United States
Environmental P'rotection
Agency
Office ot
Emergency and
Remedial Response
.EPA/ROD/R10-88/016
March 1988
Superfund
Record of Decision
Commencement Bay/S. Tacoma, WA

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50277-101
 REPORT DOCUMENTATION  J  REPORT NO.
        PAGE
                                SPA/ROD/R10-88/016
                                                                         3. Recipient's Acctision No.
 4. Till* and Subtitle
  SUPERFUMD  RECORD OF DECISION
  Commencement  Bay/Tacoma,  WA
        Remedial Action  -  Final
                                                                        S. Report Date
                                                                                      03/31/88
                                                                        i 8. Performing Organization Reot. No
 9. Performing Organization Name and Address
                                                                         10. Project/Task/Work Unit No.
                                                                         11. Contract(C) or Grant(G) No.
                                                                        ! (C)
 12. Sponsoring Organization Name and Address
  U.S. Environmental protection Agency
  401 M Street,  S.W.
  Washington,  D.C.  20460
                                                                        (G)

                                                                        11. Type of Report & Period Covered

                                                                          300/000
                                                                         14.
 IS. Supplementary Note*
 1ft. Abstract (Limit: 200 word»
    The Commencement Bay/Tacoma site  is  a  190-acre  industrial/municipal  landfill  located
  in Pierce  County, Tacoma,  Washington.   The landfill  is  operated by  the  City of  Tacoma
  Refuse Utility  and is  surrounded primarily by residential development  and open  land,
  with some  commercial and  industrial  development.   Several utilities  (i.e., sewer,  water,
  and storm)  pass through  the site.   An  aquifer'beneath  the site provides drinking water
  to the Town of  Fircrest  and the City o-f  Tacoma, both of which have  wells near the
  Landfill.   The  aquifer  is  also used  by private  individuals for their  domestic water
    pply.  Ground water  flows predominatly to the southwest toward  Leach  Creek, which  lies
  approximately 0.25 mile  west of the  landfill,   consequently, wetlands  downstream of  the
  landfill could  potentially be exposed  to contaminants  in the surface  water and  ground
  water.   The Tacoma landfill began operations in 1960,  receiving only  nonhazardous  wastes
  including  assorted municipal and industrial wastes,  construction  and  demolition wastes,
  and bulk waste.  To date,  about 4 million tons  of  refuse have been  deposited at the
  landfill to depths of  20  to 80 feet.   Although  the  landfill does  not  accept hazardous
  wastes for  disposal, it  did receive  wastes in the  1960s and 1970s  that  have since  been
  designated  as hazardous  substances.   In  1983, investigations by EPA revealed the
  presence of hazardous  compounds in  the ground water  and soil near  the  landfill.
  (See Attached Sheet)
  Commencement Bay/Tacoma,  WA
  First  Remedial Action  -  Final
  Contaminated Media:  sw,  soil
  Key Contaminants:  VOCs  (benzene,  toluene, xylenes
   b. Identifiers/Open-Ended Terms
                                                          metals  (chromium)
   C. COSATI Field/Group
   Availability Statement
                                                          19. Security Class (This Report)
                                                             None
                                                         I 20. Security Class (This Page)
                                                         !    None
                                                                                   21. No. of Pages
                                                                                      121
                                                                                   22. Price
(See ANSI-239.18)
                                         See fnstrucfions on Reverse
                                                                                  OPTIONAL FORM 272 (4-77)
                                                                                  (Formerly NTIS-35)
                                                                                  Department of Commerce

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J1PA/ROD/R10-88/016
Commencement Bay/Tacoma, WA
First Remedial Action  -  Final

16.  ABSTRACT  (continued)

Subsequent  investigations  indicated  that  the ground water  is contaminated with VOCs.  In
response, the  City  of  Tacoma connected  affected  residences to  the public water system.
In  1986, accumulation  of landfill  gas in  a utility vault adjacent to  the landfill
resulted in a  minor explosion.   A  field survey was initiated to evaluate the extent of
offsite gas migration, and based on  this  survey  a gas extraction system was constructed
to  extract, collect, and combust the gas.  Gas samples collected at the landfill
revealed high  levels of  VOCs.   The primary contaminants affecting the ground water and
surface water  are VOCs including benzene, toluene, and xylenes.

  The selected remedial  action  for this site includes:  construction  of a cap on the
landfill with  runoff directed to appropriate storm or sanitary sewers, and installation
of  a gas extraction system and  gas probes to monitor methane gas production;
installation of  a ground water  pump  and treatment system with  discharge of treated water
to  a local  creek or the  POTW and alternate water supply if needed; and ground water and
surface water  monitoring.  The  estimated  present worth cost for this  remedial action  is
between $21,015,000 and  $23,418,000.  The estimated O&M costs  were not provided.

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UNITED STATES ENVIRONMENTAL PROTECTION AGENCY
                  REGION 10
               1200 SIXTH AVENUE
             SEATTLE, WASHINGTON
              RECORD OF DECISION,
            DECISION SUMMARY, AND
            RESPONSIVENESS SUMMARY
                     FOR

            FINAL REMEDIAL ACTION
  COMMENCEMENT BAY - SOUTH TACOMA CHANNEL
             TACOMA LANDFILL SITE
             TACOMA, WASHINGTON
                  MARCH 1988

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            RECORD OF DECISION
      REMEDIAL ALTERNATIVE SELECTION
          FINAL REMEDIAL ACTION
COMMENCEMENT BAY - SOUTH TACOMA CHANNEL
             TACOMA LANDFILL
           TACOMA, WASHINGTON

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                               RECORD OF DECISION
                         REMEDIAL ALTERNATIVE SELECTION
Site
     Commencement Bay - South Taccma Channel, Tacoma  Landfill  site -  Tacoma,
Pierce County. Washington.

Purpose
     This decision document presents the selected final remedial action  for
the site, developed In accordance with the Comprehensive  Environmental
Response. Compensation, and Liability Act of 1980 (CERCLA). as amended by  the
Superfund Amendments and Reauthorlzatlon Act of 1986  (SARA), and consistent
with (where not precluded by SARA) the National Contingency Plan (NCP. 40  CFR
Part 300).  The State of Hashlngton, In close consultation with EPA.  has
developed and concurred with the selected remedy.  A  copy of the state
concurrence letter Is. attached as Appendix 0.

Basis for Decision
     The decision Is based upon the administrative record for  the site,  as
obtained from the files of the Hashlngton State Department of  Ecology and  the
U.S. Environmental Protection Agency (EPA).  This record  Includes, but Is  not
limited to, the following documents:

     o    Remedial Investigation Report for the Tacoma Landfill, Tacoma,
          Washington (December 1987)

     o    Feasibility Study of the Tacoma Landfill Site.  Final Report
          (December 1987)

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     o    Decision Summary of Remedial Alternative Selection

     o    Responsiveness Summary (attached as Appendix B)

     o    Staff summaries and documents—An index (Appendix C) identifies
          other items which are included in this administrative record.

Description

     This record of decision (ROD)  addresses source control of on-site
contaminants through capping of the landfill and extraction of methane gas.
Management of migration for off-site contaminants will  be through a
groundwater extraction and treatment system.

     The remedial  action is designed to:

     o    reduce the production of  leachate by placing  constraints on further
          site operations and by capping  the landfill.

     o    eliminate off-site gas migration  through  the  gas  extraction system.

     o    prevent  further migration of the  contaminated plume  via the
          groundwater extraction-treatment  system.

     o    further  protect public health and the environment via monitoring of
          groundwater.  surface water,  gas probes,  and  air emissions.

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     o    provide  an  alternate  water  supply  (Tacoma  municipal  water) to any
          residents deprived of their domestic  supply  due  to.demonstrated
          contamination  from the  landfill or due  to  the action of the
          extraction-treatment  system.

     Treatment will be sufficient  to reduce contaminant levels in the
groundwater to or  below  cleanup  standards.  Performance levels for the
Identified .contaminants  of concern are presented  In  Table  8.   The methodology
to be used to develop performance  levels for the other contaminants In the
groundwater Is discussed  in the Selected Remedial Alternative  section of the
ROD.  Treatment should be permanent, and should effectively reduce the
toxlclty and mobility of  the contaminants.  Performance levels are not to be
exceeded during the operational life of the remedial action.  Treated water
discharge shall at all times be consistent with federal laws and Hashlngton
State laws.  Any treatment system which will produce air emissions will be
designed to meet appropriate federal and state A1r Toxics  Guidelines and to
use Best Available Control Technology (BACT) on the  effluent air stream.

     Containment of the  plume will be confirmed by installation and periodic
sampling of monitoring wells as well as continued, scheduled monitoring of
private and public wells.  Extraction will continue  until  water quality at the
compliance boundary (defined by MAC 173-304 as the edge of the filled area)
consistently meets or exceeds drinking water standards, or previously
established and approved health-based criteria.  In  addition to meeting
health-based criteria, potential Impacts to public and private water supplies,
and to Leach Creek must be considered In the decision to shut off the system.

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      Those  residents  who  are deprived of domestic drinking water, either



because  their  wells water quality shows demonstrated contamination from the



landfill or  because the quantity available has been reduced by the action of



the extraction-treatment  system, will be connected to city water supplies.







      Source  control measures are expected to reduce contaminant concentrations



In the groundwater system.  Source control measures consist of constructing a



cap on the  landfill and appropriate regradlng to minimize Infiltration and



maximize run-off, ultimately reducing leachate volume and toxlclty.  Unllned



areas of the landfill will be capped as soon as possible.  HAC 173-304 defines



the minimum  requirements for a cap on a municipal landfill.   A more stringent
                                            \


cap will be  required  unless further analysis of the cap, to be provided during



remedial design,  shows that a significant reduction In leachate volume or



toxlclty would not be achieved.







      Increased run-off due to the construction of the cap will be routed off



the landfill to reduce Infiltration.  The run-off collected  from the landfill



will   be directed  to the appropriate storm or sanitary sewers, consistent with



local  storm  drainage ordinances or pre-treatment regulations.  The storm



drainage plan, prepared as part of the remedial  design,  will  determine and



minimize any Impacts on downstream Increases In peak flow.






      The city of  Tacoma (Tacoma) will Implement a closure plan for the



landfill consistent with Washington State Minimum Functional  Standards for



Landfill Closure  (WAC 173-304), and as appropriate,  Washington State Dangerous



Haste Regulations (WAC 143-303).

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     Institutional controls will be  implemented, consistent with the final
design, to assure that the remedial  action will continue to protect health and
the environment.  Tacoma, In cooperation with the town of Flrcrest and Pierce
County, will pursue the establishment of an ordinance, or other suitable
methodology, to restrict drilling of water supply wells In an area from Tyler
Street to Leach Creek, and from Center Street to approximately South 56th
Street.

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Declaration

     Consistent with CERCLA, as amended by SARA,  and the. NCR,  It  Is  determined
that the selected remedy as described above Is protective of human health and
the environment, attains Federal and State requirements  which  are applicable
or relevant and appropriate, and Is cost-effective.   This remedy  satisfies  the
preference expressed In SARA for treatment that reduces  toxlclty. mobility, or
volume.  Finally, It Is determined that this  remedy  utilizes  permanent
solutions and alternative treatment technologies  to  the  maximum extent
practicable.
            -tu
Date                                         Regional  Admlniswa-for
                                             Environmental  Protection Agency
                                             EPA  -  Region  10

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       DECISION SUMMARY
REMEDIAL ALTERNATIVE SELECTION
     FINAL REMEDIAL ACTION
       TACOMA LANDFILL
     TACOMA, WASHINGTON

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                           TABLE OF CONTENTS

                                                                 Page


 I         SITE DESCRIPTION AND LOTION                          i


 II        SITE HISTORY                                           3

          A.  Landfill History and Operations                         3
          B.  Regulatory History - Previous Investigations             4
          C.  The Remedial Investigation/Feasibility Study             5


 III       SITE ENVIRONMENT                                       .


 IV        NATURE AND EXTENT Of PROBLEM                           (

          A.  Extent of Gas Migration     \                         9
          B.  Contaminants Detected                               13
          C.  Extent of Groundwater Contamination                   14
          D.  Surface Water                                       16
          E.  Future Impacts                                       17
          F. The Endangerment Assessment                         19


V         ALTERNATIVES EVALUATION - FEASIBILITY STUDY            27


VI        SELECTED REMEDIAL ALTERNATIVE                          as

          A.  Description of the Selected Remedy                     35
          B. Statutory Determinations                              43


VII       ENFORCEMENT                                            49


VIII      COMMUNITY RELATIONS                                    so




APPENDICES

     A.   APPLICABLE AND APPROPRIATE REQUIREMENTS

     B.   RESPONSIVENESS SUMMARY

     C.   INDEX TO ADMINISTRATIVE RECORD

     D.   STATE CONCURRENCE LETTER
                                  11

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LIST Of TABLES

Table 1
Table 2
Table 3
Table 4
TableS

Table6
Table 7
TableS

Figure 1
Figure 2
Figure 3
Figure 4
Figure 5
Figures
Figure?
Figure 8
Figure9
Figure 10
Figure 11

Summary of Organic Compounds Detected in Landfill Gas
Threshold Limit Values for Landfill Gas Components
Organic Waste Components Detected at the Landfill
Metals Detected at the Landfill
Travel Times to Reach Maximum and Threshold
Concentrations, Close-in and Distant Wells
Summary of Detailed Evaluation of
Remedial Alternatives
Section 121(bXlXA-G) Evaluation Factors
Performance Standards for Treatment System/Discharge
to Surface Water
LIST OF FIGURES
Site Location
Site Vicinity
T .And fill Zoning
Leach Creek Drainage Basin
Landfill Site Cross Section and Lithology
Location of Private Wells/Extent of Contamination
Landfill Drainage Patterns
Landfill Gas Extraction System
Contaminant Distribution in Groundwater
rinntaminant ni«rt:rihiitinn in rJroiinrJwnt-pn frcmHniicxI)
Current and Predicted Contamination
following
Page
11
12
14
14

24
32
32
37

1
1
1
6
7
8
8
9
15
15
18
     ill

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I.  SITE DESCRIPTION AND LOCATION
    The Tacoma Landfill, operated by the City of  Tacoma Refuse Utility, Is
 located In Sections  12 and 13 of Township 20 North. Range 2 East, Pierce
 County. Washington.  The landfill covers 190 acres and Is bounded
 approximately by South 31st Street on the north,  Tyler Street on the east,
 South 48th Street on the south, and Orchard Street on the west.  Figures 1, 2
 and 3 Illustrate the location of the landfill,  the vicinity surrounding the
 landfill, and the site itself.  The landfill serves a population of
 approximately 212,000.  To date, approximately  4.0 million tons of refuse have
 been deposited at the landfill since It opened  In 1960.  Currently about 600
 tons per day of refuse are placed In the landfill.

