENTATION TIME (MONTHS) 1. NO ACTION / NO FURTHER ACTION 2. OFF-SITE GW CONTROL 3. OFF- AND ON- SITE GW CONTROL 4. OFF- AND ON- SITE GW CONTROL AND REINJECTION o 288,000 1,140,000 1,400,000 11,600 145,000 25,000 600,000 125,000 2,700,000 o 4-10 10-16 131,000 3,030,000 10-16 .' ------- and the possibility of s~reading the contaminants into currently unaffected areas. . . . . H. state/support Agency Acceptance The Commonwealth of Pennsylvania concurs with EPA's selection of Alternative 3. . . I. Community Acceptance A pUblic comment period was held from August 15, 1990 to september 17, 1990. A public meeting was also conducted on August 30, 1990. The public expressed a great deal of interest and concern about the RaYmark site and the contaminated aquifer. The primary issues revolved around the characteristics of the. site and the extent and nature of the contamination. Nearly all of the public comments focused on technical issues which were not specific to the selection of a remedy for the Site, but requested' clarification and additional information on Site-related issues. In general, the public agrees with EPA's selection of ~lternative 3 to remediate contaminated ground water from th~ RaYmark Site. The PRPs for the RaYmark site submitted comments indicating that they disagree with USEPA's conclusion that Alternative 3 is the best alternative for the site. Instead, the PRPs indicate that the remediation should proceed in accordance with the consent decree already entered between USEPA, Hatboro and settling defendants. USEPA's response to public comments is contained within the Responsiveness Summary of this ROD (Appendix A). IX. Selected Remedy The remedial action alternatives included in the final analysis for OU2 and OU3 of the RaYmark Site were: 1. No Action / No Further Action, 2. Offsite Ground Water Control, 3. Offsite and Onsite Ground Water Control, and 4. Offsite and Onsite Ground Water Control with Reinjection. 71 ------- The selected remedial alternative for OU2 and OU3 of the Raymark site is Alternative 3. specifically, this ROD selects: 1. Completion of a ground water remedial design 'study to determine the most efficient design of a ground water extractipn and treatment system. 2. continued operation and maintenance of public water supply wells by the Hatboro Borough Water Authority. 3. Continued operation and~aintenance of air stripping towers installed at contaminated public water supply wells by the Hatboro Borough Water Authority. 4. Installation, operation, and maintenance of vapor phase carbon adsorption units at public water supply_wells equipped with air stripping towers. 5. Installation, operation, and maintenance of onsite ground water extraction wells to remove contaminated ground water: from beneath the site and to prevent contaminants from migrating offsite. 6. Installation, operation, and maintenance of air stripping treatment at onsite ground water extraction wells to treat ground water to required levels. 7. Installation, operation, and maintenance of vapor phase carbon adsorption units on onsite air stripping towers. 8. Construction, operation, and maintenance of a pipeline from the onsite ground water treatment plant to the storm sewer system to discharge treated ground water into the storm sewer system and then offsite to the Pennypack ,Creek. 9. Periodic sampling of ground water and treated water to ensure treatment components are effective and ground water remediation is progressing towards the cleanup goals. 10. Institutional controls to ensure that the Hatboro Water Authority continues to operate public water supply wells equipped with treatment systems. The number, location, and construction specifics of the onsite ground water extraction well system would be determined upon completion of the Ground Water Remedial Design study. USEPA anticipates completing this study in the Fall of 1990. Similarly, the design specifications and performance criteria for the treatment units (and associated pumps and piping) to be installed at the Site would be determined once the extraction wells are located and ground water flow rates and contaminant " 72 ------- loading rates for the treatment units are established. .. D In addition to the components of the remedial altern~tive discussed above, a pre-discharge evaluation of the stream biota would be conducted for the purpose of providing a baseline against which. any potential impacts of the discharge or treated ground water upon the receiving stream could be evaluated. An effluent toxicity test would also be performed on the treated discharge. In addition, post-discharge downstream sampling would be conducted to evaluate the persistence of toxicants potentially discharged from the treatment units. During pre- and post- discharge sampling of the receiving stream, potentially sensitive environments, e.g., limited wetland areas within the stream channel and floodplain, would be monitored and evaluated to ensure that no potentially adverse impacts result from the discharge of treated ground water into the Pennypack Creek. " As part of Alternative 3, background concentrations of each contaminant will be determined through ground water monitoring at upgradient wells. Remediation of ground water will proceed unti~ background quality is achieved unless attainment of background is determined to be infeasible or is otherwise waived under Section 121(d) (4) of CERCLA, 42 U.S.C. Section 9621(d) (4). Additionally, based upon information obtained by USEPA during onsite investigations and upon a careful analysis of all the remedial alternatives and knowledge that the source of contamination at the Site will be addressed in OU1, USEPA believes that the selected alternative for ground water would reduce contaminant levels in ground water migrating from the site to health-based levels thereby contributing to the restoration of the aquifer to its beneficial use. It remains unclear, however, . if the selected remedial alternative would reduce contaminant levels to backgro~nd levels as required. by PADER, especially if those levels are considered to be zero. It may become apparent, during implementation or operation of the ground water extraction system, that contaminant levels beneath the site have ceased to decline and are remaining constant at levels which are higher than the cleanup goals, which are considered to be MCLs and/or background levels, whichever is lower or more protective. In such a case, the system performance standards and/or the ground water remedy may be reevaluated. The selected remedy includes ground water extraction, treatment, and discharge for an estimated period of 20 years. The entire aquifer tapped by the Hatboro public well system would not be remediated within 20 years, due to the existence of contamination sources other than the RaYmark Site, but USEPA anticipates that contaminant levels within the source area (i.e., beneath RaYmark) could be reduced to health-based levels, within 20 years provided that the source area itself is treated (under OU1). - Thus, the RaYmark Site would no longer contribute contamination to the 73 ------- aquifer beneath Hatboro presenting an unacceptable risk. The remediation systeml~ performance would be carefully monitored on a regular basis and adjusted, as warranted, throughout the period of remediation. For example, certain extraction wells could be removed from service, pumped at higher or lower levels, or pumped intermittently to improve the performance of the extraction system. The point of compliance, or the point at which the cleanup goals would be met, if practicable, far this ROD is the downgradient boundary of the Penn Fastener, Inc. property. This ensures that the site no longer contributes to aquifer contamination. The area of attainment (the plume) contains contaminants from multiple sources, including the site. The selected alternative in this ROD would not meet cleanup goals throughout the aquifer until such time that all sources of contamination to the aquifer are addressed. In order to restore the aquifer to its beneficial use, the remediation system implemented in each of the alternatives would. operate until Site-specific remediation goals are achieved. Thus the aquifer would be remediated until the contaminate levels reach the MCLs, Non-zero MCLGs, or background, whichever are lower. If implementation of the selected remedy demonstrates, in corroboration with hydrogeological and chemical evidence that it will be technically impracticable to achieve and maintain the remediation goals throughout the area of attainment, the USEPA in consultation with the Commonwealth of Pennsylvania, intends to amend the ROD or issue an Explanation of Significant Differences to inform the Public of alternative groundwater goals. If it is determined, on the basis of the preceding criteria and the system performance data, that certain portions of the aquifer cannot be restored to their beneficial use, all of the following measures involving long-term management may occur, for an indefinite period of time, as a modification of the existing system: a) low level pumping would be implemented as a long-term gradient control, or containment, measure: b) institutional controls would be provided/maintained to restrict access to those portions of the aquifer which remain above health-based goals and to ensure that public wells are routinely monitored and treated as necessary. The decision to invoke any or all of these measures may be made during a periodic review of the remedial action, which would . .. ------- occur at 5-year intervals. After the remediation is completed, the lifetime excess cancer risk levels posed by the Site would be within the 10"4 to 10'6 excess cancer risk range consistent with the NCP. X. Statutory Determinations for the Selected Remedy The selected remedy which was outlined in Section X satisfies the remedy selection requirements ot section 121 of CERCLA (42 