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HomeMy WebLinkAbout1401_Caldwell_MSWLF_EnvironmentalDetermination_FID1322565_20190617MEMORANDUM TO: Former CSI Landfill Facility General File FROM: Mary Siedlecki, HWS Project Manager THROUGH: Bud McCarty, HWS Branch Head DATE: June 17, 2019 SUBJ: Evaluation of Former CSI Landfill Facility's Status Under the Environmental Indicator Event Code (CA750) I. PURPOSE OF MEMO This memo is written to formalize an evaluation of Former CSI Landfill Facility's status in relation to the following corrective action event code defined in RCRAInfo: Migration of Contaminated Groundwater Under Control (CA750) — YE. II. SUMMARY OF FOLLOW-UP ACTIONS The groundwater contaminant plume is large and dilute in nature. Concentrations of total volatile organic compound concentrations in most monitoring wells have decreased by greater than 90 percent in comparison to their maximum concentrations as a consequence of natural degradation processes. Groundwater quality will continue to be monitored to ensure that degradation continues. Attachments: CA750: Migration of Contaminated Groundwater Under Control ec: John Johnston, US EPA Region 4, Restoration and UST Branch Stan Kiser, Caldwell County Heather Watson, Caldwell County Kathy Greene, Caldwell County Bud McCarty, Hazardous Waste Section Mary Siedlecki, Hazardous Waste Section Ernie Lawrence, Hazardous Waste Section Jackie Drummond, Solid Waste Section Mark Harper, Flynn Environmental Leo Moretz, Hart and Hickman DOCUMENTATION OF ENVIRONMENTAL INDICATOR DETERMINATION RCRA Corrective Action Environmental Indicator (EI) RCRIS code (CA750) Migration of Contaminated Groundwater Under Control Facility Name: Former CSI Landfill Facility Facility Address: 1200 Dragstrip Road, Hudson, Caldwell County, North Carolina Facility EPA ID #: NCD 086 871282 Has all available relevant/significant information on known and reasonably suspected releases to the groundwater media, subject to RCRA Corrective Action (e.g., from Solid Waste Management Units (SWMU), Regulated Units (RU), and Areas of Concern (AOC)), been considered in this EI determination? _X If yes -check here and continue with #2 below. If no - re-evaluate existing data, or If data are not available, skip to #8 and enter "IN" (more information needed) status code. BACKGROUND Definition of Environmental Indicators (for the RCRA Corrective Action) Environmental Indicators (EI) are measures being used by the RCRA Corrective Action program to go beyond programmatic activity measures (e.g., reports received and approved, etc.) to track changes in the quality of the environment. The two EI developed to -date indicate the quality of the environment in relation to current human exposures to contamination and the migration of contaminated groundwater. An EI for non -human (ecological) receptors is intended to be developed in the future. Definition of "Migration of Contaminated Groundwater Under Control" EI A positive "Migration of Contaminated Groundwater Under Control" EI determination ("YE" status code) indicates that the migration of "contaminated" groundwater has stabilized, and that monitoring will be conducted to confirm that contaminated groundwater remains within the original "area of contaminated groundwater" (for all groundwater "contamination" subject to RCRA corrective action at or from the identified facility (i.e., site -wide)). Relationship of EI to Final Renledies While Final remedies remain the long-term objective of the RCRA Corrective Action program the EI are near -term objectives which are currently being used as Program measures for the Government Performance and Results Act of 1993, GPRA). The "Migration of Contaminated Groundwater Under Control" EI pertains ONLY to the physical migration (i.e., further spread) of contaminated ground water and contaminants within groundwater (e.g., non -aqueous phase liquids or NAPLs). Achieving this EI does not substitute for achieving other stabilization or final remedy requirements and expectations associated with sources of contamination and the need to restore, wherever practicable, contaminated groundwater to be suitable for its designated current and future uses. Duration / A licabili(% of EI Determinations EI Determinations status codes should remain in RCRIS national database ONLY as long as they remain true (i.e., RCRIS status codes must be changed when the regulatory authorities become aware of contrary information). 