989905
THIRD FIVE-YEAR REVIEW REPORT FOR
LENZ OIL SERVICE, INC. SUPERFUND SITE
DUPAGE COUNTY, ILLINOIS
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Prepared by
U.S. Environmental Protection Agency
Region 5
Chicago, Illinois
4/16/2024
X Douglas Ballotti
Douglas Ballotti, Director
Superfund & Emergency Management Division
Signed by: DOUGLAS BALLOTTI
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Table of Contents
LIST OF ABBREVIATIONS & ACRONYMS
2
I. INTRODUCTION 3
FIVE-YEAR REVIEW SUMMARY FORM 4
II. RESPONSE ACTION SUMMARY 5
Basis for Taking Action 5
Response Actions 6
Status of Implementation 8
Institutional Controls 11
Systems Operations/Operation & Maintenance 12
III. PROGRESS SINCE THE LAST REVIEW 12
IV. FIVE-YEAR REVIEW PROCESS 15
Community Notification, Involvement & Site Interviews 15
Data Review 15
Site Inspection 18
V. TECHNICAL ASSESSMENT 18
QUESTION A: Is the remedy functioning as intended by the decision documents? 18
QUESTION B: Are the exposure assumptions, toxicity data, cleanup levels, and remedial action
objectives (RAOs) used at the time of the remedy selection still valid? 19
QUESTION C: Has any other information come to light that could call into question the
protectiveness of the remedy? 19
VI. ISSUES/RECOMMENDATIONS 20
VII. PROTECTIVENESS STATEMENT 21
VIII. NEXT REVIEW 22
APPENDIX A - REFERENCE LIST 23
Figures and Tables
Table 1 Summary of Planned and/or Implemented ICs
Table 2 Protectiveness Determinations/Statements from the 2019 FYR
Table 3 Status of Recommendations from the 2019 FYR
Attachments
Attachment 1 Lenz Oil Site Maps
Attachment 2 Copies of Environmental Covenants
Attachments Newspaper Ad
Attachment 4 Table 3.1 from the Long-term Monitoring and Sampling Plan
Attachment 5 Groundwater and LNAPL Level Monitoring Data
Attachment 6 Groundwater Sample Analytical Data
Attachment 7 Groundwater Hydrograph Charts
Attachment 8 Site Inspection Checklist
Attachment 9 Groundwater Cleanup Standards
Attachment 10 Concentrations of organic and inorganic contaminants in LNAPL, groundwater, and soil
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LIST OF ABBREVIATIONS & ACRONYMS
AOC Administrative Order on Consent
CD Consent Decree
CERCLA Comprehensive Environmental Response, Compensation, and Liability Act
CFR Code of Federal Regulations
DCC Dynamic Closed Chamber
ECs Environmental Covenants
EPA United States Environmental Protection Agency
ESD Explanation of Significant Differences
FS Feasibility Study
FYR Five-Year Review
gpm gallons per minute
IC Institutional Control
Illinois EPA Illinois Environmental Protection Agency
LNAPL Light Non-aqueous Phase Liquid
LTTD Low Temperature Thermal Desorption
MNA Monitored Natural Attenuation
Hg/L Micrograms Per Liter
NCP National Oil and Hazardous Substances Pollution Contingency Plan
NPL National Priorities List
NSZD Natural Source Zone Depletion
OU Operable Unit
O&M Operation and Maintenance
PAHs Polynuclear Aromatic Hydrocarbons
PCBs Polychlorinated Biphenyls
PCE Tetrachloroethene
PDDC Pre-Design Data Collection
ppb Parts Per Billion
PRP Potentially Responsible Party
QAPP Quality Assurance Project Plan
RA Remedial Action
RAO Remedial Action Objective
RCRA Resource Conservation and Recovery Act
RD Remedial Design
Rl Remedial Investigation
ROD Record of Decision
Site Lenz Oil Service, Inc. Superfund Site
S/S Solidification/Stabilization
SVOCs Semi-Volatile Organic Compounds
TCE Trichloroethene
TCL Target Compound List
UU/UE Unlimited Use/Unrestricted Exposure
VER Vacuum Enhanced Recovery
VOCs Volatile Organic Compounds
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I. INTRODUCTION
The purpose of a Five-Year Review (FYR) is to evaluate the implementation and performance of a
remedy in order to determine whether the remedy is and will continue to be protective of human
health and the environment. The methods, findings, and conclusions of reviews are documented in FYR
reports such as this one. In addition, FYR reports identify issues found during the review, if any, and
document recommendations to address them.
The United States Environmental Protection Agency (EPA) is preparing this FYR pursuant to the
Comprehensive Environmental Response, Compensation, and Liability Act (CERCLA) Section 121,
consistent with the National Oil and Hazardous Substances Pollution Contingency Plan (NCP)(40 CFR
Section 300.430(f)(4)(ii)), and considering the EPA policy.
This is the third FYR for the Lenz Oil Service, Inc. Superfund Site (Site). The triggering action for this
statutory review is the completion date of the previous FYR on April 18, 2019. The FYR has been
prepared due to the fact that hazardous substances, pollutants, or contaminants remain at the Site
above levels that allow for unlimited use and unrestricted exposure (UU/UE).
The Site consists of one operable unit (OU), which will be addressed in this FYR. The OU1 Site remedy
was separated into two phases and addresses the following: 1) Phase I: Light Non-aqueous Phase
Liquid (LNAPL) remedy and 2) Phase II: Groundwater remedy.
The Lenz Oil Service, Inc. FYR was led by Scott Hansen, the EPA Remedial Project Manager for the Site.
Participants included Nicole Wilson, State Project Manager with the Illinois Environmental Protection
Agency (Illinois EPA). Illinois EPA and the Potentially Responsible Parties (PRPs) were notified in writing
of the initiation of the FYR. The review began on 4/18/2023.
Site Background
The Site is located in an unincorporated area of southeast DuPage County, Illinois, two miles northeast
of the Village of Lemont, Illinois. The Site consists of the Lenz Oil property and contiguous property
which has contamination originating from the Lenz Oil property. The Lenz Oil property is bounded by
Jeans Road on the south, by Route 83 on the west, by open land on the east, and by the Atchison,
Topeka, and Santa Fe Railroad tracks on the north (currently Burlington Northern & Santa Fe Railway
tracks) (see Figure 2.1 in Attachment 1). The Lenz Oil property portion of the Site is currently a grassy
area containing a radio tower, a number of monitoring wells and piezometers, a fire hydrant, two
utility manways, and the building that contains the Vacuum Enhanced Recovery (VER) remedy system.
The portion of the Site beyond the Lenz Oil property to the south of Jeans Road contains a residence
along with several storage structures and an operating landscaping business. Most of the Site is located
within the 100-year flood plain 500 feet from the Des Plaines River.
The portion of the Site consisting of the Lenz Oil property is zoned as light industrial, has no present
use contrary to the zoned use, and therefore has an anticipated future use consistent with light
industrial zoning. The remaining portion of the Site consisting of the property to the south of Jeans
Road is also zoned as light industrial; however, as mentioned above, a residence (currently
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unoccupied) and a landscaping business exist on the property, and future property owners may
continue using the area for a business and/or residence. All current businesses and property owners
near the Site are connected to a public water supply (no private wells).
The Lenz Oil property operated a waste oil recycling and transfer facility at the Site from 1961 to 1985.
In July 1981, Illinois EPA issued a "developmental" permit for Lenz Oil to operate as a waste
management facility. In 1982, EPA cited the facility for operating as a Resource Conservation and
Recovery Act (RCRA) hazardous waste facility without having an interim status permit. Although the
facility owner then submitted an application for the required RCRA permit, the facility owner withdrew
the permit application in November 1984, saying that the facility no longer handled hazardous waste.
Past operations at the Lenz Oil property led to the release of contaminated oil and solvents to property
soils, which then resulted in the presence of dissolved and non-dissolved oil and solvent contamination
in the shallow aquifer beneath the Site. On October 4, 1989, EPA finalized the Site's listing on the
National Priorities List (NPL).
FIVE-YEAR REVIEW SUMMARY FORM
SITE IDENTIFICATION
Site Name: Lenz Oil Service, Inc.
EPA ID: ILD005451711
Region: 5
State:IL
City/County: Lemont/DuPage County
NPL Status: Final
Multiple OUs?
No
Has the site achieved construction completion?
Yes
Lead agency: EPA
[If "Other Federal Agency", enter Agency name]:
Author name (Federal or State Project Manager): Scott Hansen
Author affiliation: EPA
Review period: 4/18/2023 - 11/15/2023
Date of site inspection: 10/17/2023
Type of review: Statutory
Review number: 3
Triggering action date: 4/18/2019
Due date (five years after triggering action date): 4/18/2024
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II. RESPONSE ACTION SUMMARY
Basis for Taking Action
In November 1989, some of the PRPs for the Site signed an Administrative Order on Consent (AOC)
with EPA and Illinois EPA. Under the AOC, the PRPs agreed to conduct a remedial
investigation/feasibility study (RI/FS), (ERM, 1996), under the joint oversight of EPA and Illinois EPA, to
determine the nature and extent of remaining Site contamination. Investigations and analytical results
from sampling during the Rl and subsequent field activities revealed the presence of several potential
contaminants of concern on Site in both the three soil contaminant areas (main excavation area,
surface impoundment excavation area, and drainage ditch) and the groundwater plume downgradient
from the soil contaminant areas (ERM, 1992). Contaminants found around the Site included heavy
metals, volatile organic compounds (VOCs), semi-volatile organic compounds (SVOCs), polynuclear
aromatic hydrocarbons (PAHs), and polychlorinated biphenyls (PCBs).
Contaminants of Concern
Results of sampling and investigation during the Rl and subsequent field activities revealed the
presence of a number of contaminants of concern both on- and off-Site. Contaminants found in the
area of the Site included heavy metals, volatile organic compounds (VOCs), semi-volatile organic
compounds (SVOCs), polynuclear aromatic hydrocarbons (PAHs), and polychlorinated biphenyls (PCBs).
The media affected by the Site's contamination include LNAPL, groundwater, and soil. Since a
significant number of chemical contaminants were detected at the Site, a subset of these were
identified as the contaminants of concern. The following is a list of the contaminants of concern and
the media affected:
trichloroethene (TCE) - LNAPL, groundwater, and soil
tetrachloroethene (PCE) - LNAPL, groundwater, and soil
chloroform - LNAPL and groundwater
vinyl chloride - groundwater
benzene - LNAPL, groundwater, and soil
1,1-dichloroethene - LNAPL and groundwater
1,2-dichloroethene - LNAPL, groundwater, and soil
PCB isomers - LNAPL, groundwater, and soil
carcinogenic PAHs - LNAPL, groundwater, and soil
pesticides - LNAPL and groundwater
See Attachment 10 for concentrations of organic and inorganic contaminants found in LNAPL,
groundwater, and soil.
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Risk Characterization
An EPA consultant completed the baseline risk assessment for the Site in August 1992 (PRC, 1992). The
risk assessment characterized the potential risks to human health and the environment caused by
chemicals of potential concern at the Site.
Risk assessment results indicated that adjacent current and future residents or on-Site workers or
trespassers may be exposed to potential chemicals of concern by touching or ingesting the LNAPL or
LNAPL-contaminated soil or groundwater, or by breathing in particles or vapors from the LNAPL or
LNAPL-contaminated soil or groundwater. Further, results indicated that carcinogenic and
noncarcinogenic health risks could exist for current and/or future residents by ingesting Site-related
contaminated groundwater, or carcinogenic health risks could exist by inhaling Site-related
contamination if no response actions were taken. Therefore, for these reasons, remedial actions were
needed and taken at the Site.
Response Actions
Past Response Actions
After a Site inspection visit early in 1985, Illinois EPA and Lenz Oil entered into an agreed order on May
22, 1985, in which Lenz Oil agreed to prepare and implement a cleanup and closure plan for the Site.
Lenz Oil failed to carry out major portions of the court order and, in April 1986, filed for bankruptcy.
Illinois EPA investigation activities of the Lenz Oil property were initiated in November 1985 and found
the items listed below at the Site.
Three unlined concrete underground storage tanks (30,000 to 80,000-gallon tanks);
Nine tank trucks with a total capacity of over 30,000 gallons;
Fourteen low- to moderate-capacity above-ground or partially buried steel tanks;
Six low-capacity underground steel tanks;
A drum storage area containing approximately 200 drums; and
Three surface impoundments constructed of porous cinder-type material.
In addition, oil and solvent waste contaminated the soil and the aquifer. On January 17, 1986, Illinois
EPA filed a State Record of Decision (ROD) for an immediate removal action at the Site. Illinois EPA
initiated cleanup of the Lenz Oil property and by mid-1988 had incinerated all drum, tank, and tank
truck contents; shredded and incinerated all on-property containers; emptied and decontaminated all
tank trucks on the property; and demolished and removed all buildings, above-ground structures, and
below-ground structures from the property, with the exception of monitoring well G105. Illinois EPA
excavated and incinerated about 21,000 tons of contaminated soil. In addition, the Illinois EPA cleanup
included filling the on-property surface impoundment areas and providing nearby residences with
municipal water hook-ups.
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Unique within the main excavation area is the area immediately surrounding monitoring well G105.
Monitoring well G105 was installed to obtain LNAPL groundwater samples prior to the Illinois EPA soil
removal action, and contaminant-containing soils immediately surrounding G105 remained
undisturbed during the main excavation area contaminated soil removal action. To prevent the
comingling of uncontaminated backfill in the main excavation area with the contaminated soil
immediately surrounding G105, a layer of visqueen, a plastic lining meeting specified criteria, was
installed between the contaminated soils surrounding the well and the uncontaminated soils.
Record of Decision (ROD)
On September 30, 1999, EPA signed a ROD (EPA, 1999). The ROD separated the Site remedy into two
phases: 1) Phase I: LNAPL remedy and 2) Phase II: Groundwater remedy.
Phase I of the ROD required the following:
Treatability studies to ensure that Solidification/Stabilization (S/S) adequately immobilizes the
contaminants;
Excavation of the LNAPL contaminated material;
Treatment of the LNAPL contaminated material via S/S;
Disposal of solidified/stabilized material in a Corrective Action Management Unit;
Institutional controls (ICs) and deed restrictions, as necessary; and
Site fencing and long-term operation and maintenance (O&M).
However, the ROD also required that the PRPs study two contingent remedies during Pre-Design Data
Collection (PDDC) activities to determine if either of the two alternatives, Vacuum Enhanced Recovery
(VER) and in-situ Low Temperature Thermal Desorption (LTTD), would be as protective as the selected
Phase I remedy. As part of the pre-design work, a technical review on the suitability of in-situ LTTD was
conducted and it was determined that this technology is not suitable for application at the Site.
Therefore, pre-design pilot tests were only conducted on the VER alternative.
The VER approach involved:
Pumping the LNAPL using dual-phase extraction wells;
Application of a vacuum to increase the recovery rate of the LNAPL;
Capture and treatment of volatilizing compounds; and
Potential use of air injection wells to further enhance the process.
Based on the results of the PDDC activities that were conducted from 2003 to 2006 (see Status of
Implementation Section below for details), on April 10, 2007, EPA issued an Explanation of Significant
Differences (ESD) to change the Phase I remedy from Alternative 9A (Excavation and Treatment via
Solidification/Stabilization) to the ROD-selected contingent Alternative 10 (VER) (EPA, 2007).
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For the Phase II cleanup, the ROD recommended implementing a pump-and-treat system for
contaminants that remained in the aquifer, if necessary, after Phase I was implemented. Following
completion of Phase I and before constructing and implementing Phase II, where EPA would determine
that contaminant migration is not a significant concern, the ROD recommended conducting aquifer and
other relevant monitoring studies and evaluating alternatives, including but not limited to studies of
whether dissolved contaminants will naturally attenuate. The Phase II predesign studies are to
evaluate each alternative's ability to achieve aquifer cleanup standards based upon the site conditions
after Phase I. The ROD further required that to determine whether something other than a full active
pump-and-treat approach to dissolved contamination in the aquifer will be acceptable, it is necessary
to monitor the aquifer and conduct related sampling in the area of the site for at least one year
following the completion of Phase I cleanup.
Remedial Action Objectives (RAOs)
The RAOs included in the ROD are as follows:
Prevent exposure to LNAPL and LNAPL-contaminated groundwater, above acceptable risk
levels;
Prevent or minimize further migration of the LNAPL contaminant plume;
Extract or treat the LNAPL plume in the aquifer;
Prevent or minimize further migration of LNAPL contaminants to groundwater; and
Achieve Maximum Contaminant Levels per the Safe Drinking Water Acct, and the State
standards pursuant to IAC Title 35, Chapter I, Part 620 throughout the plume in a
reasonable amount of time (see the Project Action Limits column in Attachment 9).
Status of Implementation
A Consent Decree (CD) was negotiated among a group of PRPs, EPA, and Illinois EPA. The CD required
members of the Lenz Oil Remedial Design/Remedial Action (RD/RA) work group to implement the
RD/RA at the Site. The CD was entered by the Court on August 14, 2002 (EPA, 2002).
As part of the PDDC work plan, the PRPs' contractor conducted a technical review on the suitability of
in-situ LTTD and determined that this technology was not suitable for application at the Site. EPA
accepted this determination.
Based on the results of the PDDC activities conducted from September 2003 through February 2004,
the Lenz Oil RD/RA Group recommended selecting Alternative 10 (VER) as the final Phase I remedy for
the Site. EPA requested additional PDDC work to evaluate the recommendation. From August 2005
through February 2006, the supplemental PDDC work was conducted at the Site. Information obtained
during the additional PDDC studies showed that the Site conditions differed from the conditions
described at the time the ROD. The major differences included:
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The depth of the bedrock surface was shallower than shown in pre-ROD studies, which
indicated that the quantity of the LNAPL-affected bedrock is greater than referenced in the
pre-ROD studies;
The amount of LNAPL may be significantly less than originally estimated in the ROD; and
The LNAPL layer is located within the fractures/bedding planes of competent hard bedrock,
rather than in the weathered bedrock and overburden soil as indicated in the ROD.
Based on the PDDC work results, and as noted above, in 2007 EPA issued an ESD modifying the remedy
to the ROD-selected contingent Alternative 10 of VER. EPA approved the Final Remedial Design in April
2008 (CRA, 2008). On June 2, 2008, the PRPs submitted the Phase I RA Work Plan and EPA approved it
on January 7, 2009 (CRA, 2009), and provided authorization to proceed with construction of the Phase I
RA.
On-Site remedial activities began in March 2009. The work completed during the Lenz Oil Phase I RA
generally consisted of: demolition and removal of dilapidated buildings within the work area;
construction or installation of the containment wall around the LNAPL plume; a groundwater and
LNAPL collection/recovery system; a groundwater treatment system; a vapor extraction and air
injection system; a treatment building and a network of groundwater/LNAPL and vapor monitoring
points; and asphalt and vegetation surface restoration (see Figure 2.2, Attachment 1).
In September 2009, with the signing of the Preliminary Close-Out Report, the EPA determined that the
Site achieved construction completion status (EPA, 2009). EPA and Illinois EPA determined that all RA
construction activities were performed according to specifications. EPA approved the Final Phase I RA
Construction Completion Report in November 2010 (CRA, 2010).
The Phase 1 Remedy (full-scale VER system) operated nearly continuously, with the exception of
scheduled shutdown cycles, from 2010 to 2016 to capture and remove LNAPL. During this time:
Approximately 100 million gallons of groundwater were extracted;
Approximately 1,800 gallons of LNAPL (liquid, vapor, and dissolved phases combined) were
recovered;
The overall average LNAPL recovery rate was approximately 1 gallon per day; and
Asymptotic conditions of the LNAPL recovery rates were achieved during system operation.
EPA approved the Phase I Remedial Action Completion Report on August 2, 2018 (GHD, 2018).
The ROD-recommended Phase II remedy is a groundwater pump-and-treat system. However, to assess
the effect that Phase I cleanup had on groundwater, the ROD also required at least one year of post-
Phase I groundwater monitoring to be conducted before implementing Phase II. Pursuant to the ROD,
EPA was to use the results from this monitoring period, in consultation with Illinois EPA, to determine if
an alternate Phase II remedy will achieve federal and state drinking water requirements within a
reasonable time period. If EPA were to select a Phase II alternate remedy, it would publish the decision
in either a ROD Amendment or ESD and present the Phase II decision to the community.
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Post-Phase I groundwater monitoring was completed in October 2019 and April 2020. The results of
this post-Phase I monitoring were documented in the Post-Phase I Remedial Action Groundwater
Monitoring and Sampling Report (GHD, 2020). Based on the monitoring and sampling results, the PRPs'
report recommended long-term monitoring, without a groundwater pump-and-treat system, as the
Phase II RA. Additional groundwater monitoring and sampling for the Site were conducted in July and
September 2020. Post-Phase I results and evaluations are included in the:
Phase I Remedial Action Completion Report (GHD; July 2, 2018);
Post-Phase I Remedial Action Groundwater Monitoring and Sampling Report (GHD; June 22,
2020); and
Groundwater Monitoring and Sampling Report - July - December 2020 (GHD; February 26,
2021).
On September 1, 2021, EPA, in consultation with Illinois EPA, informed the PRPs that a Phase II pre-
design study is required before a decision is made on the Phase II remedy. On May 17, 2022, the PRPs'
contractor (GHD) submitted a proposed Phase II Pre-Design Study Work Plan. The work to be
conducted pursuant to the work plan is to further characterize the post-Phase I RA Site conditions to
assist in the selection of the appropriate Phase II remedy. The intent of this proposed work is to gather
data that provide a technically sound basis for selection of the Phase II remedy based on Site-specific
conditions.
In the Phase II Pre-Design Study Work Plan, GHD proposed the following approach for obtaining site-
specific data to provide multiple lines of evidence supporting natural source zone depletion (NSZD) and
monitored natural attenuation (MNA) for the Phase II remedy.
Groundwater sampling - The objective of this sampling is to collect groundwater samples from
within the containment wall and downgradient for laboratory analysis of VOCs and natural
attenuation parameters.
Microcosm study-The objective of this study is to gather data necessary to confirm that
natural attenuation of dissolved contaminants is occurring and determine whether it is
occurring through aerobic or anaerobic conditions, or both. The microcosm study would
provide evidence to demonstrate that degradation of site contaminants is occurring at rates
sufficient to be protective of human health and the environment.
LNAPL investigation (carbon dioxide flux) - The objective of this investigation is to conduct a
site-specific NSZD evaluation and assess whether LNAPL is naturally biodegrading, and, if so,
estimate rates at which it is occurring. LNAPL degradation can be estimated by measuring the
near ground surface carbon dioxide flux.
LNAPL investigation (microbial DNA) - The objective of this investigation is to confirm whether
microbial populations that degrade LNAPL are present at the site utilizing microbial DNA
testing.
LNAPL investigation (subsurface temperature profiles) - The objective of this investigation is to
conduct a site-specific NSZD evaluation and estimate rates at which LNAPL degradation is
occurring by measuring subsurface temperature profiles.
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The data collected during the above studies will be evaluated and documented in a Phase II pre-design
study report. The findings of these studies and data evaluations will provide the Agencies (both EPA
and Illinois EPA) further technical support for the selection of a Phase II remedy. As requested by EPA,
previous site data would be compiled in this report so that there is just a single document to review
and form the basis for EPA decision making.
On June 21, 2022, EPA informed GHD that due to the age of the original Quality Assurance Project Plan
(CRA, 2008), EPA would need a new/updated Quality Assurance Project Plan (QAPP). Any groundwater
monitoring and sampling would be discontinued until the new QAPP was approved.
On July 28, 2022, GHD submitted for review an updated QAPP for the additional work to be conducted
for the Phase II Pre-Design Study Work Plan. This QAPP was approved by EPA in January 2024.
Groundwater sampling also is slated to resume later in 2024.
Institutional Controls
ICs are non-engineered instruments, such as administrative and legal controls, that help to minimize
the potential for exposure to contamination and that protect the integrity of the remedy. ICs are
required to assure long-term protectiveness for any areas which do not allow for UU/UE.
The ICs currently in place for the Site are listed in Table 1 below. Maps showing the area in which the
ICs apply are included in the Environmental Covenants found in Attachment 2 (see pages 11, 15,16, 18,
19, 47, and 49 of 62).
Table 1: Summary of Planned and/or Implementec
ICs
Media, engineered
controls, and areas
that do not support
UU/UE based on
current conditions
ICs
Needed
ICs Called
for in the
Decision
Documents
Impacted
Parcel(s)
IC
Objectives
Title of IC
Instrument
Implemented
and Date (or
planned)
Contaminated
groundwater
underlying the Site
Yes
Yes
See
Attachment
2
Prohibits use of
groundwater
underlying the
Site
Environmental
Covenants (ECs)
filed with
DuPage County
on February 14,
2014, and
March 17, 2014
Site and RA
components such as
VER system and
monitoring wells
Yes
Yes
See
Attachment
2
Prohibits use of
land comprising
the Site that
would interfere
with remedy
components
ECs filed with
DuPage County
on February 14,
2014, and
March 17, 2014
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Status of Access Restrictions and ICs
Fencing is in place as an access restriction for the Site and ICs in the form of ECs have been recorded
with DuPage County for the affected properties at the Site.
Current compliance
Based on the October 17, 2023, Site inspection and interview with GHD, EPA finds there is no evidence
of a breach in the containment wall, and that the existing uses at the Site are consistent with the
objectives of the land use restrictions. Also, there is no evidence of groundwater uses at the Site which
are inconsistent with the IC objectives.
Long-Term Stewardship
Long-term protectiveness at the Site requires continued compliance with use restrictions to assure the
remedy continues to function as intended. The original O&M Plan (CRA, 2008) was approved in 2008.
Pursuant to the O&M Plan, it includes procedures to ensure long-term IC stewardship, including
regular inspections of the engineering controls and access controls at the Site, reviews of the ICs, and
semi-annual reports with results of the inspection and review and certification to the EPA that ICs
remain in-place and are effective.
Systems Operations/Operation & Maintenance
Pursuant to the 2008 O&M Plan, during the VER system operation, effluent from the treatment system
was monitored monthly. Inspections of the physical plant are also carried out during those monitoring
events.
In addition, groundwater monitoring was performed pursuant to the details outlined in the O&M Plan
to ensure capture and removal of LNAPL is occurring and that chemical levels in the groundwater are
stable or decreasing. Analyses being performed include the contaminants of concern listed in the ROD
and CD and those parameters required under the NPDES discharge requirements issued by Illinois EPA.
As coordinated with EPA, the VER system was shut down on a temporary basis in March 2016 while
EPA considers the implementation of the next phase (Phase II) of the RA.
A new long-term monitoring plan (New O&M Plan) will be developed and implemented after the Phase
II remedy is chosen. The new plan will allow for the implementation of alternative response actions
should monitoring results show that Site conditions have significantly changed.
Post-Phase I RA Groundwater Monitoring
Post-Phase I monitoring and sampling was conducted by the PRPs in October 2019, and April, July, and
September 2020 in accordance with the original QAPP and recommendations included in the Post-
Phase I Remedial Action Groundwater Monitoring and Sampling Report (GHD, 2020). The objectives of
the groundwater monitoring at the Site included:
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To monitor flow direction and hydraulic gradient through the measurement and assessment of
groundwater levels;
To monitor groundwater quality through collection and chemical analysis of groundwater
samples from monitoring wells to assess Site conditions; and
To assess compliance with groundwater standards for the Site (Class I, Potable Resource
Groundwater, Title 35, Illinois Administrative Code Section 620.410).
The groundwater monitoring and sampling scope of work is summarized in Table 3.1 of Attachment 4
and the monitoring/sampling layout is shown on Figure 3.1 in Attachment 1. As mentioned above (in
the Status of Implementation Section), on June 21, 2022, EPA informed GHD that due to the age of the
original QAPP (CRA, 2008), EPA would need a new/updated QAPP. Any groundwater monitoring and
sampling was discontinued until the new QAPP is approved. The new QAPP was approved by EPA in
January 2024. Groundwater sampling is slated to resume later in 2024.
III. PROGRESS SINCE THE LAST REVIEW
This section includes the protectiveness determinations and statements from the last FYR as well as
the recommendations from the last FYR and the current status of those recommendations.
Table 2: Protectiveness Determinations/Statements from the 2019 FYR
ou#
Protectiveness
Determination
Protectiveness Statement
OU1 &
Sitewide
Short-term Protective
The remedy for the Lenz Oil Services, Inc. Superfund site
currently protects human health and the environment
because there are no current exposure pathways and the
remedy appears to be functioning as designed. The VER
system and the connection of nearby residents to the
public water supply eliminate the source of
contamination and have achieved all but one remedial
action objective. In addition, ICs, in the form of
environmental covenants, have been implemented to
protect the remedy components, and to protect against
improper use of land and groundwater resources. Based
on the 2005 vapor intrusion investigation for the one
residence located on the Site, the indoor air levels do not
pose a risk to human health. Compliance with effective
ICs is ensured through long-term stewardship. However,
in order for the remedy to be protective in the long term,
the following actions need to be taken to ensure
protectiveness: conduct semi-annual groundwater and
LNAPL level monitoring and develop a remedy evaluation
report; and review PRPs remedy evaluation and assess
options for the Phase II remedy.
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Table 3: Status of Recommendations from the 2019 FYR
Current
Current
Completion
ou#
Issue
Recommendations
Status
Implementation
Date (if
Status Description
applicable)
1/
The Site
Conduct semi-
Addressed
The PRPs will be
Sitewide
conditions
annual
in Next
conducting
following
Groundwater and
FYR
additional studies
Phase 1 have
LNAPL monitoring
in 2024 per the
not been
and develop a
Phase II Pre-Design
characterized.
remedy evaluation
Study Work Plan as
report.
well as resuming
groundwater
monitoring. The
results will be
presented in a
Phase II Remedy
Studies Report to
be provided to the
Agencies for
review (see Status
of Implementation
section).
1/
The VER
Review PRPs
Addressed
LNAPL was
Sitewide
system
remedy evaluation
in Next
monitored in 2019
pumped out
to determine if
FYR
and 2020. Results
LNAPL as
LNAPL is migrating
show that as of
designed but
and assess options
September 2020,
the remaining
for a Phase II
groundwater
LNAPL may be
remedy, as
affected by
migrating
needed.
residual LNAPL had
beyond the
not migrated
containment
beyond the pre-
wall.
