United States Office of Environmental Protection Emergency and Agency Remedial Response EPA/ROD/R02-91/151 September 1991 oEPA Superfund Record of Decision Roebling Steel, NJ ------- 50272-101 REPORT DOCUMENTATION PAGE 1. REPORT NO. EPA/ROD/R02-91/151 3. Recipient" • Accession No. 4. Tltte«nd Subtitle SUPERFUND RECORD OF DECISION Roebling Steel, NJ Second Remedial Action 5. Report Date 09/26/91 7. Auttior(i) 8. Performing Organization Rept No. 9. Performing Organization Name and Addres* 10. Protect/Task/Work Unit No. 11. Contract(C) or Grant(G) No. (C) (G) 12. Sponsoring Organization Name and Address U.S. Environmental Protection Agency 401 M Street, S.W. Washington, D.C. 20460 13. Type of Report ft Period Covered 800/000 14. 15. Supplementary Notes 16. Abstract (Umlt: 200 words) The 200-acre Roebling Steel site is an inactive steel wire and cable manufacturing facility in Florence Township, Burlington County, New Jersey. Site features include a 34-acre slag disposal area, and 55 buildings connected by a series of paved and unpaved access roads. Two portions of the slag area lie within the 100-year floodplain of the Delaware River. A public playground, known as the Southeast Park, is adjacent to the southeastern portion of the site, and land surrounding the site consists of farmlands, wetlands, and forested and residential areas. The Roebling Steel site produced steel products between 1906 and 1982. In recent years, parts of the site have been used as a storage facility for vinyl products, a warehouse facility, a polymer-reclamation facility, a facility for repairing and refurbishing refrigerated trailers and shipping containers, a storage facility for insulation, and an equipment storage facility for a construction company. Approximately 1,458,000 cubic yards of slag material from steel-making processes were used to fill in a large portion of the bordering Delaware River shoreline. In addition to the slag material, other potential sources of contamination onsite include: process buildings containing chemical treatment baths, tanks, pits and sumps; a wastewater treatment plant; two sludge lagoons; friable (See Attached Page) NJ 17. Document Analysis a. Descriptors Record of Decision - Roebling Steel, Second Remedial Action Contaminated Media: soil, debris Key Contaminants: VOCs (benzene, PCE, TCE, toluene, xylenes), other organics (PAHs, PCBs, pesticides), metals (arsenic, chromium, lead) b. MenUfiera/Open-Ended Terms c. COSATI Held/Group 1 18. Availability Statement 19. Security Claas (This Report) None 20. Security Class (Thla Page) None 21. No. of Pages 56 22. Price (See ANSI-Z38.1S) See Instructions on Reverse OPTIONAL FORM 272 (4-77) (Formerly KTIS-35) Department of Commerce ------- EPA/ROD/R02-91/151 Roebling Steel, NJ Second Remedial Action Abstract (Continued) asbestos insulation inside buildings and falling from pipes; 52 railroad cars containing fly-ash, dry sludge, and debris; and a landfill containing rubble and debris. Because the site lacked properly operated environmental control facilities, several regulatory agencies have issued notices of noncompliances to site owners over the last 25 years. Based on Federal investigations conducted in 1983, three removal actions were conducted. In 1985, the State removed explosive materials. In 1987, EPA removed lab pack containers, drums of corrosive and toxic materials, acid tanks, and compressed gas cylinders. In 1990, EPA removed fencing around the slag area. A 1990 Record of Decision (ROD) addressed the remaining drums, tanks, transformers, contaminated soil, baghouse dust, and chemical and tire piles. This ROD addresses soil and debris contamination in the slag area and in the Southeast Park as OU2. Future RODs will address final remedies for soil, sediment, debris, ground water, surface water, and air. The primary contaminants of concern affecting the soil and debris are VOCs including benzene, PCE, TCE, toluene, and xylenes; other organics including PAHs, PCBs, and pesticides; and metals including arsenic, chromium, and lead. The selected remedial action for this site includes excavating and transporting approximately 160 cubic yards of contaminated soil from two areas of the Southeast Park to an offsite treatment and disposal facility; backfilling the excavated area with clean soil and revegetating the area; conducting additional surface and subsurface sampling to confirm the extent of contamination and to test for exceedances of regulatory levels; excavating and treating slag areas that are leaching contaminants using a mobile treatment unit that stabilizes the slag material; conducting a treatability test to determine the specific stabilization process; dewatering of any slag material found below the water table during excavation; collecting, treating, and disposing of extracted water; returning treated slag to an area above the water table; reprocessing or offsite disposal of any slag material leaching contaminants above regulatory levels; excavating and offsite disposal of localized areas of slag determined to interfere with or be unaffected by the solidification/stabilization process; offsite treatment and disposal of slag if the remedial design determines that the volume of slag to be treated is small compared to the current estimate of 30,000 cubic yards; grading and capping the 34-acre slag area using a soil cover; providing riprap along the river shoreline to minimize erosion; long-term ground water monitoring; and implementing institutional controls. The estimated present worth cost of this remedial action is $12,220,100, which includes an annual O&M cost of $344,200. PERFORMANCE STANDARDS OR GOALS: No promulgated Federal or State requirements for soil contamination exist. However, the remedy will comply with State Interim Soil Action Levels for carcinogenic PAHs and inorganic compounds in the slag and soil. The remedy also will comply with EPA's chemical-specific guidelines for lead in soil, which ranges from 500-1,000 mg/kg. ------- ROD FACT SHEET SITE Name: Location: EPA Region: HRS Score (date) NPL Rank (date): Roebling Steel Superfund Site Florence Twp., Burlington Co., New Jersey II 41.02 (8/82) 57 (9/83) ROD Date Signed: Selected Remedy Slag Material: Soils (park): Capital Cost: 0 & M: Present Worth: September 26, 1991 Excavation and treatment of heavy metal hotspots via on-site stabilization, and capping the entire slag area with a soil cover. Excavation and off-site disposal of hotspots, Slag Area $ 6,758,900 $ 344,200 $ 12,105,600 Park Soil $ 114,500 $ 0 $ 114,500 LEAD Agency: Primary Contact: State Contact: Federal Remedial Lead Tamara Rossi (212) 264-4593 Frank Richardson (609) 292-4070 WASTE Type: Medium: Origin: Slag material and soil - heavy metals and PAHs. Slag material and soil. Pollution originated during the operation of the Roebling Steel facility. The processes used during steel making resulted in the generation and deposition of the slag material (1,458,000 cy). The origin of contamination in the park soil is undetermined. ------- DECLARATION STATEMENT RECORD OF DECISION ROEBLING STEEL COMPANY SITE NAME AND LOCATION Roebling Steel Company, Florence Township, Burlington County, New Jersey STATEMENT OF BASIS AND PURPOSE This decision document presents the selected remedial action for the Roebling Steel Company site, which was chosen in accordance with the requirements of the Comprehensive Environmental Response, Compensation, and Liability Act of 1980, as amended by the Superfund Amendments and Reauthorization Act of 1986 and, to the extent practicable, the National Oil and Hazardous Substances Pollution Contingency Plan. The State of New Jersey concurs with the selected remedy. The information supporting this decision is based on the administra- tive record for this site. ASSESSMENT OF THE SITE Actual or threatened releases of hazardous substances from this site, if not addressed by implementing the response action selected in this Record of Decision, may present an imminent and substantial endangerment to public health, welfare, or the environment. DESCRIPTION OF THE SELECTED REMEDY The remedial action described in this document represents the second planned operable unit for the Roebling site. It addresses the remediation of a 34-acre slag area and the southeast park. The principle threats associated with these areas are contaminated slag and soil containing elevated concentrations of heavy metals and polycyclic aromatic hydrocarbons. The overall objective of the action is to limit exposure to levels that are protective of human health and the environment. Subsequent operable units for the remaining areas of contamination at the site will be the subject of future Records of Decision for the site. ------- The major components of the selected remedy for the second operable unit include: Slag Area Treatment via stabilization of highly contaminated slag material; • Grading and capping the entire slag area with a single layer soil cover and vegetation; and • Long-term monitoring and institutional controls to ensure the effectiveness of the remedy. Southeast Park • Excavation of approximately 160 cubic yards of contaminated soil located in two areas of the park; • Disposal of the contaminated soil at an appropriate off-site facility; and • Backfilling of the excavated area with clean soil and revegetation. STATUTORY DETERMINATIONS The selected remedy is protective of human health and the environment, complies with Federal and State requirements that are legally applicable or relevant and appropriate to tne remedial action, and is cost effective. This remedy utilizes permanent solutions and alternative treatment (or resource recovery) technologies to the maximum extent practicable, and satisfies the statutory preference for remedies that employ treatment that reduces toxicity, mobility, or volume as a principal element. This action constitutes a final remedy for the slag area and the southeast park. The slag area component of this operable unit will result in hazardous substances remaining on the site above health-based levels. Therefore, a review will be conducted within five years after commencement of the remedial action to ensure that the remedy continues to provide adequate protection of human health and the environment. Constant ine7 "SI da^ridn-Eri Regional^ftdminarstrator ------- DECISION SUMMARY RECORD OF DECISION ROEBLING STEEL COMPANY SITE NAME, LOCATION, AND DESCRIPTION The Roebling Steel Company site is a 200-acre property bordered by Second Street and Hornberger Avenue in the Village of Roebling, Florence Township, Burlington County, New Jersey. The site is in the vicinity of 40* 07' 25" north latitude and 74' 46' 30" west longitude. The site is bordered on the north and east by the Delaware River and Crafts Creek, respectively. A fence identifies the southern boundary of the site. A slag disposal area, occupying 34 acres of the site, borders the Delaware River shoreline. The site is zoned as general manufacturing. The southeast park is a public playground adjacent to the southeastern portion of the site. U.S. Route 130 is approximately one-half mile south of the site. The slag area and the southeast park are shown on Figure 1. Residential properties are located to the west and southwest of the site at a zoning density of approximately eight dwellings per acre. The closest residences are approximately 100 feet away from the property boundaries, 250 feet from the slag pile and 1,200 feet from the sludge lagoons and wastewater treatment plant tanks. The southeast park, a public playground adjacent to the southeastern portion of the site, consists of swings and a basketball court. A Penn Central (Conrail) railroad track runs adjacent to the southeast park. The residential area of Florence Township is one to two miles west of the site. The remainder of the Township is comprised of farmlands, wetlands and forested areas, except for a few residential areas abutting roadways. The population of Florence Township is 9,562 (1988 census). The site is an inactive facility that was used from 1906 until 1982 primarily for the production of steel products. In recent years, parts of the site have been used for various other industrial operations. There are approximately 55 buildings connected by a series of paved and unpaved access roads occupying most of the site. Slag material, a residue from steel production, was used to fill in a large portion of the bordering Delaware River shoreline. In addition to the slag