HomeMy WebLinkAboutDEQ-CFW_00080013Chemours,
XXXONv"I'l,"I'll
December 2, 2016
Ms. Julie Woosley, Chief
Hazardous Waste Section
Division of Waste Management
NC Department of Environmental Quality
1646 Mail Service Center
Raleigh, NC 27699-1646
Re: Corrective Measures Study Work Plan
Chemours Fayetteville Works
Fayetteville, North Carolina
EPA ID No. NCD 047 368 642
Dear Ms. Woosley:
Enclosed please find one (1) paper copy and one (1) electronic copy of the Corrective
Measures Study Work Plan for the above -referenced Site. The work plan was prepared in
accordance with the requirements of the Site's North Carolina Hazardous Waste Management
Permit.
Chemours looks forward to continuing on with the Corrective Measures Study portion of the
corrective action process. If you have any questions or need additional information please feel
free to contact me at 704-560-6435.
Sincerely,
Kevin Garon
Project Director
Chemours Corporate Remediation Group
cc: Michael Johnson — Chemours Fayetteville Works
File
Enclosures
DEQ-CFW-00080013
CORRECTIVE MEASURES
STUDY WORK PLAN
RCRA PERMIT NO. NCD047368642-R2-M3
Prepared for:
The Chemours Company
HighwayCorporate Remediation Group
22828 NC
Fayetteville, NC •
•. • •
-•i- # I'
• 1 M gi I i 1'
• _ ��. ''\ �' •ACC
DEQ-CFW 00080014
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OEQ-CFVV_00080015
CORRECTIVE MEASURES STUDY WORK PLAN
1.0 INTRODUCTION ................................................................................................... 1
1.1 Site Background .................................................................................................. 1
1.1.1 Plant Site Operations ................................................................................. 2
1.1.2 Regulatory History ..................................................................................... 3
1.2 Corrective Action ................................................................................................ 4
1.2.1 RF1 Approach ............................................................................................. 4
1.2.2 Corrective Measures Study Objective and Goals ......................................4
2.0 CURRENT SITE CONCEPTUAL MODEL ............................................................ 7
2.1 Physical Setting ................................................................................................... 7
2.1.1 Site Geology .............................................................................................. 7
2.1.2 Site Hydrogeology ..................................................................................... 8
2.2 Risk -Based Prioritization Process ..................................................................... 8
2.2.1
Summary of Risk Screening Evaluation Results ........................................9
2.2.2
Summary of Risk -Based Re -Prioritization Results ...................................10
2.3 Areas with Releases that Require Corrective Measures Study ....................11
2.3.1
SWMLI 6 NafionO Common Sump ...........................................................11
2.3.2
SWM U 7 P PA Area ..................................................................................
11
2.3.3
AOC Site -Wide Groundwater ...................................................................
12
2.4 Data Gaps and Additional Investigation ..........................................................12
2.4.1
Site -Specific Arsenic Background Level Determination ...........................12
2.4.2
Additional Groundwater Investigation ......................................................13
3.0 CORRECTIVE MEASURE STUDY ..................................................................... 15
3.1 CMS Purpose and Objectives ........................................................................... 15
3.2 Identification of Media Cleanup Standards and Objectives ..........................15
3.3 Corrective Measures Evaluation and Alternatives Selection Process ......... 15
4.0 CMS REPORTING AND SCHEDULE ................................................................. 19
4.1 CMS Report ........................................................................................................ 19
4.2 CMS Schedule ................................................................................................... 19
5.0 PROJECT MANAGEMENT PLAN ...................................................................... 21
DEQ-CFW-00080016
CORRECTIVE MEASURES STUDY WORK PLAN
Site Location Map
Site Layout Map
Monitoring Well and Piezometer Location Map
Perched Zone Potentiornetric Surface Map
Regional Aquifer Potentiometric Surface Map
SWM U / AOC Location Map
DEQ-CFW-00080017
CORRECTIVE MEASURES STUDY WORK PLAN
cal
Acronym
Definition / Description
AOC
Area of concern
APFO
Ammonium Perfluorooctanoate
bgs
Below ground surface
Chemours
The Chemours Company FC, LLC
CMS
Corrective Measures Study
COC
Constituent of concern
DuPont
E. I. du Pont de Nemours and Company
ECs
Engineering Controls
HH&E
Human health and the environment
HSWA
Hazardous and Solid Waste Amendments
IMAC
Interim maximum allowable concentrations
ICs
Institutional Controls
tag/L
Microgram(s) per liter
MNA
Monitored natural attenuation
MSL
Mean sea level
NC2L(s)
North Carolina 2L Standards
NCDENR
North Carolina Department of Environment and Natural Resources
NCDEQ
North Carolina Department of Environmental Quality
NFA
No Further Assessment/Action
O&M
Operations and maintenance
OWPHA
(USEPA) Office of Water Public Health Advisory
PAH
Polynuclear aromatic hydrocarbon
PCE
Tetrachloroethene
PFOA
Perfluorooctanoic acid
PPA
Polymer processing aid