U.S.C. Se~tion 9621) and the NCP (40 C.F.R. Section 300.430(e». The remedy provides protection of human health and the environment, achieves compliance with ARARs, utilizes permanent solutions to the maximum extent practicable, contains treatment as a princip~l element, and is cost effective. A. Protection of Human Health and the Environment The selec~ed alternative is protective of human health and the environment. The ground water remediation would reduce contaminant levels beneath the site to MCLs, non-zero MCLGs, or background levels, whichever is lower, and would reduce the further migration of Site-related contaminants toward public supply wells. The ground water discharged from the treatment units into the Pennypack Creek would be treated to levels protective of the receiving stream. The residual lifetime excess cancer risk restilting from site-related contamination is expected to be reduced below the 1x10.6 risk level, but would certainly be reduced within the acceptable range defined within the NCP (i.e., 10'4 to 10.6). The residual risk resulting from Site-related non- carcinogenic compounds is expected to be less than 1. USEPA expects to meet the ground w~ter cleanup goal at the downgradient boundary of the Penn Fastener, Inc. property, if practicable. Thus, the Site would not contribute further contamination to the aquifer tapped by the Hatboro public well system. After Site remediation is completed, contaminants would not continue to migrate from the Site towards public wells. The cleanup goal may not be met beyond the property line due to the presence of other contamination sources and regional contamination. This ROD provides for control of the entire plume via pumping and treating at public wells, but does not provide for remediation of the plume to cleanup goals. The ground water pump and treatment components of this ROD may be used to remediate the entire plume. Because contamination currently within public wells originated in part from the RaYmark Site, treatment at public wells is a necessary component of remedial alternatives considered for OU2 and OU3. USEPA would meet drinking water treatment requirements 75 ------- at the location of individual public wells. Thus, the ground water would be treated to'MCLs before entering the distribution system. Each of the drinking water wells is equippe~ with a sampling tap which allows samples to be obtained as water is pumped from the ground. USEPA expects'to meet the NPDES discharge requirements at the point of discharge into the storm sewer system near the site. The 'remedy would not rely upon further dilution within the storm sewer system. - USEPA expects to meet ambient water quality criteria and water quality standards downstream of the point of discharge into the Pennypack Creek. Thus, potential impacts to the Pennypack Creek would be minimized. No unacceptable short-term risks or cross media impacts would result from implementation of the selected remedial alternative. B. Compliance with ARARs i i ' It is expected that the selected remedy will comply with all ARARs, which are identified in Table 19. If EPA determines that it is not technically practicable to reach the chemical specific ARARs, EPA may choose to waive the ARARs in accordance with Section 121 of CERCLA. C. Cost Effectiveness The selected remedy is cost effective. Alternative 4is more costly and provides no additional protection of human health. Alternative 2 is less costly, but does not address the continued migration of contamination from the Raymark Site towards the' public supply wells. Vapor phase carbon adsorption units would be installed even though the estimated lifetime excess cancer risk levels resulting from air emission would be within the acceptable risk range defined within the NCP (i.e., 10.4 to 10"6) and the anticipated emission rates would be below ARAR levels. The installation of the air treatment at all wells is justified by the proximity of residents to the air stripping towers and the large amount of uncertainty involved in modelling actual risks to receptors within 100 meters of the air stripping towers. Additionally, the presence of at least 5 existing and proposed air strippers within and near Hatboro justifies the use of air controls to minimize combined risks from all air strippers. Carbon adsorption is less expensive than other remedial technologies considered to treat air emissions from the air stripping towers. , , The selected remedy provides the highest level of protection for reasonable cost. The selected remedy provides overall effectiveness proportionate to its costs, such that it represents 76 ------- a reasonable value for the money to be spent. The estimated capital cost of Alternative 3 is $1,140,000. The estimated annual operation and maintenance cost is $i2S,000. D. utilization of Permanent Solutions to the Maximum "Extent Practicable" '. The selected" remedy employs p~rmanent solutions employing " treatment of hazardous substances released from the Raymark Site. - " Those criteria potentially affecting the long-term operation and maintenance and the effectiveness of the remedy (e.g., long-term effectiveness, implementability, and cost) were most critical in the selection decision. A surface water discharge is easier to implement and maintain than aquifer recharge wells. In addition, surface water discharge is less costly than aquifer recharge wells and should not be subject to failure. The combination of air stripping and vapor phase carbon adsorption would result in the complete destruction of the contaminants upon regeneration of the spent carbon. Thus, the contaminants would no longer pose a risk to human health and the environment. The Commonwealth of Pennsylvania and the public supported EPA's selection of Alternative 3. E. Preference for Treatment as a Principal Element The selected remedy utilizes proven and readily available treatment technologies to reduce ground water risks posed by site-related contaminants. The remedy employs treatment as its principal element. " 77 ------- " " APPENDIX A RESPONSIVENESS SUMMARY ------- RESPONSIVENESS SUMMARY Raymark Superfund site Hatboro, Montgomery County, Pennsylvania '. A. Overview USEPA's preferred remedial alternative, i.e., on-Site and off- Site Ground Water Control, for Operable Units 2 and 3, was outlined in the Proposed Plan and released to the public on August 15, 1990. During the 3D-day comment period (August 15, 1990 through september 17, 1990) and public meeting (August 30, 1990), comments were received from 3 residents and from representatives of the potentially responsible parties. In general, the comments from residents living in Hatboro supported USEPA's selection of Alternative 3. In general, the potentially responsible parties disagreed with USEPA's decision to remediate ground water at or near the source of the contamination. Instead, they believe that the remediation should continue as specified in the Consent Decree between USEPA and Raymark, et. ale . . Based upon the comparative analysis of alternatives discussed within the Record of Decision (ROD), and after review of the comments received during the public comment period, USEPA has selected Alternative'3, Off-Site and On-site Ground Water Control, to address Operable units 2 and 3 of the Raymark Site. B. Summary of Comments Received During Public Comment Period The public comment period was held from August 15, 1990 through September 17, 1990. A public meeting was held August 30, 1990. A stenographic report of the public meeting was prepared by USEPA. USEPA reviewed, evaluated, and considered comments contained within several sources. The sources include: A. Stenographic Report of the pUblic meeting prepared by USEPA, August 30, 1990. B. Nolan Hare letter to Michael Towle (USEPA) September 14, 1990. C. Thomas Rotchford letter to Michael Towle (USEPA) September 13, 1990. D. Bradford Whitman (Dechert Price & Rhoads) letter to Michael Towle (USEPA), submitted on behalf of Richard Walker (owner) and Penn Fasteners (operator) of the Site, September 17, 1990. ------- E. Brendan Collins (~allard, Spahr, Andrews & Ingersoll) letter to Michael Towle (USEPA), submitted on b~half of Raymark Industries, Inc., including comments from BCM Engineers, September 17, 1990. Comments raised during the public comment period on the Proposed Plan are summarized below. Following each comment summary is USEPA's response. COST/FUNDING ISSUES 1~ EPA received comments concerning who would pay for . implementing the remedial alternative for OU2 and aU3. EPA RESPONSE - EPA 'would offer the opportunity to implement the remedial alternative to the potentially responsible parties (PRPs). If the PRPs choose to implement the alternative, they would pay for the costs of implementation and yearly operation and maintenance costs. If the PRPs do not commit to implementing the remedy, EPA would pay for the costs of remediation and would reserve the right to institute a cost recovery action against the PRPs. The money to pay for the remedy would come from the' Superfund which comes from a tax on chemical companies. Currently, Raymark Industries, Inc. and Penn Fasteners, Inc. have agreed to pay for the operation and maintenance of two treatment units on Hatboro public wells pursuant to the Consent Decree. DECISION MAKING PROCESS 1. EPA received comments suggesting that the Proposed Plan is inconsistent with the National Contingency Plan (NCP) because EPA has not conducted a Remedial Investigation (RI) ~t the site pursuant to the NCP (40 C.F.R. Section 300.430). Specifically, the commentator suggests that the existing studies, which EPA substituted for an RI Report, were not designed to adequately determine the nature and extent of contamination at the site pursuant to 40 C.F.R. section 300.430(d) (l)(iv) of the NCP. In addition, one commentator felt that the RI for the site was inconsistent with the NCP since it did not address the source of