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DSHW-2024-007788
DEPARTMENT OF THE ARMY TOOELE ARMY DEPOT/HEADQUARTERS 1 TOOELE ARMY DEPOT, BUILDING 1 TOOELE, UT 84074-5003 *I certify under penalty of law that this document and all attachments were prepared under my direction or supervision in accordance with a system designed to assure that qualified personnel properly gathered and evaluated the information submitted. Based on my inquiry of the person or persons who manage the system, or those persons directly responsible for gathering the information, the information submitted is, to the best of my knowledge and belief, true, accurate, and complete. I am aware that there are significant penalties for submitting false information, including the possibility of fines and imprisonment for knowing violations. August 13, 2024 SUBJECT: Draft Final Land Use Control Inspection Plan (LUCIP) Tooele Army Depot South Area (TEAD-S), State/EPA I.D. Number UT5210090002. Mr. Doug Hansen Director, Division Waste Management and Radiation Control 195 North 1950 West Salt Lake City, UT 84114-4880 Dear Mr. Hansen: TEAD is pleased to share the Draft Final LUCIP. The main document will be sent DoD Safe as it is too large to email. Please note short suspense of 30th August 2024 for comments. If you have any questions regarding this request, please contact Tyson Erickson at (435) 833-3235. Sincerely, Tyson Erickson (Acting)Chief, Environmental Division *CERTIFICATION STATEMENT ERICKSON.TYSON.B OYD.1274449191 Digitally signed by ERICKSON.TYSON.BOYD.1274449191 Date: 2024.08.13 07:09:17 -06'00' 1 DRAFT FINAL 2 3 Tooele Army Depot 4 South 5 6 Land Use Control Implementation Plan 7 8 9 August 2024 10 Contract No. W9124J-23-C-0018 11 12 13 Prepared for: 14 Tooele Army Depot South and U.S. Army Environmental Command 15 16 17 18 Prepared by: 19 20 Cherokee Nation Environmental Solutions, LLC 21 22 23 24 With Conti Federal Services, LLC 25 26 27 28 August 2024 Draft Final Land Use Control Implementation Plan United States Army Environmental Command and Tooele Army Depot South Contract No.: W9124J-23-C-0018 . i Table of Contents 29 Table of Contents ............................................................................................................. i 30 List of Tables/Figures/Appendices .................................................................................. ii 31 Acronyms and Abbreviations .......................................................................................... iv 32 1.0 Introduction ................................................................................................... 1 33 1.1 Project Overview ................................................................................................ 1 34 1.2 Definition of Land Use Control ........................................................................... 2 35 1.3 Purpose of the Land Use Control Implementation Plan ..................................... 3 36 1.4 Army Cleanup Process ...................................................................................... 3 37 1.4.1 Installation Restoration Program (IRP) ............................................................. 3 38 1.4.2 Military Munitions Response Program (MMRP) ................................................ 4 39 1.5 Regulatory Framework ....................................................................................... 4 40 1.6 Tooele Army Depot South Areas of Concern ..................................................... 4 41 2.0 Tooele Army Depot South Background ...................................................... 5 42 2.1 General History and Location Information .......................................................... 5 43 2.2 Land Use Control Summary ............................................................................... 5 44 2.3 Sites with Land Use Controls ............................................................................. 5 45 2.3.1 LUCs ................................................................................................................ 6 46 2.3.2 TEAD-S Areas of Concern (Anticipated or Interim LUCs) ................................ 9 47 3.0 Land Use Control Implementation ............................................................. 13 48 3.1 Management of Land Use Controls ................................................................. 13 49 3.1.1 DoD versus non-DoD Responsibilities ............................................................ 13 50 3.1.2 Assurances ..................................................................................................... 14 51 3.1.3 Funding .......................................................................................................... 14 52 3.1.4 Site Approval .................................................................................................. 14 53 3.1.5 Enforcement ................................................................................................... 14 54 3.2 Engineering Controls ....................................................................................... 15 55 3.2.1 Site Markers ................................................................................................... 15 56 3.2.2 Site Maintenance ............................................................................................ 15 57 3.2.3 Inspections and Reporting .............................................................................. 15 58 3.2.4 Documentation ............................................................................................... 15 59 3.3 Documentation and Distribution of the LUCIP ................................................. 15 60 3.4 Transfers .......................................................................................................... 16 61 3.4.1 Federal to Federal Transfer ............................................................................ 16 62 3.4.2 Federal to Non-Federal Transfer .................................................................... 16 63 3.5 LUC Modification and Termination ................................................................... 17 64 3.6 Amendments to Decision Documents .............................................................. 17 65 4.0 References ................................................................................................... 18 66 August 2024 Draft Final Land Use Control Implementation Plan United States Army Environmental Command and Tooele Army Depot South Contract No.: W9124J-23-C-0018 . ii 67 Lists of Figures/Tables/Appendices 68 Figures 69 70 Figure 1 – Tooele Army Depot South Installation Location 71 72 Figure 2 – Tooele Army Depot South SWMU with LUCs Boundaries and Locations 73 74 Figure 3 – Tooele Army Depot South AOC Boundaries and Location 75 76 Figure 4 – Tooele Army Depot South SWMU 1/ DCD-002-R-01 Boundary and Location 77 78 Figure 5 – Tooele Army Depot South SWMU 9/ TEAD(S)-09 Boundary and Location 79 80 Figure 6 – Tooele Army Depot South SWMU 13/ CC-001 Boundary and Location 81 82 Figure 7 – Tooele Army Depot South SWMU 19/ TEAD(S)-28 Boundary and Location 83 84 Figure 8 – Tooele Army Depot South SWMU 25/ DCD-006-R-01 Boundary and Location 85 86 Figure 9 – Tooele Army Depot South SWMU 26/ TEAD(S)-17 Boundary and Location 87 88 Figure 10 – Tooele Army Depot South SWMU 28/ TEAD(S)-19 Boundary and Location 89 90 Figure 11 – Tooele Army Depot South SWMU 29/TEAD(S)-20 Boundary and Location 91 92 Figure 12 – Tooele Army Depot South SWMU 33/TEAD(S)-30 Boundary and Location 93 94 Figure 13 – Tooele Army Depot South DCD-001-R-01 Boundary and Location 95 96 Figure 14 – Tooele Army Depot South DCD-004-R-01 Boundary and Location 97 98 Figure 15 – Tooele Army Depot South SWMU 21/22 TEAD(S)-15 Boundary and 99 Location 100 101 Figure 16 – Tooele Army Depot South SWMU 39/ AOC 24 Boundary and Location 102 103 Figure 17 – Tooele Army Depot South SWMU 40/AOC 5 Boundary and Location 104 105 Figure 18 – Tooele Army Depot South SWMU 42/AOC 3 Boundary and Location 106 107 Figure19 – Tooele Army Depot South SWMU 43/ AOC 6 Boundary and Location 108 109 Figure 20 – Tooele Army Depot South SWMU 45/ AOC 8 Boundary and Location 110 August 2024 Draft Final Land Use Control Implementation Plan United States Army Environmental Command and Tooele Army Depot South Contract No.: W9124J-23-C-0018 . iii 111 Figure 21 - Tooele Army Depot South SWMU 47/ AOC 23, TEAD(S)-46 Boundary and 112 Location 113 114 Figure 22 – Tooele Army Depot South SWMU 48/ AOC 27 Boundary and Location 115 116 Tables 117 118 Table 1 – Tooele Army Depot South Sites with LUCs 119 120 Table 2 – Tooele Army Depot South AOCs with Anticipated LUCs. 121 122 Table 3 – Tasks Associated with LUCs and Responsible Parties 123 124 Appendices 125 126 Appendix A-1 – Tooele Army Depot South Annual LUC Inspection Tracker 127 128 Appendix A-2 – Tooele Army Depot South AOC Annual Inspection Tracker 129 130 Appendix B-1 – Tooele Army Depot South Sites with LUCs 131 132 Appendix B-2 – Tooele Army Depot South AOC Sites with Anticipated LUCs 133 134 Appendix C-1 – Tooele Army Depot South LUCIP Photo Log 135 136 Appendix C-2 – Tooele Army Depot South AOC LUCIP Photo Log 137 138 Appendix D – Example Post-Closure Inspection Checklist 139 140 Appendix E – Excavation Permit Coordination, Form D 141 142 143 August 2024 Draft Final Land Use Control Implementation