    The landfill  does not accept hazardous wastes for disposal.  However, the
 landfill received wastes in the 1960s and 1970s that have since been
designated as hazardous substances under State  and Federal law.

    Figure 2 shows the general topography of the  landfill and surrounding
area.   Drumllns (low. long ridges) abound In the  general  area and display a
north-south axial configuration.  Solid waste has been disposed of at the site
between five drumllns.  The landfill's western  boundary Is approximately one
quarter mile from Leach Creek, but the landfill does not lie In the flood
plain of that creek.  The landfill Is surrounded  primarily by residential
development and open land,  with some commercial and Industrial  development.
Land use for the area surrounding the landfill   Is shown on Figure 3.  No use
of natural resources other than groundwater Is  noted on land use Inventories.
Several  utilities (sewer, water, and storm) pass  through the site.

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                                                  STATE OF  WASHINGTON
0124          3

   SCALE : I* * 4  MILES
FIGURE I
SITE LOCATION MAP
                                                       TACOMA LANOFILU

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                                  ^*WS5t!£§^^j
r~"-NO'4 J   \, 4 •
^MMH*  *  *  •*  y *
   jy;&.l]jJiW^T;  -tivlS
   iMmiLLl^?;^.  \  1" . '•'•Li
   ^ r-1^-..-. t A/.-I t-'/ ?  I  :.;i;  "'TIS
                   :/r?r-#k^'ift--?r^
2000' 1000'  0
2000'
4000
FIGURE 2

SITE VICINITY

PRODUCTION WELL LOCATIONS


TACOMA LANDFILL RI/FS

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                               TACOMA
                               LANDF1LL
LEGENO
COMMERCIAL
INDUSTRIAL
RESIDENTAL
                 CHI
SCALE  I = 2000
                                               FIGURE 3
                                               LANDFILL  ZONING MAi
                                               TACOMA LANOF1UL

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    Apartments, undeveloped  land, and commercial properties including a
bowling alley, offices, building supply and paint stores, and gas stations are
located north of the landfill.  Immediately east of the landfill are apartment
complexes, single family residences, and undeveloped land.  The area further
east between Tyler Street and South Tacoma Way Is occupied by the Burlington
Northern Railroad. Industrial/commercial development,  and an open area known
as the South Tacoma Swamp.   Between the west edge of the landfill and Orchard
Street there are several apartment buildings and commercial establishments.
West of Orchard Street and south of the landfill there Is residential
development and undeveloped  land.
                                            v
    The landfill lies In the central portion of the Tacoma/Flrcrest upland
ground water system.   A significant area for the central  upland In the
vicinity of the landfill Is  Leach Creek.

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 II.  SITE  HISTORY
     A.  Landfill History and Operations

     The Tacoma Landfill  began operations in I960, and now serves a population
of approximately 212.000.  'The wastes received and disposed at the landfill
Include garbage, rubbish,  industrial wastes, construction and demolition
wastes, street refuse,  litter, and bulky waste.  To date, approximately 4.0
million tons of refuse  have been deposited at^the landfill.  Filled areas vary
from 20 to 80 feet deep.   Currently seme 600 tons per day of refuse are placed
In the landfill.

     Most of the site has  already been filled.   The next section of the site
to be filled Is called  the Central Area Pit.  This section of the landfill
covers approximately 18 acres and was developed during the summer and fall of
1987.  A flexible membrane liner and leachate collection system were Installed
In the Central Area Pit.   The liner and leachate collection system were
designed primarily to maximize volume for waste disposal.  To date, there has
been no documentation received on the Integrity of the liner.

     Day to day operations of the landfill are  regulated by the Tacoma-Plerce
County Health Department  (TPCHD) with oversight by the Washington Department
of Ecology (Ecology); the operating permit Is Issued annually by TPCHO.

     At the current rate,  the 190-acre site has a remaining life expectancy of
approximately four to five years if all  the solid waste material is disposed
without a significant reduction in volume.  Tacoma has Indicated It intends to
Implement programs to extend the life expectancy of the landfill.

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      There  are many  large  and  small  industries  in the Tacoma/Pierce County
area  which  have  disposed of  wastes  at  the  landfill.   Memoranda  reviewed during-
the preparation  of the  Description  of  Current Situation  report  and the RI
indicate that some hazardous wastes  were disposed of at  the  landfill.
Investigations concerning  the  volumes,  the  chemical  composition of the wastes,
and the disposal  locations are ongoing.
     B. Regulatory History - Previous Investigations

     In 1983 EPA conducted an  Investigation  and  detected hazardous compounds
                                             \
In samples of ground water and  soils  near  the  landfill.  This led EPA to
include the landfill on  the National  Priorities  List of hazardous waste sites
as part of the South Tacoma Channel site.  Through  a cooperative agreement
with EPA, Ecology  began  an Investigation  Into  contamination at the site In
1984.  On June 27,  1986,  Tacoma assumed responsibility for conducting the
remedial Investigation and feasibility study under  a Response Order on Consent
Issued by Ecology.

     Since 1983 testing  has been conducted at  and around the Tacoma Landfill
by EPA, Ecology, TPCHO,  Tacoma, and others.  The testing revealed that three
private wells contained  contaminants.  The priority pollutant volatile organic
compounds which were detected  1n the  ground  water samples were primarily
chlorinated organlcs.  Twenty-four volatile  organic compounds were found In
groundwater contaminated  by the landfill.

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     Because of  the  concern  about  the public health effects of the
contaminants, particularly vinyl chloride, the TPCHO recommended that Tacoma
connect these affected  residences  to the Tacoma public water system.  As a
precautionary measure,  Tacoma also connected two additional residences whose
wells were near  the  area.  Monitoring continues quarterly to ensure the clean
water supply for potentially affected residents while appropriate cleanup
actions are approved and carried out.
     C. The Remedial Investigation/Feasibility Study (RI/FS)

     The remedial investigation (RI), conducted by Tacoma's consultant. Black
and Veatch. was performed  In two phases.  Phase 1  activities (July 1986
through January 1987) consisted primarily of field Investigations to
characterize both the hydrogeology of the site and the contaminants present  In
the various media at and surrounding the site.  Phase 2, conducted from
January through November 1987, was designed to fill In data gaps Identified  at
the conclusion of Phase 1  and to provide the data necessary for the
endangerment assessment and the feasibility study (FS).

     Upon completion of the RI and and evaluation of the alternatives, the
City, through their consultants (Black and Veatch). submitted a draft RI and
FS report In September and October 1987 for agency review and approval.  The
final RI/FS reports were published December 1987.   Public comment on the
studies was completed in March 1988.

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III.      SHE ENVIRONMENT
     The Tacoma Landfill site is located  In the northern portion of the
Chambers/Clover Creek 
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     SPRING
     FLQW-G
                            (.EACH CREEK
                            DRAINAGE
                            3ASIN-V
                                               FLETT CREEK
                                               DRAINAGE BASIN
                VERSIT
               PLACE
                                       y-TACOMA
                                      /  UANDFILL
                                           FIGURE ADAPTED FROM CLOVER/
                                           CHAMBERS CREEK GEOHYOROLOGiC
                                           STUDY
SCALE IN MILES
FIGURE 4

LEACH CREEK DRAINAGE BASIN
TACOMA LANDFILL RI/F3

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     The affected aquifer  is  located between the lower zones of the Colvos
Sand and the Older Lacustrine.  The Older Lacustrine unit serves as the
regional aqultard In the landfill area. A cross section through the area
(Figure 5) shows the ridges,  valleys, and the llthology (layers).

     Water, Infiltrating through the landfill, picks up various contaminants.
Where the Vashon Till is not  present beneath the waste, contaminants move with
the water through the unsaturated zone and into the aquifer.  It Is also
possible for low solubility,  pure phase fluids, called dense, non-aqueous
phase liquids (DNAPLs), such  as chlorinated hydrocarbons to enter the
aquifer.  Evidence of this has not been shown, nor has It been dlsproven.  The
                                            \
water table lies within the Colvos Sand unit, about 70 feet below the bottom
of the landfill.

     The predominant flow direction of the water table aquifer Is
southwesterly toward Leach Creek.  However, during periods of heavy water use
by Tacoma city wells (summer  and early fall), the groundwater flow direction
Is reversed.  Also, depending on local  conditions, groundwater and contaminant
movement may be downward or upward.

     The Older Alluvium reportedly forms the confining layer.  Leach Creek Is
the closest discharge point of the aquifer.  Additional Information from
future activities will  clarify the ground water flow conditions near the creek
and elsewhere around the site.

     The aquifer Is part of the Chambers/Clover Creek Ground Water Management
Area.  The TPCHD Is petitioning EPA for a Sole Source Aquifer designation for

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Q
•
o
         400 r
        3iO
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        ISO

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                                                             <-»                „        ci
                                                                                                                                                                 SOUTH
                                                                                                                                                                TACOMA
                                                                                                                                                                CltANNtL
            Geologic conucll •!• D«ifld upon tntoipoUllon O«I»««A oulciopi ifW »Ofln«t

            FIQUIB pi«p«(«j by Had Ciowiir. Inc.
Nous  I. Walai ubla •lavaiioni aia liom 12/4/66.  PolaniUlt *l lo«.»< lavals na
         Cdlculal«J from avaxga vaillcal giadianli ovar tavan (7) tali o(
         waiar (aval miituramanit (Tabla  4-2) and inacalora rapraianl
         anlicipalaO avafaga conijillona.

       2  Flowllnai ara diawn qualllalloaly assuming a modarala dagraa ol anliolropir.
                                                                                  Wai Location


                                                                                  water Tabla
                                                                                  I2/4/J6


                                                                                  Scraan Sacdon
 I
 I   Equipolanlial LkM
 I
 I
O   Walar Tabh
°-   Ela»tllon in Faal
                                                                                                               Qroundnalar Flow
                                                                                                                                          lluiiionul Scala in Faal
                                                                                                                                          0          400        8OO
0           50
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Vaiucal Eiaggaiallon i 8
                                                                                                                                                                 100
                                             t Mi II HE 6
                                             SITE CROSS SECTION ANII
                                             IJTIIOUMiV
                                                                                                                                                        lACOUA
                                                                                                                                                                        (tl/FS

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 this aquifer.   The  Town  of  Fircrsst  and  the  City  of  Taccma  both operate wells
 near the  landflVl  (see  Figure  2).   In  addition, the  aquifer  is also used by
 private Individuals  for  domestic  water supply  (see Figure 6).

     Wetlands downstream of  the  landfill  on  Chambers Creek  could potentially
 be exposed to contaminants  1n  the  surface water and  ground water.  None of the
 five endangered species  identified  in  the State of Washington Is common to the
 area surrounding the landfill.

     The  topographical  lowpoint  in  the landfill Is currently at the north end
of the Central Area Pit.  Some runoff from surrounding areas drains and
discharges to the sanitary sewer.  Drainage  from  the north and along Mullen
Street Is directed towards a pond  situated between the bowling alley parking
 lot and northern landfill property on Mullen Street.   Drainage from the west
side of the site Is directed toward a catch  basin and discharges to the Leach
Creek retention basin.   The  south end of  the site drains to the south and Is
not collected.  Drainage patterns are shown  in Figure 7.

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                           « • • "V M.
                                                  LEGEND
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                   .«*•.-:
                                                 I IIIIMI or C«CTJ"0««ll«

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                                                 xauof CMIU"'««IKJ»

                                                 Ou( IO I AMOr III GM
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 ?^x ^«iffieij(«iffi^^:^           v^ - -^'- ^  * *
 •'"•!• %,"*'1»'• rl'glt*j»-^i»mt<^M. •-	 -•• « »».*•»		
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-------
FICUKR?
LANDU! I. DKAlNA(;t
PATFtRNS

-------
 IV.   HAM  AMD EXTENT OF PROBLEM

      A.  Extent of Gas Migration

      In  May  1986,  accumulation of landfill  gas  In  a  utility  vault  at  the Town
 Concrete Pipe  Company  (located Immediately  adjacent  to  and west of the
 landfill)  resulted  In  a small  explosion.  Tacoma had  already hired a
 consultant (Mandevllle  Associates)  to address problems  of gas  production and
 migration  at the  landfill  and  was able to Immediately Initiate a field survey
 to evaluate  the  extent  of  gas  migration off-site.  Based on  this survey, the
 consultant designed  and constructed  a gas extraction  system  to extract.
 collect  and combust  the gas.   The field survey  showed the biggest  problem to
 be southwest of  the  site  and  this Initial effort concentrated on controlling
 gas from migrating  Into businesses  1n this  area.

     The current  landfill  gas  system consists of 128  extraction wells,
 collection piping. 77 gas  probe  locations,  and  the motor blower/flare station
where contaminants are  Incinerated.   The system layout  Is shown on  Figure 8.

     Tacoma has conducted  a two-stage gas monitoring  program to monitor the
effectiveness of the extraction  system.  Figure 8 shows the  locations of 66
probes Installed around  the landfill.  Each of  these  probes  consists of two
to five probes able  to  monitor gas at depths from 6 to  70 feet.  These probes
are checked twice a  week and seem to  Indicate that the  shallower gas Is being
controlled by the extraction system.