06/03/19 Page 1 Migration of Contaminated Groundwater Under Control Environmental Indicator (En RCRIS code (CA750) 2. Is groundwater known or reasonably suspected to be "contaminated" 1 above appropriately protective "levels" (i.e., applicable promulgated standards, as well as other appropriate standards, guidelines, guidance, or criteria) from releases subject to RCRA Corrective Action, anywhere at, or from, the facility? _X If yes - continue after identifying key contaminants, citing appropriate "levels," and referencing supporting documentation. If no - skip to #8 and enter "YE" status code, after citing appropriate `levels," and referencing supporting documentation to demonstrate that groundwater is not "contaminated." If unknown - skip to #8 and enter "IN" status code. Rationale and Reference(s): The former CSI facility operated as a hazardous waste management facility on a 1.59-acre parcel leased from Caldwell County (Figure 1). The former CSI facility is in the west -central portion of an approximately 148-acre parcel of land owned by Caldwell County; approximately 103 acres of this property was utilized as the Caldwell County landfill. The parcel directly west of the former CSI facility is known as the "former Haas property" and occupies approximately 44-acres. The Site is bordered to the south by residential properties on Drag Strip Road and Lick Mountain Drive, and to the east, north, and west by undeveloped private property. The hazardous waste management facility was constructed by Caldwell County, which operated it from April 1976 until January 1977. From March 1977 until 1989, Caldwell County leased the facility to CSI. During this time, the facility incinerated and/or repackaged, consolidated, blended, and liquefied waste for off -site shipment or use as fuel. The facility handled hazardous wastes from the US Navy and other industries, including torpedo fuel, solvents, waste oils, paints, tank bottoms, glues, and sludges. Numerous, extensive investigations of potential impacts at the site have been conducted beginning in the late 1980's. A global groundwater monitoring network was installed and first sampled in January 1995. Groundwater collected from monitoring wells GM-1, GM-2, and MW-2, and MW-3, was analyzed for the complete Appendix IX parameter list, which includes volatile organic compounds (VOCs), semi -volatile organic compounds (SVOCs), chlorinated and organophosphorus pesticides, herbicides, and metals. Results of the RCRA Facility Investigation indicated that VOCs were the primary constituents of concern at the site. The highest concentration of VOCs was detected in monitoring wells in and immediately downgradient to the east of the former CSI facility. Groundwater quality is currently monitored on an annual basis beginning in 2001. The 2018 annual groundwater monitoring event was conducted from October 22-25, 2018. Groundwater samples were collected from the Haas Spring and from each of the following monitoring wells: FPC-MW-01, FPC-MW-03, FPC-MW-07A, MW-C, MW-2, MW-2A, MW-3, MW-3A, GM-1, GM-5, and GM-6 (Figure 1). Groundwater samples were analyzed for VOCs using EPA Method 8260. Constituents that exceed 15A NCAC Subtitle 2L Groundwater Standards (2L Groundwater Standards) include benzene; 1,1-dichlorethane; 1,2-dichloroethane, 1,2-dichloroethane; 1,2- 06/03/19 Page 2 dichloropropane, tetrachloroethylene, vinyl chloride. The most elevated concentrations are measured in monitoring well GM-1. For purposes of this Environmental Indicator Determination, the highest concentration measured in groundwater in October 2018 is compared to the respective 15A NCAC