Plan United States Army Environmental Command and Tooele Army Depot South Contract No.: W9124J-23-C-0018 . iv Acronyms and Abbreviations 144 145 AEDB-R Army Environmental Database of Record AMC Army Material Command AOCs Areas of Concern CAP Corrective Action Plan CERCLA Comprehensive Environmental Response, Compensation, and Liability Act CFR Code of Federal Regulations CFS Conti Federal Services, LLC CMI-P Corrective Measures Implementation Plan CMS Corrective Measures Study CNES Cherokee Nation Environmental Solutions, LLC COC Contaminant of Concern COPC Contaminant of Potential Concern CRL Cleanup, Restoration, and Liabilities CTC Carbon Tetrachloride DCD Deseret Chemical Depot DD Decision Document DERP Defense Environmental Restoration Program DMM Discard of Military Munitions DoD Department of Defense DWMRC Division of Waste Management and Radiation Control EC Engineering Control EMD Environmental Management Division FS Feasibility Study GIS Geographic Information Systems HWMU Hazardous Waste Management Unit IC Institutional Control ID Identification August 2024 Draft Final Land Use Control Implementation Plan United States Army Environmental Command and Tooele Army Depot South Contract No.: W9124J-23-C-0018 . v IR or IRP Installation Restoration Program IRA Interim Removal Action LTM Long-Term Monitoring LUC Land Use Control LUCIP Land Use Control and Implementation Plan MC Munition Constituents MD Munition Debris MEC Munitions and Explosives of Concern MMRP Military Munitions Response Program MPA Methyl Phosphonic Acid MR Munitions Response MRS Munitions Response Site NCP National Oil and Hazardous Substance Pollution Contingency Plan NPL National Priorities List PAH Polyaromatic Hydrocarbons PCBs Polychlorinated Biphenyls PCC Post-Closure Care PCE Tetrachloroethene PCP Permit Closure Plan RCRA Resource Conservation and Recovery Act RFI RCRA Facility Investigation RI Remedial Investigation ROD Record of Decision RPMP Real Property Master Plan SARA Superfund Amendments and Reauthorization Act SI Site Investigation SVOC Semi-volatile Organic Compound SWMU Solid Waste Management Unit TAL Target Analyte List TCE Trichloroethylene August 2024 Draft Final Land Use Control Implementation Plan United States Army Environmental Command and Tooele Army Depot South Contract No.: W9124J-23-C-0018 . vi TEAD Tooele Army Depot TEAD-N Tooele Army Depot - North TEAD-S or TEAD(S) Tooele Army Depot - South UDEQ Utah Department of Environmental Quality USAEC United States Army Environmental Command USEPA United States Environmental Protection Agency UU/UE Unlimited Use/Unrestricted Exposure UXO Unexploded Ordnance VOC Volatile Organic Compound 146 147 August 2024 Draft Final Land Use Control Implementation Plan United States Army Environmental Command and Tooele Army Depot South Contract No.: W9124J-23-C-0018 1 1.0 Introduction 148 This Land Use Control Implementation Plan (LUCIP) for Tooele Army Depot South 149 (TEAD-S) has been prepared by Cherokee Nation Environmental Solutions, LLC (CNES) 150 and teaming partner, Conti Federal Services, LLC (CFS), collectively known as the 151 Project Team. This document was produced through Contract #W9124J-23-C-0018 152 issued from the United States Army Environmental Command (USAEC) through the 153 Mission and Installation Contracting Command at Fort Sam Houston on June 7, 2023. 154 1.1 Project Overview 155 This LUCIP provides guidance for implementing, documenting, managing, and 156 terminating land use controls (LUCs) at environmental restoration sites with cleanup 157 activities at TEAD-S, per the Defense Environmental Restoration Program (DERP). The 158 sites with LUCs in place at TEAD-S are presented below in Table 1. The Areas of 159 Concern (AOCs) with anticipated LUCs at TEAD-S are presented below in Table 2. 160 161 Table 1: Tooele Army Depot South Sites with LUCs 162 SWMU AEDB-R SITE ID SITE DESCRIPTION CRL ID REGULATORY DRIVER/ PROGRAM 1 DCD-002-R-01 Eastern Demilitarization and Disposal 49245.1032 RCRA/MR 9 TEAD(S)-09 Area 2 Salvage Yard and Old Area 2 49245.1006 RCRA/IR 13 CC-001 Chemical Agent Munitions Destruction System (CAMDS) Facility 49245.1034 RCRA/IR 19 TEAD(S)-28 Building 533 Empty Drum Storage 49245.1023 RCRA/IR 25 DCD-006-R-01 Western Demilitarization and Disposal Area 49245.1030 RCRA/MR 26 TEAD(S)-17 Sanitary Landfill 49245.1013 RCRA/IR 28 TEAD(S)-19 Inactive Landfill 49245.1015 RCRA/IR 29 TEAD(S)-20 Borrow Pit (anomaly avoidance) 49245.1016 RCRA/IR 33 TEAD(S)-30 Building 536 Old CAMDS Salt Storage 49245.1025 RCRA/IR 47 AOC 23 Building 4553 Bomb Renovation Building Evaporation Pond TBD TBD 163 August 2024 Draft Final Land Use Control Implementation Plan United States Army Environmental Command and Tooele Army Depot South Contract No.: W9124J-23-C-0018 2 Table 2: Tooele Army Deport South AOCs with Anticipated LUCs 164 SWMU AEDB-R SITE ID SITE DESCRIPTION CRL ID REGULATORY DRIVER/ PROGRAM N/A DCD-001-R- 01 Combat Training Area 49245.1028 CERCLA/MR N/A DCD-004-R- 01 Old Demolition Pit 49245.1029 CERCLA/MR 21/22 TEAD(S)-15 Incendiary Washout Operations/Incendiary Washout Basin, Building 554 49245.1011 RCRA/IR 39 AOC 24 Building 1873 and Dry Well TBD TBD 40 AOC 5 Toxic Burial Site TBD TBD 42 AOC 3 Ladder Dip Tank TBD TBD 43 AOC 6 Toxic Area 2, Cadmium hot spot TBD TBD 45 AOC 8 Classification Yard TBD TBD 48 AOC 27 Classification Yard Access Road Burial TBD TBD AEDB-R – Army Environmental Database of Record 165 CERCLA – Comprehensive Environmental Response, Compensation, and Liability Act 166 CRL – Cleanup, Restoration, and Liabilities 167 DCD – Deseret Chemical Depot 168 ID – Identification 169 IR – Installation Restoration Program 170 MR – Munitions Response (part of MMRP – Military Munitions Response Program) 171 RCRA – Resource Conservation and Recovery Act 172 SWMU – Solid Waste Management Unit 173 TEAD(S) – Tooele Army Depot South 174 TBD – To Be Determined 175 1.2 Definition of Land Use Control 176 The “Department of Defense’s (DoD) Policy on Land Use Controls Associated with 177 Environmental Restoration Activities” (2001) defines LUCs as any physical, legal, or 178 administrative mechanisms that restrict the use of, limit access to, and prevent future use 179 of, real property or land. This action prevents or reduces risks to human health and the 180 environment. Proper use of LUCs is implemented during the environmental cleanup 181 process to ensure safety and cleanup objectives. LUCs are implemented after remedial 182 decisions to ensure that land use remains compatible with those decisions. 183 184 The two types of LUCs present at TEAD-S are engineering controls (EC) and institutional 185 controls (IC). Physical barriers, also known as ECs, include fences, signs, and gates to 186 restrict access to sites by barriers and inform those near the area of the land restrictions. 187 ICs consist of legal and administrative mechanisms. Examples of administrative barriers 188 include restrictions on land use, prohibitions on groundwater, dig or excavation permits, 189 and construction permits. Examples of legal mechanisms include a deed notice or 190 negative easement. LUCs may be implemented at any point in a cleanup stage from 191 August 2024 Draft Final Land Use Control Implementation Plan United States Army Environmental Command and Tooele Army Depot South Contract No.: W9124J-23-C-0018 3 discovering a potential issue until a location has been deemed acceptable for unlimited 192 use (UU) and unrestricted exposure (UE). 193 1.3 Purpose of the Land Use Control Implementation Plan 194 The primary purpose of the LUCIP for TEAD-S is to ensure the overall effectiveness of 195 LUCs in protecting human health and the environment. 196 197 TEAD-S LUCIP will: 198 • Identify all areas that currently require LUCs. 199 • Identify the type of LUCs for each SWMU. 200 • Discuss site history and regulatory drivers. 201 • List the roles and responsibilities needed for the execution, operation, and 202 maintenance of the LUCs. 203 • Specify the controls and operations necessary for maintenance of LUCs. 204 • Present locations of documentation storage repositories. 205 • Verify that coordination and documentation are current during LUCIP execution. 206 1.4 Army Cleanup Process 207 TEAD-S regulatory drivers in the environmental cleanup process include the CERCLA 208 and the RCRA permit UT5210090002. RCRA sites are coordinated with the Utah 209 Department of Environmental Quality (UDEQ) Division of Waste Management and 210 Radiation Control (DWMRC). The Army manages CERCLA and RCRA sites under the 211 DERP requirements. 