material, other potential sources of contamination exist at the site, and include: process buildings containing chemical treatment baths, tanks, pits and sumps, a wastewater treatment plant, two sludge lagoons, friable asbestos insulation inside buildings and falling from pipes, 52 railroad cars containing fly-ash, dry sludge and debris, and a landfill containing rubble and debris. The site topography is essentially flat, except for a hill on the southern boundary of the slag area that rises to Riverside ------- Avenue, a steep slope down to the banks of the Delaware River, and that portion of the slag area where crucible shaped slag piles are present. The site topography lies between 15 and 35 feet above mean sea level (MSL). The site lies in the Dels.ware River drainage basin and is mostly above the 100-year flood plain except for two portions of the slag area. There are no wetlands located within, or directly associated with, the slag area. The tidal fluctuations of the river produce tidal mud-flats on the entire shoreline. These mud-flats are separated from the uplands by a rocky and steep river bank. The topographic relief in the southeast park is minimal, with most elevations around 30 feet above MSL. Two groundwater aquifers exist in the area of the site. The Magothy Formation outcrops over most of the site with the underlying Raritan Formation outcropping in a thin belt immediately adjacent to the Delaware River. Groundwater in the area flows toward, and a portion of it recharges, the Delaware River. Florence Township obtains its potable water supply from wells located about two miles west of the site. The city of Burlington, approximately six miles downstream from the site, obtains water from both the Delaware River and shallow groundwater wells. The river also supplies water to the city of Philadelphia farther downstream. These locations are cross- gradient to the direction of groundwater flow at the site and would not be affected by the site. The Delaware River is used for contact (e.g-» swimming) and non- contact (e.g., boating) recreational activities in the vicinity of the site. Crafts Creek, a tributary to the Delaware River, with headwaters in north-central Burlington County, comprises the eastern boundary of the site and forms a 40-acre pond south of the site. Crafts Creek is used by nearby residents, particularly children, for contact recreational activities such as fishing and playing. BITE HISTORY AND ENFORCEMENT ACTIVITIES Historical Site Use A steel mill was established at the site in 1906 by the J. A. Roebling's Sons Company for the fabrication of steel wire and cables from scrap steel. The site was owned by the Roebling family until 1952 when it was sold to the Colorado Fuel and Iron Company (CF&I). In June 1974, the plant ceased operations under CF&I, and the Alpert Brothers Leasing Company (Alpert Bros.) purchased the land, buildings and. machinery. The Alpert Bros. intended to liquidate the equipment and real estate. Three partners of Alpert Bros, formed a subsidiary, Roebling Steel and Wire Corporation, which purchased the land and buildings at the site, and leased equipment from Alpert Bros, in order to ------- •undertake steel manufacturing. The Roebling Steel and Wire Corporation filed for voluntary bankruptcy in May 1975. In May 1979, the John A. Roebling Steel Company (JARSCO) purchased the plant with the financial assistance from the Economic Development Administration (EDA) of the U.S. Department of Commerce, the New Jersey Economic Development Authority, and private funds. JARSCO utilized only those portions of the plant and equipment needed for the production of carbon and alloy steel billets, leaving the wire mill facilities idle. JARSCO ceased operations in June 1981 and leased portions of the site to other businesses. The Roebling Wire Company (RWC) purchased the wire mill equipment from JARSCO and leased the wire mill premises. RWC began wire production in January 1982. RWC closed its operations in the summer of 1983, filed a Chapter XI petition for bankruptcy, and continued to occupy the site premises until October 1985. During 1978 through 1983, the site supported a variety of other industrial activities in addition to RWC, which include a polymer-reclamation facility, a storage facility for vinyl products, a warehouse facility, a facility for repairing and refurbishing refrigerated trailers and shipping containers, a storage facility for insulation, and an equipment storage facility for a construction company. The EDA provided financial assistance starting in 1979 to promote companies and businesses on the site. All of these companies have ceased operating on the site. EDA remains a creditor in possession of selected real property and equipment. Compliance History The lack of properly operated environmental control facilities at the site over the last 25 years resulted in several regulatory agencies issuing notices of noncompliance to site owners. On May 19, 1964, the Mew Jersey Department of Health (NJDOH) recommended that CF&I install a wastewater treatment plant. A NJDOH status report described operations conducted at the site by CF&I, which was then discharging 15-million gallons per day (mgd) of untreated acidic industrial wastes and plant cooling water into the Delaware River. The effluent was acidic, and contained high levels of iron and other metals, suspended solids, and oil. On May 31, 1968, NJDOH ordered CF&I to cease polluting the Delaware River and required the construction of a wastewater treatment plant. In 1972, the wastewater treatment plant was completed and placed into operation. ------- On November 15, 1974, the New Jersey Department of Environmental Protection (NJDEP) met with the facility owners to discuss various aspects of the operation, including the absence of liners under the sludge lagoons, groundwater contamination, landfill operations, oil unloading, and transmission and storage operations. In October 1979, NJDEP issued JARSCO a permit to upgrade and operate an industrial wastewater treatment plant (the CF&I wastewater treatment plant with improvements). The permit required the installation of monitoring wells and the performance of bioassay monitoring. The Delaware River Basin Commission (DRBC) granted approval to JARSCO to withdraw surface water from the Delaware River, and to discharge wastewater to the Delaware River in compliance with DRBC water quality standards. On June 13, 1979, the JARSCO operation was inspected by NJDEP and the Burlington County Health Department. Six hundred 55-gallon drums containing waste oil were discovered on site. NJDEP requested that these drums be removed. In November 1979, NJDEP issued a notification of violation to JARSCO, as a result of an inspection of the site on June 13, 1979. JARSCO was later cited for committing a health and safety violation as it attempted to remove the drums from the site without completing the required waste manifests. On January 29, 1980, NJDEP named JARSCO as one of 38 hazardous waste sites most urgently needing cleanup in the State of New Jersey. The following potential pollution sources were identified: 100 drums, PCB transformers, a tire pile, abandoned oil and chemical storage tanks, and bag house dust storage piles. in 1981, JARSCO was cited by NJDEP for noncompliance with conditions in the permit for operation of its wastewater treatment plant (installation of monitoring wells, bioassay monitoring, flow measurement and discharge monitoring). NJDEP issued a Notice of Prosecution to JARSCO seeking the removal of oil drums and other hazardous wastes stored on site. The Environmental Protection Agency (EPA) performed a Resource Conservation and Recovery Act (RCRA) inspection of the facility, JARSCO, which was cited for storage of baghouse dust without a permit. NJDEP inspected and sampled the sludge lagoons, and found the sludge to contain volatile organics and heavy metals. On July 22, 1981, JARSCO removed 20,000 gallons of waste oil and 60 cubic yards of contaminated soil from the site. On February 1, 1982, NJDEP issued JARSCO a deadline for the sub- mittal of a compliance plan, which would address a violation of monitoring requirements for the wastewater treatment plant. Since the JARSCO plant had closed in November 1981, it was not required to meet the deadline. ------- In June 1982, NJDEP required the installation of two groundwater monitoring wells downgradient from the lagoons, and one well upgradient from the lagoons. EPA issued a Complaint and Compliance Order that directed JARSCO to stop storing hazardous wastes without a permit, to remove spilled dust and contaminated soil, and to address contaminant migration. In December 1982, an acid cloud at the RWC was reported. No violations could be detected when the facility was inspected by NJDEP. In February 1983, JARSCO officially abandoned the site without sufficiently addressing the permit compliance violations first cited in 1981. In 1983, NJDEP inspected the site and found that permits and certificates were missing from some of the RWC equipment. A Compliance Evaluation Inspection performed by NJDEP found unacceptable conditions at the RWC portion of the site. Removal and Remedial Actions to Date The site was proposed for inclusion on EPA's National Priorities List of Superfund sites in December 1982, and added to the list in September 1983. In 1983, EPA performed a site inspection which included soil sampling. Existing data were assembled into a Remedial Action Master Plan. In May 1985, EPA began a remedial investigation (RI) to characterize the nature and extent of the contamination present at the site. Three removal actions have been performed at the site. In December 1985, the State of New Jersey removed picric acid and other explosive chemicals from one of the on-site laboratories. EPA performed a removal action between October 1987 and November 1988. This action included the removal of lab pack containers and drums containing corrosive and toxic materials, acid tanks, and compressed gas cylinders. EPA conducted another action in October 1990, that involved fencing a portion of the slag area. An initial Record of Decision (ROD) was signed in March 1990, which resulted in the start of a remedial action in September 1990. That remedial action authorized the excavation in the Roebling Park and continued the remediation of source areas identified on site which were not addressed in the previous removal actions. The scope of that action included the removal, and off-site treatment and disposal, of the following contamination sources: remaining drums containing liquids and solids, exterior abandoned tanks, transformers containing oil contaminated with polychlorinated biphenyls (PCBs), a baghouse dust pile, chemical piles, tire piles, and excavating contaminated soil in an area of the Roebling Park. The remedial action is near completion. ------- Concurrent with the on-going remedial action, a focused feasibility study (FFS) and proposed plan were prepared to address the slag area and the southeast park; these documents form the basis of this ROD. The nature and extent of the remaining site contamination will be characterized in a remedial investigation and feasibility study (RI/FS), which is still being prepared. This extensive study will examine soils, surface water, groundwater, sediments, air quality and remaining contamination sources. Enforcement Activities In 1985 and 1987, General Notice Letters pursuant to the Comprehensive Environmental Response, Compensation and Liability Act (CERCLA), as amended, were sent to potentially responsible parties (PRPs) including past and present owners, operators and tenants, informing them of their potential liability, and affording them the opportunity to participate in the respective response actions. The PRPs declined to participate in these actions. In December 1987, a PRP search was completed and Request for Information Letters were sent to PRPs identified as potentially viable. EPA prepared a litigation referral which recommended the filing of a proof of claim in a Chapter 11 bankruptcy proceeding by the CF&I Steel Corporation, a former owner and operator of the site. During CF&I's ownership and operation of the plant and real property, the company's handling, storage and disposal practices resulted in the release or threatened release of hazardous substances at the site. On March 14, 1991, the United States Department of Justice filed a proof of claim and EPA