Phase 1 plume
boundaries or to
the Des Plaines
River. Even though
groundwater
monitoring was not
performed
pursuant to the
O&M Plan from
2021-2023, the
Site conditions
have not likely
changed due to the
14
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containment wall
controlling
migration of
contaminated
groundwater
beyond the plume
area (see Data
Review). As stated
earlier,
groundwater
monitoring will
resume in 2024
under the
approved new
QAPP. Monitoring
of LNAPL will
continue and
results included in
the Phase II
Remedy Studies
report. EPA and
Illinois EPA will
review the studies
report with the
PRPs' remedy
evaluation to
determine if LNAPL
is migrating and
will assess options
for a Phase II
remedy, as
needed.
IV. FIVE-YEAR REVIEW PROCESS
Community Notification. Involvement & Site Interviews
A public notice was made available by newspaper posting in the Daily Herald on February 8-9, 2024,
stating that there was a FYR and inviting the public to submit any comments to EPA (Attachment 3). No
public comments were received. The results of the review and the report will be made available at:
http://www.epa.gov/superfund/lenz-oil. EPA will also place a public notice in the newspaper regarding
the completion of the FYR after the report is issued.
15
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Data Review
Groundwater monitoring has been occurring at this Site since February 2010. As part of this FYR, EPA
reviewed comprehensive Site reports including all the monitoring results from 2019 and 2020 and
other Post-Phase I reports. As mentioned above, on June 21, 2022, EPA informed GHD that due to the
age of the original Quality Assurance Project Plan (CRA, 2008), EPA would need a new/updated QAPP.
Any groundwater monitoring and sampling was discontinued until the new QAPP was approved.
Therefore, the groundwater monitoring was not performed pursuant to the O&M Plan from 2021 -
2023. An updated QAPP has been submitted and was approved by EPA in January 2024 with
groundwater sampling slated to resume later in 2024. Groundwater level monitoring data are
summarized in Table 3.2 of Attachment 5. Groundwater sample analytical data are summarized in
Table 3.3 of Attachment 6.
Groundwater Level Monitoring
In July 2020, groundwater levels were measured at selected locations of the Site located downgradient
of the LNAPL area. In September 2020, groundwater levels were measured in all groundwater
monitoring wells, LNAPL monitoring points, and VER sumps at the Site, with the exception of three
locations (MW-17, P-15, and LMP-11) that were inaccessible. The groundwater elevation data are
summarized in Table 3.2 of Attachment 5. Groundwater levels are shown on the hydrograph charts
provided in Attachment 7.
Groundwater elevation contours were determined based on the September 2020 measurement data.
The groundwater contours during September 2020 are shown on Figure 3.2 in Attachment 1 and
represent non-pumping conditions following VER system shutdown.
The groundwater flow direction across the Site is consistently toward the south/southeast and Des
Plaines River, at an approximate gradient of 0.007 feet per feet.
LNAPL Level Monitoring
In September 2020, LNAPL thicknesses were measured in the groundwater monitoring wells, LNAPL
monitoring points, and VER sumps at the Site. The LNAPL monitoring data are summarized in Table 3.2
of Attachment 5. LNAPL thicknesses are shown on the hydrograph charts provided in Attachment 7.
During the reduced scope monitoring event in July 2020, LNAPL was not present in any of the
monitoring well locations downgradient of the LNAPL area. During the full scope monitoring event in
September 2020, LNAPL was present in 12 monitoring locations (MW-12R, P-01, P-14, P-19R, P-21R, P-
34R, LMP-3, LMP-4, LMP-9, LMP-10, LMP-13, and LMP-14). All of these wells are located within the
historical LNAPL area. LNAPL thickness and extent, obtained from the September 2020 event, are
shown on Figure 3.3 of Attachment 1.
The LNAPL appeared to be predominantly stable throughout the majority of the plume area at the Site
at the time of the sampling events in 2019 and 2020. LNAPL was not present downgradient of the
16
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containment wall surrounding the LNAPL area during either the July or September 2020 sampling
events.
Groundwater Sampling
A groundwater sampling event was conducted in September 2020. Groundwater samples were
collected from 13 monitoring wells during this event. All samples were analyzed for target compound
list volatile organic compounds (TCL VOCs) and target analyte list metals. The following sections discuss
the groundwater sample analytical data. The analytical data were compared to the groundwater
quality standards for Class I potable resource groundwater (Title 35 of the Illinois Administrative Code
Section 620.410).
VOCs Analytical Data
A total of eight VOCs were detected during the September 2020 sampling event. VOCs
concentrations were relatively low and less than the respective Class I standards, as
summarized in Table 3.3 of Attachment 6. These results indicate that VOC concentrations meet
the criteria for groundwater outside of the LNAPL area and containment wall, except for vinyl
chloride. Vinyl chloride was detected above the Class I potable resource groundwater standard
(2.0 micrograms per liter (|_ig/L)) in wells G102D and G102L at concentrations of 5.2 |ag/L and
6.3 |-ig/L, respectively. All results above Class I potable resource groundwater standards are
shown on Figure 3.4 of Attachment 1. These results are consistent with pre- and post-Phase I
conditions and indicate that the dissolved plume is stable and not migrating. However, no one
will be exposed to the groundwater since nearby residents are connected to the public water
supply.
Metals Analytical Data
A total of sixteen metals were detected during the September 2020 sampling event. Only six
metals (arsenic, chromium, iron, manganese, nickel, and thallium) were detected at
concentrations exceeding the respective Class I standards, as summarized in Table 3.3 of
Attachment 6. All results above Class I potable resource groundwater standards are shown on
Figure 3.4 of Attachment 1. These results are consistent with pre- and post-Phase I conditions
and indicate that the plume is stable and not migrating. However, no one will be exposed to the
groundwater since nearby residents are connected to the public water supply.
Summary of Data
The July and September 2020 monitoring results are consistent with pre- and post-Phase I conditions
and indicate that the plume is stable. The presence of residual LNAPL has not resulted in any increase
in the dissolve-phase TCL VOC concentrations from the well network sampled across the Site at the
time of 2020 monitoring events. Dissolved TCL VOCs are not present at concentrations exceeding Class
I groundwater standards downgradient of the LNAPL area and containment wall, except for vinyl
chloride, at the time of the 2020 monitoring as well. As of September 2020, groundwater affected by
residual LNAPL had not migrated beyond the pre-Phase I plume boundaries or to the Des Plaines River.
Even though groundwater monitoring was not performed pursuant to the O&M Plan from 2021 -
17
-------
2023, the Site conditions have not likely changed due to the containment wall controlling migration of
contaminated groundwater beyond the plume area.
Next Steps
As mentioned above, Phase II Pre-Design Studies will be conducted pursuant to the work plan
submitted by the PRPs in May 2022 and will further characterize post-Phase I RA Site conditions to
assist in the selection of the Phase II remedy.
This proposed work plan presents a phased approach for conducting some or all of the following tasks:
Groundwater sampling;
Microcosm study;
LNAPL investigation (carbon dioxide flux);
LNAPL investigation (biogenic heat); and
LNAPL investigation (microbial DNA).
GHD has submitted for review an updated QAPP for the additional work to be conducted for the Phase
II Pre-Design Study Work Plan. As mentioned above, an updated QAPP was approved by EPA in January
2024. Groundwater sampling will resume in 2024.
Site Inspection
The inspection at the Site as part of this FYR was conducted on October 17, 2023. In attendance were
Scott Hansen, EPA; Nicole Wilson, Illinois EPA; two staff members from GHD consultants; and four
members of the Lenz Oil PRP group. The purpose of the inspection was to assess the protectiveness of
the remedy, including the presence of fencing to restrict access, the general conditions of the Site VER
system, and the integrity of the monitoring wells.
The participants walked the Site. Site access is available through a locked gate which encloses the Site
treatment building. The Site Inspection Checklist completed by EPA is included as Attachment 8.
The Site appeared to be in good condition (e.g., no holes, ruts, etc.) and well vegetated. However,
some areas around the fence were overgrown with smaller trees and bushes. Therefore, it is
recommended to clear out the overgrown areas around the fence and repair the fence, if necessary,
which is anticipated will be done later in 2024.
V. TECHNICAL ASSESSMENT
QUESTION A: Is the remedy functioning as intended by the decision documents? Yes.
Question A Summary:
18
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RA Performance: The Phase I remedy selected in the 1999 ROD and 2007 ESD has been
implemented. As coordinated with EPA, the VER system was shut down on a temporary basis in
March 2016 while EPA considers the implementation of the next phase (Phase II) of the
remedy. The VER system is still in place and can be turned back on if needed. The ROD required
assessment of the Site conditions following the Phase I remedy to determine the necessity of a
Phase II remedy. This has not yet been completed. The PRPs will be conducting a Phase II
predesign study at the Site in 2024. EPA and Illinois EPA will review the predesign study report
and assess options for a Phase II remedy. An updated QAPP was approved by EPA in January
2024 and groundwater sampling is slated to resume later in 2024.
System Operations/O&M: Groundwater monitoring has been performed by the PRPs pursuant
to the details outlined in the O&M Plan (CRA, 2008). No early indicators of potential remedy
failure were noted during the review. Maintenance activities have been consistent with
expectations, and groundwater monitoring results from the monitoring reports show that the
parameter results remain consistent or are decreasing. An updated O&M plan will need to be
submitted to the Agencies once the Phase II remedy is chosen.
Implementation of Institutional Controls and Other Measures: Access controls (e.g., fencing
and warning signs) are in place and effective. The 1999 ROD required ICs to prevent future
development of the Site that would interfere with the remedy assuring the integrity of the RA
and that would prevent exposure to site contaminants at unacceptable levels. Site access and
use is restricted with a security perimeter fence. ICs in the form of ECs for the Site property
which provide notice of the need to restrict development on the property and protect the
integrity of remedial components have been signed by all parties and have been recorded. The
ICs implement the ROD requirements for use restrictions. Regular inspections are provided for
in the O&M Plan and constitute long-term stewardship at the Site. Based on those inspections,
the ICs remain in-place and are effective.
QUESTION B: Are the exposure assumptions, toxicity data, cleanup levels, and remedial action
objectives (RAOs) used at the time of the remedy selection still valid? Yes.
Question B Summary:
Changes in Standards and To Be Considered: All standards outlined in the 1999 ROD and 2007
ESD are still valid at the Site.
Changes in Exposure Pathways: No changes in the Site conditions that affect exposure
pathways were currently identified as part of this FYR. In 2005, EPA requested an evaluation of
potential vapor intrusion into the basement of the one residence located on the Site. The
purpose of the evaluation was to determine whether the LNAPL contaminants had migrated
from the groundwater, through the soils and then into the indoor air of the closest residence, at
levels that may pose a risk to human health. Based on the 2005 vapor intrusion investigation for
the one residence located on the Site, the indoor air levels do not pose a risk to human health.
Also, since 2005, no one has been living at the residence (as confirmed during the last Site
inspection on October 17, 2023). In addition, based on the types of materials utilized at the
19
-------
Site, there is potential for emerging contaminants perfluoroalkyl and polyfluoroalkyl substances
(PFAS) and 1,4-dioxane to be present; therefore, a round of groundwater sampling is needed
and will be conducted to determine if PFAS and 1,4-dioxane are present at the Site. However,
because residents and businesses in the area are connected to the municipal water supply and
effective ICs are in place preventing use of the groundwater, it is not anticipated that emerging
contaminants, even if present and Site-related, will result in unacceptable exposures or impact
remedy protectiveness.
Changes in Risk Assessment Methodologies: No changes in risk assessment methodologies
were identified.
QUESTION C : Has any other information come to light that could call into question the protectiveness
of the remedy? No.
No other information has come to light that calls into question the protectiveness of the
remedy. In addition, there are currently no impacts from climate change or natural disasters.
VI. ISSUES/RECOMMENDATIONS
Issues/Recommendations
OU(s) without Issues/Recommendations Identified in the Five-Year Review:
None
Issues and Recommendations Identified in the Five-Year Review:
OU(s): OU1/
Sitewide
Issue Category: Monitoring
Issue: Emerging contaminants (1,4-dioxane and PFAS) may be present at
the Site.
Recommendation: Conduct a round of groundwater sampling for 1,4-
dioxane and PFAS to determine if they are present and Site-related.
Affect Current
Protectiveness
Affect Future
Protectiveness
Party
Responsible
Oversight Party
Milestone Date
No
Yes
PRP
EPA/State
12/31/2024
20
-------
OU(s): 0U1/
Sitewide
Issue Category: Operations and Maintenance
Issue: Smaller trees and bushes have overgrown around the fence.
Recommendation: Clear out the overgrown areas around the fence and
repair the fence, if necessary.
Affect Current
Protectiveness
Affect Future
Protectiveness
Party
Responsible
Oversight Party
Milestone Date
No
Yes
PRP
EPA/State
9/30/2024
OU(s): OU1/
Sitewide
Issue Category: Remedy Performance
Issue: The Site conditions following Phase 1 have not been fully
characterized.
Recommendation: Conduct additional groundwater and LNAPL studies to
further characterize post-Phase 1 remedy site conditions per the Phase II
Pre-Design Study Work Plan, resume groundwater monitoring, and
develop a Phase II Remedy Studies Report and submit it to the Agencies
for review.
Affect Current
Protectiveness
Affect Future
Protectiveness
Party
Responsible
Oversight Party
Milestone Date
No
Yes
PRP
EPA/State
12/31/2024
OU(s): OU1/
Sitewide
Issue Category: Remedy Performance
Issue: The ROD requires an assessment of the Site conditions following
the Phase 1 remedy to determine the necessity of a Phase II remedy.
Recommendation: Review the Phase II Remedy Studies Report and assess
options for a Phase II remedy.
Affect Current
Protectiveness
Affect Future
Protectiveness
Party
Responsible
Oversight Party
Milestone Date
No
Yes
PRP
EPA/State
6/30/2025
21
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OU(s): OU1/
Sitewide
Issue Category: Operations and Maintenance
Issue: An updated O&M plan is needed after the Phase II remedy is
selected.
Recommendation: Submit and implement the updated O&M plan.
Affect Current
Protectiveness
Affect Future
Protectiveness
Party
Responsible
Oversight Party
Milestone Date
No
Yes
PRP
EPA/State
9/30/2025
VII. PROTECTIVENESS STATEMENT
OU1 & Sitewide Protectiveness Statement
Protectiveness Determination:
Short-term Protective
Protectiveness Statement:
The remedy for the Lenz Oil Service, Inc. Superfund Site currently protects human health and
the environment because there are no current exposure pathways, and the remedy appears
to be functioning as designed. The previous operation of the VER system and the connection
of nearby residents to the public water supply have reduced the migration of LNAPL and
eliminated exposures to the source of contamination and have achieved all but one remedial
action objective. In addition, ICs, in the form of environmental covenants, have been
implemented to protect the remedy components, and to protect against improper use of
land and groundwater resources. Compliance with effective ICs is ensured through long-term
stewardship procedures taken at the Site. However, in order for the remedy to be protective
in the long term, the following actions need to be taken to ensure protectiveness: conduct a
round of groundwater sampling for 1,4-dioxane and PFAS to determine if they are present
and Site-related; clear out the overgrown areas around the fence and repair the fence, if
necessary; conduct additional groundwater and LNAPL studies per the Phase II Pre-Design
Study Work Plan, resume groundwater monitoring, and develop and submit a Phase II
Remedy Studies Report; review the Phase II Remedy Studies Report and assess options for a
Phase II remedy; and submit and implement the updated O&M plan after a Phase II remedy
is selected.
VIII. NEXT REVIEW
The next FYR report for the Lenz Oil Service, Inc. Superfund Site is required five years from the
completion date of this review.
22
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APPENDIX A - REFERENCE LIST
Remedial Investigation (ERM, 1992)
EPA Baseline Risk Assessment (PRC, 1992)
Feasibility Study (ERM, 1996)
Record of Decision, (EPA, 1999)
Consent Decree (EPA, 2002)
Pre-Design Data Collection (CRA, 2003)
Supplemental Pre-Design Data Collection (CRA, 2005)
Explanation of Significant Differences, (EPA, 2007)
Final Remedial Design (CRA, 2008)
Phase I Remedial Action Work Plan (CRA, 2009)
Preliminary Close Out Report (EPA, 2009)
Phase 1 Remedial Action Construction Completion Report (GHD, 2010)
Phase I Remedial Action Completion Report (GHD, 2018)
2019 Five-Year Review (EPA, 2019)
Post-Phase I Remedial Action Groundwater Monitoring and Sampling Report (GHD, 2020)
Phase II Pre-Design Study Work Plan (GHD, 2022)
O&M Plan (CRA, 2008)
23
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Attachment 1
-------
SOURCE: USGS TOPOGRAPHIC MAP
SAG BRIDGE, ILL. QUAD
n
0 1000 2000ft
figure 2.1
SITE LOCATION
LENZ OIL SITE
Lemont, Illinois
N:\CA\Waterloo\Legacy\CAD\drawings\15000s\15169\15169-REPORT\RPT033\15169-GHD-0000-RPT-EN-0101_WA-033.DWG Plot Date: JAN 22, 2021
-------
.v >>-
LEGEND
MONITORING WELL LOCATION
PIEZOMETER LOCATION
VACUUM ENHANCED RECOVERY WELL LOCATION
VAPOR MONITORING PROBE LOCATION
VAULT VALVE
WATER VALVE
MAIL BOX
FIRE HYDRANT
UTILITY POLE W/LIGHT
UTILITY POLE
LIGHT POLE
TELEPHONE SPLICE BOX
SIGN
TREE AND SIZE
FLARED END SECTION
WATER MAIN
GAS LINE
GUARD RAIL
FENCE LINE
CORRUGATED METAL PIPE
REINFORCED CONCRETE PIPE
AIR INJECTION POINT LOCATION
VER EXTRACTION TRENCH LOCATION WTH SUMP LOCATION
LNAPL MONITORING POINT LOCATION
SLURRY WALL
GROUT CURTAIN PRIMARY INJECTION POINT
GROUT CURTAIN SECONDARY INJECTION POINT
MONITORING WELL LOCATION
MONITORING WELL, PROBE, OR PIEZOMETER LOCATION
4^
50
100ft
figure 2.2
SITE PLAN
LENZ OIL SITE
Lemont, Illinois
N:\CA\Waterloo\Legacy\CAD\drawings\15000s\15169\15169-REPORT\RPT033\15169-GHD-0000-RPT-EN-0102_WA-033.DWG Plot Date: JAN 22, 2021
-------
©
®
©
LEGEND
MONITORING WELL LOCATION
PIEZOMETER LOCATION
VACUUM ENHANCED RECOVERY WELL LOCATION
VAPOR MONITORING PROBE LOCATION
VAULT VALVE //ry
WATER VALVE 7
MAILBOX /
FIRE HYDRANT
UTILITY POLE W/LIGHT
UTILITY POLE
LIGHT POLE
TELEPHONE SPLICE BOX
SIGN
TREE AND SIZE
FLARED END SECTION
WATER MAIN
GAS LINE
GUARD RAIL
FENCE LINE
CORRUGATED METAL PIPE
REINFORCED CONCRETE PIPE
AIR INJECTION POINT LOCATION
VER EXTRACTION TRENCH LOCATION WTH SUMP LOCATION
LNAPL MONITORING POINT LOCATION
SLURRY WALL
GROUT CURTAIN PRIMARY INJECTION POINT
GROUT CURTAIN SECONDARY INJECTION POINT
MONITORING WELL LOCATION
MONITORING WELL, PROBE, OR PIEZOMETER LOCATION
WELL TO BE SAMPLED ANNUALLY
WELL TO BE MONITORED FOR GROUNDWATER/LNAPL LEVELS QUARTERLY
0 50 100ft
figure 3.1
LONG-TERM MONITORING AND SAMPLING NETWORK
LENZ OIL SITE
Lemont, Illinois
N:\CA\Waterloo\Legacy\CAD\drawings\15000s\15169\15169-REPORT\RPT033\15169-GHD-0000-RPT-EN-0103_WA-033.DWG Plot Date: FEB 22, 2021
-------
(587 62)
*
592
LEGEND
MONITORING WELL LOCATION
PIEZOMETER LOCATION
VACUUM ENHANCED RECOVERY WELL LOCATION
VAPOR MONITORING PROBE LOCATION
VAULT VALVE
WATER VALVE
MAIL BOX
FIRE HYDRANT
UTILITY POLE W/LIGHT
UTILITY POLE
LIGHT POLE
TELEPHONE SPLICE BOX
SIGN
TREE AND SIZE
FLARED END SECTION
WATER MAIN
GAS LINE
GUARD RAIL
FENCE LINE
CORRUGATED METAL PIPE
REINFORCED CONCRETE PIPE
AIR INJECTION POINT LOCATION
VER EXTRACTION TRENCH LOCATION WTH SUMP LOCATION
LNAPL MONITORING POINT LOCATION
SLURRY WALL
GROUT CURTAIN PRIMARY INJECTION POINT
GROUT CURTAIN SECONDARY INJECTION POINT
MONITORING WELL LOCATION
MONITORING WELL, PROBE, OR PIEZOMETER LOCATION
GROUNDWATER ELEVATION
NOT USED IN CONTOURING
GROUNDWATER ELEVATION CONTOUR
figure 3.2
GROUNDWATER ELEVATIONS AND CONTOURS - SEPTEMBER 2020
LENZ OIL SITE
Lemont, Illinois
N:\CA\Waterloo\Legacy\CAD\drawings\15000s\15169\15169-REPORT\RPT033\15169-GHD-0000-RPT-EN-0104_WA-033.DWG Plot Date: FEB 22, 2021
-------
LEGEND
MONITORING WELL LOCATION
PIEZOMETER LOCATION
VACUUM ENHANCED RECOVERY WELL LOCATION
VAPOR MONITORING PROBE LOCATION
VAULT VALVE
WATER VALVE
MAIL BOX
FIRE HYDRANT
UTILITY POLE W/LIGHT
UTILITY POLE
LIGHT POLE
TELEPHONE SPLICE BOX
SIGN
TREE AND SIZE
FLARED END SECTION
WATER MAIN
GAS LINE
GUARD RAIL
FENCE LINE
CORRUGATED METAL PIPE
REINFORCED CONCRETE PIPE
AIR INJECTION POINT LOCATION
VER EXTRACTION TRENCH LOCATION WTH SUMP LOCATION
LNAPL MONITORING POINT LOCATION
SLURRY WALL
GROUT CURTAIN PRIMARY INJECTION POINT
GROUT CURTAIN SECONDARY INJECTION POINT
MONITORING WELL LOCATION
MONITORING WELL, PROBE, OR PIEZOMETER LOCATION
LNAPL THICKNESS (FEET)
EXTENT OF LNAPL
V
figure 3.3
EXTENT OF LNAPL - SEPTEMBER 2020
LENZ OIL SITE
Lemont, Illinois
N:\CA\Waterloo\Legacy\CAD\drawings\15000s\15169\15169-REPORT\RPT033\15169-GHD-0000-RPT-EN-0105_WA-033.DWG Plot Date: FEB 22, 2021
-------
©
®
©
MW-7S
rjzI
LEGEND
MONITORING WELL LOCATION
PIEZOMETER LOCATION
VACUUM ENHANCED RECOVERY WELL LOCATION
VAPOR MONITORING PROBE LOCATION
VAULT VALVE
WATER VALVE
MAIL BOX
FIRE HYDRANT
UTILITY POLE W/LIGHT
UTILITY POLE
LIGHT POLE
TELEPHONE SPLICE BOX
SIGN
TREE AND SIZE
FLARED END SECTION
WATER MAIN
GAS LINE
GUARD RAIL
FENCE LINE
CORRUGATED METAL PIPE
REINFORCED CONCRETE PIPE
AIR INJECTION POINT LOCATION
VER EXTRACTION TRENCH LOCATION WTH SUMP LOCATION
LNAPL MONITORING POINT LOCATION
SLURRY WALL
GROUT CURTAIN PRIMARY INJECTION POINT
GROUT CURTAIN SECONDARY INJECTION POINT
MONITORING WELL LOCATION
MONITORING WELL, PROBE, OR PIEZOMETER LOCATION
WELLS SAMPLED DURING SEPTEMBER 2020 SAMPLING EVENT
-SAMPLE ID
-RESULTS (|jg/L)
-PARAMETER
0 50 100ft
Abbreviation
Analyte
Criteria
ug/L
As
Arsenic
10
Cr
Chromium
100
Fe
Iron
5,000
Mn
Manganese
150
Ni
Nickel
100
Ti
Thallium
2
VC
Vinyl Chloride
2
MW-22R
Fe
7600
Mn
310
Ti
4.5 J
MW-13R
As
14
Fe
6200
Ti
2.9 J
RMW-6S
As
10/12
Fe
3300 J / 5500 J
Mn
470/410
Ti
3.8 J/3.4 J
Notes:
Criteria - Class I potable resource groundwater (Title 35 of the Illinois Administrative Code Section 620.410)
[jg/L - Micrograms per liter
J - Estimated concentration
< - Constituent not detected above the reporting limit
Only parameters/concentrations that exceed criteria are shown
figure 3.4
WELLS SAMPLED DURING SEPTEMBER 2020 EVENT
LENZ OIL SITE
Lemont, Illinois
N:\CA\Waterloo\Legacy\CAD\drawings\15000s\15169\15169-REPORT\RPT033\15169-GHD-0000-RPT-EN-0106_WA-033.DWG Plot Date: FEB 22, 2021
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Attachment 2
-------
US tPA RECORDS CENTER
REGION 5
480336
Š1
Š I
liJ
II
"RED BUCHOLZ
DUPAGE COUNTY RECORDER
RHSP 8:52 AM
10-11-402-010
R2Q14013119
FEB.14,2014
OTHER
032 PAGES
This instrument was prepared by:
Name: Shell J. Bleiweiss
Address: 1 S. Dearborn St. Suits 2100
Chicago, IL 60603-2307
Mease return this instrument to:
Name: f Shell J. Bleiweiss
Address:/ 1 S. Dearborn St. Suite 2100 \
\ Chicago. IL 60603-230^ J
ENVIRONMENTAL COVENANT
1. This Environmental Covenant is made this i Š day of M\U- 2013. by and among
Peter Tamehng Trust (Grantor) aid the Holder/Grantee former identified in paragraph 3
below pursuant to the Uniform Environmental Covenants Act, 765 ILCS Ch. 122
(UECA) for the purpose of subjecting the Property to the activity arid use limitations
described herein.
2. Property and Grantor.
A. Property: The real property subject to this Environmental Covenant is
located at Route 83 and Jeans Rd. Lemom. DuPage County, Illinois 60439 and is legally
described m Appendix A, hereinafter referred to as the "Property". The Property is part of
a larger parcel known as the Lenz Oil Superfund Site.
B. Grantor: Peter Tameling Trust is the "Grantor'' of this
Environmental Covenant. The mailing address of the Grantor is June Tameling,
Administrator, 7475 Madison St.. Unit 1, Willowbrook, EL 60527.
3. Holder (and Grantee for purposes of indexing). Illinois EPA and the
Settling Work Defendants (as defined herein, paragraph 5. B.) are the Holders (and
Grantees for purposes of indexing) of this Environmental Covenant pursuant to its
authority under Section 3(b) of UECA. The mailing address of the Illinois EPA is 1021
N. Grand Avenue East, P.O. Box 19276, Springfield. IL 62794-9276, The mailing
1
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address of the Settling Work Defendants is c/o Alan Bielawski, Sidley Austin, One S.
Dearborn St, Chicago, IL 60603,
Agencies. The Illinois EPA and the U.S. EPA are "Agencies" within the
meaning of Section 2(2) of UECA. The Agencies have approved the environmental
response project described in paragraph 5 below and may enforce this Environmental
Covenant pursuant to Section 11 of UECA.
5. Environmental Response Project and Administrative Record.
A. This Environmental Covenant arises under an environmental response
project as defined in Section 2(5) of UECA.
B. The Property is part of the Lenz Oil Superfund Site, which the U.S. EPA,
pursuant to Section 105 of the Comprehensive Environmental Response, Compensation
and Liability Act ("CERCLA"), 42 U.S.C. § 9605, placed on the National Priorities List,
set forth at 40 C.F.R. Part 300, Appendix B. In, a Record of Decision (ROD) signed by
the U.S. EPA Region 5 Superfund Division Director on September 30, 1999, the U.S.
EPA approved a plan for environmental remediation of the Site. In the Consent Decree
signed on August 14, 2002, United States of America and the Slate of Illinois v. Alpha
Construction, et ai, Case No. 02 C 3609 (N.D. Ill), Settling Work Defendants, as
defined in the Consent Decree at p, 14 and listed in Appendix D.l to the Consent Decree
agreed to implement the remedial action plan in the ROD including the excavation of the
principal threat area, the treatment of the contaminated material via
solidification/stabilization (S/S), the disposal of the treated material within a corrective
action management unit (CAMU), and the implementation of a pump-and-treat system
for contaminants that remain in the aquifer after the other actions are completed. In April
2007, the U.S. EPA issued an Explanation of Significant Differences (ESD) that changed
the Phase I remedy alternative from excavation and treatment via
solidification/stabilization to Vacuum Enhanced Recovery (VER). In April 2008, the U.S.
EPA approved the Remedial Design. On November 19, 2010, the U.S. EPA approved the
Phase I Remedial Action Construction Completion Report. The remedial action plan
requires implementation and compliance with land and groundwater activity and use
limitations at the'Lenz Oil Site. The Consent Decree also provides that U.S. EPA may
require additional response activity, including changing the remedy, under certain limited
circumstances.
C. Grantor wishes to cooperate fully with the Agencies by granting the
required environmental covenants at the Site.
D. The Administrative Record for the environmental response project at the
Lenz Oil Site (including the Property) is maintained at the U.S. EPA Superfund Record
Center, 7th Floor, 77 West Jackson Blvd, Chicago, Illinois 60604. Persons may also
contact the Freedom, of Information Act ("FOIA") officer, Illinois EPA, 1021 N. Grand
Avenue East, P.O. Box 19276, Springfield, IL 62794-9276 or Lemont Village Hall, 508
2
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Lemont Street, Lemont, IL 60439 for the Administrative Record or other information
concerning the Site,
6, Grant of Covenant Covenant Runs With The Land. Grantor creates this
Environmental Covenant pursuant to UECA so that the Activity and Use Limitations and
associated terms and conditions set forth herein shall "run with the land" in accordance
with. Section 5(a) of UECA and shall be binding on Grantor, its heirs, successors and
assigns, and on all present and subsequent owners, occupants, lessees or other person
acquiring an interest in the Property.
