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RECAP

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Title: RECAP


1
RECAP
  • From RECAP 2000
  • To
  • RECAP 2003

2
LDEQs RECAP
  • RECAP revision schedule
  • FEIS Draft and Fiscal Office Draft 11/20/02
  • NOI to State Register 12/10/02
  • NOI published in Louisiana Register
  • (comment period begins) 12/20/02
  • LDEQ Public Hearing Date 01/24/03
  • Comment period ends 03/20/03
  • Summary report to LOC 07/10/03
  • Rule published in Louisiana Register 10/20/03
  • and becomes final

3
Transition to the 2003 RECAP
  • The management of an AOC/AOI may continue
    under RECAP 2000 until the current phase/task of
    the project has been completed and approved by
    the Department. Further assessment of the
    AOC/AOI shall be under RECAP 2003 unless
    otherwise approved by the Department.

4
Current Regulation
  • LAC 33I.1305 Applicability
  • This Chapter establishesrequirements to evaluate
    and/or remediate sites that have been affected by
    constituents of concern
  • This Chapter shall not applyplans that were
    approved by the department prior to December 20,
    1998, except when modification is deemed by the
    department to be necessary to protect

5
LAC 33I.1305 Applicability
  • C. This Chapter shall not apply to
  • 1. current spills that
  • a. do not require notification under LAC
    33I.Chapter 39
  • b. are remediated as soon as practicable, but not
    more than 30 days, after learning of the
    discharge and
  • c. are remediated in a manner that will ensure
    protection of human health and the environment

6
LAC 33I.1305
  • spills that create emergency conditions, as
    defined in LAC 33I.3905, but do not exceed a
    reportable quantity, provided conditions
    specified in Subparagraphs C.1.b-c of this
    Section are met
  • 3. spills solely to air and

7
LAC 33I.1305
  • 4. current spills over the reportable quantity
    that require notification under LAC 33I.Chapter
    39, that are remediated promptly in a manner
    protective of human health and the environment,
    provided that
  • a. the spill is remediated as soon as
    practicable, but not more than 30 days, after
    learning of the discharge
  • b. notification is made in accordance with LAC
    33I.Chapter 39 and

8
LAC 33I.1305
  • the written report required by LAC 33I.Chapter
    39, or a subsequent follow-up report, documents
    that the material has been removed to a level
    that will ensure protection of human health and
    the environment.
  • Such documentation may include confirmatory
    sampling, use of organic vapor monitoring devices
    or, where appropriate (such as where the spill is
    of a dark material and/or is very small), visual
    confirmation.
  • ii. Upon review of the reported cleanup
    documentation, the department may require a
    complete RECAP evaluation if the department
    determines that the actions taken do not
    adequately ensure protection of human health and
    the environment.

9
Identification of Landowners and
Easement/Right-of-Way Holders
  • The Submitter shall identify the name and
    mailing address of all other landowners and
    easement/right-of-way holders whose property is
    within an AOI.

10
Institutional Controls
  • Clarification that if the residual COC
    concentration in soil is gt Soilni, then a
    conveyance notification shall be place on the
    property.
  • Clarification that if the residual COC
    concentration in a groundwater 2 aquifer is gt GW2
    (w/o DF2), then a conveyance notice shall be
    place on the portion of the plume within the
    property boundaries.

11
Additional Guidance/Clarification
  • Use of monitored natural attenuation
  • Use of dry vs. wet weight
  • Identification of POC and the POE for GWes and
    GWair.
  • Use of ARARs under RECAP

12
Additional Guidance/Clarification
  • Acute toxicity - soil/child
  • Minor changes to land use codes
  • Submitter may assume GW1 without TDS and yield
    data
  • Data used under RECAP shall be obtained from a
    laboratory accredited by the state of Louisiana.

13
Hierarchy of toxicity values
  • EPAs Integrated Risk Information System (IRIS)
  • EPAs National Center for Environmental
    Assessment (NCEA) provisional values
  • EPAs Health Effects Assessment Summary Tables
    (EPA)
  • Values withdrawn from IRIS or HEAST
  • Other EPA or EPA-recommended source.

14
Changes to the Tables
  • Revised RS based on updated toxicity values and
    default assumptions
  • Added Soiles to Table 2
  • Added GWes and Gwair to Table 3
  • Use of EPA recommended GW standard for MTBE
    based on aesthetics
  • New constituents added to Tables acenaphthylene,
    2-methylnaphthalene and phenathrene

15
Identification of the AOI
  • Additional guidance/clarifications
  • - Multiple releases
  • - Id of multiple AOIs
  • - Id of AOI based on land use
  • - Id of AOI based on exposure pathways
  • Only 1 or 2 locations gt RS

16
AOI Concentration (AOIC)
  • Terminology new/use same
  • Additional guidance/clarifications
  • - Statistical considerations for 95UCL
  • Small data sets
  • High variability
  • Distribution of data
  • - 95UCL-AM vs Max Concentration

17
New Soil Intervals
  • Current/potential surface soil 0-15
  • Soili/ni, SoilGW and Soilsat
  • Subsurface soil gt15 bgs
  • SoilGW and Soilsat