Subtitle 2L Groundwater Standard (last amended on July 1, 2016). Constituent' Highest Measured Concentration2 15A NCAC Subtitle 2L Groundwater Standard2 Benzene 7.5 GM-1 1 1,1-Dichlorethane 10.6 GM-1 6 1,2-Dichloroethane 161 GM-1 0.4 1,2-Dichloro propane 1.4 GM-1 0.6 Tetrachloroeth lene 2.8 FPC-MW-03) j 0.7 Vinyl Chloride 2.3 MW-2A) 0.03 ' 1,4-Dioxane was measured in monitoring well GM-1 at 570 ug/L in 1998 (21-Groundwater Standard = 3 ug/L). !,4-Dioxane is not included in the annual monitoring program. This constituent will be included in the monitoring program conducted as part of the final remedy. ' All concentrations are in micrograms per liter (ug/L). The monitoring well characterized by the most elevated concentration is included. References Flynn Environmental, Incorporated, Annual Groundwater Monitoring Report, November 15, 2018 Hart and Hickman, Corrective Measures Study— Revision 2, June 29, 2018. Footnotes: 1 "Contamination" and "contaminated" describes media containing contaminants (in any form, NAPL and/or dissolved, vapors, or solids, that are subject to RCRA) in concentrations in excess of appropriately protective risk -based "levels" (for the media, that identify risks within the acceptable risk range). 06/03/19 Page 3 Migration of Contaminated Groundwater Under Control Environmental Indicator (En RCRIS code (CA750) 3. Has the migration of contaminated groundwater stabilized (such that contaminated groundwater is expected to remain within "existing area of contaminated groundwater ,2 as defined by the monitoring locations designated at the time of this determination)? _X If yes - continue, after presenting or referencing the physical evidence (e.g., groundwater sampling/measurement/migration barrier data) and rationale why contaminated groundwater is expected to remain within the (horizontal or vertical) dimensions of the "existing area of groundwater contamination"2). If no (contaminated groundwater is observed or expected to migrate beyond the designated locations defining the "existing area of groundwater contamination' 2) - skip to #8 and enter "NO" status code, after providing an explanation. If unknown - skip to #8 and enter "IN' status code. Rationale and Reference(s): As discussed in Item Number 2 above, contaminant concentrations are generally highest in monitoring well GM-1 (located in the source area of the former CSI facility (Figure 1)). The total concentration of measured VOC concentrations in GM-1 decreased from a maximum of 2,509 microgram per liter (ug/L) in August 1996 to 301.5 ug/L in October 2018. The Corrective Measures Study — Revision 2 (dated June 29, 2018) compared the change in total VOC concentrations in individual monitoring wells as a function of time. Concentrations of total VOCs in most monitoring wells decreased by greater than 90 percent in comparison to their maximum concentrations. VOCs were only measured at concentrations exceeding regulatory standards in five of eleven wells during the October 2018 monitoring event, including FPC-MW-03, FPC-MW-07A, MW-2A, GM-1, and GM-5. The groundwater contaminant plume is large and dilute in nature. The trend in total VOC concentration was evaluated using a Mann -Kendall analysis. Mann -Kendall is a non -parametric statistical analysis used to evaluate trends over time. The trends are identified as "decreasing," "probably decreasing," "stable," "no trend," "probably increasing," or "increasing." Eight monitoring wells were identified as "decreasing," one monitoring well was identified as "probably decreasing," and two monitoring wells (MW-7A and GM-6) were identified as having "no trend." Although the data from GM-6 was characterized as having "no trend," this characterization is considered meaningless because the data set only contained two detections of constituents between 2001 and 2017 for GM-6. In conclusion, the results of the Mann -Kendall analysis indicate that total VOC concentration have generally been declining due to natural attenuation over time. Groundwater monitoring data and statistical evaluations indicate that the groundwater contaminant plume has stabilized. References Flynn Environmental, Incorporated, Annual Groundwater Monitoring Report, November 15, 2018 Hart and Hickman, Corrective Measures Study— Revision 2, June 29, 2018. 