United States Environmental Protection Agency OHice of Solid Waste and Emergency Response &EPA DIRECTIVE NUMBER: 9375.1-2A-b TITLE: APPENDIX B, ACTION MEMORANDUM GUIDANCE 12/4/85 APPROVAL DATE: EFFECTIVE DATE: ORIGINATING OFFICE: QERR D FINAL fi DRAFT olAIUo: c — For review and comment REFERENCE (other documents): OSWER OSWER OSWER VE DIRECTIVE DIRECTIVE Dl ------- 1 xvEPA United Slates Environmental Protection Agency Washington. DC 20460 OSWER Directive Initiation Request | Originator Information 1 Name of Contact Person Deborah Swichkow Lead Office 00 OERR D OSW D OUST D OWPE Lj AA-OSWER Mail Code WH-B4RrI Approved Interim Directive Number 9375.1-2A-b Telephone Number 3R2-2453 for Review Signature of Office Director fys Date (Title APPENDIX R, ACTION MEMORANDUM GUIDANCE [Summary of Directive Hb-j G append 4-X-4HHS-- b-ee n provides rfemedial Project - Managers (RPM's) and other Regional staff in the development of Action Memoranda. t* contains an annotated outline of an Action Memorandum as well as a model of an enforcement status sheet which is prepared as an attachment to the Action Memorandum iType of Directive /Manual. Policy Directive. Announcement, etc.) Appendix to State Participation in Superfund Remedial Program Manual Status D m & Draft Final a •rn s New Revis on I Does this Directive Supersede Previous Directive(s)? piQ Yes | J No I If "Yes" to Either Question, What Directive (number, title/ Supersedes Appendix R of 9375.l- (Review Plan I D AA-OSWER D OUST 1 Q OERR D OWPE 1 D OSW D Regions Jnis Request Meets OSWER Directives System "[Signature of Lead Office Directives Officer ISignartJys of OSWER Directives Officer LJ OECM LJ Other (Specify! D OGC D.OPPE Format Date /thitz Date ------- 12/18/85 APPENDIX B ACTION MEMORANDUM GUIDANCE ------- 12/18/85 Replacement Page B-l APPENDIX B ACTION MEMORANDUM GUIDANCE PURPOSE This appendix has been provided to assist Remedial Project Managers (RPMs) and other Regional staff in the development of Action Memoranda. BACKGROUND An Action Memorandum is an optional EPA internal docu- ment in which the Regional Administrator (RA) authorizes a remedial planning project at one or more hazardous waste sites. It clarifies any site-specific issues and sum- marizes site background information, proposed community relations and remedial activities, and the status of enforcement actions at the site(s). In addition, Action Memoranda recommend a course of action to be followed in conducting remedial activities at the site(s). As such, an Action Memorandum, is most appropriate the first time trust fund expenditures occur for remedial activities at a site. Action Memoranda are developed after the completion of the forward planning process, but prior to or simulta- neously with the negotiation of an agreement to proceed with remedial activities at one or more sites. Pre- paration of the Action Memorandum is usually the responsi- bility of the designated RPM. Necessary information usually can be obtained from the Superfund Comprehensive Accomplishments Plan (SCAP), community relations and Regional enforcement staffs, and the State Project Officer (SPO), if one has been selected. If the RA elects to use an Action Memorandum for a project, the document should be finalized and approved prior to the award of a Cooperative Agreement, execution of a Memorandum of Understanding, or EPA action upon a State letter of request. Action Memorandum review and approval procedures will vary, depending upon the requirements and organization of individual Regions. Review by the Office of Regional Counsel, however, is necessary to satisfy legal require- ments . B-l ------- 12/18/85 Replacement Page B-2 APPENDIX SUMMARY For the use of RPMs, this appendix contains the fol- lowing guidance: An annotated outline of an Action Memorandum A model of an enforcement status information sheet, which should be prepared as an attachment to the Action Memorandum. This information is provided in the pages that follow. B-2 ------- 12/18/85 Replacement Page B-3 1. SUGGESTED ACTION MEMORANDUM FORMAT I. HEADING SUBJECT: Authorization to Proceed with Remedial Planning Activities at the ABC Site, City, State FROM: Director, Regional Waste Management Division TO: Regional Administrator II. PURPOSE A. Basic Statement of Reediest: Briefly state the general subactivities requested — reme- dial investigation/feasibility study — and the site location. B. Lead Management Responsibility: For each activity and subactivity included in the Action Memorandum, identify (where the State has expressed its intentions) whether EPA or the State will take lead management respon- sibility. If the State has opted to assume the lead, identify the State agency that will manage the remedial response. III. BACKGROUND A. Position on Priorities List: In one sen- tence, state that the site is on the Na- tional Priorities List and, if possible, what priority the State has given remedial activities at that particular site. B. Physical Location of the Site: Name the county (or parish), township, or incorpor- ated unit in which the site is located and give distances from nearest populated areas and other points of reference. C. Surrounding Areas: Describe the areas adja- cent to the site, such as population cen- ters; any areas protected by statute, such B-3 ------- 12/18/85 Replacement Page B-4 as parks and historic sites; sensitive eco- systems; distances to sources of drinking water; etc. D. Site Setting/Description: 1. Physical Description of the Site - Briefly outline the physical character- istics of the site, such as size, pres- ence of buildings or containment areas, waste lagoons, etc. 2. General Character of the Site - Explain past waste disposal practices at the site. Indicate whether the (potential) contamination is due to drums, bulk liquids, contaminated soils, spills, etc. 3. Waste Management - Describe any exist- ing structures or measures that either would mitigate or accelerate the re- lease of any on-site materials (e.g., a containment berm, site security, fenc- ing, and similar measures). E. Quantities and Types of Substances Present: Identify, quantify, and briefly describe any hazardous substances of critical concern. To the extent possible, this should be done in terms of waste categories, such as prior- ity pollutants. F. Evidence of Release; Note any contaminated drinking water wells, either private or