212 213 CERCLA, as amended by the Superfund Amendments and Reauthorization Act (SARA), 214 enacted in the 1980s, emphasizes the federal control of cleanup of hazardous substances 215 as they present financial risks (liability). CERCLA response activities fall under 40 Code 216 of Federal Regulations (CFR) 300 of the National Oil and Hazardous Substance Pollution 217 Contingency Plan (NCP). CERCLA actions may be placed on the National Priorities List 218 (NPL) when the cleanup site has a hazard risk index over 28.5, or a Senator has elected 219 to do so. TEAD-S is not on the NPL. The only CERCLA drivers are AOCs. 220 1.4.1 Installation Restoration Program (IRP) 221 The Installation Restoration Program (IRP) was developed by the DoD in 1975 to identify 222 and investigate the cleanup of hazardous waste and materials associated with prior 223 disposal operations and spills at military installations. The IRP process follows a similar 224 path to that of CERCLA for sites, in which an identification, cleanup, and closeout process 225 is unique to each site. This practice is managed through the Army and the DERP. 226 227 The Decision Documents (DDs) and Record of Decision (ROD) will reflect the agreement 228 for the remedy and necessary LUCs at TEAD-S. RCRA documents are typically reflected 229 in corrective measure decision documents such as the Corrective Action Plan (CAP) and 230 Corrective Measures Implementation Plan (CMI-P) and managed under the RCRA Permit 231 as a Permit Closure Plan (PCP)/Post-Closure Care (PCC). For this document, the general 232 August 2024 Draft Final Land Use Control Implementation Plan United States Army Environmental Command and Tooele Army Depot South Contract No.: W9124J-23-C-0018 4 terms of the remedy decision document will refer to DD, ROD, CAP, CMI-P, and 233 PCP/PCC. 234 235 The sites listed in Table 1 are associated with sites containing LUCs for TEAD-S, and 236 those listed in Table 2 are associated with AOCs with anticipated LUCs for TEAD-S. 237 1.4.2 Military Munitions Response Program (MMRP) 238 The Military Munitions Response Program was developed by DERP in 2001 to address 239 the remediation of munitions and explosives of concern (MEC). MEC includes unexploded 240 ordnance (UXO), discard of military munitions (DMM), and munition constituents (MC) 241 located at former defense sites. It should be noted that MC is typically associated with 242 some degree of chemical contamination and does not apply to operational ranges. 243 1.5 Regulatory Framework 244 Under CERCLA, Five-Year reviews must be completed for sites where hazardous 245 substances restrict land use above UU/UE. Currently, no existing sites have CERCLA 246 drivers. However, there are areas of concern under CERCLA. If they are made into sites, 247 they will need to do these reviews are essential to ensure the designated remedies are 248 executed effectively and determine whether they continue protecting human health and 249 the environment. 250 251 Under the NCP, Title 40 CFR 300.430 (f)(4)(ii) states, “If a remedial action is selected that 252 results in hazardous substances, pollutants, or contaminants remaining at the site above 253 levels that allow for unlimited use (UU) and unrestricted exposure (UE), the lead agency 254 shall review such action no less often than every five years after initiation of the selected 255 remedial action.” Non-CERCLA sites are required to perform a similar practice known as 256 the Periodic Review per DoDM 4715.20. 257 1.6 Tooele Army Depot South Areas of Concern 258 The AOCs are sites that have not officially made a remedial decision. Without a remedial 259 or interim decision, no driving regulation requires post-remedial activities when a site is 260 still under investigation. However, interim LUCs such as SWMU 39 and AOC 27 have 261 been included in the RCRA Part B Permit for the TEAD-S. This site is expected to have 262 an industrial closure, leading to LUCs. Until a remedial decision has been made, it does 263 not require a Periodic Review every five years, as it has not made a remedial decision 264 that has left land with contamination in place. Post-remedial actions in a LUCIP include 265 long-term monitoring (LTM) of groundwater, annual inspections, and five-year reviews 266 (CERCLA 121c or Periodic). LUCs can be implemented as a protective measure before 267 making a remedial decision. Still, they would not be under the same maintenance 268 requirements as one that relies on it as a remedy. 269 270 August 2024 Draft Final Land Use Control Implementation Plan United States Army Environmental Command and Tooele Army Depot South Contract No.: W9124J-23-C-0018 5 2.0 Tooele Army Depot South Background 271 2.1 General History and Location Information 272 In 1949, Tooele Army Depot (TEAD) accepted command of the Deseret Chemical Depot, 273 a storage depot for World War II supplies, ammunition, and combat vehicles. This area is 274 currently named the TEAD South Area. On July 11, 2013, DCD closed and transferred 275 facilities and property to TEAD. The TEAD South Area is an estimated 19,000 acres of 276 land southwest of Salt Lake City in Rush Valley, Tooele County, Utah. The area is quite 277 rural, with a population density of three per square mile. Nearby small towns include Rush 278 Valley, Clover, St. John, Big Hollow, Vernon, Hogan’s Ranch, and Stockton. Army 279 Material Command (AMC) has jurisdiction over the TEAD South Area. The primary 280 mission of TEAD South Area, the storage and demilitarization of chemical warfare agents, 281 has been completed, and facilities related to demilitarization are inactive. The facility 282 includes 208 earth-covered magazines, two above-ground magazines, and thirty-two 283 storage warehouses. Previous operations led to different types of contaminants and their 284 disposal across the Depot. 285 286 Refer to Figure 1 – Tooele Army Depot South Installation Location. 287 2.2 Land Use Control Summary 288 TEAD North (TEAD-N) oversees and coordinates the TEAD-S sites. Contamination 289 remains at several sites. As a result, appropriate conditions and restrictions have been 290 placed as needed along this property, limiting the land use of these designated sites until 291 the required remedial actions have been completed. 292 293 TEAD-S has several installation-wide ICs ranging from legal or administrative 294 mechanisms to institutional control to enforce property restriction through ownership (e.g., 295 deed notices and negative easements). Meanwhile, administrative mechanisms in place 296 at TEAD-S are regulatory, such as notices for local land use plans and ordinances, 297 construction permits, or land use management systems. In addition to these practices, 298 TEAD-S implements ECs such as physical mechanisms, fencing, or signage to protect 299 property owners and the public from hazards by limiting accessibility or preventing 300 unauthorized access for regions across TEAD-S. 301 302 The RCRA Permit, UT 5210090002, outlines specific ICs that must be adhered to. These 303 include residential use restrictions, excavation restrictions, groundwater remediation 304 restrictions, and deed restrictions. ECs are fencing, land cover maintenance (vegetative 305 cover), and erosion control structures. The permit provides templates for the site's 306 inspection requirements and frequency., 307 2.3 Sites with Land Use Controls 308 Dawson Technical LLC completed the previous LUCIP for TEAD in August 2018. The 309 2018 LUCIP consisted of the following: TEAD(S)-09 (SWMU 9), TEAD(S)-28 (SWMU 19), 310 TEAD(S)-30 (SWMU 33), TEAD(S)-19 (SWMU 28), DCD-003-R-01 (SWMU 2), TEAD(S)-311 August 2024 Draft Final Land Use Control Implementation Plan United States Army Environmental Command and Tooele Army Depot South Contract No.: W9124J-23-C-0018 6 05 (SWMU 5), and TEAD(S)-20 (SWMU 29). Since the 2018 LUCIP, the following sites 312 have changed: DCD-003-R-01 (SWMU 2) has closed, and sites DCD-002-R-01 (SWMU 313 1), CC-001 (SWMU 13), DCD-006-R-01 (SWMU 25), and TEAD(S)-17 (SWMU 26) have 314 been added. The following sites have LUCs and are included in the 2024 LUCIP, as 315 shown in Table 2: TEAD(S)-35 (SWMU 40), DCD-001-R-01, DCD-004-R-01, AOC 3 316 (SWMU 42, AOC 6 (SWMU 43), AOC 8 (SWMU 45), TEAD(S)-15 (SWMU 21/22), AOC 317 23 (SWMU 47) AOC 24 (SWMU 39), and AOC 27 (SWMU 48). SWMU 5 is included in 318 the SWMU 21/22 hexavalent chromium study and has been removed. 319 320 This 2024 LUCIP will include existing sites with LUCs. The remedy decision and interim 321 future LUCs for the AOCs is not decided as of the writing of this LUCIP. Information will 322 be provided for AOCs as it becomes available. 323 324 Refer to Appendix A-1 - Tooele Army Depot South Annual LUC Inspection Tracker and 325 Appendix A-2 - Tooele Army Depot South AOC Annual LUC Inspection Tracker. 326 327 Appendix B-1 and Appendix B-2 present site details, including background, history of 328 contamination, land use, remedies, and descriptions of LUCs in place at TEAD-S SWMUs 329 and TEAD-S AOCs, respectively. Appendix C-1 and Appendix C-2 include photographs 330 of the engineering controls viewed during the nonintrusive site visit the week of 6 May 331 2024 at TEAD-S SWMUs and TEAD-s AOCs, respectively. The visit was conducted to 332 verify the engineering controls prescribed in the remedy decision documents. 333 334 The general boundaries and points of interest for TEAD-S and associated AOCs are 335 included in Figures 2 through 22. 336 2.3.1 LUCs 337 Listed below are sites that have officially completed ROD. LUCS will remain until UU/UE 338 is achieved. 