-------
    .:-•--.•  ••—'-; ••^'*  ;^wwikc*:
     •   '   ••     .•»'.%. I •' vM}f.jr-VA.l*tl-.A.m^»Jfcll>t«««.w.Tl**«i-
        . ~       ..,
, ., v... i^lr ;•!Y.U-y -• r-pW^
I •."-'     "l    ••v
                                              UMJ9
                                              O •«• MI
                                               tOUt(M
                                              O
                                             KICIIHK H
                                             I ANDKII I CAS
                                             KXIHAC.TION SYSII M

-------
     The gas found deeper than about 35-40 feet  Is  not  being controlled as
well.  As a result of this  information, Tacoma  is  Installing approximately 74
new. deep extraction wells  around the  landfill.  This work began on
January 27, 1988.

     The City has also been conducting an off-site  monitoring program
beginning In May, 1986.   From May 1986 until August  1987, this program focused
on businesses and apartments to the south and west  of the site, where both
ambient and point source measurements were taken.   Beginning In August 1987,
the current off-site monitoring system began.  This  consists of monitoring
utility vaults In residential areas (shown on Figure 8), and routine ambient
                                             \
and point source monitoring 1n some businesses and  vacant apartments.  The
data from this effort shows that methane Is still escaping the landfill and
finding Its way to the surface In off-site locations.   The utility vault data
shows several  areas, around  the landfill to be of particular concern.

     The Minimum Function Standards require that the concentrations In
off-site structures be below 100 parts per million  (ppm) by volume of
hydrocarbon 1n ambient air.   From November 1986 through October 1987, the
readings of ambient air  In off-site structures were  below the limit; however,
some point sources monitored such as foundation cracks  and closed vaults on
occasion have  shown readings above 100 ppm.  Readings above the limit were
found In the ambient air In one building west of the landfill near 40th
Street (Classic Auto) In November 1987.  The City installed four additional
gas extraction wells in  this area in December 1987.  No readings were detected
In the building after the first well was connected  to the system on
December 15, 1987.
                                       10

-------
     Ecology has requested  that  additional  gas probes be placed  in the
neighborhoods of concern.   The existing  probes are well within the Influence
of the gas extraction wells  and  do  not represent ambient conditions further
off-site.  Methane concentrations In utility vaults can also be misleading.
Gas concentrations fluctuate  a great deal with changing atmospheric
conditions.  Therefore,  it  is possible that landfill gas could be found in a
house without observing  it  in the vault.  Additional gas probes are needed to
better determine the performance of the  gas extraction system.

     A total  of 42 landfill  gas  samples  were collected at 26 locations around
the landfill.  The gas samples collected from gas wells and probes were
analyzed for  priority pollutant  volatile organic compounds (VOC).  The
analytical results are summarized In Table  1.  The methane concentration was
analyzed for  five of the Phase 1 samples and was field measured for seven of
the Phase 2 samples.  These  results are  presented below:
     Sample No.
Methane (ppm)
Sample No.
Methane (pom)
     Phase 1
     GS-001
     GS-002
     GS-002DUP
     GS-003
     GS-004
                         Phase 2
540.000
430.000
430.000
560.000
240.000
GS-213
GS-214
GS-215
GS-218
GS-219
GS-220
GS-221
370.000
480.000
610.000
560.000
200.000
200.000
200.000
                                       11

-------
                     TAILS i
             Of -TUORITT TOU.J7AHT '/DLAIILX
CKAKIC ccKPCuxcs :r?iC7tD n» uuctf n.:.  CAS
             Coacantrmtiau In
w
04/23/M
04/23/M
04/23/M
04/23/M
04/23/M
04/23/M
04/23/M
04/23/M
04/23/M
04/23/M
04/23/M
04/23/M
01/24/M
01/24/14
11/13/M
12/09/M
12/09/14
02/12/17
02/10/17
02/10/17
02/10/17
02/12/17
02/12/17
02/10/17
02/10/17
02/10/17
02/10/17
J«ni*n«
2400
700
1200
2400
2900
1100
1MO
1000
1100
1100
2000
4100
13.30
2200
4MOJ
2100
1400
240 OJ
1400
I40J
1200
2400
4100
2400
2600
2400
1200J
QUoro-
-.400
;300
1230
910
930
1400
3000
1100
1400
3000
1200
100
710
230
1000
130U
1000
100CU
3000
1000
IOOOU
10000
10000
10000
10000
1 0000
IOOOU
Qllaro-
1>CO
10000
:oo
2300
2300
13000
»100
13000
1000O
TX
TX
1400
33.30
»JO
2100J
9100
1000
2000U
12000
2000
•.•OOJ
1200
2200
1100J
1MOJ
2000O
20000
1.1-01-
ehloro-
TX
3000
1230
1230
1230
3000
3000
3000
3000
900
3000
1700
13.30
1600
I100J
2000
2200
IOOOU
14001
10000
400J
13001
1300
•OOJ
1300
10000
10000
1.2-01
ehlaro-
3000
3000
1230
1230
1230
3000
3000
3000
3000
TX
3000
12000
13.30
230
1000
1600
1300
IOOOU
3000
loooa
10000
10000
1*00
10000
loooa
1000O
IOOOU
l.l-Ol-
ehiavo-
3000
3000
1230
1230
1230
3000
17000
3000
3000
TX
1000
TX
13.30
43
1000
100
100
10000
3000
100 00
1000O
10000
320J
100 OO
3MJ
10000
10000
1.2-01
chioro-
2300
TX
300
130
1230
700
12000
3000
3000
23000
16000
120000
33.30
1200
13000J
20000
19000
• 600J
7700
600J
2400
3000
11000
9400
34000
4400
. 10000
1.2-0
ehlar-
3000
300V
1230
1230
1230
3000
300U
3000
3000
3000
3000
TX
33. 5U
230
2000.-
1000
1000
1000L
200J
1000
100 01
1000X
200J
10001
100 or
loom
feaoot
                 TABU 1 (coat)
      $um*j»T or mowTT f
-------
     The  landfiil gas  contains  significant  concentrations of VCCs and has been



proposed  as a possible migration  pathway  for  these compounds to the



groundwater. particularly  when  groundwater  contamination  is found upgradlent.






     The  American Congress of Governmental  Industrial Hyglenists has issued



threshold limit values (TLVs) on  airborne concentrations of various



substances.  These  limits  are intended  as guidelines in the control of



potential health hazards.  The  time-weighted  average (TWA) TLV concentration
     *


for a normal 8-hour workday and a  40-hour workweek is the concentration which



nearly all workers might be exposed  to  without adverse  effect.  The compounds



detected  In landfill gas samples  that exceeded 15 percent of the TWA values



are given In Table 2.  Two of the  TWA's were  exceeded (toluene and vinyl



chloride).  The detected concentrations listed In Tables 1 and 2 are from



samples collected Inside the respective gas well or probe and are not


representative of ambient  air concentrations.






     EPA's ISCST (Industrial Source  Complex Short-Term) dispersion model was



used to predict the potential landfill  air quality Impacts.  Toluene was



generally detected at higher concentrations than other VOCs In the landfill



gas samples and had the highest mass flow rate both In and out of the flares



during the flare test; therefore.  It was selected as the pollutant to be



assessed  by the air quality analysis.






     The worst case analysis predicted  the highest toluene concentration



(using a one hour averaging time)  to be slightly greater than 2 ppb.  The



Draft New Source Guidelines for Toxic Air Contaminants (Sept. 1986) for the



State of  Washington Indicate a  14  ppb toluene to be the acceptable ambient
                                        12

-------
                                TABU  2





                     LIXX7 VAL'JU rCB  LAUCflU. CAS COMPOUNDS
C-po-* (CAS •»»..>
Wns«B« (71-41-2)
1 , l-Olchlor»«th««M
(73-13-*)
Trau- 1 . 2-OlchlorMthuM
(3*0-3»-0)
lbbylB«a«TM (100-*!-*)
M«chrl*CM Qilarlda
(73-Ot-2>
Talu«a« (lOS-M-1)
Vinyl OUorlda (73-01-*)
Z-aax&aona (3«l-7t-4)
Total X7L«oaa (1110-20-7)
1.2-Ole&iar««chMM (107-04-2)
(DTUA - Tim* U*l«htad A writ*. l>f«
'2'A T«lua of '.40.000 u4/«' vm* dice
0«t*cc*^
S*^L* ^o. ' U^/A!
CS-012. CS-217 ».SOO
CS-007 17.300

is-aij 120.000

SS-011 77.000 {I'
CS-007 71,000

:s-oio 140.000
IS-117 U*. 000
US-Oil t.200
15-011 170.300
CS-012 12.300
rtcvc* }*.
ce«i Jar .thylb.BJ.n. Ln >M^U CS-217,
?P"
10
3

200

100
130

100
3
3
100
10


ut/al
30.300
23.3CC

790.300

O3.:oc
330.300

J73.300
10.000
:o.3oo
»3J.OOO
*0, 000


wu also datictxi  La  ch«  Ubaracory  r«*f«oc

-------
level; therefore,  It  would appear  that as long as the current gas collection
system remains  functional, ambient air concentrations of VCCs should remain
well below ambient  air  standards.

     B. Contaminants Detected

     Groundwater,  surface water, leachate, sanitary sewer,  subsurface soil,
sediment and  landfill gas samples were collected during the RI  sampling
program.   The prevalent contaminants detected during the sampling program were
volatile organic compounds followed by semivolatlle organic compounds and
metals.

     Twenty-four volatile organic chemicals  were found In the groundwater.   Of
the twenty-four chemicals, the following seven Indicator chemicals were
Identified In the Endangerment Assessment In the RI as being of most concern
because of their toxlclty. frequency of occurrence, and primary targets (human
population):

     o    vinyl chloride
     o    benzene
     o    1,2-dlchloroethane
     o    methylene chloride
     o    1,1-dlchloroethane
     o    chloroethane
     o    toluene
                                       13

-------
 In  addition,  review of the Endangerment Assessment  by EPA  and  Ecology  resulted
 In  the  Inclusion  of three additional  indicator chemicals  listed  below:

     o     xylenes
     o     1.1,1-trichloroethane
     o     ethyl benzene.

The rationale  for  inclusion  of  these  chemicals  is discussed further in the
Endangerment Assessment  section  of  this  document.

     Twenty three  private drinking  water  wells  were sampled during the
sampling program.   For the  three  wells  where  contamination exceeded drinking
water standards,  the City of  Tacoma connected  the residents to City water.
As the plume spreads.  It  Is  predicted more  private wells would become
contaminated at levels above  public health  standards  unless actions are taken
to restrict the movement  of  the  plume.

     A list of hazardous  organic  compounds  (priority  pollutant and hazardous
substance  list compounds) detected  In groundwater samples analyzed during the
RI Is given In Table 3.   Table 4  provides the  list of priority pollutant
metals detected at  the landfill.

     C. Extent of Ground Water Contamination

     The contaminant pathway  of  primary concern near  the landfill is the
ground water.  The  town of Fircrest supplies water to its residents from six
 ells located west  of  the  landfill.  Three  of  these wells are only
                                        14

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                                                                  TABLE  3
                                   ORGANIC HASTE  COMPONENTS  DETECTED AT  THE  TACOMA  LANDFILL
                                               b»urf»
                                                Soil
                                                                     Cround-
                                                                                        Surface
                                    f*nlt*r]r
                                     HVJ
Vulftlli Or«»nlc Cotnpomidi
   T«l tic hi oio* than*
   Ti *ii«' 1 . 2- Dlcliloroclton*:
   TclelilortMihcii*
   I , I -Dlcliloco*! h*ruj
   Vinyl Clilortd*
   I.I.I -TilchlociMlhan*
   I . l-Dlcliloco«tltAfM
   1 . 2 • II I c hi o co« i turn*
   Qilui<**ih«ii*
   B*n«*n*
   Ci lijr I t*iii«n*
   Cliloiob* 111*11*
   Tulucu*
   XrUiv. (Total)
   2 • Bill aiioii*
   2 - lUvftltoit*
   1.2,  Dlctilocopcop«n*
   TIUK- I . I-Olctilocopcopcn*
   Slyian*
   Cxbon DI«ulfl
-------
                                TABLE 4
                 METALS DETECTED AT TACOMA LANDFILL
t
Arsenic
Cadmium
Chromium
Copper
Mercury
Nickel
Lead
Zinc
Iron
Aluminum
Manganese
Subsurface
Soil
X

X
X
X
X
X
X
X
X
X
Ground-
water
X
X
X
X
X
X
X .
X
X
NA
X
Surface
Water
X
X
X
s
X
X
X
X
X
X
X
X
San. Sewer
i leachate
X
X
X
X
X
X
X
X
X
NA
X
Sediment
X
X
X
X
X
X
X
X
X
X
X
Gas
NA
NA
NA
NA
NA
NA
NA
NA
NA
NA
NA
NA- not appl1 cable

-------
approximately Q.2 mile from the edge of  the  landfill.  The City of Tacoma
operates nine wells to the east of the landfill to supplement summer peak
demands on their surface water supply (see Figure 2).  In addition, twenty-six
known domestic wells are located near the landfill (see Figure 6)-.

     Volatile organic compounds have been detected 1n 20 monitoring wells
Installed around the perimeter of the landfill during the RI and 1n six of the
private wells.  The highest contaminant  concentrations and greatest numbers of
compounds were generally found near the  water table in the southern portion of
the landfill.  Water samples from monitoring wells TL-4, TL-3a, Tl-lla, and
TL-12 Illustrate this occurrence.   However,  the highest concentration of vinyl
chloride detected to date on the site was drawn from a deeper portion of the
aquifer at monitoring well  TL-lOb.