municipal, and any evidence of ecosystem damage. Indicate any releases to environ- mental media. If any off-site monitoring has been performed, relate the substances identified to those found on-site and des- cribe concentrations of off-site pollutants. G. Potential Exposure of Public or Sensitive Ecosystems: Briefly describe any indication that the surrounding areas and residents may be exposed to hazardous substances from the site. B-4 ------- 12/18/85 Replacement Page B-5 H. Previous Actions to Abate Threat: Describe . any privately or publicly sponsored activ- ities, the organization that initiated them, their results, and dates of occurrence. Outline any monitoring, inspections, or sampling performed at the site and briefly summarize the results. I. Current Actions to Abate Threat: Describe any public or private activities that are currently under way or planned and their estimated costs and completion dates. IV. ENFORCEMENT (see attachment) V. COMMUNITY RELATIONS A. Level of Citizen Concern: State whether the level of citizen concern is high or low. Briefly summarize complaints/allegations by the general public that the site has had or is having an adverse impact on health or economic welfare. Note whether any citizen groups have expressed concern about the site. B. Community Involvement: Cite any history of community involvement with the site, such as circulating petitions for site action or staging demonstrations about conditions at the site. C. Community Relations Program: Briefly out- line the specific objectives of the commun- ity relations program for the site. Explain the status of the Community Relations Plan (CRP) — that is, whether a plan has been or is being prepared — and state that it will be included in the agreement package. High-light any community relations activ- ities recommended prior to approval of the final CRP. VI, IMPORTANT POLICY ISSUES (as necessary and applicable) A. Response Authority; In some instances, de- cisions must be made in order to request certain activities, such as justification of B-5 ------- 12/18/85 Replacement Page B-6 off-site disposal of hazardous substances under CERCLA section 101(24). Briefly ex- plain any such determination. B. Cost-Sharing; If the State has not yet se- cured funding to meet its cost-sharing obli- gation, if any, explain the circumstances and the manner in which the State plans to obtain its share of remedial costs. C. Other: Describe such policy issues as the question of division of responsibilities among Federal and/or State agencies, unre- solved questions regarding agreement with the State or local agencies over recommended remedial actions, unresolved determinations of public ownership and appropriate cost share, and similar issues. Make the des- cription brief and highlight efforts being taken to resolve these issues. VII. PROPOSED PROJECT A. General Statement 1. Objectives of the Project - Briefly describe the proposed project and the expected results. Explain generic sub- activities such as a remedial investi- gation/feasibility study (for example, a remedial investigation would deter- mine the degree of contamination on the \. site arid would collect data sufficient to evaluate source control measures). 2. General Description of the Pathways to be Evaluated - Describe media affecting public health, such as aquifers, air emissions, and surface waters. B. Costs: Present, in budget format, the total estimated costs for the project as a whole and for each activity and subactivity, and show estimated State and Federal cost shares, if applicable. Estimates will be the "best estimates" for planning subactivi- ties. Support cost estimates by citing B-6 ------- 12/18/85 Replacement Page B-7 those in the SCAP, when available. Include community relations costs in all cost esti- mates shown. C. Project Schedule: Identify the estimated . duration of each activity from information contained in the SCAP and the Site Manage- ment Plan. D. State Share: Identify the percentage of the costs that the State will be required to provide and any credit that the State claims, E. State Assurances: Acknowledge that the State is aware of any CERCLA section 104(c)(3) assurances required and also is aware of its other responsibilities for the project. VIII. KECOMMENDATION Conclude with a statement (from the Division Director to the Regional Administrator) recom- mending approval of the activities requested and acknowledging that the request has been coordin- ated with the appropriate Headquarters and Re- gional offices. Make provision for indicating approval of the request, as follows: Approve Disapprove Date B-7 ------- 12/18/85 Replacement Page B-8 2. MODEL ENFORCEMENT INFORMATION SHEET ACTION MEMORANDUM ATTACHMENT ABC Site City, State ENFORCEMENT - CONFIDENTIAL Enforcement status information should be included as a separate attachment to the Action Memorandum. This infor- mation should be completed by the Office of Regional Coun- sel with input from the Headquarters Office of Waste Pro- grams Enforcement -and State attorneys, if necessary. The attachment should contain the following information, as appropriate. A. Potential Responsible Parties: Present a general description of the number and types of potential- ly responsible parties (i.e., generators, transporters, and owners or operators). If a site has one or two primary responsible parties, name them. If a search for potentially responsi- ble parties has been completed, summarize the results and estimate the solvency of the major parties identified. B. Enforcement Strategy: Summarize the enforcement strategy for notifying, negotiating with, and instituting litigation against responsible par- ties. Include an explanation of whether the State or Federal enforcement attorneys (1) are not going to litigate, (2) are actively pursuing litigation, or (3) have decided to postpone litigation. C. Previous Enforcement Actions: Describe any pre- vious State or Federal enforcement actions, giv- ing the dates, types of legal actions taken, and outcomes. D. Enforcement Authority: If litigation is proceed- ing or is contemplated, identify the statutory authority for litigation (e.g., RCRA section 7003, CERCLA) B-8 ------- 12/18/85 Replacement Page B-9 E. Probability of Success: Evaluate the probability of timely remedial actions resulting from litigation. F. Status of Negotiations: State whether