06/03/19 Page 4 2 "existing area of contaminated groundwater" is an area (with horizontal and vertical dimensions) that has been verifiably demonstrated to contain all relevant groundwater contamination for this determination, and is defined by designated (monitoring) locations proximate to the outer perimeter of "contamination" that can and will be sampled/tested in the future to physically verify that all "contaminated" groundwater remains within this area, and that the further migration of "contaminated" groundwater is not occurring. Reasonable allowances in the proximity of the monitoring locations are permissible to incorporate formal remedy decisions (i.e., including public participation) allowing a limited area for natural attenuation. 06/03/19 Page 5 Migration of Contaminated Groundwater Under Control Environmental Indicator (EI) RCRIS code (CA750) 4 Does "contaminated" groundwater discharge into surface water bodies? _X If yes - continue after identifying potentially affected surface water bodies. If no - skip to #7 (and enter a "YE" status code in #8, if #7 = yes) after providing an explanation and/or referencing documentation supporting that groundwater "contamination" does not enter surface water bodies. If unknown - skip to #8 and enter "IN' status code. Rationale and Reference(s): The Site is located within the Piedmont physiographic and Inner Piedmont tectonic province. The topography of the Site is characterized by gently rolling to undulating hills with moderate slope valleys. The surrounding area is relatively mountainous, maturely dissected terrain with local relief ranging from 300 to 600 feet. Topographic elevation at the site varies from approximately 1,700 feet above mean sea level (ft msl) at the ridge where the former CSI facility is located to approximately 1,440 ft msl in the valley near the toe of the landfill (Figure 2). Surface water at the Site drains away from the ridge where the former CSI facility is located to the east and the west. Intermittent streams are present in east- and west -trending valleys on both sides of the ridge (Figure 3). References Hart and Hickman, Corrective Measures Study— Revision 2, June 29, 2018. 06/03/19 Page 6 Migration of Contaminated Groundwater Under Control Environmental Indicator (En RCRIS code (CA750) Is the discharge of "contaminated" groundwater into surface water likely to be "insignificant" (i.e., the maximum concentration3 of each contaminant discharging into surface water is less than 10 times their appropriate groundwater "level," and there are no other conditions (e.g., the nature, and number, of discharging contaminants, or environmental setting), which significantly increase the potential for unacceptable impacts to surface water, sediments, or eco-systems at these concentrations)? If yes - skip to #7 (and enter "YE" status code in #8 if #7 = yes), after documenting: 1) the maximum known or reasonably suspected concentration3 of kgy contaminants discharged above their groundwater "level," the value of the appropriate "level(s)," and if there is evidence that the concentrations are increasing; and 2) provide a statement of professional judgement/explanation (or reference documentation) supporting that the discharge of groundwater contaminants into the surface water is not anticipated to have unacceptable impacts to the receiving surface water, sediments, or eco-system. X If no - (the discharge of "contaminated" groundwater into surface water is potentially significant) - continue after documenting: 1) the maximum known or reasonably suspected concentration3 of each contaminant discharged above its groundwater "level," the value of the appropriate "level(s)," and if there is evidence that the concentrations are increasing; and 2) for any contaminants discharging into surface