attained the status of an unsecured creditor of CF&I. In June 1991, a supplemental PRP search was initiated to fill data gaps in the initial PRP search, and incorporate new information. In July 1991, General Notice Letters pursuant to CERCLA, as amended, were sent to PRPs, reiterating notification of potential liability, affording them the opportunity to participate in the response actions for the site, and informing them of the comment period and public meeting regarding the remedial selection of a remedy for the slag area and southeast park. ------- HIGHLIGHTS OF COMMUNITY PARTICIPATION The FFS report and Proposed Plan for the Roebling Steel Company site were released to the public for comment on July 11, 1991. These two documents are available to the public in the administrative record at EPA and information repositories maintained at the Florence Township Public Library and the Florence Township Municipal Building. The notice of availability, for these two documents was published in the Burlington County Times and the Bordentown Register News on July 11, 1990. A press release was published in the Burlington County Times on July 15, 1991. A Superfund Update was mailed to approximately one hundred individuals on a mailing list maintained by EPA for the site. A public comment period was held from July 11, 1991 to August 9, 1991. In addition, a public meeting was held on July 25, 1991. At this meeting, representatives from EPA answered questions about problems at the site and the remedial alternatives under consideration. A response to the comments received during the comment period is included in the Responsiveness Summary, which is part of this ROD. This ROD is the decision document which presents the selected remedial action for the Roebling Steel Company site, in Florence Township, New Jersey, chosen in accordance with CERCLA, as amended, and to the extent practicable, the National Oil and Hazardous Substances Pollution Contingency Plan (NCP). The decision for this site is based on the administrative record. SCOPE AND ROLE OF OPERABLE UNIT WITHIN SITE STRATEGY As with many Superfund sites, the problems at the Roebling Steel Company site are complex. As a result, EPA has organized the remedial work into phases, or operable units. This ROD addresses the second planned remedial action at the site. This action will address those hazards in the slag disposal area and the southeast park. The remedial action is consistent with Section 104 of CERCLA, as amended. Remedial alternatives for a permanent cleanup of the remainder of the site will be evaluated in future feasibility studies (FSs) after the completion of the comprehensive RI. Site Cleanup Strategy Removal The first removal action was performed in 1985 Actions by NJDEP; the second and third were performed in 1987 and 1990 by EPA. Explosive chemicals were removed from the site in the 1985 removal. In the second removal action, lab pack containers and drums of corrosive and toxic materials, acid tanks and compressed gas cylinders were removed. In the third action, fencing was installed around the slag area. ------- 8 Operable Operable Unit (OU) 1 addressed the sources of Unit 1 contamination that pose an imminent hazard but were not addressed during the removal actions. These sources include the remaining drums, exterior tanks, trans- formers, a baghouse dust pile, chemical piles, and tires. In addition, contaminated soil in the Roebling Park was excavated. The remedial action started in September 1990 and is near completion. Operable OU 2 is the subject of this decision document. Unit 2 It focuses on the remediation of the material in a 34- acre slag area and the southeast park. The principle threats associated with these selected areas are contaminated siag and soil containing elevated concentrations of heavy metals and carcinogenic polycyclic aromatic hydrocarbons (PAHs). The overall objective is to limit exposure to levels that are protective of human health and the environment. Potential groundwater contamination in the slag area will be addressed as part of a future proposed remedial action. Future An RI is currently being performed that will Actions characterize the remaining areas of contamination at the site. The RI will examine soils, surface water, groundwater, sediments, air, lagoons, a landfill and other remaining contamination sources. The results of the RI will be used to determine the scope of future operable units. SUMMARY OF SITE CHARACTERISTICS The Roebling Steel site was used during the last 75 years mostly for the production of steel wire and cable. Recently, portions of the site were used for various industrial operations that generated, stored, or buried raw materials and wastes in many different locations on site. As a result, there are a variety of potential sources of chemical contamination, numerous potential mechanisms for chemical migration, and many potential exposure pathways for both human and ecological receptors. Slag Area (OU 2) The surficial area of the slag dumping area being addressed is approximately 34 acres. It ranges in thickness from several inches to 30 feet, with the thickest deposits generally located adjacent to the Delaware River along the site's northwestern edge. The estimated volume of slag material is approximately 1,458,000 cubic yards (cy). ------- The slag material consists of very coarse soils comprised primarily of residues from the high temperature processing of iron ore. In some locations, there are large molten blocks of slag material resting on top of the surface fill. The slag fill is believed to contain numerous fissures and voids, due to the very coarse nature of the slag, that allows water infiltration. The slag material is not chemically homogeneous across the entire slag area, with respect to metals contamination. This is not unexpected, since the slag was probably generated from various types of ore which, after being processed, were subsequently deposited in different locations within the slag dumping area. To characterize the slag material, surface and subsurface soil samples were collected and analyzed for full organic and inorganic parameters. In addition, selected samples were analyzed for Total Organic Carbon (TOC), Total Petroleum Hydrocarbons (TPHs), cation exchange capacity, geotechnical parameters, Extraction Procedure Toxicity (EP Toxicity) and Toxic Compound Leaching Procedure (TCLP). The analytical results are presented in their entirety in the FFS. Table 1 shows the concentration ranges of the contaminants found in the slag area. Volatile and semi-volatile organic contaminants were detected in the slag material at low levels except for acetone, 2-butanone, PAHs, and methylene chloride, which were detected above the State's interim soil action levels and above background levels of soil samples obtained from the northeast portion of the slag area. Since slag is. the vitreous residue of high temperature processing ore, organic constituents are not expected in slag. The sporadic occurrence of these compounds with respect to surface and subsurface distribution suggests that intermittent spills at different locations could have occurred during the deposition of the slag. Inorganic contaminants were detected in the slag material at high levels. Inorganic compounds include antimony, arsenic, barium, beryllium, cadmium, chromium, copper, iron, lead, magnesium, manganese, mercury, nickel, selenium, silver, thallium, vanadium, and zinc. All of these compounds were detected at concentrations in excess of the State's interim soil action levels and above background levels of nearby soils. Wide variations in the metals composition among sampling locations indicates that the slag is not chemically homogeneous with respect to metals in the area of interest. EP Toxicity testing was performed on the slag samples to determine leachability characteristics, and therefore, whether contaminated soil should be classified as a characteristic waste subject to RCRA. The test results revealed detectable levels of lead in the leachate from two samples. In February 1991, TCLP testing was performed on the slag material (TCLP is the ------- 10 analytical method currently used). The TCLP results detected concentrations below the TCLP regulatory levels. Variability in the test results is believed to be due to chemical heterogeneity nature of the slag material. Based on available data, the estimated volume of slag material needing treatment is approximately 30,000 cubic yards. An extensive surface and subsurface sampling program will be included as part of the remedial design for this operable unit, and the volume will be adjusted accordingly based on the data collected. Southeast Park (OJ 2) To characterize the park soil, surface soil samples were collected and analyzed for full organic and inorganic parameters. The full analytical results are presented in the FFS. Table 2 shows the concentration ranges of the contaminants found in the park soil. Volatile and semi-volatile organic contaminants were detected in the park soil at low levels, except for total PAHs in one sample location. Total PAHs were detected slightly above the State's interim soil action levels and nearby background soil levels. Inorganic contaminants were detected in the park soil at low levels except for chromium, lead, and zinc in one sample location. These three metals exceeded the State's interim soil action levels and nearby background soil levels. Additional Contamination Numerous potential sources of contamination to be addressed in the on-going RI include: • Approximately 90 tanks located throughout on-site buildings. Many of them are in poor condition, with rusted walls and leaky valves. Among the tanks are six wastewater treatment flocculation and settling tanks containing very acidic water and sludges. • Two inactive wastewater treatment plant lagoons, which are contaminated with lead, cadmium, copper, zinc, and volatile compounds, are located on the site. • A landfill in which rubble and debris were disposed. • 52 inactive railroad cars containing furnace slag, ashes, and sludge. ------- 11 • 55 buildings on the site containing physical and environmental hazards, including water filled basements, hir.den pits, sumps, and underground network of piping containing contaminated liquids and sludges. • Loose friable asbestos insulation throughout many buildings, and on overhanging pipes. In addition to the numerous contamination sources described above, contaminants may have migrated into the soil, groundwater, surface water, river sediment and air. Sampling of sources and environmental media was conducted for the comprehensive RI. SUMMARY OF SITE RISKS EPA conducted a Baseline Risk Assessment/Ecological Risk Assessment (RA) for the "No Action" alternative to evaluate the potential risks to human health and the environment associated with the two areas of the Roebling Steel Company site being addressed in this operable unit. The RA focuses on the contaminants found in the slag area and southeast park. It identifies contaminants of potential concern.in each contaminated medium, evaluates exposure pathways, and provides a quantitative estimate of risk. The RA is available for review in the information repositories established for this site. Contaminants of concern (COCs) were selected based on their frequency of occurrence and relative contribution to the total risk. Some compounds could not be quantitatively addressed in the RA because there are insufficient toxicological data available (i.e., lead). The COCs have been identified separately for the slag area and for the southeast park, and are evaluated in detail. Heavy metals and polycyclic aromatic hydrocarbons were the most significant contaminants detected in the slag area, and to a lesser degree in the southeast park. The COCs for this RA are summarized by matrix in Table 2. EPA's RA identified several potential exposure pathways by which the public may be exposed to contaminant releases at the site under current and future land-use scenarios. Although the site is fenced to restrict access, signs of vandalism and trespassing have been observed. The potential exposure routes identified with current use by local residents of both the slag area and southeast park include inadvertent ingestion and dermal contact with surface soil during recreational activities, and inhalation of surface soil suspended by wind or by on-site vehicular traffic. in the future-use scenario, the receptor