negotia- tions with responsible parties are under way. if so, describe the activities being discussed. G. Recommendation: Outline the course of action recommended by the Regional enforcement at- torneys, either exclusively pursuing Federally funded remedial activities or simultaneously sup- porting remedial and enforcement actions. B-9 ------- 12/20/85 Revised APPENDIX E MODEL STATEMENT OF WORK FOR A STATE-LEAD REMEDIAL INVESTIGATION/FEASIBILITY STUDY PROJECT ------- 12/20/85 Revised Page E-l APPENDIX E MODEL STATEMENT OF WORK FOR A STATE-LEAD REMEDIAL INVESTIGATION/FEASIBILITY STUDY PROJECT PURPOSE This appendix has been provided to assist Remedial Project Managers (RPMs) and State Project Officers (SPOs) in developing a statement of work (SOW) for State- conducted program and enforcement remedial investigation/ feasibility study (RI/FS) projects. It is intended only to present a topic outline of an RI/FS. A more detailed description of this process can be found in the documents "Guidance on Remedial Investigations Under CERCLA," Office of Emergency and Remedial Response (OERR), June 1985, and "Guidance on Feasibility Studies Under CERCLA", OERR, June 1985. BACKGROUND A SOW describes remedial activities to be carried out under the terms of a Cooperative Agreement or EPA-lead remedial response agreement. The model SOW provided .in this appendix identifies the tasks reguired to complete a State-lead RI/FS, a remedial planning project usually un- dertaken as the first phase of remedial response at a site. It also highlights the additional information re- guired for State-lead enforcement RI/FS projects. Development of a SOW for remedial activities is one step in the preparation of a Cooperative Agreement appli- cation or an EPA-lead remedial response agreement. When remedial planning will be done under an EPA-lead remedial response agreement, the SOW will normally be prepared by an EPA remedial contractor prior to the initiation of the RI. The model SOW presented in this appendix can be used as a guide in developing a SOW for State-lead program or enforcement RI/FS projects in individual Cooperative Agreement or multi-site Cooperative Agreement (MSCA) ap- plications. In some cases, the SOW may be developed dur- ing forward planning (see Chapter II of this manual). States may obtain the services of a reputable archi- tectural/engineering (A/E) firm to conduct the RI/FS. In doing so, the State must comply with EPA's regulation governing procurement under assistance agreements, 40 CFR Part 33. This regulation provides two primary methods for obtaining engineering services: the standard method of E-l ------- 12/20/85 Revised Page E-2 competitive negotiation and the optional method of com- petitive negotiation. Either may be used under Superfund Cooperative Agreements. The standard method involves. selection of an engineering firm, taking into account both its technical capabilities and the proposed cost to com- plete the work. Selection using the optional method is based primarily on the firm's technical capabilities. States also can use the formal advertising procurement method (40 CFR 33.405) for obtaining an A/E firm. More detailed information on Superfund procurement retirements and procedures can be found in Volume II of this manual. If the State chooses to use in-house personnel to con- duct the work under the RI/FS, this is called force ac- counting. When force account costs exceed $25,000, the State must obtain written authorization from the RPM to use State employees or equipment for construction, for construction-related activities, or for repairs or im- provements to a facility. In this case, the State must demonstrate to EPA that State employees can complete the work as competently as, and more economically than, con- tractors, or that an emergency circumstance makes the use of force account necessary. APPENDIX SUMMARY This appendix contains a model SOW for a State-lead program or enforcement RI/FS, for use in a CERCLA Coopera- tive Agreement application. With appropriate modifica- tions, it also can be used on a case-by-case basis in pre- paring MSCA applications and in developing contractor- related RI/FS procurements at various sites on the National Priorities List. Additional information on State-lead enforcement RI/FS SOWs is provided on page E-21 and also is referenced in the appropriate RI/FS tasks. E-2 ------- 12/20/85 Revised Page E-3 REMEDIAL INVESTIGATION MODEL STATEMENT OF WORK PURPOSE The purpose of this remedial investigation is to de- termine the nature and extent of the problem at the site and to gather all necessary data to support the feasibil- ity study. The State must ensure that all A/E related personnel, materials, and services necessary for, of inci- dental to, performing the remedial investigation at [spe- cific site], an uncontrolled hazardous waste site, are provided, or must procure the services of an engineer, consistent with 40 CFR Part 33, to perform the activities described below. SCOPE The remedial investigation consists of eight tasks*: Task 1 - Contractor Procurement Task 2 - Description of Current Situation Task 3 - Plans and Management Task 4 - Site Investigation Task 5 - Site Investigation Analysis Task 6 - Laboratory and Bench-Scale Studies Task 7 - Reports Task 8 - Community Relations Support. TASK 1 - CONTRACTOR PROCUREMENT Prepare contractor procurement documents and award a subagreement to secure the services necessary to conduct the remedial investigation and feasibility study. EPA's regulation governing procurement, 40 CFR Part 33, provides two primary methods of competitive negotiation for obtain- ing contractor services: the standard method, based on competitive technical capabilities and proposed project costs, and the optional method, based primarily on techni- cal capabilities. The document Guidance on Remedial Investigations Under CERCLA, OERR, June 1985, should be consulted for addi- tional information on the tasks listed. E-3 ------- 12/20/85 Revised Page E-4 TASK 2 - DESCRIPTION OF CURRENT SITUATION Describe the background information pertinent to the site and its problems and outline the purpose for the re- medial investigation at the site. The data gathered dur- ing any previous investigations or inspections and other relevant data, should be used. This task may be conducted concurrently with Task 3, development of the work plan. a. Site