339 340 • SWMU 1 (DCD-002-R-01), the Eastern Demilitarization Area/Disposal Pits Site 341 was active from the 1940s to the 1970s as a detonation site for conventional 342 weapons and a burial site for explosive and chemical weapons. This site is 373 343 acres with many disposal pits that contain destroyed munitions and bulk chemical 344 agents, including cyanogen chloride, phosgene agents, M70 mustard bombs, 345 M4A2 smoke pots, white phosphorus grenades, trash, thermite, M20 bomb 346 clusters, M50A3 thermite bombs, German Tabun bombs, M47 mustard bombs, 347 and boosters. Sites have buried waste with soil contamination, including chemical 348 warfare agents, agent breakdown products, metals, explosives, volatile organic 349 compounds (VOCs), as well as groundwater plumes of carbon tetrachloride (CTC), 350 chloroform tetrachloroethane (PCE), and trichloroethane (TCE). Site inspections 351 for this site include an RCRA Facility Investigation (RFI), an Interim Removal 352 Action (IRA), and a Corrective Measures Study (CMS). The remedy includes 353 removals, capping, groundwater monitoring, LUCs, and periodic reviews. Refer to 354 Figure 4 for more details about where this SWMU is located and several of the 355 key features associated with this SWMU. 356 August 2024 Draft Final Land Use Control Implementation Plan United States Army Environmental Command and Tooele Army Depot South Contract No.: W9124J-23-C-0018 7 357 • SWMU 9, (TEAD(S)-09), Salvage Yard Area 2, is a 50-acre site within the east-358 central portion of the Depot that is fenced off from the surrounding land. Two 359 portions of contamination exist, the former open storage of Area 2 Chemicals 360 Safeguarding area, which is forty acres, and the Old Area 2 south of Area 2, which 361 is ten acres. The site was used for chemical weapon storage, such as nerve agents 362 and mustard containers, and an area southeast of Old Area 2 was used as burn 363 pits from 1940 to 1970. It has been estimated that 23 buildings were used to store 364 chemical weapons, as well as M70 bombs, mustard gas, and lewisite. A mustard 365 gas container leaked and was first treated with bleach applied to the soil, followed 366 by plowing the soil's surface. Open storage of one-ton containers and 55-gallon 367 drums were stored near rails. Investigations for this site include Phase I and II RFI. 368 Contaminants of Concern (COCs) include arsenic and two agent breakdown 369 byproducts (methyl phosphonic acid (MPA) and isopropyl MPA). The land use is 370 industrial. Refer to Figure 5 for more details about where this SWMU is located 371 and several of the key features associated with this SWMU. 372 373 • SWMU 13, (CC-001), the CAMDS Facility, is a ten-acre fenced area in the 374 southwestern part of TEAD-S that started operating in 1979. The site includes the 375 former building, concrete pads, and an area of unpaved soil that is covered in 376 sparse vegetation. CAMDS was a prototype research and development facility that 377 demilitarized chemical munitions and containers and detoxified chemical warfare 378 agents such as nerve and blister agents. The facility closed in 2005, was 379 demolished, and underwent an industrial RCRA closure. The groundwater is 380 contaminated after a diesel fuel spill from aboveground storage tanks. 381 Investigations include a Phase II RFI and CMS that advised free-product removal 382 and monitoring with institutional controls. Annual groundwater monitoring of the 383 diesel fuel plume and annual site inspections are required to verify the site has not 384 been disturbed, reporting every two years to UDEQ, and periodic reviews are 385 required. LUCs include land use restrictions, groundwater use restrictions, 386 occupancy restrictions, fencing, and signage. Refer to Figure 6 for more details 387 about where this SWMU is located and several of the key features associated with 388 this SWMU. 389 390 • SWMU 19, (TEAD(S)-28), Building 533, was used for railroad car maintenance 391 and drum storage next to the Deactivation Furnace, TEAD(S)-14. Waste that could 392 have been stored in the building could include trash, wood, empty brass shell 393 casings, five-gallon paint containers, and drums. The building was demolished in 394 1992, but the concrete foundation remains. Site investigations include a Phase I 395 and II RFI, a CMS, and a soil vapor survey. COCs include polychlorinated 396 biphenyls (PCBs) in the water, PCBs, and metals in soil, and low levels of TCE in 397 the groundwater. LUCs include land use restrictions and groundwater use 398 restrictions. Refer to Figure 7 for more details about where this SWMU is located 399 and several of the key features associated with this SWMU. 400 401 402 August 2024 Draft Final Land Use Control Implementation Plan United States Army Environmental Command and Tooele Army Depot South Contract No.: W9124J-23-C-0018 8 • SWMU 25, (DCD-006-R-01), the Western Demilitarization and Disposal Pits Site 403 is 1,277 acres and was used for many disposal activities between 1945 and 1978. 404 Demilitarization activities caused an estimated fifty high explosive detonation 405 craters, piles of metallic munitions parts, and ash mounds. The craters have been 406 backfilled. Buried waste was found. COCs include CTC, PCE, and TCE in the 407 groundwater. Site inspections have been an Interim Phase II Remedial 408 Investigation (RI), an IRA, an RFI, geophysical surveys, soil sampling, and 409 groundwater sampling. CMS advised remedies of removals, capping, groundwater 410 monitoring, LUCs, and periodic reviews. Refer to Figure 8 for more details about 411 where this SWMU is located and several of the key features associated with this 412 SWMU. 413 414 • SWMU 26, (TEAD(S)-17), the Sanitary Landfill was active from 1956 to 1994 and 415 was backfilled after the landfill stopped taking waste. Phase I RFI identified VOCs 416 in groundwater, and groundwater monitoring is recommended to be analyzed for 417 VOCs, semi-volatile organic compounds (SVOCs), and explosives. Other 418 investigations include geophysical surveys, soil gas sampling, additional 419 groundwater sampling, and a CMS. Contaminants were found to be from drums of 420 spent solvents buried with other drums crushed in the landfill. Geosynthetic liners 421 were installed for the eastern and western portions of the landfill in 2020, and a 422 new sentinel well was installed. The RCRA post-closure permit includes 423 requirements for indefinite groundwater monitoring of the VOC plume, periodic 424 reviews, and annual landfill cover inspections with reporting every 2 years, 425 excavation permits, and non-residential land use restrictions. Refer to Figure 9 for 426 more details about where this SWMU is located and several of the key features 427 associated with this SWMU. 428 429 • SWMU 28 (TEAD(S)-19), Inactive Landfill was in operation between 1963 and 430 1972 and was used to dispose of paper and debris, with no historical 431 documentation indicating hazardous waste disposal. In 1972 the landfill was filled 432 to grade and vegetated. Site investigations include a Phase I RCRA RFI and an 433 IRA. COCs for the landfill include benzo(a)pyrene in soil and chloroform in soil gas. 434 Indefinite landfill annual site cover inspections and periodic reviews are required 435 with LUCs, including the use of the installation excavation permit and non-436 residential land use restrictions. Refer to Figure 10 for more details about where 437 this SWMU is located and several of the key features associated with this SWMU. 438 439 • SWMU 29, (TEAD(S)-20), was a former borrow pit encompassing one acre fifteen 440 to twenty feet deep. In 2007, the pit was reopened to investigate subsurface UXO, 441 and scrap metal waste was found buried at the site. A special restriction is listed 442 in the Post Closure Permit requirements for anomaly avoidance for activities within 443 and around the SWMU boundary. Periodic reviews are required indefinitely with 444 land use industrial. Refer to Figure 11 for more details about where this SWMU is 445 located and several of the key features associated with this SWMU. 446 447 August 2024 Draft Final Land Use Control Implementation Plan United States Army Environmental Command and Tooele Army Depot South Contract No.: W9124J-23-C-0018 9 • SWMU 33, (TEAD(S)-30), Building 536, the old CAMDS salt storage, was used to 448 store dried organic salts that were byproducts of the CAMDS operations. They 449 included chemical residue from the treatment of chemical warfare and other solid 450 hazardous waste such as spent personal protective equipment and carbon filters. 451 Lead was found in soil beneath the asphalt floor, the site was closed as a RCRA 452 permitted Hazardous Waste Management Unit (HWMU), and an asphalt cap was 453 used to encapsulate the contamination. Inspections and periodic reviews will be 454 performed indefinitely. Refer to Figure 12 for more details about where this SWMU 455 is located and several of the key features associated with this SWMU. 456 457 • SWMU 47, AOC 23, Building 4553 Bomb Renovation Building Evaporation Pond 458 consists of an area that is roughly four acres in size. This AOC is located within 459 the northeastern quadrant of TEAD-S. There is an overflow ditch that runs south 460 from the evaporation pond and is connecting this pond to Building 4553 via a 461 conveyance pipe that runs beneath Gardener Road. Historically Building 4553 was 462 used for the parkerization of machine gun links and painting/maintenance of 463 munitions. The process used within this building for parkerization involved three 464 above ground tanks that were used for acid washing, parkerization, and rinsing. 465 Contents that were stored within these tanks were drained from the building, 466 through the underground conveyance pipe and discharged into the evaporation 467 pond. With the completion of XRF screening in 2013, it was observed that the 468 surface of this evaporation pond had high metal concentrations associated with it. 469 These results prompted the completion of an RFI Phase I and II field investigation. 