population is anticipated to include local residents and construction/facility workers in the event a residential development or commercial ------- 12 facility is constructed on the slag area. The potential exposure routes identified during future use of the slag area include inhalation, ingestion, and dermal contact with surface and subsurface soil. Future use of the park is assumed to be tlie sane as the current use (i.e., recreational use by local residents). For most exposure pathways, exposure assumptions were made for both average case and maximum case exposure scenarios. Under current EPA guidelines, the likelihood of carcinogenic (cancer causing) and noncarcinogenic effects due to exposure to site chemicals are considered separately. It was assumed that the toxic effects of the site-relatad chemicals would be additive. Thus, risks associated with exposures to individual COCs were summed to indicate the potential combined risks associated with mixtures of potential carcinogens and noncarcinogens, respectively. Summary of Noncarcinogenic Risks Noncarcinogenic risks were assessed using a hazard index (HI) approach, based on a comparison of expected contaminant intakes and safe levels of intake (reference doses). Reference doses (RfDs) have been developed by the EPA for indicating the potential for adverse health effects. RfOs, which are expressed in units of milligrams per kilogram per day (mg/kg-day), are estimates of daily exposure levels for humans which are thought to be safe over a lifetime (including sensitive individuals). EPA-verified RfDs are not available for all COCs (i.e., lead) and therefore, risks associated with some of these chemicals could not be quantitatively assessed. In this RA, risks associated with lead were assessed qualitatively due to a lack of EPA- verified toxicity values. The reference doses for the COCs for the slag are and southeast park are presented in Table 4. Estimated intakes of chemicals from environmental media (e.g., the amount of a chemical ingested from contaminated soil) are compared with the RfD to derive the hazard quotient for the contaminant in the particular media. The HI is obtained by adding the hazard quotients for all compounds across all media. An HI greater than 1 indicates that potential exists for noncarcinogenic health effects to occur as a result of site- related exposures. The HI provides a useful reference point for gauging the potential significance of multiple contaminant exposures within a single medium or across media. Under potential future land-use of the slag area using the maximum exposure scenario, the risk assessment shows a noncarcinogenic HI of 27. Based on the calculated HI of 27, there is a potential risk for noncarcinogenic adverse human health effects, such as damage to vital organs. The His calculated for all park soil exposures scenarios are less than 1. ------- 13 Therefore, nohcarcinogenic adverse health effects are unlikely for contaminants that were quantitatively assessed. His for the slag area and southeast pr.rk are presented in Tables 5 and 6, respectively. Summary of Carcinogenic Risks Potential carcinogenic risks were evaluated using the cancer potency factors developed by EPA for the COCs. Cancer slope factors (SFs) have been developed by EPA's Carcinogenic Risk Assessment Verification Endeavor for estimating excess lifetime cancer risks associated with exposure to potentially carcinogenic chemicals. SFs, which are expressed in units of (mg/kg-day)"', are multiplied by the estimated intake of a potential carcinogen, in mg/kg-day, to generate an upper-bound estimate of the excess lifetime cancer risk associated with exposure to the compound at that intake level. The term "upper bound" reflects the conservative estimate of the risks calculated from the ST. Use of this approach makes the underestimation of the risk highly unlikely. The SFs for the COCs for both the slag area and southeast park are presented in Table 7. For known or suspected carcinogens, EPA considers excess upper bound individual lifetime cancer risks of between 1 X ICT4 to 1 X 10"6 to be acceptable. This level indicates that an individual has no greater than a one in ten thousand to one in a million chance of developing cancer as a result of site-related exposure to a carcinogen over a 70-year period under specific exposure conditions at the site. EPA has determined that the target risk for the slag area and southeast park should be on the order of 1 X 1Q-6, based on the sensitivity of the neighboring population (school children and residents in very close proximity to the site). The greatest potential cancer risk for the slag area was calculated for a resident under future land-use conditions. The maximum cancer risk associated with the slag area is 1.91 x 10"4, which exceeds the upper bound cancer risk of 1x1 CT4. This suggests that an individual has an approximately two in ten thousand increased chance of developing cancer as a result of exposure to the slag area. The risk assessment indicates that under present use, local residents, particularly young children, exposed to contaminated park soil are at a potential total excess lifetime cancer risk of 7.62 x 104. The potential cancer risks associated with the slag area and southeast park are presented in Tables 8 and 9. Qualitative Assessment Calculated noncarcinogenic and carcinogenic risks do not include the potential current and future risks posed by lead contamination because EPA-verified toxicity values are not ------- 14 available. Therefore, the quantitative risk value potentially underestimates overall risks for both the slag area and the southeast park. Exposure to lead has been associated with both noncarcinogenic and carcinogenic effects. The major adverse noncarcinogenic effects in humans caused by lead include alterations in the hematopoietic and nervous systems. The toxic effects are generally related to the concentration of this metal in blood. High blood levels can cause severe irreversible brain damage and possible death. EPA has classified lead as a probable human carcinogen. This category indicates that there is sufficient evidence from laboratory studies of carcinogenicity in animals. Lead contamination is of particular concern at the slag area because it was detected at high concentrations in many samples. In lieu of performing a quantitative RA for lead, EPA performed a qualitative assessment. Lead has been detected in the slag area at a maximum concentration of 10,400 parts per million (ppm), which is significantly higher than the health-based cleanup level for lead in an industrial zone (1,000 ppm). Lead has been detected in the park soil at a maximum concentration of 261 ppm, slightly higher than the lowest New Jersey Department of Environmental Protection and Energy (NJDEPE) recommended soil cleanup level for lead in a residential area (250 ppm). Risks posed by lead contamination were qualitatively determined to be unacceptable for the slag area and marginal for the park soil. Uncertainties The procedures and inputs used to assess risks in this evaluation, as in all such assessments, are subjected to a wide variety of uncertainties. In general, the main sources of uncertainty include: Environmental Chemistry Sampling and Analysis • Environmental Parameter Measurement • Fate and Transport Modeling Exposure Parameter Estimation • Toxicological Data Uncertainty in environmental sampling arises in part from the potentially uneven distribution of chemicals in the media sampled. Consequently, there is significant uncertainty as to the actual levels present. Furthermore, uncertainty occurs because a large percentage of screened data is unusable in the calculation of site risk. Environmental chemistry analysis error can stem from several sources including the errors inherent in the analytical methods and characteristics of the matrix being sampled. ------- 15 Uncertainty in the exposure assessment is related to the presence of potentially sensitive populations (school children and residents) in very close proximity to the Rite. Additional uncertainties arise from estimates of how often an individual would actually come in contact with the chemicals of concern, the period of time over which such exposure would occur, and in the models used to estimate the concentrations of the chemicals of concern at the point of exposure. Uncertainties in toxicological data occur in extrapolating both from animal to human and from high to low doses of exposure/ as well as from the difficulties in assessing the toxicity of a mixture of chemicals. These uncertainties are addressed by making conservative assumptions concerning risk and exposure parameters throughout the assessment. Environmental Risks A baseline ecological risk assessment was conducted to assess the potential impacts to various wildlife habitats attributable to the contaminants identified in the slag area and southeast park. The assessment is largely qualitative because of the general lack of toxicity data relevant to populations and ecosystems. The slag area, adjacent to the Delaware River, is comprised of industrial fill (slag) from past steel making processes. This minimizes the occurrence of on-site ecosystems at the slag area. Since the slag area and southeast park are highly disturbed sites and lack substantial vegetative cover, neither provides adequate habitat for an integrated wildlife community. The vegetative growth on the slag area is primarily limited to a strip on the inland hill that rises to Riverside Avenue, and on the steep shoreline of the Delaware River. Dominant species present include hardwoods, weedy annuals and grasses. Resident fauna are limited to small mammals including field mice, eastern chipmunk, gray squirrel, eastern cottontail rabbit, woodchuck, raccoon and red fox. In addition, numerous avifauna utilize portions of the site for foraging and nesting. Species observed during ecological surveys include various gulls, northern cardinal and white-throated sparrow. The southeast park is covered by lawn, with the exception of a small paved area for recreational uses. Patches of red maple and red oak trees occur throughout the park area. Species which potentially utilize the southeast park for both nesting and foraging include american robin and blue jay. An endangered aquatic species known to inhabit the section of the Delaware river adjacent to the site is the adult shortnose sturgeon (Acipenser brevirostrum). Endangered raptors found in the area are the bald eagle (Halialetus leucocephalus) and the ------- 16 American peregrine falcon fFalco perearinus anaturn). Although wildlife utilization of these areas is limited, some species nay be adversely affected by the elevated levels of certain contaminants. Metal contaminants in the slag material do pose an undetermined risk to burrowing animals such as squirrels and rabbits. Stressed vegetation is apparent in portions of the slag area. Contaminants may accumulate in the terrestrial and aquatic food chains affecting their growth, metabolism and reproductive processes. The impact of site related contaminants in groundwater, surface water and river sediments in the vicinity of the entire site will be evaluated in the risk assessment portion of the comprehensive RI report. Conclusion Actual or threatened releases of hazardous substances from this site, if not addressed by the preferred alternative or one of the other active measures considered, may present a current or potential threat to public health, welfare, or the environment through the continued exposure of contaminants in the slag material and park soil. DESCRIPTION OF ALTERNATIVES The alternatives analyzed for this action are presented below. These alternatives are numbered to correspond with those in the Focused Feasibility Study report and the Proposed Plan. These alternatives were developed by screening a range of alternatives for their applicability to site-specific conditions. They were also evaluated for effectiveness, implementability, and cost. The alternatives that were not eliminated from consideration during screening were subjected to a more detailed evaluation. Eased on the site conditions, nature of contaminants and conclusions of the risk assessment, the primary remedial objectives for the slag area and southeast park are the following: Reduce exposure risks through incidental ingestion, inhalation and dermal contact with the slag material and contaminated park soil. • Minimize the potential