contamination, i.e., soil. EPA RESPONSE - EPA believes that the Proposed Plan was developed from information which is consistent with the NCP. The NCP requires that an RI/FS be conducted to assess Site conditions and evaluate alternatives to the extent necessary to select a remedy. The purpose of the RI is to collect data necessary to adequately characterize the site for the purpose of developing and evaluating effective remedial alternatives (NCP at 40 C.F.R. 2 ------- section 300.430(d». In conducting an RI for Operable Units 2 and 3, EPA has completed.field investigations intended to assess the extent to which the source can be adequately identified and characterized pursuant to the NCP (40 C.F.R. Section' 300.430(d) (2) (iv». An RI/FS for the source area (OU1) is ongoing. At this time, the extent of the ground water data and information is adequate.to allow EPA to develop .and evaluate appropriate remedial alternatives for contaminated ground water. The. contaminated soil (source area) will be addressed by the response action selected for OU1. " . - 2. One commentator states that the Proposed Plan is inconsistent with the NCP because the ground water. operable unit (OU3) can not be effectively treated prior to remediation of the soil/source control operable unit (OU1) since contaminants will continue to migrate into ground water while remediation is ongoing. In . addition, the commentator suggests that the Proposed Plan is inconsistent with the NCP since proceeding with ground water remediation before the source is addressed would impair the effectiveness of the remedy (40 C.F.R.Section 300.430(e){9) (C)-~ (E). Other commentators agreed that remediation of ground water before remediation of the source area is not logical. EPA RESPONSE - Addressing the remediation of ground water before remediation of ~oil (source) .is not inconsistent with the NCP. The site was separated into operable units primarily to achieve significant risk reduction from exposure to contaminated ground water and to expedite total site cleanup consistent with the NCP (40 C.F.R. section 300.430(a) (l) (ii». In addition, the implementation of a soil remediation alternative in OUl would be enhanced by operation of components of OU3. Specifically, a ground water remediation system will lower the water table beneath the Site and thus increase the depth of the unsaturated zone which could be remediated, since most of the innovative and/or proven soil remediation technologies, including the remedy to be pilot-tested at the RaYmark Site, are hindered by saturated soil conditions. Implementation of OU2 and OU3 before the source remediation alternative is implemented would not preclude or be inconsistent with final Site remediation. 3. EPA received comments suggesting that since TCE remains in the soil, and is possibly leaching into the ground water, that EPA should address the soil contamination. EPA RESPONSE - EPA does not currently have sufficient data for selecting a remedy for the soil. Rather than wait the additional time to address the soil and the ground water .together, EPA has .opted to remediate the groundwater. 3 ------- REMEDIAL ALTERNATIVE PREFERENCES 1. Comments received questioned why USEPA did not elect to pump ground water from the Raymark site (e.g., well PF-1);' but chose instead to pump ground water from the Hatboro H1, H2, H3 . location. One commentator suggests that the off-Site pumping location, e.g~., H1, H2, H3, has advantages over on-Site pumping which include preventing contaminants from migrating to Hatboro public supply wells. EPA RESPONSE - Based upon data existing at the time of the trial and Consent Decree, the H1, H2, H3 location appeared to be hydraulically connected to the PF-1 well and could thus substitute as a remediation location. In addition, USEPA believed, at that time, that operation of a well at H1, H2, H3 (rather than PF-1) would be more implementable since facilities required to operate and maintain the well were already in existence. Based upon information collected in 1989 during performance of the work plan attached to Consent Decree, USEPA determined that remediation at H1, H2, H3 may not remediate shallow ground water (which is the most contaminated) beneath the site. . 2. EPA received. comments which questioned the preference for installing air emission controls from air strippers when the air emissions do not present a significant risk to the community and do not exceed applicable standards. EPA RESPONSE - The risk assessment conducted by EPA indicated that the emissions from the air stripping towers currently operating in Hatboro could result in an excess lifetime cancer risk which is in the 10-5 risk range. In other words, there may be an extra 10 to 99 chances in 1,000,000 of contracting cancer from a lifetime of exposure to air stripper emissions. The NCP provides that an acceptable risk range is between 10.4 and 10.6. However, EPA strives to reduce risk to the 1x10.6 level (1 in 1,000,000) and thus uses this level as the point of departure as provided within the NCP. A response action for uncontrolled emissions from air strippers within Hatboro is justified by the risk posed by these emissions. TECHNICAL CONCERNS 1. Comments received suggested that the hydrogeology beneath the Site has not changed, yet USEPA evaluated alternatives which differ from the remedy contained within the Consent Decree. Vertical or horizontal ground water flow in the shallow aquifer may be impossible to define due to joints and fractures in the bedrock. The shallow aquifer is poorly transmissive. The deeper aquifer, greater than 125 feet, is highly transmissive and thus ground water remediation should focus on this depth. '. 4 ------- EPA RESPONSE - USEPA agrees that the hydrogeology beneath the site has not changed since the Consent Decree between USEPA and settling defendants was entered. Since the Consent Decree was entered, however, USEPA has obtained additional information about the aquifer during the course of the work plan implemented by the Consent Decree. The information indicates that the shallow ground water is highly contaminated and a zone between the shallow zone and deeper (greater than 125 feet) zone is poorly transmissive and not highly contaminated. USEPA now believes that remediation proceeding solely at existing public wells would not efficiently remediate ground water beneath the site. Contamination in the shallow zone (above an approximate depth of 125 feet) would first be "pulled" through a zone of poorly transmissive bedrock, which is not highly contaminated, and then would need to travel long distances for treatment at existing public wells. USEPA believes, based upon current information, that remediation of ground water beneath the Site should include pumping from the shallow ground water zones to prevent the contaminants from migrating down into the deeper zones' which are-- tapped by the public supply wells. Additionally, based upon" information collected in 1989, the public wells draw ground water primarily from depths greater than 125 feet, thus, the public wells could "drag" Site contaminants, which have not already migrated from the Site deeper into the aquifer. . 2. Comments received indicated that TCE would most migrated through the shallow ground water into the water over the ten years that passed since TCE use discontinued at the Site. likely have deeper ground was EPA RESPONSE - The results of packer tests conducted in 1989 indicate that the shallow ground water zones are significantly more contaminated than the deeper ground water zones. Thus, the data indicates that although TCE is migrating into deeper ground' water, the shallow system is still most impacted. 3." Comments received questioned EPA's delineation of the 'extent of the plume of contamination. Commentators believed that it may be impossible to define the plume at the site. Another. commentator suggested that an off-site RI be' conducted or that the RI for the site include evaluation of off-site sources. In addition, one commentator questioned EPA's selection of the Site boundary to define-the plume. " EPA RESPONSE - USEPA agrees that once TCE has migrated from the Raymark site it most likely mixes with area wide contamination. site-related contaminants may be indistinguishable from similar contaminants released from other potential sources. EPA does not assume, however, that the Raymark Site boundaries delineate. the targeted plume. The plume beneath Hatboro may result from b several sources. The remedial alternatives evaluated by EPA '5 '. ------- would prevent contaminants from the Raymark site from further contaminating the aquifer. Typically, an RI/FS focuses on the extent of contamination from a single Site. The extent to which the contaminants from a single site mix with contami~ants from other sources of contamination to the aquifer are difficult to determine and beyond the scope of a site-specific RI/FS. However, background contamination is considered in the development and selection of remedies to address site-related contamination. since the contamination which originates from the site may mix with contamination from other sources within the aquifer once it migrates beyond~he Site boundary, EPA may use the site boundary to define the point at which the cleanup goals would be met. . . 