Background Prepare a summary of the Regional location, per- tinent area boundary features, and general site physiography, hydrology, and geology. Define the total area of the site and the general nature of the problem, including pertinent history relative to the use of the site for hazardous waste disposal. b. Nature and Extent of Problem Prepare a summary of the actual and potential on-site and off-site health and environmental effects. This may include, but is not limited to, the types, physical states, and amounts of the hazardous substances; the existence and con- ditions of drums, landfills, and lagoons [substi- tute site-specific features if different]; af- fected media and pathways of exposure; contamin- ated releases such as leachate or runoff; and any human exposure. Emphasis should be placed on describing the threat or potential threat to pub- lic health and the environment. c. History of Response Actions Prepare a summary of any previous response ac- tions conducted by local, State, Federal, or pri- vate parties, including the site inspection and other technical reports, and their results. This summary should address any enforcement activities undertaken to identify responsible parties, com- pel private cleanup, and recover costs. A list of reference documents and their locations shall be included. (The scope of the remedial investi- gation should be developed to address the prob- lems and questions that have resulted from previ- ous work at the site.) E-4 ------- 12/20/85 Revised Page E-5 d. Site Visit Conduct an initial site visit to become familiar with site topography, access routes, and proxim- ity of receptors to possible contamination, and to collect data for preparation of the site safety plan. The visit should be used to verify the site information developed under this Task. e. Define Boundary Conditions Establish site boundary conditions to limit the areas of remedial investigations. The boundary conditions should be set so that subsequent in- vestigations will cover the contaminated media in sufficient detail to support following activities (e.g., the feasibility study). The boundary con- ditions also may be used to identify boundaries for site access control and site security. (If not in existence, installation of a fence or other security measures should be considered.) f. Site Map Prepare a site map showing all wetlands, flood- plains, water features, drainage patterns, tanks, buildings, utilities, paved areas, easements, rights-of-way, and other features. The site map and all topographical surveys should be of suffi- cient detail and accuracy to locate and report all existing and future work performed at the site. (Permanent baseline monuments, bench marks, and reference grid tied into any existing reference system (i.e., State or USGS) should be considered as an option.) g. Site Office If agreed to by EPA and the State, establish a temporary site office to support site work. TASK 3 - PLANS AND MANAGEMENT Prepare all necessary plans for the remedial investi- gation. The work plan should include a detailed discus- sion of the technical approach, budget, personnel require- ments, and schedules, as well as the following: E-5 ------- 12/20/85 Revised Page E-6 a. Sampling Plan Prepare a Sampling Plan to address all field ac- tivities necessary to obtain additional site data. The plan will contain a statement of sampling objectives; specification of equipment, analyses of interest, sample types, and sample locations and frequency; and schedule. Consider use of field screening techniques to screen.out samples that do not require off-site laboratory analysis. The plan also will include a Quality Assurance and Quality Control Plan (QA/QC) with documentation requirements and estimates of costs and labor. The plan must address all levels of the investigation as well as all types of in- vestigations conducted (e.g., waste characteriza- tion, hydrogeologic, soils and sediments, air, and surface water). The plan will identify po- tential remedial technologies and associated data that may be needed to evaluate alternatives for the feasibility study. b. Health and Safety Plan Prepare a Health and Safety Plan to address haz- ards that the investigation activities may pre- sent to the investigation team and to the sur- rounding community. The plan should address all applicable regulatory requirements and should detail personnel.responsibilities, protective equipment, procedures and protocols, decontamina- tion, training, and medical surveillance. The plan should identify problems or hazards that may be encountered and their solutions. Procedures for protecting third parties, such as visitors or the surrounding community, also will be provided. c. Data Management Plan Develop and initiate a Data Management Plan to document and track investigation data and re- sults. This plan should identify and describe laboratory and data documentation materials and procedures, project file requirements, and project-related progress and financial reporting procedures and documents. E-6 ------- 12/20/85 Revised Page E-7 d. Community Relations Plan Prepare a plan, based on on-site discussions, for the dissemination to the public of information regarding investigation activities and results. Opportunities for comment and input by citizen, community, and other groups also must be identi- fied and incorporated into the plan. Staffing and budget requirements for implementation also must be included. (Not required if Community Relations Plan already has been prepared.) TASK 4 - SITE INVESTIGATION Conduct only those investigations necessary to charac- terize the site and its actual or potential hazard to pub- lic health and the environment. The investigations should result in data of adequate technical content to support the development and evaluation of remedial alternatives during the feasibility study. Investigation activities will focus on problem definition and the collection of data to support the screening of remedial technologies, alternative development and screening, and detailed evalu- ation of alternatives. The site investigation activities will follow the plans developed in Task 3. All sample analyses will be conducted at laboratories following EPA protocols or their equivalents. Strict chain-of-custody procedures will be followed and all samples will be located on the site map (and grid