^7^--^Actlvity-and-lJse-Ijiniiitatlons^r B^rfoHewiiigTA-etHa^aad- U se, Limitations =
apply to the use of the Property:
A. The Property shall not be used in any manner that would interfere with or
adversely affect the integrity or protectiveness of the remedial action which has been
implemented or which will be implemented pursuant to the Consent Decree unless the
written consent of U.S. EPA to such use is first obtained.. The restrictions on the Property
shall include, but are not limited to, not allowing any drilling, digging, building, or the
. installation, construction, removal or use of any buildings, wells, pipes, roads, ditches or
any other structures on the Property unless the written consent of U.S. EPA to such use or
activity is first obtained.
B. There shall be no excavating for landscaping, construction or other
activities which removes soil from any portion of the Property unless the written consent
of U.S. EPA to such use or activity is first obtained.
C. Construction of wells and activities that extract, consume, or otherwise use
any groundwater are prohibited on the Property.
D. Notwithstanding the above, implementation of the Work as defined in the
Consent Decree shall be permitted and shall not require any further consent of U.S. EPA.
Use and maintenance of buildings and equipment present as of the effective date of this
Environmental Covenant also shall be permitted and shall not require any further consent
of U.S. EPA.
8. Access to the Property, Grantor agrees that U.S. EPA, the Illinois EPA and the
Settling Work Defendants, their successors and assigns, and their respective officers,
employees, agents contractors, and other invitees (collectively, "Access Grantees") shall
have and hereby grants to each of them an unrestricted right of access to the Property to
undertake the Permitted Uses described in Paragraph 9 below and, in connection
therewith, to use all roads, drives and paths, paved or unpaved, located on the Property.
The right of access granted under this Paragraph 8 shall be-irrevocable while this
Covenant remains in full force and effect
3
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9. Permitted Uses. The right of access granted under Paragraph 8 of this
Environmental Covenant shall provide Access Grantees with access at all reasonable
times to the Property, for the purposes of conducting any activity related to the Consent
Decree of the purchase of the Property, including but not limited to, the following
activities:
A. Implementing, operating and maintaining the Work pursuant to the
Consent Decree;
B. Monitoring the Work;
C. Conducting investigations relating to contamination at or near the
Property, including, but not limited to, the surface or subsurface erection
or placement of physical or mechanical objects necessary to those
investigations;
D. Obtaining samples;
E. Assessing the need for, planning, or implementing additional response
actions at or near the Property,
F. Verifying any data or information 'Submitted to U.S. EPA or Illinois EPA;
G. Inspecting and copying records, operating logs, contracts, or other
documents maintained or generated, by Settling Work Defendants or their
agents, consistent with Section XX VIII (Access to Information) of the
Consent Decree;
H. Verifying, assessing, monitoring, implementing and enforcing the
Activity and Use Restrictions set forth in Paragraph 7;
I. Assessing Settling Work Defendants' compliance with the Consent
Decree; and
J. Verifying that no action is being taken on the Property in violation of the
terms of this instrument, the Work pursuant to the Consent Decree or of
any federal or state environmental laws or regulations.
Nothing in this document shall limit or otherwise affect U.S. EPA and Illinois EPA's
rights of entry and access or U.S. EPA's and Illinois EPA's authority to take response
actions under CERCLA, the National Contingency Plan ("NCP"), RCRA or other federal
and state law.
10. Reserved rights of Grantor: Grantor hereby reserves unto itself, its successors,
and assigns, including heirs, lessees and occupants, all rights and privileges in and to the
4
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use of the Property which are not incompatible, with the activity and use limitations
identified herein.
11. Wo Pubic Access and Use: No right of access or use by the general public to
any portion of the Property is conveyed by this instrument.
12. Failure Conveyances. Notice and Reservation:
A. Grantor agrees to include in any future instrument conveying any interest
in any portion of the Property, including but not limited to deeds, leases and mortgages, a
THE INTEREST CONVEYED HEREBY IS SUBJECT TO AND
GRANTOR SPECIFICALLY RESERVES THE ENVIRONMENTAL
COVENANT EXECUTED UNDER THE UNIFORM ENVIRONMENTAL
COVENANTS ACT (UECA) AT 765 ILCS CH. 122 RECORDED IN THE
OFFICIAL PROPERTY RECORDS OF DUPAGE COUNTY, ILLINOIS
ON AS DOCUMENT NO. , IN FAVOR OF
AND ENFORCEABLE BY THE ILLINOIS ENVIRONMENTAL
PROTECTION AGENCY AS A UECA HOLDER AND THE U.S.
ENVIRONMENTAL PROTECTION AGENCY AS A UECA AGENCY.
B. Grantor agrees to provide written notice to Illinois EPA and U.S. EPA
within 30 days after any conveyance of fee title to the Property or any portion of the
Property. The notice shall identify the name and contact information of the new Owner,
and the portion of the Property conveyed to that Owner.
13. Enforcement and Compliance.
A. Civil Action for Injunction or Equitable Relet This Environmental
Covenant may be enforced through a civil action for injunctive or other equitable' relief
for any violation of any term or condition of this Environmental. Covenant, including
violation of the Activity and Use Limitations under Paragraph 7 and denial of Right of
Access under Paragraph '8. Such an action may be brought individually or jointly by:
i. Settling Work Defendants;
ii. the Illinois Environmental Protection Agency;
iii. U.S. Environmental Protection Agency; and'
iv. Peter Tameling Trust.
B. Other Authorities Not Affected. No Waiver of Enforcement All
remedies available hereunder shall be in addition to any and all other remedies at law or
in equity, including CERCLA. Nothing in this Environmental Covenant affects U.S. EPA
or Illinois EPA's authority to take or require performance of response actions to address
releases or threatened releases of hazardous substances or pollutants or contaminants at or
from the Property, or to enforce a consent order, consent decree or other settlement
5
-------
n
agreement entered into by U.S. EPA or Illinois EPA. Enforcement of the terms of this
instrument shall be at the discretion of the Holders, the Settling Work Defendants, the
U.S. EPA and Illinois EPA and any forbearance, delay or omission to exercise its rights
under this instrument in the event of a breach of any term of this instrument shall not be
deemed to be a waiver by the Holders, the Settling Work Defendants, U.S. EPA or
Illinois EPA of such term or of any subsequent breach of the same or any other term, or
of any of the rights of the Holders, the Settling Work Defendants, U.S. EPA or Illinois
EPA of such term or of any subsequent breach of the same or any other term, or of any of
the rights of the Holders, the Settling Work Defendants, U.S. EPA or Illinois EPA.
Owner, or other person that holds any right, title or interest in or to the Property remains
subject to enforcement with respect to any violation of this Environmental Covenant by
the Owner or other person which occurred during the time when the Owner or other
person was bound by this Environmental Covenant regardless of whether the Owner or
other person has subsequently conveyed the fee title, or other right, title or interest, to
another person.
14. Waiver of certain defenses: This Environmental Covenant may not be
extinguished, limited, or impaired through issuance of a tax deed, foreclosure of a tax
lien, or application of the doctrine of adverse possession, prescription, abandonment,
waiver, lack of enforcement, or acquiescence, or similar doctrine as set forth in Section 9
ofUECA,
15. Representations and Warranties: Grantor hereby represents and warrants to
the Illinois EPA, U.S. EPA and any other signatories to this Environmental Covenant
that, at the time of execution of this Environmental Covenant, that the Grantor has a good
and lawful right and power to grant this Environmental Covenant, that the Property is
free and clear of encumbrances, except those noted on Appendix C attached hereto, and
that the Grantor will forever warrant and defend the title thereto and the quiet possession
thereof. After recording this instrument, Settling Work Defendants will provide a copy of
this Environmental Covenant to all holders of record of the encumbrances including those
entities noted on Appendix C.
16. Amendment or Termination. This Environmental Covenant may be
amended or terminated by consent only if the amendment or termination is signed by the
Illinois EPA, U.S. EPA and the current owner of the fee simple of the Property or the
Receiver, unless waived by the Agencies.
17. Notices: Any notice, demand, request, consent, approval, or communication
that either party desires or is required to give to the other shall be in writing and shall
either be served personally or sent by first class mail, postage prepaid, addressed as
follows:
6
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To Grantor:
Peter Tameling Trast
c/o June Tameling, Administrator
7575 Madison St. Unit 1
Willowbrook, IL 60527
To Holder:
Settling Work Defendants, c/o Alan Bielawski
Chicago. IL 60603
To Agencies:
U.S. Environmental Protection Agency
Superfund Division Director
77 West Jackson Boulevard
Chicago, IL 60604
Illinois Environmental Protection Agency
Chief. Bureau of Land
1021 N. Grand Avenue East
P.O. Box 19276
Springfield, IL 62794-9276
18. Recording and Notice of Environmental Covenant Amendments and
T ermtn ation..
A. The Original Environmental Covenant. An Environmental Covenant
must be recorded in the Office of the Recorder or Registrar of Titles of the county in
which the property that is the subject of the Environmental Covenant is located. Within
30 days after the Illinois EPA and U.S. EPA (whichever is later) sign and deliver to
Grantor this Environmental Covenant, the Grantor shall record this Env ironmental
Covenant in the office of the Recorder of Deeds of DuPage County, State of Illinois.
B. Termination, Amendment or Modification. Within 30 days after
Illinois EPA and U.S. EPA (whichever is later) sign and deliver to Owner or
Receiver/Grantor any termination, amendment or modification of this Environmental
Covenant the Owner or Receiver/Grantor shall record the amendment, modification, or
notice of termination of this Environmental Covenant in the office of the Count s-
Recorder or Registrar of Titles in which the Property is located.
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C. Providing Notice of Covenant, Termination, Amendment or
Modification. Within 30 days after recording this Environmental Covenant, the Settling
Work Defendants shall transmit a copy of the Environmental Covenant in recorded form
to:
i.
ii.
iii
iv
Within 30 days after recording a termination, amendment or modification of this
Environmental Covenant, the Owner or Settling Work Defendants shall transmit a copy
of the document in recorded form to the persons listed in items i to v above.
19. General Provisions;
A. Controlling law.; This Environmental Covenant shall be construed
according to and governed by the laws of the State of Illinois and the United States of
America.
B. Liberal construction: Any general rule of construction to the
contrary notwithstanding, this instrument shall be liberally construed in favor of the
Grantor or Holders to affect the purpose of this instrument and the policy and purpose of
the environmental response project and its authorizing legislation. If any provision of this
instrument is found to be ambiguous, an interpretation consistent with the purpose of this
instrument that would render the provision valid shall be favored over any interpretation
that would render it invalid,
C. No Forfeiture: Nothing contained herein will result in a forfeiture
or reversion of Grantor's title in any respect.
D. Joint Obligation: If there are two or more parties identified as Grantor
herein, the obligations imposed by this instrument upon them shall be joint and several
Š E. Captions: The captions in this instrument have been inserted solely
for convenience of reference and are not a part of this instrument and shall have no effect
upon construction or interpretation.
20. Effective Date, This Environmental Covenant is effective on the date of
acknowledgement of the signature of the Illinois EPA and U.S. EPA, whichever is later.
21. List of Appendices:
Appendix A - Legal Description anil Map of the Property
the Illinois EPA;
the U.S. EPA;
each person holding a recorded interest in the Property,
including those interests in Appendix C;
each person in possession of the Property; and
8
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Appendix B - Location of Monitoring Wells
Appendix C - List of Recorded Encumbrances
[Signature Pages to follow]
9
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[THE UNDERSIGNED REPRESENTATIVE OF THE GRANTOR REPRESENTS
AND CERTIFIES THAT HE/SHE IS AUTHORIZED TO EXECUTE THIS
ENVIRONMENTAL COVENANT.]
IN WITNESS WHEREOF, THIS INSTRUMENT HAS BEEN EXECUTED ON THE
DATES INDICATED BELOW:
FOR THE GRANTOR:
Peter Tameling Trust-- A
" - x /
f \
June Tameling _ (print)
[Title] Administrator^ (print)
State of Illinois )
)SS,
County o. )
On H'a.v ; 2013, this instrument was acknowledged before me by,
. [use following when Grantor is an organization] [Title of Name of
Grantor, on behalf of Grantor]!,
10
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i«>W» 0U> Ot XT) f Qr Š>'1 AUO SJW1
-------
FOE THE ILLINOIS ENVIRONMENTAL PROTECTION AGENCY
Director
Illinois Environmental Protection Agency
State of Illinois
(signature)
Š )SS
County ofQdWjQTMu
This instrument was acknowledged before me on ' InVYrdvQ / 5.2013, by
Usi mm eft' the Director of the Illinois Environmental Protection Agency, a
state agency, on behalf of the State of Illinois.
j£mmu M' r^^signature)'
Notaryl^ublic ^ VV /
My Commission Expires / 2 3/ 2.&i£
11
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FOR THE UNITED STATES ENVIRONMENTAL PROTECTION AGENCY
On behalf of the Administrator of the .
United States Environmental Protection Agency
(c~&U c jOC
By:.
Richard C. Karl, Director
Superfiind Division
UiSi Environmental Protection Agency,, Rg.giop^.
STATE OF ILLINOIS
COUNTY OF COOK
)
)SS.
)
'.'.AM, LOUIE
: 1A.L SEAL
. S':i!9 0MIIH»0lr|
;or ' 5 'Dires
r.' . ; . ; j
_ The foregoing instrument was acknowledged before me this H day
of 2013, by Richard C. Karl, Director, Superfiind Division, Region 5 of
the United States Environmental Protection Agency.
(signature)
Nbtarv PuWic
My Commission Expires fwCp t5,
.#IKAWA'*i. tOU« :
^OttlCtAk'-SEAL. .
Notary Puttie, State of lHk»oh
tty'COmmiMlMl
- Metehtft.Ml*-"
12
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APPENDIX A; Legal Description and Map of the Property
The legal description of the Tameling Property is shown as Parcel 2 and Parcel 3 on the
following map.
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APPENDIX B: Location of Monitoring Wells
Location of Monitoring Wells are shown on Parcels 2 and 3 of the following map.
14
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APPENDIX C: List of Recorded Encumbrances
15
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COMMITMENT FOR"TTTLE INSURANCE
Chicago Title Insurance Company
CHICAGO TITLE INSURANCE COMPANY. a Nebraska corporation. hereto called the Company iot - aiuable
c<.WKtei nhou. coumi its to u&ue its policy or policies of title Htsnraace. as kteat fifed m. Sdhedale A. hi fa^or of the
Proposed Insured aaaed » Schectele A. as owner or mortgagee oftfce estate or interest mtfce I. and desci ibecf or
refened to m Schedule A. upon payment of the ptemmms md chxses md compliance n#htlieReq»ireffleiite, att
sibject to the pro *.*301* s of Schedule A and B and to the C®n" - ~ C
I
CommftmeftfNo.: P401 880012672 D2
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ooMStm wiiml
It? 05/®/13 GB:4Btff?
-------
CHICAGO TITLE INSURANCE COMPANY
COMMITMENT FOR TITLE INSURANCE
SCHEDULE A
YOUR REFERENCE: Informational - ShellŠBliwise ORDER NO.: 1401 880012672 D2
EFFECTIVE DATEs APRIL 22, 2013
1. POLICY OR POLICIES TO BE ISSUED;
OWNER'S POLICY: ALTA OWNERS 2006
AMOUNT: §10,000.00
PROPOSED INSURED: NONE.
2. THE ESTATE OR INTEREST IN THE LAND DESCRIBED OR REFERRED TO IN THIS COMMITMENT IS
FEE SIMPLE, UNLESS OTHERWISE NOTED.
3. TITLE TO IHE ESTATE OR INTEREST IN THE LAND IS AT THE EFFECTIVE DATE VESTED IN;
PETER JOHN 7AMELING, AS TRUSTEE OF THE PETER JOHN TAMELING TRUST DATED FEBRUARY 23,
1998
ill good sbw®b§ ssef t» date of we, Altofar use® am poMMed. Reprinted untfariscerws ion f» American Land We Awasbfta,
COMA4K 3/iiML 11,7 PAGE A1 -TS5 050® 13 08:40:07
-------
CHICAGO TITLE INSURANCE COMPANY
COMMITMENT FOR TITLE INSURANCE
SCHEDULE A (CONTINUED)
ORDER NO.: 1401 380012672 D2
4A. LOAN POLICY 1 MORTGAGE OR TRUST DIED TO BE INSURED;
NONE
4B, LOAN POLICY 2 MORTGAGE OR TRUST DEED TO BE INSURED;
NONE
Copyright Amarisan Land Tito AmaetattOR. All right* vaaarvirtt. Ths uaa of Ws Raws * reefefctad to ALTA Unvwaaa and ALTA nwmteis
m good atandhg m of tha data of uas. All oBwrusw am pwMWW. Raprintait imdarncanaa'ftom tha AmMfcum lbiki Tttte Awosteniwt.
COM3MTO6 3,'11 ML JL7 PAGE A.1 IS5 05/0» 13 08:40:07
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CHICAGO TITLE INSURANCE COMPANY
COMMITMENT FOR TITLE INSURANCE
SCHEDULE A (CONTINUED)
ORDER NO.; 1401 880012672 D2
5. THE LAND REFERRED TO IN THIS COMMITMENT: IS BESC RIBED AS FOLLOW S:
PARCEL 1;
THAT PART OF THE SOUTHEAST 1/4 OF SECTION 11, TOWNSHIP 37 NORTH, RANGE 11 EAST OF
THE THIRD PRINCIPAL MERIDIAN, DESCRIBED AS FOLLOWS;
COMMENCING AT THE CENTER OF SAID SECTION 11? THENCE NORTH 89 DEGREES 27 MINUTES
EAST, ALONG THE NORTH LINE OF SAID SOUTHEAST 1/4, A DISTANCE OF 871.2 FEET TO THE
WEST LINE OF LOT 51 OF THE ASSESSMENT DIVISION OF THE SOUTH 1/2 OF SECTIONS 1 AND
DISTRICT OF CHICAGO; THENCE SOUTH 00 DEGREES 00 MINUTES 00 SECONDS EAST, ALONG
SAID WEST LINE, 1072.26 FEET (DEED = SOUTH, 1074.20 FEET) TO THE NORTHERLY LINE
OF SAID PROPERTY OF THE SANITARY DISTRICT OF CHICAGO,* THENCE SOUTH 57 DEGREES 01
MINUTES WEST, ALONG SAID NORTHERLY LINE, 209.IS FEET TO THE POINT OF BEGINNING;
THENCE CONTINUING SOUTH 57 DEGREES 01 MINUTES WEST, ALONG SAID NORTHERLY LINE,
333.65 FEET TO THE EASTERLY RIGHT OF WAY LINE OF STATE HIGHWAY ROUTE 83 (FORMERLY
ROUTE 54); THENCE NORTH 29 DEGREES 05 MINUTES 14 SECONDS VEST, ALONG SAID
EASTERLY LINE, 441.84 FEET (DEED = 484.90 FEET) TO THE CENTER LINE OF A PRIVATE
ROAD AS SHOWN ON JACOB J. JEAN'S PLAT OF SURVEY RECORDED OCTOBER 7, 1950 AS
DOCUMENT 606585; THENCE NORTH 53 DEGREES 21 MINUTES 13 SECONDS EAST (DEED = NORTH
53 DEGREES 26 MINUTES EAST), ALONG SAID CENTER LINE, 370,00 FEET,- THENCE SOUTH 24
DEGREES 56 MINUTES 33 SECONDS EAST, 469.06 FEET TO THE POINT OF BEGINNING, ALL IN
DU PAGE COUNTY, ILLINOIS.
PARCEL 2;
THAT PART OF THE SOUTHEAST 1/4 OF SECTION 11, TOWNSHIP 37 NORTH, RANGE 11 EAST OF
THE THIRD PRINCIPAL MERIDIAN, DESCRIBED AS FOLLOWS;
COMMENCING AT THE CENTER OF SAID SECTION 11# THENCE NORTH 89 DEGREES 27 MINUTES
EAST, ALONG THE NORTH LINE OF SAID SOUTHEAST 1/4, A DISTANCE OF 871.2 FEET TO THE
WEST LINE OF LOT 51 OF THE ASSESSMENT DIVISION OF THE SOUTH 1/2 OF SECTIONS 1 AND
2 AND ALL OF SECTIONS 11 AND 12 LYING NORTH OF THE NORTH LINE OF THE SANITARY
DISTRICT OF CHICAGO; THENCE SOUTH 00 DEGREES 00 MINUTES 00 SECONDS EAST, ALONG
SAID WEST LINE, 483.14 FEET (DEED = 484.75 FEET) TO THE CENTER LINE OF A PRIVATE
ROAD AS SHOWN ON JACOB J. JEAN''S PLAT OF SURVEY RECORDED OCTOBER 7, 1950 AS
DOCUMENT 60658 5, AND THE POINT OF BEGINNING; THENCE CONTINUING SOUTH 00 DEGREES
00 MINUTES 00 SECONDS EAST, ALONG SAID WEST LINE OF LOT 51, A DISTANCE OF 589.12
FEET (DEED = SOUTH, 589.45 FEET) TO THE NORTHERLY LINE OF SAID PROPERTY OF THE
SANITARY DISTRICT OF CHICAGO; THENCE SOUTH 57 DEGREES 01 MINUTES WEST, ALONG SAID
NORTHERLY LINE, 209.15 FEET; THENCE NORTH 24 DEGREES 56 MINUTES 33 SECONDS VEST,
469.06 FEET TO SAID CENTER LINE OF A PRIVATE ROAD; THENCE NORTH 53 DEGREES 21
MINUTES 13 SECONDS EAST (DEED = NORTH 53 DEGREES 26 MINUTES EAST), ALONG SAID
CENTER LINE, 4 65.20 FEET TO THE POINT OF BEGINNING, ALL IN DU PAGE COUNTY,
ILLINOIS.
Ccpptgbt Amnrlttitn Land Tlffat Mtmtmam. All rtghMs iWMWMt. The uee of Me Form t» nwtrtclesl to AtTA ItawsMiw and AtTA mwntore
in (pod states Šeo'tw date of wo, AH otlwr wus urn pwWWtad. RfipMai undor Dame from fw Mai Land lite Asswsfatkm.
COMlfiM 3/11 ML JL7 . , PAGE A2 JS5 0SW13 08:40; 0?
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CHICAGO TITLE INSURANCE COMPANY
COMMITMENT FOR TITLE INSURANCE
SCHEDULE B
ORDER NO.; 1401 880012672 D2
SCHEDULE B OF THE POLICY OR POLICIES TO BE ISSUED WILL CONTAIN EXCEPTIONS TO THE FOLLOWING
MATTERS U NLESS THE SAME ARE DISPOSED OF TO THE SATISFACTION OF THE COMPANY.
GENERAL EXCEPTIONS
1. RIGHTS OR CLAIMS OF PARTIES IN POSSESSION NOT SHOWN BY PUBLIC RECORDS.
2. ANY ENCROACHMENT, ENCUMBRANCE, VIOLATION, VARIATION, OR ADVERSE CIRCUMSTANCE
AFFECTING THE TITLE THAT WOULD BE DISCLOSED BY AN ACCURATE AND COMPLETE LAND SURVEY
OF THE LAND.
3. EASEMENTS, OR CLAIMS OF EASEMENTS, NOT SHOWN BY PUBLIC RECORDS.
4. ANY LIEN, OR RIGHT TO A LIEN, FOR SERVICES, LABOR OR MATERIAL HERETOFORE OR
HEREAFTER FURNISHED, IMPOSED BY LAW AND NOT SHOWN BY THE PUBLIC RECORDS.
5. TAXES OR SPECIAL ASSESSMENTS WHICH ARE NOT SHOWN AS EXISTING LIENS. BY THE PUBLIC
RECORDS.
6. IF EXTENDED COVERAGE OVER THE. FIVE GENERAL EXCEPTIONS IS REQUESTED, WE SHOULD BE
FURNISHED THE FOLLOWING:
A. A CURRENT ALTA/ACSM OR ILLINOIS LAND TITLE SURVEY CERTIFIED TO CHICAGO
TITLE INSURANCE COMPANY;
B. A PROPERLY EXECUTED ALTA STATEMENT;
MATTERS DISCLOSED BY THE ABOVE DOCUMENTATION WILL BE SHOWN SPECIFICALLY.
NOTE: THERE WILL BE AN ADDITIONAL CHARGE FOR THIS COVERAGE.
f * 7. NOTE FOR INFORMATION; THE COVERAGE AFFORDED BY THIS COMMITMENT AND ANY POLICY
ISSUED PURSUANT HERETO SHALL NOT COMMENCE PRIOR TO THE DATE ON WHICH ALL CHARGES
PROPERLY BILLED BY THE COMPANY HAVE BEEN FULLY PAID.
A 8. THIS PRODUCT (SEARCH/COMMITMENT) HAS BEEN PROVIDED TO THE CUSTOMER AT THEIR
REQUEST FOR INFORMATIONAL PURPOSES ONLY. THE LIABILITY OF THE COMPANY HEREUNDER
FOR ANY ERRORS OR OMISSIONS IS HEREBY LIMITED TO THE ACTUAL DOLLAR AMOUNT PAID
BY THE CUSTOMER TO THE COMPANY FOR THIS PRODUCT.
B 9. NOTE FOR ADDITIONAL INFORMATION: THE DUPAGE COUNTY RECORDER REQUIRES THAT ANY
DOCUMENTS PRESENTED FOR RECORDING CONTAIN THE FOLLOWING INFORMATION:
A. THE NAME AND ADDRESS OF THE PARTY WHO PREPARED THE DOCUMENT?
3. THE NAME AND ADDRESS OF THE PARTY TO WHOM THE DOCUMENT SHOULD BE MAILED
AFTER RECORDING;
C. ALL PERMANENT REAL ESTATE TAX INDEX NUMBERS OF AMY PROPERTY LEGALLY
DESCRIBED IN THE DOCUMENTj
D. THE ADDRESS OF ANY PROPERTY LEGALLY DESCRIBED IN THE DOCUMENT;
E. ALL DEEDS SHOULD CONTAIN THE ADDRESS OF THE GRANTEE AND SHOULD ALSO NOTE
THE NAME AND ADDRESS OF THE PARTY TO WHOM THE TAX BILLS SHOULD BE SENT.
F. ANY DEEDS CONVEYING UNSUBDIVIDED LAND, OR, PORTIONS OF SUBDIVIDED LAND, MAY
NEED TO BE ACCOMPANIED BY A PROPERLY EXECUTED "PLAT ACT AFFIDAVIT."
IN ADDITION, PLEASE NOTE THAT THE MUNICIPALITIES OF ADDISON, AURORA, BARTLETT,
BOLINGBROOK, CAROL STREAM, ELK GROVE VILLAGE, ELMHURST, GLENDALE HEIGHTS, GLEN
ELLYN, HANOVER PARK, NAPERV7 LLE, SCHAUMBURG, WEST CHICAGO, WHEATON, AND
V03DRIDGE HAVE ENACTED TRANSFER TAX ORDINANCES. TO RECORD A CONVEYANCE OF LAND
Copyright Aiurican Land nth AMMlatkm. All rights imnitd. Tt» msa of Ma torn t> wtrtrtcW to ALTft ftaBiwuee and ALTK rnwnbis
to 8«*J stanfSns aa of ft* data of we, 'All oftur uws aw ptwhlbftxi. Reprtntaa uuOo-teaM# fram iha Aroartcan Lsna TO* AssocMkm.
COMBKROS 3/11 ML &1*7 PAGE B1 JS5 OSfOSfB 08 40EE
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CHICAGO TITLE INSURANCE COMPANY
COMMITMENT FOR TITLE INSURANCE
SCHEDULE B (CONTINUED)
ORDER NO.: 1401 880012672 D2
LOCATED IN THESE MUNICIPALITIES, THE REQUIREMENTS OF THE TRANSFER TAX
ORDINANCES MUST BE MET. A CONVEYANCE OF PROPERTY IN THESE CITIES MAY NEED TO
HAVE THE APPROPRIATE TRANSFER TAX STAMPS AFFIXED BEFORE IT CAN BE RECORDED.
FURTHERMORE, ALL DEEDS AND MORTGAGES SHOULD INCLUDE THE CURRENT MARITAL STATUS
OF ALL INDIVIDUAL PARTIES, WHERE APPROPRIATE. A SPOUSE OF AN INDIVIDUAL
GRANTOR OR MORTGAGOR MAY HAVE TO SIGN THE DEED OR MORTGAGE IN ORDER TO RELEASE
ANY APPLICABLE HOMESTEAD INTEREST.
/
THIS EXCEPTION WILL NOT APPEAR ON THE POLICY WHEN ISSUED.
10. TAXES FOR THE YEARS 2012 AND 2013.
TAXES FOR THE YEAR 2012 ARE PAYABLE IN 2 INSTALLMENTS.
THE FIRST INSTALLMENT AMOUNTING TO 51,335.99 IS NOT DELINQUENT BEFORE JUNE 4,
2013.
THE SECOND INSTALLMENT AMOUNTING TO $1,335.99 IS NOT DELINQUENT BEFORE
SEPTEMBER 4, 2013.
TAXES FOR THE YEAR 2013 ARE NOT YET DUE AND PAYABLE.
PERMANENT INDEX NUMBER: 10-11-402-009
(AFFECTS PARCEL 1)
11. TAXES FOR THE YEARS 2012 AND 2013.
TAXES FOR THE YEAR 2012 ARE PAYABLE IN 2 INSTALLMENTS.
THE FIRST INSTALLMENT AMOUNTING TO $3,4 91.21 IS NOT DELINQUENT BEFORE JUNE 4,
2013.
THE SECOND INSTALLMENT AMOUNTING TO $3,491.21 IS NOT DELINQUENT BEFORE
SEPTEMBER. 4, 2013.
TAXES FOR THE YEAR 2013 ARE NOT.YET DUE AND PAYABLE.
PERMANENT INDEX NUMBER: 10-11-402-010
(AFFECTS PARCEL 2)
12. LIFE ESTATE OF JOSEPHINE WILLIAMS AS CREATED BY DEED DATED MARCH 1, 1996 AND
RECORDED MARCH 6, 1996 AS DOCUMENT NUMBER R96-37026.
(AFFECTS PARCEL 1)
S 13. EXISTING UNRECORDED LEASES AND ALL RIGHTS THEREUNDER OF THE LESSEES AND OF ANY
PERSON OR PARTY CLAIMING BY, THROUGH OR UNDER THE LESSEES.
raw tti® .Alt £#sir nswiiip$wMt!stoL^p2fiitistisiici^pcws#fre8fi1tetowtaffl
CMBlCtBR 3111 ML JL7 PAOEB ' JS5 OS OS? 13 08:40:08 ' 'i..