migration of contaminants into the air, groundwater and surface water. The FFS identified and evaluated a wide range of remedial technologies, which were screened for effectiveness, implementability and cost. The technologies that were eliminated from further consideration include the following: incineration, ------- 17 supercritical fluid extraction, biodegradation, washing and extraction, in-situ flushing, in-situ vitrification, in-situ solidification, stabilization of the entire slag area, and ofr- site disposal. The reasons for eliminating these technologies from consideration included technical infeasibility and incompatible treatment processes, and can be found in greater detail in the FFS. Following the initial screening, a No Action alternative, three alternatives for remediating the slag area, and two alternatives for the southeast park, remained for consideration. A brief description of each of these alternatives, as well as an estimate of their cost and implementation time frame, follows. Note that the time frames represent actual construction periods once design activities have been completed. The design work time frame varies depending on the particular alternative. The major applicable or relevant and appropriate requirements (ARARs) and other standards "to be considered" (TBCs) are discussed in the detailed analysis of the remedial alternatives. Slag Area Remedial Alternatives Alternative SA-l: NO Further Action Capital Cost: $ 31,600 Annual Operation & Maintenance (O&M) Costs: $ 21,100 Present Worth: $ 397,700 Implementation Period: 2 months The No Action alternative is developed and evaluated to establish a baseline for comparison of alternatives. Under this alternative, EPA would take no further remedial action to address the contaminated slag material. However, the No Action alternative does consist of a long-term monitoring program that would be implemented to assess the migration of contaminants to the air and groundwater. In addition to existing wells, the installation of additional monitoring wells is proposed. The monitoring program would include an annual inspection of the monitoring equipment as well as sampling and testing of the air and groundwater for 30 years. A review would be conducted after five years to determine whether or not the contamination has spread. If necessary, appropriate action would be considered at that time. Alternative SA-2: Limited Action Capital Cost: $ 72,100 Annual O&M Costs: $ 24,600 Present Worth: $ 505,400 Implementation Period: 4 months ------- 18 Under this alternative, no further active remedial measures would be taken. This alternative would consist of maintaining a fence and warning signs around the slag area, a long-term monitoring program, and a public awareness program. In addition to site access control and annual monitoring for 30 years, institutional controls on land and groundwater use would also be implemented under this alternative, and would include deed restrictions and groundwater use restrictions. Public information meetings would be held to increase public awareness of the site hazard. Alternative 8A-3: Treatment of Hot-spots and Soil Cover Capital Cost: $ 6,758,900 Annual O&M Costs: $ 344,200 Present Worth: $ 12,105,600 Implementation Period: 1 year This alternative involves construction of a soil cover over the slag area to contain the contaminated slag material. Approxi- mately 34 acres of contaminated slag area would be graded and capped with a single-layer soil cover. The cap would be sloped to allow precipitation to flow easily into a drainage system that would direct runoff into the river, restrict runoff coming from adjacent areas, and minimize erosion. The cap consists of a two- foot deep, vegetated top soil layer that would extend to the side slopes. In addition, riprap would be provided along the river shoreline to minimize erosion. Long-term groundwater monitoring and a five year review, as described in the No Action alternative, and institutional controls to restrict future excavations through the soil cover, would be implemented for this alternative as well. Those areas of slag material that are leaching contaminants would be excavated and treated on site using a mobile treatment unit. Leachability would be determined by testing the slag material using the Toxic Compound Leaching Procedure. Treatment (stabilization) of the slag material would physically or chemically bind contaminants of concern (inorganic contaminants and carcinogenic PAHs) within an insoluble matrix, significantly reducing their potential to leach. A treatability study would be performed during the remedial design to determine the specific stabilization process. If highly contaminated material (slag that fails a TCLP test) is found below the water table, some dewatering may be necessary during its excavation. The extracted water would be collected, treated, and disposed in accordance with Federal and State requirements. The treated slag would be returned to an area above the water table to prevent placement in an extremely wet location, which could effect the stabilized slag. ------- 19 The solidified slag would be required to pass the TCLP test before it could be redeposited on site. Any material from which contaminants would leach above acceptable RCRA regulatory levels, as determined by TCLP testing, would be reprocessed or be disposed of off site in an appropriate facility. It is expected that the majority of slag material will meet RCRA regulatory levels after treatment. In addition, localized areas of slag contaminated with organic compounds may be excavated and disposed of off site at an appropriate facility if determined to interfere with or be unaffected by the solidification/stabilization process. Based on available data (samples that exceeded TCLP regulatory levels), the estimated volume of slag material requiring treatment is approximately 30,000 cubic yards. An extensive sampling program during the remedial design stage would more precisely determine the areas that need treatment. If the volume of slag that needs to be treated is small, off-site treatment and disposal may be considered, as it may be more cost effective. A volume increase of 10 to 30 percent would be expected due to the addition of cementitious, pozzolanic and or other chemical reagents to immobilize the contaminants. The slag area has the capacity of accepting the additional material and would be appropriately backfilled and graded to account for the volume increase. The small portion of the slag area that is located in the 100 year flood plain would be graded to above flood plain elevations, and to the extent practicable above the 500 year flood plain. Alternative 8A-4: Multimedia RCRA Cap Capital Cost: $ 11,597,700 Annual O&M Costs: $ 959,800 Present Worth: $ 26,407,900 Implementation Period: 1 year This alternative would employ the capping requirements set forth in both Federal and State law to construct a cap to contain the contaminated slag material. Approximately 34 acres of the contaminated slag area would be cleared and graded. A small portion of the slag area that is in the 100 year flood plain would be graded to above flood plain elevations. A multi-layer RCRA cap would be installed over the entire slag area. The cap would be sloped to allow precipitation to flow into a drainage system that would direct runoff into the river, restrict runoff coming from adjacent areas, and minimize erosion. The cap would consist of the following: two foot clay layer with a permeability less than 10'7 centimeters per second (cm/sec), 20 millimeters (mm) high density polyethylene (HOPE) membrane, 12 inch sand layer for drainage, geotextile filter fabric layer, and two foot deep vegetative top ------- 20 soil layer. In addition, rip-rap would be provided along the river shoreline to minimize erosion. This alternative would also involve long-term groundwater monitoring and a five year review, as described in the No Action alternative, inspecting the cap's performance, and institutional controls. Southeast Park Remedial Alternatives Alternative P8-1: No Further Action Capital Cost: $ 0 O&M Costs: $ 3,700 Present Worth: $ 98,600 Implementation Period: 2 months The No Action alternative is developed and evaluated to establish a baseline for comparison of alternatives. Under this alternative, EPA would take no further remedial action to address southeast park soils. The No Action alternative consists of a long-term monitoring program that would be implemented to assess the migration of park soil contaminants. The monitoring program would involve'soil sampling for 30 years. Furthermore, a review would be conducted after five years to determine whether the remedy is still protective. If necessary, appropriate action would be considered at that time. Alternative PS-2: Limited Action Capital Cost: $ 59,500 Annual O&M Costs: $ 8,700 Present Worth: $ 248,800 Implementation Period: 4 months Under this alternative, no active remedial measures would be taken. This alternative would consist of installing a fence and warning signs around the park, a public awareness program and a long-term monitoring program, as described in the No Action alternative. The monitoring program under this alternative would continue for 30 years. Alternative PS-3: Excavation and Off-site Disposal of Contaminated Soil Capital Cost: $ 114,500 Annual O&M Costs: $ 0 Present Worth: $ 114,500 Implementation Period: 1 year ------- 21 Approximately 160 cubic yards of contaminated soil located in two areas of the park would be excavated and transported to an approved off-site treatment and disposal facility. The estimated volume is based on soil samples chat exceeded the State's interim soil action levels. The park soil would be removed using traditional excavation equipment. The excavated area would be backfilled with clean soil and re-vegetated. Additional surface and subsurface sampling would be performed during the design phase to confirm the physical extent of contamination and to test for exceedances of RCRA regulatory levels. Disposal of the soil into the slag area may be considered as an option, depending on the analytical results obtained during the remedial design. SUMMARY OF COMPARATIVE ANALYSIS O? ALTERNATIVES In accordance with the NCP, a detailed analysis of each remedial alternative was conducted with respect to each of the nine criteria for selecting a site remedy. This section discusses and compares the performance of the remedial alternatives under consideration against these criteria. The nine criteria are described below. All selected alternatives must at least attain the Threshold Criteria. Alternatives that do not provide protection of human health and the environment will be eliminated from further consideration. The selected alternative should provide the best trade-offs among the Primary Balancing Criteria. The Modifying Criteria were evaluated following the public comment period. THRESHOLD CRITERIA • Overall Protection of Human Health and the Environment This criterion addresses whether or not a remedy provides adequate protection and describes how risks are eliminated, reduced or controlled through treatment, engineering controls or institutional controls. • Compliance with ARARs This criterion addresses whether or not a remedy will meet all of the ARARs of other environmental statutes and/or provide grounds for invoking a waiver. PRIMARY BALANCING CRITERIA • Long-term Effectiveness and Permanence This criterion refers to the ability of the remedy to maintain reliable protection of human health and the environment over time once cleanup goals have been met. ------- 22 Reduction of Toxicity, Mobility or Volume This criterion addresses the anticipated performance of the disposal or treatment technologies that may be employed in a remedy. Short-term Effectiveness This criterion involves the period of time needed to achieve protection and any adverse impacts on human health and the environment that may be posed during the construction and implementation period until cleanup goals are achieved. Implementability This criterion examines the technical and administrative feasibility of a remedy, including availability of materials and services needed to implement the chosen solution. cost This criterion refers to estimates used to compare costs among various alternatives. MODIFYING CRITERIA • State Acceptance This criterion indicates whether, based on its review of the FFS and the Proposed Plan, the