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4491 Durham Ferry <br /> Page 3 <br /> P <br /> Correspondence dated May 16, 1995 <br /> The correspondence was-prepared to respond to the May 15, 1995 telephone <br /> communication with PHS/EHD. It was stated that well development consisted of limited <br /> hand bailing. PHS/EHD would infer that this is the hand bailing that occurred during the <br /> "pre-pump testing planning".- Attempts to further explain the "yield testing" contained an <br /> error which was carried through the evaluation. Please note that�the recovery well was <br /> installed using a 10 inch auger; therefore, the installation of a 4 inch diameter casing <br /> would result in a 3 inch annulus, rather than a 2 inch annulus. <br /> With regardl to the vapor testing and oxygen concentrations, in a closed system, i.e. a <br /> sealed vapor extraction well,,one would assume that the concentrations of oxygen would <br /> be lowered because there was no flowthrough and possibly as a result of limited <br /> biological activity. PHS/EHD questions that the measurements collected would actually <br /> hinder the ability to test the feasibility of vapor extraction as a remedial alternative. <br /> The analysis included errors such as the statement that the shallow subsurface does not <br /> yield groundwater readily under bailing conditions. PHS/EHD has not noted that there <br /> has been a significant problem with monitoring wells dewatering during purging and <br /> sampling activities. The statement that the recovery well was only marginally developed <br /> during installation was false. The well was not developed to any extent during <br /> installation. <br /> It is unclear how the stagnant conditions of the wells will significantly affect the <br /> application of a vacuum to such an extent which would support the rational to extend <br /> the vapor extraction testing for five days. <br /> Correspondence dated May 19, 1995 <br /> The correspondence thanked PHS/EHD for-returning telephone calls and for the efforts <br /> made to schedule a meeting for the following Monday. The letter indicated that <br /> PHS/EHD suggested that Brooke Birkie accompany your consultant. For your <br /> information it. is PHS/EHD's position as is the State Water Resources Control Board's <br /> (SWRCB) that responsible parties are generally able to soley manage sites with regulatory <br /> guidance and therefore, costs associated with the management of sites are not <br /> r reimbursable under the SWRCB Cleanup Fund. In short, PHS/EHD would prefer to meet <br /> with you and your technical consultant. <br /> With regards to the scheduling of the proposed site activities, it should be evident that <br /> PHS/EHD was not able to quickly approve of the modifications to the scope of work. It <br /> was discussed that there would be no problem with regard to the well development <br /> since in fact it had never been developed. <br /> r <br /> iI <br /> 1 <br /> �_ 1 <br />