470 The objection for these field investigations was to assess the horizontal extent of 471 the COPCs and the vertical extent of Cr(VI) and assess if the conveyance pipe 472 had the potential for releasing COPCs. At this time this SWMU is recommended 473 for corrective action to risk-based levels and to obtain more soil samples to further 474 analyze the extent of metals and Cr(VI) associated with this SWMU. Refer to 475 Figure 21 for more details about where this SWMU is located and several of the 476 key features associated with this SWMU. 477 2.3.2 TEAD-S Areas of Concern (Anticipated or Interim LUCs) 478 The AOCs are sites expected to have LUCs within one year of completing this LUCIP. 479 480 • DCD-001-R-01, Combat Training Area, a Munitions Response Site (MRS), is in 481 the north-central part of the installation and is 104 acres in size. It was built in the 482 1940s and active through the 1950s. It was a handgun range, a combat assault 483 course, a 500-yard rifle range, a hand grenade range, a rifle grenade/bazooka 484 range, and an improvised skeet range at the handgun range. Civilians were able 485 to use this range during the 1950s to 1960s on an annual basis to sight hunting 486 weapons. The site remained mostly undeveloped. Site investigations include a 487 2005 site investigation (SI) in 2005, a 2014 RI, and a 2024 feasibility study (FS). 488 Three MEC items were found in the northeastern portion along a ridge, and 489 munitions debris (MD) was observed throughout the site. Polyaromatic 490 hydrocarbons (PAH) contamination in soil was found at the handgun/skeet range. 491 Due to the contaminants of concern, groundwater has no anticipated impacts. 492 August 2024 Draft Final Land Use Control Implementation Plan United States Army Environmental Command and Tooele Army Depot South Contract No.: W9124J-23-C-0018 10 LUCs and five-year reviews are expected based on the RI/FS. Refer to Figure 13 493 for more details about where this SWMU is located and several of the key features 494 associated with this SWMU. 495 496 • DCD-004-R-01, the Old Demolition Pit, was a munitions storage area south of the 497 installation sewage lagoons in the central part of TEAD(S) and is approximately 498 650 acres. In the 1940s, an explosion of 4.2 high-explosive shells occurred, leaving 499 a depression on the ground surface. During this explosion, it is estimated that the 500 kickout area extended as far as 3,150 feet and encompassed a total of 712 acres, 501 including the current site’s boundary. Site inspections include a 2005 SI, 2013-502 2014 RI and 2024 FS. Four MEC items were found leading to more investigations 503 at this site. 710 MD items were found during the RI field reconnaissance. 504 Removals, LUCs and five-year reviews are expected after the results of the RI/FS. 505 Refer to Figure 14 for more details about where this SWMU is located and several 506 of the key features associated with this SWMU. 507 508 • SWMU 21/22 (TEAD(S)-15), the Incendiary Washout Operations/Incendiary 509 Washout Basin Bldg. S-554 was used from the 1940’s to the late 1950’s as the site 510 for washing out incendiary munitions, and demilitarization of ammunitions. 511 Wastewater associated with these operations in Building S-554 was then 512 channeled into a single concrete drain. A unique function of this drain was the 513 ability it had to divide the flow of this discharge equally between six adjacent 514 concrete washout basins. Initially this SWMU underwent a Phase I RFI and at that 515 time the COC was identified as a leaching procedure (TCLP) sludge that was 516 positive for barium. This was found within the concrete washout basins. These 517 results quickly prompted a Phase II RFI in December of 2002 and a Corrective 518 Measure Study (CMS) in March of 2004. Several years later in 2019, the previously 519 recorded RFI analytical data was reviewed for this SWMU and indicated that 520 chromium has been detected at this SWMU. With advancements in technology the 521 installation has identified this chromium as an issue of concern and may be a 522 contributing factor to the regional hexavalent chromium issue for contaminated 523 groundwater wells along this region of the installation. According to the recent IAP, 524 further investigation is needed for this SWMU regarding the status and appropriate 525 precautions needed to be implemented for this recent hexavalent chromium 526 detection and more work needs to expand upon the RFI Phase I for the 527 reinvestigation of this SWMU. Refer to Figure 15 for more details about where 528 this SWMU is located and several of the key features associated with this SWMU. 529 530 • SWMU 39, AOC 24, is at Building 1873 associated with a dry well and occupies 531 an area less than 0.1 acres within Area 10, that dates to 1951. The dry well was 532 four feet by four feet with the base six feet below ground and two feet of earth fill 533 rested on top. The dry well was connected to a cast iron pipe and two main paint 534 booths that were in Building 1873 which were used for sandblasting and painting 535 chemical agent for one-ton containers. Site investigations include a Phase II RFI 536 with contaminants of potential concern (COPCs) being Target Analyte List (TAL) 537 metals and PAH in soil. The current land use is industrial. This site is currently 538 August 2024 Draft Final Land Use Control Implementation Plan United States Army Environmental Command and Tooele Army Depot South Contract No.: W9124J-23-C-0018 11 under RCRA Permit with interim LUCs in place. Annual inspections and reporting 539 every 2 years to UDEQ is required. Refer to Figure 16 for more details about where 540 this SWMU is located and several of the key features associated with this SWMU. 541 542 • SWMU 40, AOC 5, is the Toxic Area Burial and includes 150 acres in size that can 543 be broken down into three smaller regions based upon the site visit which are the 544 concrete structure area, the burial area, and a lead hotspot region. This site was 545 used to store containers and 55-gallon drums of mustard, and the exact use of the 546 site is unknown. A lateral piping was found beneath the concrete area during 547 Phase I RI. A Phase II RI found COPCs to be SVOCs, TAL, metals, thiodiglycol, 548 and hexavalent chromium. Refer to Figure 17 for more details about where this 549 SWMU is located and several of the key features associated with this SWMU. 550 551 • SWMU 42, AOC 3, Ladder Dip Tank is an estimated three acres with a small, 552 shallow concrete tank used to treat wooden ladders and fence posts with a 553 preservative. This site is in the northeastern part of TEAD(S). The concrete tank is 554 twelve feet by two feet wide by eight inches deep. The chemicals inside the tank 555 are unknown, but most likely usage included creosote or sealant for the 556 preservative. Other chemicals might have been chromated copper arsenate, 557 copper, and arsenic. In 1997, soil samples indicated the presence of arsenic, 558 barium, chromium, copper, lead, zinc, and pentachlorophenol. In a Phase II study, 559 this site was expanded to include hexavalent chromium detected horizontally. 560 Recommended corrective action for this site would include a 0.02-acre soil removal 561 area exceeding 26 ft below grade. The land use is industrial. Refer to Figure 18 562 for more details about where this SWMU is located and several of the key features 563 associated with this SWMU. 564 565 • SWMU 43, AOC 6 Toxic Area 2, is a Cadmium Hot Spot site with an estimated 75 566 acres that was used as an open storage yard to store shipments of mustard, which 567 occurred above ground level. After the 2016 RFI Phase I investigation, the site was 568 broken into two smaller regions: the ash area, which is less than one acre, and the 569 cadmium hot spot, which is 1.3 acres. The ash area is approximately 75 ft x 250 ft 570 and contains ash and scattered debris, including that from inert AN-M50 incendiary 571 cluster bomb parts. Other investigations include a Phase II RFI in 2018 to evaluate 572 the nature and extent of COPCs for the ash area, delineate the extent of the 573 cadmium hot spot, and evaluate risks to human health and the environment. No 574 image was captured for this site during the site visit in May of 2024, so no 575 corresponding visual will be included within the photo log. Refer to Figure 19 for 576 more details about where this SWMU is located and several of the key features 577 associated with this SWMU. 578 579 • SWMU 45, AOC 8, Classification Yard encompasses an area of 2.8 acres. This 580 was the former classification yard for munition shipments via a rail spur that once 581 ran north to south. This rail spur was once the central receiving and distribution 582 point for all munitions being transported to this installation. Once rail cars were 583 unloaded, the dunnage and debris of the shipments was often burned near these 584 August 2024 Draft Final Land Use Control Implementation Plan United States Army Environmental Command and Tooele Army Depot South Contract No.: W9124J-23-C-0018 12 railroad tracks, generating piles of ash. Originally, this AOC was significantly larger 585 than what it currently is. However, following a Phase I RFI investigation that 586 collected soil samples, it was noted that the COPCs of dioxin/furans, naphthalene, 587 and arsenic were only found within the soil near these ash piles. The current and 588 future land use for this AOC is industrial. No interim or remedial LUCs are in place 589 for this site, so no remedy has been selected since the investigation is still active. 