United States
                      Environmental Protection
                      Agency
 Office of
 Solid Waste and
 Emergency Response
OSWER9200.1-18FS
EPA540-F-97-009
PB97-963216
May 1997
   v>EPA    Consolidated  Guide to
                     Consultation  Procedures  for
                      Superfund  Response
                      Decisions
 Office of Emergency and Remedial Response
              Quick Reference Fact Sheet
  The goal of this fact sheet is to describe management review procedures employed by EPA to ensure that national
remedy selection policies and procedures are being implemented in a reasonable and appropriately consistent manner.
EPA believes that consistent application of national policy and guidance is an important means by which we ensure
the reasonableness, predictability, and cost-effectiveness of Superfund decisions. This document has been developed
as a result of the National Consistency directive (OSWER Directive 9200.0-21) and the Remedy Selection "Rules of
Thumb" Superfund Reform efforts announced by Administrator Carol Browner in October 1995.'

  This fact  sheet provides a consolidated guide to EPA Headquarters and Regional consultation procedures for
response decisions management. This document was developed to clarify and consolidate the various consultation
procedures that have been established for both  remedial and removal response selection decision making through
various OSWER Directives, memoranda, and recommendations of national policy workgroups.

NOTE: This fact sheet only highlights the review and/or consultation procedures that exist between EPA headquarters
and EPA Regional offices for Superfund response selection decision-making. Every response decision goes through
a rigorous technical and management review process  within each  Regional EPA office as well.  The specific
management review procedures are unique to each Region, and have evolved over time to reflect the best technical and
program management expertise as well as the different organizational structures in each office.
FOCUS
AREA
REVIEW

   In  May  1996, the  Office  of Emergency  and
Remedial Response  (OERR)  issued a  directive
describing  the  goal  of promoting  "appropriately
consistent CERCLA program implementation .. . and
effective communication between Headquarters and the
Regions" with a focus on four technical and policy
areas.  (Focus Areas for Headquarters OERR Support
for Regional Decision  Making,  OSWER  Directive
9200.1-17, May 22, 1996).
  The four focus areas include:.risk management and
cost-effectiveness  decision documentation;  ground
water policy; lead (Pb) policy; and  presumptive
remedies.

  The  consultation  procedures outlined  in  the
memorandum involve the review of draft proposed
plans by  staff in OERR's  Accelerated Response
Centers.  In some circumstances, OERR may request
the  review of draft  decision  documents  such  as
Records of Decision (RODs),  ROD amendments,
Explanations of Significant Differences (ESDs),  or
Action  Memoranda for  non-timc-critical  removal

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actions. Consultations are still required for non-time-
critical removal actions costing over S5 million (see
SACM Regional Decision Teams and Early Action and
Long-Term Action Under SACM,  OSWER Directive
9203.1-051, December 1992). Headquarters staff will
flag  any  inconsistencies with respect to focus area
policies and will work  with Regional staff,  on an
informal  basis, to  resolve  these  issues  in a  timely
manner. Issues of a national precedent-setting  nature
may be discussed with management as well.

  At  the same time, this memorandum  encourages
Regional  staff to look  upon Headquarters staff as a
resource  that  can  provide  assistance  in working
through  issues  as  early  as possible  during the
development  of site  response  strategies and draft
proposed plans.  The specific elements within each
focus area are summarized in Table 1  and discussed in
more   detail   in  the   May  1996  Focus   Area
memorandum.
   HEADQUARTERS
   APPROVAL/CONCURRENCE ON
   REMOVAL ACTIONS
  The Superftmd statute established certain limitations
on the use of removal actions. Some of the approval
authority for exceeding these statutory limitations has
been delegated  to EPA Regional offices, and some
approval authority remains at Headquarters. Table 2
lists the  specific  elements  of the  Headquarters
approval/concurrence consultation process for removal
actions.
  CROSS-REGIONAL RESPONSE
  DECISIONS MANAGEMENT GROUPS
  Cross-regional  response  decisions  management
groups have also been  formed to share critical site
information  and improve remedy selection decision
making. (See Table 3).  Sharing draft proposed plans,
decision documents, or other site-specific  response
strategies with these review groups as early as possible
in the remedy selection process, will help facilitate a
quick and efficient review.

