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v <br /> Mr. Robert Mihalovich - 2 - 18 July 2000 <br /> 3. The historical data show that no samples have been tested for polynuclear aromatic hydrocarbons <br /> (PAHs). If the pipeline has been used to transport TPHd, which could contain PAHs, Chevron should <br /> test the groundwater for PAHs. <br /> 1999 Annual Progress Report <br /> The report states that MW-5 and MW-8 define the lateral extent of BTEX; MW-10 and MW-14 define <br /> the downgradient extent; and ASW-1 defines the vertical extent. I concur with this statement. In fact, <br /> these wells also define the downgradient and vertical extent of TPHd and TPHg. MW-11 defines their <br /> lateral extent. However, there is no well to define the upgradient extent. As stated in Item 2 above, <br /> Chevron should install a monitoring well to the south to accomplish this. In addition, Table 1 (historical <br /> data) and Figure 2 do not show the presence of ASW-1 and MW-11. The report should include this <br /> information. A review of the files reveals that staff approved the decommissioning of MW-11. However, <br /> since ASW-1 still exists, Chevron should include it in the monitoring program as it defines the vertical <br /> extent of BTEX and TPHd/g. <br /> Low-Risk Closure Request <br /> Chevron followed the Appendix B of the Tri-Regional Board Staff Recommendations for Preliminary <br /> Investigation and Evaluation of Underground Tank Sites and provided all the required information. <br /> Chevron also outlined the four criteria for low risk groundwater and provided justification as to why the <br /> site meets each criterion. Chevron further states that petroleum hydrocarbons (PHCs) may be left in <br /> place as long as compliance with water quality objectives (WQOs) is achieved within a reasonable time <br /> period, which is predicated upon the probable timing of groundwater use. Chevron also states that the <br /> City of Tracy has prohibited the use of groundwater beneath the site for reasons unrelated to PHCs. This <br /> allows for a longer period in which to restore the beneficial uses of groundwater because the likelihood <br /> of future use of groundwater is extremely low. Based on BTEX trends, Chevron estimates that the <br /> WQOs would be met in 20-30 years. Chevron estimates a longer remediation time (unspecified) for <br /> TPHd and TPHg. <br /> The latest monitoring report shows the highest concentrations of BTEX and TPHg as 810, 300, 3,500, <br /> 430, and 27,600 ug/1, respectively. The WQOs for these constituents are 0.35, 29, 42, 17, and 5 µg/l, <br /> respectively. Therefore, all constituents exceed their WQOs. Chevron is proposing to rely on natural <br /> attenuation(NA)to remediate the site to meet WQOs. State Water Resources Control Board Resolution <br /> 92-49 states that the Regional Board shall determine whether water quality objectives can reasonably be <br /> achieved within a reasonable period by considering what is technologically and economically feasible. <br /> Furthermore, the National Contingency Plan (NCP)preamble suggests that a"reasonable"time frame <br /> for a remedy relying on NA is a"time frame comparable to that which could be achieved through active <br /> restoration."The NCP further states, "the most appropriate time frame, must, however,be determined <br /> through an analysis of alternatives." Therefore, Chevron should perform an evaluation of remedial <br /> alternatives, including NA,with estimates of the time it would take for each alternative to remediate the <br /> site. NA would be an acceptable alternative if its time to achieve cleanup is comparable to that of active <br /> remediation. <br />