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CHICAGO TITLE INSURANCE COMPANY
COMMITMENT FOR TITLE INSURANCE
SCHEDULE B (CONTINUED)
ORDER NO.; 1401 880012672 D2
F 14. WE SHOULD BE FURNISHED A STATEMENT THAT THERE IS NO PROPERTY MANAGER EMPLOYED
TO MANAGE THE LAND, OR, IN THE ALTERNATIVE, A FINAL LIEN WAIVER FROM ANY SUCH
PROPERTY MANAGER.
S 15. TERMS, POWERS, PROVISIONS AND LIMITATIONS OF THE TRUST UNDER WHICH TITLE TO
THE LAND IS HELD.
H 16. A PROPERLY CERTIFIED COPY OF THE ORIGINAL TRUST AGREEMENT UNDER WHICH TITLE TO
THE LAND IS HELD, TOGETHER WITH A STATEMENT IN WRITING..BY THE TRUSTEE. THAT IT.
WILL PRODUCE THE ORIGINAL AGREEMENT UPON REQUEST, SHOULD BE FURNISHED, AND
THIS COMMITMENT IS SUBJECT TO SUCH FURTHER EXCEPTIONS, IF ANY, AS THEN MAY BE
DEEMED NECESSARY.
1 17. NOTE: THE LAND DESCRIBED IN SCHEDULE A EITHER IS UNSUBDIVIDED PROPERTY OR
CONSTITUTES PART OF A SUBDIVIDED LOT. AS A RESULT, A PLAT ACT AFFIDAVIT SHOULD
ACCOMPANY ANY CONVEYANCE TO BE RECORDED. IN THE ALTERNATIVE, COMPLIANCE SHOULD
BE HAD WITH THE PROVISIONS OF THE PLAT ACT (765 ILCS 205/1 ET SEQ.).
J 18. EASEMENT OVER THE THE LAND FOR INGRESS AND EGRESS TO PROPERTY EAST AND
ADJOINING CONTAINED EASEMENT AGREEMENT BY AND BETWEEN JACOB J, JEANS AND
EDWARD WEITLINE AND CLARA H. WEITLING, HIS WIFE, DATED JULY 14, 194 3 AND
RECORDED JULY 24, 1943 AS DOCUMENT 451483 AND ALSO AS SHOWN ON THE PLAT OF
SURVEY RECORDED OCTOBER 7, 1950 AS DOCUMENT 606585.
(FOR FURTHER PARTICULARS, SEE RECORD.)
(AFFECTS THE NORTHWESTERLY 33 FEET OF THE LAND)
2 19. RIGHTS OF THE PUBLIC, THE STATE OF ILLINOIS AND THE MUNICIPALITY IN AND TO
THAT PART OF THE LAND, IF ANY, TAKEN OR USED FOR ROAD PURPOSES.
K 20, FRONTAGE PERMIT MADE BY FRED LENZ TO STANDARD OIL COMPANY, AN INDIANA
CORPORATION, ITS SUCCESSORS AND ASSIGNS, THE RIGHT TO LAY, MAINTAIN, OPERATE,
REPLACE AND REMOVE A PIPELINE FOR THE TRANSPORTATION OF PETROLEUM PRODUCTS,
UPON, UNDER AND WITHIN THE EAST SIDE OF THE PUBLIC HIGHWAY RIGHT OF WAY KNOWN
AS ILLINOIS ROUTE 83, ON OR ADJOINING THE GRANTOR'S LAND. SAID PERMIT MADE
UPON THE CONDITION THAT STANDARD OIL COMPANY PAY ANY DAMAGES WHICH MAY ARISE
TO GRANTOR'S INGRESS AND EGRESS ROADWAYS, CULVERTS, WALKS, FENCES OR OTHER
IMPROVEMENTS OF GRANTORS, FROM THE EXERCISE OF THE RIGHTS THEREIN GRANTED.
SAID PIPELINE SHALL BE CONSTRUCTED AND MAINTAINED IN ACCORDANCE WITH A STATE
PERMIT AND SPECIFICATIONS AND AT THE RISK AND EXPENSE OF STANDARD OIL COMPANY.
THE TERMS, CONDITIONS AND PROVISIONS OF THIS AGREEMENT SHALL EXTEND TO AND BE
BINDING UPON THE HEIRS, EXECUTORS, ADMINISTRATORS, PERSONAL REPRESENTATIVE,
SUCESSORS AND ASSIGNS OF THE PARTIES THERETO, DATED AUGUST 12, 1958 AND
RECORDED OCTOBER 21, 1959 AS DOCUMENT 944464.
ASSIGNMENT OF RIGHTS OF WAY TO THE AMERICAN OIL COMPANY, A MARYLAND
CORPORATION DATED DECEMBER 31, 1960 AND RECORDED MARCH 23, 1961 AS DOCUMENT
R61-786.
(AFFECTS AFFECTS THE' LAND AND OTHER PROPERTY)
Ceppfghf O.vricoR Lsanil HB» AmmMMa. Alt narcniMi. 7t» use of Mb
».AB<*er«WM|«wW&iwt Reprinted undeijlcenseftanithB American Land TBteAssoeiBlkin. urn**
CMBtcm 3m Ml XL7 p*>OEB JS5 BSE® 13 08:40:08
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CHICAGO TITLE INSURANCE COMPANY
COMMITMENT FOR TITLE INSURANCE
SCHEDULE B (CONTINUED)
ORDER NO,: 1401 880012672 02
o 21. FRONTAGE PERMIT TO WEST SHORE PIPE LINE CO., A DELAWARE CORPORATION, ITS'
SUCCESSORS AND ASSIGNS, THE RIGHT TO LAY, MAINTAIN, OPERATE, REPLACE AND
REMOVE A PIPELINE FOR THE TRANSPORTATION OF PETROLEUM PRODUCTS, UPON, UNDER
AND WITHIN THE EAST SIDE OF THE PUBLIC HIGHWAY RIGHT OF WAY KNOWN AS ILLINOIS
ROUTE 83, ON OR ADJOINING THE GRANTOR'S LAND. SAID PERMIT MADE UPON THE
CONDITION THAT STANDARD OIL COMPANY PAY ANY DAMAGES WHICH MAY ARISE TO
GRANTOR'S INGRESS AND EGRESS ROADWAYS, CULVERTS, WALKS, FENCES OR OTHER
IMPROVEMENTS OF GRANTORS, FROM THE EXERCISE OF THE RIGHTS THEREIN GRANTED.
SAID PIPELINE SHALL BE CONSTRUCTED AND MAINTAINED IN ACCORDANCE WITH A STATE
PERMIT AND SPECIFICATIONS AND AT THE RISK AND EXPENSE OF STANDARD OIL COMPANY.
THE TERMS, CONDITIONS AND PROVISIONS OF THIS AGREEMENT SHALL EXTEND TO AND BE
BINDING UPON THE HEIRS, EXECUTORS, ADMINISTRATORS, PERSONAL REPRESENTATIVE,
SUCESSORS AND ASSIGNS OF THE PARTIES THERETO, DATED SEPTEMBER 1, 1959 AND
RECORDED OCTOBER 11, 1960 AS DOCUMENT 982997.
F 22. GATE JUNCTION CONTRACT RECORDED OCTOBER 21, 1959 AS DOCUMENT 944463 GRANTED TO
STANDARD OIL COMPANY FOR PIPELINE OR OTHER GATE VALVES AND DESCRIBED AS
FOLLOWS;
COMMENCING AT THE SOUTHWEST CORNER- OF LOT 2? THENCE NORTHWESTERLY ALONG THE
EAST RIGHT OF WAY LINE OF ILLINOIS ROUTE 83, A DISTANCE OF 263 FEET TO A POINT
OF BEGINNING; THENCE NORTHEASTERLY PERPENDICULAR TO SAID RIGHT OF WAY LINE A
DISTANCE OF 25 FEET; THENCE NORTHWESTERLY, PARALLEL TO SAID RIGHT OF WAY LINE
A DISTANCE OF 25 FEET; THENCE SOUTHWESTERLY PERPENDICULAR TO SAID RIGHT OF WAY-
LINE A DISTANCE OF 25 FEET; THENCE SOUTHEASTERLY A DISTANCE OF 25 FEET, ALONG
SAID RIGHT OF WAY LINE TO THE POINT OF BEGINNING.
NOTE; BY ASSIGNMENT RECORDED MARCH 23, 1961 AS DOCUMENT R61-766, STANDARD OIL
COMPANY CONVEYED ALL RIGHT, TITLE AND INTEREST IN SAID CONTRACT TO AMERICAN
OIL COMPANY.
Q 23. RIGHTS OF WAY FOR DRAINAGE TILES, DITCHES, FEEDERS, LATERALS AND UNDERGROUND
PIPES, IF ANY.
R FOR ALL ILLINOIS PROPERTY: FOR COMMITMENT ONLY
EFFECTIVE JUNE 1, 2009, PURSUANT TO PUBLIC ACT 95-988, SATISFACTORY EVIDENCE
OF IDENTIFICATION MUST BE PRESENTED FOR THE NOTARIZATION OF ANY AND ALL
DOCUMENTS NOTARIZED BY AN ILLINOIS NOTARY PUBLIC. UNTIL JULY 1, 2013,
SATISFACTORY IDENTIFICATION DOCUMENTS ARE DOCUMENTS THAT ARE VALID AT THE TIME
OF THE NOTARIAL ACT; ARE ISSUED BY A STATE OF FEDERAL GOVERNMENT AGENCY? BEAR
THE PHOTOGRAPHIC IMAGE OF THE INDIVIDUAL'S FACE? AND BEAR THE INDIVIDUAL'S
SIGNATURE.
5 "BE ADVISED THAT THE "GOOD FUNDS" SECTION OF THE TITLE INSURANCE ACT (215 ILCS
155/26) BECOMES EFFECTIVE 1-1-2010. Š THIS ACT PLACES LIMITATIONS UPON THE
SETTLEMENT AGENT'S ABILITY TO ACCEPT CERTAIN TYPES OF DEPOSITS INTO ESCROW.
Cepfrtght Anwflam inmt 1Mb MmWIm, All right* nMrMtf.The u» of Mb Rsm it nwtrtctert to ALTAifauiMMB and AL.TA mnim
m Boad simtog as of ft# rials of use. All after uas am ptoWbtteti Reprinted ums«f teanst tram the American Lemt Tfc AssoeMon.
CMBIC06R 3! 11 ML It? PAGE B JS5 05" 0*13 08:40:08
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CHICAGO TITLE INSURANCE COMPANY
COMMITMENT FOR TITLE INSURANCE
SCHEDULE B (CONTINUED)
ORDER NO.: 1401 880012672 D2
PLEASE CONTACT YOUR LOCAL CHICAGO TITLE OFFICE REGARDING THE APPLICATION OF
THIS NEW LAV TO YOUR TRANSACTION."
** END **
CopyrigM Anwrtean land TM» AusodaiMm. Att rights ivmcvmI. H» ne of Ms Rmtn It restricted to ALTASeanMtw
ingt^stsntSttgesoftwdaleof use. Allcftiarusfis at* ppoWMetf. R^»rtnt«l u»£tegmt» Swn t» AnMtean LawJ ">"b» Awociaflon. ga
CMB1C05R SfSlMt JL7 PA0EB JS5 OS Off 13 08-40:08 .jab.
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s
% :
CHICAGO TITLE INSURANCE COMPANY
COMMITMENT FOR TITLE INSURANCE
ORDER NO.: 1402 880012672 D2
CONDITIONS
1. The term mortgage, when used herein, shall inchide deed of trust. trust deed, or other security instmineut.
2. If Ae proposed Insured has or acquired actual knowledge of any defect, lien, encumbrance, adverse claim or other
matter affecting the estate or interest or mortgage thereon covered by this Coniniitnient other than those shown in
Schedule B hereof, and shall fail to disclose such knowledge to the Company in writing, the Company shall be
relieved from liability for any loss? or damage resulting from any act of reliance hereon to the extent the Company is
prejudiced by failure to so disclose such knowledge If the proposed Insured shall disclose such knowledge to the
Company, or if the company otherwise acquires actual knowledge of any such defect, hen, encumbrance, adverse
claim or other-matter, the Company at its option may amend Schedule B of this Commitment accordingly, bnt such
amendment shallnot relieve the Company from habilityprevioiisiy incurred pursuant to paragraph -I or these
Conditions,
3. Liability of the Company under this Commitment shall be only to the named proposed Insured and such parties
included under the definition of Insured in the foim of policy or policies committed for and only for actual loss
incurred in reliance hereon in undertaking m good faith (a) to comply with the requirements hereof, or (b) to
eliminate exceptions shown in Schedule B, oi (c) to acquire or create the estate or interest or mortgage thereon
covered by this Commitment. In no event shall aich liability exceed the amount stated in Schedule A for the policy or
policies committed for and such liability is subject to the insuring provisions and Conditions and the Exclusions from
Coverage of the form of policy or policies committed for in favor of the proposed Insnred'whicb are hereby
incorporated by reference and are made apart of this Commitment esrepr as expressly modified herein.
4. This Commitment is a contract to issue one or more title insurance policies and is not an abstract of tile or a report
ofthe condition of tile. Any action or actions or rights of act ion that the proposed Insured may have or may bring
against the Company arising out ofthe status ofthe tile to the estate or interest or the status ofthe mortgage
thereon cowed by this Commitment must be based on and are subject to the provisions of this Commitment,
5. The policy to be issued contains an arbitration clause. AII arbitrable matters when, the A mount of Insurance is
tZ 000,000 or less shall be arbitrated at the option of either the Company or the Insured as the exclusive remedy of
the parties. You may review a copy ofthe arbitration, rules at < http:/ / www. alta.o rg/ >,
to gM(t w cf te Mb tf M
GOMCOMW 3111 ML J17
JS5
05/0WB
08:40:08
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CHICAGO TITLE INSURANCE COMPANY
1031 EXCHANGE SERVICES
If your transaction involves a tax deferred exchange, we
offer this service through our 1031 division, IPX 1031. As
the nation's largest 1031 company, IPX 1031 offers
guidance and expertise. Security for Exchange funds
includes segregated bank accounts and a 100 million dollar
Fidelity Bond. Fidelity National Title Group also provides
a 50' million dollar Performance Guaranty for each
Exchange. For additional information or to set-up an
Exchange, please call Scott Nathanson at (312) 223-2178 or
Anna Barsky at (312) 223-2169.
1B1IEX 05/Q9ML
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Effective Date: May 1. ZOOS
Fidelity National Financial lac.
Privacy eiit
Fidelity National Financial, Inc. and its subsidiaries (*FNF*) respect the privacy an<3 security of your n on-public personal information ("Personal
Information") and protecting your Personal Information is one of our top priorities. This Privacy Statement explains FNF's privacy practices,
mdudmghow¥?e use the Personal Information we receive from you and from other specified sources, and to "sshom it maybe disclosed. FNF follows
the privacy practices described in this Privacy Statement and, depending on the business performed, FNF companies may share information as
described herein. . _ .
Personal Information Collected
We may collect Personal Information about you from the following sources: .. - - .
Information we receive from you on applications or other forms, such as your name, address, social security number, tax identification number,
asset information and income information;
Information we receive from you through our Internet websites, such as your name, address, email address, Internet Protocol address, the website
links you used to get to our websites, and your activity wtoile using or reviewing our websites;
Information about your transactions with or services performed by us, our affiliates, or others, such as information concerning your policy,
premiums, payment history, information about your home or other real property, information from lenders and other third parties involved in
such transactions, account balances, and credit c^d information; and
Information we receive from consumer or other reporting agencies sind publidy recorded documents.
Disclosure of Personal Information
We may provide your Personal Information (excluding information we receive from, consumer or other credit reporting agencies) to various
individuals and companies, as permitted bylaw, without obtaining your prior authorisation. Sudj laws do not allow consumers to restrict these
disclosures. Disclosures may in elude, without limitation, tke following:
To insurance agents, brokers, representatives, support organisations, or others to provide you with services you bave requested, and to enable us
to detect or prevenfcrimmal activity, fraud, material misrepresentation, or nondisclosure in connections with an insurance transactions;
To third-party contractors or service providers for the purpose of determining your eligibility for an insurance benefit or payment and/ or
providing you with services you have requested;
To an insurance regulatory authority, or law enforcement or other governmental authority, in a civil action, in connection with a subpoena or a
governmental investigation;
To companies that perform marketing services on our behalf or to other financial institutions with which we have had joint marketing agreements
and/or
To lenders, lien holders, judgement creditors, or other parties claiming an encumbrance or an interest in title whose claim or interest must be
determined, settled, paid or released prior to a title or escrow closing.
We may also disclose your Personal Information to others when we believe, in good faith, that such disclosure is reasonably necessary to comply with
the law or to protect the safety of our customers, employees, or property and/ or to comply with a judicial proceeding, court order or legal process.
Disclosure to Affiliated Companies - We are permitted by law to share your name, address and facts about your transaction with other FN?
companies, such as insurance companies, agents, and other real estate service providers to provide you with services you have requested, for
marketing or product development research, or to market products or services to you. We do not. however, disclose information we collect from
consumer or credit reporting agencies with our affiliates or others without your consent, in conformity with applicable law, unless such disclosure
i s otherwise permitted by law.
Disclosure to Nonaffiliated Third Parties - We do not disclose Personal Information about our customers or former customers to nonaffiliated
third parties, except as outlined herein or as otherwise permitted bylaw
Confidentiality and Senility of Personal Information
We restrict access to Personal Information about you to those employees who need to know that information to provide products or services to
you. We maintain physical, electronic, and procedural safeguards thai comply with federal regulations to guard Personal Information.
Access h> Personal information
Requests for Correction. Amendment, or Deletion of Personal Inform ation
As required by applicable law, we will afford you tb.e right to access your Personal Information,under certain circumstances to find out to whom
your Personal Information has been disclosed, and request correction or deletion of your Personal Information. However. FNF's current policy
is to maintain customers' Personal Information for no less than your state's required record retention requirements for the purpose of handling
future coverage claims.
For your protection, all requests mack under this section must be in writing andmust indude your notarized signature to establish your identity.
Where permittedbylaw, wemay charge a reasonable fee to cover the costs in curredin responding to sudi requests. Please send requests to:
Chief Privacy Officer
Fidelity National Financial, Inc.
601 Riverside Avenue
Jacksonville, FL 32204
Changes to this Privacy Statem eut
This Privacy Statement may be amended from time to time consistent with applicable privacy laws. When we amend this Privacy Statement, we
will post a notice of such changes on our website. The effective date of this Privacy Statement, as stated above, indicates the last time this Privacy
Statement was revised or materially changed
PRIVACY 5/CIS ML
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U.S. ENVIRONMENTAL
PROTECTION AGENCV
NOV 2 1 2013
OFFICE OF REGIONAL
COUNSEL
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FRED BUCHOLZ
DUPAGE COUNTY RECORDER
MAR.17,2014 RHSP 10:58 AM
OTHER 10-11-401-006
121 PA6IS R2Q14-021511
This instrument was prepared by;
y,
- Name: / : Shell J. Bleiweiss Š' \
Address; ( 1 S. Dearborn St Suite 2100 \
I Chicago, IL 60603-2307 I
Please return tils instrument to; . ^
Name: Shell J. Bleiweiss
Address: 1 S. Dearborn St. Suite 2100
Chicago, IL 60603-2307
ENVIRONMENTAL COVENANT
1. This Environmental Covenant is made this SSi day oflSBI 2013, by and among
Charles W, and Nancy I. Russell (Grantor) and the Holder/Grantee further identified in
paragraph 3 below pursuant to the Uniform Environmental Covenants Act, 765ILCS Ch,
122 (UECA) for the purpose of subjecting the Property to the activity and use limitations
described herein.
2. Property and Grantor.
A, Property: The real property subject to this Environmental Covenant is
located at Route 83 and Jeans Rd, Lemont, DuPage County, Illinois 60439 and is legally
described in Appendix A, hereinafter referred to as the "Property".
B. Grantor: Charles W. and Nancy J. Russell are the current fee owner
of the Property and are the "Grantor" of this Environmental Covenant. The mailing .
address of the Grantor is 16994 Whiteoak Ridge Road, Pea Ridge, AK, 72751.
3. Holder fand Grantee for purposes of indering). Illinois EPA and the
Settling Work Defendants (as defined herein, paragraph 5. B.) are the Holders (and
Grantees for purposes of indexing) of this Environmental Covenant pursuant to its
authority under Section 3(b) of UECA. The mailing address of the Illinois EPA is 1021
N. Grand Avenue East, P.O. Box 19276, Springfield, IL 62794-9276. The mailing
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address of the Settling Work- Defendant$'is:c/o Alan Bielawski, Sidley Austin,, One S.
Dearborn St, Chicago, IL 60603.
4. Agenciea, ThftnilnoiaBPAtaiicl'tte-U.S, EPA are "AgmeiesM'wifMa'''tlie
meaning of Section 2(2) ofUECA. Tie-Agencies have approved-the-environmental
. response project .described in, para|ptph-5'helqw and may;ehfiwce tMs'Envjroninratar
Covenant pursuant to Section 11 ofUECA.-..
A. .This 'Environmental Covenant-arises underan-'enviroamental response'
project as defined in Section 2(5) ofUECA.
B. The Property is part of the Lenz;0il Superfund Site, which the U.S-..EPA,
pursuant to Section 105 of the Comprehensive Environmental Response, Compensation
and-LiaWUty;Act("CBRCLA*\-42 U.SJC. § -9605, placed :on the .National Priorities-list,
set forth at 40 G.E.R. Part 3.00,. Appento'B.iji a Record of Becisioii:(ROD) signed by
the U.S. EPA Region; 5'SppstodDivislottBirectorott-SepteDaber-SO, 1999, the'U.S.
EPA approved, a pimfor:mviroim^#rcmrfiai6n "of the Site, In the: Consent Decree
signed on August 14,2002, UmitM^States^fMrnerimond the :8iate.ofIllinois':v. Alpha
- Construction, et al., Case No. 02 '360"9. (N.D. 111.), Settling Work Defendants, as
defined in the ConsentDecree'afp. 14 and listed1-in Appendix- B.l to the Consent Decree
agreed to implement tlie remedial action plan M-.the.ROD-inckdliig-the,excavation of the
principal .-threat area, the freatment-pf the contaminated material via
- solichication/stebilizatiion^S/S), the disposal- of-the. treated material ^within .a corrective,
action-management unit (GAMU), and fhe-,ikpfeinentation-of a pump-and-treat system-
for contaminkntsthat remain In .theaquifer after the other-actions-are. completed- In April
2007, the U.S. EPA-issued an Explanation,of Significant Differmcer(ESD) that .changed'
the Phase I remedy'alteniative.f^m'exc&vation and treatment, via
solidification/stabilization to Vacuum Enhanced Recovery (VER). In April 2008, the U.S.
EPA approved the Remedial Design. Cta.Novemtoer 19, -2010,.'the U.S. EPA approved the
Phase I Remedial Action Constmctibn-Completion Report The,remedial action plan
requires implementation and C0mpKance--with land and;groundwater:Mtivi^-;and use
limitations at the tea-Oil-Site, The Consent Decree also;piovi;des that U.S- EPA may
require additional respoiise-'aetiyity, inclMkg'Chaiigmgthe-rfnietlyi under certain limited
circumstances.
C. Grantor wishes'to cooperate-'fiiUy'wiis'.the.Ag^cIes.by granting the
required environmental covenants at the.. Site.
D. The AdmMs'trative fteconl for the environmental response-project at--the1
Lenz Oil Site (including the Eroperty)is;-paiiitaine
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Lemont Street, Lepont, l|i:.6,Q439 for the Administrative Record or oilier information
. concerning the Site.
6. Grant of Covenant, Covenant Runs With The Land. Grantor creates this
Environmental Covenant pursuant to UECA-so 'that'the: Activity and IJse.Limitationg and
associated' terms and conditions .set forth herein.'shall ''runwith the land" in-accordance:
with Section 5(a) ofUECA and shall be binding- on Grantor,, its'heirs, successors and.
assigns, and on all present and subsequent: owners,;o'ecupaats, lessees or ptfierperson
acquiring an' interest in the: Property. v
7, Activity and Use Limitations. The following Activity and Use Limitations
apply to the use of the Property:
A. The-Property, shall'not be used in any nmmer that would interfere wife or
adversely affect the integrity or protectiveness of the remedial action which has been
implemented or which will be implemented pursuant to the Consent Decree unites the
written consent ofU;S. EPA to-such uselsfirst obtmrf. The restffctions-on the
Property shall include, bitf arenot HiMted'to, hot-allowing' any''drilling; digging, building,
or the ih&allation, construction, removal or-Cttse of any buildings, wells, pipes, roads,
ditches or any other structures on the Property unless the written consent of U.S. EPA to
such use or activity is first obtained.
B. There shall be no excavating for landscaping, construction or other
activities which removes soil from any portioh of the.-PropKty'unless the written consent
of U.S. EPA to such use'or activity is. first obtained.
C. Construction of wells and activities that extracti consume, "or otherwise use
any groundwater are prohibited on the Property.
0. Notwithstanding theabove, implementation of the Work-as defined'in the
Consent Decree shall be permitted and stall not require any ftoher consent of U.S. EPA,
Use and maintenance o f buildings Mtf equipment-present as of the effective date, of this
ofU.S. EPA.
8. - Access to the Property. Grantor agrees that U.S. EPA, the Illinois EPA and the
Settling Work Defendants, their successors and assigns, and their respective officers,
employees, agents-Contractors, and other invitees (collectively, "Access;Grantees,?)':shall
have and hereby grants to ea6h:0f them an;unresWcted rightof :'access'-to,thie Property to
undertake'the-Permitted Uses'described in.Piapaph'9'befow.;and, in connection
therewith,!© use all roads* drives anipaflis, paved drunpaved, located on the Property.
The right of access granted under this Paragraph18' shall be irrevocable while-this
Covenant remains in full force and effect.
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9. Feruiittei'lJseSi The'right of access,Ranted undo-P aiajpiph .8-of Ms
Environmental Covenant shall provide Acces'Gfantees mth-acceK-atallreasoimMe
times to the Property, for the purposes of .conducting any activity related to the Consent
Decree, including fat not limited to, the following-activities:
A. Implementing, Šoperatmg:aiid!iiiaintaimng;the Work.pursuant to the
Cdnsait;D"©cree;.
B. . Monitoring the Work;;
C. Conducting-investigatiom-relafiEg'tp.««ai!nnation at ornear the Property
, induding, Mt not Jiimted4o,.|he sprfeee;or subsurface erection or
placement of physical-or-meehanical Qbjecte.necessary.fo those
investigations;
D. -ObtaJMng^samples;
1» -Assessing flie.rierffdrj,,plaimihg,iQr'implanentingadditio£iai response
actions at or near the Property;'
F. Verifying.any data-or Mormation-subinitted..to-:ll.:S, EPA or Illinois EPA;
G. In^ecting*d-cOpying'iwoids} operating-logs, contracts* or other
documents, maintained or "generatedbyiSetting- Work Defendants or'their -
agents^eomistmtwith Section-XX¥III-'(AGC'ess to Momation)-ofthe
Consent Decree;
H. Verifying, assessing, 'monitoring, implementing and enforcing the
Activityand Use Restrictions set forth in-Paragraph 7;
I. Assessing;Setttog-Work Defendants" comp!ianc.e:'wiih the Consent
Decree;-;and
I. Verifying that-no'actioni#eing:takm-on, the Property-in'Violation of the
terms of fi^pinstrument-tbp Work'.puKuant,to:the'Consent Decree or of
any-federal or state environittaitai laws or regulations.
Nothing mtMs document shall limit qrotherpse.-affect U.S. 'EPA.a&d Illinois EPA's-
rights of entry and access or-U.S. EPA'sani'.IlMnois'ElA'S'-aiiiibriy to ttteiresponse-
actions under CERCLA, ,the:National Contingency Plan ("NCP"), RCRA or other federal
and-state;law.
10. No Public Access and Use: No rightof access or use by the--general-public to
any portion of the 'Property, is conveyed by thiS'-instrument..
11. Future Conveyances. -Not! ce-and.'Eeservatioa;.
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A. Gimtpragreesto include many future insft^^tvconyeying interest
.in myi»rtioH.of1lie'-Propei%^!iicliidmg;l»iitnot'llmitaistd deeds,-leases aMmortgages, a
notice ffld^ewatiott-wMcMsM^abstaatiailyMefofloTOgfoini:
THE INTEREST CONVEYffiHlllHY IS SUlilCTTO -AND
GRANTOR SPEGmGAELY'RlSlKVES .THE ENWRONMINTAL
COVENANT 'EXECUTED UNDER THE UNXFORM -ENVIRONMENTAL
COVENANTS ACT (IJ1CA), AT;7«5'"ILCS CH. 122 RECORDED IN THE
OFFICIAL PROPERTY RECOMBSOFBtlPAGE COUNTY, ILLINOIS
ON; AS DOCUMENT NO. »IN 1AVOR-OP
AND INFORCEABLR.BY TMl.IttlNOISSNVIIlONMlNTAL
PROTECTION AGENCY'AS A.UECAHOLDER AND THE U.S.
INVIRONRffiNTAL PROTECTION AGENCY AS A.OTCA,AGENCY.
B. Grantor-agrees to-provide-written notice 'tb'I!IuiQi8-£PA..aad;lJ.S.'EPA
within 30 days after any conveyance, of 'fee-title to the Property'orany portion of the
Property. The notice'shall identify tfae.nme,md-a>iitMt-inforination of.tie new Owner,'
and' the portion of the Property conveyed- to thafc'Owner,-
12. Enforcement -and Compliance..
A. Civil Attion'forinjonctloii or-EquItaBle'Relief. This Environmental;
Covenant may be enforced'through a-.dyil action for injunctive'©*: other equitable relief
for any violation -of'any term or condffion.of this Environmental Covenant, including
violation of the Activity and Use'Limitations 'under Paragraph 7 and denfalofRightof'
Access raider Paragraph 8. Such an action may be brought individually or jointly by:
i- _ Settling WoA^Befend'aats;;
ii. the. ffliiKjkMvioiinienlal.Protection Agency; and
Šill. U.S..Environmental Protection Agency,
B. Otter Authorities Not; Affectei. NoWaiver of -Enforcement All
remedies available hereunder shall be in addition to any and all other remedies at law or
in equity, including CERCLA. Nothing M-Ms:Bnvii»nnimtai Covenant affects, U.S.,EPA-
or Illinois EPA's authority to take or:req«tfe-perfOrmaECe--'o'f Mponse-.aclions-'fciaddiess
releases or threatened releas'esof kazartoms substances or polteteits:-or!eoHtaiiiinants at or
from the Property,-'or to-:enforce a consent orier,-consent" decree-or other- settlement
agcement-eifereci,mte,i>yU.S. EPA,or;Dlinois,EPA. Enfoxc&nfefii of .the'teotts of tttis-
instrument sMibe at the:discr^on-of:the.HoideK, tle-Settiiiig:'Work':Defendants'
, the U.S. EPA and''Illinois EPA and any forbearance,-delay-or omission to'exercised'
rights under this instrument in the event of a breach of any term of this instrument shall
not be deemed to be a waiver by the Holders, the Settling Work Defendants .
