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' Revised Work Plan for Pilot Study 2 9 March 2011 <br /> Deuel Vocational Institution Burn Pit <br /> Tracy, San Joaquin County <br /> ' The contingency plan will be implemented if either baseline or background <br /> concentrations are exceeded by 20% at the transition well. Should this occur, two <br /> ' monthly consecutive sampling events would occur at the impacted well(s) and <br /> background well. URS is not proposing to conduct removal actions unless a compliance <br /> well is impacted for 6 months (above 120% of baseline and background). Should this <br /> ' occur, URS will evaluate injection of calcium polysulfate into the impacted well(s) and/or <br /> extraction of groundwater from the compliance wells. <br /> ' I concur with the Work Plan with the understanding the Work Plan will incorporate <br /> following comments: <br /> ' 1 . URS proposes waiting 6 months to evaluate any unwanted impacts found in a <br /> contingency well, prior to implementing a removal action. Although some <br /> unwanted by-products may be generated in the treatment zone, they should be <br /> ' diminishing in the transition wells, and any concentrations greater than 20% of <br /> background or baseline concentrations at the compliance zone wells will require <br /> implementation of active remedial technologies. <br /> ' 2. URS has proposed evaluating barium, arsenic, iron and manganese as remedial <br /> targets during the Pilot Study, and is not considering total or hexavalent <br /> ' chromium, or salts as targets. Please incorporate total and hexavalent chromium <br /> in the analytical suites. <br /> ' 3. As a contingency measure, URS has proposed in situ remediation with calcium <br /> polysulfide or another reagent to remove inorganic constituents from the <br /> groundwater. This methodology should be evaluated prior to use as these <br /> ' reagents proposed for use to counteract the unwanted by-products of OES may <br /> also create additional unwanted by-products. This contingency measure is not <br /> approved, at this time. <br /> 4. URS is considering the re-start of the existing pump and treat system should <br /> groundwater extraction be needed. Since the system has not been operated <br /> since 2007, please evaluate and confirm if this system will function for use as a <br /> contingency measure. <br /> ' 5. Groundwater sampling for the Pilot Study is proposed to be conducted quarterly <br /> for four quarters (three quarters and an annual sampling event), upon which time <br /> the Pilot Study will be concluded. Based upon URS's estimate of groundwater <br /> ' flow velocity, impacts to the transition wells MW-24BP and MW-25BP may not <br /> be seen for 1-3 years, and may not be evident in the compliance wells for 3-7 <br /> ' California Environmental Protection Agency <br /> Ceecycled Paper <br />