RCRA
Resource Conservation and Recovery Act
RFI
RCRA Facility Investigation
RSL
Regional screening level
SCM
Site conceptual model
Site
Fayetteville Works Facility
SVOC
Semi -volatile organic compound
SWMU
Solid waste management unit
TCE
Trichloroethylene
USEPA
U. S. Environmental Protection Agency
VOC
Volatile organic compound
WWTP
Wastewater treatment plant
DEQ-CFW 00080018
CORRECTIVE MEASURES STUDY WORK PLAN
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DEQ-CFW 00080019
CORRECTIVE MEASURES STUDY WORK PLAN
EXECUTIVE SUMMARY
CorrectiveThis -s Study Workprepared • • Company
(Chemours)for -tteville Works facility near• • in BladenCounty,•
Carolina (the Site). The work plan outlines a process to determine if remedial actions are
required at the Site and, if so, to identify the optimal remedialto meet the Site goals
site-wideand objectives. This work plan focuses on the units that were identified during the Site's
Resource Conservation and Recovery Act Facility Investigation as requiring a corrective
measures study. These include Solid Waste Management Unit (SWMU) 6, SWMU 7, and the
groundwater area of • l
Institutional# •ls, engineering controls,and/or ! • -•'. natural attenuationbeen
selected as presumptive remedies forthe Site based on i' -•model, ' of the
constituents of concern (COCs), and the lack of significant off -site impacts. These remedies (or
combination of have been proven effective at similar sites,and alternative remedial
technologies to address Site COCsbe significantly more expensive providing
additional benefit.order to select frompresumptive remedies• • • • -'
the remedies will be evaluated based on technical, environmental, human health, institutional,
s cost concerns.
As part of the CMS, media cleanup standards will be developed based on the current and future
land use scenarios.• use of property is expected t remain industrial.However,
as no site use restrictions are currently in place, a future residential scenario will also be
considered as a potential - use. Since some constituents in both groundwater anr soil
cleanupnaturally occurring, site -specific background levels may also be used as alternative media
levels. In addition,- t • to evaluate the applicability of - -House
referredBill 639 (dated April 14, 2015 as amended by House Bill 765 dated October 22, 2015; hereafter
to as the Risk Bill) remediationAs • er the
allowance of iecific, risk -based groundwater cleanu• standards
subsequently be established for monitoring purposes (i.e., off -site migration), and land use
restrictions will be considered to prevent future use of the site groundwater as potable water and
eliminate potential for exposure by future residential users.
DEQ-CFW 00080020
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CORRECTIVE MEASURES STUDY WORK PLAN
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DEQ-CFW 00080021
CORRECTIVE MEASURES STUDY WORK PLAN
1011111100051114yffel 7
me unelfloIrs uunipaiTT r=,=7(r_;nen1o1.rs) for ine rdJULLUTAIle TTUIM5 INDIIIJ MUM*.
near Duart Township in Bladen County, North Carolina (the Site). The Site was owned
by E. 1. du Pont de Nemours and Company (DuPont) until July 2015.
A Resource Conservation and Recovery Act (RCRA) Facility Investigation (RFI) was
conducted at the Site in three phases from 2001 to 2014, and a site conceptual model
(SCM) was developed from the data compiled. The SCM was used to identify units of
the Site as either no further action required (NFA) or as requiring a corrective measures
study. The units requiring a CIVIS are Solid Waste Management Unit (SWMU) 6, SWMU
7, and the groundwater area of concern (AOC GW). The RFI results were presented in
the Final RCRA Facility Investigation Report (Parsons 2014), which recommended
conducting a CMS. In a letter dated September 6, 2016, the North Carolina Department
of Environmental Quality (NCDEQ; formerly North Carolina Department of Environment
and Natural Resources [NCDENR]) requested that a CIVIS work plan be submitted for
the Site.
1.. 117:1, . � ; "#T XM_V__Tr_T I F -79 - ME
1r•�; :!1 illivill
the units that were identified during the RFI as requiring a corrective measures study
and, if so, to identify the optimal remedial alternatives for use at the Site. This work plar.
describes the current conditions of the Site, reviews the SCM, and outlines the
applicable remedial technologies.
This work plan is organized into six sections, including this Introduction, which presents
site historical information and goals and objectives of the CMS. Section 2.0 presents the
current SCM, including information about the physical setting and the risk -based
prioritization process that was used to evaluate the Site. Section 3.0 discusses the
proposed CIVIS approach to meet the stated objectives including collection of additional
data to close remaining data gaps. Section 4.0 presents information about the CIVIS
Report and a schedule for the CIVIS activities. Section 5.0 presents the Project
Management Plan, which defines the responsibilities of the project personnel. Section
6.0 lists the references cited in this work plan.
The Fayetteville Works facility is located near Duart Township in Bladen County, North
Carolina. The Site is located 15 miles southeast of the City of Fayetteville on NC
Highway 87, south of the Bladen-Cumberland county line. Its geographic location is
34050'30" north latitude, 78050'00" west longitude. The Site contains 2,177 acres of
relatively flat undeveloped open land and woodland bounded on the east by the Cape
Fear River, on the west by NC Highway 87, and on the north and south by farmland
(Figure 1).