, U.S. EPA or Illinois EPA of such term orofany subsequent breach' of th&sam&orany
other term, or of any of the rights of the Holders,_ the Sett!ing.Worfc'Peferidants
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, U.S. EPA;or Illinois EPA'of'such term:'oro£anysubsecpent teach of the same or any
otter term, .or-of'any of the-rigtite of ffie-HoHers»:tIieSeAkg Work Defendants
»U.S. EPA or Illinois EPA.-
C. Former' Owners. Ami .Interest-Holders Subject1 to Enforcement An'
Owner, or other person that holds aftyrig&Vtitle or interest-k-.or to the Property remains
the Owner or other person which occurred during the time when the Owner, or other'
person was bbttad'bythis Environmental Covenant regai#ess-of-whether the Qwjueror
other person, has subsequently conveyed the fee-title, or ofa. right, title, or interest, 'to
anotherpersoni. ;Š
13. Waiver of certain defenses; This EnviranmentaliGovehant may not be
extinguished, limited, or impaired, throu^iissraace.of a-tax deed,-foreclosure;of"a .tax
lien, or application of the doctrine-of''adverse'possession, prescription, abandonment,
waiver, lack-of enfprcan.®t,:Or-acqiiiescen£:e, or; similar'doctrine'as-set fortun'Section 9
of UECA.
14. -Grantprha^by represents and warrants to
the Illinois-EPA, U.'Sv EPA and any other'signafories tovthis.Envii»imenM Covenant,
that, at the time of execution of this Eiiiimeiitai-Covenaiit,:.tlM'the Grantor has a good
and lawful right and power-to grant-'this Environmental Covenant,.that the Property is
free and clear of encumbrances,-except.those-noted .on Appendix G attached hereto, and.
thereof. After-recording this 'instrument, Setting' WdriiBefmdaiis'will provide a copy of
this EnvirohinehtaiGovenmt-teall^holdeK of record 'of-the. encnmbmnces'itiRliirtmg.thnsa
entities noted'.on. Appendix C.
15. Amendment orTermlnatlan. ^ This Environmental Covenant may be
amended or terminated by consent only if the amendment or termination is signed by the
Illinois EPA, U.S.-.EPA-and the.currentiowner of the, fee simple.,of the -Property, unless-
waived by the Agencies..
16. Notices: Any notice, 'dmmd,.r^ties't,,cdiisent,.approval, or-communication
that either-party desires,or ia.reqtetoed.to.|pYe to .the other shall'be' In writing and'' shall
either be-served-.personMIy or-sentby'fii&cl&s-mail;.postage-prepaid, addressed as
follows:
To Grantor:
Charles W. and'Naucy J. Russell
16994 Whiteoak Ridge Road
Pea Ridge, AK 72751
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To-Holder;
. Settling. W
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re. eacfr person-iii possession of the-Property; and
v. each-potitfcal subdftasioii.in wMch the. Property is located.
Within 30 day^after'-OToidkg-a fcemmation^mendiitent or modification o'f.this.
Environmental .Covenant, tfae-Owmeror Settling Work DefeMaiits stall transmit,a.copy-
of the document 'in recorded* form- to the-persons listed in items i to v above.
18. .General -Provisions;.
A. Controlling law-: TMs'EiiviroiiiEentM Covenant shall be construed
according to and governed by the laws of the'State of Illinois and the United States of
America.
B. Liberal construction: Any-general-.role of construction to the
contrary notwithstanding; thte instrument shall Wti&i^iy-c&nstraedin favor of the
Grantor or Holders to effect the purpose
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IN WITNESS WHEREOF, THIS INSTRUMENT HAS BEEN EXECUTED ON THE
DATES INDICATED BELOW:
FOE THE GRANTOR;
Charles W. and Nancy J. I
(signature)
Charles W. Russell, Grantor
im J\rt&r6G£
State o£ Illinois )
)SS.
County o l)
°n \Q"
_ (signature)
My Commission Eimres^&V^ V\ qT^S
before me by.
KARA D. HOWARD
MYCOMWSKCm
EXPIRES: February 10,2015
Benton Count
By 1/QAiAA^ Qy. /UsAitXl (signature)
Nancy J. Ru^ell, Grantor/
W.U
State of Ma»w )
)SS.
County ofl ST\)
On lOc>)Q
jGkMX
K 4(fuvwi
Public
My tommission ]
, 2013, this instrument was acknowledged before me by,
. (signature)
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F0R^THE'1LLIN01S'1PWEC)NM1.NTAL,PE0TECT10K'AGENC¥'
(signature)
Director
Illinois Environmental Protection Agency
State of Illinois
County of
)
)SS.
This instrument was acknowledged before me on
LtSfi MNmiT ,
state agency, on hehalf of the State of Illinois.
^>201i:-by
on Agency, a
^signature):
Notaiy'Public " 0 J '(Š?*/Š Š. / .Š
My Commission Expires ' /%%/'/S
10
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FOR THE 1J8ITED STATES ;ENVttON®EN3*AL'PROTECTION AGENCY
By: (£*
Richard CT.'Karl, Director
Superfund Division
U.S. EEvironmeiiM''Prot«ttott Agency/Region. 5
IERTANNA M. LOUIE
STATE OF ILLINOIS ) iLfofW
\co . VvBarSry/ My Committion Ixpitei
/aa- ' MorchlS, 2014 "
COUNTY OF COOK )
. " The foregoing instrument was:aetaowledged before me this - %*\ ST day
'ofrgBRyft^-V" j^Oq^by'KichardC. Karl, Director, SuperftMd.Divisidii^RBgion 5 of
^signature)
%
, ,otary Putw- .
My Commission Expiries Ijar-ok 15 , %0-i <~f
II
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APPENDIX- A: Legal Description and Map.- of the Property
The legal description of the Lenz Oil Property is shown as .Parcel 1 on the-following map.
, ft «Š*-
fpL
D *t#1' '
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-APPENDIX B: Location of.Moiitering Wells
Location of Monitoring Wells are shown on. Parcel 1 of the following map.
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e
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APPENDIX C: List of Recorded Encumbrances
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'I
COMMITMENT FOR TITLE INSURANCE
Chicago Title Insurance Company
CHICAGO TITLE INSURANCE COMPANY, a Nebraska corporation. herein called the CangKuqr. fir Mailable
consideration. commits to issoe its policy or policies of title insurance, as identified ill Schedule A. ia-lavar ofthe
Proposed Insured named in Schedule A, as owner or mortgagee of fi» estate or interest ia file-Land described or
referred to iu
or j» Jjcies'eiBty and ob%ati0itinidef this CoamiiftiiMft'diall.cewe.alMl't«iniate-®nM!rtlKafla:.fl».E_®ctfc«i>ate or
to. issue tine
j>olky or p olicies Š k joo t die iaidt oftlic Cony mn'.
He oftiae ^%&n»ipi«UKfKit
IN WITNESS WHEREOF, Chicago Title Insurance Company iMB^twed its carp ornte name aud geaite.t>e
aJfised'.by is dnh- anthemed office»'"oa:ll» date sfkmaitt Stb&Me A.
issued By: .
CHICAGO TITLE INSURANCE COMPANY
10 S. LASALLE ST. 3100
CHICAGO, lb 60603
Refer Inquiries To:
(312)223-3008
CHICAGO TITLE INSURANCE COMPANY
' ay
Auttmimt.Signsloty-
CommflincsitNd.: i«i 1^0013345 D2
hgoodsawing as of the date otusa. M atmmm.am praN&Hed. Rifrfefed. under i»t« Writ the Anwtam Utmims AwoetaBen. gggg
COUCYKB Mliffl. 11/20A3 10:161)8 '"Jfef
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CHICAGO TmUMSIlfeANCB COMPANY'
C#MMnm-£WT»R;IimE insurance
SGHHUilA
YOUR REFERENCE; INFORMATIONAL - SHELL BfillfSlSS' ©RBm/MQ.-': 1401 t«§013348 D2 ,
EFFECTIVE DATE: NOVEMBER 1, 2013
L roUCYORTOMCllSTOll.lSSITSP;
OWNER'S POLICY: ALTA OWNERS 2006
MOUNTS §10,000.00
PROPOSED INSURED: TO. COKS
2. THE ESTATE OR INTEREST IN THE LAND OR REFERRED TO IN TBK COMMITMENT IS
FEE SIMPLE, UNLESS 0IHERW15E NOTED.
3. TITLE'TO THE ESTATE OR miER'ESTm THE LANi>';iS AT HIE KFfECTIWM-.Il.OT VESTED.IN:-
LENZ OIL SERVICE, INC., MJ ILLINOIS- COBPORATIOW
Coi>yri8M A8 rfghts fteenvM..Tti».iiMor IM» Rjw» is wsMcW to ALTA tomNiai aftC*W uwrrtJer*
in good sawing 8® of tw'itafc of me. AH.after mm am pmMMa& I^SWI iuMtorloanM tern .taAnKrimtami TOMssocfelian.
COMA4Q5 vji ML PAGEA1 IJf4 11/20/13 10:16:08
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CBKIACSO' lETn^'K^StiRAN^^-OORfP^IJNl^
.GOWMrr F0R mm!N&7tt4N££
SCHE1>IJLE. A (CONTINUED)
ORDER N0,« J: 1401 880013345' 02
4A. mANTOaS"l;M«Tmffi OKlE.'®T,PlM>"TO»E:iNSimED,i
-NONE
4B» SM>ANPOUCrr2MCMWi4C51C»E-'M,tiSTDEED'l».BEiNSl«H):
NONE
immSfim
Copwtaht'AmwicanUnd1MbAfl rights-nMnmL.TlM we*WrPow tomMcMto-ALTABwwww'awlALTA wwBtew
h good eiJSWBns as of mmta t* me. »l«terw8eB«tBprfiaiBi.''l%(teW ur. ArawfeonUmd 1* Asaocfefen.
©3M24TW 3/11 Ml. H-7 Š PAGEA1 .IMA 11/20/13 W-.16A8
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CHICAGO TITLE INSURANCE-COMPANY'
CaMMmiMWIOR.TIltt'liailASCB
"SCHMMiltE A (CONTINIIED)
ŠŠ ORDER. NOV i 1401 88Q01334S; D2
5. THE LAND REFERRED TOWlIlISG»BMIIM»TlSDBCllBm:4S.F'PIXOWS:
THAT PART OF THE SOUTHEAST QUARTER OF SECT-ION' 11, TOWNSHIP 37 NORTH, RANGE 11,
EAST OF THE THIRD PRINCIPAL MEM-DIM, DESCRIBED' BY eOMMBMCIMG AT THE CENTER 'OF
SAID'SECTION 11 AND RUNNING- THENCE; NORTH '89 'DEGREES'* 27 MINUTES' EAST 'ALONG' THE '
NORTH LINE OF SAID SOUTHEAST QUARTER', 764.-5 FEEI TO THE! 'SOUTHEASTERLY
RIGHT-OF-WAY BINE OF- THE-: ATCHISON, TOPEKA-AND 'SANTA- FE MILKQM}, AS WIDENED, FOR
A PLACE OF -BEGINNIWGJ THENCE;- &NTINUING WORTH 89 'DEGREES' 27 MINUTES EAST ALGMG'
SAID NORTH LINE OF THE 'SOUTHEAST .QUARTER- «1'0.6.7' FEET' TO 'THE 'WEST. LINE OF LOT 51 OF
THE ASSESSMENT DIVISION OF THE SOUTH- HALF OF SECTION 1 AND 2 AND ALL OF.. SECTIONS
11 AND 12, LYING NORTH OF THE- NORTH' -LINE OF THE SANITARY'-DISTRICT OF 0BXGAS0,,
ILLINOIS; THENCE SOUTH ALONG SAID WEST --LINE, 487.75 FEB- TO THE. CEMTIK LINE OF A
PRIVATE ROAD; THENCE SOUTH S3 :DEGREES -26 'MINUTES' WEST ALONG SAID -CENTER LINE,
834.8 FEET TO THE mSTERLY LINE OF THE :RIGHT-.OF-WAt IGF. STATE "HIGHWAY ROUTE 83
(FORMERLY 54) > THENCE iWORTHWESTERLY .-ALONG SAID" LINE, 3X3-. 95 FEET TO THE -
SOUTHEASTERLY RIGHT-.OF-SAY, MNE 'OF- "SAID SflMTA .-EE 'RAILROAD -M "WI-DENEDf: TH1MCE
NORTH 4-5 DEGREES 26 MINUTES .EAST. -ALONG SAID 'TOMED RIGTO-OF-WAY' LINE W'06.,6 FEET
TO THE'PLACE'OF BEGINNING., EXCEPT "THAT PART LYING "'WORTmSTEfiiY' OF A LINE DRAWN'
NORTHWESTERLY AT RIGHT ANGLES, "TO THE SOUTHEASTERLY'' LINE OF THE: ABOVE' DESCRIBED
PROPERTY FROM A POINT WHICH IS 202.0 FEET SOUTHWESTERLY (AS MEASURED ALONG SAID
SOUTHEASTERLY LINE) OF THE SOUTHEAST CORNER OF SAID ABOVE DESCRIBED PROPERTY, IN
DUPAGE COUNTY, ILLINOIS.
....... ..... - . .......
coMim mm. MJf pageju 1H4 n/zsms iO:iss»
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4 U:
COMIHI'IBT ¥0t Ulti: INMIRANCE'
SCHEDULE B
ORB® 1401 880013345 B2
hull m msFommma ;
GENERAL EXCEPTIONS
t, m'Gm's m cMiks of parties in pos.sbs.sion- not :saom'bt pimMc records. ;
2. ANY ENCROACHMENT, ENCUMBRANCE, VIOMTIGfl, VARIATION, OR ADVERSE CIRCUMSTAHGE'
AFFECTING -TEE TITLE TEAT WOULD BE DISCLOSED' BY AN ACCOMTE AND .iXMPLETB LAND SURVEY
of the. x^ma.,
3. EASEMENTS, OR CLAIMS OF EASEMENTS, HOT SHOWN BY PUBLIC RECORDS,
4. ANY LIEN, OR RIGHT TO. A LIEN, FOR SERVICES, LftBOR OR .MATERIAL HERETOFORE: OR
HEREAFTER FURNISHED, -IMPOSED BY JAW. AND HOT SHOW BY THE PUBLIC' RECORD'S. r
5. TAXES OR SPECIAL ASSESSMENTS iHICH ARE NOT SHOWN AS EXISTING LIENS BY" THE- PUBLIC-'
RECORDS. . ..
6. Yf EXTENDED COVERAGE; OVER.' .THE' FIVE GENERAL EXCEPTIONS' IS REQUESTED, WE SHOULD BE
FURNISHED THE FOLLOWING;
A. A CURRENT ALTA/ACSM OR ILLINOIS LAND TITLE SURVEY CERTIFIED T.O CHICAGO
TITLE INSURANCE COMPANY?
B. A PROPERLY: EXECUTED ALTA STATEMENT.?
MATTERS DISCLOSED- BY- .THE- ABOVE- ''DOCUffiMATION-WILL BK SHOWN SPECIFICALLY.
NOTE: THEME WILL BE. AN ADDITIONAL CHARGE FOR TMS COVERAGE.
7. NOTE FOR INFORMATION: THE COVERAGE -AFFORDED BY THIS COMMITMENT AND ANY -POLICY
ISSUED ŠSOTSUKKS UERESO SHALJi WSI CCSWENCS PBiQ®. TO THE- -BATE OK WHICH. -ALL CHARGES.
PROPERLY- BILLED. BY THE, COMPANY HAVE- BEEN; FULLY PAID..
8. NOTE FOR'ADDITIONAL nffORM&T.ION; THE DUPAGE/'COUNTY .RECORDER REQUIRES THAT HiY-
KK3MIW-3- imsmtEO-"¥OB.;imOKOraG;:C50m-MN THE "BOL1XS1BG. INFORMATION::
A. THE NAME AND'ADDRESS .OF -THE PARTY WHO PREPARED -THE DOCUMENTi
B. THE MM&, KHQ. ADDRESS 05 THE PAWIY -IPVWHCM. THE DOCUMENT SHOULD BE MAILED
AFTER RECORDING#-
C. . ALL PERMANENT REAL ESTATE. TAX' INDEX ; NUMBERS OF ANY: .PROPERTY LEGALLY
DESCRIBED IN THE DOCUMENT;
D. THE ADDRESS OF ANY PROPERTY LEGALLY DESCRIBED IN THE DOCUMEMTr
E. ALL DEEDS SHOULD. CONTAIN THE ADDRESS OF THE GRANTEE AND SHOULD ALSO NOTE
THE NAME AND ADDRESS OF THE PARTY TO -.TOM THE' TAX" BILES SHOULD /BE SENT.
F. ANY DEEDS CONVEYING .UMSUBDIVI-DED LAND, OR, .PORTIONS. OF SUBDIVIDED LAND, MAY
NEED TO BE ACCOMPANIED BY A PROPERLY EXECUTED *?PIAt -ACT Š AFFIDAVIT. **
"lift MtolTION, PLEASE-"NOTE-THAT' THE..MUNICIPALITIES-OF- ADDISON, AURORA, '-BMTLETT,-
BOtiXNGBROOK, CAROL STREAM,- ELK' GROVE VILLAGE,- ELHHURST* "GLENDALE ..HEZCTJS, GLEN
ELLYN, HANOVER- PARK, 'naPERVILLE, SCHAUMBURGi; 'WEST CHIGAGO, VHEATON, .AND
VOODRIDGE HAVE ENACTED TRANSFER TAX ORDINANCES. TO RECORD 'A CONVEYRMCE OF LAND
LOCATED IN THESE MUNICIPALITIES-, THE 'KEQUIRHfHITSŠ '.OF THE 'TRANSFER TAX
ORDINANCES MUST BE MKT. A OOHWMNCE' OF PROPERTY' 'IM'--THESE' CITIES MAY NEED TO
HKfS THE AWROPBIKIS TRANSFER TKR.'-ST-KKPS. -'AFFIXED BEFORE -IT CAN -BE KKORDED.-
(
-WKEmrapjBE-,.- DEEDS'Map -1SCW0®'TME 'CURSES? MARITAL STATUS
Cfl«rtgM'Aiiwlem LaiKt-Tttfo AMeclrtMt. At) right* mmmi. #H«'Wrii> Is wetrft^ joAkTASwrisws mm MSA "««rf»s
in good standing m of nm dab o/uta. Mmertmma»pf
-------
CMICAC^'TIimWSimAMCE-eOMPANY '
COMMmVIENT FOR TTTLE MMMMStM
sciroiiiB 'THE S.TATE OF -ILLINOIS AND THE M»I-GI'MLI-.T?' IN AND TO
to good staotirtfl as at the date of urn Mi afar use*'are potififteC ItofxIriM «*#»» fcwn ttwAawiWM Land .I»te ftsmMfai
CMMC05R 3/JI hS. J1S) PA0EB- ' JM4:' 11/20/13 10:1658
-------
CHICAGO TI3«MMmAM.CM'C»lFANY'
©»nfI«NT.:fQft .TITLE INSCR^CE1.
SCHEDULE B .0ON11NUED>
ORDER- Mp..:- 1401 , 880013345 D2
THAT PART OF 'THE LAND, IF ANY, TAKEN OR USED FOR; ROAD PURPOSES.
5 18. GRANT TO THE ATCHISON, TOPEKA AND SANTA FE RAILROAD COMPANY, A KftMSAS:
CORPORATION, BY INSTRUMENT DATED OCTOBER 12, 1948 AND RECORDED FEBRUARY 8, .
1949 AS DOCUMENT 562619, 'FR.CM JACOB J. JEANS FOR. TOE PERPETUAL 'RIGHT fflB-'
EASEMENT TO RELOCATE AND -MAINTAIN A DRAINAGE DITCH- OVER THE -FOLLOWING-
DESCRIBED PROPERTY:
A STRIP OF LAND; IN "THE NORTHEAST 1/2 AND SOUTHEAST 1/4 OF SECTION 11, TOWNSHIP
37, RANGE 11 EAST OF THE 'THIRD PRINCIPAL MERIDIAN, 10 FEET IN WIDTH 'LYING. 5
FEET ON EITHER SIDE OF A LINE DESCRIBED AS FOLLOtS;,
BEGINNING AT A POINT 55 FEET S&UTHE&STERLY OF, NORMALLY- DISTANT FROM OTTER-
LINE OF THE ORIGINAL MAIN TRACK OF -THE ATCHISON, TOPEKA & "SANTA 'FE RMLROAD
COMPANY AT MILE POST 20 PLUS 3800 FEET;. THENCE SOOTH8ESTERLY''-PARALLEL WITH .-A
55 FOOT NORMALLY DISTANT FROM SAID 'GOITER LINE OF ORIGINffi. MAIN: TRACK, TO"-WEST
LINE OF SOUTHEAST 1/4' .OF SAID SECTION 11. -
SUBJECT TO RIGHT-OF ȴ TOR mGimt"-LOOTED Wffi AND 'ACROSS'' SAID- SOUTHEAST' 1/4
OF SECTION 11.
M 19. EASEMENT OVER THE THE LAND FOR INGRESS AND EGRESS TO PROPERTY EAST AND
ADJOINING CONTAINED EASEMENT AGREEMENT BY AND BETWEEN JACOB J.. JEANS AND
EDWARD WEITLINE AND CLARA H. WEITLING, HIS WIFE, DATED JULY 14, 1943 AND
RECORDED JULY 24, 1943 AS DOCUMENT 4'5!483 AND ALSO AS SHOWN" ON THE-ELAT OF
SURVEY RECORDED OCTOBER 7, 'IS56.AS DOCUMENT 606585.
(FOR FURTHER .PMBCTLARS, SEE FEO&U).-.)-
(AFFECTS THE SOUTHEASTERLY 33 FEET OF THE LAND)
I 20. FRONTAGE PERMIT MADE -BY FKED LENZ TO STANDARD OIL COMPANY', AN INDIANA
CORPORATION, ITS' SUCCESSORS AND -ASSIGNS, THE RIGHT %QAND EGRESS ROADWAYS, COLYERTSr. WALKS;, FENCES OR OTHER
IMPROVEMENTS OF GRANTORS, FRCP. THE EXERCISE' OF THE. RIGHTS' THEREIN GRANTED.
SAID PIPELINE SHALL BE CONSTRUCTED. AND MAINTAINED IN ACCORDANCE WITH A STATE
PERMIT AND SPECIFICATIONS AND AT THE RISK AND EXPENSE OF STANDARD OIL COMPANY.
THE TERMS, CONDITIONS AND PROVISIONS OF:THIS AGREEMENT SHALL EXTEND; TO AND BE
BINDING UPON THE-HEIRS, 'EXECUTORS,' ADMINISTRATORS* PERSpNAL: REPRESBlTATI-VEs
SUCESSORS AND ASSIGNS OF THE PARTIES THERETO, ,DATED1 AUGUST 12, 1958 AND
' RECORDED OCTOBER 21, 1953' AS DOCUMENT 944464.-
ASSIGNMENT OF .RIGHTS OF WAY TO .THE' AMERICAN OIL COMPANY, A MARYLAND
CORPORATION, DATED DECEMBER 3l, i960 AND RECORDED- MARCH 23, 1961 AS 'DOCUMENT.
R61-786.
; 21. THE LAND LIES WITHIN THE DU PAGE COMITY SMITARY DISTRICT, -WHICH .HAS ACCEPTED
FEDERAL GRANTS FOR SEWAGE TRIMMEST WORKS1 PURSUANT-- TO' .PUBLIC '.litis. :92-500'.
'm good standby as of tfc® date of use. All otter yses"a» prohMted. pspffertaci UMtap»w<» torn ttwi Anwlcan Land .We1 AswcksSm.
CMBiCMR 3/11 ML JL7 PA0K-B IH4 11/20/13 4M'6M
-------
CmCAGOTIlMMSl^^
COMMITMENT POR-UHLS- INSURANCE'
S'emBtmE'B good slantflna wot #» dale of use. AS oS» mm am prafibtetf, Reptfntui UBis^fWBW #om tterAnerfcatt'tafifl H8s Assocfetol,
CM61C05R 3AI ML It? - -PAOEB: IH4' 11/2&/I3 !0I»J)3.
-------
CHICAGO TITLE INSURANCE COMPANY
Š COKr&in^lENT.fOR' 'TITLE INSURANCE
ORDER, MO. i 1401 880013345 D2
CONDIMOIfS
1, The term when used herein, s&al ijK&ide/deed ®f trast.-frost fed,;di-«tfe::seci«%- 'ajsfaunat.
2. If flue proposed Ijmired lias or acquired' actoal'kjwifcdge'ofaiw. 4efcc%"fai» encumbrance. advesse chin or ofh«
matter alkfiig tlie estate or interest or a»rt«ige ttwreoa covjred by.-tte C'opBiiiinent'oiief titan those
Schedule B hereof- and sinlMaii'to disclose swii fawwiedge to the Ciiattpauy -in.wiMttg.' fi*e CompanyslmlBe
relieved <'lrom l»bl!ij'-fca^'lftffl'Or't»mnay, amend &kednki B offfife Gonpjiinai according^, brtstieh
amendment shaltaot relieve' ftr oapaj^-fi.mii to paragraphs or fee
Conditions.
included .tinder the de&iiioaoflisnred intiwftmi ofpoticy ear poipes committed &t and aaty ftr ach»lfo®,
incurred itrefiaticeliareosi in tn^ arfekiig mss»wt fiifti (a") toconpiy wft tbe xeqwkajieiits hereof ) to
elkiiiate exertions sWwnini^jeAte'B. or (e> to 'acqnM or.exeatette esfeteor £ntere& or mhrfgage thereon-
cowed by this CcaraiiiiMaQt.' &1110 exceed, the.anisndt stated kScbeAikA fir fljepolkyor
Coverage oftbe firaiofp.ttlfcy otpoJkjeBcoiiM»attecl.fermfiOTr'offfiep»posW-ljtlip^'%>lH#iareliei'eby
iicoiporatedby tefeatfe'aiKl are made a-pai* MflMs-CoumAiwitescepta# e^w^^modifed'lMreii.
4, HBsComaiitoMaitiga coitffact to winie one oir luoreit^ inntrance po licies and 'js-fflotaaArtract-oftitfe or-awgfort
of the condition. oftitfe.- itag actjosiOT actions lamed may lave or may biting
5. The pokey to be issued contains an arbitration clause. AB-arMrttbte.mattemwkm tke Ammmt-of Insurance is-
$ZOOO,OOQ or less shall be arbitrated at the option afeither tkeCanpmym'ths Insured as the exdume remedy
the parties. Taw may rmtm0acopy'oftheatbiiratton-.mlm'<$--.
Copyright fmmiem tanM We Association. Allrtahte rwwvatf. The use of Bite Form b wWcM to ALTftteiwas and M.1A memlw»' ggg
to geed sUvk&vj es of the
-------
CHICAGO Till!] MSBMAWCm COMPANY'
1031 'EXCHANGE. SERVICES
Ify«nr'triiB'iic©ii .feA'cs a; "tax- 'deferred exdiange-, -to
offer tife senite 'llMwiigtt:dirirl03i; .dfc^ion, lEH#'], AS
ite natloiiV iaigesf I'OM- comfian^v HSXiO^l -offers
guidance and expertise. Secmity for Exchange ftmA
includes segregated'tatakacjcouiifc and a 100' ailit» dollar
Mde% Bond. 'llifeltjr National Title <*ro«ip
Ša "50 jftfllon dollar' ':P#'rf©ri*iiite- C^itaiy' for eacir
Excliaiige. For addili<^l jnifpirati^ #f td sejtaup- .air
Exclraiigevfdease caHScwtl NafliiMiM»M'ati{312) 223-2l78:-or
AlttM Biitsfiy at <31-2>2-23-21p.
1031EX 05/09 ML
-------
.A
'-Effects*Date: Hayl-.-liftS
-FiieifyNattaalFiiiaical, Me..
.ftivncjr Statement
Hddiy Ha&ad FsdUKaO. las. "ad 4»- mbaMma ropes* the prbmqr isad seooisr ofjoor na^i&Kc'penoitf'iafixintfoft
lofcimatiDn') md jroteEJi^y«iiirI'«ff«Ml-Mwa«i»s-»-aw «fwr top piksiim. Mj £ki^'9ttfanHitaqilamf tSS's pciracy practicei,
inttofisgliow we me fcPexwjal'MaiiMioii we rccefr c Iran yoo said ton afl»er epecffirf samta, and to itbamitnaybc Oxkte.4.BNF. fiSowi
the privacy prvcbcet detcr&ed in thb Priracy Satsnat nvL 'di^md&g.-on tlie'busiiw*:|>efiwi*d. FNF eonapanef a«r Am iifcnnaiictt jo
described herein
FnrswidliifiiiittatUn CeHt*t*S
JsxSxmtioa-me^emeS-aafm.ca-^j^c^om or olfcfciiBi, s«fc*a»,^»riM»» aaiw,i«a,smi^.maAer..tmidai^^Mm.mxAer, ^
Mi&httamMkamdkmetMwi<*iftrw#i,6wBtemet^^-^*'y»'n^'Mira».E^*i*s$s'l*a»«K«bCQlad(lroslhe.w6aM
JjOTt y>Wtcwmm&X3sj^A:n,®«J«"«'fl«B'a®J peiorteatiSe er.ennw.clMiag.