590 Refer to Figure 20 for more details about where this SWMU is located and several 591 of the key features associated with this SWMU. 592 593 • SWMU 48, AOC 27, Classification Yard Access Road Burial is 0.4 acres in size. 594 The scattered surface debris indicates a disposal or burial site, with the mound 595 being 8 ft tall and covering an irregular-shaped area 220ft by 100ft in the 596 northwestern quadrant of TEAD-(S). Not much is known about the activities at this 597 site, but activities might be related to AOC 8. During site visits, concrete blocks 598 and ceramic tile, cinderblocks, boards, paint cans, mask cartridges, melted metal, 599 cable, rail ties, stained soil, and asbestos-containing material have all been found. 600 A Phase II investigation confirmed the horizontal extent and assessed the 601 groundwater. COPCs include TAL metals and dioxin/furans. The groundwater was 602 also tested for VOCs and SVOCs. Metal anomalies were also seen below the 603 surface during surveys. Site investigations include a Phase I and II RFI, 604 groundwater sampling, and a geophysical survey. Refer to Figure 22 for more 605 details about where this SWMU is located and several of the key features 606 associated with this SWMU. 607 608 August 2024 Draft Final Land Use Control Implementation Plan United States Army Environmental Command and Tooele Army Depot South Contract No.: W9124J-23-C-0018 13 3.0 Land Use Control Implementation 609 3.1 Management of Land Use Controls 610 3.1.1 DoD versus non-DoD Responsibilities 611 The DoD has authority over land use planning for active Installations. This includes 612 restricting and controlling property consistent with CERCLA and RCRA regulations. The 613 installation can contract out the duties required to maintain LUCs. TEAD-S currently only 614 has sites with LUCs regulated through RCRA under permit DSHW-2020-006402, which 615 is done in coordination with UDEQ DWMRC. AOCs do have CERCLA drivers but are non-616 NPL. Inclusion of United States Environmental Protection Agency (USEPA) Region 8 617 through copies of decision documents is done. The deciding authority on CERCLA, non-618 NPL, is the DoD. 619 620 TEAD-N coordinates all actions with USEPA and UDEQ. The DoD has the authority over 621 land use planning and can internally restrict and control the use of property so long as it 622 is consistent with CERCLA or RCRA regulations and active RCRA permits. Responsible 623 agencies at Installation include, but are not limited to, the Army, TEAD-N, and USAEC. 624 The Department of Base Operation Environmental Management Division (EMD) and 625 USAEC contract out the responsibility for LUC maintenance and inspections. The EMD 626 certifies compliance with LUCs, described in CERCLA annual and RCRA annual 627 inspections, with reports every 2 years for regulatory agency submission. EMD is 628 responsible for completing (in-house or by contract) activities required in respective 629 decision documents or permit requirements and Periodic Reviews. 630 631 Non-DoD entities critical to the LUC process include state and federal regulators as 632 appropriate for the activity and agreements in place with the DoD. This includes the 633 USEPA Region 8 and UDEQ DWMRC. 634 635 Table 3 provides the tasks required to maintain the LUCs, as indicated in this LUCIP, 636 along with the responsible parties. The site’s respective decision document or permit 637 requirements determine these tasks. 638 639 Table 3: Tasks Associated with LUCs and Responsible Parties 640 TASK RESPONSIBLE PARTY RCRA Post Closure Plan annual inspections and reports every two years EMD and USAEC State submission: UDEQ (DWMRC) LUCs maintenance EMD and USAEC (contracted) Periodic Reviews EMD and USAEC (contracted) State coordination: UDEQ DWMRC Land Use Changes EMD, USAEC and RCRA: UDEQ DWMRC Sampling (Types of sampling, frequency) EMD, USAEC and State Coordination: UDEQ DWMRC August 2024 Draft Final Land Use Control Implementation Plan United States Army Environmental Command and Tooele Army Depot South Contract No.: W9124J-23-C-0018 14 TASK RESPONSIBLE PARTY New Site Coordination USEPA Region 8, UDEQ DWMRC 3.1.2 Assurances 641 In addition to the LUCs described above, TEAD-N will implement the following measures 642 to meet the LUC performance objectives for TEAD-S. 643 644 • Annual Inspection with Reports every 2 years (RCRA) 645 • Non-CERCLA Periodic Reviews every 5 years 646 • Real Property Master Plan (RPMP) upkeep and implementation. 647 3.1.3 Funding 648 The DoD has allocated money specifically to address DERP active sites. Costs of LUCs 649 at DERP sites are eligible for DERP funding until site closeout. Site closeout occurs when 650 cleanup goals allow unrestricted use of property [i.e., no further LTM or LUCs are 651 required]. Costs for LUCs shall be included in the Installation’s requirements for the 652 current and future phases until the Installation reaches LTM goals. Costs for the LTM 653 phase (including costs for LUCs) must be reported for a finite period. This timeframe is 654 usually within the next two Five-year (CERCLA) and Periodic Reviews (RCRA) or a 655 specified fixed period established by regulatory agreement or decision-based document. 656 This continues until there are no further DERP-eligible activities associated with the sites. 657 Programs not included in the DERP are covered under the operations and maintenance 658 account for the Installation. 659 3.1.4 Site Approval 660 Ensuring the successful implementation of LUCs requires thorough planning and 661 coordination for all construction activities. Integrating LUCs into the site approval process 662 is imperative to mitigate any potential degradation of the LUCs. This initiative commences 663 with the RPMP, wherein comprehensive inclusion of all LUCs is mandated. All 664 deliberations by real property planning boards must align with the RPMP to prevent any 665 incompatible land use. Additionally, supplementary measures such as excavation 666 permits, constraints on groundwater utilization, and preliminary site endorsements are 667 enforced. Appendix B-1 provides a comprehensive inventory of all institutional and 668 engineering controls applicable to the TEAD-S Sites incorporating LUCs. Appendix B-2 669 provides a comprehensive inventory of AOCs with anticipated LUCs TEAD-S Sites. 670 671 Refer to Appendix D – Example Post-Closure Inspection Checklist and Appendix E – 672 Excavation Permit Coordination Form D. 673 3.1.5 Enforcement 674 Enforcement planning and execution must be developed and maintained. Contingency 675 plans to address non-compliance include: 676 677 August 2024 Draft Final Land Use Control Implementation Plan United States Army Environmental Command and Tooele Army Depot South Contract No.: W9124J-23-C-0018 15 • RPMP environmental overlays 678 • DoD approval, USEPA, and applicable regulators for lease or transfer 679 • Facility access controls (Installation of boundary fence, security checkpoints) 680 • Excavation permits. 681 3.2 Engineering Controls 682 3.2.1 Site Markers 683 The Installation provides permanent markers through signage to identify restricted-use 684 areas. All personnel (military, civilian, and contractors) needing access to the area are 685 properly informed of any marker’s purpose and directed to inform the Base Operations 686 and/or Installation Security regarding violations, damages, or maintenance issues. 687 Installation access personnel will notify the EMD of any reported or visible problems that 688 require intervention. 689 3.2.2 Site Maintenance 690 TEAD-N conducts annual inspections for TEAD-S of the LUCs; post-closure reports are 691 due for TEAD-S every 2 years to UDEQ. Any damage is brought to the attention of EMD 692 and/or Base Operations and addressed immediately. Damage that alters the 693 effectiveness of a control must be immediately brought to the attention of the EMD. This 694 must be re-evaluated as a modification to the site. 695 3.2.3 Inspections and Reporting 696 Inspections are the responsibility of the EMD. Inspections are done based on site-specific 697 remedy decision documents or RCRA permit requirements to validate the continued 698 effectiveness of the remedy, including LUCs. RCRA-related inspections are sent to UDEQ 699 DWMRC. The installation maintains copies of the inspections for inclusion in the Periodic 700 Reviews. LUCs, in Geographic Information System (GIS) format or Google Earth (KMZ), 701 are maintained by the Tooele Army Depot North and USAEC. 702 703 Environmental Self-Audits – Internal environmental audits are conducted annually by 704 Installation. LUC effectiveness, visual inspection, and document control should be 705 minimally included during the internal Environmental Performance Assessment Systems. 706 Problem findings will be tracked through an Installation CAP until it is closed. 