  The National Remedy Review Board was formed to
promote cost-effectiveness and national consistency in
remedy selection at Supcrfund sites.  The  Board is
staffed with technical  experts and  senior managers
from each EPA Region and several EPA Headquarters
offices and focuses its reviews on high cost remedies.
(National Remedy Review Board Progress Report:
Fiscal   Year  1996,  OSWER Directive  9220.0-24,
January  1997; and National Remedy Review Board
Review Criteria for Federal Facility Siiperfund Sites,
OSWER Directive 9220.0-25, draft).

   Lead  is one of the most frequently encountered
chemicals at Superfund sites. Lead cleanups arc also
some of the most costly cleanups. As a result, a Lead
Sites Management Workgroup has been formed by the
Superfund Waste Management  Division Directors in
order to  have management  level involvement in  key
lead site  decisions across the nation.  Criteria will be
developed in the near future and will provide proposed
action levels and/or risk management alternatives that
trigger a review by this group.  (Per direction of
Superfund Waste Management Division Directors'
Lead Policy Forum on February 6, 1997.)
   CROSS-REGIONAL TECHNICAL
   REVIEW WORKGROUPS
   Finally, cross-regional technical review workgroups
have also been formed to focus  on technical issues
underlying risk assessment and response management
issues.  (Sec Table 4).

   In  order  to  support  site-specific   lead  risk
assessments and assist in the development of national
lead  policy for  Supcrfund,  the  Technical Review
Workgroup  for lead was established.  This group of
scientists and  technical experts is familiar with the
development  and  refinement   of  the   Integrated
Exposure  Uptake Biokinetic  Model  for  Lead  in
Children (IEUBK) and provides advice on  questions
relating to site-specific lead risk assessments.  OERR
has asked Regional offices to identify any application
of the IEUBK. model that is expected to be challenged
or will set a precedent in IEUBK. model application so
that the Technical Review Workgroup can be informed
of the issues and provided an opportunity to comment
on the approach undertaken.  (Revised Interim Soil
Lead  Guidance  for CERCLA  Sites  and  RCRA
Corrective  Action  Facilities,    OSWER  Directive
9355.4-12, July 14, 1994; and Administrative Reforms
for Lead Risk Assessment, OSWER Directive 9200.4-
20, April 17, 1996).

   For sites where  EPA  is  developing  dioxin soil
cleanup levels, OERR asks the Regions to consult with
Headquarters and the Supcrfund Dioxin Workgroup as
early as possible in the remedy selection process.  This
consultation process is needed to ensure a consistent
transition in implementing the results of the Agency
Dioxin Reassessment. (Headquarters Consultation for
Dioxin Sites, OSWER Directive 9200.4-19,  December
 13, 1996).

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  POINTS OF CONTACT
OERR Focus Area Reviews: Contact staff in individual
OERR Regional Accelerated Response Centers.

Removal  Program  Concurrences:  Contact staff in
individual  OERR  Regional  Accelerated Response
Centers.

National Remedy Review Board: Regional Remedy
Review Board members or Bruce Means (OERR) at
703-603-8815.
Lead  Sites  Management  Workgroup:  Nick  Ceto
(Region  10) at 206-553-1816  or  Shahid Mahmud
(OERR) at 703-603-8789.

Lead Technical Review Workgroup:  Pat Van Lccuwcn
(Region 5) at  312-886-4904, Paul  White (Office of
Research  and  Development) at 202-260-2589,  or
Larry Zaragoza (OERR) at  703-603-8867.