water in concentrations3 greater than 100 times their appropriate groundwater "levels," the estimated total amount (mass in kg/yr) of each of these contaminants that are being discharged (loaded) into the surface water body (at the time of the determination), and identify if there is evidence that the amount of discharging contaminants is increasing. If unknown - enter "IN" status code in #8. Rationale and Reference(s): Seven surface water samples were collected in 1998 as part of the Phase I RCRA Facility Investigation. The samples were collected from intermittent streams located both on- and off -Site (Figure 3). The results of the surface water sampling event are summarized in Table 1. When concentrations are compared to current surface water standards, vinyl chloride exceeds the 15A NCAC Subtitle 2B Surface Water Standard (213 Surface Water Standard) at sample location SW-5 (Table 1). SW-5 is located on -Site downgradient of the landfill. The measurement of vinyl chloride in surface water collected from sample location SW-5 (3.9 ug/L) exceeds ten times the 15A NCAC Subtitle 2L Groundwater Standard of (0.03 ug/L). Thus, the discharge of contaminated groundwater to SW-5 is deemed "significant" based on data collected in 1998. References Hart and Hickman, Corrective Measures Study— Revision 2, June 29, 2018. 3 As measured in groundwater prior to entry to the groundwater -surface water/sediment interaction (e.g., hyporheic) zone. 06/03/19 Page 7 Migration of Contaminated Groundwater Under Control Environmental Indicator (En RCRIS code (CA750) 6. Can the discharge of "contaminated" groundwater into surface water be shown to be "currently acceptable" (i.e., not cause impacts to surface water, sediments or eco-systems that should not be allowed to continue until a final remedy decision can be made and implemente&)? X_ If yes - continue after either: 1) identifying the Final Remedy decision incorporating these conditions, or other site -specific criteria (developed for the protection of the site's surface water, sediments, and eco-systems), and referencing supporting documentation demonstrating that these criteria are not exceeded by the discharging groundwater; OR 2) providing or referencing an interim-assessment,5 appropriate to the potential for impact, that shows the discharge of groundwater contaminants into the surface water is (in the opinion of a trained specialists, including ecologist) adequately protective of receiving surface water, sediments, and eco-systems, until such time when a full assessment and final remedy decision can be made. Factors which should be considered in the interim - assessment (where appropriate to help identify the impact associated with discharging groundwater) include: surface water body size, flow, use/classification/habitats and contaminant loading limits, other sources of surface water/sediment contamination, surface water and sediment sample results and comparisons to available and appropriate surface water and sediment "levels," as well as any other factors, such as effects on ecological receptors (e.g., via bio-assays/benthic surveys or site -specific ecological Risk Assessments), that the overseeing regulatory agency would deem appropriate for making the EI determination. If no - (the discharge of "contaminated" groundwater can not be shown to be "currently acceptable") - skip to #8 and enter "NO" status code, after documenting the currently unacceptable impacts to the surface water body, sediments, and/or eco-systems. If unknown - skip to 8 and enter "IN" status code. - Rationale and Reference(s): Volatile organic compounds, including aromatic hydrocarbons and chlorinated volatile organic compounds (CVOCs), may degrade over time through natural attenuation processes in many groundwater systems. This can include physical processes, such as dilution, adsorption, and dispersion; or chemical processes, such as oxidation of benzene or natural reductive dechlorination of CVOCs. A Corrective Measures Study — Revision 2 was submitted to the Hazardous Waste