DuPont purchased the site property in parcels from several families in 1970. The Site's
first manufacturing area was constructed in the early 1970s. Currently, the Site
manufactures plastic sheeting, fluorochemicals, and intermediates for plastics
manufacturing. A former manufacturing area, which was sold in 1992, produced nylon
strapping and elastomeric tape (Figure 2).
DEQ-CFW-00080022
'40 •
CORRECTIVE MEASURES STUDY WORK PLAN
units. The polyvinyl fluoride (PVF) resin manufacturing unit remained with the DuPont
Company.
In addition to the manufacturing operations,• operates r natural • -r
boilers • a wastewater• . for - treatment of process . •
sanitary wastewaters from • and DuPont. Hazardous
generated from the Chemours'• processes and laboratories are currently
hazardousmanaged at the permitted Hazardous Waste Container Storage Area, in four permitted
-tanks, andat the •0ignitable wasteaccumulation
area prior o
being shipped offsite for treatment, disposal, or recycling.
Area
Description
Main Manufacturing Areas
Chemours
Manufactures Nafion° fluoropolymer membrane for electronic cells and
Fluoromonomers
various fluorochemicals used for Nafion® membrane, Teflon°
and Nafion°
fluoropolymer, Viton° elastomers, and other fluorinated products.
Membrane
Chemours
Manufactures a fluorochemical that is used as a processing aid for off -
Polymer
site fluoropolymer manufacturing. This area formerly manufactured
Processing Aid
ammonium perfluorooctanoate (APFO). (Note: The last date of APFO
(PPA)
production at the Site was April 28, 2013. Although APFO was
manufactured in this area, it was never used in any of the other
manufacturing facilities at the Site.)
Kuraray
Manufactures Butacite° polyvinyl butyral sheeting and polyvinyl butyral
Butacite°
resin for automotive and architectural safety glass.
Kuraray
Manufactures SentryGlas® structural interlayer for automotive and
SentryGlas°
architectural safety glass (previous location of now defunct Dymetrol°
nylon strapping).
DuPont
Manufactures polyvinyl fluoride (PVF) resin used to produce Tedlar°
Company
film.
PVF
Former Manufacturing Area
Polymer
Manufactured Teflon® fluorinated ethylene propylene (FEP) for electrical
Manufacturing
wiring insulation and other applications. (Note: this Teflon° unit did not
Development
use APFO in its process.) Since the PMDF unit was permanently shut
Facility (PMDF)
down in June 2009, it no longer manufactures DuPont Teflon°.
DEQ-CFW 00080023
CORRECTIVE MEASURES STUDY WORK PLAN
1011111100051114yffel'
Area Description
Support Areas
Power
Generates steam via natural gas and fuel oil -fired boilers for the facility's
manufacturing areas as well as comfort heating for employees.
Produces process water and demineralized water from raw river water.
Wastewater
The WWTP treats process wastewater and sanitary wastewater prior to
Treatment Plant
discharge to the Cape Fear River.
The Fayetteville Works facility received its initial RCRA Permit (NCD047368642) to
operate a hazardous waste container storage area and tanks in February 1983, under
DuPont ownership. DuPont submitted an amended Part A application in 1991 to
document upgrades to its fluorocarbonand tank system. The RCRA
Part B permit applicationsubmitted in August 1993 identifiedr of 1 gallons of
container storage capacity at the container storage area. Stored waste included
characteristic wastes (DO01, D002, D003, D007, D009, and D029) and listed wastes
(F002, F003,. • 11
Since 99 .•- of •. • been • • -r at the Site under
NCDENR •' oversight t• meet the conditions of the permit.•reports
listedOletailing these investigations have been submitted. The previous investigations are
below r • with the dates of • -r report submittals:
In addition, the Site voluntarily agreed to the NCDENR request to investigate potential
APFO releases as part the ongoing - findings of • ! investigation activities
(conducted during the Phase were included in Appendix i of -
-•• 1
a
DEQ-CFW 00080024
CORRECTIVE MEASURES STUDY WORK PLAN
Corrective action refers to all activities related to the investigation, characterization, and
Cleanup of ' of •• or r•, waste constituentsof concern
(COCs) from SWIVIUs and/or AOCs at the Site. Chemours has established several
#verall goals for• •Works
goals are listed below:
Ensure the protection of i the environment1 4through t1Z
development and use of an SCM based on a thorough understanding of site
COCs, release pathways, and exposure potential; I
Cost-effectively manage/minimize long-term liabilities associated with potential
contaminant releases using a risk -based prioritization process;
•r •• • • -•, . • -• •
Coordinate RCRA •rrective action activities with other business
Site to minimize disruption to plant operations, maximize benefits and synergiegi
with other, overlapping environmental initiatives, and ensure field efforts are
cot4ticte4 it a safe ,fir efficietittuwiter.