WtmnAo 4i$clo«eyo5^^roccM4^femMfim*oo&«*eswetieIiDre,i«giK*ifeilli,d8Bt$odadis3mm!isrttsoHi%B«*s$®$yt<>c«sks,.s%eito, TOd otherrs&l esljsts service pro^-ideo to prowic yoii «aA services yoii !is.fg r®qn«^ed,-fer
Šmajfaliigcrpn>di»ctdCT(&i>«i»i4r«cBrti,->at.toojai:etprod«iicto arnraccstoyaa; We do xot; however, dif dose wt txHectftm
ccansnar or crrd^ri^crtingagenais villi our affi£atei or ofljeis vilhcut your ecu a>t,m wnfcj midwife epp£cable Jaw, oiileu roc& dsdorare.
is <*heirae poniHfted'byfcw;
DtK-bngetAWowaflffiK^edHhardPattieii- We do.nctdiidQSBPcrK^JMboaatioaalK^imemAQiiKnorfimittcwtcaiwteaw^ttftd
third paxtsei, 'emeptm 'oflOned hBtB»Pri7StasBm*m^fba«M>dedfe»liaetoai»«x«stoJt,«»*p&*fcpm*y.fcs. Wfca.w
^portattilfce'%'4a«#4
PRIVACY s<« ML
-------
Attachment 3
-------
Lombard ma n acquitted of murder charges in Elmhurst bar stabbing
By SUSAN SARKAUSKAS
ssarkauskas@dailyherald.com
A Lombard man was acquitted
Jan. 31 of first-degree murder in the
stabbing of a 28-year-old man during
a confrontation outside an Elmhurst
bar.
Ronald Dunbar, 58, killed Karl
Bomba, 28, of Yorkville with a single
stab to his chest on April 10, 2021.
Dunbar acknowledged stabbing
Bomba but said he was defending
himself.
DuPage County Judge Ann Celine
O'Hallaren Walsh ruled Dunbar was
not guilty on five counts of first-de-
gree murder and one count of unlaw-
ful use of a weapon.
Friends and relatives of Bomba
and supporters of Dunbar packed the
courtroom during the five-day trial.
"Regardless of the outcome, Karl
Bomba's life was taken under sense-
less circumstances," Walsh said
before announcing the verdict.
She said the sole issue was
whether Dunbar unreasonably
believed he was justified in using
deadly force to stab Bomba.
She said the events inside and out-
side the bar before the stabbing were
relevant to Dunbar being afraid he
was going to be killed or injured.
"In a very short period of time, the
defendant saw [Bomba and his
brother] wreak havoc on the Spring
Inn before the defendant even exited
the bar," Walsh said.
Bomba went to the Spring Inn bar
on Spring Road with his girlfriend
and his brother. Before that, Bomba
and his girlfriend had been on a
wine-tasting crawl and met his
brother at a wine bar across the
street.
Dunbar was at the Spring Inn bar
with his wife. They were regular
patrons.
Some witnesses, including a bar-
tender, testified that the Bomba party
was loud and obnoxious, including
refusing to pull their COVID-19
masks up and Karl Bomba going into
a restroom with his girlfriend. The
bartender also testified the twin
brother pulled down the bartender's
mask and insulted him.
An autopsy revealed Bomba had a
blood-alcohol content of .23, almost
three times the legal standard for
intoxicated driving.
The bartender told them to leave
and pushed the brothers out. Dunbar
joined the push and testified one of
the Bombas punched him in the head.
Once outside, the Bombas yelled.
One pounded on the now-locked door.
One allegedly threw a barstool at a
window. Bomba punched a 4-by-6-foot
window, shattering it.
A video showed Bomba crossing
Spring toward his brother's car. But
when the bartender came outside,
Bomba turned back and both Bombas
tried to punch the bartender, accord-
ing to a video played in court.
Several bar patrons, including
Dunbar, came outside. Two testified
they were trying to take pictures of
the license plates on the car. Bomba
threw one of them into the road, Dun-
bar and the man testified. Bomba
then turned back toward the car,
where Dunbar was standing.
Dunbar took a folding buck knife
out of his pocket and raised it. He tes-
tified he did so because he was afraid
Bomba would hit him.
Dunbar said Bomba tried to punch
him and he deflected the punch with
his other arm.
The Bombas then left. A few min-
utes later, the brother realized Karl
was hurt and called 911.
Bomba died two days later, having
never regained consciousness.
Dunbar went home and washed
his knife. He said there was little
blood on the blade, so he assumed he
had merely nicked or grazed Bomba.
Prosecutor Diane Michalak
argued that was a sign of conscious-
ness of guilt. She also argued that
Dunbar had checked his pocket to
make sure he had his knife before he
came out of the bar and that he killed
Bomba in revenge.
Dan Cummings, one of the attor-
neys for Dunbar, said the judge ruled
correctly. He said Dunbar had no
choice in a terrible situation.
"We do feel badly Mr. Bomba
passed away in this incident and our
sympathy goes to the family," Cum-
mings said.
"I respect Judge O'Hallaren
Walsh's decision in this case," DuP-
age County State's Attorney Robert
Berlin said of the verdict. He said his
office filed the first-degree murder
charges in good faith. "This was a
challenging case from the beginning
and I thank Assistant State's Attor-
neys Robert Willis, Diane Michalak
and Bethany Jackson for their efforts
on behalf of the people of the State of
Illinois."
EPA Begins Review
of Lenz Oils Services, Inc. Superfund Site
DuPage County, Illinois
The U.S. Environmental Protection Agency is conducting a five-year review of the Lenz Oil
Services, Inc. Superfund site at RTE 83 and Jeane Rd. in southwest DuPage County. The
Superfund law requires regular checkups of sites that have been cleaned up - with waste
managed on-site - to make sure the cleanup continues to protect people and the environment.
This is the third five-year review of this site.
EPA's cleanup of VOC contamination at the site consisted of a containment wall
surrounding the contaminated area; a groundwater and contamination collection and
treatment system; a vapor extraction and air injection system; and a network of groundwater,
contamination, and vapor monitoring points. EPA also implemented land use restrictions at
the site that interfere with the remedy and prohibit the use of contaminated groundwater.
More information is available at 1
be completed by the end of April.
oil. The review should
The five-year review is an opportunity for you to tell the EPA about site conditions and any
concerns you have. Contact:
Ruth Muhtsun
Community Involvement Coordinator
312-886-6595
muhtsun.ruth@epa.gov
Scott Hansen
Remedial Project Manager
312-886-1999
hansen.scott@epa.gov
You may also call the EPA toll-free at 800-621-8431, 8:30 a.m. to 4:30 p.m., weekdays.
SM-CL2140686
1 1 80 E. Roosevelt Road, Glen Ellyn, IL
630-691-8828 fax 630-691-8831
www.wok2order.com
HOURS: Mon.-Thurs: 11:30am - 9:30pm Friday: 11:30am-l 0:30pm
Saturday: 12:00noon-l 0:30pm ' Sunday: 12:00noon-9:00pm
any order over $18c
Carry Out Only
|l Not valid on delivery orders
j» Not valid with any other offer
- [] Expires 2/29/24.
any order over s1000
Carry Out Only
Not valid on delivery orders
Not valid with any other offer
Expires 2/29/24.
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Attachment 4
-------
Table 3.1 Page 1 of 4
Long-Term Monitoring and Sampling Plan
Lenz Oil Site
Lemont, Illinois
Well ID
Annual
Groundwater/LNAPL
Level Monitoring 1
Quarterly
Groundwater/LNAPL
Level Monitoring 2
Annual
Groundwater
Sampling 3'4
Unconfined (Upper) Aquifer
G101D
X
X
G101L
X
X
G101M
X
X
G102S
X
X
G102D
X
X
G102L
X
X
G104D
X
G104L
X
G106L
X
MW-1D
X
MW-1S
X
MW-2D
X
MW-2S
X
MW-3D
X
X
MW-3S
X
X
MW-4D
X
MW-4S
X
MW-5DR
X
MW-6D
X
X
X
RMW-6S
X
X
X
MW-7D
X
X
MW-7S
X
X
MW-8S
X
MW-11
X
MW-12R
X
X
GHD 015169 (33)
-------
Table 3.1
Page 2 of 4
Long-Term Monitoring and Sampling Plan
Lenz Oil Site
Lemont, Illinois
Annual Quarterly Annual
Groundwater/LNAPL Groundwater/LNAPL Groundwater
Well ID Level Monitoring1 Level Monitoring2 Sampling3'4
MW-13R
X
X
X
MW-14R
X
X
MW-15R
X
MW-16R
X
X
MW-17
X
MW-18
X
X
MW-19R
X
MW-20
X
X
MW-21
X
MW-22R
X
X
X
MW-23R
X
X
P-01
X
P-05
X
P-06
X
P-07
X
P-08
X
P-09
X
P-13R
X
P-14
X
P-15
X
P-19R
X
P-20R
X
P-21R
X
P-23
X
P-26
X
GHD 015169 (33)
-------
Table 3.1
Page 3 of 4
Long-Term Monitoring and Sampling Plan
Lenz Oil Site
Lemont, Illinois
Annual Quarterly Annual
Groundwater/LNAPL Groundwater/LNAPL Groundwater
Well ID Level Monitoring1 Level Monitoring2 Sampling3'4
P-28R
X
X
P-29R
X
X
P-30R
X
X
P-31
X
P-32
X
P-33
X
P-34R
X
P-35R
X
P-36R
X
P-39
X
P-41R
X
X
VER-1A
X
VER-1B
X
VER-1C
X
VER-2A
X
VER-2B
X
VER-2C
X
VER-3A
X
VER-3B
X
VER-3C
X
VER-4A
X
VER-4B
X
VER-4C
X
LMP-1
X
LMP-2
X
GHD 015169 (33)
-------
Table 3.1
Page 4 of 4
Long-Term Monitoring and Sampling Plan
Lenz Oil Site
Lemont, Illinois
Annual Quarterly Annual
Groundwater/LNAPL Groundwater/LNAPL Groundwater
Well ID Level Monitoring1 Level Monitoring2 Sampling3'4
LMP-3
X
LMP-4
X
LMP-5
X
LMP-6
X
LMP-7
X
LMP-8
X
LMP-9
X
LMP-10
X
LMP-11
X
LMP-12
X
LMP-13
X
LMP-14
X
LMP-15
X
X
LMP-16
X
X
Notes:
1 Groundwater/LNAPL level monitoring conducted at all wells on an annual basis in October
2 Groundwater/LNAPL level monitoring conducted at selected downgradient wells on a quarterly basis in
January, April, and July
3 Groundwater sampling conducted on an annual basis in October
4 Groundwater sample laboratory analyses include the following parameters: TCL VOCs and TAL metals.
GHD 015169 (33)
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Attachment 5
-------
Page 1 of 2
Table 3.2
Groundwater and LNAPL Level Monitoring Data
Lenz Oil Site
Lemont, Illinois
Corrected
Corrected
TOC
Depth to
Depth to
Groundwater
Elevation
Ground
Depth to
Groundwater
Groundwater
Groundwater
Elevation
(ft. above
Elevation (ft.
LNAPL (feet
(feet below
Thickness of
(feet below
Elevation (ft.
(feet above
Well ID
MSL)
above MSL)
Date
below TOC)
TOC)
LNAPL (feet)
TOC)
above MSL)
MSL)
G 101D
608.94
9/22/2020
17.45
17.45
591.49
591.49
G 101L
608.80
9/22/2020
17.61
17.61
591.19
591.19
G 101M
609.91
9/22/2020
17.96
17.96
591.95
591.95
G 102S
600.53
9/22/2020
12.35
12.35
588.18
588.18
G 102D
600.33
9/22/2020
12.36
12.36
587.97
587.97
G 102L
600.85
9/22/2020
12.80
12.80
588.05
588.05
G 104D
600.55
9/22/2020
9.05
9.05
591.50
591.50
G 104L
600.30
9/22/2020
9.82
9.82
590.48
590.48
G 106D
601.12
9/22/2020
12.90
12.90
588.22
588.22
G 106L
599.95
9/22/2020
11.09
11.09
588.86
588.86
MW-1D
599.81
9/22/2020
10.04
10.04
589.77
589.77
MW-1S
600.13
9/22/2020
9.56
9.56
590.57
590.57
MW-2D
600.60
9/22/2020
11.68
11.68
588.92
588.92
MW-2S
601.27
9/22/2020
10.82
10.82
590.45
590.45
MW-3D
595.90
7/22/2020
6.59
6.59
589.31
589.31
MW-3D
595.90
9/22/2020
8.78
8.78
587.12
587.12
MW-3S
595.90
7/22/2020
6.92
6.92
588.98
588.98
MW-3S
595.90
9/22/2020
8.97
8.97
586.93
586.93
MW-4D
600.71
9/22/2020
12.00
12.00
588.71
588.71
MW-4S
601.29
9/22/2020
8.70
8.70
592.59
592.59
MW-5DR
599.69
9/22/2020
11.30
11.30
588.39
588.39
MW-6D
593.83
7/22/2020
5.05
5.05
588.78
588.78
MW-6D
593.83
9/22/2020
6.04
6.04
587.79
587.79
MW-6S
591.89
7/22/2020
1.49
1.49
590.40
590.40
MW-6S
591.89
9/22/2020
4.04
4.04
587.85
587.85
MW-7D
605.89
9/22/2020
17.59
17.59
588.30
588.30
MW-7S
606.16
9/22/2020
18.21
18.21
587.95
587.95
MW-8S
600.26
9/22/2020
9.05
9.05
591.21
591.21
MW-11
595.92
9/22/2020
5.66
5.66
590.26
590.26
MW-12R
594.46
7/22/2020
7.00
7.00
587.46
587.46
MW-12R
594.46
9/22/2020
6.45
9.62
3.17
7.08
584.84
587.38
MW-13R
594.09
7/22/2020
4.80
4.80
589.29
589.29
MW-13R
594.09
9/22/2020
6.67
6.67
587.42
587.42
MW-14R
594.74
7/22/2020
5.65
5.65
589.09
589.09
MW-14R
594.74
9/22/2020
7.61
7.61
587.13
587.13
MW-15R
596.32
9/22/2020
9.56
9.56
586.76
586.76
MW-16R
599.16
9/22/2020
9.77
9.77
589.39
589.39
MW-17
593.85
9/22/2020
NM
NM
NM
NM
MW-18
596.49
7/22/2020
7.70
7.70
588.79
588.79
MW-18
596.49
9/22/2020
9.75
9.75
586.74
586.74
MW-19R
598.72
9/22/2020
11.32
11.32
587.40
587.40
MW-20
594.18
7/22/2020
6.12
6.12
588.06
588.06
MW-20
594.18
9/22/2020
7.81
7.81
586.37
586.37
MW-21
609.22
9/22/2020
21.60
21.60
587.62
587.62
MW-22R
593.17
7/22/2020
3.83
3.83
589.34
589.34
MW-22R
593.17
9/22/2020
5.72
5.72
587.45
587.45
MW-23R
593.65
7/22/2020
4.29
4.29
589.36
589.36
MW-23R
593.65
9/22/2020
5.68
5.68
587.97
587.97
P-01
600.98
9/22/2020
8.91
9.51
0.60
9.03
591.47
591.95
P-05
600.95
9/22/2020
9.26
9.26
591.69
591.69
P-06
601.77
9/22/2020
9.78
9.78
591.99
591.99
P-07
598.68
9/22/2020
7.30
7.30
591.38
591.38
P-08
598.86
9/22/2020
7.52
7.52
591.34
591.34
P-09
601.55
9/22/2020
10.46
10.46
591.09
591.09
P-13R
598.90
9/22/2020
8.68
8.68
590.22
590.22
GHD 015169 (33)
-------
Page 2 of 2
Table 3.2
Groundwater and LNAPL Level Monitoring Data
Lenz Oil Site
Lemont, Illinois
Corrected
Corrected
TOC
Depth to
Depth to
Groundwater
Elevation
Ground
Depth to
Groundwater
Groundwater
Groundwater
Elevation
(ft. above
Elevation (ft.
LNAPL (feet
(feet below
Thickness of
(feet below
Elevation (ft.
(feet above
Well ID
MSL)
above MSL)
Date
below TOC)
TOC)
LNAPL (feet)
TOC)
above MSL)
MSL)
P-14
601.81
9/22/2020
11.42
11.43
0.01
11.42
590.38
590.39
P-15
599.15
9/22/2020
NM
NM
NM
NM
P-19R
598.97
9/22/2020
11.44
15.38
3.94
12.23
583.59
586.74
P-20R
598.02
9/22/2020
10.67
10.67
587.35
587.35
P-21R
597.94
9/22/2020
9.96
9.97
0.01
9.96
587.97
587.98
P-23
598.70
9/22/2020
9.74
9.74
588.96
588.96
P-26
596.67
9/22/2020
8.13
8.13
588.54
588.54
P-28R
594.29
7/22/2020
5.04
5.04
589.25
589.25
P-28R
594.29
9/22/2020
6.32
6.32
587.97
587.97
P-29R
594.25
7/22/2020
4.92
4.92
589.33
589.33
P-29R
594.25
9/22/2020
6.71
6.71
587.54
587.54
P-30
596.64
7/22/2020
6.94
6.94
589.70
589.70
P-30
596.64
9/22/2020
8.49
8.49
588.15
588.15
P-31
598.43
9/22/2020
6.06
6.06
592.37
592.37
P-32
602.91
9/22/2020
9.48
9.48
593.43
593.43
P-33
601.82
9/22/2020
11.47
11.47
590.35
590.35
P-34R
599.44
9/22/2020
8.29
8.65
0.36
8.36
590.79
591.08
P-35R
599.17
9/22/2020
9.10
9.10
590.07
590.07
P-36R
599.03
9/22/2020
11.10
11.10
587.93
587.93
P-39R
598.34
9/22/2020
7.87
7.87
590.47
590.47
P-41R
593.89
7/22/2020
4.69
4.69
589.20
589.20
P-41R
593.89
9/22/2020
6.77
6.77
587.12
587.12
VER-1A
597.83
9/22/2020
8.22
8.22
589.61
589.61
VER-1B
597.92
9/22/2020
7.87
7.87
590.05
590.05
VER-1C
598.11
9/22/2020
8.09
8.09
590.02
590.02
VER-2A
598.03
9/22/2020
10.13
10.13
587.90
587.90
VER-2B
597.59
9/22/2020
10.03
10.03
587.56
587.56
VER-2C
598.32
9/22/2020
10.32
10.32
588.00
588.00
VER-3A
596.33
9/22/2020
8.12
8.12
588.21
588.21
VER-3B
596.42
9/22/2020
8.41
8.41
588.01
588.01
VER-3C
596.55
9/22/2020
8.55
8.55
588.00
588.00
VER-4A
594.08
9/22/2020
6.53
6.53
587.55
587.55
VER-4B
593.83
9/22/2020
6.31
6.31
587.52
587.52
VER-4C
593.77
9/22/2020
6.19
6.19
587.58
587.58
LMP-1
598.03
9/22/2020
7.70
7.70
590.33
590.33
LMP-2
599.22
9/22/2020
9.12
9.12
590.10
590.10
LMP-3
598.84
9/22/2020
9.04
9.24
0.20
9.08
589.60
589.76
LMP-4
599.25
9/22/2020
9.21
9.69
0.48
9.31
589.56
589.94
LMP-5
599.68
9/22/2020
10.71
10.71
588.97
588.97
LMP-9
597.92
9/22/2020
10.08
10.10
0.02
10.08
587.82
587.83
LMP-10
598.36
9/22/2020
10.41
11.34
0.93
10.60
587.02
587.76
LMP-11
598.99
9/22/2020
NM
NM
NM
NM
LMP-12
596.05
9/22/2020
8.71
8.71
587.34
587.34
LMP-13
595.98
9/22/2020
7.99
8.94
0.95
8.18
587.04
587.80
LMP-14
596.06
9/22/2020
8.53
8.55
0.02
8.53
587.51
587.53
LMP-15
594.73
7/22/2020
5.67
5.67
589.06
589.06
LMP-15
594.73
9/22/2020
7.16
7.16
587.57
587.57
LMP-16
594.59
7/22/2020
5.53
5.53
589.06
589.06
LMP-16
594.59
9/22/2020
7.02
7.02
587.57
587.57
Notes:
TOC - Top of casing
MSL - Mean sea level
GHD 015169 (33)
-------
Attachment 6
-------
Table 3.3
Page 1 of 2
Groundwater Sample Analytical Data
Lenz Oil Site
Lemont, Illinois
Location
Sample
Criteria
Date
E
3
£
E
3
<
NA
ug/L
£
0)
tfl
<
10
ug/L
E
3
'C
re
m
2000
ug/L
E
3
E
T3
re
O
ug/L
E
3
O
re
O
NA
ug/L
E
3
E
o
.£
o
100
ug/L
re
n
o
o
1000
ug/L
0)
Q.
Q.
O
o
650
ug/L
£
O
5000
ug/L
E
3
'55
0)
£
O)
re
NA
ug/L
0)
»
0)
£
re
O)
£
re
150
ug/L
0)
o
100
ug/L
G102D
GW-092320-KD-01
9/23/20
<200
6.0 J
66 J
0.60 J
110000
4.7 J
<10
<25
4200
52000
130
21 J
G101L
GW-092320-JK-02
9/23/20
<200
<10
17 J
0.45 J
110000
0.65 J
<10
<25
120
52000
9.4 J
4.0 J
G102L
GW-092320-KD-03
9/23/20
<200
9.6 J
69 J
0.39 J
110000
<5.0
<10
<25
3100
50000
140
6.9 J
G101D
GW-092320-JK-04
9/23/20
<200
<10
25 J
0.34 J
100000
<5.0
<10
<25
1000
51000
31
<40
G101M
GW-092320-JK-05
9/23/20
<200
<10
15 J
0.38 J
100000
2.4 J
<10
<25
<100
54000
<15
2.5 J
G102S
GW-092320-KD-06
9/23/20
89 J
<10
65 J
0.53 J
110000
120
12
4.2 J
760
51000
770
400
MW-6S
GW-092320-JK-07
9/23/20
130 J
10
52 J
0.37 J
96000
22 J
<10
12 J
33000 J
37000
470
25 J
MW-6S
GW-092320-JK-08 (Dup)
9/23/20
<200
12
52 J
0.35 J
98000
<5.0 J
<10
<25
5500 J
38000
410
5.9 J
MW-22
GW-092320-KD-09
9/23/20
96 J
6.3 J
73 J
0.36 J
100000
1.1 J
<10
<25
7600
38000
310
2.9 J
MW-6D
GW-092320-JK-10
9/23/20
<200
<10
34 J
0.54 J
160000
<5.0
<10
<25
1900
83000
46
2.5 J
MW-13R
GW-092320-KD-11
9/23/20
<200
14
70 J
0.28 J
110000
<5.0
<10
<25
6200
42000
120
4.6 J
MW-16
GW-092420-JK-12
9/24/20
<200
12
61 J
0.53 J
82000
1.3 J
<10
<25
5800
32000
210
7.4 J
MW-7S
GW-092420-JK-13
9/24/20
<200
<10
120 J
0.85 J
250000
<5.0
<10
<25
3500
140000
39
3.7 J
MW-7D
GW-092420-JK-14
9/24/20
<200
<10
51 J
0.51 J
120000
0.90 J
<10
3.5 J
360
66000
34
11 J
MW-7D
GW-092420-JK-15 (Dup)
9/24/20
<200
<10
51 J
0.68 J
120000
1.7 J
<10
<25
300
67000
34
11 J
GHD 015169 (33)
-------
Table 3.3
Page 2 of 2
Groundwater Sample Analytical Data
Lenz Oil Site
Lemont, Illinois
Potassium
Sodium
E
3
re
.c
H
Zinc
1,1,1 -Trichloroethane
1,1-Dichloroethane
1,2,4-Trichlorobenzene
cis-1,2-Dichloroethene
Methyl tert butyl ether
(MTBE)
Tetrachloroethene
Trichloroethene
Vinyl Chloride
Criteria
NA
NA
2
5000
200
1400
70
70
70
5
5
2
ug/L
ug/L
ug/L
ug/L
ug/L
ug/L
ug/L
ug/L
ug/L
ug/L
ug/L
ug/L
Location
Sample
Date
G102D
GW-092320-KD-01
9/23/20
7100
200000
4.0 J
<50
<1.0
0.34 J
<1.0
1.2
<1.0
<1.0
<1.0
5.2
G101L
GW-092320-JK-02
9/23/20
1700 J
12000
3.7 J
<50
<1.0
<1.0
<1.0
<1.0
<1.0
<1.0
<1.0
<1.0
G102L
GW-092320-KD-03
9/23/20
8700
250000
3.0 J
<50
<1.0
0.42 J
<1.0
1.5
<1.0
<1.0
<1.0
6.3
G101D
GW-092320-JK-04
9/23/20
2600 J
19000
<10
<50
<1.0
<1.0
<1.0
<1.0
<1.0
<1.0
<1.0
<1.0
G101M
GW-092320-JK-05
9/23/20
1000 J
6400
<10
<50
<1.0
<1.0
<1.0
<1.0
<1.0
<1.0
<1.0
<1.0
G102S
GW-092320-KD-06
9/23/20
7000
220000
<10
<50
0.47 J
1.7
<1.0
1.4
<1.0
0.43 J
0.52 J
<1.0
MW-6S
GW-092320-JK-07
9/23/20
23000
64000
3.8 J
44 J
<1.0
<1.0
<1.0
<1.0
<1.0
<1.0
<1.0
<1.0
MW-6S
GW-092320-JK-08 (Dup)
9/23/20
23000
66000
3.4 J
<50
<1.0
<1.0
<1.0
<1.0
<1.0
<1.0
<1.0
<1.0
MW-22
GW-092320-KD-09
9/23/20
9600
110000
4.5 J
<50
<1.0
<1.0
<1.0
<1.0
<1.0
<1.0
<1.0
<1.0
MW-6D
GW-092320-JK-10
9/23/20
4100 J
81000
<10
<50
<1.0
<1.0
<1.0
<1.0
<1.0
<1.0
<1.0
<1.0
MW-13R
GW-092320-KD-11
9/23/20
5900
15000
2.9 J
<50
<1.0
<1.0
<1.0
<1.0
<1.0
<1.0
<1.0
<1.0
MW-16
GW-092420-JK-12
9/24/20
6000
90000
<10
<50
<1.0
<1.0
<1.0
<1.0
<1.0
<1.0
<1.0
<1.0
MW-7S
GW-092420-JK-13
9/24/20
5900
520000
4.6 J
<50
<1.0
<1.0
<1.0
<1.0
0.12 J
<1.0
<1.0
<1.0
MW-7D
GW-092420-JK-14
9/24/20
5700
220000
<10
<50
<1.0
<1.0
0.28 J
<1.0
0.14 J
<1.0
<1.0
<1.0
MW-7D
GW-092420-JK-15 (Dup)
9/24/20
5600
220000
2.8 J
<50
<1.0
<1.0
<1.0
<1.0
0.13 J
<1.0
<1.0
<1.0
Notes:
|- Concentration exceeds respective criteria
Criteria - Class I potable resource groundwater (Title 35 of the Illinois Administrative Code Section 620.410)
J - Estimated concentration
NA - Not available
< - Constiuent not detected above the reporting limit
ug/L - Micrograms per liter
GHD 015169 (33)
-------
Attachment 7
-------
0.00
2.00
4.00
6.00
a.
a>
O 8.00
_a;
.q
£ $ 10.00
-a
« 12.00
*_
*_
o
u
14.00
16.00
18.00
20.00
In-Well Corrected Water Table Depth: G 101D
Project #015169 - Lenz Oil Superfund Site - Lemont, Illinois
7/6/09 11/18/10 4/1/12
8/14/13 12/27/14 5/10/16
Date
9/22/17 2/4/19 6/18/20 10/31/21
Š Groundwater
-------
0.00
2.00
4.00
6.00
a.
a>
O 8.00
_a;
.q
£ $ 10.00
-a
« 12.00
*_
*_
o
u
14.00
16.00
18.00
20.00
In-Well Corrected Water Table Depth: G 101L
Project #015169 - Lenz Oil Superfund Site - Lemont, Illinois
7/6/09 11/18/10 4/1/12
8/14/13 12/27/14 5/10/16
Date
9/22/17 2/4/19 6/18/20 10/31/21
Š Groundwater
-------
0.00
In-Well Corrected Water Table Depth: G 101M
Project #015169 - Lenz Oil Superfund Site - Lemont, Illinois
5.00
Q.
-------
0.00
2.00
4.00
g" 6.00
O
Q)
-Q
(D
£ S 8.00
ro Zz.
-a
a>
o
u
10.00
12.00
14.00
16.00
In-Well Corrected Water Table Depth: G 102D
Project #015169 - Lenz Oil Superfund Site - Lemont, Illinois
7/6/09 11/18/10 4/1/12
8/14/13 12/27/14 5/10/16
Date
9/22/17
2/4/19 6/18/20 10/31/21
Š Groundwater
-------
In-Well Corrected Water Table Depth: G 102L
Project #015169 - Lenz Oil Superfund Site - Lemont, Illinois
Date
Groundwater
-------
In-Well Corrected Water Table Depth: G 104D
Project #015169 - Lenz Oil Superfund Site - Lemont, Illinois
Date
Groundwater
-------
0.00
2.00
Q.
-------
0.00
2.00
4.00
a>
a
_ai
-Q
TO
4^j ai
8.00
-a
ai
o
u
10.00
12.00
14.00
16.00
In-Well LNAPL Thickness vs. Corrected Water Table Depth: G 106L
Project #015169 - Lenz Oil Superfund Site - Lemont, Illinois
7.00
6.00
5.00
V)
t/>
-------
0.00
2.00
4.00
6.00
Q.
-------
0.00
In-Well Corrected Water Table Depth: MW-1S
Project #015169 - Lenz Oil Superfund Site - Lemont, Illinois
2.00
4.00
Q.
-------
0.00
2.00
4.00
6.00
Q.
-------
In-Well Corrected Water Table Depth: MW-2S
Project #015169 - Lenz Oil Superfund Site - Lemont, Illinois
Date
Groundwater
-------
0.00
1.00
2.00
3.00
Q.
a>
Q 4.00
_ai
.q
£ S 5.00
I 6.00
*_
o
u
7.00
8.00
9.00
10.00
In-Well Corrected Water Table Depth: MW-3D
Project #015169 - Lenz Oil Superfund Site - Lemont, Illinois
7/6/09 11/18/10 4/1/12
8/14/13 12/27/14 5/10/16
Date
9/22/17
2/4/19 6/18/20 10/31/21
Groundwater
-------
0.00
1.00
2.00
3.00
Q.
a>
Q 4.00
_ai
.q
£ S 5.00
I 6.00
*_
o
u
7.00
8.00
9.00
10.00
In-Well Corrected Water Table Depth: MW-3S
Project #015169 - Lenz Oil Superfund Site - Lemont, Illinois
7/6/09 11/18/10 4/1/12
8/14/13 12/27/14 5/10/16
Date
9/22/17
2/4/19 6/18/20 10/31/21
Groundwater
-------
Q.
ai
~
_a;
.q
0.00
2.00
4.00
6.00
£ S 8.00
ro Zz.