4. Comments received questioned whether EPA could meet its cleanup goals and questioned expenditure of funds to remediate the aquifer if cleanup or remedial goals could not be achieved. The 20-year remediation timeframe was also questioned as it pertained to achieving cleanup goals. In addition, one commentator indicated that on-Site pumping may not prevent. contaminants from migrating off-Site. Another,commentator suggested that without an RI, EPA can not state that the Site is a major source of contamination to the aquifer. . . EPA RESPONSE - EPA would remediate ground water, and continue to remediate ground water, until the cleanup goals are met, if practicable. The cleanup goals are determined by applicable or relevant and a~propriate requirements (ARARs) of Federal and State environmental laws. For example, ground water remediation would continue until "background" ground water quality is achieved pursuant to 25 PA Code Section 264.90 through 264.100, i.e., until the Site no longer contributes contamination to the aquifer above background levels, if practicable. If EPA determines, during the course of remediation that the cleanup goals may not be achieved, a waiver of the ARAR may be invoked. For comparison purposes, EPA calculated the remediation timeframe to be 20 years. Within 20 years, the ground water beneath the site may be cleaned to ARAR levels, but the ground water beneath Hatboro may not. EPA expects to design a remedy which would enable cleanup goals to be achieved. It certainly is possible that the remedy designed may not prevent all contaminants from migrating from the site. However, if the remedy is not working, as determined by EPA, the operation or design may be modified such that the cleanup goals may be achieved. The results of water level recording in 1987 and 1989, and packer testing and geophysical logging conducted at well PF-1 and/or well H2 in 1989, indicate that the Site is a significant source of contamination to the aquifer and that ground water from the site flows towards contaminated public wells.. 6 ------- 5. A citizen inquired whether the carbon filter units to be installed on the ~ir stripping towers would be similar to granular activated-carbon water filter systems simil~r to those that could be purchased by homeowners. Do the filters remove TCE from water? '. . . EPA RESPONSE - The units are the same in principle. The con~aminants are removed from the media (air or water) passing through the filter. The units to be installed on the air strippers will remove TCE from the air. A homeowner's unit should remove TCE from water. '. 6. One commentator suggested that the air emissions from the air stripper be routinely tested and that the surface water be tested to determine effects from the discharge of treated water into the Creek. . . EPA RESPONSE - The selected remedy includes periodic sampling to . ensure that the treatment units are functioning properly. The air emissions from the air strippers would be treated by vapor '. phase carbon adsorption units. Stream sampling will be conducted both before and after the remedy is implemented. ENFORCEMENT ISSUES 1. Comments received suggested that the.'remedial alternatives outlined in the Proposed Plan were inconsistent with the remedy contained within the Consent Decree. The. Consent Decree required one air stripper to be installed at Hatboro well H1, H2 and/or H3 and one air stripper at Hatboro well H16. The FFS now proposes to construct extraction wells at the Site. EPA RESPONSE - USEPA has included the provisions of the Consent Decree in the remedial alternatives discussed in the FFS and the Proposed Plan. Alternatives which include off-Site ground water control include pumping and treating at Hatboro public supply wells to contain the plume within its current boundary. In. addition, the FFS evaluated remedial alternatives which included . on-Site ground water pumping. USEPA believes, based upon information obtained after.the Consent Decree was entered, e.g., packer testing and geophysical logging at well PF-1 and/or H2, that pumping ground water contaminated by the site solely at Hatboro public wells would not satisfactorily remediate the aquifer. Thus, the FFS and Proposed Plan contain alternatives which provide for control of the Raymark Site, i.e., prevent contaminants from further migrating off-Site, and provide for aquifer remediation. The on-site extraction wells discussed in the FFS may not necessarily be installed for the purpose of ground water remediation. The FFS evaluates methods of remediating on-Site ground water and preventing ground water beneath the Site from migrating towards public wells. 7 ------- I I OTHER '. 1. One commentator suggested that the shallow ground water at the Site does no~ pose a threat to public health because the Hatboro public wells are treated. Consequently, the commentator suggests, there is no reason to proceed with remediation of ground water until the source of the contamination is addressed. EPA RESPONSE - The ground water-at the site continues to pose an unacceptable risk. Ground water beneath the Site, which is contaminated at unacceptable levels (e.g., 10-4 excess lifetime cancer risk range) migrates towards public wells. without. implementation of the remedial alternatives developed for OU2 and OUJ, the contaminants would continue to migrate towards the public wells and pose an unacceptable health risk to potential future users of the aquifer. 8 ------- '. '. APPENDIX B ADMINISTRATIVE RECORD INDEX ------- RAYMARK ADMINISTRATIVE RECORD FILE * INDEX OF DOCUMENTS " I.. SITE IDENTIFICATION 1. " 2 . 3. 4 . 5. 6. 7 . 8. Report: Report of Study & Investigation, Industrial Waste Treatment, Penn Rivet and Machine Co., prepared by W. H. & L. D. Betz, 3/10/47. P. 100001- 100009. A certificate of analysis is attached. Application Relative to Treatment of Discharge of Industrial Wastes, 1/26/48. P. 100010-100012. Notes on the Machine Co.; set of notes the Sanitary Office Conference for Penn Rivet & 2/10/48. P. 100013-100015. Another on the conference and a "Resolution of Water Board" are attached. " Report: . Revised Engineering Report, Industrial Waste Treatment, prepared by W. H. & L.' D. Betz, 2/20/48. P. 100016-100028. Letter to Mr. Charles B. Marks, Jr., Borough of Hatboro, from Mr. Max U. Priester, W. H. & L. D. Betz, re: Application for permission to discharge treated wastes, 2/24/48. P. 100029-100030. Agreement between the Borough of Hatboro and Penn Rivet & Machine Co., 9/7/48. P. 100031-100033. Report of Chemical Analysis for Treatment Tank Effluent, 6/9/4~. P. 100034-100038. Letter to Mr. Wesley Benzee, Milford Rivet & Machine Co., from Mr. Max. U. Priester, Betz Laboratories Inc., re: . Supervisory Contract, 2/29/60. P. 100039-100041. Some sampling data sheets, a letter and another sampling data sheet are attached. * Administrative Record file available 8/16/90. Note: Company or organizational affiliation is identified in the index only when it appears in the file. ------- 9. Letter to Mr. Franklin Sahm, Milford Rivet & Machine Co., from Mr. Max U. Priester, Betz Laboratories, Inc., re: Industrial Waste Plant Supervisory Contract, 8/25/64. P. 100042-100061. Supporting data and five monthly visit letters with sampling data are attached. 10. Waste Inspection Report for Milford Rivet at Jacksonville Road, 7/15/70. P. 100062-100062. o 11. Hand sketch by C. Peterson, Milford Rivet & Machine Co., 7/26/70. P. 100063-100064. Another sketch of a fence is attached. 12. Handwritten Waste Inspection Report for Milford Rivet & Machine Co., 9/10/71. P. 100065-100065. 13. Letter to Miss Charlotte E. Peterson, PADER, from Mr. Richard J. Walker, Milford Rivet & Machine Co., re: Application for a permit, 12/8/71. P. 100066- 100066. 14. Letter to Miss Charlotte E. Peterson, PADER, from T. F. Sahm, Milford Rivet & Machine Co., re: Violation notice received, 1/24/72. P. 100067-100067. 15. Report: Plating Room Wastes, Milford Rivet & Machine Co., prepared by William E. Graul, 4/7/72. P. 100068-100076. Another report with two sketchs are attached. 16. Letter to Mr. Terry Fabian, PADER, from Mr. William E. Graul, re: Milford Rivef & Machine Co. Remedial Action, 6/1/72. P. 100077-100077. 17. Letter to Mr. William E. Graul from Mr. John F. Daly, Jr., re: Elimination of waste impoundments, 6/9/72. P. 100078-100078. 18. Letter to Mr. John F. Daly, Jr., PADER, from Mr. William E. Graul, re: Industrial wastes at Milford Rivet &.Machine Co., 6/19/72. P. 100079-100079. 19. Waste Discharge Inspection Report, 7/10/72. P. 100080-100080. ------- 20. 21. 22. 23. 24. 25. 26. 27. 28. 29. 30. 31. Letter to Mr. p. Mangialardi, PADER, from Mr. Carl L. Meyers, William F. Lotz Inc., re: Confirmation of verbal agreement, 11/7/72. P. 100081~100081. Waste Discharge Inspection Report, 11/3/72. P...100082-100082. '. Letter to Mr. Car~ L. Meyers, William F. Lotz, from Mr. John F. Daly Jr., re: Status of the impoupdments, 12/19/72. P. 100083-100083. I nc . , Report: Operating Manual for H-VW-M Cyanide Waste Treatment Unit, Milford Rivet & Machine Co., 1/17/73. P. 100084-100093. Waste Discharge Inspection Report, 3/7/73. P. 100094-100094. Letter to Mr. Don Mangialardi, PADER, from Mr. Carl-- L. Meyers, William F. Lotz, Inc., re: Status of impoundments and sewage treatment plant, 3/15/73. P. 100095-100095. Letter to Mr. Carl L. Meyers, William F. Lutz [sic], Inc., from Mr. Richard W. Pfaehler, re: Status of impoundments, 4/5/73. P. 100096-100096. Letter to Mr. Richard W. Pfaehler, PADER, from Mr. Carl L. Meyers, William F. Lotz, Inc., re: Elimination of impoundments, 4/13/73. P. 100097- 100097. Letter to Mr. Carl L. Meyers, William S. Lutz [sic], Inc., from Mr. Richard W. Pfaehler, re: Elimination of Industrial Waste Impoundments, 5/18/73. P. 100098-100098. Letter to Mr. Richard W. Pfaehler, PADER, from Mr. Carl L. Meyers, William F. Lotz, Inc., re: Removal of sludge from lagoons, 5/25/73. P. 100099-100099. Letter to Mr. Carl L. Meyers, William S. Lutz [sic], Inc., .from Mr. Richard W. Pfaehler, re: Complete removal of sludge, 6/25/73. P. 100100-100100. Letter to Mr. Richard W. Pfaehler, PADER, from Mr. Carl L. Meyers, William F. Lotz, Inc., re: Completion of sludge removal, 7/20/73. P. 100101- 100101. 3 ------- 32. 33. 34. 35. 36. 37. 38. 39. 40. 41. 