Dioxin Review Workgroup: Marlene Berg (OERR) at
703-603-8701,  Elmer Akin (Region 4) at 404-562-
8634,  or  Dwain  Winters (Office  of  Prevention,
Pesticides, and Toxic Substances) at 202-260-8558.
        EPA employees can obtain copies of OSWER directives cited in this guide by calling
        the Superfund  Document Center at (703) 603-9232 or sending an e-mail to:
        "superfund.documentcenter@epamail.epa.gov"

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                                      TABLE 1
                        OERR FOCUS AREA REVIEWS

Levels of Management Review
1.  Regional Staff (S) and Management (M) (Region)
2.  Office of Emergency and Remedial Response Staff (S) or Management (M) (OERR)
3. Assistant Administrator for the Office of Solid Waste and Emergency Response (AA)
R
E
G
1
O
N
O
E
R
R
Submit draft proposed plans' to OERR Regional Center Staff for reviews in the following focus
areas: (Focus Areas for Headquarters OERR Support for Regional Decision Making, OSWER
Directive 9200.1-17, May 22, 1996)
1) Risk management and cost-effectiveness decision documentation
   • Clear presentation of risks that justify action, using reasonable land use and exposure
     assumptions
   • Description of how response action will address risks
   • Description of other benefits of response action
   • Determination that effectiveness of response justifies cost

2) Ground water policy
   • Consistent implementation of presumptive response strategy for contaminated ground water
   • Consistent implementation of technical impracticability guidance (Consistent Implementation
     of the FYI993 Guidance on Technical Impracticability of Ground Water Restoration at
     Superfund Sites, OSWER Directive 9200.4-14, January 1995)

3) Lead policy
   • Consistent implementation of OSWER lead policy and coordination with cross-regional
     technical and management review groups

4) Presumptive remedies
   • Appropriate use of presumptive remedies whenever possible
1   Consultations arc still required for non-time-critical removal actions costing over S5 million (see
   SACM Regional Decision Teams and Early Action and Long-Term Action Under SACM,
   OSWER Directive 9203.1-051, December 1992).

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                                      TABLE 2
      HQ APPROVAL/CONCURRENCE ON REMOVAL ACTIONS

Levels of Management Review
1. Regional Staff (S) and Management (M) (Region)
2. Office of Emergency and Remedial Response Staff (S) and Management (M) (OERR)
3. Assistant Administrator for the Office of Solid Waste and Emergency Response (AA)
R
E
G
 1
O
N
O
E
R
R
A
Removal Program Approval/Concurrence

The Superfund statute established certain limitations on the use of removal actions.  Some of the
approval authority for exceeding these statutory limitations has been delegated to EPA Regional
offices, and some approval authority remains at Headquarters.

$2 million statutory limit exemptions:
•  Emergency Exemption requests exceeding S6 million
•  Consistency Exemption requests for non-NPL sites
•  All other exemptions

12-month statutory limit exemptions:

•  All exemptions to the 12-month statutory limit

In addition, the process for obtaining Headquarters concurrence on nationally significant fund-lead
removal actions is described in Guidance on Non-NPL Removal Actions Involving Nationally
Significant or Precedent Setting Issues, OSWER Directive 9360.0-19, March 3, 1989.  Subsequent
guidance has modified some of these consultation requirements (Response Actions at Sites with
Contamination Inside Buildings, OSWER Directive 9360.3-12, August 12, 1993).

1)  Removal actions at sites within the United States or its territories involving contamination or
    response actions that may affect other sovereign nations, including Indian Tribes.

2)  Removal actions involving pesticide contamination arising from: a) improper storage of pesticide
    products awaiting indemnification; b) lawful application of pesticides, including special local use
    pesticides;  or c) grain  fumigation  operations.

3)  Removal actions at sites involving any form of dioxin when it is one of the principal
    contaminants of concern.
M
M
    M
    M
    M
        M
        M
4)  Removal actions at sites involving releases from consumer products in consumer use (e.g., lead-
    contaminated soil  resulting from peeling lead-based paint on houses).

5)  Removal actions involving asbestos when it is the principal contaminant of concern.