The site RFI was conducted to gather sufficient information to make remedial decisions
in support of overall corrective• goals. • accomplish• data
were collected to determine the nature and extent of releases of hazardous wastes
and/or hazardous COCs from regulated units, SWIVI Us, and other potential AOCs at the
Site. Necessary data were also gathered to support environmental indicator
determinations and development of this CIVIS work plan. In addition, risk management
was integrated into the investigationevaluation toolto prioritize - units forfurther
investigation and remediation. Establishing priorities using risked -based criteria and an
SCM enabled the RFI to focus on • or posed the potential
for adverse effects on HH&E. Each investigation phase of the RFI built upon the
previous investigation phase to fill data gaps within the SCM. Data gaps identified in the
SCM were then used to generate the goals and objectives • the next phase of
investigation.
The results of -• ♦. '• evaluation were presented in the Final RCRA Facility
Investigation Report (Parsons 2014).The report identified three site units (SWMU •
SWIVIU 7 and AOC GVV) as requiring a corrective measures study and recommended
conducting .
The objective of the CIVIS is to determine the appropriate corrective measuresto meet
the following goals:
Control releases fromimpacted media(soil• groundwater)to reduce o
to the extent practical, further• ..• of . • •' constituents
may pose an unacceptable risk to HH&E.
DEQ-CFW 00080025
CORRECTIVE MEASURES STUDY WORK PLAN
1011111100051114yffel'
Institutional• rengineering • • and monitored natural attenuation
(MNA) have been selected as presumptive remedies for the Site based on the site
conceptual model, nature of the constituents of concern (COCs), and the lack of
significant off -site impacts. These remedies (or a combination of them) have proven
effective at similar sites and alternative remedial technologies to address site COCs will
be significantly more expensive while providing little additional benefit. In order to select
from presumptive remedies• • • • -•f), the remedies will be
evaluated based on technical, environmental, human health, institutional, and cost
coitcents.
As part of the CMS, media cleanup standards will be developed based on the current
and future •' use scenarios.- land use of property is expected to remain
industrial;however,• site use restrictionsplace, a future residenWi
constituentsscenario will also be considered as a potential future use. Because there are
both groundwater . • soil that are naturally occurring,site-specific
background levels may also be used as alternative media cleanup levels.
In addition, - rurs intends to evaluate the completionof remediation activities at the
Site under the State's House Bill 639 (An Act to Expand the Use of Risk -Based
Remediation to Accelerate the Cleanup of • -• dated April 14, 2015
Eliminatingamended by House Bill 765 (An Act To Provide Further Regulatory Relief To The
Citizens Of North Carolina By Providing For Various Administrative Reforms, By
Certain UnnecessaryOr Outdated - • Regulations t
Modernizing Or Simplifying Cumbersome Or Outdated Regulations, And By Making
Various Other Statutory Changes) dated October 22, 2015 (hereafter referred to as the
Risk Bill). The Risk Bill allows NCDEQ "to approve the remediation of contaminated
sites based on site -specific remediation standards in circumstances where site -specific
remediation standards - adequate • protect public health, safety, and welfare and the
environment and are consistent with protection of current and anticipated future use of
groundwater and surface water affected or potentially affected by the contamination."
Under the Risk Bill, site -specific, risk -based groundwater cleanup standards may
subsequently be established for monitoring purposes (i.e., off -site migration) and land
use restrictions will be considered to prevent future use of the site groundwater as
potable and eliminate potential for!• by residential
• 0i f •• of - Risk Bill statesi person who proposes t• conduct
remediation pursuant to this Part shall submit a remedial investigation report to the
Department prior to submitting a remedial• •. Y Facility
Investigation-•r -v. 1) (Parsons• -• the elements required by
Risk Bill for -•• and thus fulfills this requirement.• 1' 1 . • of
Risk Bill states that i person • proposes • conduct remediationpursuant to this Part
shall develop and submit a proposed - -• .I action plan to the Department." The
r r-r by r plan is intended to fulfill this requirement.
a
DEQ-CFW 00080026
CORRECTIVE MEASURES STUDY WORK PLAN
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DEQ-CFW 00080027
CORRECTIVE MEASURES STUDY WORK PLAN
Chemours usesdevelop a representationof the chemical. • physical
characteristics of the Site in order to focus investigation• • remedial decision
making. The SCM also assists in the identification of data gaps to be addressed. An
initial SCM for the Site was developed to determine the potential foror
AOC to impact HH&E.used to identify existing data gaps prior to
(Parsonsthe Phase III RFI -• following the Phase III
r the findingsare summarized below.A detailed description of ba.
found in the Final RFI report. 1
north.The region surrounding the facility is generally level to gently sloping. However, surfacit
topography steepens when approaching the Cape Fear River and its tributaries. The
facility topography is relatively flat within the developed portion of the Site, and then
elevation decreases toward the Cape Fear River to the east and Willis Creek to the
po .•hic relief fromplant to the river is approximately 51 feet and
approximately 40 feet from the plant to Willis Creek.