42. Letter to Mr. C~r1 L. Meyers, William S. Lutz [sic], from Mr. Richard W. Pfaeh1er, PADER, re: Complete destruction of the sludge impoundments, '8/16/73. P. 100102-100102. Letter to Mr. Richard W. Pfaehler, PADER, from Mr. Carl L. Meyers, William F. Lotz, Inc., re: Completion of grading & seeding, 10/16/73. P. 100103-100103. Waste Discharge Inspection Report, 12/7/73. P. 100104-100104. Memorandum to Mr. Michael Musheno from Mr. Ben Lacy, re: Sampling program for general scan for TCE and PCE, 11/7/79. P. 100105-100106. Memorandum to Mr. Michael Musheno from Mr. Ben Lacey, re: Obtaining of a map, TCE analysis and identification of potential groundwater polluters, 11/7/79. P. 100107-100108. . . Memorandum to Mr. Walter Lee, U.S. EPA, from Mr. Daniel K. Donnelly, U.S. EPA, re: Analyst's report for FID screens, 11/13/79. P. 100109-100109. Memorandum to Mr. Daniel K. Donnelly, U.S. EPA, from Mr. Frederick Dreisch, U.S. EPA, re: TCE Screens on FID, 11/13/79. P. 100110-100110. Memorandum to Mr. Daniel K. Donnelly, U.S. EPA, from Mr. Frederick Dreisch, U.S. EPA; re: Screening of samples, 11/26/79. P. 100111-100111. Memorandum to File from Mr. Michael Musheno, U.S. EPA, re: Analysis results, 11/27/79. P. 100112- 100112. Memorandum to Mr. Larry A. Parker, U.S. EPA, from Mr. William F. Gersting, U.S. EPA, re: Volatiles data for ~CE & PCE for samples #79112901-79113010, 12/21/79. P. 100113-100134. An Analysis Request and Result Form for each sample is attached. Memorandum to File from Mr. Michael Musheno, U.S. EPA, re: Bucks County Groundwater Contamination Investigation, 12/14/79. P. 100135-100138. 4 ------- 43. 44. 45. 46. 47. 48. 49. 50. 51. 52. Memorandum to Mr. Daniel Donnelly, u.s. EPA, from Mr. Frederick .Dreisch, U.S. EPA, re: TCE & PCE report,.. 12/14/79. P. 100139-100140. TC~ & PCE results are attached. Memorandum to Mr. Daniel Donnelly, U..S. EPA, from Mr'- Rick Dreisch, U.S. EPA, re: Table of sample results, 12/17/79. P. 100141-100143. Two pages of sample results are attached. Memorandum to Mr. Daniel Donnelly, U.S. EPA, from Mr. Frederick Dreisch and Ms. Marilyn Gower, U.S. EPA, re: TCE Screens, 12/27/79. P. 100144-100146. Two pages of sample results are attached. " Memorandum to File from Mr. Michael Musheno, U.S. EPA, re: Continuation of Bucks County Investigation, 1/3/80. P. 100147-100148. '. Memorandum to Mr. Daniel K. Donnelly, U.S. EPA, from Mr. Frederick Dreisch and Ms. Marilyn Gower, U.S. EPA, re: Warminster Hatboro Sample TCE Analysis, 1/16/80. P. 100149-100149. . Letter to Mr. Stephen W. Saul, SMC Martin, from Dr. Gerald R. Umbreit, Greenwood Labdratories, re: Examination of water samples for trichloroethylene content, 2/5/80. P. 100150-100150. Final Strategy Determination Form for Hatboro Site, prepared by W. Lee, 2/10/80. P. 100151-100152. Memorandum to Mr. Jeff Haas, U.S. EPA, from Mr. Ramon G. Lee, U.S. EPA, re: Monitoring of Hatboro Municipal Authority for Sources of TCE Contamination, 3/19/80. P. 100153-100153. Letter to Mr. Ramon G. Lee, U.S. EPA, from Mr. Robert C. Schmauk, Hatboro Borough Authority, re: Sampling results, 3/19/80. P. 100154-100155. Letter to Mr. Newton Finney, Hatboro Borough Authority, from Mr. Albert F. Zimmerman, Quality Control Laboratory Division, re: Raw Sewage Samples, 4/2/80. P. 100156-100158. Two pages of previous sampling data are attached. " 5 ------- 53. 54. 55. 56. 57. 58. 59. 60. 61. 62. 63. Letter to Mr. Newton Finney, Hatboro Borough Authority, from Mr. Albert F. Zimmerman, Quality Control Laboratory Division, re: Water ..sampling data, 4/2/80. P. 100159-100159. Letter to Mr. C. Newton Finney, Hatboro Borough Authority, from Mr. Albert F. Zimmerman, Quality Control Laboratory, re: Water sampling results. 4/16/80. P. 100160-100160. Letter to Mr. Newton~Finney, Hatboro Borough Authority, from Mr. Albert Zimmerman, Quality Control Laboratory, re: Well sampling data, 4/29/80. P. 100161-100161. Letter to Mr. C. Newton Finney, Hatboro Borough Authority, from Mr. Albert F. Zimmerman, Quality Control Lab, re: Bacteriological Water Analysis Report, 4/29/80. P. 100162-100162. Letter to Mr. C. Newton Finney, Hatboro Borough Authority, from Mr. Albert Zimmerman, Quality Control Lab, re: Well sampling data, 6/13/80. P. 100163-100163. Letter to Mr. Ramon G. Lee, U.S. EPA, from Mr. C. Newton Finney, Hatboro Borough Authority, re: TCE/PCE Contamination, 7/17/80. P. 100164-100165. Technical Direction Document prepared by Ecology and Environment Inc. for Plasti Seal Corp., re: Water and Soil Sampling, 8/15/80. P. 100166-100166. Memorandum to File from Mr. Michael Musheno, U.S. EPA, re: Telephone conversation with Dick Walker of Milford Rivet, 9/15/80. P. 100167-100167. Memorandum to File from Mr. Michael Musheno, U.S. EPA, re: Sampling data from Mander Stove Well, 9/23/80. P. 100168-100169. Memorandum to File from Mr. Michael Musheno, U.S. EPA, re: Analytical results, 9/25/80. P. 100170- 100170. Memorandum to File from Mr. Michael Musheno, U.S. EPA, re: Continued investigation, 10/1/80. P. 100171-100171. - 6 ------- 68. 69. 70. 71. 72. 64. Memorandum to .Fi1e from Mr. Michael Musheno, U.S. EPA, re: Bi-month1y TCE monitoring, 10/2/80. P. 100172-100172. " 65. Memorandum to File from Mr. Michael Musheno, U.S. EPA, re: Graph summarizing sample results, 10/7/80. P. 100173-100174. 66. Technical Direction Document No. F3-8006-11A, Ecology & and Enviro~ment Inc. for Plasti Seal Well Drilling, 1/14/81. P. 100175-100175. 67. Letter to Mr. Ron Namon, Ecology & Environment, from Mr. William Jefferys, A.C. Schultes & Sons Inc., re: Well Drilling Report, 2/26/81. P. 100176-100197. The following are attached: a) b) the Drilling Report; a letter regarding the Monitor Wells project; . five Single Case Well Log sheets; two Sample Log sheets; two tables; four Preparation Parameter Results & Extracts sheets; a sketch of Well #5; three sample analysis results. c) d) e) f) g) h) Acknowledgement of completion for TDD, 3/26/81. P. 100198-100198. Notification of Hazardous Waste. Site, U.S. EPA, to Milford Rivet & Machine Co., 6/12/81. P. 100199- 100200. Report: Investigation of Test Well Sites, Hatboro Borough, Montgomery County, PennsYlvania, prepared by Walter B. Satterthwaite Associates, Inc., 7/81. P. 100201-100217. Memorandum to Mr. Daniel K. Donnelly, U.S. EPA, from Mr. James Jerpe, U.S. EPA, re: Ha1oform Analysis in Drinking Water, 10/19/81. P. 100218-100220. Two tables of sampling .data are attached. Memorandum to File from Mr. Robin Aitken, U.S. EPA, re: Field activities, 9/28/81. P. 100221-100221. " 7 ------- 73. 74. 75. 76. 77. 78. 79. 80. 81. . Memorandum to Mr. Daniel K. Donnelly, U.S. EPA, from Mr. James Jerpe, U.S. EPA, re: Analyses of water samples, 12/24/81. P. 100222-100247. '~he following are attached: fifteen Analysis Request and Result Forms; five pages of handwritten notes; a replacement parts list; the Operating Procedure & Technique for Kemmerer W~ter Samplers. Memorandum to File from Mr. Robin Aitken~ U.S. EPA, re: Field activities, 5/7/82. P. 100248-100248. a) b) c) d) Memorandum to Mr. Daniel K. Donnelly, U.S. EPA, from Mr. James Jerpe, U.S. EPA, re: Haloform Analyses, 5/11/82. P~ 100249-100250. A Chain of Custody Report is attached. Memorandum to Mr. Robin Aitken, U.S. EPA, from Mr. Daniel K. Donnelly, U.S. EPA, re: Penn Fastener report, 5/21/82. P. 100251-100253. The report is attached. Letter to Ms. Susan L. Gordon, Morgan, Lewis & Bockjus, from Mr. John R. Ousey Jr., Betz, Conversr " . & Murdoch Inc., re: Results of Evaluation of Pum~ Test, 6/10/82. P. 100254-100258. . Letter to Ms. S~san L. Gordon, Morgan, Lewis & Bockius, from Mr. John R. Ousey Jr., Betz, Converse & Murdoch, Inc., re: Results and Evaluation of Soil Sampling for TCE, 6/30/82. P. 100259-100261. Letter to Ms. Susan L. Gordon, Morgan, Lewis & Bockius, from Mr. John R. Ousey, Jr., BCM Inc., re: Review of Trend Clauses, 7/26/82. P. 100262-100265. Site Inspection Report for Jacksonville Road Site, 6/9/83. P. 100266-100276. Memorandum to File frcm Mr. Howard o. Wilson, U.S. EPA, re: Multi-depth Sampling of Penn Fastener Inc. and Mander Stove Company Wells, 9/19/83. P. 100277- 100281. Tables A through D of sampling results are attached. . 8 ------- 82. 83. 84. 85. 86. 87. 88. 89. 90. 91. Memorandum to Raymark File from Mr. Robin Aitken, U.S. EPA, re: ..Summary of meeting, 10/25/83. P. 100282-100282. Memorandum to Mr. Robin Aitken from Mr. S. Stephen Platt, U.S. EPA, re: Drilling and Sampling Specifications, 12/5/83. P. 100283-100285. '. Letter to Mr. John D. Cooper, U.S. EPA, from Mr. Eugene N. Cipriani, SEPTA, re: SEPTA Right-of-Way Agreement, 4/26/84. -Po 100286-100292. The agreement is attached. Letter to Mr. Robin Aitken, U.S. EPA, from Mr. Richard M. Cromer, NUS Corp., re: Drilling Operations, 4/27/84. P. 100293-100320. A report on technical specifications for the drilling of boreholes is attached. Letter to Mr. Robin Aitken, U.S. EPA, from Mr. David L. Woglom, Borough of Hatboro, re: Granting of permission to drill monitoring wells, 4/28/84. P. 100321-100321. Memorandum to Mr. Garth Glenn, u.S. EPA, from S. Stephen Platt, U.S. EPA, re: Recommended Alternative for Raymark Enforcement Case, 9/13/84. P. 100322-100324. . . Letter to Mr. Martin Howe, NUS Corp., from Mr. Daniel K. Donnelly, U.S. EPA, re: Organic Analysis Report, 11/26/84. P. 100325-100333. The report is attached. . Report: Focused Feasibility Study - Final Report, prepared by PRC Environmental Management, Inc., 3/20/85. P. 100334-100434 . Letter to Ms. Paula Luborsky, U.S. Eric Lee Edelstein, GCA Corp., re: Site, 9/12/85. P. 100435-100438~ attached. EPA, from Mr. Maps for Raymark Three maps are Memorandum to File from Ms. Paula Luborsky, U.S. EPA, re: Ground Water [sic] and Soil Sampling, 10/29/85. P. 100439-100439. '. 9 ------- 92. 93. 94. 95. 96. 97. 98. 