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Ms.Kerry Heckman - 2 - 29 April 2005 <br /> River City Petroleum/Fortner Connell Motor Lift Truck <br /> Soil cores were collected every 10 feet bgs from MW-36 and MW-37. Petroleum hydrocarbons were only <br /> detected at 60 and 70 feet bgs in the saturated zone. Results are shown in milligrams per kilogram: <br /> TPHg B T E X TBA 1,2-DCA* <br /> MW-37-60 470 1.6 6.1 3.4 23 <0.025 0.19 <br /> MW-37-70 5.4 1.1 0.12 0.09 0.41 0.036 0.063 <br /> "detected at very low levels in all soil samples to 150 feet bgs,which may be the result of dissolved phase contamination in groundwater,or releases <br /> occurring during historical low groundwater levels(>90 feet bgs),per discussions with San Joaquin County Environmental Health Department(SJCEHD). <br /> AGE concludes in the Workplan that groundwater contamination has not been fully characterized by the existing <br /> groundwater monitoring well network and previous Cone Penetrometer Testing(CPT)groundwater <br /> investigations. Enclosed Figure 2 shows the locations of five proposed Continuous Multi-chamber Tubing <br /> (CMT)monitoring wells screened vertically at target depths(preferential pathways) from 60 to 200 feet bgs,to <br /> complete vertical and lateral characterization of the groundwater plume. Each CMT well is capable of <br /> independently monitoring up to seven discrete hydrologic zones. Five hydrologic zones previous identified will <br /> be targeted(first water): 50 to 60 feet bgs, 75 to 85 feet bgs, 95 to 100 feet bgs, 145 to 150 feet bgs, and 195 to <br /> 200 feet bgs. <br /> Comments: <br /> a. In a phone conversation with AGE on 10 March 2005 during the 1"quarter of 2005 groundwater <br /> monitoring event, I was informed that MW-1 was purged and sampled. Please be prepared to redevelop <br /> MW-1 if silting continues to be a problem. <br /> b. Workplan Appendix G,page 3 gives potential target screened zones (zones)for the CMT wells as <br /> 50-65 feet bgs, 75-80 feet bgs, 95-100 feet bgs, 145-150 feet bgs, and 195-200 feet bgs. Note that these <br /> zones are not applicable to all five of the proposed wells,but may be considered during construction if <br /> nearby wells do not provide monitoring of those zones. For example,the well proposed west of the <br /> building(near MW-17) should be screened at depths greater than 135 feet bgs,the deepest nearby well. <br /> The zones for new monitoring wells should target more permeable strata identified as potential <br /> preferential pathways during geologic logging of the borings. <br /> c. Workplan Figure 2 shows the northern CMT well approximately 50 feet north of Cone Penetrometer Test <br /> (CPT)boring CPT9. Text on page three of Appendix G says the CMT well will be installed 8 feet north <br /> of CPT9. Based on the previous CPT9 results shown on enclosed Figure 5 (maximum 1,2-DCA, 18 µg/L <br /> at 110 feet bgs, <0.5 gg/L at 150 and 180 feet bgs),a new CMT well located 50 feet north of CPT9 is not <br /> justified at this time. Please submit a letter addendum to the Workplan with a figure showing the correct <br /> location of all CMT wells,including the well described in the text as 8 feet from CPT9. The corrections <br /> are due by 6 May 2005. <br /> d. A draft Monitoring and Reporting Program(MRP)for River City Petroleum and Connell Motor Lift <br /> Truck is enclosed for your review. Due to the need for consistency in monitoring,the complex <br /> hydrogeology and the number of monitoring wells,an MRP is appropriate for your site. Please provide <br /> comments by 1 July 2005. <br /> e. Provided my comments in b. and c. are addressed,the five CMT monitoring wells described in the <br /> Workplan appear to be appropriate to complete vertical and lateral delineation of the petroleum <br /> hydrocarbon groundwater plume. I will delay final approval the CMT wells until your consultant AGE <br /> resolves outstanding issues with CMT wells with SJCEHD for the well permits. If you have cost <br /> effective alternatives to CMT wells that will meet SJCEHD permit requirements and State Water <br />