   .  Contour maps Included In the RI report  show the projected distribution of
seven of the contaminants of concern In  the  aquifer associated with the Tacoma
Landfill Site:

          Contaminant                        Maximum Concentration

     a.    Vinyl  chloride                          80 ug/1
     b.    Benzene                                 19ug/l
     c.    1.2-dlchloroethane (DCE)                20 ug/1
     d.    Methylene chloride                    1300 ug/1
     e.    1.l-dlch'-roethane (OCA)                42 ug/1
     f.    Chloroethane                            55 ug/1
     h.    Toluene                                 60 ug/1
                                       15

-------
CONTAMINANT DISTRIBUTION IN GROUNDWATER
VINYL CHLORIDE
     BENZENE
U-WCHLOROETHANE
MCTMYLENE CHLOHIDC
            CONCENTRATION CONTOURS IN UG/L  FIGURES
                                           CONTAMINANT DISTRJBUT
                                           IN GROUNDWATER

-------
 CONTAMINANT DISTRIBUTION IN GROUNDWATER
1.1-OICHLOROETVIANE
CHLOROETHAME
     TOLUENE
                                          TC£
            CONCENTRATION CONTOURS IN UG/L   FIGURE 10
                                           CONTAMINANT DISTRffi
                                           IN GROUNDWATER (COf

-------
The contour maps  are presented here as Figures 9 and 10 to show the general
     i
pattern  In which  each contaminant has spread In the aquifer.

     Priority pollutant semlvolatlle, base, neutral, and add extractable
compounds were detected in trace amounts In a few of the ground water samples
collected at the  site.   Priority pollutant metals occasionally exceeded
maximum contaminant levels (MCLs) established pursuant to the federal Safe
Drinking Hater Act.

     1,1,l-tr1chloroethane was also found in measurable amounts In wells along
53rd Street West.  Routine sampling of these wells  has been on an  annual basis
                                            \
and It Is possible that the landfill Is not the only source of contamination.
This Is In the process  of being evaluated.

     D. Surface Water                                        --..-_.

     Surface water testing throughout the study area,  In general,  did not show
a significant problem which could be attributed directly to the landfill.  At
this time most of the  surface water Is being controlled on-slte.   There are
three notable exceptions to surface water control:

     1.    The retention pond to the north has been  contaminated with toluene.
          This chemical  has also been detected In nearby monitoring well TL-17.

     2.    Nearby off-site storm sewers receive runoff  which discharges to
          surface water (Leach and Flett Creeks)  without retention or
          pre-treatment.
                                       16

-------
      3.    Storm water from the landfill  Is  being  conducted  to  the  sanitary
           sewer.

      Leachate  was  surfacing on the working  face  that  now  comprises  the east
side  of  the Central  Area.   The leachate  Is  now being  conducted directly  to the
sanitary sewer through a buried toe drain.

      Sediment  samples taken from nearby  storm sewer outlets  show elevated
values for metal-s.   However the RI was  inconclusive citing other potential
sources  in addition  to the landfill.  Surface water (storm water runoff) will
be addressed as  part of the selected  remedy.

     E. Future Impacts

     As part of  the  RI/FS.  modeling was  performed  to  project future
contaminant migration.   Contamination has been verified In private wells
southwest of the landfill  In  the direction  of Leach Creek..

     Tentative flow  paths  were  then plotted based on  the mapping of ground
water levels over  several  months.   Contaminant flow velocities and dispersion
ratios were then estimated  and  a simplified groundwater contaminant transport
model named Plume  (Van  der  Heijde  1983)  was run.

     Receptor  groups  were  assigned based on location  of known contamination
and the assumed aquifer discharge.  Wells closest  to  Orchard Street were
designated near.   Wells downgradient from the near wells were called far.
Leach Creek was assumed to  be  the  far boundary.   The  Fircrest wells were not
                                        17

-------
 included  in  the  model  because  the  flow path  analysis  did  not  show  them  in  the
                                                                  i            i
 line of contamination.   However,  the  flow  path  analysis was based 'on current

 usage rates  and  pumping  conditions  of both Fircrest and the Tacoma wellfleld,

 and did not  take  Into  account  any  future changes  to these conditions.  The

 Feasibility  Study  (FS) did  not include flow  path  analysis under differing

 usage rates  and  pumping  conditions.   Therefore, the model is appropriate for

 prediction of future migration only as far as the assumptions remain valid.



     The  studies  showed  that the main plume  of  groundwater contamination may

 reach 1200 feet  southwest of the  landfill.   To  the west and southeast It may

 reach 200 feet and  to  the northeast about 800 feet.   Figure 11 shows this

 plume and how far  it would  spread  if  unchecked, and if the model  assumptions

are correct.  The modeling  that helped predict  the plume's spread assumed that

pumping of the Fircrest  and City of Tacoma (6a) wells will stay the same.

These wells  are about  500 and  3500  feet from the  site, respectively.



     The model predicted that  for  the next 100  years  the aquifer  between the

 landfill and Leach Creek would  contain unacceptable levels of contaminants.

Table 5 lists the estimated maximum predicted off-site concentrations for the

seven Indicator chemicals In the RI,  and the estimated times to reach maximum

concentrations at the  close 1n  and distant wells.
                                        18

-------
            FIGURE 11
CURRENT AND PREDICTED CONTAMINATION

-------
      F.    Endangerment Assessment

      An  endangerment assessment was  conducted  at the  Tacoma  Landfill to
estimate  the  magnitude and probability of actual  or  potential  harm  to public
health or  the environment caused by  the threatened or actual release of
hazardous  substances.   The assessment  presented  In the RI  addressed the
potential  human  health and environmental  effects  associated  with the Tacoma
Landfill  site In the absence  of the  any remedial  action (I.e.. the  no action
alternative).

      The no action  alternative  is  the  baseline where  no corrective  actions
take  place under Superfund.   In the  case  of  the  Tacoma Landfill, however,
certain corrective  actions will  take place regardless of the actions taken
pursuant to the  Superfund site  cleanup.   These corrective  actions must be
conducted  to  meet the  requirements of  the Washington  State Minimum  Functional
Standards  for  landfills  (HAC  173-304).   These actions Include: developing an
operating  and  closure  plan for  the landfill, installation of a cap,
Installation  of  a liner  and  leachate collection  for ongoing  disposal
activities, and  Installation, operation  and  maintenance of a methane gas
extraction system.

      The future  operation and maintenance of the  landfill gas extraction
system and planned  refuse processing operations will  restrict development of
the landfill.  Therefore,  the endangerment assessment for  the no action
alternative assumes  site  access  will continue to  be restricted in the future.
Although several  pathways  of  exposure  can be postulated for  the site (surface
runoff. Inhalation  of  vapors  and  entrained dust), the primary pathway of
concern for this  site  is  groundwater.   Since access to the site will be

                                        19

-------
 restricted,  the  Importance of  the  air  pathway  will  be  reduced.   The methane
 gas  collection system will also act  to minimize  the  Inhalation  exposure
 route.   The  target receptors are the private and public well owners within the
 path of  contaminant plume.  Also of  concern Is the  possibility  of heavy metals
 and organic*  reaching Leach Creek, and ultimately Puget Sound,  either by
 surface  or groundwater routes.
Health Evaluation

     The public health evaluation Identifies potential threats to human health
In the absence of remedial action at the site.  This evaluation process
Includes a hazard assessment, dose/response assessment, exposure assessment
and risk characterization.

     Twenty-four volatile organic chemicals were detected in the groundwater.
Of these, seven were selected as contaminants of concern in the Endangerment
Assessment of the RI due to their frequency of occurrence, concentrations
found, and primary targets (human population):

          o    vinyl chloride
          o    benzene
          o    1,2-dlchloroethane
          o    methylene chloride
          o    1,1-dichloroethane
          o    chloroethane
          o    toluene
                                       20

-------
      However,  based  on  EPA  and  Ecology's  review of the  Endangerment
 Assessment,  the  following  three  additional  organic chemicals  have  been  added
 to  the  list  of contaminants of  concern:

          o     xylenes
          o     1,1,1-trichloroethane
          o     ethyl  benzene.

      This new  list of ten organic  contaminants  of  concern were separated  into
 classes of potential  carcinogens and  noncarclnogens.  Vinyl chloride, benzene,
 1,2-dlchloroethane,  and methylene  chloride  were  selected as indicator
 potential carcinogens.  Both vinyl chloride and  benzene are classified as
 human carcinogens by  the EPA.  Methylene  chloride  is a 82, probable human
 carcinogen,  based on  Inadequate data  In humans  and  Increased  Incidence  In rats
 and mice.  It  Is present both on and  off-site at considerably less frequencies
of occurrence..  1,2-dlchloroethane.  despite being  found even less frequently
 than methylene chloride, is  ranked as an  EPA 82  carcinogen and Is  included for
 that  reason.
                          !
     Chosen  as noncarcinogen Indicator chemicals of concern were
 1,1-dlchloroethane, chloroethane,  toluene,  xylenes. 1.1.1-trlchloroethane, and
ethyl benzene.  The three chlorinated ethanes were  encountered relatively
frequently In  the samples,  although 1,1-dlchloroethane occurs much less
frequently than the others.  In general,  the toxicity and bioconcentratlon
potential of the chlorinated ethanes  Increases with increased concentration.
All  but the  1,1,1-lsomer are extremely soluble  In water.  Toxicity concerns
                                       21

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 from  their  Ingestlon  at  significant  levels  in  drinking  water  lie chiefly  in
 the areas of  chronic  liver  damage  and overall  central nervous  system
 depression.

      Toluene  and  xylenes were  selected  largely because  of  their high
 frequencies of occurrence,  chemical  similarities, and potential ecological
 risk.  Toluene was  the most commonly detected chemical  in  water samples
 off-site, and was roughly equivalent to xylene as fourth most common on-slte.
 Ethyl benzene was Included  as  a chemical of concern because of Its relatively
 frequent occurrence among the  more minor chemicals. Its leachabl11ty,  and its
 tendency to biodegrade relatively  slowly In groundwater.

     The Endangerment Assessment of  the RI calculated the  excess  lifetime
 cancer risks from Ingestlon of carcinogens In groundwater  If no alternate
water supply Is provided, and  an estimate of risk If there Is short term
exposure to the Indicator chemicals.  Because so many chemicals,  both
carcinogens and noncarcinogens, are present in the groundwater. the
possibilities of addltlvlty and synergism cannot be Ignored.  However, the
 Endangerment Assessment of  the RI was largely modeled on the concept of the
predominant risk being due  to  the  ingestlon of water containing vinyl  chloride.

     The calculation of carcinogenic risk, assuming no alternate  water supply
 1s provided. Is based on a 70 kg adult consuming 2 liters of contaminated
groundwater for 70 years.  The Increased risk of cancer If a 70 kg  adult
consumes 2 liters of vinyl  chloride contaminated groundwater (at  a
concentration of 70 ug/L) for 70 years Is about 5 In one thousand.
                                       22

-------
     Carcinogenic  risks  have been calculated for the short term exposure
 scenario,  that  a carcinogen migrates to a residential well the day after a
 "carcinogen free"  sample  is collected.  It Is estimated It will take
 approximately four months from the start of exposure until contamination Is
 detected  In the next quarterly sample and before an alternate water supply can
 be provided.  The  short  term concentration was estimated based on sampling
 results for the residential wells In which contamination has been detected.
 The average daily  Intake was then calculated to account for the four month
 exposure.  The estimated excess cancer risk associated with this short term
 exposure  is less than one In a million.

     The population at risk within the predicted plume Is divided Into three
areas:   the area within City boundaries,  the area within the Town of Fircrest
boundaries, and the unincorporated area  within Pierce County.   Approximately
half of the predicted contaminant plume  is east of Orchard Street within the
Tacoma City limits.  There are approximately 26 residences within the
projected plume, if contamination continues to flow predominately toward the
southwest.  Groundwater sampling and hydrogeological  Investigations conducted
during the RI  Indicate that the plume has  reached the existing wells closest
to the landfill.  Those with close-In wells 1n which  contaminants have been
detected have  been  connected to City water.

     There are still  three close-1n  wells  not hooked  up to City water In which
contaminants have  not been detected.   No  contaminants have been detected In
the distant wells,  and based on the  contaminant transport modeling,  It will  be
several years  before  the wells  in this group  will  be  impacted  as a result of
contaminant migration from the  landfill.
                                       23

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      Table  5  lists  the estimated  landfill  source  concentrations  for  the  seven
 indicator chemicals  listed  in  the RI  and  the  estimated  times  to  reach maximum
 concentrations  at  the  close-in  and distant  wells.   The  close-in  wells would  be
 expected to be  maximally  Impacted by  vinyl  chloride  beginning  about  10 to  15
 years from now  while benzene would not  be expected  to peak  until about 55  to
 60 years hence.  The distant wells would.be expected to  reach  maximum benzene
 concentrations  In about 35  to 90  years.

     There Is a possibility that  If water frcm Leach Creek  was used  in the
 future as a drinking water  supply,  exposure to vinyl chloride  and/or benzene
 at levels exceeding their MCLs  could  occur.   There are existing water rights
 for domestic use of Leach Creek.

     Some potential exists for  human  exposure to contaminants  by using private
 well water for  livestock and to water vegetables, etc.   However,, since the
 contaminant concentrations of the  groundwater being used to water livestock
 and Irrigate crops would be the same  as detected in the  private wells. It
 would be highly unlikely that a significant exposure would  result from this
 pathway.