99. Report: Plan for the Removal of TCE from Authority Wells 1,2,3,7,' 12 & 16, prepared by Robert D. Gilmore & Associates, Inc., 1/86. P. 10P440-100447. Report: Review of TCE Contamination Site, Hatboro, Pennsylvania, prepared by John R. Ousey, Jr., 2/86. P. 100448-100472. Report: Raymark Corporation Focused Feasibility Study - Addendum, prepared by PRC Environmental Management, Inc., 3/11/86. P. 100473-100521. Letter to Ms. Paula Luborsky, U.S. EPA, from Mr. Daniel T. Chow, PRC Engineering, re: EP Toxicity Calculation, ~/28/86. P. 100522-100523. Site Inspection Report, 6/19/86. P. 100524-100536. Report: Focused Feasibility Study - Final Addendumi- prepared by PRC Environmental Management, Inc., 11/11/86. P. 100537-100587. Chain of Custody Documentation, 11/21/86. P. 100588-100588. Hand-sketch of locations of drill sites, 11/19- 22/86. P. 100589-100598. Sampling result data are attached. 100. Memorandum to File from Ms. Paula Luborsky, U.S. EPA, re: Off-site Remediation Proposal, 12/9/86. P. 100599-100599. 101. Letter to Mr. David Street, Department of Justice, from Dr'. Michael C. Hadka, Walter B. Satterthwaite Associates, Inc., re: Results for soil borings from Wells A2 & A3, 12/10/86. P. 100600-100685. A report of the samples is attached. 102. Letter to Ms. Susan Dein Bricklin, U.S. Department of Justice, from Mr. Stan Feenstra, Zenon Environmental Inc., re: Soil sampling procedures, 12/12/86. P. 100686-100689. 103. Memorandum to Ms. Paula Luborsky,u.s. EPA, from Mr. John Austin, U.S. EPA, re: Metals Report, 12/16/86. P. 100690-100700. The report is attached. 10 ------- 104. Memorandum to Mr. Jim Vickery, U.S. EPA, from Mr. John Austin, U'~S. EPA, re: Soil Analysis for Volatile Organics, 12/22/86. P. 100701-100702. 105. Letter to Ms. Gerallyn Valls, U.S. EPA, from Mr. Edward R. Schuessler, PRC Environmental Management, Inc'., re: Draft Letter Report on Remedial Alternatives, 1/22/87. P. 100703-100707. " 106. Letter to, Ms. Gerallyn Valls, U.S. EPA, from Mr. Edward R. Schuessler; PRC Environmental Management, Inc., re: . Historical Summary of Environmental Sampling, 1/23/87. P. 100708-100714. The Historical Summary is attached. 107. Memorandum to Mr. John Austin, U.S. EPA, from Mr. Ronald H. Altman, U.S. EPA, re: Mercury determination of samples, 1/27/87. P. 100715- 100720. Five Chain of Custody Records are attached. 108. Memorandum to Ms. Gerallyn Valls, U.S. EPA, from Mr. John Austin, U.S. EPA, re: Analytical reports, 1/28/87. P. 100721-100772. The reports are attached. 109. Letter to Mrs. Susan Dein Bricklin, U.S. Department of 'Justice, from Mr. Stan Feenstra, Zenon Environmental Inc., re: Results of Site Investigation, 1/30/87. P. 100773-100794. Table A, Table B, and Appendices A & B are attached. 110. Memorandum to Mr. John Austin, U.S. EPA, from Mr. Stephen E. Buchanan, U.S. EPA, re: Dissolved Metals Determinations, 1/30/87. P. 100795-100799. The sample data and a groundwater sample location map are attached. 111. Memorandum to Mr. John Austin, U.S. EPA, from Mr. Stephen E. Buchanan, U.S. EPA, re: Total Metals Determinations, 1/30/87. P. 100800-100807. The sample data results are attached. 112. Report: Conceptual Design & Preliminary Cost Estimate for Removal of Trichloroethylene, prepared' by Camp Dresser & McKee, 2/27/87. P. 100808-100827. " 11 ------- 113. Memorandum to Ms. Gerallyn Valls, from Mr. James Barron~ re: ~~ratum for VOA report, 3/3/87. P. 100828-100829. A copy of another memorandum is attached. . 114. Report: Evaluation of the Penn Fasteners Site, Hatboro, PA, prepared by Triegel Associates, Inc., 3/17/87. P. 100830-100849. 115. Report: Report Concerning the Use of Degreasers & Trichloroethylene and the Use of Degreasers At the Plant in Hatboro, Pennsylvania, prepared by Dr. Ralph G. Smith, 3/19/87. P. 100850-100863. 116. Facsimile transmittal cover page Valls from Ms. Diana Baldi, re: procedure for Volatile Organics, 100864-100865. . to Ms. Gerallyn Modified sampling 10/16/87. P. 117. Letter to Ms. Gerallyn Downs-Valls, U.S. EPA, from Mr. Stephen J. Medlar, CDM, re: Air pollution control system, 5/12/87. P. 100866-100868. 118. Letter to Ms. Gerallyn Downs-Valls, U.S. EPA, from Mr. Stewart Abrams, CDM, re: Updated Air Pollution Control Costs, 6/24/87. P. 100869-100871. 119. Memorandum to File from Mr. 'Michael Musheno, U.S. EPA, re: Sampling program for groundwater. contamination, (undated). P. 100872-100873. 120. Hand-drawn sketch of Batch Treatment Plants, (undated). P. 100874-100874. ' 121. Water or Waste Quality Report, (undated). P. '100875-100876. 122. Certified mail receipt to Mr. Carl L. Meyers, (undated). P. 100877-100877. 123. Certified mail receipt to the Bureau of Water Quality Management, (undated). P. 100878-100879. 124. Report: Trichloroethylene Analyses in Soil and Groundwater Samples Taken in the Vicinity of the Penn Fasteners Site, Hatboro, Pennsylvania, (undated). P. 100880-100885. " 12 ------- II. REMEDIAL ENFORCEMENT PLANNING 2 . 3. . 4 . 5. 1. Letter to Mr. Milford Rivet from Mr. "Jac"k J. Schramm, U.S. EPA, re: Request for information on TCE presence, 11/19/79. P. 200001-200005. Letter to Mr. Joseph Armoa, U.S. EPA, from Mr. Richard Walker, Milford Rivet & Machine Co., re: Response to request for information, 11/27/79. P. 200006-200007. ". Letter to Mr. Robert Brook, from Mr. James Sheehan, U.S. Department of Justice, re: Transmittal of the Consent Decree, 11/29/84. P. 200008-200033. A Remedial Action Plan is attached. Letter to Ms. Paula Luborsky, u.S. EPA, from Mr." Eric Lee Edelstein, GCA Corporation, re: Site Deeds for Parcel 3 (Road's Van Service), 1/16/86. P. 200034-200100. The deeds are attached. Consent Decree between Hatboro Borough Authority and Raymark Industries, Inc., 1/25/89. P. 200101- 200146. '. 13 ------- III. REMEDIAL RESPONSE PLANNING 1. 2. 3. 4. 5. 6. 7 . 8. 9. 10. 11. Report: Preliminary Summary of Availabl~ Soil Data for the Raymark Site, prepared by CH2M Hill, 2/21/89. P. 300001-300063. . Letter to Ms. Gerallyn Valls, U.S. EPA, from Mr. Charles R. Wood, U.S. Department of the Interior, re: Work Plans, 3/20/89. P. 300064-300066. Letter to Mr. J. NewDold, PADER, from Ms. Gerallyn Valls, U.S. EPA, re: A ten-hour packer test, 3/22/89. P. 300067-300068. Report: Final Sampling & Analysis Plan, prepared by CH2M Hill, 4/89. P. 300069-300141. Letter to Ms. Gerallyn Valls, U.S. EPA, from Mr. Joseph A. Feola, PADER, re: Response regarding ten~. hour packer test, 4/7/89. P. 300142~300142. Letter to Ms. Gerallyn Valls, U.S. EPA, from Mr. Charles R. Wood, U.S. Department of the Interior, re: Quality Assurance plan for the packer testing, 4/11/89. P. 300143-300153. The work plan and geophysical logs are attached. Letter to Ms. Bonnie Guy Gross, U.S. EPA, from Mr. Jay Newbaker, PADER, re: Comments on RI/FS Draft Work Plan, 4/21/89. P. 300154-300155. Letter to Ms. Gerallyn Valls, U.S. EPA, from Mr. Charles R. Wood, U.S. Department of Interior, re: u.S. Geological Survey's Geophysical Log, 5/2/89. P. 300156-300157. Letter to Ms. Gerallyn Valls, u.S. EPA, from Mr. Charles R. Wood, u.S. Department of the Interior, re: Replotted Temperature Log, 5/12/89. P. 300158- 300167. . The logs are attached. Memorandum regarding geophysical logs, 5/12/89. P. 300168-300174. The logs are attached. Report: Raymark Remedial Design Final-Enforcement Support Work Plan, prepared by CH2M Hill, 5/17/89. P. 300175-300195. . 14 ------- 12. 13. 14. 15. 16. 17. 18. Memorandum to Ms. Gerallyn Valls, U.S. EPA, from Mr. Michael.Towle, .U.S. EPA, re: Hydrogeologic Analysis of Diagnostic Testing, 5/23/89. P. 3001~6-300213. A Field Report is attached. Handwritten memorandum to Raymark File from Ms. Bonnie Gross, U.S. EPA, re: Analytic Method for VOA Analysis of Soil Samples, 5/25/89. P. 300214- 300215.. " Letter to Mr. Joseph-Cleary, CH2M Hill, from Ms. Bonnie Guy Gross, U.S. EPA, re: Testing for dense non-aqueous phase liquids in unsaturated fractured bedrock, 5/30/89. P. 300216-300234. The following are attached: a) a letter regarding a Draft RI/FS Work Plan; a page from a report with changes made on it; a report on Field Aqueous Stabilization of Volatile Organics in Solids; a Surface Water & Sediment Investigation; a Well Questionnaire; a Horne Well Survey; a letter regarding Dra!t RI/FS Work Plan comments. . b) c) d) e) f) g) Letter to Ms. Gerallyn Valls, U.S. EPA, from Mr. Albert L. Herrmann, Hatboro Borough Authority, re: Discontinued use of Well #2, 6/20/89. P. 300235- 300235. Letter to Ms. Bonnie Guy Gross, U.S. EPA, from Mr. Joseph G. Cleary, CH2M Hill, re: Statistical Analysis of Well Point Sampling Program, 6/29/89. P. 300236-300237. Letter to Ms. Bonnie Guy Gross, U.S. EPA, from Mr. Joseph G. Cleary, CH2M Hill, re: Statistical Analysis of Well Points Sampling Program, 6/30/89. P. 300238-300242. A table and an Area of DNAPL Investigation are attached. Letter to Ms. Bonnie Guy Gross, U.S. EPA, from Mr. Joseph G. Cleary, CH2M Hill, re: Water stabilization method comments, 7/6/89. P. 300243- 300244. 15 ------- 19. 20. 21. * 22. 23. 24. 25. 26. Letter to Ms. Bonnie Guy Gross, U.S. EPA, from Mr. Joseph G. Cleary, CH2M Hill, re: X-ray Fluorescence Method comments, 7/18/89. P. 300245-300248. Letter to Ms. Gerallyn Valls, U.S. EPA, from Mr. Charles R. Wood, U.S. Department of the Interior, rei Data and graphs for packer testing, 7/20/89. P. 300249-300307. The data & graphs are attached. Letter to Mr. Robert Todd, Hatboro Water Authority, from Ms. Gerallyn Valls, U.S. EPA, re: Proposed Scope of Work for pumping test, 7/21/89. P. 300308- 300312. A memorandum and a Proposed Scope of Work for pumping tests are attached. Letter to Mr. Mike Towle, U.S. EPA, from Mr. Wood, U.S. Department of the Interior, re: Transmittal of geophysical logs, 7/26/89. P.300313-300315. Charles Memorandum to Mr. Mike Towle, U.S. Claudia P. Walters, U.S. EPA, re: VOC Preservation Method, 10/30/89. 300331. A report is attached. EPA, from Ms. QA Review of Soil P. 300316- Letter to Mr. Mike Towle, U.S. EPA, from Mr. Joseph [sic] G. Cleary, CH2M Hill, re: Minutes of Raymark RI/FS Rescoping Meeting on October 30, 1989, 11/3/89. P. 300332-300338. The minutes are attached. . Letter to Mike Towle, U.S. EPA, from Ms. Jan Valeriano, Gilmore & Associates~ Inc., re: Air Stripper Design Parameters, 11/21/89. P. 300339- 300589. The Sample Analysis History for Well #16 is attached. Report: Sampling and Analysis Plan for Soil Gas Survey for the Raymark Source Control RI/FS, prepared by CH2M Hill, 12/1/89. P. 300590-300623. * The geophysical logs can be found at U.S. EPA Region III Headquarters in Philadelphia. 