Ša
ai
u
ai
o
u
10.00
12.00
14.00
16.00
In-Well Corrected Water Table Depth: MW-4D
Project #015169 - Lenz Oil Superfund Site - Lemont, Illinois
7/6/09 11/18/10
4/1/12 8/14/13 12/27/14 5/10/16
Date
9/22/17
2/4/19 6/18/20 10/31/21
Groundwater
-------
Q.
ai
~
_a;
.q
0.00
1.00
2.00
3.00
4.00
S S 5.00
I 6.00
o
u
7.00
8.00
9.00
10.00
In-Well Corrected Water Table Depth: MW-4S
Project #015169 - Lenz Oil Superfund Site - Lemont, Illinois
7/6/09 11/18/10 4/1/12
8/14/13 12/27/14 5/10/16
Date
9/22/17
2/4/19 6/18/20 10/31/21
Groundwater
-------
0.00
2.00
4.00
6.00
Q.
-------
0.00
1.00
2.00
g" 3.00
O
Q)
-Q
(D
jjj « 4.00
ro Zz.
Ša
ai
u
ai
o
u
5.00
6.00
7.00
8.00
In-Well Corrected Water Table Depth: MW-6D
Project #015169 - Lenz Oil Superfund Site - Lemont, Illinois
7/6/09 11/18/10
4/1/12 8/14/13 12/27/14 5/10/16
Date
9/22/17
2/4/19
6/18/20 10/31/21
Groundwater
-------
0.00
0.50
1.00
1.50
Q.
a>
Q 2.00
_ai
.q
£ S 2.50
~o
ai
« 3.00
1_
o
u
3.50
4.00
4.50
5.00
In-Well Corrected Water Table Depth: MW-6S
Project #015169 - Lenz Oil Superfund Site - Lemont, Illinois
I
7/6/09 11/18/10 4/1/12
8/14/13 12/27/14 5/10/16
Date
9/22/17 2/4/19 6/18/20 10/31/21
Groundwater
-------
In-Well Corrected Water Table Depth: MW-7D
Project #015169 - Lenz Oil Superfund Site - Lemont, Illinois
0.00
5.00
Q.
-------
In-Well Corrected Water Table Depth: MW-7S
Project #015169 - Lenz Oil Superfund Site - Lemont, Illinois
0.00
5.00
Q.
-------
0.00
In-Well Corrected Water Table Depth: MW-8S
Project #015169 - Lenz Oil Superfund Site - Lemont, Illinois
2.00
4.00
Q.
-------
0.00
2.00
4.00
Q.
-------
0.00
1.00
2.00
j. 3.00
+-»
Q.
-------
0.00
1.00
2.00
g" 3.00
O
Q)
-Q
(D
jjj « 4.00
ro Zz.
Ša
ai
u
ai
o
u
5.00
6.00
7.00
8.00
In-Well Corrected Water Table Depth: MW-13R
Project #015169 - Lenz Oil Superfund Site - Lemont, Illinois
7/6/09 11/18/10
4/1/12 8/14/13 12/27/14 5/10/16
Date
9/22/17
2/4/19
6/18/20 10/31/21
Groundwater
-------
0.00
2.00
4.00
Q.
-------
0.00
2.00
4.00
Q.
-------
0.00
In-Well Corrected Water Table Depth: MW-16
Project #015169 - Lenz Oil Superfund Site - Lemont, Illinois
2.00
4.00
Q.
-------
In-Well Corrected Water Table Depth: MW-17
Project #015169 - Lenz Oil Superfund Site - Lemont, Illinois
Date
Groundwater
-------
0.00
2.00
4.00
Q.
-------
0.00
2.00
4.00
g" 6.00
O
Q)
-Q
(D
£ $ 8.00
ro Zz.
-a
a>
o
u
10.00
12.00
14.00
16.00
In-Well LNAPL Thickness vs. Corrected Water Table Depth: MW-19R
Project #015169 - Lenz Oil Superfund Site - Lemont, Illinois
7/6/09 11/18/10 4/1/12
8/14/13 12/27/14 5/10/16
Date
7.00
6.00
5.00
4.00
Q.
<
3.00 a>
2.00
1.00
0.00
9/22/17 2/4/19 6/18/20 10/31/21
Groundwater
Š LNAPLThickness
-------
Q.
2.00
1.00
0.00
7/6/09 11/18/10 4/1/12 8/14/13 12/27/14 5/10/16 9/22/17 2/4/19 6/18/20 10/31/21
Date
Š Groundwater
Š LNAPLThickness
-------
0.00
5.00
10.00
Q.
-------
In-Well Corrected Water Table Depth: MW-22
Project #015169 - Lenz Oil Superfund Site - Lemont, Illinois
6.00
7/6/09 11/18/10 4/1/12
8/14/13 12/27/14 5/10/16 9/22/17
Date
Groundwater
-------
Q.
ai
~
_a;
.q
0.00
1.00
2.00
3.00
4.00
S S 5.00
I 6.00
o
u
7.00
8.00
9.00
10.00
In-Well Corrected Water Table Depth: MW-23
Project #015169 - Lenz Oil Superfund Site - Lemont, Illinois
7/6/09 11/18/10 4/1/12
8/14/13 12/27/14 5/10/16
Date
9/22/17
2/4/19 6/18/20 10/31/21
Groundwater
-------
In-Well LNAPL Thickness vs. Corrected Water Table Depth: P-01
Project #015169 - Lenz Oil Superfund Site - Lemont, Illinois
0.00
2.00
4.00
Q.
-------
Q.
ai
~
_a;
.q
0.00
1.00
2.00
3.00
4.00
S S 5.00
I 6.00
*_
o
u
7.00
8.00
9.00
10.00
In-Well Corrected Water Table Depth: P-05
Project #015169 - Lenz Oil Superfund Site - Lemont, Illinois
7/6/09 11/18/10 4/1/12
8/14/13 12/27/14 5/10/16
Date
9/22/17
2/4/19 6/18/20 10/31/21
Groundwater
-------
In-Well Corrected Water Table Depth: P-06
Project #015169 - Lenz Oil Superfund Site - Lemont, Illinois
Date
Groundwater
-------
0.00
2.00
4.00
Q.
-------
In-Well Corrected Water Table Depth: P-08
Project #015169 - Lenz Oil Superfund Site - Lemont, Illinois
0.00
1.00
7/6/09 11/18/10 4/1/12 8/14/13
12/27/14 5/10/16
Date
9/22/17 2/4/19 6/18/20 10/31/21
Š Groundwater
-------
Q.
-------
0.00
In-Well LNAPL Thickness vs. Corrected Water Table Depth: P-13R
Project #015169 - Lenz Oil Superfund Site - Lemont, Illinois
7.00
2.00
6.00
Q.
a>
a
_ai
-Q
TO
5 ai
£ a>
ro Zz.
-a
ai
o
u
4.00
6.00
8.00
10.00
12.00
5.00
4.00
a.
<
3.00 ai
2.00
1.00
14.00
0.00
7/6/09 11/18/10 4/1/12 8/14/13 12/27/14 5/10/16
Date
9/22/17
2/4/19
6/18/20
10/31/21
Groundwater
Š LNAPLThickness
-------
0.00
2.00
4.00
6.00
Q.
a>
~
_a;
.q
5 ai
ii ai
8.00
-a
ai
o
u
10.00
12.00
14.00
16.00
18.00
In-Well LNAPL Thickness vs. Corrected Water Table Depth: P-14
Project #015169 - Lenz Oil Superfund Site - Lemont, Illinois
7/6/09 11/18/10 4/1/12 8/14/13
12/27/14 5/10/16
Date
7.00
6.00
5.00
4.00
Q.
<
3.00 a>
2.00
1.00
0.00
9/22/17 2/4/19 6/18/20 10/31/21
Groundwater
Š LNAPLThickness
-------
0.00
2.00
4.00
a>
a
_ai
-Q
TO
£ $ 8.00
(0 Zz.
-a
ai
o
u
10.00
12.00
14.00
16.00
In-Well Corrected Water Table Depth: P-15
Project #015169 - Lenz Oil Superfund Site - Lemont, Illinois
7/6/09 11/18/10 4/1/12 8/14/13 12/27/14 5/10/16 9/22/17
Date
2/4/19 6/18/20 10/31/21
Š Groundwater
-------
0.00
2.00
4.00
6.00
Q.
2.00
1.00
0.00
9/22/17 2/4/19 6/18/20 10/31/21
Groundwater
LNAPLThickness
-------
0.00
2.00
Q.
ai
~
_a;
.q
5 ai
£ a>
ro Zz.
-a
ai
o
u
4.00
6.00
8.00
10.00
12.00
14.00
In-Well LNAPL Thickness vs. Corrected Water Table Depth: P-20R
Project #015169 - Lenz Oil Superfund Site - Lemont, Illinois
7.00
6.00
5.00
4.00
Q.
<
3.00 a>
2.00
1.00
0.00
7/6/09 11/18/10 4/1/12 8/14/13 12/27/14 5/10/16 9/22/17 2/4/19 6/18/20 10/31/21
Date
Groundwater
Š LNAPLThickness
-------
0.00
2.00
Q.
2.00
1.00
0.00
9/22/17 2/4/19 6/18/20 10/31/21
Groundwater
Š LNAPLThickness
-------
Q.
ai
~
_a;
.q
5 ai
ii ai
ro Zz.
-a
ai
0.00
2.00
4.00
6.00
8.00
o
u
10.00
12.00
14.00
In-Well Corrected Water Table Depth: P-23
Project #015169 - Lenz Oil Superfund Site - Lemont, Illinois
7/6/09 11/18/10 4/1/12
8/14/13 12/27/14 5/10/16
Date
9/22/17
2/4/19
6/18/20 10/31/21
Š Groundwater
-------
0.00
2.00
4.00
Q.
o
u
8.00
10.00
12.00
In-Well Corrected Water Table Depth: P-26
Project #015169 - Lenz Oil Superfund Site - Lemont, Illinois
7/6/09 11/18/10 4/1/12
8/14/13 12/27/14 5/10/16
Date
9/22/17
2/4/19
6/18/20 10/31/21
Š Groundwater
-------
0.00
1.00
2.00
3.00
Q.
a>
~
_a;
"S 4.00
5 a>
Z, ai
-a
ai
o
u
5.00
6.00
7.00
8.00
9.00
In-Well Corrected Water Table Depth: P-28R
Project #015169 - Lenz Oil Superfund Site - Lemont, Illinois
7/6/09 11/18/10 4/1/12 8/14/13
12/27/14 5/10/16
Date
9/22/17 2/4/19 6/18/20 10/31/21
Š Groundwater
-------
0.00
1.00
2.00
3.00
+-»
Q.
-------
0.00
2.00
4.00
Q.
o
u
8.00
10.00
12.00
In-Well Corrected Water Table Depth: P-30
Project #015169 - Lenz Oil Superfund Site - Lemont, Illinois
7/6/09 11/18/10 4/1/12
8/14/13 12/27/14 5/10/16
Date
9/22/17
2/4/19
6/18/20 10/31/21
Š Groundwater
-------
0.00
1.00
2.00
3.00
a.
a>
O 4.00
_a;
.q
£ $ 5.00
% 6.00
*_
o
u
7.00
8.00
9.00
10.00
In-Well Corrected Water Table Depth: P-31
Project #015169 - Lenz Oil Superfund Site - Lemont, Illinois
7/6/09 11/18/10 4/1/12
8/14/13 12/27/14 5/10/16
Date
9/22/17 2/4/19 6/18/20 10/31/21
Š Groundwater
-------
14.00
12.00
10.00
8.00
6.00
4.00
2.00
0.00
7/6/09
-------
0.00
2.00
4.00
a>
a
_ai
-Q
TO
£ $ 8.00
(0 Zz.
-a
ai
o
u
10.00
12.00
14.00
16.00
In-Well Corrected Water Table Depth: P-33
Project #015169 - Lenz Oil Superfund Site - Lemont, Illinois
7/6/09 11/18/10 4/1/12 8/14/13 12/27/14 5/10/16 9/22/17
Date
2/4/19 6/18/20 10/31/21
Š Groundwater
-------
0.00
2.00
4.00
6.00
Q.
o
u
10.00
12.00
14.00
In-Well LNAPL Thickness vs. Corrected Water Table Depth: P-34R
Project #015169 - Lenz Oil Superfund Site - Lemont, Illinois
7.00
6.00
5.00
4.00
5. 11
^ «-
3.00 a>
2.00
1.00
0.00
7/6/09 11/18/10 4/1/12 8/14/13 12/27/14 5/10/16 9/22/17 2/4/19 6/18/20 10/31/21
Date
Groundwater
LNAPLThickness
-------
Q.
-------
0.00
2.00
4.00
6.00
Q.
o
u
10.00
12.00
14.00
In-Well Corrected Water Table Depth: P-36R
Project #015169 - Lenz Oil Superfund Site - Lemont, Illinois
7/6/09 11/18/10 4/1/12
8/14/13 12/27/14 5/10/16
Date
9/22/17
2/4/19 6/18/20 10/31/21
Š Groundwater
-------
0.00
2.00
4.00
Q.
-------
0.00
1.00
2.00
3.00
+-»
Q.
-------
Q.
-------
Q.
-------
Q.
-------
0.00
2.00
Q.
ai
~
_a;
.q
5 ai
£ a>
ro Zz.
-a
ai
4.00
6.00
8.00
o
u
10.00
12.00
14.00
In-Well LNAPL Thickness vs. Corrected Water Table Depth: VER-2A
Project #015169 - Lenz Oil Superfund Site - Lemont, Illinois
7/6/09 11/18/10 4/1/12
8/14/13 12/27/14 5/10/16
Date
7.00
6.00
5.00
\r>
0)
c
4.00 ^
o_
-------
0.00
2.00
4.00
g" 6.00
O
Q)
-Q
(D
£ $ 8.00
ro zz.
-a
a>
o
u
10.00
12.00
14.00
16.00
In-Well LNAPL Thickness vs. Corrected Water Table Depth: VER-2B
Project #015169 - Lenz Oil Superfund Site - Lemont, Illinois
7/6/09 11/18/10 4/1/12 8/14/13
12/27/14 5/10/16
Date
6.00
5.00
4.00
7.00
5. 11
^ «-
3.00 =
2.00
1.00
0.00
9/22/17 2/4/19 6/18/20 10/31/21
Groundwater
Š LNAPLThickness
-------
0.00
2.00
4.00
g" 6.00
O
Q)
-Q
(D
£ $ 8.00
ro Zz.
-a
a>
o
u
10.00
12.00
14.00
16.00
In-Well LNAPL Thickness vs. Corrected Water Table Depth: VER-2C
Project #015169 - Lenz Oil Superfund Site - Lemont, Illinois
I
-
7/6/09 11/18/10 4/1/12 8/14/13
12/27/14 5/10/16
Date
7.00
6.00
5.00
4.00
Q.
<
3.00 a>
2.00
1.00
0.00
9/22/17 2/4/19 6/18/20 10/31/21
Groundwater
Š LNAPLThickness
-------
0.00
2.00
Q.
-------
0.00
2.00
4.00
Q.
o
u
8.00
10.00
12.00
In-Well Corrected Water Table Depth: VER-3B
Project #015169 - Lenz Oil Superfund Site - Lemont, Illinois
7/6/09 11/18/10 4/1/12 8/14/13 12/27/14 5/10/16
Date
9/22/17
6.00
5.00
4.00
7.00
3.00
2.00
1.00
0.00
2/4/19 6/18/20 10/31/21
Š Groundwater
Š LNAPLThickness
-------
0.00
2.00
4.00
Q.
o
u
8.00
10.00
12.00
In-Well Corrected Water Table Depth: VER-3C
Project #015169 - Lenz Oil Superfund Site - Lemont, Illinois
7/6/09 11/18/10 4/1/12
8/14/13 12/27/14 5/10/16
Date
9/22/17
2/4/19
6/18/20 10/31/21
Š Groundwater
-------
0.00
1.00
2.00
3.00
a.
a>
O 4.00
_a;
.q
£ $ 5.00
ro zz.
-a
ai
Sri 6.00
o
u
7.00
8.00
9.00
10.00
In-Well Corrected Water Table Depth: VER-4A
Project #015169 - Lenz Oil Superfund Site - Lemont, Illinois
7/6/09 11/18/10 4/1/12
8/14/13 12/27/14 5/10/16
Date
9/22/17 2/4/19 6/18/20 10/31/21
Š Groundwater
-------
In-Well Corrected Water Table Depth: VER-4B
Project #015169 - Lenz Oil Superfund Site - Lemont, Illinois
0.00 T f
7/6/09 11/18/10 4/1/12 8/14/13 12/27/14 5/10/16 9/22/17 2/4/19 6/18/20 10/31/21
Date
Groundwater
-------
0.00
1.00
2.00
a>
a
_ai
-Q
TO
£ $ 4.00
(0 Zz.
-a
ai
o
u
5.00
6.00
7.00
8.00
In-Well Corrected Water Table Depth: VER-4C
Project #015169 - Lenz Oil Superfund Site - Lemont, Illinois
7/6/09 11/18/10 4/1/12 8/14/13
12/27/14 5/10/16
Date
9/22/17 2/4/19 6/18/20 10/31/21
Š Groundwater
-------
0.00
2.00
4.00
Q.
ai
a
_ai
.q
5 ai
ii ai
6.00
-a
ai
o
u
8.00
10.00
12.00
In-Well LNAPL Thickness vs. Corrected Water Table Depth: LMP-1
Project #015169 - Lenz Oil Superfund Site - Lemont, Illinois
7.00
6.00
5.00
4.00
Q.
<
3.00 a>
2.00
1.00
0.00
7/6/09 11/18/10 4/1/12 8/14/13 12/27/14 5/10/16 9/22/17 2/4/19 6/18/20 10/31/21
Date
Groundwater
Š LNAPLThickness
-------
0.00
2.00
Q.
-------
0.00
2.00
4.00
g" 6.00
O
Q)
-Q
(D
£ $ 8.00
ro Zz.
-a
a>
o
u
10.00
12.00
14.00
16.00
In-Well LNAPL Thickness vs. Corrected Water Table Depth: LMP-3
Project #015169 - Lenz Oil Superfund Site - Lemont, Illinois
7/6/09 11/18/10 4/1/12
8/14/13 12/27/14 5/10/16 9/22/17
Date
7.00
6.00
5.00
4.00
Q.
<
3.00 a>
2.00
1.00
0.00
2/4/19 6/18/20 10/31/21
Groundwater
Š LNAPLThickness
-------
0.00
2.00
4.00
g" 6.00
O
Q)
-Q
(D
£ $ 8.00
ro Zz.
-a
a>
o
u
10.00
12.00
14.00
16.00
In-Well LNAPL Thickness vs. Corrected Water Table Depth: LMP-4
Project #015169 - Lenz Oil Superfund Site - Lemont, Illinois
, Aa.
7.00
6.00
5.00
4.00
Q.
<
3.00 a>
2.00
1.00
0.00
7/6/09 11/18/10 4/1/12 8/14/13 12/27/14 5/10/16 9/22/17 2/4/19 6/18/20 10/31/21
Date
Groundwater
Š LNAPLThickness
-------
0.00
2.00
4.00
a>
a
_ai
-Q
TO
£ $ 8.00
(0 Zz.
-a
ai
o
u
10.00
12.00
14.00
In-Well LNAPL Thickness vs. Corrected Water Table Depth: LMP-5
Project #015169 - Lenz Oil Superfund Site - Lemont, Illinois
16.00
7/6/09 11/18/10 4/1/12
8/14/13 12/27/14 5/10/16
Date
7.00
6.00
5.00
4.00
Q.
<
3.00 a>
2.00
1.00
0.00
9/22/17 2/4/19 6/18/20 10/31/21
Groundwater
Š LNAPLThickness
-------
0.00
2.00
4.00
g" 6.00
O
Q)
-Q
(D
£ $ 8.00
ro Zz.
-a
a>
o
u
10.00
12.00
14.00
16.00
In-Well LNAPL Thickness vs. Corrected Water Table Depth: LMP-9
Project #015169 - Lenz Oil Superfund Site - Lemont, Illinois
J: A/rVx
7/6/09 11/18/10 4/1/12 8/14/13
12/27/14 5/10/16
Date
7.00
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5.00
4.00
Q.
<
3.00 a>
2.00
1.00
0.00
9/22/17 2/4/19 6/18/20 10/31/21
Groundwater
Š LNAPLThickness
-------
0.00
2.00
4.00
g" 6.00
O
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-Q
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£ $ 8.00
ro Zz.
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10.00
12.00
14.00
16.00
In-Well LNAPL Thickness vs. Corrected Water Table Depth: LMP-10
Project #015169 - Lenz Oil Superfund Site - Lemont, Illinois
7.00
6.00
5.00
4.00
Q.
<
3.00 a>
2.00
1.00
0.00
7/6/09 11/18/10 4/1/12 8/14/13 12/27/14 5/10/16 9/22/17 2/4/19 6/18/20 10/31/21
Date
Groundwater
Š LNAPLThickness
-------
0.00
2.00
4.00
a>
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_ai
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TO
£ $ 8.00
(0 Zz.
-a
ai
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10.00
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14.00
16.00
In-Well LNAPL Thickness vs. Corrected Water Table Depth: LMP-11
Project #015169 - Lenz Oil Superfund Site - Lemont, Illinois
7.00
6.00
5.00
4.00
Q.
<
3.00 a>
2.00
1.00
0.00
7/6/09 11/18/10 4/1/12 8/14/13 12/27/14 5/10/16 9/22/17 2/4/19 6/18/20 10/31/21
Date
Groundwater LNAPL Thickness
-------
0.00
2.00
4.00
Q.
o
u
8.00
10.00
12.00
In-Well LNAPL Thickness vs. Corrected Water Table Depth: LMP-12
Project #015169 - Lenz Oil Superfund Site - Lemont, Illinois
7.00
6.00
5.00
4.00
Q.
<
3.00 a>
2.00
1.00
0.00
7/6/09 11/18/10 4/1/12 8/14/13 12/27/14 5/10/16 9/22/17 2/4/19 6/18/20 10/31/21
Date
Groundwater
Š LNAPLThickness
-------
0.00
2.00
4.00
Q.
o
u
8.00
10.00
12.00
In-Well LNAPL Thickness vs. Corrected Water Table Depth: LMP-13
Project #015169 - Lenz Oil Superfund Site - Lemont, Illinois
6.00
5.00
a>
4.00 u
7.00
3.00 a>
a>
ai
2.00
1.00
0.00
7/6/09 11/18/10 4/1/12 8/14/13 12/27/14 5/10/16 9/22/17 2/4/19 6/18/20 10/31/21
Date
Groundwater
Š LNAPLThickness
-------
0.00
2.00
4.00
Q.
o
u
8.00
10.00
12.00
In-Well Corrected Water Table Depth: LMP-14
Project #015169 - Lenz Oil Superfund Site - Lemont, Illinois
7/6/09 11/18/10 4/1/12 8/14/13 12/27/14
5/10/16 9/22/17
Date
-
6.00
5.00
4.00
7.00
3.00
2.00
1.00
0.00
2/4/19 6/18/20 10/31/21
Š Groundwater LNAPL Thickness
-------
0.00
1.00
2.00
3.00
+-»
Q.
-------
0.00
1.00
2.00
3.00
Q.
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~
"S 4.00
5 ai
ii ai
ro Zz.
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6.00
7.00
8.00
9.00
In-Well LNAPL Thickness vs. Corrected Water Table Depth: LMP-16
Project #015169 - Lenz Oil Superfund Site - Lemont, Illinois
av
M-
7/6/09 11/18/10 4/1/12 8/14/13
12/27/14 5/10/16
Date
7.00
6.00
5.00
4.00
Q.
<
3.00 a>
2.00
1.00
0.00
9/22/17 2/4/19 6/18/20 10/31/21
Groundwater LNAPL Thickness
-------
Attachment 8
-------
Site Inspection Checklist
1. SI I I. INFORMATION
Site name:
Lenz Oil Services, Inc.
Date of inspection:
10/17/2023
Location and Region:
Lemont, IL, Region 5
EPA ID:
ILD005451711
Agency, office, or company leading the FYR:
EPA
Weather/temperature:
Sunny/60 degrees
Remedy Includes: (Check all that apply)
~ Landfill cover/containment
IEI Access controls
El Institutional controls
El Groundwater pump and treatment
~ Surface water collection and treatment
~ Monitored natural attenuation
IEI Groundwater containment
IEI Vertical barrier walls
El Other: Slurry wall, grout curtain, berm
Attachments:
~ Inspection team roster attached
~ Site map attached
1
-------
Site Inspection Checklist
II.
INTERVIEWS (Check al
1 thai apply)
1.
O&M Site Manager
Tim Ree, Project Mgr., 10/17/2023
Interviewed: IEI at site ~
at office ~ by phone
Phone Number: 612 524 6866
Problems, suggestions:
~ Report attached
ARCADIS
2.
O&M Staff
Jeff Nichols, Field Technician, 10/17/2023
Interviewed: IEI at site ~
at office ~ by phone
Phone Number: 773-380-9723
Problems, suggestions:
Click or tap here to enter text.
~ Report attached
3.
Local regulatory authorities and response agencies (i.e., State and Tribal offices, emergency
response office, police department, office of public health or environmental health, zoning office,
recorder of deeds, or other city and county offices, etc.) Fill in all that apply.
Agency: Illinois Environmental Protection Agency
Contact: Nicole Wilson, State Project Manager, 10/17/2023, P: 217-785-8729
Problems, suggestions:
~ Report attached
Agency: Click or tap here tc
enter text.
Contact: Name , Title
, Click or tap to enter a da
t:e., P: Phone Number
Problems, suggestions:
~ Report attached
Agency: Click or tap here tc
enter text.
Contact: Name , Title
, Click or tap to enter a da
t:e., P: Phone Number
Problems, suggestions:
~ Report attached
Agency: Click or tap here tc
enter text.
Contact: Name , Title
, Click or tap to enter a da
t:e., P: Phone Number
Problems, suggestions:
Click or tap here to enter text.
4.
Other Interviews (optional):
~ Report attached
Numerous members of the PRP group also attended the site inspection.
III. ON-SITE IKK IMKMS & RECOUPS VEUII IEI) (Check all thai apply)
2
-------
Site Inspection Checklist
1.
O&M Documents
El O&M manual El Readily available
~ Up to date
~ N/A
~ As-built drawings ~ Readily available
El Up to date
~ N/A
IEI Maintenance logs El Readily available
El Up to date
~ N/A
Remarks: Click or tap here to enter text.
2.
Site-Specific Health and Safety Plan
IEI Contingency Plan/Emergency Response Plan
Remarks: Click or tap here to enter text.
El Readily available
El Readily available
3.
O&M and OSHA Training Records
El Readily available
~ Up to date
~ N/A
Remarks: Click or tap here to enter text.
4.
Permits and Service Agreements
El Air discharge permit El Readily available
~ Up to date
~ N/A
El Effluent discharge El Readily available
~ Up to date
~ N/A
~ Waste disposal, POTW ~ Readily available
~ Up to date
~ N/A
~ Other permits: Click or tap here to enter text.
Remarks: Since the start of the Idling Pilot Study in 2017, there are no effluent discharge records.
5.
Gas Generation Records
El Readily available
~ Up to date
~ N/A
Remarks: Click or tap here to enter text.
6.
Settlement Monument Records
~ Readily available
~ Up to date
El N/A
Remarks: Click or tap here to enter text.
7.
Groundwater Monitoring Records
El Readily available
~ Up to date
~ N/A
Remarks: Click or tap here to enter text.
8.
Leachate Extraction Records
~ Readily available
El Up to date
El N/A
Remarks: Click or tap here to enter text.
9.
Discharge Compliance Records
3
-------
Site Inspection Checklist
~ Air ~ Readily available ~ Up to date ~ N/A
K Water (effluent) IEI Readily available ~ Up to date ^ N/A
Remarks: Click or tap here to enter text.
10. Daily Access/Security Logs
~ Readily available El Up to date ~ N/A
Remarks '
IV. O&M COSTS
1. O&M Organization
~ State in-house ~ Contractor for State
~ PRP in-house IEI Contractor for PRP
~ Federal Facility in-house ~ Contractor for Federal Facility
Remarks: GHD is the contractor
2. O&M Cost Records
~Readily available ~ Up to date ~ Funding mechanism/agreement in place
Original O&M cost estimate Click or tap here to enter text. ~ Breakdown attached
Total annual cost by year for review period if available
From
To
Total cost
Click or tap to enter a
Click or tap to
Click or tap here to
~ Breakdown attached
date.
enter a date.
enter text.
From
To
Total cost
Click or tap to enter a
Click or tap to
Click or tap here to
~ Breakdown attached
date.
enter a date.
enter text.
From
To
Total cost
Click or tap to enter a
Click or tap to
Click or tap here to
~ Breakdown attached
date.
enter a date.
enter text.
From
To
Total cost
Click or tap to enter a
Click or tap to
Click or tap here to
~ Breakdown attached
date.
enter a date.
enter text.
From
To
Total cost
Click or tap to enter a
Click or tap to
Click or tap here to
~ Breakdown attached
date.
enter a date.
enter text.
3. Unanticipated or Unusually High O&M Costs During Review Period
Describe costs and reasons:
V. ACCKSS AND INSTH I TIONAI. CONTROLS
4
-------
Site Inspection Checklist
El Applicable
~ N/A
1.
Fencing Damaged ~ Location shown on site map
Remarks: Fence and Gates in good condtion.
El Gates secured
~ N/A
2.
Other Access Restrictions ~ Location shown on site map
Remarks: Signs on fence in place.
~ Gates secured
3.
Institutional Controls (ICs)
A. Implementation and Enforcement
Site conditions imply ICs not properly implemented
~ Yes El No
~ N/A
Site conditions imply ICs not being fully enforced
~ Yes El No
~ N/A
Type of monitoring {e.g., self-reporting, drive by)
Groundwater
Frequency
S emi -annual/annual
Responsible party/agency
PRP
Contact: Tim Ree, Project Mgr., Click or tap to enter a date., P: 612 524 6866
Reporting is up-to-date
El Yes ~ No
~ N/A
Reports are verified by the lead agency
El Yes ~ No
~ N/A
Specific requirements in deed or decision documents have been
met
El Yes ~ No
~ N/A
Violations have been reported
~ Yes El No
~ N/A
Other problems or suggestions:
Click or tap here to enter text.