Environmental Evaluation

     The Endangerment  Assessment  In the RI did not compare  the levels of
organlcs and metals In the groundwater  to ambient Water Quality Criteria (WQC)
 for the protection of  aquatic life.   Metals and organic  compounds In the
groundwater which are  above federal or  state  WQC are of  environmental
 concern.  Maximum concentrations  detected In  either on-site or off-site
                                       24

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                                TABLES

            TRAVEL TIMES TO REACH MAXIMUM AND THRESHOLD
            CONCENTRATIONS, CLOSE-IN AND DISTANT WELLS
Indicator Chemical

Vinyl Chlorld«(l)
Benzene(1)
1,2-Dlchloro«thane(1)
Methylene Chlorlde(l)
l.l-Dichloroethane(2)
Chlo ro« thane(2)
Toluene(2)
?r Dieted
Offsite
Gone.
   ug/L

 60-70
  8-10
  4-5
150-160
 30
 30
 30
Tla* from Present
to Approach Max.
Concentration,  Trs.
Close-la   Distant
 Veils     V«lls
10-15
55-60
45-50
 5-10
35-40
 5-10
55-60
25-30
85-90
75-80
20-30
65-70
20-25
85-90
         Threshold
         Cone.
            ug/L
   2
   5
   5
  36,
 271.
5
27
           Tim*  From
           Present  to
           Back  Belov
           Threshold
              Trs
(Very High)
2000
 >100
 HA
7100
 HA, >100
 HA
 NA
NOTES:

(1)  Maxima concentrations for carcinogens are mxiaum 70 years average.

(2)  M«-«-tHmB concentrations for noncarcinogens are ms Tiara 90 days average.

-------
 groundwater  for  cadmium,  chromium,  copper,  nickel and zinc, all exceeded
 ambient  WQC  for  the  protection of aquatic  life.  An overview of the VOCs which
 were  Identified  as potentially harmful  to  the  environment are  listed  in Table
 3.

       Flett and Leach Creeks  support anadromous salmonid runs, which will be at
 risk  if  toxic compounds are  present in  the  creeks during critical  phases
 (e.g., smelting)  In  their growth cycles.   Heavy metals, as well as certain of
                      ^
 the organics such, as xylene  may also pose  problems for the health of  the
 downstream wetlands  ecosystem as the Leach  Creek drainage ultimately  enters
 Puget Sound.  This would most markedly  impact  highly vulnerable organisms such
 as larval fishes, but parts  of the commercially Important benthos (shellfish)
 could also become adversely  affected.

• Conclusions

      Based on a review of the endangerment  assessment and data presented In
 the RI report, the following conclusions were made concerning risk to human
 health and the environment from contaminants associated with the Tacoma
 Landfill  site:

      o    Concentrations of  several  Indicator chemicals frequently exceed MCLs
           In the groundwater.  Drinking the water from contaminated wells
           poses the most significant risk  to human health, especially In terms
           of chemicals In the aggregate.
                                        25

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o    Under  the  no action  alternative,  some  contaminant  concentrations  In
     the  groundwater plume  are  predicted  to exceed  ambient WQC when  the
     plume  discharges  to  Leach  Creek.   These  levels  could pose a risk  to
     aquatic  biota,  especially  since the  Leach  and  Flett Creeks wetland
     area enters  Puget Sound.

o    Based  on EPA and  Ecology's review  of the Endangerment Assessment  In
     the  RI,  the  agencies agreed that  It would  be appropriate, for the
     protection of public health, to establish  health-based levels for a
     larger number of  compounds than the seven  Indicator chemicals
     selected during the  risk assessment.   Accordingly, xylenes,
                                       \
     1,1, l-tr1chloroethane  and  ethyl benzene have been added to the  list
     of contaminants of concern.

o    Depending on  the  discharge location, performance levels for  the
     selected remedy will be based on MCLs, Water Quality Criteria, or
     pre-treatment standards.   In the absence of established standards or
     Water Quality Criteria, EPA Region 10  has  conducted a risk
     assessment of the compounds.  These are listed  In Table 8 of the
     Selected Remedy portion of this document.  The most stringent number
     will be used  for  the performance levels for the treatment system  If
     the cleaned  water Is discharged to surface water.  For the other
     volatile organic  chemicals and metals  found In  the groundwater, EPA
     and Ecology  have  Identified a methodology  for establishing
     performance  levels.  This methodology  is detailed In the Selected
     Remedial Alternative section of this document (Section VI).
                                  26

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V.   SUWW OF ALTERNATIVES  EVALUATION

     A.  Identification and Screening of Remedial Technologies

     In  order  to  develop a complete listing of potential remedial technolo-
gies, general  response actions corresponding to each contaminant pathway were
Identified.

     The general  response actions fall into the following seven primary
categories:

     o    No action
     o    Institutional controls
     o    Containment
     o    Removal
     o    On-slte treatment/discharge
     o    Off-site treatment/disposal
     o    Other management options.
                          /

     Forty potential  remedial  technologies for cor.:rol!1ng  contaminant
migration were screened.   Thirty-one potential  remedial  technologies were
Identified for the groundwater pathway and nine potential  remedial
technologies were Identified for the gas  migration/air quality pathway.   The
potential remedial technologies were categorized  according  to the appropriate
general  response action.   A screening  process was  applied  to these  to Identify
unsatisfactory technologies.   Screening criteria  were effectiveness,
Implementabi11ty,  and cost.
                                       27

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      The  technologies  that  were  not  screened out were assembled Into
 preliminary  remedial action alternatives.   These alternatives  were  designed tcr
 meet  the  categories  Identified by  the  National  Contingency Plan (NCP)  .
 Screening  criteria contained  in  the  NCP  and Superfund Amendments  and
 Reauthorlzatlon  Act  of  1986 (SARA) were  overlapped  In this process.  An
 Initial screening was performed  on sixteen  separate  alternatives.   The
 preliminary  remedial action alternatives were screened again in order  to
 eliminate  alternatives  that adversely  Impact public  health and  the
 environment, or  that are more expensive  than other alternatives which  provide
 the same degree  of remediation.  This  Initial  screening of remedial  action
 alternatives produced six remedial alternatives  that  were  subjected  to
                                             \
 detailed development and analysis.

     For ease In presenting the  alternatives  to  the  public, alternatives 2, 4,
 8. and 12 as numbered In the FS  report (Black &  Veatch  1987) were combined
 since they represented just one  technical category (I.e..  pump, treat, and
 discharge).  The alternatives then became no action,  alternative water
 supply/landfill   cap, and pump, treat, and discharge with landfill cap.  Four
 treatment options are Included In the last  alternative  (see Table 6).
 Information packages available to the public  contained  these three
alternatives, which were also presented at  a  public meeting on
February 11. 1988.

     B. Methodology for Detailed Evaluation of  Remedial Alternatives

     The detailed evaluation In  the FS discusses cost-effectiveness of an
alternative In terms of technical, environmental and  public health,  and
                                       23

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 Institutional  concerns.   Requirements  of  the  NC?  were  met  by evaluating each
                     i
 alternative  with  respect  to the  following criteria:

      o     Technical  Feasibility
      o     Publ 1.c  Health Impacts
      o     Environmental Impacts
      o     Institutional Requirements
      o     Cost Analysls.

 This  analysis facilitates  the comparison  of similar components among  the
 alternatives for  the same  criteria.
Technical Feasibility

     The technical evaluation considered the performance, reliability,
Implementabi11ty, and safety factors of the remedial actions.  Performance of
each alternative was based on the alternative's expected effectiveness and Its
useful life.  Key considerations In evaluating reliability  Included operation
and maintenance (OiW) requirements and the demonstrated performance of the
technologies at similar sites.  While SARA requirements do  not Include
demonstrated performance, the six final remedial alternatives evaluated
against this criteria were known technologies. For Implementabi1Ity, both the
constructablllty and the time required to achieve a given level of response
were considered.  Constructablllty addresses whether the alternative can be
constructed on the site and the Impact of external conditions on the
construction.   The time it takes to Implement an alternative and the time to
                                       29

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 achieve  beneficial  results  that attain or  exceed  relevant  or  applicable
 standards  were  also considered.  The  safety evaluation  considers  short-term
 and  long-term threats  to  the safety of nearby residents  and to persons working
 on-slte.   Major  risks  to  consider are exposure to hazardous substances, fire,
 and  explosion due to activities conducted  during  implementation of the
 remedial action.
P"bMc Health Impacts

     The public health evaluation of alternatives assesses the extent to which
each alternative mitigates long or short-term  exposure to any residual
contamination and protects public health during and after completion of the
remedial action.  In evaluating both long and short-term public health
Impacts, two primary areas were considered.  Evaluation of short-term Impacts
considered health effects on workers during construction of the remedial
action and on the public for the interim period prior to remedial action
Implementation.  Long-term Impacts were Judged based on chronic Intake of the
contaminant over a lifetime.
Environmental Impacts

     Each remedial  alternative was evaluated for beneficial  and adverse
environmental Impacts for the long and short-term.   Criteria for evaluating
beneficial effects  were final environmental  conditions. Improvements In the
                                       30

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biological environment,  and  improvements  in  resources  people use.  Criteria
for evaluating adverse  effects  were  the expected  effect of  the remedial action
and the measures  taken  in  the event  inevitable or  Irreversible effects occur.
Institutional Requirements

     Institutional requirements are divided  into  three categories: community
concerns, conformance with Applicable or Relevant and Appropriate Requirements
(ARARs). and permitting requirements.  Community  concerns addresses the
public's acceptance of the selected remedial action alternatives.  The
remedial action alternatives developed in the FS  should address all legally
applicable or relevant and appropriate standards, requirements, criteria, or
limitations to be consistent with SARA.  Institutional constraints are those
mechanisms available to ensure administrative control over activities at the.
site (zoning, permits, ordinances, etc.).
Cost Analysis

     Detailed cost analysis of alternatives Involves estimating the expendi-
tures required to complete each measure In terms of capital costs, and annual
operation and maintenance costs for a 30-year period.  Once these values were
determined and a present worth calculated for each alternative, a comparative
evaluation was made.  The cost estimates presented in the FS section were
based on conceptual  designs prepared for the alternatives (I.e.. without
detailed engineering data).  These estimates were accurate between +50 percent
and -30 percent in 1987 dollars.

                                       31

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 Rating Alternatives



     A rating  system  Is  used to evaluate alternatives, and the  terms high.

 moderate, and  low are assigned to each.  A high rating Indicates that the

 alternative promotes  the  intent of the criterion and/or meets or exceeds the

 remedial objectives.  A  moderate rating Indicates that the alternative only

 partially promotes the intent of the criterion; however, the alternative does

 remediate the  problem*to  an acceptable extent even though It does not meet all

 the remedial objectives.  A low rating Indicates that the alternative does not

 promote the criterion and/or does not meet the remedial objectives.


                                            N
     An evaluation of each alternative Is contained In Tables 6 and 7.  These

evaluations are based on  numerical  ratings of each criterion contained In the

FS (Black & Veatch 1987).  A criterion was subdivided Into one or a few

factors, which were rated from 1  to 5.  To establish the criterion numerical

rate, numerals assigned  to each factor within the criterion were averaged.

For this report, ratings  were assigned as follows:



          Numerical Rating              New Criterion Rating
                 £2.00                    High

                  2.01-3.99               Moderate

                 >4.00                    Low
                                       32

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                                                                    TABLE 6
                                            SUMMARY OF DETAILED EVALUATION OF REMEDIAL ALTERNATIVES
                                       Cost  (11.000)
                                                                Criterion
No.   Alternative  (No.  In  fS)
Capital
I     No Action (I)

2     Alternative Water Supply/
     landfill  Cap ())

3     Pump, treatment,  and
     Discharge with Landfill  Cap

     a.  Off-site Treatment  at
         Sewage Treatment
         Plant (2)

     b.  On-slte Treatment  (Air
         Stripping and Carbon
         Adsorption (4)

     c.  On-slte Treatment
         Carbon Adsorption  (8)

     d.  On-slte Treatment
         (Air  Stripping)  (I?)
16.423
17.9)2
Present
Worth
    Public
Health Impacts
Environmental
  Impacts
 Technical
Feasibility
Institutional
Requirements
Community
 Concerns
18.376
23.418
                          low
High
High
                                 Low
Moderate
                                       N/A
High
High
Moderate
                                    Lo«
High
Low


High
High
High
I9.S32
19.266
18.9/1
22.717
23.417
71.015
High
High
High
High
High
High
Moderate
Moderate
Moderate
High
High
High
High
High
High

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                                                         TABU 7

                                             SECTIOK 121(b)  (1)  (A-G)  FACTORS


Criterion 1
Compliance Kith ARABS LOW
Reduction of Toalclty.
Mobility, volume tow
Short-Tern Effectiveness • Low
Long-Term Effectiveness Low
I/nplementab1l1ty N/A
AT ternat 1v>
2 3a lb ic 3d
V
Moocrati High High High High
Moderate High High High High
High *od«r*tt Hoderata Hod«ratt Moderate
Moderate High High High High
High Moderate Moderate Moderate Moderate
Cost (See Table 6)

Community Acceptance

State Acceptance

Overall Protection of
Human Health and the
Environment
Low

Low




Low
Moderate       High

Moderate       High



Moderate       High
High

High




High
High

High



High
High

Moderate



High

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 C.  Results of Detailed Evaluation of Remedial Alternatives

      This  section  presents  a  summary of  the  detailed  evaluation  of  the
 remedial alternatives  in  terms of costs, public health  Impacts,  environmental
 Impacts, technical  feasibility,  institutional requirements,  and  community
 concerns.  A summary of  these  items is presented  in Table  6  according  to  1985
 RI/FS Guidance  Factors (EPA 1985) and an evaluation of  the remedial
 alternatives according to the  Section 121(b)(l)(A-G)  factors  Is  shown  in
 Table 7.
Non-cost Evaluation

     As shown  In Table 6. Alternatives 2, 3a. 3b. 3c. and  3d all  had  four  high
ratings and one moderate rating.  Therefore, they would be Judged comparable
alternatives under this system of rating criteria.  However, evaluating
alternatives using guidance from Section 121(b)(1MA-G) factors reveals  some
differences (Table 7).  The (A-G) factors are used to assess alternative
remedial actions for permanent solutions and to assess alternative  treatment
technologies that yield a permanent and significant decrease In the toxicity,
mobility, or volume of the hazardous substance, pollutant, or contaminant.
Alternatives 3a. 3b, and 3c. have six high ratings and two moderate ratings.
Alternative 3d has five high ratings and three moderate ratings.  Alternative
2 has only two high ratings and six moderate ratings.  It  Is clear  that
Alternatives 3a through 3c would be considered superior to to the other
alternatives.
                                       33

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 Cost Summary and Sensitivity .Analysis
                      i
     Cost estimates  prepared for each alternative  Involved approximation,
 assumptions,  estimations, Interpretations,  and  engineering Judgment.  To
 provide some  Indication of sensitivity of  the costs  to  changes  in key
 parameters, a  sensitivity analysis was performed.