system) established under Tasks 2 and 3. a. Waste Characterization Conduct a sampling and analysis program to char- acterize all materials of interest at the site. These materials should include wastes stored above or below ground in tanks, drums, lagoons, piles, or other structures. Hydroqeologic Investigation (Generally limited to investigations for off-site migration.) Conduct a program to determine the presence and potential extent of ground water contamination (and to evaluate the suitability of the site for on-site waste containment). [Iden- tify specific acruifer to be studied.] Efforts should begin with a survey of previous hydrogeo- logic studies and other existing data. The sur- vey should address the degree of hazard, the E-7 ------- 12/20/85 Revised Page E-8 mobility of pollutants considered (from Waste Characterization), the soils' attenuation capac- ity and mechanisms, discharge/recharge areas, regional flow directions and quality, and effects of any pumping alternatives that are developed, if applicable. Such information may be available from the United States Geological Survey (USGS), the Soil Conservation Service, and local well drillers. An accompanying sampling program should determine the horizontal and vertical dis- tribution of contaminants and predict the long- term disposition of contaminants. c. Soils and Sediments Investigation Conduct a program to determine the location and extent of contamination of surface and subsurface soils and sediments [identify specific areas to be studied]. This process may overlap with cer- tain aspects of the hydrogeologic study (e.g., characteristics of soil strata are relevant both to the transport of contaminants by ground water and to the location of contaminants in the soil; cores from ground water monitoring wells may serve as soil samples). A survey of existing data on soils and sediments may be useful. The horizontal and vertical extent of contaminated soils and sediments should be determined. Infor- mation on local background levels, degree of haz- . ard, location of samples, techniques utilized, and methods of analysis should be included. The investigation should identify the locations and probable quantities of subsurface wastes, such as buried drums, through the use of appropriate geo- physical methods. d. Surface Water Investigation Conduct a program to determine the extent of con- tamination of [identify specific water bodies]. This process may overlap with the soils and sedi- ments investigation; data from stream or lake sediments sampled may be relevant to surface water quality. A survey of existing data on sur- face water flow quantity and quality may be a useful first step, particularly information on local background levels, location and frequency of samples, sampling techniques, and methods of analysis. E-8 ------- 12/20/85 Revised Page E-9 Air Investigation. Conduct a program to determine the extent of at- mospheric contamination. The program should ad- dress the tendency of substances (identified through Waste Characterization) to enter the at- mosphere, local wind patterns, and the degree of hazard. [Note: Other categories of investigations may be needed for specialized site problems. These could include biological and radiological investigations.] TASK 5 - SITE INVESTIGATION ANALYSIS Prepare a thorough analysis and summary of all site investigations and their results. The objective of this task is to ensure that the investigation data are suffici- ent in quality (e.g., QA/QC procedures have been followed) and quantity to support the feasibility study. The results and data from all site investigations must be organized and presented logically so that the relation- ships between site investigations for each medium are ap- parent. Analyze all site investigation data and develop a summary of the types and extent of contamination at the site. The summary should describe the quantities and con- centrations of specific chemicals at the site and ambient levels surrounding the site. Describe the number, loca- tions, and types of nearby populations and activities, and pathways that may result in an actual or potential threat to public health, welfare, or the environment. [Specify whether a contamination, public health, and/or environmen- tal assessment is to be conducted.] TASK 6 - LABORATORY AND BENCH-SCALE STUDIES [Note: The following applies when additional studies are necessary to evaluate remedial alternatives fully. The paragraphs may be modified to meet specific project conditions.] Conduct laboratory and/or bench-scale studies to de- termine the applicability of remedial technologies to site conditions and problems. Analyze the technologies, based on literature review, vendor contacts, and past experi- ence, to determine the testing requirements. Develop a testing plan identifying the type(s) and goal(s) of the study(ies), the level(s) of effort needed, and data management and interpretation guidelines for sub- E-9 . ------- 12/20/85 Revised Page E-io mission to [specify EPA and State recipients] for review and approval. Upon completion of the testing, evaluate the testing results to assess the technologies with respect to the site-specific questions identified in the test plan. Scale up those technologies selected based on testing re- sults. Prepare a report summarizing the testing program and its results, both positive and negative. TASK 7 - REPORTS a. Progress Reporting Requirements [Note: The following paragraph applies when the SOW is being used to procure the services of an A/E firm. Typical requirements are described but may be modified based on the size and complexity of the specific project. A Cooperative Agreement requires a State to report quarterly to EPA, con- sistent with 40 CFR Part 30 and Appendix F of this manual.] Monthly reports shall be prepared by the State's contractor to describe the technical and finan- cial progress of the project. These reports should discuss the following items: 1. Identification of site and activity 2. Status of work at the site and progress to date 3. Percentage of completion and schedule status 4. Difficulties encountered during the reporting period 5. Actions being taken to rectify problems 6. Activities planned for the next month 7. Changes in personnel 8. Actual expenditures (including fee) and direct labor hours expended for this period E-10 ------- 12/20/85 Revised