707 3.2.4 Documentation 708 The Administrative Record is maintained at Building 5119 on TEAD-S. 709 3.3 Documentation and Distribution of the LUCIP 710 The following are the required documents for Tooele LUCs: 711 • Installation RPMP 712 • Remedial decision document 713 • Administrative Record 714 715 August 2024 Draft Final Land Use Control Implementation Plan United States Army Environmental Command and Tooele Army Depot South Contract No.: W9124J-23-C-0018 16 A copy of this LUCIP will be placed in the Administrative Record. 716 3.4 Transfers 717 3.4.1 Federal to Federal Transfer 718 The Army must notify UDEQ of the intended lease or site transfer. The notice must 719 describe any additional mechanism(s) and parties for future LUC responsibilities after the 720 lease or transfer. As a condition of the lease or transfer, the Army will require that 721 equivalent LUCs be put into terms and conditions of the deed or lease that maintain LUCs 722 to protect human health and the environment. 723 724 The deed or lease will prohibit the lessee, transferee, or subsequent owner or users from 725 modifying or terminating LUCs without prior Army concurrence. Furthermore, the 726 transferee or lessee must ensure that any users comply with the LUCs incorporated by 727 reference in the transfer deed. 728 729 During deed transfer, the Army or future owner/lessee must coordinate and communicate 730 information regarding the environmental use restrictions and control in writing to the 731 following: adjacent property owners, federal, state, and local governments, particularly 732 those in control of the oversight of the LUCs. Any problems in the implementation, 733 enforcement, maintenance, monitoring, and reporting should be immediately conveyed 734 to the Army and appropriate government representatives to ensure expeditious solutions. 735 3.4.2 Federal to Non-Federal Transfer 736 A transfer from Army ownership to a non-federal entity, whether partial or complete site 737 transfer, requires appropriate actions before, during, and post-transfer to ensure that 738 LUCs are maintained adequately at current human health and environmental 739 requirements as the Army imposed on the site. Before transfer, the nature and extent of 740 the site and all restrictions shall be made clear to the next owner through documentation 741 such as a Finding of Suitability to Transfer or an equivalent document. The property 742 disposal agent must develop specific deed languages fully implementing land use 743 controls. This shall be consistent with all Federal law and DoD environmental policy, 744 create layering strategies for protection, and describe the current implementation strategy 745 and the roles of other parties. At transfer, the property disposal agent shall ensure the 746 LUCs and provisions for future DoD access to property are incorporated into the property 747 transfer documents. 748 749 The Army may transfer fee title and grant the state an environmental covenant or 750 easement to allow the state to enforce LUC against the transferee. The Army may choose 751 to maintain the environmental covenant but must have full rights to access and ensure 752 LUCs are maintained. All decisions would need to be completed through transfer deeds 753 and run in accordance with all federal, state, and municipal laws. The new owner shall be 754 accountable for all LUCs as the Army had before the transfer. 755 August 2024 Draft Final Land Use Control Implementation Plan United States Army Environmental Command and Tooele Army Depot South Contract No.: W9124J-23-C-0018 17 3.5 LUC Modification and Termination 756 TEAD-N (acting on behalf of TEAD-S) will not modify or terminate LUCs, implementation 757 actions, or land use without DoD, UDEQ, and USEPA concurrence. Land use changes 758 require an amendment to the RPMP. In addition, land use changes defined as “major 759 changes” by DoD guidance on Land Use Control Agreements will require regulatory 760 review (DoD, 2001). Changes to the LUCs are based on changing conditions at the site 761 or if current LUCs become insufficient and, as a result, require the LUCIP to be modified 762 or updated. The “major changes” would also trigger a modification or update to the LUCIP. 763 764 Major changes in land use are the following: 765 • Any change in land use (e.g., a change from commercial/industrial to a more 766 sensitive land use, such as residential) that would be inconsistent with the 767 exposure assumptions in the human health and/or ecological risk assessments 768 that served as the basis for the LUCs. 769 • Any site activity that may disrupt the effectiveness of the implemented remedial 770 action(s) (e.g., excavation at a landfill, groundwater pumping that may impact a 771 groundwater pump and treat system, a construction project that may affect 772 ecological habitat protected by the remedy, the permanent removal of a fence, or 773 the permanent removal of warning signs). 774 • Any site activity intended to alter or negate the need for the specific LUCs 775 implemented at the site. 776 777 When the environmental cleanup requirements are met per the decision documents or 778 RCRA permit and concurred in the Remedial Completion Report, the Installation may 779 need to modify or terminate the LUCs. The Installation's environmental cleanup 780 requirements for each site are documented in the Installation Action Plan. If land use may 781 be unrestricted upon meeting the cleanup goal, LUCs may be terminated. If some LUCs 782 no longer apply and some are still required, the LUCIP shall be modified to reflect what 783 restrictions still apply. LUCs at active installations shall be modified or terminated using 784 the same process as those used to establish the LUC. If terminated, it is deleted from the 785 documentation mechanisms, such as the RPMP. 786 3.6 Amendments to Decision Documents 787 The LUCs implemented for sites with LUCs at TEAD-N (acting on behalf of TEAD-S) are 788 part of the remedy selected after evaluation in the related decision document or RCRA 789 permit. If LUCs are modified or terminated, a concurrence letter and official memo of 790 understanding between UDEQ DWMRC will be required to record the change. If the LUCs 791 are modified significantly, an addendum to the remedy decision document should be 792 assessed to determine if an amendment or an explanation of significant differences is 793 required. Regulatory agencies generally need to be involved in amending the remedy 794 decision documents to the same extent as in the original. 795 August 2024 Draft Final Land Use Control Implementation Plan United States Army Environmental Command and Tooele Army Depot South Contract No.: W9124J-23-C-0018 18 4.0 References 796 Brice Engineering, LLC, 2023. Final 2022 Annual Groundwater Monitoring Report 797 Tooele Army Depot South. January. 798 Brice Engineering, LLC, 2024. Revised Final Groundwater Management Plan Revision 799 3 Tooele Army Depot – South Tooele County, Utah. April. 800 Dames & Moore, 1997. Decision Document Known Releases SWMUs Desert Chemical 801 Depot Tooele, Utah. November. 802 Dawson Technical LLC, 2018. Land Use Control Implementation Plan Tooele Army 803 Depot South Stockton, Tooele County, Utah. August. 804 Department of Environmental Quality, 2015. Corrective Measures Study for SWMU 13. 805 September. 806 Department of Environmental Quality, 2016. Draft Final Corrective Measures 807 Implementation Report (CMIR) SWMU 2. June. 808 Department of Environmental Quality, 2020. Revised Final Corrective Measures Study 809 Report Solid Waste Management Units 1 and 25 Tooele Army Depot – South, 810 Tooele, Utah. June. 811 Department of Environmental Quality, 2024. Final Groundwater Monitoring Plan, 812 Revision 3 Tooele Army Depot – South Area. April. 813 Department of Environmental Quality, 2024. Final Groundwater Monitoring Plan, 814 Revision 3 Tooele Army Depot – South Area. May. 815 Department of the Army, 2001. Decision Document for No Further Action Solid Waste 816 Units. December. 817 August 2024 Draft Final Land Use Control Implementation Plan United States Army Environmental Command and Tooele Army Depot South Contract No.: W9124J-23-C-0018 19 Department of the Army, 2022. Corrective Measures Study for SWMU 1 and SWMU 25, 818 Tooele Army Depot – South, Stockton, Utah. March. 819 Kemron Environmental Services, Inc., 2016. Site Specific Final Report Interim Remedial 820 Action Solid Waste Management Unit 2 Tooele Army Depot – South Area, 821 Stockton, Utah. August. 822 NOREAS, Inc., 2024. Draft Feasibility Study Combat Training Area Munitions Response 823 Site (DCD-001-R-01) Tooele Army Depot – South, Stockton, Utah. March. 824 NOREAS, Inc., 2024.Draft Feasibility Study Old Demolition Pit Munitions Response Site 825 (DCD-004-R-01) Tooele Army Depot – South, Stockton, Utah. April. 826 Parsons, 2019. Final Phase II RCRA Facility Investigation Report of Select Areas of 827 Concern. February. 828 Parsons, 2020. Final Corrective Measures Study for SWMU 1 and SWMU 25 Tooele 829 Army Depot – South Stockton, Utah. May. 830 Parsons, 2022. Final Corrective Measures Study for SWMU 1 and SWMU 25 Tooele 831 Army Depot – South Stockton, Utah. March. 832 Plexus Scientific Corporation, 2018. Final Corrective Measures Study Work Plan/ 833 Report/ Statement of Basis Solid Waste Management Unit 26 Tooele Army 834 Depot – South, Utah. March. 835 UDEQ, 2020. Tooele Army Depot South Area RCRA Permit. April. 836 URS, 2001. Decision Document Known Releases SWMU 13 Deseret Chemical Depot 837 Tooele, Utah. April. 