     The cost  of closing the landfill Is the major cost for all the
alternatives  under consideration, and is the same for each.  The treatment
process cost  could be the most variable because alternatives would not yield
the same Influent concentrations.  To evaluate  the Impact that changes in
concentration  would  have on'carbon adsorption treatment costs, concentrations
of two and three times the predicted value  were analyzed.  The carbon
adsorption unit cost was chosen for analysis on the  basis of its potential
Impact on overall treatment cost estimates  of Alternatives 3b and 3c.  When
the concentration of contaminants in the waste  stream Is doubled, the carbon
usage (cost) will Increase by approximately 1.5 times.  The total cost for
Alternative 3b would Increase 3.8 percent while the  total cost for Alternative
3c would Increase 6.8 percent.   For the case when the contaminant
concentrations are tripled,  the carbon cost will approximately double.  The
total  cost for Alternative 3b would Increase 7.3 percent while the total  cost
for Alternative 3c would Increase 9.7 percent.
                                       34

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VI.  SELECTED REMEDIAL ALTERNATIVE ( No. 1)

     A.   DescriptioQ of Selected Remedy

The selected remedy includes a landfill cap and gas extraction system to
control the source, and a ground water extraction and treatment system to
control migration of the plume.  All extracted water will be treated to
                                                                     i
specific performance standards, monitored to ensure compliance and will be
properly discharged.  The Tacoma water supply system will be expanded to
assure sufficient water Is available should any water supply (public or
private) become contaminated from the landfMl.  The remedy also Includes a
closure schedule for operation of the landfill.

The remedy Is  designed to: .

     o    Prevent further migration of the plume via the ground water
          extraction-treatment system.

     o    Reduce the production of leachate by placing constraints on site
          operations and by properly grading and capping the landfill.

     o    Eliminate off-site gas migration through the gas extraction system.

     o    Further protect public health and the environment via monitoring of
          groundwater.  surface water, gas probes,  air emissions,   and
          provision of alternate water supplies where necessary.
                                       35

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      Management of Migration





      Migration control will be achieved through a ground  water  extraction and


 treatment system, and a system or method to confirm performance.  Activities


 necessary to develop those  systems shall be conducted during remedial design.


 Hells for this system will  be placed within and. If necessary,  downgradlent to


 contain the plume.  Containment Is defined as controlling  the plume and


 preventing the spread of contamination.  The goal of the  containment system Is


 to prevent any further degradation of existing water quality beyond the


 boundaries of the existing  plume.   The extraction wells should  be designed to


 achieve this objective.  The existence of the gradient reversal due to pumping

                                            \^

 by the city of Tacoma wellfield,  local effects from pumping the Flrcrest


wells, or monitoring results at the landfill may result In the  need for


extraction wells at locations other than those Identified  In the feasibility


study.  Minimum flows as required  by HAC 173-512 shall be maintained in Leach
                                                                              i

and Flett Creeks.





     The treatment process  shall  be permanent and shall effectively reduce the


 toxlclty. mobility, and volume of  contaminants.   It shall also  employ all


known, available, and reasonable  methods to treat the contaminated ground


water, and to prevent the spread  of contamination.   Discharge of treated


ground water may be to either Leach Creek,  Flett Creek, or the  sanitary sewer.






     If the discharge is to either Leach Creek or Flett Creek,  the effluent


must meet or exceed maximum contaminant levels (MCLs) developed pursuant to


the Safe Drinking Water Act or meet the chronic fresh water criteria as set


forth In EPA's Quality Criteria for Hater.  1986 (EPA 440/5-86-001). whichever
                                       36

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 is more  stringent.  Both of  these  creeks  have  existing  water  rights on them,
 although they are closed to  further appropriation  by  WAC  173-512.  In
 addition, both creeks  support anadromous  salmonid  runs.

     Most of the contaminants found at the Tacoma  Landfill do not currently
 have MCLs.  For the VOCs listed  in Table  3, and for metals 1n the groundwater,
 which EPA and Ecology  have not established treatment  levels, a methodology for
 determining the appropriate  discharge limits has been established.  If no MCL
 has been established for a contaminant, the ambient water quality criteria
 (WQC) for protection of human health for  water and fish Ingestlon will be
 used.  If the value for protection of fish (the chronic fresh water criteria)
 Is lower than the value for  protection of human health, the lower value will
 be applied.   If there  are no WQC at all.  then additional guidance documents,
 such as Health Advisories from EPA's Office of Drinking Hater or any
 appropriate toxlcologlcal profiles, will  be used to develop treatment levels.
 These treatment levels must  be reviewed and approved by both Ecology and EPA
 prior to their use.  This methodology will be used to set performance levels
 for any other contaminants Identified In  the groundwater and traceable to the
 landfill.

     For six of the volatile organic compounds listed 1n Table 8, appropriate
 treatment levels have  been identified.   These are based on Safe Drinking Water
Act MCLs or ambient WQC.  In the absence of an MCL or ambient WQC,  EPA Region
 10 conducted a risk assessment of the chemical and provided an appropriate
 treatment goal  for the protection of public health, welfare and the
 environment.  These goals are listed In column three of Table 8 and will  be
 used as performance goals for the treatment system.  In addition, the effluent
                                       37

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                               TABLES


            PERFORMANCE LEVELS FOR TREATMENT SYSTEM

                    DISCHARGE TO SURFACE WATER
                          TACOMA LANDFILL
(ug/L)




Constl tuent
Benzene
Chloroethane
1 ,1-dlchloroethane
1 ,2-dlchlorcethane
Ethyl benzene
Methylene chloride
Toluene
1 .1 ,1-trlchloroethane
Vinyl chloride
Xylenes
Safe
Orinkl nq
water Act

MCI
5


5



200
2



Water Qual \
Water and(l)
F1sh
0.66*

v
' ' 0.94*
1,400

14
18,400




ty Criteria
Chron1c(2)
Fresh water
53


20.000
320

175




EPA
Req. 10
Rlsk(3)
Assess.

20
20


5*



10
(1)   EPA Quality Criteria for  Water, 1986 EPA 440/5-86-001, for water  and
     fish  Ingestlon by humans.

(2)   Chronic fresh water criteria for protection  of  aquatic life.
     Where no values for chronic exposure were available,  the acute
     values were divided by 100.

(3)   Based on EPA Region 10 Risk Assessment.

 *    Values presented for carcinogens are at  the  10~6 risk level.

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must meet water  quality  standards  as  set  forth  1n  173-201  (Water Quality
                                                                      I
Standards for Waters  of  the  State  of  Washington).                     '

     If the option of discharge  to the  sanitary  sewer  1s chosen, it must be
consistent with  discharge  limitations as  defined by WAC  173-216 (State Waste
Discharge Program) and must  meet pre-treatment regulations (City of Tacoma
Code. Chapter 12.08).  as revised for operation of  the  secondary sewage
treatment plant.

     Any treatment system  which  results in contaminant air emissions shall be
designed to address appropriate  ambient air quality values as determined by
Ecology's Draft  New Source Review  Guidelines for Toxic Air Contaminants,
(September 1986, or as revised).   In addition, the Puget Sound Air Pollution
Control Authority (PSAPCA) has made the determination  that all new sources
shall use Best Available Control Technology (BACT).  This also will be a
requirement of the treatment  system design.  BACT may  Involve a different
technology for different contaminants.

     The extraction and treatment  system  can be shut off when water quality
within the plume, outside  the compliance  boundary (defined by WAC 173-304 as
the edge of the  filled area), consistently meets or exceeds drinking water
standards, or previously established and  approved health-based criteria.  In
addition to meeting   health-based  criteria, potential   Impacts to public  and
private water supplies and to Leach Creek must be considered in the decision
to shut off the  system.  Ecology and EPA  will  reevaluate the Implemented
system every five years to assure  that It Is working properly and to propose
any modifications that could facilitate the cleanup of the groundwater.
                                       38

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     Source Control

     Source control  measures  consist of constructing a cap on the landfill  to
minimize  Infiltration  and maximize run-off.  Unlined areas of the landfill
will be capped as soon  as possible.  HAC 173-304 defines the minimum
requirements for a cap  on a municipal  landfill.  A more stringent cap will  be
required  unless further analysis of the cap, to be provided during remedial
design, shows that a significant reduction  in  leachate volume or toxlcity
would not be achieved.

     Increased run-off  due to the construction of the cap will  be routed off
                                            \
the landfill to reduce  infiltration.   The slope of the cap and  construction of
drainage  structures will be consistent with HAC 173-304.  The run-off collected
from the  landfill will  be directed to  the appropriate storm or  sanitary
sewers, consistent with local storm drainage ordinances or pre-treatment
regulations.  The storm drainage plan, prepared as part of the  remedial
design, will determine  and minimize any downstream increases In peak flow.

     The Minimum Functional  Standards  (MFS) (HAC 173-304)  prohibit filling  In
unllned areas after November 1989.   These standards contain specific liner
requirements which will apply to all municipal  landfills  by this date.
Compliance with Minimum Functional  Standards Is determined by TPCHD, in
accordance with Ecology review.   Insufficient Information  has been received by
Ecology and TPCHD to evaluate compliance of the liner Installation with
Minimum Functional  Standard requirements.   If the liner is determined not to
be in compliance, a variance will be required from TPCHD  to operate the
Central Area Pit.
                                       39

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      In  the  interim,  the  City  has  Identified  several unlined  area.s which  need
 to  be  filled  to  meet  minimum slope  requirements  in HAC  173-304.  Additional
 filling  in these  areas  will be  kept  to  the minimum required to meet  the final
 grade  requirements of the  Minimum Functional  Standards.  The  City plans to
 develop  an unfilled area of the  landfill (North  Borrow  Pit) for future waste
 disposal.  Filling of this or other  previously unused areas will require  a
 liner,  consistent  with HAC  173-304.
                                                                      «
     Should a variance  be  needed and granted, the Central Area Pit will be
 brought  up to final grade  in accordance with  the Operations and Closure Plan
 to minimize leachate  production.  Leachate head wells will be Installed In the
waste  In the Central  Area  to assure  that the  leachate head requirements of HAC
 173-304  are being met.  Ecology and  EPA will  identify and approve of the
appropriate number of leachate head wells during the Remedial  Design phase.

     MFS requires operating landfills to submit an operating  plan by October
 1987.  A schedule for  closure of the landfill under HAC 173-304 Is considered
part of  the remedial  action at this  site.  The schedule, developed as part of
the required Operations and Closure Plan, will address various waste reduction
measures and develop  contingency plans  If these measures do not produce the
expected results.  The  contingency plans will Include specific dates for
beginning the process  to site another municipal solid waste disposal facility
to serve the City of  Tacoma.  Haste reduction measures to be  considered
Include, but are not  limited to:

     o    Increased recycling Including a program to exclude  hazardous waste
          from the landfill
                                       40

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     o     incineration  of  the  light  fraction  of  shredded waste at the Tacoma
           City  Light  Cogeneration  plant

     o     pyrolysls of  the  heavy fraction of  shredded waste at an on-s1te
           facility

     Several utilities  pass  through  the  site.  The Operations and Closure Plan
will provide for rerouting  these utilities around the site or developing a
testing and maintenance  program that will ensure their long-term Integrity
without interfering with the selected remedy.
                                            \
     The production of  methane gas at the landfill Is being addressed through
the Installation of a gas extraction system and  is being monitored using a
series of gas probes  Installed around the landfill.  The gas collected by the
extraction system Is  burned  by the combusters. which meet PSAPCA's BACT
requirements.  Any future expansion of this system will be required to comply
with these requirements.  Additional gas probes will  be Installed In the
surrounding neighborhoods to verify  that the  extraction system Is preventing
off-site gas migration.  If  significant concentrations of gas are found In the
soils off-site, further gas extraction wells  may have to be Installed to
collect and control these methane  sources.

     Because landfill gas Is warmer  than the  ambient air. condensate collects
In the gas collection line.  This  condensate  Is currently allowed to drain
back Into the landfill.  Condensate from the  flare station is collected and
discharged to the sanitary  sewer.  As part of the remedial  design, the
                                       41

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quantity and quality of  these condensates  will  be  determined.   If  significant
concentrations or volume of condensates are  found,  the  condensate  shall  be
collected and treated appropriately.  Source monitoring of  the  gas burners  and
the treatment plant system will be required.

     Monitoring

     Ground water monitoring wells shall be  installed In locations appropriate
for obtaining the following information:

     o    determine If the ground water extraction system Is preventing  the
          spread of the contaminant plume

     o    determine the extent of plume migration to the east of the site

     o    Identify any potential Impacts to Leach  Creek and the Flrcrest well
          system

     o    ensure there Is no dense phase plume migrating away from the site In
          the deepest zones of the aquifer.

Ecology and EPA will  review and approve of the number and location of the
groundwater monitoring wells during the Remedial Design phase of the cleanup
program.

     Leach Creek will  be monitored for both water quality and quantity.  Other
surface waters acting as receiving waters for either the groundwater
                                       42

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extraction  system or  the  surface  drainage  system will  be  monitored  for water
quality.  Effluent from  the  treatment  system  will  also be monitored  to assure
that discharge limitations are  not  exceeded.   The  nature  and  extent  of the
monitoring  program. Including bloassays. will  be developed  during the Remedial
Design phase of the cleanup  program.

     At a minimum, the private  wells In the path of  the plume will continue to
be monitored on a quarterly  basis.  Fircrest  wells will be  sampled monthly.
Any well, public or private, which  becomes contaminated due to  the  landfill
will be replaced and water will be  supplied from existing City  of Tacoma water
supply systems.  If EPA and  Ecology make a determination  that any well is  in
                                            \
danger of exceeding an MCL.  or  a  contaminant  level based  on an  EPA risk
assessment,  connection to Tacoma' s municipal  water supply will  be required.
Aesthetic quality will also  be  a  consideration In making  this determination.