6)  Removal actions involving substances or releases which may be subject to statutory exclusions or
    limitations in CERCLA.
    M



    M

    M
7)  Response actions at sites with contamination inside buildings (e.g., indoor releases of mercury).
                                                                                              M

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                                     TABLE 3

                              CROSS-REGIONAL
           RESPONSE DECISIONS MANAGEMENT GROUPS
Levels of Management Review
I.  Regional Staff (S) and Management (M) (Region)
2.  Office of Emergency and Remedial Response Staff (S) and Management (M) (OERR)
3. Assistant Administrator for the Office of Solid Waste and Emergency Response (AA)
R
E
G
I
0
N
0
E
R
R
1) National Remedy Review Board (National Remedy Review Board Progress Report: Fiscal Year
1996, OSWER Directive 9220.0-24, January 1997; and National Remedy Review Board Review
Criteria for Federal Facility Superfiind Sites, OSWER Directive 9220.0-25, draft).

Response selection decisions for all sites (except DOE Radioactive-waste and DOD I3RAC sites):

   •  Proposed remedy cost estimate exceeds S30 million


   •  Proposed remedy cost estimate exceeds S10 million and is 50% greater in cost than that of the
     least-costly, protective, ARAR-compliant alternative

Response selection decisions involving radioactive-waste at DOE sites:

   •  Proposed remedy cost estimate exceeds S75 million

   •  Proposed remedy cost estimate exceeds S25 million and is 50% greater in cost than that of the
     least-costly, protective, ARAR-compliant alternative
M
M
M
M
M
M
M
    M
2) Lead Sites Management Workgroup
   (Per direction of Superfiind Waste Management Division Directors' Lead Policy Fonini on
   February 6,  1997.)

   •  Proposed remedy involves national precedent setting issues
M
    M

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                                      TABLE 4
          CROSS-REGIONAL TECHNICAL REVIEW GROUPS
Levels of Management Review
1.  Regional Staff (S) and Management (M) (Region)
2.  Office of Emergency and Remedial Response Staff (S) and Management (M) (OERR)
3. Assistant Administrator for the Office of Solid Waste and Emergency Response (AA)
R
E
G
I
O
N
0
E
R
R
1) Technical Review Workgroup (TRW) for Lead Sites (Administrative Reforms for Lead Risk
Assessment, OSWER Directive 9200.4-20, April 17, 1996)

   •   Send all completed lead risk assessments which used the IEUBK model to the TRW.  A review
      will  focus on consistency with guidance.

   •   Identify for the TRW all IEUBK risk assessments that are either in planning or underway.

   •   Identify for the TRW any application of the IEUBK that is expected to be challenged or will
      set a precedent in IEUBK application.

   •   Send any draft Regional guidance relating to lead to Headquarters for review prior to release.

   •   Any IEUBK risk assessment with outputs that arc outside the range of 400 ppm to 1200 ppm
      should be submitted for review.

   •   Any adult lead risk assessment that would suggest a preliminary remediation goal (PRO)
      output outside the range of 500 ppm to 2000 ppm should be submitted for review.
2) Technical Review Workgroup for Dioxin Sites (Headquarters Consultation for Dioxin Sites,
OSWER Directive 9200.4-19, December 13, 1996)

   •  Submit for review pertinent information for all sites where remediation goals arc to be
     developed for dioxin in soil, regardless of whether dioxin itself drives the decision-making
     process.

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                   /    /
 \
                UNITED STATES ENVIRONMENTAL PROTECTION AGENCY
                   '•--'       WASHINGTON,  D.C.  20460
                                                             OFFICE OF
                                                        SOLID WASTE AND EMERGENCY
                                                             RESPONSE
                                    Signed May 14, 1997
                                    OSWER Directive 9200.1-18FS
MEMORANDUM
SUBJECT:  Transmittal  of  "Consolidated Guide to Consultation
          Procedures  for  Superfund Response Decisions" and FY97
          Focus Areas  for OERR regional coordination support