Section on June 29, 2018. Multiple lines of evidence were used to support a recommendation of monitored natural attenuation as the final remedy decision to address the large, dilute groundwater contaminant plume. These same lines of evidence support a finding that the discharge of contaminated groundwater into surface water may currently be acceptable. Groundwater geochemical parameters were reviewed and determined to be favorable for the natural attenuation of Site constituents of concern. This determination was in turn supported by an evaluation of groundwater contaminant trends over time. The evaluation provided solid evidence that natural attenuation of the contaminant plume is occurring at the Site. Concentrations of total VOCs in most monitoring wells decreased by greater than 90 percent in comparison to their maximum concentrations. A Mann -Kendall analysis indicates that eight monitoring wells are characterized by "decreasing" contaminant trends; one monitoring well is characterized by a "probably decreasing" contaminant trend; and two monitoring wells (MW-7A and GM-6) are characterized as "no trend." Volatile organic compounds are only measured at concentrations 06/03/19 Page 8 exceeding regulatory standards in five of eleven wells during the October 2018 monitoring event, including FPC-MW-03, FPC-MW-07A, MW-2A, GM-1, and GM-5. Furthermore, the former Haas Spring has been sampled on an annual basis beginning in 2001. No constituents of concern were measured at a concentration exceeding the 2L Groundwater Standard since 2003 which is characteristically more stringent than the 2B Surface Water Standard. Table 2 tabulates analytical results for the former Haas Spring. Note that vinyl chloride is not included in the tabulation. Table 2 only lists those compounds detected in at least one sample during the monitoring period. The laboratory reporting limit for vinyl chloride (5 ug/L) indicated only that this compound was not measured (i.e., it was not detected at a concentration exceeding the laboratory reporting limit). Future analyses performed for vinyl chloride as part of an approved final remedy will be completed with a method detection limit of 1 ug/L which is less than the current 2B Surface Water Standard of 2.4 ug/L. References Hart and Hickman, Corrective Measures Study— Revision 2, June 29, 2018. 4 Note, because areas of inflowing groundwater can be critical habitats (e.g., nurseries or thermal refugia) for many species, appropriate specialist (e.g., ecologist) should be included in management decisions that could eliminate these areas by significantly altering or reversing groundwater flow pathways near surface water bodies. 5 The understanding of the impacts of contaminated groundwater discharges into surface water bodies is a rapidly developing field and reviewers are encouraged to look to the latest guidance for the appropriate methods and scale of demonstration to be reasonably certain that discharges are not causing currently unacceptable impacts to the surface waters, sediments or eco-systems. 06/03/19 Page 9 Migration of Contaminated Groundwater Under Control Environmental Indicator (EI) RCRIS code (CA750) 7. Will groundwater monitoring / measurement data (and surface water/sediment/ecological data, as necessary) be collected in the future to verify that contaminated groundwater has remained within the horizontal (or vertical, as necessary) dimensions of the "existing area of contaminated groundwater?" X If yes - continue after providing or citing documentation for planned activities or future sampling/measurement events. Specifically identify the well/measurement locations which will be tested in the future to verify the expectation (identified in #3) that groundwater contamination will not be migrating horizontally (or vertically, as necessary) beyond the "existing area of groundwater contamination." If no - enter "NO" status code in #8. If unknown - enter "IN" status code in #8. Rationale and Reference(s): Routine groundwater monitoring has been conducted at the site since 2001. Groundwater monitoring will continue until such time that the final remedy is approved. If the final remedy proposed in the Corrective Measures Study — Revision 2 is approved, an effective monitoring program will be implemented in accordance with the schedule presented in Table 2. References Hart and Hickman, Corrective Measures Study— Revision 2, June 29, 2018. 