     Tacoma, In cooperation  with  the Town of  Fircrest, and  Pierce County, will
pursue the establishment of  an  ordinance, or  other suitable methodology, to
restrict drilling of water supply wells In an area from Tyler Street to Leach
Creek; and from Center Street to  approximately South 56th Street.
     B. Statutory
     The selected remedy meets all statutory requirements for the overall
protection of human health and the environment.  The groundwater extraction
system will remove contaminated groundwater migrating from the  landfill and
prevent contamination from spreading In the aquifer.  The movement of
contamination to nearby Leach Creek should be prevented by groundwater
                                       43

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pumping.   Treatment of  the  extracted  water  will  be  designed  to  reduce the
                                                                      i
toxlclty,  mobility and  volume of  contaminants  and prevent  them  from returning^
to  the groundwater or surface water environment.  Nearby residents affected by
contaminated groundwater. or by low water volume or flow as  a result of the
operation  of the extraction-treatment system,  will be connected to Tacoma's
municipal  water system.

     The selected remedy must also meet all Applicable or  Relevant and
Appropriate Requirements (ARARs)  and  should address those  Items listed In the
To Be Considered category.  These are listed and their application Is briefly
described  in Attachment A.

     The laws and regulations of  concern Include but are not limited to the
following:

     1.    Resource Conservation and Recovery Act (RCRA; 42 USC 6901), RCRA
          regulations (40 CFR 261  to 280). Washington State Dangerous Haste
          Regulations (MAC 173-303 and 70.105  RCH). and Hashlngton State
          Minimal  Functional Standards for Solid Waste Handling (WAC 173-304
          and 70.95 RCW).

               Groundwater protection requirements of RCRA and Washington
               State Dangerous Waste Regulations will  be attained by
               Installation of the landfill cap to minimize leachate
               production, and operation of the groundwater extraction wells
               to remove contaminated groundwater.  The selected remedy
               prevents further spread of groundwater contamination and
                                       44

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          constitutes a Corrective Action Program as specified in 40 CFR
          264.100 and WAC 173-303-645(11).   Closure of the Tacoma
          Landfill to State Minimum Functional  Standards will  be
          evaluated to ensure consistency with  RCRA landfill  closure
          standards.
2.    Safe Drinking Water Act (42 USC 300).  and Primary Drinking Hater
     Standards (40 CFR 141).

          Groundwater will  meet maximum contamination levels (MCLs)  and
          appropriate health-based standards  as the contaminated plume Is
          removed and leachate generation Is  minimized.   The selected
          remedy will prevent exposing the  public to contaminated
          drinking water by monitoring residential  wells for MCLs and
          connecting the house to Tacoma's  municipal water supply when
          conditions require It.  Any affected public water supplies also
          will be connected to city water.   Therefore, by monitoring,
          providing an alternate drinking water supply,  and restricting
          groundwater use (until the aquifer  no longer exceeds these
          levels) In the area, the selected remedy  will  meet the
          requirements of these regulations.
                                  45

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3.   Clean Air Act  (72  USC 7401).

          If an  alrstripping  system  Is  used,  concentrations of
          contaminants  In  the air  stripper off-gases will be  required to
          meet the  requirements of the  Clean  Air Act.   The flares for the
          methane gas extraction system must  also meet  the requirements
          of the Clean  Air  Act.
4.   Clean Hater Act  (33 USC  1251). National Pollution Discharge
     Elimination System (NPOES; 40 CFR  122), NPOES Permit Program (WAC
     173-220). and Water Pollution Control Act  (RCH 90-48).

          The selected remedy treats the extracted water to meet MCLs,
          health-based standards, or Hater Quality Criteria prior to
          discharge.  Therefore, there will be  no adverse Impact on
          surface waters resulting from discharge of treated groundwater,
          and the requirements of these regulations will be attained.
          The landfill cap will reduce  leachate generation and therefore
          reduce the  Impact on groundwater.  Storm drainage will be
          collected and discharged either to existing storm sewers or to
          surface waters.  Contaminated storm water runoff will meet
          pre-treatment regulations and will be discharged to the
          sanitary sewer.  Groundwater extraction and treatment will
          further reduce the contaminant plume.  Other substantive
          aspects of  the NPDES Permit System will be met during the
          design phase, although no permit Is actually required.
                                  46

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          Although on-site remedial work does not  require a permit,  the
          substantive  requirements of any  applicable permit will be  met.
          Federal, state, or  local permits which are required for
          off-site activities will be obtained.
5.   Rules and Regulations of the State Board of Health Regarding Public
     Water Systems (WAC 248-54).

          The selected remedy provides standards for connection to an
          alternative drinking water supply for all residents who require
                                       \
          these supplies In conformance with these regulations.
6.   Protection of Withdrawal Facilities Associated with Groundwater
     Rights (WAC 173-150).

          This regulation protects water rights both In terms of water
          quality and'quantlty.  Groundwater quality will  reach levels
          less than MCLs; therefore the selected remedy complies with
          that portion of the regulation.  The other portion of the
          regulation requires that surrounding wells not be deprived of
          their water supply due to other groundwater removal actions.
          Alternative water supplies will be made available to all
          residents affected by groundwater removal actions to meet the
          requirements of this regulation.
                                  47

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      7.    Minimum Functional  Standards  for  Landfills  (HAC  173-314  and  70.95
           RCW).

                The  technology to be  applied  to  remediate the  landfill  at  a
                minimum will  meet the Washington  state  standards for ongoing
                landfill  operations,  closure, capping,  leachate containment,
                and  methane  control.
     8.    Hazardous  Haste  Cleanup Act  (70.1058 RCW).
                                            \'
                The selected  remedy will be  the cleanup standards established
                by this act.

     The selected remedy meets  the SARA preference for permanent solutions to
the maximum extent practicable.  Treatment  technologies are used as a
principal  element of the remedy and they will effectively reduce the toxlclty.
mobility,  and volume of the  contaminants permanently.  Connection of
residents, as required, to the  Tacoma municipal water water supply Is also
considered a long-term solution.

     The selected remedy meets  all objectives of remedial action In that It
provides a safe water supply and therefore protects public health, provides a
permanent  solution with moderately frequent maintenance,  protects the
environment to  the maximum extent practicable, and reduces toxlclty, mobility,
or volume  as a  principle element of treatment.  The selected remedy meets the
requirement of  cost-effectiveness.
                                       48

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VII.      ENFORCEMENT
     On June 27,  1986,  Tacoma  assumed  responsibility for conducting the RI/FS
under a Response  Order  on  Consent  Issued by  Ecology.  The remedial action Is
anticipated to be accomplished  voluntarily by  the responsible parties.  EPA
and Ecology Intend  to start  a  negotiation period after the signing of the
Record of Decision  and  will  ensure  that the  remedial action proceeds.
Finally. EPA and  Ecology are still  considering  the possibility of Identifying
additional parties  who  may be  potentially responsible for conditions at the
site.  Other than the June 27,  1986 Consent  Order, there has never been any
enforcement action  taken by  the regulatory agencies (I.e., EPA or Ecology)
regarding the Tacoma Landfill  site.  If the  responsible parties decline to
Implement the selected  remedy  as described In  the Record of Decision,  however,
EPA and Ecology will seek  appropriate  enforcement action.
                                       49

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'/Ill      COMITY RELATIONS
     Community relations activities  conducted  at  the Tacoma Landfill site  to



date Include the following:








     o    In 1983,  the Taccma  landfill  was  Included as part of the South



          Tacoma Channel site  on  the  National  Priorities List under



          Comprehensive Environmental  Response. Compensation, and Liability



          Act Of 1980 (CERCLA).



                                          N



     o    In May 1985. Ecology and Black & Veatch began Remedial  Investigation



          (RI)  Phase I.







     o    In December 1985,  Ecology  and Blade  & Veatch began Implementing  tha



          RI Project Work. Plan and Sampling Plan Phase I.







     o    In 1985.  a community relations plan  was developed by Black & Veatch



          and Hall  and Associates for  Ecology.







     o    From May  1985 to the present, the City of Tacoma maintained



          correspondence with  Interested local residents and well owners by



          providing notification of  quarterly  sampling and outlining



          analytical  results.







     o    In May 1986, the City of Tacoma  Issued a fact sheet discussing



          management of methane gas  at  the  landfill.
                                       50

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o    On May  13.  1986.  U.S.  EPA,  In  cooperation  with  the City of Tacoma
     and Ecology,  conducted  a  public meeting  to discuss well water
     quality of  private  wells  surrounding  the landfill.

o    In July 1986.  the City  of  Tacoma  Issued  a  press release and letter
     to residents  discussing background and scope of the RI.

o    In July 1986,  the City  of  Tacoma  and  Ecology signed a consent
     agreement establishing  guidelines for the  RI/FS.

o    In August 1986,  the City of  Tacoma began sampling 13 private wells
     located near  the  landfill.

o    In February  1987. the Phase  I  Sampling Plan, Phase II Sampling Plan
     and. Phase I  RI Report were completed  and made available to the
     public through Taccma City and County libraries.

o    On April 16.  1987.  Ecology.  In cooperation  with the City of Tacoma
     and EPA , conducted a public meeting  and provided a fact sheet
     discussing  progress of  the RI/FS.

o    In January.  1988  a  public  notice  was  published  in the Tacoma News
     Tribune announcing  the  availability of the  RI and FS Reports and a
     public meeting to be held  February 11. 1988.
                                   51

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o    On February  11,1938. Ecology.  \n cooperation  with  EPA  and  the City
                                                                        I
     of Tacoma, conducted a public  meeting  to  discuss alternatives for
     cleaning up  the groundwater and controlling methane  gas  at  the
     landfill,  Including the agencies' preferred plan.

o    From February 4 through March  4, 1988-, public  comments on  the RI/FS
     were accepted and documented.

o    In February  and March 1988 the the Responsiveness  Summary  and Record
     of Decision  were written.
                                   52

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                                   APPENDIX A
              APPLICABLE OR RELEVANT AND APPROPRIATE REQUIREMENTS
A.   FEDERAL LAWS AND REGULATIONS

     o    Resource Conservation  and  Recovery Act  (RCRA)  (42 DSC 6901),
          Subtitle C:
                                           \
               Protection  of  groundwater  (40 CFR  264. Subpart F) Closure and
               post-closure of  landfills  (40 CFR  264. Subpart G) [Mote:  These
               are administered  by Ecology  under  Dangerous Haste Regulations.
               HAC 173-303]

     0    Safe Drinking  Hater Act (SHDH)  (42 USC  300):

               Drinking  Hater Standards (40 CFR 141).  Enforceable Maximum
               Contaminant Levels (MCLs). Hhich are relevant and appropriate
               at  this  site.  [NOTE:  This Is administered by the Department of
               Social and  Health Services under HAC 248-54-175 for public
               water  supplies]

     o    Clean Hater Act  (CWA)  (33  USC 1251):

               National  Pollutant Discharge Elimination  System (NPOES) (40 CFR

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           122)  [Note:  NPOES  program  is administered by Ecology under WAC
           173-220]


           Hater Quality Criteria  (EPA440/5-86-001).
o    Clean Air Act  (CAA) (72 USC 7401):


          National  Emission Standards for Hazardous Air Pollutants

          (NESHAPS)  [Mote:  NESHAPS Program Is administered by Ecology

          and Puget  Sound A1r Pollution Control Agency under HAC 173-403],
                                     V

0    OSHA 29 CFR  1910:


          governs worker safety at hazardous waste sites

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B.   WASHINGTON STATE LAWS AND REGULATIONS


     o    Dangerous Haste Regulations.  HAC 173-303:   established  standards for
          handling and disposal  of hazardous  waste.


     o    Minimum Functional  Standards  for Solid  Haste  Handling,  70.95 RCW and
          HAC 173-304:  requirements for  operation and  closure of solid waste
                            *
          disposal facilities.


     o    Hazardous  Waste  Cleanup,  Chapter 70.1058 RCH:   standards for the
          cleanup of hazardous  waste s
     o    Hater  Quality Standards  for  Waters of  the State of Washington. HAC
          173-201:   Standards  for  discharge  to Flett Creek, or Leach Creek, or
                         j ,       _       - . •
          surface  waters of the  state.


     o    Submission of Plans  and  Reports for Construction of Hastewater

          Facilities, WAC 173-240:   standards for  the design, operation and
                         /
          maintenance of waste water treatment systems.


     o    National  Pollutant Discharge  Elimination System Permit Program, WAC

          173-220:   Discharge  limitations If treated water Is discharged Into

          surface  waters.


     o    Underground Injection  Control Program, HAC 173-218:  discharge
          standards  for reinjectlon of  treated water Into the ground.

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o    State Haste Discharge Permit Program, MAC 173-216:  Standards for
     the discharge  to  the sanitary sewer or groundwater (except by
     Injection).

o    Washington Clear  Air Act, RCH 70.94: applicable for discharging
     pollutants Into the atmosphere from a new source.

o    General Regulations for Air Pollution Sources. HAC 173-400.

o    Implementation of Regulations for Air Contaminant Sources, HAC
     173-403.

o    Emission Standards and Controls for Sources  Emitting Volatile
     Organic Compounds, HAC 173-490.

o    Instream Resources Protection Program - Chambers-Clover Creeks
     Basin, HAC 173-512:  governs minimum water flow and levels
     requlrements.

o    Protection Associated with Groundwater Rights, HAC 173-150-100:
     applicable to activities that would degrade  water quality.

o    Minimum Standards for Construction and Maintenance of Hater Wells,
     HAC 173-160:  governs design of extraction and monitoring wells.

o    Water Well Construction Act, RCH 18.104:   provides for the
     regulation of water well construction.

