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April 8, 2014 <br />200113) will be maintained and monitored, and modified as needed based on <br />the RWQCB's review of monitoring data. <br />g. 49 (F.6) <br />Proposed as Part of the Project: <br />Because of the potential for contamination from WMU B and/or A of the <br />shallow groundwater table downgradient and adjacent to the project, <br />existing domestic off-site wells within 500 feet of the eastern property <br />boundary will be sampled at the same frequency as the monitoring wells <br />onsite and for the same constituents (see CCR, Title 27). Final <br />determination of the sampling program and the evaluation of the test <br />results, along with the appropriate mitigation, is the responsibility of the <br />RWQCB and must be carried out under their permit authorization. <br />Current Status: Forward complies with the RWQCB groundwater <br />monitoring requirements. <br />Identified in EIR: <br />Water quality at the offsite wells, such as the two private wells along <br />Austin Road and the CYA wells, shall be monitored at least biannually <br />(twice a year) to determine the extent that the plume impacts them. <br />Continued operation of the groundwater extraction system at the site will <br />help limit the contaminant plume from expanding in a downgradient <br />direction but will not address the offsite component far beyond the <br />boundary of Austin Road Landfill unless the contamination is attenuated <br />and diluted over time or more extraction wells are brought on line per the <br />AEE (2001b) Alternative 3 proposal. However, in their revised AEE <br />(2002a) report the proposed alternative 11 is put forth as the only remedy <br />to implement at this time. The RWQCB accepted alternative 11 in their <br />letter to Forward dated March 11, 2002. If the groundwater VOC <br />concentrations do not attenuate at a rate that is acceptable to the RWQCB <br />then the Board will require that Alternative 3 T or some variant on <br />Alternative 3 - be implemented. The recent (AEE, 2002a) addendum to <br />the corrective action proposed procedures to analyze the hydrochemcial <br />trends and trigger concentrations at which additional extraction wells <br />would be considered. (Atkinson, 2002). <br />Current Status: Forward complies with the RWQCB groundwater <br />monitoring and corrective action requirements. <br />h. 50 (F.7) <br />Identified in EIR: <br />Two infiltration -methods are currently _used at the landfill. Most of the- <br />groundwater <br />hegroundwater currently pumped by the former agricultural well is used <br />onsite; thus, some of it will infiltrate through the unlined parts of the site <br />Page 28 <br />