The .•- Fear River is located along the eastern property boundary of the plant,
tributaryapproximately 1,850 feet from the eastern portion of the manufacturing area. Willis
Creek, a of .•- Fear River is located in the northernportion of
approximately 000 feet fromthe manufacturing (Figure i drainage channel
leading to the Cape Fear River is located just south of the plant area and is used as the
outfall areacovered by .DPermit Number10Portions of the Georgia
Branch, another tributary to the Cape Fear River, flow along the southern boundary of
the Site approximately • of •(Figure plant
facilities are located on plateau •• • elevation of f feet above
sea level (MSL). The plant is situated approximately 70 feet .•• 01 and f
year Cape Fear River floodplains and at least 1,000 feet from the 1 00-year floodplain's
nearest .•• •
• •-
-r•- • -• •-•• • • .•- r• -• •
Paleozoic. Metamorphic and igneous r dthese deposits
• • - r- r•• r:. --r • - r • r.
r- • r -r r -• r • • -r • - -
r • • •r r- • a
a
DEQ-CFW 00080028
CORRECTIVE MEASURES STUDY WORK PLAN
Phasethe III RFI. Wherepresent, - clay lensencountered approximately
bgs and is typicallyto 18 feet• • surface is approximately 145 f-- above
MSL throughout the manufacturing area.•r of gently slopesfrom
to west. Theredoes notappear to be . potential • . preferred • . •
pathway throughfor any water perched on
• separate saturated zones are present underr area: variably
saturated perched water zone present on top of the clay lens and a deeper regional
water -table aquifer - unconfined aquifer) encountered elevation between
approximately 90 and 110 feet MSL. The variably saturated perched water zone present
on top of caused by infiltration of •North/South
Sediment Basins and percolation of local precipitation. The regional aquifer water
originates from•• .• of
The perched zone water is generally thickest beneath the basins,perched water
extending eastward to the bluff and westward to the edge of - lens. Investigation
results indicated that perched water is notpresenton •• of the clay lens northof
'Is' Street (other than in the immediate vicinity of - f The southern extent of
the perched water is estimated (perched water in the areadoes not• -•
Perched water flowradial • the settling b • - Perched
zone water seepage has been observed along erosional channels on the bluff adjacent
to the Cape Fear River, but not in areas away from the channels, suggesting that local
vegetation is using perched zone water that migrates to the bluff. The Phase III RFI
results indicated that perched water is likely migrating beyond the -••- of
in the western portion of - between -- and 51h Street- the southern end
of the PPA Manufacturing Area and the Contractors Gate).
a •• -• • • • r • •-mop.]- •
-• • - •lff;101412• • ••� ' •
North of the manufacturing area, the regional aquifer hydraulic head contours indicate
flow is toward Willis Creek. Topographically,• of about
50 feet MSL. The hydraulic heads gauged in wells SMW-10 through -12, installed near
the creek, indicate the regional aquifer groundwater is lower than Willis Creek at
locations SMW1 0 and SMW1 2. Willis Creek is therefore not a receptorof -••
aquifer groundwater. A man-made pond west of the Site provides the majority of
observed baseflow
DEQ-CFW 00080029
CORRECTIVE MEASURES STUDY WORK PLAN
• - r �r .i .� • r-' - r • r - - • .r-' -
conceptsand decision -making to prioritize efforts in order to achieve the objective of
protecting more efficiently.
• • •
M. lam
• r • • - - • r ► ••
to potential - or - industrial or r rn workers who would be in contact
with these media. For future hypothetical residential receptors, three polynuclear
benzo(a)pyrene) and one metal (thallium) exceeded residential PSRGs at one location
each 'A1. 1 ' and PAH detections only •
exceeded- residential PSRG and the thallium detection is within an order of
magnitude of •-Therefore, posed to future hypothetical
residents-• • r based on - exposure time by •• -tical residents to these
isolated detections.
concernThus, site -wide groundwater (AOC GVV) was determined to be the primary medium of
- ♦ by - - -• COCs that could result in potentially • exposure
to future receptors but only under unlikely future land use scenarios. These unlikely
future receptors and pathways of •ncern would be •n-site industrial workersand
hypotheticalhypothetical residents who would use site groundwater as a potable water source, and
future •- who may be exposed to mercury and trichloroethylene
••• due to volatilization fromgroundwater if a hr - would be constructed
near areas with detections of these compounds in groundwater. The primary COCs in
groundwater (i" groundwater w• be used for • r are metals as shown
table• •
.........................................................................................................................................................................................................................................................................
........................................................................................................................................................................................................................................................................
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4.t)t.......................................
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IaIII] S
1Sl'J .
1,2-Dichloroethane
Bis(2-ethylhexyl)phthalate
Antimony
Methylene Chloride
Perfluorooctanoic acid (PFOA)
Arsenic
PCE
Chromium
TICE
Cobalt
Vinyl Chloride
Copper
Fluoride
Iron
Lead
Manganese
Mercury
Nickel
Nitrate
Selenium
Thallium
Vanadium
Zinc
DEQ-CFW 00080030
CORRECTIVE MEASURES STUDY WORK PLAN
pathways.
■ No COCs were identified in the site soils for current or future industrial workers or
utility/excavation/construction workers.