Page E-ll 9. Cumulative expenditures (including fee) and cumulative direct labor hours 10. Projection of expenditures for complet- ing the project, including an explana- tion of any significant variation from the forecasted target 11. A graphic representation of proposed versus actual expenditures (plus fee) and comparison of actual versus target direct labor hours. A projection to completion will be made for both. The monthly progress report will list target and actual completion dates for each element of ac- tivity, including project completion, and will provide an explanation of any deviation from the milestones in the work plan. Further information on State contractor reporting can be found in Volume II of this manual. b. Final Report Prepare a final report covering the remedial in- vestigation and submit [specify number and dis- tribution] copies to [specify EPA and State re- cipients, as appropriate]. The report shall in- clude the results of Tasks 1 through 6, and should include additional information in appen- dices. The report shall be structured to enable the reader to cross-reference with ease. The State should transmit a copy of this report to EPA. TASK 8 - COMMUNITY RELATIONS SUPPORT [Note: The following paragraph applies when community relations support is conducted under the work covered in this SOW (e.g., under a Cooperative Agreement). These paragraphs may be modified to meet specific site or proj- ect conditions.] The State may require its contractor to furnish the personnel, services, materials, and equipment to undertake a community relations program. Although this may be a limited program, community relations must be integrated closely with all remedial response activities. The objec- tives of this effort are to achieve community understand- ing of the actions taken and to obtain community input and support prior to selection of the remedial alternative(s). E-ll ------- 12/20/85 Revised Page E-12 Community relations support should include, but may not be limited to, the following: Revisions or additions to community relations plans, including definition of community rela- tions program needs for each remedial activity Analysis of community attitudes toward the pro- posed actions Preparation and dissemination of news releases, fact sheets, slide shows, exhibits, and other audio-visual materials designed to apprise the community of current or proposed actions Establishment of a community information center Arrangements of briefings, press conferences, workshops, and public and other informal meetings Assessment of the successes and failures of the community relations program to date Preparation of reports and participation in pub- lic meetings, project review meetings, and other meetings as necessary to the normal progress of the work Solicitation, selection, and approval of subcon- tractors, if needed. All community relations activities conducted by the State must be consistent with Superfund community relations policy, as stated in the "Guidance for Implementing the Superfund Program" and Superfund Community Relations Hand- book and Appendix K of this manual. E-12 ------- 12/20/85 Revised Page E-13 FEASIBILITY STUDY MODEL STATEMENT OF WORK PURPOSE The purpose of this feasibility study is to develop and evaluate remedial alternatives for [specific site]. SCOPE The feasibility study consists of eight tasks*: Task 9 - Description of Proposed Response Task 10 - Preliminary Remedial Technologies Task 11 - Development of Alternatives Task 12 - Initial Screening of Alternatives Task 13 - Evaluation of the Alternatives Task 14 - Preliminary Report Task 15 - Final Report Task 16 - Additional Requirements. A work plan that includes a detailed technical ap- proach, a budget, personnel requirements, and schedules will be submitted for the proposed feasibility study. TASK 9 - DESCRIPTION OF PROPOSED RESPONSE Information on the site background, the nature and extent of the problem, and previous response activities presented in Task 2 of the remedial investigation may be incorporated by reference. Any changes to the original project scope described in the Task 2 description should be discussed and justified based on the results of the remedial investigation. Following this summary of the current situation, a site-specific statement of purpose for the response, based on the results of the remedial investigation, should be presented. The statement of purpose should identify the actual or potential exposure pathways that should be ad- dressed by remedial alternatives. The document Guidance on Feasibility Studies Under CERCLA, OERR, June 1985, should be consulted for addi- tional information on the tasks listed. E-13 ------- 12/20/85 Revised Page E-14 TASK 10 - PRELIMINARY REMEDIAL TECHNOLOGIES Based on the site-specific problems and statement of purpose identified in Task 9, develop a master list of potentially feasible technologies. These -technologies will include both on-site and management of off-site mi- gration remedies, depending on site problems. The master list will be screened based on site conditions, waste characteristics, and technical retirements, to eliminate or modify those technologies that may prove extremely dif- ficult to implement, will require unreasonable time periods, or will rely on insufficiently developed technol- ogy. (The results of this task may be requested.separ- ately as a Remedial Options Negotiation Document by the State or EPA.) TASK 11 - DEVELOPMENT OF ALTERNATIVES Based on the results of the remedial investigation and consideration of preliminary remedial technologies (Task 10), develop a limited number of alternatives for source control or management of off-site migration re- medial actions, or both, on the basis of objectives estab- lished for the response. a. Establishment of Remedial Response Objectives Establish site-specific objectives for the re- sponse. These objectives will be based on public health and environmental concerns, the descrip- tion of the current situation (from Task 2), in- formation gathered during the remedial investiga- tion, section 300.68 of the National Contingency Plan (NCP), EPA's guidance, and the requirements of any other applicable EPA, Federal, and State environmental standards, guidance, and advisories as defined under EPA's CERCLA compliance policy. Objectives for source control measures should be developed to