FROM:     Stephen  D. Luftig,  Director
          Office of Emergency and Remedial  Response

TO:       Director, Office of Site Remediation and Restoration
            Region I
          Director, Emergency and Remedial  Response Division
            Region II
          Director, Hazardous Waste Management Division
            Regions III,  IX
          Director, Waste Management Division
            Region IV
          Director, Superfund Division
            Regions V, VI,  VII
          Assistant Regional  Administrator,  Office of Ecosystems
          Protection and  Remediation
            Region VIII
          Director, Environmental  Cleanup Office
            Region X
     This memorandum:  1) transmits a  completed  fact  sheet
entitled "Consolidated Guide to Consultation  Procedures  for
Superfund Response Decisions;" and 2 )'communicates  the  FY97  Focus
Areas for OERR Regional coordination  support.
Consolidated Guide to Consultation Procedures  for  Superfund
Response Decisions

     The goal of this fact sheet is  to describe management  review
procedures employed by EPA to ensure that national  remedy
selection policies and procedures are being  implemented  in  a
reasonable and appropriately consistent manner.  EPA  believes

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 that  consistent  application  of  national  policy  and  guidance  is  an
 important  means  by which we  ensure  the reasonableness,
 predictability,  and cost-effectiveness of  Superfund decisions.
 This  document  has  been  developed  as  a result  of the National
 Consistency directive  (OSWER Directive 9200.0-21) and  the  Remedy
 Selection  "Rules of Thumb" Superfund Reform efforts announced by
 Administrator  Carol Browner  in  October 1995.

      This  fact sheet provides a consolidated  guide  to  EPA
 Headquarters and Regional consultation procedures for  response
 decisions  management.   Pursuant to  the final  report of the
 Superfund  Delegations Workgroup (OSWER Directive 9242.2-10), the
 Remedy Delegation  Report was eliminated  in favor of managing
 necessary  Headquarters  consultations through  individual OSWER
 directives  (this report  had  been  used in the  past to manage
 consultation requirements and procedures for  Superfund remedy
 selection  decisions).   This  fact  sheet was developed to clarify
 and consolidate  the various  consultation procedures that have
 been  established for both remedial and removal  response selection
 decision making  through various OSWER Directives, memoranda, and
 recommendations  of  national  policy workgroups.
FY97 Focus Areas

     As part of our effort to ensure appropriate national
consistency, last year OERR established four technical and policy
focus areas for Headquarters regional coordination efforts.  The
four focus areas include: l)risk management and cost-
effectiveness decision documentation; 2)ground water policy;
3)lead policy; and 4) presumptive remedies.  (See "Focus Areas
for Headquarters OERR Support for Regional Decision Making,"
OSWER Directive 9200.1-17, May 22, 1996.)

     In FY97,  OERR plans to continue to use the focus areas and
consultation procedures outlined in this May 1996 memorandum, and
refined through your work with individual Regional Center
management and staff over the course of the past year.  The
primary goal of OERR's regional coordination effort is to
communicate and coordinate nationally on cross-cutting issues to
ensure that we all share a common understanding of program
policies and,  as a result, approach site cleanups in a consistent
manner.   OERR staff will flag any inconsistencies with respect to
focus area policies and will work with Regional staff on an
informal basis to resolve these issues in a timely manner.   At
the same time, Regional staff should look upon OERR staff as a
resource that can provide assistance in working through issues as
early as possible during the development of site response
strategies and draft Proposed Plans.

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     Thank you for your assistance in recent efforts to promote
appropriate national consistency.  Please continue to contact my
staff as early as possible in the response selection process as
relevant issues arise.
Attachment
cc:  Larry Reed, OERR
     Elaine Davies, OERR
     OERR Regional Accelerated Response. Center Directors
     David Evans,  OERR
     Suzanne Wells, OERR
     OERR Senior Process Managers
     Jim Woolford, FFRRO
     Liz Cotsworth, OSW
     Barry Breen,  OSRE
     Craig Hooks,  FFEO

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