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Petroleum Contaminated Soil -3- 15 August 1986 <br /> • Any on-site or off-site treatment option must gain the approval of the <br /> local aqencies such as health and fire departments and air pollution control <br /> district (the latter approval is not likely in usually urban, "non-attainment <br /> areas"). In many cases, DHS must also give approval. These agencies have <br /> primary authority for human nealth impacts which could result from <br /> treatment activities. The Regional Board should not assume authority to <br /> permit treatment without local input. <br /> • On-site and off-site treatment or reuse programs may require WDRs to <br /> protect surface and/or ground water quality. <br /> • .Any on-site or off-site treatment program must include adequate <br /> monitoring to demonstrate the effectiveness of the treatment. This may <br /> include ground water and/or vadose zone monitoring in addition to periodic <br /> soil samplinq and analysis for toxic and/or hazardous constituents. <br /> • Manrifestina is required for transport of soils considered to be 'hazardous' by <br /> DHS. DHS s currently studying this requirement for qasoline ana diesel <br /> contaminated Solis for possible exemptions. iA manifest requirement for <br /> old tanks, requiring triple rinsing and disposal of the tank and rinsate in a <br /> Class I or Class I I unit, may be enforced by DHS in the near future.] <br /> • Currently, no Class II landfills exist in Region 5 that are permitted to <br /> receive soils contaminated with fuels (gasoline, and diesel) if classified as <br /> 'designated wastes'. Therefore, landfilling of these soils must be at Class I <br /> sites. <br /> • The Regional Board should encourage the treatment and/or reuse of <br /> petroleum contaminated soils in cases where these options exist. <br /> Landfilling of these materials is poor use of our limited landfill capacity. <br /> • Cleanup levels are site-specific, based upon proper site characterization, <br /> potential beneficial uses of water that could be impaired, local health and <br /> safety issues, and future exposures that may occur. <br /> • Liability — The owner of a contaminated soil is responsible for its proper <br /> handling and disposal Waste manaqement unit operators also assume some <br /> liability upon accepting contaminated soils for disposal. Should someone <br /> purchase contaminated soil for some reuse, most or all of the liability may <br /> be transferred to the purchaser, unless the soil's potential health and <br /> environmental hazards are misrepresented in the transaction. When <br /> advising persons of their options for managing contaminated soils, staff <br /> should inform the parties involved of their continued responsibilities and <br /> state that the Regional Board does not assume liability in providing such <br /> advise. <br /> It is hoped that this information will be helpful in future cases where soils <br /> have been contaminated with petroleum fractions. <br /> Attachments <br />