prevent or significantly minimize migration of contamination from the site. Objec- tives for management of off-site migration mea- sures should prevent or minimize impacts of con- tamination that has migrated from the site. Pre- liminary cleanup objectives will be developed in consultation with EPA and the State. b. Identification of Remedial Alternatives Develop alternatives to incorporate remedial technologies (from Task 10), response objectives, and other appropriate considerations into a E-14 ------- 12/20/85 Revised Page E-15 comprehensive, site-specific approach. Alternatives developed should include the following (as appropriate): Alternatives for off-site treatment or disposal, as appropriate Alternatives which attain applicable and/or relevant and appropriate Federal public health or environmental standards Alternatives which exceed applicable and/or relevant and appropriate public health or environmental standards Alternatives which do not attain appli- cable and/or relevant and appropriate public health or environmental stand- ards but will reduce the likelihood of present or future threat from the hazardous substances. This must include an alternative which closely approaches the level of protection provided by the applicable or relevant standards No action. There may be overlap among the alternatives de- veloped. Further, alternatives outside of these categories also may be developed, such as non- cleanup alternatives (e.g., alternative water supply, relocation). The alternatives shall be developed in close consultation with EPA and the State. Document the rationale for excluding any technologies identified in Task 10 as part of the development of alternatives. TASK 12 - INITIAL SCREENING OF ALTERNATIVES The alternatives developed in Task 11 will be screened to eliminate those that are clea'rly infeasible or inappro- priate, prior to undertaking detailed evaluations of the remaining alternatives. Considerations To Be Used in Initial Screening Three broad considerations must be used as a basis for the initial screening: cost, public health, and the environment. More specifically, the following factors must be considered: E-15 ------- 12/20/85 Revised Page E-16 1. Environmental Protection. Only those alterna- tives that satisfy the response objectives and contribute substantially to the protection of public health, welfare, or the environment will be considered further. Source control alterna- tives will achieve adequate control of source materials. Management of off-site migration al- ternatives will minimize or mitigate the threat of harm to public health, welfare, or the environment. 2. Environmental Effects. Alternatives posing sig- nificant adverse environmental effects will be excluded. 3. Technical Feasibility. Technologies that may prove extremely difficult to implement, will not achieve the remedial objectives in a reasonable time, period, or will rely upon unproven technol- ogy should be modified or eliminated. 4. Cost. An alternative whose cost far exceeds that of other alternatives usually will be .eliminated unless other significant benefits also may be realized. Total costs will include the cost of implementing the alternatives and the cost of operation and maintenance. The cost screening will be conducted only after the environmental and public health screenings have been performed. TASK 13 - EVALUATION OF THE ALTERNATIVES Evaluate the cost-effectiveness of alternative reme- dies that pass the initial screening in Task 12. Alterna- tive evaluation will be preceded by detailed development of the remaining alternatives. a. Technical Analysis Perform a Technical Analysis that will, as a minimum: 1. Describe appropriate treatment, storage, and disposal technologies. 2. Discuss how the alternative does (or does not) comply with specific requirements of other environmental programs. When an al- ternative does not comply, discuss how the E-16 ------- 12/20/85 Revised Page E-17 alternative prevents or minimizes the migra- tion of wastes and public health or environ- mental affects and describe special design needs that could be implemented to achieve compliance. 3. Outline operation, maintenance, and monitor- ing requirements of the remedy. 4. Identify and review potential off-site facilities to ensure compliance with appli- cable Resource Conservation and Recovery Act (RCRA) and other EPA environmental.program requirements, both current and proposed. Potential disposal facilities should be evaluated to determine whether off-site man- agement of site wastes could result in a potential for a future release from the dis- posal facility. 5. Identify temporary storage requirements, off-site disposal needs, and transportation plans. 6. Describe whether the alternative results in permanent treatment or destruction of the wastes, and, if not, the potential for fu- ture release to the environment. 7. Outline safety requirements for remedial implementation (including both on-site and off-site health and safety considerations). 8. Describe how the alternative could be phased into individual operable units. The de- scription should include a discussion of how various operable units of the total remedy could be implemented individually or in groups, resulting in a significant improve- ment to the environment or savings in cost. 9. Describe special engineering requirements of the remedy or site preparation . considerations. E-17 ------- 12/20/85 Revised Page E-18 b. Environmental Analysis Perform an Environmental Assessment (EA) for each alternative. The EA should focus on the site problems and pathways of contamination actually addressed.by each alternative. The EA for each . alternative will include, at a minimum, an evalu- ation of beneficial effects of the response, ad- verse effects of the response, and an analysis of measures to mitigate adverse effects. The no- action alternative will be evaluated fully to describe the current site situation and antici- pated environmental conditions if no actions are taken. The no-action alternative will serve as the baseline for the analysis. c. Public Health Analysis Assess each alternative in terms of the extent to which it mitigates long-term exposure to any residual contamination and protects public health .both during and after completion of the remedial action. The assessment will describe the levels and characterizations of contaminants