1• • • - - r. - • -r • •r - !i:1111 III- •
•. • • • Will -•'•
No COCs were identified drainages or
groundwater or - water migrating to the Cape Fear
Supplemental sampling activities confirmed that suspected additional releases at
the Site • • not create any unacceptableto Z'
Site-widegroundwater (Af determined to be the primary mediumof
hypotheticalconcern affected by site -related COCs that could present a potential for
significant exposure for future on -site receptors. However, this is only possible ir
the unlikely scenarios of installation of a drinking water well on -site or future
•eof
•I LqE 5- -r • • - •r.:•- •
r • • r - - I•-- r. - r - - • • •• r
Exposure by - hypothetical residents to isolated PAHs and thallium in site
soils at two locations via direct contact with the soils would be minimal, thus, no
COCs were identified in site soils for future residential users.
The risk -based determination process did n•I identify any significantrr
to COCs in affected media forAs such, the Site continuesto
remain protective of
The results of • and current phase investigation- - used to make
a final decision about potential exposureand to make an overall
determination f• ' - location of each unit is presented on •: •
. The units
were separated into one of the two following categories based on of the
determination r •
1. Corrective Measuresr d
FA
Based on of determination, - units wereplaced r the categories
listed in the table below.
i NIE
DEQ-CFW 00080031
CORRECTIVE MEASURES STUDY WORK PLAN
Measures
NeededCorrective
Study
ar
:. :
=13TA IVA Ia
SWMIJ a
------------------------------------------------------------
•* �
a�
a.�, �
a
•
SWMU • is a system of •e••u i and aboveground sewer pipes,manholes, •.
sumps that convey process wastewater from the main plant areas to the site's WWT
system. Plant personnel and site sewer maps indicate that the pipes are constructed
reinforced concrete, vitrified clay or steel. The common sump is part of the process
sewer system located
Monitoring • a i during the Phase III RFI as part of
comprehensive site -wide round of groundwater sampling in order to determine current
decision -
making efforts.• •water samples were collected from 11 new and existing site
monitoring - area during the Phase III RFI. Only • organic compounds
chloride, 1,2-dichloroethane,• •- ' and I• •
were detected above screening criteria.• •. f; (chromium, fluoride, iron,
manganese• detected in this area above their NorthCarolina
groundwater quality standards.
- 1.� 1 - 1 • - r - -r
DEQ-CFW 00080032
CORRECTIVE MEASURES STUDY WORK PLAN
All remaining site -wide groundwater sampling results were evaluated holistically as part
of AOC GW to evaluate the impacts to groundwater and surface water from a site -wide
perspective. Although release to groundwater evaluatedaspart of
holistic approach allowed determinations to be made with respect to current site
conditions at perimeter boundaries and potential exposure points and for site -wide
remediation decision making. This holistic view takes into consideration historical
analytical data, the SCM, and an evaluation of the potential impact on receptors.
Numerous
groundwater m• • • wells and piezometers have been -s at the Site
V.uring historical investigationefforts.• on -site do-r supply wellshave been
used throughout the Site's• to provide potable, process, and domestic water
supplies •needs.- two rn-site water wellshave been disconnected fr•
drinking water system but •I been • -• During the RFI, groundwater
samples• -• and analyzedfor •Cs, SVOCs, and metals, as well as
methanol, glycols (selected• • only), gas -phase hydrocarbons,., • 1 monitored
attenuationnatural 1 and water quality parameters
Site -wide groundwater (1 wasdetermined to be the primary mediumof •
affected by - r COCs that could result in potentially • exposure r
future receptors but only •- r use scenarios.primary COCs
that were identified groundwater (if groundwater wereto be used for r •
listed in Section 2.2.1. In addition, metals from the Butaciteo Common Sump release
• • • - • • • - •- •r• • -
site-specificBecause background concentrations for• • determined
!.uring the RFI, regionalbackground r - • •- -• through
review were used for the risk screening evaluation presented in the in the Final RFI
ReportP. • f 4• in Section.b The comparison
P.gainst the regional- • -• that the detected arsenic concentrations
2re within natural background for the area. Thus, it was determined that the soil
pathways for current and future on -site industrial workers, on -site
utility/construction/excavation • • •n-site trespassers are incompletebecause
211 detected COPCs in site soils are either within natural background ranges or below
1 ■r
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CORRECTIVE MEASURES STUDY WORK PLAN
.•r .• - r1010 10191•' 9 * s 5 M. M • • •
• ',- • • r r • • •IRWIN . - - •- •. • • •
levels. As requested and to confirm the risk determination, site -specific background soil
samples will be evaluated as part of the CMS.