06/03/19 Page 10 Migration of Contaminated Groundwater Under Control Environmental Indicator (EI) RCRIS code (CA750) 8. Check the appropriate RCRIS status codes for the Migration of Contaminated Groundwater Under Control EI (event code CA750), and obtain Supervisor (or appropriate Manager) signature and date on the EI determination below (attach appropriate supporting documentation as well as a map of the facility). _X_ YE - Yes, "Migration of Contaminated Groundwater Under Control" has been verified. Based on a review of the information contained in this EI determination, it has been determined that the "Migration of Contaminated Groundwater" is "Under Control" at the former CSI facility, EPA ID # 086 871 282 located at 1200 Dragstrip Road in Hudson, Caldwell County, North Carolina. Specifically, this determination indicates that the migration of "contaminated" groundwater is under control, and that monitoring will be conducted to confirm that contaminated groundwater remains within the "existing area of contaminated groundwater" This determination will be re-evaluated when the Agency becomes aware of significant changes at the facility. NO - Unacceptable migration of contaminated groundwater is observed or expected. Completed by Supervisor title Branch Head EPA Region or State State of North Carolina Locations where References may be found: Date Date r h1ts://de .nc. govlaboutldivisionslwaste-mana jementlwaste-mana ement-rules-datale-documents Contact telephone number and e-mail: (name) Mary Siedlecki (phone #) 919-707-8208 (e-mail). man.siedlecki;a ncdenr.vov 06/03/19 Page 11 LEGEND SITE PROPERTY BOUNDARY ADJACENT PARCEL BOUNDARY INTERMITTENT STREAM SOURCE AREA TREELINE MONITORING WELL LOCATION �,00*( n u( APPROXIMATE 0 400 80D SCALE IN FEET ,mF SITE LAYOUT PROJECT FORMER CSI FACILITY 1200 DRAG STRIP ROAD HUDSON, NORTH CAROLINA 2923 South Tryon Street -Suite 100 hart Na- hickman fart Charlotte, North Carolina 28203 w 704-586-0007(p) 704-586-0373(o SMARTER .NVWAX*AEWM SOU)TKM License # C-1269 / #C-245 Geology DATE: 11-21-17 1 REVISION NO. 0 NORTHERN INACTIVE I LANDFILL CELL f c 1t •�_Jr'f � 1 /• IN-3 rG -p f GM-5 SOUTHERN INACTIVE i LANDFILL CELL / Ile OFPC-Mw-c6 `k — 1 LEGEND SITE PROPERTY BOUNDARY ADJACENT PARCEL BOUNDARY INTERMITTENT STREAM — CHAINLINK FENCE TREELINE ------- 4500TOPOGRAPHIC CONTOUR ELEVATION (FT MSL) MONITORING WELL LOCATION Ir v fWon rfP1 .,, fi ram' yu/v . - 8 APPROXIMATE 0 400 _ 800 SCALE IN FEET �r SITE TOPOGRAPHY PROJECT FORMER CSI FACILITY 1200 DRAG STRIP ROAD HUDSON, NORTH CAROLINA 2923 South Tryon Street -Suite 100 hart hiekman Charlotte, North Carolina 28203 � 704-586-0007(p) 704-586-0373(f) SMARTEN ENVROWENfAL SOl.U7KM License # C-1269 / #C-245 Geology DATE: 11-6-17 REVISION NO.0 I a sWS 1-1 sw-1 sW 4 FORMER CSI AGILITY—/ i 't SW-7 A 1 x LEGEND \/ SITE PROPERTY BOUNDARY ` ADJACENT PARCEL BOUNDARY SURFACE WATER FEATURE SOURCE AREA SURFACE WATER SAMPLE LOCATION t , SEEP SAMPLE LOCATION �I 0. tc\C O ltvk APPROXIMATE 0 800 1600 SCALE IN FEET SURFACE WATER & SEEP SAMPLE LOCATIONS PROJECT FORMER CSI LANDFILL 1200 DRAG STRIP ROAD HUDSON, NORTH CAROLINA v 2923 South Tryon Street -Suite 100 hart 'ti hickman Charlotte, North Carolina 28203 704586-0007(p) 704586-0373(o SMARTER "WIRONMENT/LL SOLUTWN5 License # C-1269 / #C-245 Geology DATE: 3-20-18 1 REVISION NO.0 wR o. d - - C �z (leloll eue?tx N fY N e+i g O O O O q m m m O O fV f11 N O N N N C?d�v v v v v v `�i ai �% v vi v v v "� v `� v v v vv veuey►eWOlyePl m �00000000000000o D o c o 0 v v v o v v v v v v v v v v v v v v v v v v v Y v v v oomNa,o 0o p y� 14u.1-L'L`L v of N- v v v v v G vi v v v v v v v v v v v v v v v R a 0 0 0o roI000p 000o00oopo 