on-site, potential exposure routes, and potentially af- fected populations. The effect of "no action" should be described in terms of short-term ef- fects (e.g., lagoon failure), long-term exposure to hazardous substances, and resulting public health impacts. Each remedial alternative will be evaluated to determine the level of exposure to contaminants and the reduction over time. The relative reduction in public health impacts for each alternative will be compared to the no- action level. For remedial measures affecting the management of off-site migration, the rela- tive reduction in impact will be determined by comparing residual levels of each alternative with existing criteria, standards, or guidelines acceptable to EPA. For source control measures or when criteria, standards, or guidelines are not available, the comparison should be based on the relative effectiveness of technologies. The no-action alternative will serve as the baseline for the analysis. E-18 ------- 12/20/85 Revised Page E-19 Institutional Analysis Evaluate each alternative based on relevant in- stitutional needs. Specifically, assess regula- tory requirements, permits, community relations, and participating agency coordination. e. Cost Analysis Evaluate the cost of e'ach feasible remedial ac- tion alternative (and for each phase or segment of the alternative). Present the cost as a pres- ent worth cost and will include the total cost of implementing the alternative and the annual oper- ating and maintenance costs. Include both.mone- tary costs and associated non-monetary costs will be included. Provide a distribution of costs over time. f. Evaluation of Cost-Effective Alternatives Compare alternatives using technical, environmen- tal, and economic criteria. At a minimum, use the following areas to compare alternatives: 1. Present Worth of Total Costs. The net pres- ent value of capital and operating and maintenance costs must be presented. 2. Health Information. For the no-action al- ternative, EPA prefers a quantitative state- ment including a range estimate of maximum individual risks. Where quantification is . not possible, a qualitative analysis may suffice. For source control options, a quantitative risk assessment is not re- quired. For management of migration mea- sures, present a quantitative risk assess- ment including a range estimate of maximum individual risks. 3. Environmental Effects. Summarize only the most important effects or impacts. Refer- ence can be made to supplemental information arrayed in a separate table, if necessary. 4. Technical Aspects of the Remedial Alterna- tives. Clearly delineate the technical as- pects of each remedial alternative relative to the others. This assessment will be based on the expertise of the State and/or E-19 ------- 12/20/85 Revised Page E-20 its contractor in identifying those remedial actions that are viable cleanup options. 5. Information on the Extent to Which Remedial Alternatives Meet the Technical Requirements and Environmental Standards of Applicable Environmental Regulations. Array this in- formation so that differences in how reme- dial alternatives satisfy such standards are readily apparent. The general types of standards that may be applicable at the site include: a. RCRA design and operating standards b. Drinking water standards and criteria. 6. Information on Community Effects. Provide information that explains the extent to which implementation of a remedial alterna- tive disrupts the community (e.g., traffic, temporary health risks, and relocation). 7. Other Factors. This category of information would include such things as institutional factors that may inhibit implementing a re- medial alternative and any other site- specific factors identified in the course of the detailed analysis that may influence which alternative is eventually selected. TASK 14 - PRELIMINARY REPORT Prepare a preliminary report presenting the results of Tasks 9 through 13. Transmit the report to EPA for review and comment before a final report is prepared and a remedy is selected. [EPA and the State will review and select a remedial alternative.] TASK 15 - FINAL REPORT Prepare a final report for submission to EPA and the State. The report will include the results of Tasks 9 through 13, and should include any supplemental informa- tion in appendices. This report will include a respon- siveness summary on public comments received, as well as a description of the proposed remedy. Transmit the Final Report to EPA. TASK 16 - ADDITIONAL REQUIREMENTS [Specified based on site-specific issues.] E-20 ------- 12/20/85 Revised Page E-21 REQUIREMENTS FOR STATE-LEAD ENFORCEMENT RI/FS SOWs Requirements, major tasks, and components for State- lead program and enforcement RI/FS SOWs are essentially the same. However, a few additional steps are necessary, as are several changes in how tasks are implemented for State-lead enforcement RI/FSs to support enforcement ac- tions that the State will undertake. These are: Add Task 3d (RI) - Schedule for Future Enforce- ment Action. Establish a schedule of the State's intended enforcement activities. This must be done before field work can begin. To Task 4a (RI) - Waste Characterization, add: The sampling plan shall describe the techniques that will be employed to connect potentially re- sponsible parties with wastes located at the site." These techniques may include, but are not limited to, identifying company names, trade- marks, or registered brand names on drums or tanks; investigating any other identifying fea- tures of the waste; cataloging such information; and maintaining evidentary files sufficient to support future litigation. Under Task 12 (FS) - Initial Screening of Alter- natives, delete 3. Cost as a factor to be consi- dered as a basis for initial screening. Under Task 13 (FS) - Evaluation of Alternatives, all work must be performed as described. How- ever, since the Fund balancing provisions of CERCLA section 104(c)(3) do not apply, the effec- tiveness of all remedies must be considered, re- gardless of cost. Add Task 14a (FS) - Notice Letters: Prepare let- ters notifying potentially responsible parties of their responsibility for site wastes under CERCLA section 106 and/or appropriate State law. These must be sent to potential responsible parties no later than at the completion of the preliminary feasibility study report. E-21 ------- |