In 2015, six •' borings were advanced in the wooded area r - of the
manufacturing area order to collect background • I samples to meet other
#bjectives. Two samples were collected from each boring (one from surface to 1 foot
.. r another fromto six feet•• The samples were submitted for.rr •
2nali,isms of arsenic. Durmnjy, the CIVIS these new anal tical data will
be -r to calculate background r - • of - for - f to 1 footr•
2nd subsurface (4 to 6 feet bgs) soil. The concentrations will be calculated using the
USEPA ProUCL software. If the analysis determinesr -- • six
samples are required, additional soilborings will be collected in another•- - ••-a
of
In 005surface water samples•' - -• from the Cape Fear River during an
investigation conducted by • •. Results of 105 sampling event • • an
increase in concentrations of • ••, rs, including perfluoropentanoic acid
(C5), from a spot on the river just north of the Site to a spot on the river adjacent to the
Site's river water intake. The i ll suggested that these compounds• r potentially
be present in groundwater that may have been traveling beneath Willis Creek from the
Site r discharging • the Cape Fear River or • discharging • Willis
"reekr the River. Therefore, - r •- • of the'activities, the
NCIDEQ requested supplemental groundwater sampling to confirm that the
concentrations that were detected in the river were not indicative of - - - from -
Site via groundwater discharge
Although these compoundsnot - to be of ••I
groundwater sampling was conducted in 2015 to gather additional data from a selection
of monitoring wells near Willis Creek and the Cape Fear River. The results of these
sampling activities confirmed that the concentrations detected in the River near the river
water intake were not a result of • one •le collected from
monitoring well LTW-05 several thousand feet south of the river water intake had a
detection of r further investigate this analytical result, an additional groundwater
sample will be collected from this well and will be submitted for laboratory analysis of C5
in accordance with the procedures presented in the Supplemental Sampling Work Plan
Technical Memorandum (P• 0
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purpose of the CMS is 1• determine the appropriate • - measures to me
the following goals:
■ Protect HH&E
Control the sourcesof - - - • as to reduce or - to extent
the
practicable, further releasesof . ••us COCs that may pose a threatto
human health r the environment
■ Determine media cleanup standards
■ Evaluate the presumptive remedial technologies for effectiveness in containing or
treating COCs
■ Evaluate the presumptive remedial technologies for effectiveness in construction
and implementation
■ Recommend corrective measures (if required)
• W • 'i ' i' I i • • • �` •
scenariosMedia cleanup standards will be developed based on the current and future land use
described in Section• use of property is expected to
industrial.remain • - - no site use restrictions are currently in place,
residential scenario will also be considered as a potential future use. Thus, remedial
#bJectives and cleanup levels used in the CMS forgroundwater anr perched water will=
be based on North Carolina drinking water standards. Media cleanup standards for
groundwater will als• be developed for future hypotheticalr- •• -r to
r TICE in indoorfrom r • from groundwater. •r r l occur
residentialP. future r - were constructed near areas of groundwater that have been
impacted by • TICE. Vapor• guidance issued by •Carolina
CleanupDivision of Waste Management in October 2016 will be used to develop the media
standards.
site -specific background levels may also be used as alternative media cleanup levels. In
addition, •- risk -based groundwater cleanu• standards may subsequentlybe
established rr monitoring purposes (i- • - r • r the Risk Bill. Land use
restrictionsbe considered to prevent future use of the site groundwater as potable
water • to eliminate the potential forexposure by - residential
• r f' • • • • •. -•
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CORRECTIVE MEASURES STUDY WORK PLAN
have been proven effective '.Alternative remedial technologiesto address
Site COCs will likely be significantly more expensive while providing little additional
benefit. order to select fromthe presumptive - -r - •r a combination ther-•
presumptive -r • the no further actionbe evaluated based on
the criteria listed in the Site's RCRA permit: technical aspects (performance, reliability,
implementability, and safety), adverse environmental effects, mitigation of short- and
long-term human health impacts, institutional concerns, and cost. Additional site
.• - - - - . • - • - .•►I . • . - - •- • •
Technical
• ^. ^ it ' - •'.. . '.• '. - '. •'. . • • : • • • :
The implementability and safety of the remedy will also be _• Both
takes to implement the corrective measure and the time it takes to see beneficial results
will • - considered !n. This evaluation will include threats to the safety of
nearby• - and environments - • - to workers during
implementation.
Environ entallHu an Health
actually addressed by each alternative. The environmentalfor
alternative will, at a minimum, evaluate the .• •
Adverseon environmentally sensitiveand
-• . r- •I s• • • s -• • •
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Institutional
The selected remedies will be evaluated based on the relevant institutional needs for
each alternative. Specifically, the effects of federal, state and local environmental and
public health standards, regulations, guidance, advisories, ordinances, or community
relations on the design, operation, and timing of each alternative.
Cost estimates will be prepared to identify the direct and indirect capital construction
costs and long-term O&M and monitoring costs necessary to maintain the continued
effectiveness of the selected remedies. Direct capital costs will include such items as
materials, labor, equipment, land and site development expenses, and building and
service costs. Indirect capital costs will include such items as engineering expenses,
legal fees, license or permit fees, startup and shakedown costs, and contingency
allowances. O&M costs will include such items as operating labor costs, maintenance
materials, maintenance labor costs, sampling and laboratory fees, disposal and
treatment costs, regular reporting costs, insurance, and contingency funds.