0 0 0 0 0 0 0 0 0 11 N 6Uan O V V V C v v v v V V V V V V V Y V V V V V V V Y V V V eusypaaigyaeAel 1° mho m oopo 00000000po o m p g p o 0 0 0 O N N r N N V V -vv Y Y V Y V Y V V V V V V v v Y Y V V 0 0 0 0 0 0 0 0 0 0 0 0 0 0 O O O O O O O CD ePPol40 eueyCyne�N v' Z z v v v v v v v v v v v v v v v v v v v v v a U Q O O 'r O p O O O pN p 1O� O O O O O O O a Q a Q euanlcItlad081-d N V V V p v Y V V Y V v8' y V v v v v V Z 2 Z Z Z Z Z 2 Z :9 a C auouexB} fZ ,g N `m ¢ 44 Q Q a a Q a 8 d a d d¢ 0 0 0 0 0 0 0 0 o E V Y v v Z Z Z Z Z z z v z z z Z Z v v v v v v v v v E A d¢ Q Q Q Q d z d ¢ 1Zj000v ZZZ ZZ Z Z Z Z Z ZZZv V V V Y V V V v E Q � C O O O er 0 0 0 0 0 0 0 0 0 0 0 0 0 0 0 e r a impe lldadosna A �! z4 z z z z z C O V V V O V V V V V V V V V V V V V V v N_ Z J' E euetpeaayold L'L 0 0 0 P N o mm 0 0 o c o 0 0 0 0 0 0 0 0 0 0 0 0 m is �[: LL c Cil N V V V C v `- V V V V V V V v v V V V V V V V V m 7 VJ g C w A m U V Z a o 0 0 w o 0 0 o IRl o 0 0 o p o 0 0 0 0 0 0 0 o p o 0 0 0 aue aao 12 _ G yl I4ela i`L o V V v o v v V v v v v v v ri v v v v v v v v v v v v v v 8 a@ 3� o a 0= M o o N W p O O N 0 0 0 0 0 0 0 0 0 0 O 0 0 O 0 0 O O O 3 LL n ao eueyLaaoly3la-L'6 m N a) V= v v o N v v v ^� v v v v v v vvvv v v v v v v v v v o eueylawomyllpouolygp R m m 4 N o rn a 0 0 0 0 o p p p 0 0 0 0 0 0 0 0 o E v N V N N N N C, v V v V Y V V V V V V V V V Y V v -J m R T$ •L M O O O N O O O O o O O O O O O O O O O O O o O O O O 0 apNgyoenal uogie� lV V m O V Y V C V V V V V Y V Y V V V V v v V V V V V Y V V V V U apylnslauogreo o p N0 o Q¢ d d d d d¢ Q Q¢ Q Q 0 0 •o o p o 0 0 p W p V v v Z Z Z Z Z Z Z Z ZZZ 2 Z V v V V V V V V V y c a auezm O O O N o 0 0 0 0 0 0 0 0 0 0 0 0 0 0 O O O O p O O O O 4 e v V V O V V v v v v v v v v v v v v -v v v v v v V v v Y aumaaVS 18'vv v- v `vv v v v v v v v v v v � WcoM MO e� O M f� m O) O O N CpJ pa tpfi pm Ir pmaD Cf �pp� a0 O O C O O O O O g N N N N O O] W W W ••°°3S e)ea eldwe$ c o n n `m c� N �� u of as Ps ;5 Za 8 c �aN�p�ao�a 00000ao a s �, a a a a a $g_ t N r c m e 8 J _� En wv ta3$i m LD n a1 Buudgio lleM m€ a � .a H e 2 C. m Q m= m m cLq A2T Y F c c = § ¢0¢ 8 Table# 9, Corrective Measures Monitoring Schedule Former CSI Facility Hudson, Caldwell County, North Carolina H&H Job No. CAL-004 Well ID Parameters 2018 (Annual) 2019 (Semiannual) 2020 (Biennial) 2022 (Biennial) 2025 4 (3-year) FPC-MW-01 s VOCs, FP X FPC-MW-03 VOCs, FP X X X X FPC-MW-07 4 VOCs, FP X FPC-MW-07A VOCs, FP X X X X MW-2 VOCs, FP X X X X MW-2A VOCs, FP X X X X MW-3 VOCs, FP X X X X MW-3A ' VOCs, FP X MW-C VOCs, FP X GM-1 VOCs, FP X X X X GM-5 VOCs, FP X X X X GM-6 1 VOCs, FP X Haas Spring 3 VOCs, FP X X Alan Tolbert S rin 3 VOCs X X Kevin Tolbert Spring 3 VOCs X X Leonard Tolbert Spring 3 VOCs X X Ray Austin S rin 3 VOCs X X Ray Austin Well VOCs X X Martha McLean Well 3 VOCs X X Truett Haas Well 3 VOCs X X Clearview Church Well 3 VOCs X X SW-3 3 VOCs X X SW-5 3 VOCs X X Notes: 1) Monitoring wells MW-3A, MW-C, GM-6 to be removed from monitoring program if no compounds are detected above 2L Standards during 2018 annual monitoring event. 2) If the 2018 sample from FPC-MW-01 has no constituents above 2L standards, future sampling may be discontinued with approval of DEQ. 3) Potable wells and springs, and surface water samples SW-3 and SW-5 to be removed from monitoring program if no compounds are detected above applicable standards during 2018 annual and 2019 semiannual monitoring event. 4) Monitoring well FPC-MW-07 has not been located since 2009. If it is not located in 2018, it will be removed from future monitoring events. 5) After 2025, monitoring will be conducted every three years. VOCs = Volatile Organic Compound (including 1,4-dioxane) FP = Field Parameters (DO, temperature, conductivity, pH, oxidation-reduction potential) - Monitoring wells will be removed from sampling program if no compounds are above 2L Standards or risk -based remediation goals for 3 consecutive events C:1UsersUmoretzU7esktoplCaldwell CountylCaldwell County CMS Tables.xlsx Table 7 (Page 1 of 1) 6r.2/2018 Hart & Hickman, PC