State concurs with, opposes, or has no comment on the proposed alternative. Community Acceptance This criterion summarizes the public's general response to the alternatives described in the FFS and the Proposed Plan. Responses to public comments are addressed in the Responsiveness Summary of this ROD. ANALYSIS The first seven evaluation criteria are considered in the order they are listed above and the merits of each alternative relative to that criterion are evaluated. To avoid redundancy, the remaining two criteria, state acceptance and community acceptance, are summarized for the preferred alternative. ------- 23 .Overall Protection Slag Arc.a Remedial Alternatives Both Alternatives SA-3 and SA-4 provide overall protection by reducing the risk of public exposure. Alternative SA-3 offers protection by treating localized areas in the slag area that have a potential for leaching contaminants. Alternative SA-4 would eliminate infiltration of rainfall into the slag area, thereby reducing the quantity of water percolating through the slag material and leaching out contaminants from localized hot-spots. Alternative SA-1 would not provide protection of human health and the environment. Alternative SA-2 would provide somewhat better protection from human contact than Alternative SA-1, through public awareness and institutional controls. No containment or . treatment would be provided, and only natural processes would attenuate future migration. A long-term monitoring program would determine the extent to which contaminant concentration would change with time. Southeast Park Remedial Alternatives Alternative PS-3 provides overall protection by removing the contaminated material and reducing the risk of public exposure. Alternatives PS-1 and PS-2 would not provide protection of human health and the environment; the contaminated soil would remain in place. Alternative PS-2 would provide minimally more protection than Alternative PS-1, by reducing direct exposure; however, the migration of contaminated soil via airborne dust or surface runoff would still pose a threat. Compliance with ARARs Slag Area Remedial Alternatives While there are no promulgated Federal or State requirements for soil contamination, the State of New Jersey has developed soil action levels for many contaminants. Under CERCLA, as amended, and the NCP, these interim action levels are TBC when evaluating remedial alternatives. Alternatives SA-3 and SA-4 meet the remedial objectives and contaminant-specific TBCs identified for these alternatives. Alternative SA-3 would have to comply with RCRA Land Disposal Restrictions (LDRs) which regulate the handling of RCRA characteristic wastes. The portion of the slag material that is RCRA characteristic would be treated using specific technologies, to comply with LDRs. Alternative SA-3 would comply with the LDRs through a treatability variance for soil and debris. This variance would result in the use of stabilization to attain EPA interim "treatment levels/ranges" for the contaminated slag ------- 24 material. If off-site treatment and disposal of the slag material is more appropriate, then Alternative SA-3 would comply with applicable regulations regarding hazardous waste transport, treatment and disposal at an approved off-site RCRA facility. It is expected that the treated slag material would qualify as clean fill as defined by the New Jersey Solid Waste regulations. Following treatment of the slag, Alternative SA-3 would met RCRA hybrid-landfill closure requirements. Components of the hybid- landfill closure include a cover (which may be permeable), long- term monitoring and management, and institutional controls. Alternative SA-4 would require a cap meeting RCRA requirements for hazardous waste containment. Potential emissions may occur during the implementation of Alternatives SA-3 and SA-4. Oust control measures and air monitoring (personnel and perimeter) would comply with RCRA, Clean Air Act, and New Jersey State air regulations during implementation. Alternative SA-3 would require treatment of extracted groundwater from excavated slag material. The groundwater treatment method would be determined during the remedial design and would be in compliance with Federal and State discharge regulations. Alternatives SA-3 and SA-4 would comply with requirements regarding wetlands protection, waterfront developement, and flood plain management, to the extent practicable. Alternatives SA-1 and SA-2 would not meet interim New Jersey soil action levels. Southeast Park Remedial Alternatives Alternative PS-3 would meet the remedial objectives and contaminant-specific TBCs. The contaminated soil would be removed and disposed of in accordance with LDRs. Activities related to the handling of contaminated soil, and transportation to an approved off-site treatment and disposal facility, would be accomplished in accordance with hazardous waste transport and disposal regulations. Alternatives PS-1 and PS-2 would not meet contaminant-specific TBCs. Long-term Effectiveness and Permanence Slag Area Remedial Alternatives Alternatives SA-3 (through treatment and soil cover), and SA-4 (through construction of a multimedia cap), would effectively minimize public exposure and contaminant migration. There is a potential for failure or future deterioration of the cap system ------- 25 for either alternative. However, Alternative SA-3 is more permanent than Alternative SA-4 because highly contaminated areas would be treated. Long-torm performance of either cap can be maximized by proper maintenance, inspection and monitoring. Alternatives SA-1 and SA-2 do not include any measures for containing, controlling or eliminating any of the contamination, or reducing the potential exposure to the contaminated slag area. Therefore, the site risks posed by the contaminated slag material would remain. Southeast Park Remedial Alternatives Alternative PS-3 would effectively remove the waste from the area, eliminating the potential threat to human health. Since the hazardous material will be removed and properly disposed of, this alternative would provide a permanent remedy. This alternative would eliminate future migration of the contaminated soil. Alternatives PS-1 and PS-2 do not include any measures for reducing the potential exposure or migration of the contaminated soil. These alternatives require long-term monitoring and maintenance. Therefore, the site risks posed by the contaminated park soil would remain. Reduction of Toxicity, Mobility, or Volume Slag Area Remedial Alternatives Both alternatives SA-3 and SA-4 would minimize exposure by direct contact. Alternative SA-3 would reduce the mobility and availability of contaminants by the treatment of hot-spots. Alternative SA-4 would reduce contaminant mobility by minimizing the amount of water infiltrating through the slag material. Neither alternative reduces the volume or toxicity of the contaminated slag material. Alternatives SA-1 and SA-2 do not contain any remedial measures which would reduce the toxicity, mobility or volume of the contaminated slag material. Southeast Park Remedial Alternatives Alternative PS-3 would remove the contaminated soil from the park; off-site disposal would achieve a reduction in mobility and volume. Toxicity would be reduced if treatment is required by LDRs. This alternative would provide a permanent remedy. Alternatives PS-1 and PS-2 would not reduce toxicity, mobility or volume. ------- 26 Short-term Effectiveness Slao Area Remedial Alternatives Both Alternatives SA-3 and SA-4 involve major construction activities at the site and the use of heavy earthmoving equipment. Potential hazards to the surrounding community would include additional local traffic, fugitive dusts, and an increase in noise levels. All of these impacts would be mitigated through appropriate construction techniques and operational procedures. The period of time required to implement both of these alternatives is approximately one year. The mobile treatment unit proposed in Alternative SA-3 would require storage and handling of hazardous materials. These activities would be accomplished with minimal health risk to workers by the development and implementation of safe operating and maintenance practices and precautions. Alternatives SA-3 or SA-4 may also cause environmental impacts. Erosion and transport of contaminated slag material into surface water or off-site areas would be minimized by standard erosion control and dust suppression methods. These alternatives would involve clearing of some vegetation and habitat disturbance. Alternatives SA-1 and SA-2 would not include extensive physical construction measures and, therefore, would not present a significant risk to the community and site workers as a result of implementation. Southeast Park Remedial Alternatives Alternative PS-3 can be quickly implemented and would immediately address the hazards posed by the contaminated soils. Proper construction practices would minimize any potential risk to the public during implementation. Worker hazards would be minimal due to the nature of the removal. Adequate worker protection during implementation activities can be ensured by following appropriate safety practices. Alternative PS-1 would not include any physical construction and therefore would not present a significant risk to the community and site workers. Under Alternative PS-2, physical construction would be limited to installing a fence around the park area. Implementability Slag Area Remedial Alternatives . - The caps in both Alternatives SA-3 and SA-4 could be readily constructed and maintained. Grading and compacting the slag may be difficult to accomplish due to the nature of the material. ------- 27 The structural integrity and impermeability of the caps and treated slag material must be maintained through a program of periodic inspection and repair. Because of the large land area, this could be a fairly substantial activity. Both of these alternatives would involve some degree of land use restriction and groundwater monitoring. Alternative SA-1 would involve the installation of groundwater monitoring wells to detect changes in groundwater conditions. Drilling equipment and sampling personnel are readily available. Alternative SA-2 would require similar activities, along with maintenance of the security fence and the development of a public awareness program. Southeast Park Remedial Alternatives Alternative PS-3 is technically and administratively feasible. This alternative uses technologies that are based on conventional construction procedures. The materials and services are readily available. Alternative PS-1 would involve some degree of institutional management with respect to the monitoring program. Alternative PS-2 would require installing a fence in addition to a long-term monitoring program. The services and materials required for Alternatives PS-1 and PS-2 are standard and readily available. Cost Slag Area Remedial Alternatives Capital cost, annual O&M costs and the total present worth of all the slag remedial alternatives are summarized in Table 10. Present worth costs are based on a 30-year period and a discount rate of five percent. Alternative SA-1 ($397,700) is the least expensive in terms of total present worth, while Alternative SA-4 ($26,407,900) is the most expensive. Southeast Park Remedial Alternatives Capital cost, annual O&M costs and the total present worth of all the southeast park remedial alternatives are summarized in Table 10. The present worth costs range from $98,600 for Alternative PS-1 to $248,800 for Alternative PS-2. Alternative PS-3 (Excavation and Off-site Disposal of Contaminated Soil) is less expensive than Alternative PS-2 (Limited Action). There are no annual O&M costs for Alternative PS-3. ------- 28 State Acceptance The State of New Jersey concurs with the remedy selected for both the slag area and the southeast park. Community Acceptance Community acceptance of the preferred alternative was evaluated after the public comment period. The community expressed support for the preferred alternatives for both the slag area and the southeast park. Questions and answers raised during the public meeting are summarized in the Responsiveness Summary. SELECTED REMEDY After a thorough review and evaluation of the alternatives presented in the Focused Feasibility Study, to achieve the best balance among all evaluation criteria, EPA and the New Jersey Department of Environmental Protection and