16 ------- 32. 33. 34. 35. 36. 37. 27. Letter to Mr...Michael Towle, U.S. EPA from Mrs. Dawn DeBiasse, CH2M Hill, re: Surface Soil Sampling for the Remedial Investigation and Feasibility Study, 1/3/90. P. 300624-300631. A Surface Soil Sample Locations graph, two Chain of Custody reports and, two Sample Shipping Logs are attached. '. 28. Memorandum to .Distribution from Mr. Michael Towle, U.S. EPA, re: Final draft of the work plan, 1/29/90. P. 300632-~00774. The report is attached. 29. Report: Final Field Trip Report for Groundwater Sampling, prepared by CH2M Hill 2/12/90. P. 300775~ 300839. 30. Memorandum to Ms. Carla Dempsey, U.S. EPA, from Ms. Patricia J. Krantz, U.S. EPA, re: Data Review, 3/13/90. P. 300840-300873. The Data Review is attached. '. 31. Letter to Mr. Mike Towle, U.S. EPA, from Ms. Jan A. Valeriano, Gilmore & Associates Inc., re: Well H-16 Air Stripper Design, 3/23/90. ~. 300874-300875. Letter to Ms. Bonnie Scully, PADER, from Mr. Michael Towl~, U.S. EPA, re: Focused Feasiblity Study and its Addendum, 3/26/90. P. 300876-300877. Letter to Mr. Michael Towle, U.S. EPA, from Ms. Bonnie T. Scully, PADER, re: Comments on the RI/FS Draft Final Work ,Plan, 3/27/90. P. 300878-300880. Letter to Ms. Bonnie Scully, PADER, from Mr. Michael Towle, U.S. EPA, re: Reviewing of Sampling & Analysis Plan, 4/4/90. P. 300881-300881. Letter to Mr. Michael Towle, U.S. EPA, from Ms. Bonnie J. Scully, PADER, re: PADER approvals for proposed pump test, packer tests and soil vapor extraction pilot study, 4/13/90. P. 300882-300883. Letter to Mr. Joseph Cleary, CH2M Hill, from Mr. Michael Towle, U.S. EPA, re: Comments to the Sampling and Analysis Plan, 4/20/90. P. 300884- 300885. Letter to Ms. Bonnie Scully, PADER, from Mr. Michael Towle, U.S. EPA, re: Focused Feasibility Study & Final Addendum, 4/20/90. P. 300886-300887. 17 ------- 38. 39. 40. 41. 42. 43. 44. 45. 46. 47. Letter to Mr. joseph Cleary, CH2M Hill, from Mr. Michael Towle, U.S. EPA, re: Treated anQ raw water sampling data, 4/25/90. P. 300888-300916. The sampling data is attached. . Letter to Ms. Bonnie Scully, PADER, from Mr. Michael Towle, U.S. EPA, re: Information related to PADER approvals, 4/25/90. P. 300917-300928. Letter to Ms. Mindi Snoparski, U.S. EPA, from Mr. Albert E. Becher, U.S. Department of the Interior, re: The Work Plan for the new geophysical, 4/26/90. P. 300929-300931. . Letter to Mr. Michael Towle, U.S. EPA, from Ms. Bonnie J. Scully, PADER, re: PADER review of Hatboro Borough Authority Well H-16 air stripper design bid and specification documents, 5/8/90. P. 300932-300934. Letter to Mr. Michael Towle, U.S. EPA, from Ms.- Bonnie J. Scully, PADER, re: Sampling and Analysis Plan Review, 5/10/90. P. 300935-300937. Letter to Mr. Joseph Cleary, CH2M Hill, from Mr. Michael Towle, U.S. EPA, re: Draft Sampling and Analysis Plan, 5/21/90. P. 300938-300939. Letter to Mr. Joseph Cleary, CH2M Hill, from Mr. Michael Towle, U.S. EPA, re: Approval of Draft Technical Memorandum on the Soil Gas Survey Results, 5/21/90. P. 300940-300940. . Letter to Mr. Michael Towle, U.S. EPA, from Mr. Joe Cleary, CH2M Hill, re: Field Meeting Notes, 5/30/90. P. 300941-300943. Report: Addendum to Sampling and Analysis Plan for Raymark Site Remedial, prepared by CH2M Hill, 6/7/90. P. 300944-300983. Letter.to Mr. Michael Towle, U.S. EPA, from Ms. Bonnie J. Scully, PADER, re: Department approval for packer pump and soil vapor tests, 6/11/90. P. 300984-300985. 18 ------- 48. 49. 50. 51. 52. 53. 54. 55. 56. 57. Memorandum to. File from Mr. Michael Towle, U.S. EPA, re: Site visit, Raymark, 6/14/90. P. 3~0986- .300986. ... Letter to Mr. Robert Todd, Hatboro Water Authority, from Mr. Michael Towle, U.S. EPA, r~: Air emissions from air stripper, 6/15/90. P. 300987-300988. .. Report: Preliminary Health Assessment for Raymark Site, prepared by Ag~ncy for Toxic Substances and Disease Registry, 6/18/90. P. 300989-301002. Letter to Ms. Bonnie Scully, PADER, from Mr. Michael Towle, U.S. EPA, re: PADER review of Draft Ground Water Risk Assessment and Draft Groundwater Focused Feasibility Study, 6/22/90. P. 301003-301003. Letter to Mr. Michael Towle, U.S. EPA, from Mr. Joseph G. Cleary, CH2M Hill, re: Criteria for selecting soil sample, 6/26/90~ P. 301004-301005. .. Report: Final Technical Memorandum for Soil Gas Survey Results, Raymark Site RI/FS, prepared by CH2M Hill, 7/90. P. 301006-301052. Report: Addenda No.1 & No.2 Sampling & Analysis Plan for Raymark Site Remedial Investigation & . Feasibility Study, prepared by CH2M Hill, 7/17/90. P. 301053-301093. Letter to Mr~ Michael Towle, U.S. EPA, from Mr. Joseph.G. Cleary, CH2M Hill, re: Submittal of Final Sampling and Analysis. Plan including Addendum 1 & 2, 7/20/90. P. 301094-301589. The Final Sampling & Analysis Plan for the RI/FS is attached. Letter to Mr. Robert Todd, Hatboro Water Authority, from Mr. Michael Towle, U.S. EPA, re: Potential risks to residents, 7/27/90. P. 301590-301591. Letter to Mr. Michael Towle, U.S. EPA, from Mr. Charles Kulp, U.S. Department of the Interior, re: Transmittal of Endangered Species in Pennsylvania, 8/3/90. P. 301592-301593. A table of federally listed endangered and threatened species in Pennsylvania is attached. 19 ------- 58. 59. Letter to Mr. Michael Towle, U.S. EPA, from Mr. Clark Shiffer,. Pennsylvania Fish Commission, re: Transmittal of information on Endangered. Species, 8/3/90. P. 301594-301630. A brochure on endangered and threatened species of Pennsylvania .is attached. Requested information from the Montgomery County Planning Commission, (undated). P. 301631-301653. The following are attached: a) b) c) 1980 consensus of population; six zoning maps; a comprehensive plan of Hatboro. The following were relied upon for the Remedial Investigation/Feasibility Study: 60. 61. 62. 63. 64. 65. Report: Report on Plasti-Seal Monitoring Wells, Montgomery County, PA, prepared by C. K. Lee & Ronald M. Naman, Ecology & Environment, Inc., 1/81. P. 301654-301671. Report: Hydrogeologic Field Report on Well Development & Step Test At the Raymark Site, Hatboro, PA, prepared by GMC Associates, Inc., 9/7/84. P. 301672-301723. . Report: A Field Trip Report, prepared by NUS Cprporation, 2/20/85. P. 301724-301855. Report: Soil Sa~ling and Groundwater Sampling Report, prepared by NUS Corporation, 1/28/86. P. 301856-302218. Report: Contamination by Trichloroethylene of a Portion of the Stockton Aquifer Under the Community of Hatboro, Pennsylvania, prepared by Robert Giegengack, University of Pennsylvania, 2/21/86. P. 302219-302239. Letter to Ms. Susan Dein Bricklin, U.S. EPA, from Mr. Stan Feenstra, Zenon Environmental Inc., re: "Review and Recommendations for Future Investigations, Rayrnark Site", 9/26/86. P. 302240- 302286. The review is attached. 20 ------- 66. 67. 68. 69. 70. 71. 72. Letter to Mr. .David Street, Department of Justice, from Dr. Michael C. Hadka, Walter B. Satterthwaite Associates, Inc., re: Results of Soil Borings from Wells A2 & A3, 12/24/86. P. 302287-302304. The results are attached. . Report: A Field Trip Report, prepared by NUS Corporation, 3/11/87. P. 302305-302626. '. Report: Draft Lette~ Report, Data Screening for Raymark Site, Hatboro, Pennsylvania, prepared by PRC, 5/12/87. P. 302627-302679. Report: A Field Trip Re?ort for Raymark, prepared by NUS Corporation, 1/20 87. P. 302680-302815. " Report: Draft Focused Feasibility Study for Groundwater Remediation, Raymark Site, prepared by . CH2M Hill, 6/90. P. 302816-303040. . Report: Raymark Site Draft Risk Assessment for Contaminated Ground Water, prepared by CH2M Hill, 6/11/90. P. 303041-303092. Letter to Mr. Joseph Cleary, CH2M Hill, from Mr. Michael Towle, U.S. EPA, re: EPA comments on Draft Focused Feasibility Study and Draft Risk Assessment Report, 7/31/90. P. 303093-303100. General Remedial Response Planning Documents 73. Report: Proposed Plan, Raymark Superfund Site, (undated). P. 303101-303119. 21 ------- * V. * * * * * * 9. 10. .11. 12. ... COMMUNITY INVOLVEMENT/CONGRESSIONAL CORRESPONDENCE/ IMAGERY 1 . Press Release entitled "Parties Associated with Raymark Superfund Site Agree to $1,125,000 Settlement" 1/31/89. P. 500001-500002. 2. Report: Site Analysis, Raymark, Hatboro, Pennsylvania, prepared by Bionetics Corporation, 8/89. P. 500003-500919. 3. Map of Proposed Aeration System, Hatboro Well No.16, prepared by Gilmore & Associates, 1/90. 4. Site Plan of Well No.16, prepared by Gilmore & Associates, 1/8/90. 5. Site Plan - Existing Conditions & Demolition Work o~ Well No. 16 Aeration System, prepared by Gilmore & . Associates, 1/8/90. 6. Site Plan - Proposed Facilities of Well No.16 Aeration System, prepared by Gilmore & Associates, 1/8/90. . 7 . Section & Detail of Weli ~o. 16 Aeration System, prepared by Gilmore & Associates, 1/8/90. 8. 1000 PPB Air Stripper & Carbon Adsorber (Retro-fit) Well No.16 Aeration System, prepared by Gilmore & Associates Inc., 1/8/90. Letter to Mr. Richard J. Walker from Mr. Michael Towle, U.S. EPA, re: Completion of RI/FS, 6/14/90. P. 500020-500021. Newspaper article entitled, "Hatboro To Reopen Two Weeks," Montgomery County Record, 6/20/90. P. 500022-500022. Letter from Mr. Michael Towle, U.S. EPA, re: Transmittal of the draft Proposed Plan, 7/11/90. 500023-500024. Two Airborne Express receipts are attached. P. Memorandum from U.S. EPA, re: Copies of water level graphs from Wells H2, RI, MS-10, 7/20/90. P. 500025-500068. This document can be found at U.S. EPA Region III- Headquarters. ------- i. i * * 13. * 14. Struct~ral det~ils of Well No.16 Aeration System, (undated) . '. 