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o    Hater Pollution Control Act, RCH 90.48:  standards for the
     protection of surface water and groundwater.
o    Management of Waters of the State, RCW 90.54.020:  provides for the
     protection of state water quality.

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TO BE CONSIDERED          ;
                            !



     o    Ecology New Source Review Guidelines  for  Toxic  Air  Contaminants  In

          the State  of Washington.  September  1986.




  '   o    EPA Policy Statement  -  Groundwater  Protection Strategy.




     o    Hashlngton Department of  Ecology  Final Cleanup  Policy:   (Technical

          memorandum dated  July 10,  1984) used  for  guidance  In  establishing

          cleanup levels.


                                         \

     o    State  Water Code.  RCH 90.03 and Hater Rights. RCH 90.14:  estab-

          lishes water rights permits necessary for water withdrawals,

          Including  groundwater extraction.




     o    State  Environmental Policy Act (SEPA). MAC  197-11:  covers all

          actions which may  have  significant  environmental Impact.




     o    State  Protection of Upper Aquifer Zones. MAC 173-154:  restricts

          activities that would Impair senior groundwater rights,  Including

          water  level  lowering  and water quality degradation.




     o    Protection of Withdrawal Facilities Associated with Groundwater

          Rights, WAC 173-150:  restricts activities  that would  Impair senior

          groundwater rights. Including water levels  lowering and  water

          qual1ty degradation.

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o    City of Tacoma Code, Chapter 12.08:  pre-treatment regulations whic||
     govern discharge to the sanitary sewer.

o    Pierce County Storm Drainage Ordinance 86-60:  provides guidelines
     for the report criteria,  analysis and design of public and private
     storm drainage systems.

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                                   APPENDIX B
                             RESPONSIVENESS SUHHARY
     This community relations responsiveness summary Is divided Into the
following sections:
Section 1.0    Overview.  This section reviews the U.S.  Environmental
               Protection Agency s (EPA) preferred alternative for corrective
               action, and likely public reaction to this alternative.

Section 2.0    Background on Community Involvement and Concerns.  This  section
               provides a brief history of community Interest and concerns
               raised during remedial planning activities at the Tacoma
               Landfill site.
Section 3.0    Summary of Malor Comments Received During the Public Comment
               Period and Agency Responses to the Comments.  Both written and
               oral comments are categorized by relevant topics.  EPA's
               responses to these major comments are also provided.

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Section 4.0    Remaining Concerns.  This section describes remaining communit
               concerns that EPA and Ecology should consider in conducting tff
               remedial design and remedial action at the Tacoma Landfill site

     Community relations activities conducted during remedial response
activities at the Taccma Landfill  site are listed in Attachment A to this
summary.

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                                 1.0  OVERVIEW
     The City of  Tacoma,  under  a  Response  Order on  Consent  Issued by the
Washington State  Department of  Ecology,  completed a Remedial
Investigation/Feasibility Study (RI/FS)  for  the Tacoma  Landfill site, located
south of Tacoma.  Washington.  From  1960  through the 1980s,  the landfill  has
received refuse and garbage from  the city's  collection  service.  Hazardous
materials were part of  the refuse.  Contaminants were discovered In nearby
drinking water wells at  levels  high enough to  cause public  health concerns.
The cleanup alternative  recommended by Ecology to EPA,  was  to Intercept the
advance of contaminants  by extracting the  contaminated  water, treating It, and
discharging the cleaned  water.  This alternative Is described In more detail
In the Feasibility Study  (Chapter 4; Black & Veatch 1987) and In the Selected
Remedial Alternative section of the Record of  Decision  (Section VI).

     In this summary, concerns  of the local  community about problems at the
site, the recommended cleanup alternative, and the  study process Itself are
described.  Public comment also Indicates  that residents hope the cleanup will
be as quick and thorough  as possible, and  not  raise additional problems
through Its Implementation.  Only one potentially responsible party, the City
of Tacona, has been Identified  to date although an  Investigation to Identify
others has been Initiated.  The Identified responsible  parties will share
cleanup costs.  Residents  are concerned  about  the funding to perform the
cleanup and any adverse  impact  upon refuse collection rates.

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        2.0 BACKGROUND ON COMMUNITY INVOLVEMENT AJMD CONCERNS
     Community Interest fn the Tacoma Landfill  began  as  early  as  1968  when
local residents complained of poor water quality  In their  private  wells.  This
condition continued throughout the 1970s.   The  residents are currently
concerned about leachate from the landfill  contaminating their  private wells,
and methane gas entering their homes.

     Early In the Remedial  Investigation/Feasibility  Study (RI/FS)  process
(1985), Hall  and Associates Interviewed local residents  and government
officials and compiled a list of community  concerns regarding  the  landfill.
The following Is a compilation of community concerns  In  1985:

     o    lack of Interest and unwillingness  to prov.lde  water  testing  by  the
          publ1c health agency.

     o    Lack of candor by government officials, particularly  relating to
          contamination of wells In  University  Place  during the late 1970s.

     o    Quality of drinking water.

     o    Health of small  children In  the neighborhood and  recent  miscarriages.

     o    Cost of replacing private  wells and connecting residences to the
          city's water system.

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     o     Inconvenience  associated  with  using  bottled  water
                               i
     o     Need  to  be  kept  informed  of  landfill related activities.

     The City of Tacoma  and  Ecology developed  a community relations plan in an
effort to  keep  the  public  Informed  of  RI/FS activities.  The City of Tacoma
has addressed public  concerns by holding meetings with residents to discuss
RI/FS activities and  public  health  concerns.   Attachment A summarizes the
cooBJunlty  relations activities conducted at the South Tacoma Landfill.  The
following  Is a  record of those activities:
                                          x^
     1)    In 1968.  the City  of Tacoma  Department of Public Works began
receiving  complaints of  contamination  of the Home Builder's Association well,
located at South 40th and Orchard Streets.

     Actions;  The  City of  Tacoma conducted a chemical  analysis of the well
     water.  Results revealed the water contained a high Iron content, was
     discolored, and had a slight odor.  The city Installed a leachate
     collection system comprised of a  gravel drain and dike.  The dike
     diverted leachate flow  to the  drain that discharged to a perforated
     manhole connected to the city  sewer system.   An additional  cover placed
     over  the fill  promoted  surface water drainage. Inhibited Infiltration of
     water, and reduced  leachate production.   The Home Builder's Association
     was eventually connected to the city's water system.

     2)    In the late 1970s, wells  owned by the University Place Water Company
located west of the landfill, were  found to contain elevated levels of Iron
and manganese.  Residents complained of unappealing water taste, color, and
odor.

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     Actions;   An  Investigation conducted by Ecology Indicated  that well
     water contamination  could have  resulted  from  surface water or groundwater
     froffl the  landfill, or  from water migration  through material containing
     high levels of  iron  and  manganese.   Residents  served by these wells were
     eventually connected  to  the city's  water  system and these wells have not
     yet been  abandoned, in  accordance with  State requirements.
     3)   In 1985. prior  to  the  RI.  groundwater  samples were collected from
wells near the landfill and  analyzed  for U.S.  EPA priority pollutant volatile
organic compounds.  Four  private  wells  located In the vicinity of the landfill
were found to contain  priority pollutant volatlle organic compounds.

     Actions:  In  June  1985.  vinyl  chloride  was detected  In  the
     Shaughnessy's well and  they  were connected  to the city's water system.
     Vinyl chloride was detected  In  the Donaldson's well and they were
     connected to the  city's water  system In June 1986.  Although vinyl
     chloride was not  detected In  the remaining  two wells (those of the
     Hlgglns/Knlpher and  Miller  residences), the city supplied these
     residences with bottled water  for  drinking.  The Hlgglns/Knlpher and
     Miller residences were  later  connected to the city's water system In
     October and December 1986,  respectively.  In 1987. the Meyer and Phillips
     residences were connected to  the city's water system because vinyl
     chloride contaminated their  wells.

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     4)   Early  in  1986,  local citizens were becoming concerned about the
quality of water from  their private wells.

     Actions;  Ecology,  In  cooperation with the City of Tacoma and EPA,
     conducted a public meeting on May 13, 1986 to discuss affects of
     potential leachate migration to private wells.   The meeting was open
     exclusively to private well owners.   Twenty citizens and ten city,  state,
     and federal representatives attended.  At this  time. Blade & Veatch was
     still acting as a consultant for Ecology.   A description and history of
     the site was outlined, the affects of methane gas migration were
     discussed, and an .^enda and fact sheet were distributed.
     5)   In May 1986. local residents voiced concern about lateral  methane
gas migration at the City of Tacoma municipal landfill.

     Actions;  The city hired a consultant (Mandeville Associates) to
     Investigate gas production and the extent of off-site migration prior to
     the release Incident.  The city conducted field surveys using portable
     exploslmeters and found methane gas had migrated beyond the landfill
     boundaries.  As a result of these findings,  a gas extraction system
     comprised of 128 gas extraction wells with gas probes at 66 locations was
     Installed.   Initial efforts focused on controlling  gas In businesses
     located southwest of the site.  A flare static- with permanent flares was
     Installed In November 1986.  The city Implemented a gas monitoring
     program for structures surrounding the landfill.  Both ambient and point
     sources were measured.

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     6)   As early  as  1983,  local  residents  were  voicing  concerns about
potential grcundwater  contamination  from  leachate migrating  from the  landfill.

     Actions:   In  June  1986,  the  City of Tacoma.  under  the direction of
     Ecology,  assumed  responsibility for  conducting  an RI/FS. Quarterly
     groundwater  monitoring  activities  were  established to identify hazardous
     contaminants.   The  city continued  contact with  specific residents by
     notifying them  of sampling  dates and reporting  analytical results.
     Public Involvement  in landfill  Issues Is maintained  by Ecology conducting
     public meetings and providing fact sheets on  recent  landfill activities
     and studies.

     7)   As the  RI  progressed In  1987. local citizens continued to voice
concerns and questions.

     Actions;   Ecology, in  cooperation with the City  of Tacoma and EPA.
     conducted a  public meeting  on April  16, 1987  to discuss the  progress of
     the RI/FS.   Groundwater wel1 monitoring procedures and analytic results
     were addressed.  At that time,  three to four  residences had been
     connected to the city's water supply.  Methane gas migration and
     monitoring were discussed.  Dr. Branchflower, a consultant to the City of
     Tacoma, discussed risk  assessment at the landfill site.  Black & Veatch,
     acting as consultants to the city, provided  graphical representation of
     well locations  and migration pathways.  An agenda and fact sheet were
     distributed.

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     8)   After the RI/FS was made public In February  1988, citizens had
concerns and unanswered questions.

          Actions:  On February 11. 1988, Ecology,  In cooperation with EPA
          and the City of Tacoma, conducted a public meeting to discuss
          remedial alternatives for cleaning up leachate and methane gas at
          the landfill.  Questions relating to the RI/FS were answered and
          public comments were recorded.

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           3.0 SUMMARY OF MAJOR COMMENTS RECEIVED DURING THE PUBLIC
         COMMENT, PERIOD AND AGENCY RESPONSES TO THE COMMENTS

     The public comment period  was  open  from February 4 through March 4,
1988.  Ecology held a public meeting  In  Tacoma on February  11, 1988 to explain
the study and the remedial  alternatives.  Formal comments received at that
meeting concerned providing  an  alternate  water supply, coordinating planning,
evaluating alternative design options, and  Implementing new landfill
operations Including recycling  and  ash disposal.  The last comment Is
considered beyond the scope  of  the  FS.
                                          \
     Comments from members of the public, primarily Tacoma area residents.
regarding the FS report are  summarized below.  Questions were addressed to
U.S. EPA, Ecology, the Tacoma-Plerce County Health Department (TPCHD),  and
City of Tacoma representatives  and  their  consultants.
FORMAL COMMENTS

     Four participants  from  the public presented formal comments during the
public hearing.   Those  comments are summarized below.

     1) Provision of  an alternative water supply for residents whose wells
have been contaminated  regardless of the chosen alternative was a concern of
one participant.

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     Response;  The preferred alternative  includes provision of an
     alternate, unthreatened  water  supply  (municipal  water)  to any resident
     whose water  supply  is  adversely  impacted  as  further  describes in the ROD'
     by contamination  emanating  from  the landfill.
     2) One comment  addressed  the  need  to  incorporate  long-term planning in
future studies.  The  speaker noted  that  seven years ago, many of today's
problems connected with  the landfill were  not known and not planned for.
Another comment addressed  the  need  for more  coordination in the planning
process between the  consultants and agencies connected with landfill studies.

     Response;  Long term planning of the landfill  operation is  conducted  at
     the local level  with  assistance and review by the state.  Selection of
     the preferred alternative under CERCLA/SARA included analysis of
     long-term needs.  Long-term planning  is part of the studies.  Ecology aij
     EPA agree that more coordination Is needed and have Incorporated this
     Into ongoing community relation activities.
     3) Several design options were offered by one participant who felt that
they should have been considered during the evaluation of remedial
alternatives.  These options are as follows:

   o  An aeration facility  to remove volatile material from the groundwater.

   o  A system of wells completely encircling the  landfill to Intercept and
      retrieve contaminated groundwater.

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   o  Incorporation  of  removable pumps and sequencing pumping to optimize
      groundwater  retrieval.

   o  Discharge of treated groundwater to the Simpson pulp mill  or other use
      of treated groundwater as a water supply.

   o  Use of extracted  methane to produce e.lectrld.ty.

          Response;  Ecology and  EPA will  take note of these  suggestions  and
          they will  be  evaluated during the Remedial Design phase as
          appropriate.
     4) A comment was received concerning the potential threat to public
health caused by heat generation from spontaneous combustion of materials In
the proposed sealed landfill.  Such conditions might lead to an explosion that
would endanger nearby apartments and their Inhabitants, and taxpayers would be
obligated to pay for the damage.

     Response;   The  landfill  will  be continuously monitored  so that
     spontaneous combustion problems should not occur.  Should a problem
     occur, the landfill has a contingency plan and an emergency response plan
     In plact.

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