18
Identification and Application of RECAP Standards
  • GWair is required to be included in the
    identification of the limiting RS
  • The GWes pathway may now be addressed under MO-1
  • The Soiles pathway may now be addressed under
    MO-1

19
Ambient and indoor air issues
  • Volatilization from soil and ground water gt 15
    bgs is an incomplete pathway (Soiles GWes Gwair )
  • LAC 33III.5112 Ambient Air Standards (annual
    average) used for Cai
  • -eliminates inconsistency with air
    regulations

20
Background
  • Number of Samples
  • A minimum dataset consisting of 4 discrete
    samples from unimpacted area
  • ? 7 BKG arithmetic mean
  • ? 8 BKG arithmetic mean 1 standard deviation
  • Arsenic background of 12 mg/kg

21
Appendix B
  •  
  •    Clarification of air sampling guidelines.
  •    Added groundwater reporting submittal
    requirements.

22
Appendix C
  •   Added a number of new submittal forms to
    promote consistency in RECAP submittals received
    by the Department and thus assist the Department
    in the review of submittals.
  •    Ecological checklist (RECAP Form 18) The
    area of impacted soil that triggers a screening
    level ecological risk assessment has been
    increased from 1 acre to 5 acres.

23
Appendix D
  • TPH-GRO and DRO ranges redefined
  • Added TCEQ Methods 1005 and 1006
  • Omitted Washington method for TPH fractions
  • Revised indicators for kerosene and jet fuel
  • Added list of target organs for TPH releases
  • Updated inputs for lead models
  • Guidance on PCDD and PCDF
  • - SO, MO-1, MO-2
  • - soil and groundwater

24
Appendix H
  • New Appendix H
  • Appendix H I J
  • Includes MO-3
  • Guidance on id of application of RS in
    conjunction with monitoring data (SPLP and
    indoor air)

25
Appendix H
  • New Appendix H
  • New Q/C values for VF (SSG 2001)
  • Revised dermal exposure assumptions
  • - new ABS factors
  • revised SA, AF, IRDadj
  • development of dermal tox values
  • use of online spreadsheets for 95UCL-AM, SS, and
    RS

26
RECAP
  • Management Option 3
  • Omitted MO-3A
  • Development of MO-3 RS only
  • Included in new Appendix H

27
RECAP
  • Minor Revisions
  • Criteria for management under SO, MO-1, and MO-2
  • Site Investigation Requirements
  • Data Evaluation/Useability
  • Land Use

28
Bonus Slides
29
RECAP Tools
  • OrIve exceeded the MO-1 RECAP
    standards. Now what do I do?

30
foc
  • MO-2 and MO-3 only
  • Changes (raises) Soili, Soilni, Soilgw, Soilsat
    and Soiles
  • Sample must be taken from un-impacted area of
    site
  • Be sure to check sample location and lab analysis
  • ASTM 2974 Foc organic matter /174

31
Foc impact on benzene RS
32
SPLP
  • Alternative evaluation of soil to ground water
    pathway
  • Replaces and supercedes Soilgw
  • May be used under any MO, including SO
  • Sample must be taken from location with highest
    constituent concentration
  • EPA Method 1312

33
SPLP
  • GW1 compare soil SPLP to GW1 X (20)
  • GW2 compare soil SPLP to GW2 X 20 X DF2
  • GW3 compare soil SPLP to GW3 X 20 X DF3
  • AOIC must still meet lower of Soili and Soilsat

34
Addressing Exposure to Multiple Constituents that
Elicit Noncarcinogenic Effects on the Same
Target Organ/System
  • Risk-based RS must be adjusted to account for
    potential additive effects
  • Soilni, Soili, Soiles
  • GW1, GW2, GWes
  • Not applicable to SoilGW, Soilsat, GW3, Watersol,
    background levels, quantitation limits, MCLs or
    ceiling values

35
MO-1 Accounting for AdditivityExample
  • Chemical Target Organ RS Adjusted RS
  • A kidney 24 8
  • B kidney, liver 15 5
  • C kidney 60 20
  • Divide the RS for A, B, and C by 3 (kidney)
  • (Same as calculating a RS using a THQ of 0.33)

36
MO-1 Accounting for AdditivityExample
  • Chem. Target Organ RS Adjusted RS COC
  • A kidney 24 8 18.0
  • B kidney, liver 15 5 3.0
  • C kidney 60 20 2.0
  • Divide the RS for A, B, and C by 3 (kidney)
  • (Same as calculating a RS using a THQ of 0.33)

37
Hazard Index Approach to Adjustments for Additive
Effects
  • MO-2 and MO-3 only
  • Just like MO-1 approach, applies only to direct
    human health-based standards, e.g. Soili, Soilni,
    GW1, GW2 and Soiles.
  • Do not blindly divide by the number of
    constituents!

38
Hazard Index Approach
  • THIkidney ECA/RSA ECB/RSB ECc/RSc
  • where
  • EC exposure concentration
  • RS RECAP Standard
  • THIkidney 18/24 3/15 2/60 0.98
  • THI must be lt 1.0

39
TPH fractionation
  • TPH mixtures (G,DO) 8015B
  • aliphatic and aromatic fractions

40
RECAP
  • QUESTIONS?
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