Energy (NJDEPE) presented Treatment of Hot-spots and Soil Cover (SA-3) for the slag area, and Excavation and Off-site Disposal (PS-3) for the southeast park, to the public as the preferred remedy for the OU- 2. The input received during the public comment period, which consisted primarily of questions and statements transmitted at the public meeting held on July 25, 1991, is presented in the attached Responsiveness Summary. Public comments received encompassed a wide range of issues but did not necessitate any changes in the remedial approach proposed to be taken at the site. Accordingly, the preferred alternatives for the slag area and southeast park were selected by EPA and NJDEPE as the remedial solutions for these selected areas of the site. The selected remedy, SA-3 and PS-3, will provide overall protection of human health and the environment. Alternative SA-3 will treat highly contaminated areas and then contain the entire slag area with a soil cover. This alternative provides a high level of protection by reducing the risks associated with exposure to slag contaminants and reducing contaminant migration to the environment. Alternative PS-3 will remove the contaminated park soil to an off-site facility for proper disposal. Remediation of contaminated park soil will eliminate any potential risks associated with direct exposure. The selected remedy for the slag area uses stabilization as the treatment technology for highly contaminated areas. Samples of the treated slag will be analyzed using TCLP testing to ensure that RCRA regulatory levels are met. The risk associated with the exposure pathway involving direct contact to the untreated slag material will be minimized by a soil cover and vegetation. However, institutional controls are needed to ensure that the soil cover and treated slag are not disturbed. ------- 29 During the remedial design, additional surface and subsurface samples will be taken in the slag area to delineate the slag material that requires treatment. The two contaminated areas in the park will be sampled to determine the horizontal and vertical extent of excavation. Park soils will be analyzed prior to landfilling to determine the requirement for pretreatment as defined by the RCRA Land Disposal Restrictions. Also, a treatability study will be performed to determine the specific stabilization process for the slag material. The estimated total present worth costs for SA-3 and PS-3 are $12,105,600 and $114,500, respectively. The tasks associated with SA-3 include site preparation, support facilities, clearing and grubbing, on-site treatment and backfill of hot-spots, soil cover and vegetation, groundwater monitoring wells and institutional controls. Annual O&M costs are associated with monitoring, maintenance, contingency, five year review, and public awareness programs. The tasks associated with PS-3 include excavation, off-site treatment and disposal, backfill of excavated area with clean soil, and revegetation. There are no O&M costs associated with PS-3 since the contaminated soil will be removed. The actual cost may vary due to a number of factors, including the uncertainty in the amount of material that requires treatment and/or off-site treatment and disposal. STATUTORY DETERMINATIONS EPA's selected remedy for the areas of concern complies with the requirements of Section 121 of CERCLA as amended by SARA. The action is protective of human health and the environment, complies with Federal and State requirements that are applicable or relevant and appropriate to this action, and is cost-effective. This action utilizes permanent solutions and alternative treatment technologies to the maximum extent practicable. The statutory preference for treatment that reduces toxicity, mobility or volume will be addressed in this action. The action constitutes a final remedy for the slag area and southeast park. Subsequent actions are planned to fully address the remaining principle threats posed by this site. A brief, site-specific description of how the selected remedy complies with the statutory requirements is presented below. Protection of Human Health and the Environment The selected remedy is protective of human health and the environment, dealing effectively with the threats posed by the contaminants which were identified. The principle threats involve; ------- 30 Exposure risks through incidental ingestion, inhalation and dermal contact with the slag material and contaminated park soil. Potential migration of contaminants into the air, groundwater and surface water. The selected remedy for the slag area addresses these contaminant pathways by reducing the mobility of contaminants in the slag material, through both treatment and containment, which will directly result in the reduction of risks posed by the presence of slag contaminants. The selected remedy will also reduce migration and minimize any environmental impacts. The selected remedy for the southeast park will reduce risks posed through each pathway to the nearby residents by excavating and disposing the contaminated park soil at an approved off-site facility. There will be no unacceptable short-term risks caused by the implementation of this remedy. The selected remedy would reduce exposure to contaminants on vegetation and wildlife. In addition, this remedy will limit off-site migration of contaminants. The benefits of remediation the slag area and southeast park out weighs the risks associated with adverse impacts from construction on the environment. No significant negative effects on the transient endangered species are anticipated from remediation activities of the selected remedy. Compliance with Applicable or Relevant and Appropriate Requirements The selected remedy will comply with the following ARARs and State TBC requirements. TBCs are guidelines, agreed upon by EPA and NJDEPE, that are not legally binding. Action-Specific All remedial activities will comply with Federal and State regulations. RCRA standards for On-site Storage (40 CFR Part 264) are applicable to the on-site storage of excavated soil or slag material. If the material, once displaced, remains on site for more than 90 days, RCRA standards are applicable to the storage of hazardous waste on the facility property. • RCRA Miscellaneous Units (40 CFR Part 264, Subpart X) standards are applicable to the water treatment system used to treat the contaminated groundwater and the slag stabilization process. ------- 31 • Potential emissions may occur during implementation of construction activities (treatment and excavation) for both the slag area and park soil. Dust control measures and air monitorino (personnel and perimeter) will be included in the design specifications, and health and safety plans, to ensure compliance with RCRA, Clean Air Act and State regulations during implementation. • RCRA Standards for Generators and Transporters (40 CFR Parts 262 and 263) outlines manifest requirements and other generator requirements, such as manifesting procedures, transport and record keeping requirements. • DOT Rules for Transportation of Hazardous Materials (49 CFR Parts 107 and 171.1-172.588) outlines procedures for the packaging, labeling, manifesting and transporting of hazardous materials. Chemical-Specific • RCRA Land Disposal Restrictions (40 CFR Part 268) limit land disposal options and provide treatment standards for contaminants prior to disposal. The treatment measures would reduce toxicity to levels (treatment standards) specified by the LDRs. Treatment methods will have to reduce the waste's leachability below TCLP concentrations established by LDR. • The RCRA Toxicity Characteristic Leaching Procedure provides concentration levels for certain compounds to determine if the material is RCRA characteristic waste. Location-Specific • Executive Orders on Floodplain Management and Wetlands Assessment (#11988 and 11990) provide requirements for flood plain management and wetlands assessment applicable to CERCLA response actions. • The Fish and Wildlife Coordination Act of 1958 (16 USC Part 661) requires federal agencies to give fish and wildlife conservation equal consideration with other features during planning and decision-making process. • The New Jersey Waterfront Development Act (NJSA §58:18-18) regulates the development of waterfront area upon any tidal or navigable waterway in the State of New Jersey. ------- 32 TBCS • Following treatment of the slag, RCRA hybid-landfill closure requirements pertain to the soil cover for the slag area. Components of the hybid-landfill closure include a cover (which may be permeable), long-term monitoring and management, and institutional controls. EPA's health-based cleanup levels for lead, which range between 500-1000 ppm. • NJDEP Interim Soil Action Levels for concentrations of carcinogenic PAHs and inorganic compounds in the slag material and park soil. • Off-Site Policy Directive Number 9834.11 (Office of Solid Waste and Emergency Response) ensures that facilities authorized to accept CERCLA generated waste are in compliance with RCRA operating standards. Utilization of Permanent Solutions and Alternative Treatment Technologies to the Maximum Extent Practicable The selected remedy utilizes permanent solutions and alternative treatment technologies to the maximum extent practicable by providing the best balance among the nine evaluation criteria for all the alternatives examined. The selected remedy will significantly reduce the inherent hazards posed by the slag material through treatment and containment, and by the contaminated park soil through excavation and off-site treatment and disposal. Preference for Treatment as a Principal Element The selected remedy addresses the threats posed by the site through the use of treatment and containment technologies. Therefore, the statutory preference for remedies that employ treatment as a principle element, as appropriate, is satisfied by the selected remedy. Cost-Effectiveness The selected remedy affords the highest level of overall effectiveness proportional to its cost. Based on the information generated during the FFS, the estimated total present worth costs for the slag area and the southeast park are $12,105,600 and $114,500, respectively. DOCUMENTATION OF SIGNIFICANT CHANGES The Proposed Plan for the Roebling Steel Company site was released to the public in July 11, 1991. The Proposed Plan identified the preferred alternatives for the slag area and southeast park. EPA reviewed all written and verbal comments ------- 33 submitted during the public comment period. Upon review of these comments, it was determined that no significant changes to the selected remedy, as it was originally identified in the Proposed Plan, were necessary' ------- APPENDIX A FIGURES AND TABLES ------- ROEBLING STEEL COMPANY SITE SIAC ARtA SOU1HCAST PARK UCCNO •» « « » RAD ROAD tRACK OflAWARt RIVtR SIIORf IMC ——— Silt BOUNOARr US tNVWONMtNIAL PROKCIION ACtMCY RormiNC sirri COMPANY site flCURC I AREAS Or MVCStlGATION ------- TABLE 1 CHEMICALS DETECTED IN SLAG SOILS Surface and Subsurface Samples CHEMICAL COMPOUNDS VOLATILE8 (ppb) Acetone Benzene 2-butanone Carbon tetrachloride Chlorobenzene Chloroform Ethylbenzene Methylene chloride Tetrachloroethene Toluene 1,1, 1-trichloroethane Trichloroethene Total xylenes SEMI-VOLATILES (ppb) Anthracene Bis(2-ethylhexyl) phthalate Carcinogenic PAHs Di-n-butylphthalate Fluoranthrene Naphthalene Pyrene RANGE OF DETECTED CONCENTRATIONS SURFACE (0-2 feet) ND 2.0 - ND 2.0 - 42.0 - 1.0 - 3.0 - 2.0 - 2.0 - 1.0 - 20.0 - ND 1.0 - 40.0 - ND 37.0 - ND 17.0 - 54.0 - 20.0 - 2.0 3.0 45.0 17.0 3.0 440.0 13.0 150.0 20.0 24.0 4200.0 34890.0 15000.0 930.0 1600.0 SUBSURFACE 33.0 1.0 1.0 5.0 5.0 1.0 1.0 2.0 26.0 40.0 41.0 20.0 24.0 136.0 31.0 ^ - — ND — ND ND - ND — ND - — _ - - - - - - (2-45 feet) 2400.0 5.0 8300.0 45.0 1600.0 227.0 3.0 12.0 1300.0 500.0 11370.0 390.0 4600.0 180.0 3900.0 ------- TABLE 1 (Cont'd.) CHEMICALS DETECTED IN SLAG SOILS Surface and Subsurface Samples CHEMICAL COMPOUNDS RANGE OF DETECTED CONCENTRATIONS PE8TICIDE8/PCB8 (ppb) Aldrin Aroclor 1260 INORGANICS (ppm) Antimony Arsenic Barium Beryllium Cadmium Chromium Copper Lead Manganese Mercury Nickel Silver Thallium Vanadium Zinc Notes ND - Not Detected ppm - Parts per million ppb - Parts per billion SURFACE fO-2 Feet) 34.0 - 490.0 - 58.0 490.0 5.2 1.4 55.4 0.25 0.84 94.8 46.0 1110.0 1580.0 0.09 9.6 1.1 16.1 59.2 - - - - - - - - - - - ND - - - 45.8 64.3 588.0 1.4 9.7 2210.0 19200.0 10400.0 31300.0 