100 ppb Stripping Tower & Details of Well No.16 Aeration System, prepared by ~ilmor~ & Associates, (undated) . '. This document can be found at U.S. EPA Region ITI Headquarters. ------- APPENDIX C SUMMARY OF ANALYTICAL DATA FROM WELL PF-l AND THE R-SERIES OF WELLS '. '. ------- Appendix C R Monitoring Wells " If a contaminant of concern was detected once in any of the R wells, a statistical analysis was performed for this contaminant. Because all contaminants of concern were detected at least once, a statistical analysis was performed for all contaminants of concern. In calculating the mean and upper 9S percentile concentrations, the following assumptiOns were made: " . Results of questionable qualitative significance based upon the quality assurance review of the data (u and "qualifiers) were assumed to be present at half the value. . . For all samples where the compound was analyzed for but was not detected, a concentration of half the detection limit was assumed. . Compounds that were measured below the limit of accurate quantitation (J qualifier), were assumed to be present at the approximate concentration measured. On-Site Well PFI The available data for this well was treated differently than the R wells and the off- site H wells because the number of data points for welI PFI was limited. Specifically, there were only three analyses on samples from this well for all contaminants of concern except TCE. Data on TCE were available from the three sampling events and a packer test on the well. Therefore, a meaningful statistical evaluation could not be performed for this well. The following values were used instead in the risk assessment: . NJRSMU ORS6.S} . For cis- and trans-l,2-DCE, the maximum concentration from the three sampling events was used. This concentration also represents the only positive detection of the compound. . Vinyl chloride, PeE, and 1,1.1-TCA were not de~ected in well PFI and therefore were not included in analyzing the risks from this well. . For TCE, the 1990 packer test data were used to calculate a flow weighted average TCE concentration. This is explained in the Focused Feasibility Study. c.} ------- TABLES C-l C-2 Conceinrations of Volatile Chemicals of Concern in Well PF1 1984-1987 Concentrations of Volatile Chemicals of Concern in R Wells RA YMARK3IOO8.51/4 Page " ------- '. T IIIIl£ C -1 198H990 CQIICDITRRTlDIIS or UOJITIL£ CDIITIlUIIRIIT or cmmH IN uw. Pr1 . SII1Pl£ LOCRTIDll/DftTE Cis-l,Z-!ltE trens-1,Z-ocE (Ppb) (ppb ) PC[ (pp!I ) l,l,l-Tes (ppb ) TCE rnb) Prl/TIItRI. 1981 6 3SOO 1985 91 1500 1987 1300 19911 8700 1990 11000 1990 7100 1990 130 1990 530 1990 1110 1990 1000 -- , HOTEl This table includes only COIICen~r8tions M8sured after purging the well for 1981, 1985, and 1987. The 1990 data WilS obtained by pecker atpling. - Conpound WilS analyted for, but WilS not detected. ------- TR8l£ C-2 198H9B7 CllllCOORRTIOHS or IWlTIL£ COHTIII1HRHT or CQHCCRH 1H R uw.S . SII1PL£ lOCRTIOH/DRTr Cis-l,Z-Ot[ trans-1.2-DCt PC!: 1,I,HC8 TCr (ppb) (ppb) (ppb ) (Ppb) (ppb) ----- -- -- RH1HRl 199i 5 5 5 5 3300 1985 115 125 125 115 8550 1987 250 250 250 ZSO fioo RHIKRL 1981 5 5 5 7 120 1985 25 29 200 125 8900 1987 250 250 250 2SO 800 RHIKRL 1981 0.5 0.5 36 16 2550 1985 15 25 19 19 1600 1987 250 250 250 12 1500 RH111111. 1981 5 195 98 5 3800 1985 ZS Z8 39 3.9 520 1987 250 250 65 110 1100 RHIHRL 1981 130 5 83 5 3SO 1985 2.5 61 32 Z.5 180 1987 150 250 28 ZSO 110 -...---------.... -- This table includes only concentrations I'ltasUfed after purging the wells. " ------- .---- I " APPENDIX D SUMMARY OF ANALYTICAL DATA FROM HATBORO PUBLIC SUPPLY WELLS , . " ------- Appendix D " If a contaminapt of concern was detected once in a wel~ the s~atistical analysis was performed for this contaminant. The following assumptions were made in calculating the mean and upper 95th percentile concentrations: " . For all samples where th~compound was analyzed for but was not detected, a concentration of half the detection limit was assumed. . If the detection limit was unknown, as with the 1979 through 1984 data and some of the later data, a concentration of half the Contract Laboratory Program (CLP) detection limit was used. The CLP detection limit is 0.5 ppb. . If it was not known whether the contaminant was analyzed for in a sample, the sample was not used in the statistical evaluation (1979 through 1984 data and QC Inc. analyses). . " , . NJR561011R56.S1 D-l ------- L n_- I TABLES D-l .D-2 D-3 D-4 D-S D-6 D~7 D-8 D-9 '. Chemjcal of Concern Concentrations in Wells HI, H2, and H3 Chemical of Concern Concentrations in Well H7 Chemical of Concern Concentrations in Well HI2 - 6 Chemical of Concern Concentrations in Well HI4 Chemical of Concern Concentrations in Well HI6 Chemical of Concern Concentrations in Well HI7 Chemical of Concern Concentrations in Well HI2 - Treated Water . Chemical of Concern Concentrations in Well HI4 - Treated Water Chemical of Concern Concentrations in Well HI7 - Treated Water RA YMARK3IOO8.SlIS ------- J: 0.1 CllDlICIIl or CDHWII cmuIIIT UTI QIIS IH Iin.1.s 111. IIZ. I: 113 C!IOO CBlI TC£ I. Pa:. I SIIfl£ 10 I REnRnS I - V£RR. I 111 HZ 1131111 HZ 113 I Rl 112 113 111 112 IG .. I I j I 1979 .I ~ -I JRH I I I 4 I rES I I I I I. IIRRCII I I I I I RPRll J I I I I I!RY I I I I I Jut[ I I I I I JUl\' I I I I I RU6 I I I I I SLPT I I I I I OCT 111E.5 m 22.5 I U .. 2." 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I O.ZS I 0.075 I I Z31257 I IIIQC 7/9f90 lOOt I J\lY I I I I I I I I I , I IllS I I I I I I I I I I S£PT I I I I I I I I I I OCT I 1 I I I I I I I I "OU I I I I I I I I I I OCt I I I I I I I I I I ------- APPENDIX E LETTER OF CONCURRENCE COMMONWEALTH OF PENNSYLVANIA . . . . '. ------- D& 'INNSYLVANIA COMMONWEALTH OF. PENNSYLVANIA DEPARTMENT OF ENVIRONMENTAL RESOURCES 1875 Nw Hope Stt_t !lXrietoN\, PA 19401 215 270-1923 . . septEIIiJer 28,. .1990 '. Hr. atId.n B. £d.c:Jc8a1 R8gianalldnini8tmtar U.S. SPA R8gicm III 841 08I'tf1ut Build1J1g Pf'\11~1pua, PA 19107 RB. L8ttar of Ca1cur%81c8 ~ SUp8r£und Site Hatlxn'O Borough, McntgaIm:y County R8caI:d of DIc18ion (RD)..q.rab1e Unit 2, Dr1n1dng water Supply . ~e thit 3, GJ:cund ~ter . C8IIr Mr. Br1cJc8c::l1. 'D18 RIIocG1 ot Deoi81cm for the Dd.nJd.nq Matar SUpply Opemble OUt 8I1d GrouIXI Water Operable thLt at the ~ Superf\DS 811:8 has b8m ~ by th8 DllpartDB\t. .. 'lbe -jar n~....nta of the 88l8ct8d .L..-dy include. * * * I . I I In8t1t:ut.icmal cxntrol1l to fm8UDt cxnt1nuecI oper:atJ.a1 and 1llUnter\8nC8 by the H8.tb:D:o Barough water Autbar:1ty of th8 off-e1te pmuc supply ...'J. 8l1~~ with -u-8Uipp1nq tz8'aumt 8Y8t8I8. TrMted _tar.will be d18p8'881 to tb8 Hattxn'c d18tdbut1an ByBttII. p~ 8MLly I tmaUlI&~L at Hatmro 1I81l8 .14 and,17 i8 ccnducted pmIU8Dt to a 0cn88tt DeceM bet....Mb SPA, Hatlxst'o, ani !'18C:h8r , Parter, o..'{'A'-ay. TJ:8atD8\t at Hattm:o 1Iall .16 and. Q¥t add1~ 1cc:et1Q\ w1ll be cxn:mctecl pmNInt to a CaIS8It ~- b8ttlla'l BPA, Hatbaro, and Raymaxk Indu8tri88, :me., et. ale CCIIIpl.et.tm of a gmund _tar r--tt4 A 1 "'49'\ study to dIIt:8z:iD1r8 the 1IC8t eff1ci81t d881gn of a ground _tar tma=-t 8y8t:8D. In8tallat1cn, opez:atian, and D8iJ\t8Mmce of ~~tLcn .us 81'11 ~ tDatllB1t 8Y8t8I8 cm-811:8 to tnat ga;uI1 18t8r to nqu1Dd l8v8l8 and to ~".I1"t. furtb8r aff~te m9l8tJ.cm of CCI\taIdnatsd ground _ter taer.d the public 8Upply _118. .' .. .' ~18d PIper ~ ------- Mr. Bdwin B. Erickaon September 26, 1990 -2- * Construction, operation, and maintenance of a pipeline fron the en-Bite ground water treatment plant to the storm sewer system for eventual discharge of treated ground water to Pennypack Creek. * Installation, operation, and maintenance of vapor phase carbon adsorption units on air-stripping towers at public supply wells and at en-site ground voter extraction wells . * Periodic monitoring of ground water and treated ground water to ensure that the treatment components employed are effective and that ground water remediation is progressing townrdo tho cleanup gooloi I hereby concur with the EPA's proposed remedy/ with the following The Pennsylvania ARAR for groundwater for hazardous substances is that all groundwater mast be remediated to "background" quality at a minimum as specified by 25 PA Code Sections 264.90 through 264.100, and in particular, by 25 PA Code Sections 264.97(1), (j) and 264.100 (a)(9). Ihe Commonwealth of Pennsylvania also maintains that the requirement to remediate to background is found in other legal authoriti The Department will be afforded an opportunity to provide modified effluent discharge Units based on future wasteload allocation reassessments in the Pennypack Creek watershed as they become available. The Department will be given the opportunity to concur with decisions related to subsequent operable units and the future Rmfriinl Investigation and Feasibility Study, which will address soil/source control, and to evaluate appropriate remedial alternatives to ensure carpi iance with Pennsylvania ARARs. EPA will assure that the Department is provided an . opportunity to fully participate in any negotiations with responsible parties. The Department will be given the opportunity to concur with decisions related to the design of the Remedial Action, to ensure compliance with Pennsylvania clennup ARARs and design-specific ARARs. The Department's position is that its design standards are ARARs pursuant to CERCLA Section 121 as amended by SARA , and we will reserve cur right to enforce those design standards. ------- ?: Mr. ~ B. Erickscr1 Sept:enDrr 28, 1990 -3- '. ,.- "'..,,,. ;" : ! 'lM C8part::aent will .L8881::ve. the right and ~1bility to take irQIpendent enfOr:C8a1.~t acticna ~t to State . law. ..'1hi.8 ocnc:urmnoe with the eelected rEII811.8l action 18 not in1:a'XB1 to provide any U8\.1r8nC88 pmroant to cmCI.A Section 104 (c) ( 3) as amended by SARA. '!hank ycu for the opporbmity to cxw:ur with this EPA Recom of Decis1a1. It :ycu have any queetiaw regarding this matter pleaae do not hesitate to . oontact me. . . ., Sinceatly, ~~ Uecm T. Gon8hor Regic.rW Director OCI Mr. McClellan Mr.~ Me. }t)fnIn Mr. Danyliw Hr. BObek . Mr. Mat1.oQ; M8. SCUlly Norristown HSCP File Re 30 (BJS) RAYUX: £ . . -.--- L '. '. ------- |