To assess the impact of long-term O&M costs, the present worth of each alternative will
be calculated. The present worth calculation relates the cumulative value of 30 years'
worth of is to a single cost in current dollars added to the capital cost. The present
worth of the various alternatives can then be directly compared to determine their
relative cost it curre-it 4ollars.
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CORRECTIVE MEASURES STUDY WORK PLAN
After • • - r of • - measures evaluation,• prepare . •
submit• NCDEQ . draft and final CMS reportfor • • • under
approved CMS workplan. The draft CMS reportbe submitted to NCDEQ in
accordance with the schedule provided • 4.2 of • plan. The final CMS
report will be submitted to NCDEQ within 60 days of receipt of comments that NCDEQ
may have on the draft -••t
The report will containof • recommend preferred -.
- proposed outline of -•r t is as f •
■ Corrective action objectives
r • • -M 9 1507 a M • •
■ References
data and cost estimates. The CMS Report will contain adequate information to support
i 11 decision on • - • • remedy.
0
activitiesThe described in this workplan will commence upon receiptof i, 11
approval of the work plan. The following is a list of anticipated scheduled tasks and the
time it will take to complete each one. be completed in sequentialorder as
indicated in the following table.
Activity
Duration
Anticipated Schedule
Work Plan Submittal
December 2016
Field Planning
Two to four weeks
Upon work plan approval
Field Work (soil and groundwater
One week
sampling)
Laboratory Analyses
Approximately four weeks
from field work completion
Data Evaluation and Draft CMS
Three months from receipt
Within 6 to 8 months
Report Preparation
of laboratory results
after work plan approval
Final CMS Report submittal to
Within 60 days of receipt
NCDEQ
of comments by NCDEQ
on the Draft CMS Report
DEQ-CFW 00080040
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CORRECTIVE MEASURES STUDY WORK PLAN
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CORRECTIVE MEASURES STUDY WORK PLAN
A project team consisting of numerous qualified resources will complete the evaluation.
The roles and responsibilities for project team members and the lines of communication
for project are summarized below.
The Chemours Project Director•• • •r the execution of project and final
remedial action alternative selection, including corresponding and coordinating activities
with NCDEQ.
Manager
The Parsons Project Manager will manage Parsons personnel involved in the project
and will be responsible for Parsons' cost and schedule tracking. The Parsons Project
r provide - of project deliverables an• ensure that all
deliverables meet applicable reporting standards.
The Parsons Project Hydrogeologist will coordinate directly with the Parsons Proje
Manager and the Principal Engineer and serve as a technical resource for the
evaluation. The Project Hydrogeologist will help the engineering team understand the
geologic and hydrogeologic conditions and the constituent characteristics and
distribution within aquifers
mediathe • standards.
The Parsons Project Peer Reviewer will communicate with the Parsons Project
Manager and will have direct reporting access to the Chemours Project Director on
technical and deliverable • '• matters. The Project Peer Reviewer is
•! r - • •-• - - - r- - • • •- - •
calculations. Responsibilities of position inclu•- communicating with all levels of
delivery.program and project management to ensure that a quality product is produced for
DEQ-CFW 00080042
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9MM99M
I =11 a =11 2-4:231
DuPont CRG. December 1996. RCRA Facility Assessment Report
DuPont CRG. May 1999a. RCRA Confirmatory Sampling Report
DuPont CRG. June 1999b. RCRA Confirmatory Sampling (Supplemental) Report
DuPont CRG. November 2001. Former Fire Training Area Investigation Report.
DuPont CRG. April 2003. Phase I RFI Report
DuPont CRG. January 2005. Supplemental Phase I RFI Report.
DuPont CRG. June 2006. Phase 11 RFI Report.
Leab, Robert J. 1990. Soil Survey of Bladen County. United States Department of
Agriculture, Soil Conservation Service.
Parsons. April 2011. Phase III RCRA Facility Investigation Work Plan (Rev. 1).
Parsons. August 2014. Final RCRA Facility Investigation Report (Rev. 1).
Parsons. May 19, 2015. Supplemental Sampling Work Plan Technical Memorandum.
USEPA. 1994. RCRA Corrective Action Plan (Final). Office of Waste Programs
Enforcement, Office of Solid Waste. OSWER Directive 9902.3-2A, May 1994.
USEPA. 1996. Advanced Notice of Proposed Rulemaking for Corrective Action for
Release from Solid Waste Management Units at Hazardous Waste Management
Facilities.
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CORRECTIVE MEASURES STUDY WORK PLAN
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DEQ-CFW 00080045
DEQ-CFW 00080046
DEQ-CFW 00080047
Aerial Photograph provided by DuPont, taken 12/2005
f' 750 1,500
Site Layout Map DRAWN:C. Oneal DATE DUPONT NO
1/29/2014
PEWCorrective Measures Study Work Plan
REVISION: FIGURE NO.: PARSONS NO.: i
4701 Hedgemore Dr. ChenlOUrS Fayetteville Works 1 2 445438.03001
Charlotte, NC zszos Fayetteville, North Carolina
Name: Fay_Site_Layout
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