B. Adequacy ^ ICs are adequate ~ ICs are inadequate ~ N/A
Remarks: Click or tap here to enter text.
4.
General
A. Vandalism/Trespassing ~ Location shown on site map
El No vandalism evident
Remarks: Click or tap here to enter text.
B. Land use changes on site IEI N/A
Remarks: Click or tap here to enter text.
C. Land use changes off site IEI N/A
Remarks: Click or tap here to enter text.
vi. (;i:m:uai. sin: conditions
5
-------
Site Inspection Checklist
1. Roads M Applicable
~ N/A
A. Roads damaged ~ Location shown on site map
M Roads adequate ~ N/A
Remarks: Click or tap here to enter text.
B. Other Site Conditions
Remarks: Trees have grown up on the site.
Ml. LAN DM I.L COYKUS
1. Landfill Surface ~ Applicable
E N/A
A. Settlement (Low Spots) ~ Location Shown on Site Map
~ Settlement Not Evident
Areal Extent: Click or tap here to enter text. Depth: Click or tap here to enter text.
Remarks: Landfill was covered with a couple inches of snow.
B. Cracks ~ Location Shown on Site Map
~ Cracking Not Evident
Lengths: Click or tap here .... 1t1 , ,
Widths: Click or tap here to enter text
to enter text.
Depths: Click or tap here to enter
text.
Remarks: Click or tap here to enter text.
C. Erosion ~ Location Shown on Site Map
~ Erosion Not Evident
Areal Extent: Click or tap here to enter text. Depth: Click or tap here to enter text.
Remarks: Minor erosion located near burrowing holes from animals on the face of the dam.
D. Holes ~ Location Shown on Site Map
~ Holes Not Evident
Areal Extent: Click or tap here to enter text. Depth: Click or tap here to enter text.
Remarks: Holes from burrowing animals on the face of the dam.
E. Vegetative Cover ~ Grass
~ Cover Properly Established
~ Tress/Shrubs (indicate size and locations on a diagram
~ No Signs of Stress
Remarks: Click or tap here to enter text.
F. Alternative Cover (armored rock, concrete, etc.)
E N/A
Remarks: Click or tap here to enter text.
G. Bulges ~ Location Shown on Site Map
~ Bulges Not Evident
Areal Extent: Click or tap here to enter text. Height: Click or tap here to enter text.
Remarks: Click or tap here to enter text.
H. Wet Areas/Water Damage ~ Wet Areas/Water Damage Not Evident
~ Wet Areas ~ Location Shown on Site Map Areal Extent: Click °r taP hcrc 10 cntcr
text.
6
-------
Site Inspection Checklist
~ Ponding D Location Shown on Site Map
Areal Extent: Click or tap here to enter
text.
~ Seeps n Location Shown on Site Map
Areal Extent: Click or tap here to enter
text.
~ Soft Subgrade ^ Location Shown on Site Map
Areal Extent: Click or tap here to enter
text.
Remarks: Click or tap here to enter text.
I. Slope Instability ~ Location Shown on Site Map
~ Slope Instability Not Evident
~ Slides
Areal Extent: Click or tap here to enter
text.
Remarks: Click or tap here to enter text.
2. Benches ~ Applicable
E N/A
(Horizontally constructed mounds of earth placed across a steep landfill side slope to interrupt the slope in
order to slow down the velocity of surface runoff and intercept and convey the runoff to a lined channel.)
A. Flows Bypass Bench ~ Location Shown on Site Map
~ N/A or Okay
Remarks: Click or tap here to enter text.
B. Bench Breached ~ Location Shown on Site Map
~ N/A or Okay
Remarks: Click or tap here to enter text.
C. Bench Overtopped ~ Location Shown on Site Map
~ N/A or Okay
Remarks: Click or tap here to enter text.
3. Letdown Channels ~ Applicable
E N/A
(Channel lined with erosion control mats, riprap, grout bags, or gabions that descend down the steep side
slope of the cover and will allow the runoff water collected by the benches to move off of the landfill cover
without creating erosion gullies.)
A. Settlement ~ Location Shown on Site Map
~ Settlement Not Evident
Areal Extent: Click or tap here to enter text.
Depth: Click or tap here to enter text.
Remarks: Click or tap here to enter text.
B. Material Degradation ~ Location Shown on Site Map ~ Degradation Not Evident
Material Type: Click or tap here to enter text.
Areal Extent: Click or tap here to enter
text.
Remarks: Click or tap here to enter text.
C. Erosion ~ Location Shown on Site Map ~ Erosion Not Evident
Areal Extent: Click or tap here to enter text.
Depth: Click or tap here to enter text.
Remarks: Click or tap here to enter text.
7
-------
Site Inspection Checklist
D. Undercutting
~ Location Shown on Site Map ~ Undercutting Not Evident
Areal Extent: Click or tap lit
ire to enter text. Depth: : or tap here to enter text.
Remarks: Click or tap here i
o enter text.
E. Obstructions
~ Location Shown on Site Map ~ Undercutting Not Evident
Type: Click or tap here to ei
iter text.
Areal Extent: Click or tap ht
ire to enter text. Size: Click or tap here to enter text.
Remarks: Click or tap here i
o enter text.
F. Excessive Vegetative Growth ~ Location Shown on Site Map ~ Excessive Growth Not Evident
Areal Extent: Click or tap ht
, , ~ Vegetation in channels does not obstruct
ire to enter text. _ &
flow
Remarks: Click or tap here i
o enter text.
4. Cover Penetrations
~ Applicable M N/A
A. Gas Vents
~ Active ~ Passive
~ Properly secured/locked
~ Functioning ~ Routinely sampled
~ Good condition
~ Evidence of leakage at penetration
~ Needs Maintenance
~ N/A
Remarks: Click or tap here i
o enter text.
B. Gas Monitoring Probes
~ Properly secured/locked
~ Functioning ~ Routinely sampled
~ Good condition
~ Evidence of leakage at penetration
~ Needs Maintenance
~ N/A
Remarks: Click or tap here i
o enter text.
C. Monitoring Wells
~ Properly secured/locked
~ Functioning ~ Routinely sampled
~ Good condition
~ Evidence of leakage at penetration
~ Needs Maintenance
~ N/A
Remarks: Click or tap here i
o enter text.
D. Leachate Extraction Wells
~ Properly secured/locked
~ Functioning ~ Routinely sampled
~ Good condition
~ Evidence of leakage at penetration
-------
Site Inspection Checklist
~ Needs Maintenance ~ N/A
Remarks: Click or tap here to enter text.
E. Settlement Monuments ~ Located ~ Routinely Surveyed ~ N/A
Remarks: Click or tap here to enter text.
5. Gas Collection and Treatment ~ Applicable ISI N/A
A. Gas Treatment Facilities
~ Flaring ~ Thermal Destruction ~ Collection for Reuse
~ Good condition ~ Needs Maintenance
Remarks: Click or tap here to enter text.
B. Gas Collection Wells, Manifolds, and Piping
~ Good condition ~ Needs Maintenance ~ N/A
Remarks: Click or tap here to enter text.
C. Gas Monitoring Facilities (e.g. gas monitoring of adjacent homes or buildings)
~ Good condition ~ Needs Maintenance ~ N/A
Remarks: Click or tap here to enter text.
6. Cover Drainage Layer ~ Applicable M N/A
A. Outlet Pipes Inspected ~ Functioning ~ N/A
Remarks: Click or tap here to enter text.
B. Outlet Rock Inspected ~ Functioning ~ N/A
Remarks: Click or tap here to enter text.
7. Detention/Sediment Ponds ~ Applicable Kl N/A
A. Siltation ~ Siltation Not Evident ~ N/A
Areal Extent: Click or tap here to enter text. Depth: or tap here to enter text.
Remarks: Click or tap here to enter text.
B. Erosion ~ Erosion Not Evident
Areal Extent: Click or tap here to enter text. Depth: or tap here to enter text.
Remarks: Click or tap here to enter text.
C. Outlet Works ~ Functioning ~ N/A
Remarks: Click or tap here to enter text.
D. Dam ~ Functioning ~ N/A
9
-------
Site Inspection Checklist
Remarks: Click or tap here to enter text.
8. Retaining Walls
~ Applicable
El N/A
A. Deformations ~ Location Shown on Site Map
Horizontal Displacement: Click or tap here to enter text.
Vertical Displacement: Slurry wall and grout curtain
Rotational Displacement: Click or tap here to enter text.
Remarks: Click or tap here to enter text.
~ Deformation Not Evident
B. Degradation ~ Location Shown on Site Map ~ Deformation Not Evident
Remarks: Click or tap here to enter text.
9. Perimeter Ditches/Off-Site Discharge
El Applicable
~ N/A
A. Siltation ~ Location Shown on Site Map El Siltation Not Evident
Areal Extent: Click or tap here to enter text. Depth: : or tap here to enter text.
Remarks: Click or tap here to enter text.
B. Vegetative Growth ~ Location Shown on Site Map ~ N/A
IEI Vegetation Does Not Impede Flow
Areal Extent: Click or tap here to enter text. Type: Click or tap here to enter text.
Remarks: Click or tap here to enter text.
C. Erosion ~ Location Shown on Site Map El Erosion Not Evident
Areal Extent: Click or tap here to enter text. Depth: : or tap here to enter text.
Remarks: Click or tap here to enter text.
D. Discharge Structure
IEI Functioning
~ N/A
Remarks Discharge is not being utilized at this time due to the idling of the \T.R system
Mil. M.U I K AI. ISAKKIKK WALLS
El Applicable
~ N/A
1. Settlement ~ Location Shown on Site Map El Settlement Not Evident
Areal Extent: Click or tap here to enter text. Depth: Click or tap here to enter text.
Remarks: Slurry wall and grout curtain are functioning.
2. Performance Monitoring Type of Monitoring: Inspections
~ Performance Not Monitored
Frequency: Semi-annual/annual
~ Evidence of Breaching
Head Differential: Click or tap here to enter text.
10
-------
Site Inspection Checklist
Remarks: Click or tap
to enter text
ix. (;uoiM)\\ \n u/si ui \( i: watku kk.mkdiks
Applicable
~ N/A
1. Groundwater Extraction Wells, Pumps, and Pipelines
Applicable
~ N/A
A. Pumps, Wellhead Plumbing, and Electrical ~ N/A
El Good Condition ~ All Required Wells Properly Operating ~ Needs Maintenance
Remarks: At this time the pumps are not being used due to the VER system being idled
B. Extraction System Pipelines, Valves, Valve Boxes, and Other Appurtenances
IEI Good Condition ~ Needs Maintenance
Remarks: Click or tap here to enter text.
C. Spare Parts and Equipment
IEI Readily Available El Good Condition
Remarks: Click or tap here to enter text.
~ Needs to be Provided
~ Requires Upgrade
2. Surface Water Collection Structures, Pumps, and Pipelines
Applicable
~ N/A
A. Collection Structures, Pumps, and Electrical
El Good Condition ~ Needs Maintenance
Remarks: At this time the pumps are not being used due to the VER system being idled
B. Surface Water Collection System Pipelines, Valves, Valve Boxes, and Other Appurtenances
El Good Condition ~ Needs Maintenance
Remarks: Click or tap here to enter text.
C. Spare Parts and Equipment
El Readily Available El Good Condition
Remarks: Click or tap here to enter text.
~ Needs to be Provided
~ Requires Upgrade
3. Treatment System
Applicable
~ N/A
~ Bioremediation
A. Treatment Train (Check components that apply)
~ Metals removal El Oil/Water Separation
El Air Stripping El Carbon Absorbers
El Filters Click or tap here to enter text.
~ Additive (e.g. chelation agent, flocculent) Click or tap here to enter tex'
~ Others or tap here to enter text.
11
-------
Site Inspection Checklist
El Good Condition ~ Needs Maintenance
~ Sampling ports properly marked and functional
~ Sampling/maintenance log displayed and up to date
~ Equipment properly identified
~ Quantity of groundwater treated annually Click or tap here to enter text.
~ Quantity of surface water treated annually Click or tap here to enter text.
Remarks: At this time treatment is not being performed due to the VER system being idled
B. Electrical Enclosures and Panels (properly rated and functional)
~ N/A El
Good Condition ~ Needs Maintenance
Remarks: Click or tap here to enter text.
C. Tanks, Vaults, Storage Vessels ~ N/A
~ Proper Secondary Containment IEI
Good Condition ~ Needs Maintenance
Remarks: Click or tap here to enter text.
D. Discharge Structure and Appurtenances
~ N/A El
Good Condition ~ Needs Maintenance
Remarks: Click or tap here to enter text.
E. Treatment Building(s)
~ N/A
El Good condition (esp. roof and doorways)
~ Needs repair
El Chemicals and equipment properly stored
Remarks Click or tap here to enter text.
F. Monitoring Wells (Pump and Treatment Remedy) ~ N/A
IEI Properly secured/locked
El Functioning
El Routinely sampled
El All required wells located
El Good condition
~ Needs Maintenance
Remarks Click or tap here to enter text.
4. Monitoring Data
A. Monitoring Data:
El Is Routinely Submitted on Time
El Is of Acceptable Quality
B. Monitoring Data Suggests:
El Groundwater plume is effectively contained
El Contaminant concentrations are declining
12
-------
Site Inspection Checklist
5. Monitored Natural Attenuation
A. Monitoring Wells (natural attenuation remedy) M N/A
~ Properly secured/locked ~ Functioning ~ Routinely sampled
~ All required wells located ~ Needs Maintenance ~ Good condition
Remarks: ; or tap here to enter '
X. Oil IKU KIM IM)I I S
If there are remedies applied at the site which are not covered above, attach an inspection sheet
describing the physical nature and condition of any facility associated with the remedy. An example
would be soil vapor extraction.
XI. OVKKAM, OBSERVATIONS
1. Implementation of the Remedy
Describe issues and observations relating to whether the remedy is effective and functioning as designed.
Begin with a brief statement of what the remedy is to accomplish (i.e., to contain contaminant plume,
minimize infiltration and gas emission, etc.).
The remedy is functioning as intended. However, the VER system is currently idled until EPA makes a
decision on Phase II.
2. Adequacy of O&M
Describe issues and observations related to the implementation and scope of O&M procedures. In
particular, discuss their relationship to the current and long-term protectiveness of the remedy.
Click or tap here to enter text.
3. Early Indicators of Potential Remedy Problems
Describe issues and observations such as unexpected changes in the cost or scope of O&M or a high
frequency of unscheduled repairs that suggest that the protectiveness of the remedy may be compromised
in the future.
Click or tap here to enter text.
4. Early Indicators of Potential Remedy Problems
Describe possible opportunities for optimization in monitoring tasks or the operation of the remedy.
Click or tap here to enter text.
13
-------
Attachment 9
-------
Page 1 of 2
QAPP Worksheet #15-01: Project Action Limits and Laboratory-Specific Deteetion/Quantitation Limits
Matrix: Water
Analytical Method: VOC SW-846 8260D
Concentration level (if applicable): Low
Analyte Description
CAS Number
Project Action Limit1
Project Quantitation
Limit Goal
RL
Units
1.1,1-Trichloroethane
71-55-6
200
1.00
1.00
Mfl/L
1,1,2,2-Tetrachloroethane
79-34-5
NA
1.00
1.00
Ufl/L
1,1,2-Trichloro-1,2.2-trifluoroethane
76-13-1
NA
1.00
1.00
Ufl/L
1,1,2-T richloroethane
79-00-5
5
1.00
1.00
Ufl/L
1,1-Dichloroethane
75-34-3
1400
1.00
1.00
Mfl/L
1,1-Dichloroethene
75-35-4
NA
1.00
1.00
Ufl/L
1,2,4-Trichlorobenzene
120-82-1
70
1.00
1.00
Ufl/L
1,2-Dibromo-3-Chloropropane
96-12-8
0.2
5.00
5.00
Ufl/L
1,2-Dibromoethane
106-93-4
NA
1.00
1.00
Ufl/L
1,2-Dichlorobenzene
95-50-1
NA
1.00
1.00
Ufl/L
1,2-Dichloroethane
107-06-2
5
1.00
1.00
Ufl/L
1,2-Dichloropropane
78-87-5
5
1.00
1.00
Ufl/L
1,3-Dichlorobenzene
541-73-1
NA
1.00
1.00
Ufl/L
1,4-Dichlorobenzene
106-46-7
NA
1.00
1.00
pq/L
2-Butanone (MEK)2
78-93-3
4.2
5.00
5.00 (MDL 0.212)
ug/L
2-Hexanone
591-78-6
NA
5.00
5.00
Ufl/L
4-Methyl-2-pentanone (MIBK)
108-10-1
NA
5.00
5.00
Ufl/L
Acetone
67-64-1
6300
10.0
10.0
Ufl/L
Benzene
71-43-2
5
0.500
0.500
Ufl/L
Bromodichloromethane
75-27-4
NA
1.00
1.00
Ufl/L
Bromoform
75-25-2
NA
1.00
1.00
Ufl/L
Bromomethane
74-83-9
NA
3.00
3.00
Ufl/L
Carbon disulfide
75-15-0
700
2.00
2.00
Ufl/L
Carbon tetrachloride
56-23-5
5
1.00
1.00
Ufl/L
Chlorobenzene
108-90-7
NA
1.00
1.00
Ufl/L
Chloroethane
75-00-3
NA
1.00
1.00
Ufl/L
Chloroform
67-66-3
70
2.00
2.00
ug/L
Chloromethane
74-87-3
NA
1.00
1.00
Ufl/L
cis-1,2-Dichloroethene
156-59-2
70
1.00
1.00
Ufl/L
cis-1,3-Dichloropropene
10061-01-5
NA
1.00
1.00
Ufl/L
Cyclohexane
110-82-7
NA
1.00
1.00
Ufl/L
Dibromochloromethane
124-48-1
NA
1.00
1.00
Ufl/L
Dichiorodifluoromethane
75-71-8
1400
3.00
3.00
Ufl/L
GHD 015169-RPT-34-WS_15-01 -VOC (003),xlsx
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Page 2 of 2
QAPP Worksheet #15-01: Project Action Limits and Laboratory-Specific Detection/Quantitation Limits
Matrix; Water
Analytical Method: VOC SW-846 8260D
Concentration level (if applicable): Low
Analyte Description
CAS Number
Project Action Limit1
Project Quantitation
Limit Goal
' RL
Units
Ethylbenzene
100-41-4
NA
0.500
0,500
Mfl/L
Isopropylbenzene
98-82-8
700
1.00
1.00
pg/L
m&p-Xylene
179601-23-1
see xylenes, total
1.00
1.00
pg/L
Methyl acetate
79-20-9
NA
5.00
5.00
yg/L
Methyl tert-butyl ether
1634-04-4
70
1.00
1.00
pg/L
Methylcyclohexane
108-87-2
NA
1.00
1.00
pg/L
Methylene Chloride
75-09-2
NA
5.00
5.00
(jg/L
o-Xylene
95-47-6
see xylenes, total
0.500
0.500
ug/L
Styrene
100-42-5
100
1.00
1.00
ug/L
Tetrachloroethene
127-18-4
5
1.00
1.00
ug/L
Toluene
108-88-3
1000
0.500
0.500
Mfl/L
trans-1,2-Dichloroethene
156-60-5
100
1,00
1.00
Mfl/L
trans-1,3-Dichloropropene
10061-02-6
NA
1.00
1.00
pg/L
Trichloroethene
79-01-6
5
0.500
0.500
Mfl/L
T richlorofluoromethane
75-69-4
2100
1.00
1.00
ug/L
Vinyl chloride
75-01-4
2
1.00
1.00
pg/L
Xylenes, Total
1330-20-7
10000
1.00
1.00
pg/L
Notes
1 - Class I potable resource groundwater (Title 35 of the Illinois Administrative Code Section 620,410)
2 - PAL is met by reporting down to MDL (J value)
RL - Reporting limit
NA - Not applicable
GHD 015169-RPT-34-WS_15-01 -VOC (003),xisx
-------
QAPP Worksheet #15-02: Project Action Limits and Laboratory-Specific Detection/Quantitation Limits
Matrix: Water
Analytical Method: Metals SW-846 6020A (total and dissolved)
Concentration level (if applicable): Low
Analyte Description
CAS Number
Project Action Limit1
Project Quantitation
Limit Goal
RL
Units
Aluminum
7429-90-5
NA
100
100
ug/L
Antimony
7440-36-0
6
3.00
3.00
ug/L
Arsenic
7440-38-2
10
1.00
1,00
ug/L
Barium
7440-39-3
2000
2.50
2.50
ug/L
Beryllium
7440-41-7
4
1.00
1.00
ug/L
Cadmium
7440-43-9
5
0,500
0.500
ug/L
Calcium
7440-70-2
NA
200
200
ug/L
Chromium
7440-47-3
100
5.00
5.00
ug/L
Cobalt
7440-48-4
1000
1.00
1.00
ug/L
Copper
7440-50-8
650
2.00
2.00
ug/L
iron
7439-89-6
5000
100
100
ug/L
Lead
7439-92-1
7.5
0.500
0.500
ug/L
Magnesium
7439-95-4
NA
200
200
ug/L
Manganese
7439-96-5
150
2.50
2.50
ug/L
Nickel
7440-02-0
100
2.00
2.00
ug/L
Potassium
7440-09-7
NA
500
500
ug/L
Selenium
7782-49-2
50
2.50
2.50
ug/L
Silver
7440-22-4
50
0.500
0.500
ug/L
Sodium
7440-23-5
NA
200
200
ug/L
Thallium
7440-28-0
2
2.00
2.00
ug/L
Vanadium
7440-62-2
49
5.00
5.00
ug/L
Zinc
7440-66-6
5000
20.0
20.0
US/L
Notes.
1 - Class I potable resource groundwater (Title 35 of the Illinois Administrative Code Section 620.410)
RL - Reporting limit
NA - Not applicable
GHD 015169-RPT-34-WS 15-02-Metals.x!sx
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Page 1 of 1
QAPP Worksheet #15-03: Project Action Limits and Laboratory-Specific Detection/Quantitation Limits
Matrix: Water
Analytical Method: Mercury (total and dissolved) SW-846 7470A
Concentration level (if applicable): Low
Analyse Description
CAS Number
Project Action Limit'
Project Quantitation
Limit Goal
RL
Units
Mercury
7439-97-6
2
0.200
0.200
mil
Notes:
1 - Class I potable resource groundwater (Title 35 of the Illinois Administrative Code Section 620 410)
RL - Reporting limit
GHD 015169-RPT-34-WS_15-03-Mercury.xlsx
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Page 1 of 1
QAPP Worksheet #15-04: Project Action Limits and Laboratory-Specific Detection/Quantitation Limits
Matrix: Water
Analytical Method: Alkalinity SM 2320B
Concentration level (if applicable): Low
Analyte Description
CAS Number
Project Action Limit1
Project Quantitation
Limit Goal
RL
Units
Alkalinity
ALK
NA
5.00
5.00
mg/L
Notes:
1 - Class I potable resource groundwater (Title 35 of the Illinois Administrative Code Section 620 410)
RL - Reporting limit
NA - Not applicable
GHD 015169-RPT-34-WS_15-04 Alkalinity.xlsx
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Page 1 of 1
QAPP Worksheet #15-05: Project Action Limits and Laboratory-Specific Detection/Quantitation Limits
Matrix: Water
Analytical Method: Chloride, Sulfate, Nitrate EPA 300.0
Concentration level (if applicable): Low
Analyte Description
CAS Number
Project Action Limit'
Project Quantitation
Limit Goal
RL 1
Units
Chloride
16887-00-6
200
1.00
1.00
mg/L
Sulfate
14808-79-8
400
1.00
1.00
mq/L
Nitrate
14797-55-8
10
1.00
1.00
mg/L
Notes:
1 - Class I potable resource groundwater (Title 35 of the Illinois Administrative Code Section 620 410)
RL - Reporting limit
GHD 015169-RPT-34-WSM 5-05 Ci S04 N03.xisx
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Page 1 of 1
QAPP Worksheet #15-06: Project Action Limits and Laboratory-Specific Detection/Quantitation Limits
Matrix: Water
Analytical Method: Hardness (total and dissolved) SM 2340B
Concentration level (if applicable): Low
Analyte Description
CAS Number
Project Action Limit'
Project Quantitation
Limit Goal
RL
Units
Hardness, total
HARDNESSCALC
NA
0.910
0.910
mg/L
Hardness, dissolved
HARDNESSCALCD
NA
0.910
0.910
mg/L
Notes:
1 - Class I potable resource groundwater (Title 35 of the Illinois Administrative Code Section 620.410)
RL - Reporting limit
NA - Not applicable
GHD 015169-RPT-34-WS_15-06 Hardness.xlsx
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Page 1 of 1
QAPP Worksheet #15-07: Project Action Limits and Laboratory-Specific Detection/Quantitation Limits
Matrix: Water
Analytical Method: Total Organic Carbon. SW 9060A
Concentration level (if applicable): Low
Analyte Description
CAS Number
Project Action Limit1
Project Quantitation
Limit Goal
RL
Units
Total Organic Carbon
7440-44-0
NA
1.00
1.00
mg/L
Notes:
1 - Class I potable resource groundwater (Title 35 of the Illinois Administrative Code Section 620.410)
RL - Reporting limit
NA - Not applicable
GHD 015169-R PT-34-WS_ 15-07 TOC.xIsx
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Page 1 of 1
QAPP Worksheet #15-08: Project Action Limits and Laboratory-Specific Detection/Quantitation Limits
Matrix: Water
Analytical Method: Methane, RSK-175
Concentration level (if applicable): Low
Analyte Description
CAS Number
Project Action Limit1
Project Quantitation
Limit Goal
Units
Methane
74-82-8
NA
1.00
1.00
I ug/L
Notes:
1 - Class I potable resource groundwater (Title 35 of the Illinois Administrative Code Section 620 410)
RL - Reporting limit
NA - Not applicable
GHD 015169-RPT-34-WS_15-08 Metbane.xlsx
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Attachment 10
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TABLE1 2: CONCENTRATIONS2 OF ORGANIC CONTAMINANTS
IN LNAPL, GROUND WATER, AND SOIL
Concentration in
LNAPL
Concentration in
groundwater
Concentration in
soil
acetone
4.200 to 500,000J3
150J (shallow)4
1600J
total 1,2-dichloroethene
39,000 to 460,000J
21 (shallow); 15
(intermediate)
13J
1,1-dichloroethane
120,000
60 (shallow); 70
(intermediate)
150
1,1-dichloroethene
4,200
50 (shallow); 3J
(intermediate)
ND5
chloroethane
23,000
100J (shallow); 53
(deep)
ND
vinyl chloride
ND
11J (shallow); 15J
(intermediate)
ND
l,l»l-trichloroethane
170.000
120 (shallow);
83 (intermediate);
2J(deep)
160
trichloroethene
86,000J
6 (shallow); 3J
(intermediate)
910
tetrachloroethene
8,400
3J (shallow); 2J
(intermediate)
2,800
ethyl benzene
6,900 to 2,000,000
440J (shallow)
11,000
toluene
49,000 to
4,400,000
360J (shallow)
10.000
total xylenes
4,700 to 8,500,000
2.400J (shallow)
42,000
bis(2-ethy!hexyl)phthalate
660,000J ug/kg
1J
7400
2-methylnaphthalene
1,000,000 to
2.900,000
4,000 (shallow)
45,OOOJ
Aroclor-1242
19,000J to
210,000J ug/kg
160 (shallow)
12,000
Aroclor-1260
17.000J to 42.000J
97J (shallow)
1,300
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ENDNOTES FOR TABLE 2
1. Sources for the information in the table are: Remedial Investigation Report. October 1992,
ERM-North Central, Inc.; Technical Memorandum No. 4, March 1995, ERM-North Central.
Inc.; and Supplemental LNAPL Investigation Report, October 1997, ERM-North Central. Inc.
2. LNAPL concentrations are in ug/kg, ground water concentrations are in ug/L, and soil
concentrations are in ug/kg.
3. The data qualifier "J" indicates that the result is estimated.
4. Depths of wells are indicated in parentheses.
5. "ND" indicates that the compound was not detected above detection limits.
-------
TABLE1 3: CONCENTRATIONS OF INORGANIC
CONTAMINANTS IN LNAPL, GROUND WATER, AND SOIL
LNAPL (ug/kg)
Groundwater (ug/L)
Soil (mg/kg)
arsenic
1,900J2 to 5,800J
92J (shallow)3; 5.4J
(deep)
87J
barium
121,000 to
219.000J
1,410J (shallow);
123J (intermediate);
117(deep)
3,060J
cadmium
11,200
1.6J
3.8
chromium
4,600J to 5,700
117J
158
cyanide
ND4
44.9J (shallow)
12
lead
81,000 to 150,000
564 (shallow)
909J
zinc
3,300J to 7,100J
386J (shallow);
48 (intermediate);
21.9J(deep)
654J
1 Sources of information in the table are Remedial Investigation Report, October 1992,
ERM-North Central, Inc.; Technical Memorandum No. 4, March 1995, ERM-North Central,
Inc.; and SLpplemental LNAPL Investigation Report, October 1997, ERM-North Central, Inc.
2 The data qualifier UJ" indicates that the result is estimated.
3 Depths of wells are indicated in parentheses.
4 "ND" indicates that the analyte was not detected above detection limits.
-------
TABLE1 4: CONCENTRATION2 GRADIENTS OF
CONTAMINANTS IN MONITORING WELLS
Concentration in
Shallow
Monitoring Wells
Concentration in
Intermediate
Monitoring Wells
Concentration in
Deep Monitoring
Wells
1,2-dichloroethene (total)
21
__3
1,1-dichloroethane
58
70
1,1-dichloroethene
-
3 J4
chloroethane
27J
-
53
vinyl chloride
11J
15J
-
1,1,1 -trichloroethane
120
83
-
trichloroethene
6
3J
tetrachloroethene
3J
-
arsenic
92 J
-
5.4J
barium
1.410J
123J
117
zinc
386J
48
21.9J
1 Source: Tables 4-33 through 4-41 in Remedial Investigation Report, Lenz Oil Site,
October 1992, prepared by ERM-North Central, Inc.
2 All concentrations are in ug/L.
3 The symbol means that the compound was not detected in the sample, or that a well
was not installed at this depth.
4 The data qualifier "J" indicates that the result is estimated.
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