458.0 1480.0 1.1 404.0 3050.0 SUBSURFACE f2-45 Feet) 41.0 - 41.0 4.2 2.3 13.0 0.27 4.4 13.0 7.7 10.3 83.4 0.12 3.2 5.8 11.0 28.0 - - - - - - - - - - - - ND - - 24.1 58.1 536.0 0.72 6.4 1640.0 5930.0 8650.0 34900.0 0.2 64.1 8.1 732. C 858.0 ------- TABLE 2 CHEMICALS DETECTED IK PARK SOILS Surface (0-2 laches) CHEMICAL COMPOUNDS RANGE OF DETECTED CONCENTRATIONS VOLATILES (ppb) Methylene chloride Toluene Total xylenes 3.0 0.1 3.0 11.0 51.0 8.0 8EMI-VOLATILES (ppb) Anthracene Benzole Acid Bis(2-ethylhexyl) phthalate Carcinogenic PAHs Fluoranthrene Pyrene 160.0 1100.0 320.0 550.0 280.0 280.0 360.0 3700.0 7000.0 12800.0 1500.0 1700.0 INORGANICS (ppm) Antimony Arsenic Beryllium Chromium Lead Manganese Vanadium Zinc 4.2 2.8 0.43 9.0 19.3 100.0 8.8 48.3 5.8 6.2 0.86 159.0 261.0 3040.0 30.7 427.0 Notes ND - Not Detected ppm - Parts per million ppb - Parts per billion ------- TABLE 3 CONTAMINANTS Of CONCERN FOR SLAG AND PARK SOILS COMPOUND SLAG AREA SOIL Surface Subsurface SOUTHEAST PARK SOIL Surface Volatile*: Acetone Benzene 2-Butanone Carbon Tetrachloride Chlorobenzene Chloroform Ethylbenzene Methylene Chloride TetrachIoroethene Toluene 1,1,1-Trichloroethane Trichloroethene Total Xylenes Seai volatile*: Benzole Acid Bis(2-ethylhexyl> phthalate Oi-n-butyl Phthalste Carcinogenic PAHs: Benzo(A)Pyrene Noncarcinogenic PAHs: Anthracene Fluoranthrene Naphthalene Pyrene Pesticides/PCBs: Aldrin Aroclor 1260 Inorganics: Antimony Arsenic Barium Beryllium Cadmium Chromium Copper Lead Manganese Mercury Nickel Silver Thallium Vanadium Zinc Notes X X X X X X X X X X X 'x X X X X X: Indicates the contaminant was selected as a COC. -: Indicates the contaminant was not selected. ------- TABU «J REFERENCE DOSES (RfDs) Copoind Volatile*: Acetone 2-Butanone Carbon Tetrachioride Chlorobenzene Chloroform 1,1-Dichloroethane* Trans 1,2-Dichlorothene* Ethylbenzene Methytene Chloride Tetrachloroethene Toluene 1,1,1-Trichloroethane Total Xylenes Sevivolatiles: Benzoic Acid Bis(2-ethythexyl) phthalate Di-n-botyl Phthalate Moncarcinogenic PANs: Anthracene Fluoranthrene Naphthalene* Pyrene Pesticides: Aldrin Inorganics: Antimony Arsenic Bariun Beryl 1 inn Cadmium Chromium (III) Chromium (VI) Copper Manganese Mercury Nickel (d) Silver Thai 1 inn Vanadium Zinc (salts) RfD (Oral) NA 9.00E-02* NA S.OOE-03* NA 1.00E-01 NA NA 9.00E-01* NA 6.00E-01* 3.00E-01* 9.00E+02* NA NA ' NA NA NA NA NA NA NA NA 1.00E-04* NA NA NA 5.T1E-07** 5.71E-07»* 1.00E-02(0 3.00E-04* NA NA NA NA NA NA Noter All tmdcity n!ua unleM othtrwiw noud art from Inttcritcd Bak InforiBstioB Syttcm (IRIS) September 1990 NA 0>> M Toxicity value* are from Fint/Second Quarter Health Effect* Aaaeaament Summary Table* (HEAST) (USEPA, 1990). Toacity value* are from Fourth Quarter Health Effect* A**e**ment Summary Table* (HEAST) (USEPA, 1990). Not Available Calculated from.the current drinking water lUndard of 1.3 mg/l aaaumirif an tnfvtion of 2.0 I/day for a TO kf percon. Superfund Public Health Evaluation Manual (USEPA 1986). The oral Rfl) repreaenta the aoluble aalt form of nickel. The inhaliUon SF repraaenta the nickel aubralfide fermof the chemical (or caa**rrati*m. ------- TABLE 5 SUMMARY OF NONCARCINOGEHIC RISKS SLAG AREA SURFACE SOILS PATHWAYS Soil Ingestion: Children Adults Dermal Contact: Children Adults Soil Inhalation: Children Adults PRESENT-USE Average Plausible Case Maximum Case 0.0978 0.0326 0.00008 0.00005 0.886 0.443 0.147 0.783 0.0009 0.0007 10.60 5.31 FUTURE-USE Average Plausible Case Maximum Case 0.342 0.171 0.000288 0.000310 2.20 1.10 1.370 0.342 0.00173 0.00186 26.4 13.2 Combined from all Pathways: Children Adults 0.984 0.476 11.40 5.46 2.54 1.27 27.8 13.5 ------- TABLE 6 SUMMARY OF NONCARCINOGENIC RISK SOUTHEAST PARK SURFACE SOILS PATHWAYS (Adults Only) AVERAGE CASE PLAUSIBLE MAXIMUM CASE Soil Ingestion: Children Adults 0.01250 0.00418 0.1000 0.0188 Dermal Contact: Children Adults 0.0000142 0.0000102 0.000170 0.000137 Soil Inhalation: Children Adults 0.001960 0.000979 0.0235 0.0117 Combined from all Pathways: Children Adults 0.01450 0.00517 0.1240 0.0306 Note Park soils were evaluated for the present-use scenario only because no changes in park utilization are anticipated under the future-use scenario. ------- TABLE 7 SLOPE FACTORS (SPs) Compound Semivolatiles: Bis(2-ethylhexyl) phthalate Carcingenic PAHs: Benzp(a)pyrene (a) Pesticides/PCBs: Aldrin Aroclor 1260 Inorganics: Arsenic Beryllium Cadmium Chromium (VI) Nickel Oral SF (mg/kg-day)-1 Inhalation SF (mg/kg-day)-1 Volatiles: Benzene Carbon Tetrachloride Chloroform 1 , 1-Dichloroethane* Methylene Chloride Tetrachloroethene Trichloroethene* 2.90E-02 (A) 1.30E-01 (B2) 6.10E-03 (B2) 9.10E-02 (C) 7.50E-03 (B2) 5.10E-02*(B2) 1.10E-02 (B2) 2.90E-02 (A) 1.30E-01 (B2) 8.10E-02 (B2) NA 1.40E-02*(B2) 3.30E-03*(B2) 1.70E-02 (B2) 1.40E-02 (B2) 1.15E+01 (B2) 1.70E+01 (B2) 7.70E+00 (B2) 1.75E+00 (A), (1) 4.30E+00 (B2) NA NA NA NA 6.10E+00 (B2) 1.70E+01 (B2) NA 5.00E+01 (A) 8.40E+00 (B2) 6.10E+00 (Bl) 4.10E+01 1.70E+00 (A) (A) Not- All toxicity vilun unleu otherwiM noted ire from Integrated Riak Information Syitcm (IRIS) September 1990 Maaiooa. • Toxicity Tiluaa irt from Fint/Seend Quarter Htahh Eflerta AMM«B«I Suoawr Tabta (REAST) (USEPA, 1990). NA Not Availtblc (.) Superfund Public Hulth Evtluition Ilinual (USEPA 19S6). EPA Weight of Evidenct Cliuiflcition §r» M follow Group A • Hunu Curinogco. Sufficient evidence Irom tfiidtmiologic tuidiet to tupport a e»iu«l Mioeiition betwitn OBOiun ud nactr. Croup B2- Prohibit Humta Cuxinogcn. Sufficient tvidtnet of cmrtiDogtnicity is uimil*. lo«be«iuit»'«vidtnct ofemrtinotenieity in humtn*. Group C • Pouible Humu Carcinogen. Limited Evidtaei of cveinogenielty in uimaU. ------- TABLE 8 SUMMARY OF CARCINOGENIC RISKS SLAG AREA SURFACE SOILS PRESENT-USE FUTURE-USE PATHWAYS Average Plausible Average Plausible (Adults Only) Case Maximum Case Case Maximum Case Soil Ingestion: 2.30E-06 3.46E-05 1.21E-05 8.07E-05 Dermal Contact: 9.58E-07 4.31E-05 5.03E-06 1.01E-04 Soil Inhalation: 1.42E-07 3.90E-06 3.53E-07 9.67E-06 Combined from 3.40E-06 8.16E-05 1.75E-05 1.91E-04 all Pathways: ------- TABLE 9 SUMMARY OF CARCINOGENIC RISK SOUTHEAST PARK SURFACE SOILS PATHWAYS (Adults Only) AVERAGE CASE PLAUSIBLE MAXIMUM CASE Soil Ingestion: Dermal Contact: Soil Inhalation: Combined from all Pathways: 2.10E-06 9.94E-07 1.13E-09 3.10E-06 3.15E-05 4.47E-05 2.13E-08 7.62E-05 Note Park soils were evaluated for the present-use scenario only because no changes in park utilization are anticipated under the future-use scenario. ------- TABLE 10 ESTIMATED COST SUMMARY FOR REMEDIAL ALTERNATIVES Slag Area Remedial Alternatives Capital Cost Annual O&M Cost Present Worth Cost SA-1: No Further Action SA-2: Limited Action SA-3: Treatment of Hotspots and Soil Cover SA-4: Multimedia RCRA Cap $ 31,600 $ 21,100 $ 72,000 $ 24,600 $ 6,758,900 $ 344,200 $ 11,597,700 $ 959,800 $ 397,700 $ 505,400 $ 12,105,600 $ 26,407,900 Southeast Park Remedial Alternatives Capital Cost Annual O&M Cost Present Worth Cost PS-1: No Further Action PS-2: Limited Action PS-3: Excavation and Off-site Disposal $ 0 $ 3,700 $ 59,500 $ 8,700 $ 114,500 $ 0 $ 98,600 $ 248,800 $ 114,500 Note The total present worth is based on a discount rate of 5% for a period of 30 years. ------- APPENDIX B NJDEPE LETTER OF CONCURRENCE ------- Sute of New Jersey Department of Environment^ Prottction and Energy Office of the Commissioner CN402 Trenton. NJ 08625-0402 Tel. « 609.292-2885 Scon A. Welner Fax. « 609-984-3962 Commissioner September 24, 1991 Mr. Conetantine Sidlmon-Eristoff Administrator U.S. Environmental Prottction Agency Region ZZ Jacob K. Javita Federal Building Kev York, NY 10276 Dear Mr. Eristoffs The Department of Environmental Protection and Energy baa evaluated and concura vith the selected reaedy for the Roebllng Steel/Operable Unit 2 Superfund aite aa atated below: "The remedial action described in thia document represents the second planned operable unit for the Roabling site. Zt addreases the remediation of a 34-acre slag area and the southeast park. The principle threats associated with these areas are contaminated slag and aoil containing elevated concentrations of heavy metals and polycyclic aromatic hydrocarbona. The overall objective of the action is to limit exposure to levels that are protective of human health and the environment. Subsequent operable units for the remaining areas of contamination at the sits will be the subject of future Records of Decision for the site. The major components of the selected reaedy for the second operable unit Include: Slag Area o Treatment via stabilisation of highly contaminated alag materials o Grading and capping the entire slag area vith a tingle layer aoil cover and vegetation] and o Long-term monitoring and Institutional controls to ensure the effectiveness of the remedy. Newjtnty It tn LfpJtl Opportunity tmpleyv ------- Southeast Park o Excavation of approximately 160 cubic yarda of contaminated soil locattd in two araaa of the park; o Dispoeal of the contaminated soil at an appropriate off-lit* facility} and o Backfilling of the exctvated area with clean toil and rtvegetation", The Department reaervea iti final commence on the complete Record of Deciaion pending an opportunity to raviav the completed docuoente, including the Reaponsivenasa Summary. Vary truly youri, *• ?cott A. Vainer' Coaniaalonar ------- APPENDIX C ADMINISTRATIVE RECORD INDEX ------- ROEBLING STEEL COMPANY SITE OPERABLE UNIT TWO ADMINISTRATIVE RECORD PILE INDEX OP DOCUMENTS FEASIBILITY STUDY Feasibility Study Reports P.1-866 Report: Final - Focused Feasibility Study-II for the Slag Area and Southeast Park. Roeblino Steel Company Site. Roeblina. New Jersey. Volumes I and II. prepared by Ebasco Services Incorporated, June 1991. P.867-924 Guidance: Report to Congress on Special Wastes from Mineral Processing. Volume II; Methods and Analyses. Chapter 8. Ferrous Metals Production, prepared by Office of Solid Waste, U. S. EPA, July 1990. Correspondence P.925 Letter to Mr. Richard Brook, Administrator, Florence Township Municipal Building, from Ms. Tamara Rossi, Project Manager, U. S. EPA, re: forwarding of documents for inclusion in the information repository for the site, 7/11/91. P.926 Letter to Ms. Marian Huebler, Librarian, Florence Township Public Library, from Ms. Tamara Rossi,• Project Manager, U. S. EPA, re: forwarding of documents for inclusion in the information repository for the site, 7/11/91. PUBLIC PARTICIPATION Public Notices P.927 Public Notice announcing proposed remedial alternatives for the Roebling Steel Company Site, Roebling, New Jersey, and inviting comments on the proposed alternatives and any other alternatives that were considered, 7/91. ------- Page 2 Public Meeting Transcripts P.928-1048 Transcript of Proceedings: Public Meeting/ Roeblina Steel Company Superfund Site July 25. 1991. Roebling Volunteer Fire Company. 7th and Main Street. Roefrling. New Jersey. 7;00 p.m.. prepared by Joanne Mannion Hanson, Certified Shorthand Reporter/ July 25, 1991 Fact Sheets and Press Releases P.1049 Fact Sheet:' "Superfund Update, Roebling Steel Company Site, Burlington County, New Jersey,11, prepared by U. S. EPA, 7/91. P. 1050-1051 Press Release: "EPA to Hold Public Meeting to Present Plan for Cleanup of Selected Areas of Roebling Steel Superfund Site," prepared by U. S. EPA, 7/15/91. Proposed Plans P.1052-1062 Superfund Proposed Plan. Roebling Steel Company Site, Roebling, New Jersey, prepared by U. S. EPA, 7/91. NOTE: The following documents are included in the Administrative Record for Operable Unit One. Report: Field Sampling and Analysis Plan. Remedial Investigation/Feasibility Study. Roebling Steel Site. Florence Township. New Jersey^ prepared by Ebasco Services, Inc., March 1989. Report: Roeblina Steel Site. Slaa Disposal and Park Area Surface Soil and Analysis Results. January 1990. Report: Final Work Planr Remedial Investigation/Feasibility Study, Roebling Steel Site. Florence Township. New Jersey, prepared by Ebasco Services, Inc., March 1989. Report: Modification to the Work Plan and Field Sampling and Analysis Plan, August 1989. ------- Page 3 Article: "Preventing Lead Poisoning in Young Children/1 prepared by the Centers for Disease Control, U. S. Department of Health and Hrjnan Services, January 1985. Memorandum to Ms. Tamara Rossi, U. S. EPA, from Ms. Denise Johnson, ATSDR, re: Sampling Data, 10/13/88. Letter to Ms. Tamara Rossi, U. S. EPA, from Ms. Denise Johnson, ATSDR, re: Soil sampling data, 11/10/89. ------- |