838 August 2024 Draft Final Land Use Control Implementation Plan United States Army Environmental Command and Tooele Army Depot South Contract No.: W9124J-23-C-0018 20 URS, 2002. Decision Document SWMU 19 – Building 533 Foundation (Empty Drum 839 Storage Area) Group 3 Suspected Releases SWMUs Deseret Chemical Depot 840 Tooele, Utah. July. 841 URS, 2002. Decision Document SWMU 33 – Building 536 Group 3 Suspected Releases 842 SWMUs Deseret Chemical Depot Tooele, Utah. July. 843 U.S. Army Corps of Engineers Kansas City District, 2019. First RCRA Periodic Review 844 Tooele Army Depot – South Tooele, Utah. September. 845 U.S. Army Environmental Center, 1999. Deseret Chemical Depot Suspected Releases 846 Units. December. 847 U.S. Army Environmental Command, 2023. Deseret Chemical Depot Army Cleanup 848 Program Installation Action Plan Final. September. 849 August 2024 Draft Final Land Use Control Implementation Plan U.S. Army Environmental Command and Tooele Army Depot South Contract No.: W9124J-23-C-0018 FIGURES August 2024 Esri, TomTom, Garmin, FAO, NOAA, USGS, EPA, USFWS, Earthstar Geographics, Utah Geospatial Resource Center, Esri, TomTom, Garmin, SafeGraph, GeoTechnologies, Inc, METI/NASA, USGS, Bureau of Land Management, EPA, NPS, USDA, USFWS, Esri, USGS, County of Prince William, Fairfax County, VA, VGIN, Esri, TomTom, Garmin, FAO, NOAA, USGS, EPA, USFWS Figure 1: Tooele Army Depot South Installation Location Coordinate System: GCS North American 1983 Tooele Army Depot South 36 State Rout e 3 6 State Route 7 3 Rush Valley Saint John Atherley Reservoir 36 36 Tooele Army Depot South Faust S t a t e R o u t e 7 3 Ophir St a te R o u te 7 3 Legend Tooele Army Depot South Utah /0 1 2 3 40.5 Miles August 2024 Esri, TomTom, Garmin, FAO, NOAA, USGS, EPA, USFWS, Earthstar Geographics, Utah Geospatial Resource Center, Esri, TomTom, Garmin, SafeGraph, GeoTechnologies, Inc, METI/NASA, USGS, Bureau of Land Management, EPA, NPS, USDA, USFWS, Esri, USGS, County of Prince William, Fairfax County, VA, VGIN, Esri, TomTom, Garmin, FAO, NOAA, USGS, EPA, USFWS Figure 2: Tooele Army Depot South SWMUs with LUCs Boundaries and Location Coordinate System: GCS North American 1983 Tooele Army Depot South 36 Stat e Rout e 73 36 Tooele Army Depot South S t a t e R o u t e 73 Legend LUC Boundary Tooele Army Depot South Utah /0 1 2 30.5 Miles SWMU 1SWMU 25 SWMU 13 SWMU 9 SWMU 33 SWMU 29 SWMU 28 SWMU 26 SWMU 19 August 2024 Esri, TomTom, Garmin, FAO, NOAA, USGS, EPA, USFWS, Earthstar Geographics, Utah Geospatial Resource Center, Esri, TomTom, Garmin, SafeGraph, GeoTechnologies, Inc, METI/NASA, USGS, Bureau of Land Management, EPA, NPS, USDA, USFWS, Esri, USGS, County of Prince William, Fairfax County, VA, VGIN, Esri, TomTom, Garmin, FAO, NOAA, USGS, EPA, USFWS Figure 3: Tooele Army Depot South AOC Boundaries and Location Coordinate System: GCS North American 1983 Tooele Army Depot South 36 Stat e Rout e 73 36 Tooele Army Depot South S t a t e R o u t e 73 Legend AOC Boundary Tooele Army Depot South Utah /0 1 2 30.5 Miles DCD-004-R-01 AOC 8 AOC 23 AOC 5 AOC 24 DCD-001-R-01 AOC 6 AOC 27 AOC 3 August 2024 Utah Geospatial Resource Center, Esri, TomTom, Garmin, SafeGraph, GeoTechnologies, Inc, METI/NASA, USGS, Bureau of Land Management, EPA, NPS, US Census Bureau, USDA, USFWS, Esri, NASA, NGA, USGS, Utah Geospatial Resource Center, Esri, TomTom, Garmin, SafeGraph, FAO, METI/NASA, USGS, Bureau of Land Management, EPA, NPS, USFWS, Esri, USGS, County of Prince William, Fairfax County, VA, VGIN, Esri, TomTom, Garmin, FAO, NOAA, USGS, EPA, USFWS, Maxar Figure 4: Tooele Army Depot South SWMU 1/ DCD-002-R-01 Boundary and Location Coordinate System: GCS North American 1983SWMU 1 Prongho rn Rd Legend SWMU 1 Tooele Army Depot South /0 1,000 2,000 3,000500 Feet August 2024 Utah Geospatial Resource Center, Esri, TomTom, Garmin, SafeGraph, GeoTechnologies, Inc, METI/NASA, USGS, Bureau of Land Management, EPA, NPS, US Census Bureau, USDA, USFWS, Esri, NASA, NGA, USGS, Utah Geospatial Resource Center, Esri, TomTom, Garmin, SafeGraph, FAO, METI/NASA, USGS, Bureau of Land Management, EPA, NPS, USFWS, Esri, USGS, County of Prince William, Fairfax County, VA, VGIN, Esri, TomTom, Garmin, FAO, NOAA, USGS, EPA, USFWS, Maxar Figure 5: Tooele Army Depot South SWMU 9/ TEAD(S)-09 Boundary and Location Coordinate System: GCS North American 1983 SWMU 9 Tooele Army Depot South Legend SWMU 9 Tooele Army Depot South /0 2,000 4,000 6,0001,000 Feet August 2024 Esri, NASA, NGA, USGS, Esri Community Maps Contributors, Utah Geospatial Resource Center, © OpenStreetMap, Microsoft, Esri, TomTom, Garmin, SafeGraph, GeoTechnologies, Inc, METI/NASA, USGS, Bureau of Land Management, EPA, NPS, US Census Bureau, USDA, USFWS, Utah Geospatial Resource Center, Esri, TomTom, Garmin, SafeGraph, FAO, METI/ NASA, USGS, Bureau of Land Management, EPA, NPS, USFWS, Esri, USGS, County of Prince William, Fairfax County, VA, VGIN, Esri, TomTom, Garmin, FAO, NOAA, USGS, EPA, USFWS, Maxar Figure 6: Tooele Army Depot South SWMU 13/ CC-001 Boundary and Location Coordinate System: GCS North American 1983 SWMU 13 Legend SWMU 13 Tooele Army Depot South /0 400 800 1,200200 Feet August 2024 Maxar, Microsoft, Esri, NASA, NGA, USGS, Esri Community Maps Contributors, Utah Geospatial Resource Center, © OpenStreetMap, Microsoft, Esri, TomTom, Garmin, SafeGraph, GeoTechnologies, Inc, METI/NASA, USGS, Bureau of Land Management, EPA, NPS, US Census Bureau, USDA, USFWS, Utah Geospatial Resource Center, Esri, TomTom, Garmin, SafeGraph, FAO, METI/NASA, USGS, Bureau of Land Management, EPA, NPS, USFWS, Esri, USGS, County of Prince William, Fairfax County, VA, VGIN, Esri, TomTom, Garmin, FAO, NOAA, USGS, EPA, USFWS Figure 7: Tooele Army Depot South SWMU 19/ TEAD(S)-28 Boundary and Location Coordinate System: GCS North American 1983 SWMU 19 Legend SWMU 19 Tooele Army Depot South /0 100 200 30050 Feet August 2024 Utah Geospatial Resource Center, Esri, TomTom, Garmin, SafeGraph, GeoTechnologies, Inc, METI/NASA, USGS, Bureau of Land Management, EPA, NPS, US Census Bureau, USDA, USFWS, Esri, NASA, NGA, USGS, Utah Geospatial Resource Center, Esri, TomTom, Garmin, SafeGraph, FAO, METI/NASA, USGS, Bureau of Land Management, EPA, NPS, USFWS, Esri, USGS, County of Prince William, Fairfax County, VA, VGIN, Esri, TomTom, Garmin, FAO, NOAA, USGS, EPA, USFWS, Maxar Figure 8: Tooele Army Depot South SWMU 25/ DCD-006-R-01 Boundary and Location Coordinate System: GCS North American 1983 SWMU 25 Tooele Army Depot South Legend SWMU 25 Tooele Army Depot South /0 2,000 4,000 6,0001,000 Feet August 2024 Esri, NASA, NGA, USGS, Utah Geospatial Resource Center, Esri, TomTom, Garmin, SafeGraph, FAO, METI/NASA, USGS, Bureau of Land Management, EPA, NPS, USFWS, Esri, USGS, County of Prince William, Fairfax County, VA, VGIN, Esri, TomTom, Garmin, FAO, NOAA, USGS, EPA, USFWS, Maxar, Esri Community Maps Contributors, Utah Geospatial Resource Center, Esri, TomTom, Garmin, SafeGraph, GeoTechnologies, Inc, METI/NASA, USGS, Bureau of Land Management, EPA, NPS, US Census Bureau, USDA, USFWS Figure 9: Tooele Army Depot South SWMU 26/ TEAD(S)-17 Boundary and Location Coordinate System: GCS North American 1983 SWMU 26 73 S t a t e R o u t e 7 3 Legend SWMU 26 Tooele Army Depot South /0 1,000 2,000 3,000500 Feet August 2024 Esri, NASA, NGA, USGS, Esri Community Maps Contributors, Utah Geospatial Resource Center, © OpenStreetMap, Microsoft, Esri, TomTom, Garmin, SafeGraph, GeoTechnologies, Inc, METI/NASA, USGS, Bureau of Land Management, EPA, NPS, US Census Bureau, USDA, USFWS, Utah Geospatial Resource Center, Esri, TomTom, Garmin, SafeGraph, FAO, METI/ NASA, USGS, Bureau of Land Management, EPA, NPS, USFWS, Esri, USGS, County of Prince William, Fairfax County, VA, VGIN, Esri, TomTom, Garmin, FAO, NOAA, USGS, EPA, USFWS, Maxar Figure 10: Tooele Army Depot South SWMU 28/ TEAD(S)-19 Boundary and Location Coordinate System: GCS North American 1983 SWMU 28 Legend SWMU 28 Tooele Army Depot South /0 700 1,400350 Feet August 2024 Maxar, Microsoft, Esri, NASA, NGA, USGS, Esri Community Maps Contributors, Utah Geospatial Resource Center, © OpenStreetMap, Microsoft, Esri, TomTom, Garmin, SafeGraph, GeoTechnologies, Inc, METI/NASA, USGS, Bureau of Land Management, EPA, NPS, US Census Bureau, USDA, USFWS, Utah Geospatial Resource Center, Esri, TomTom, Garmin, SafeGraph, FAO, METI/NASA, USGS, Bureau of Land Management, EPA, NPS, USFWS, Esri, USGS, County of Prince William, Fairfax County, VA, VGIN, Esri, TomTom, Garmin, FAO, NOAA, USGS, EPA, USFWS Figure 11: Tooele Army Depot South SWMU 29/ TEAD(S)-20 Boundary and Location Coordinate System: GCS North American 1983 SWMU 29 Legend SWMU 29 Tooele Army Depot South /0 450 900225 Feet August 2024 Maxar, Microsoft, Esri, NASA, NGA, USGS, Esri Community Maps Contributors, Utah Geospatial Resource Center, © OpenStreetMap, Microsoft, Esri, TomTom, Garmin, SafeGraph, GeoTechnologies, Inc, METI/NASA, USGS, Bureau of Land Management, EPA, NPS, US Census Bureau, USDA, USFWS, Utah Geospatial Resource Center, Esri, TomTom, Garmin, SafeGraph, FAO, METI/NASA, USGS, Bureau of Land Management, EPA, NPS, USFWS, Esri, USGS, County of Prince William, Fairfax County, VA, VGIN, Esri, TomTom, Garmin, FAO, NOAA, USGS, EPA, USFWS Figure 12: Tooele Army Depot South SWMU 33/ TEAD(S)-30 Boundary and Location Coordinate System: GCS North American 1983 SWMU 33 Legend SWMU 33 Tooele Army Depot South /0 110 22055 Feet August 2024 Esri, NASA, NGA, USGS, Utah Geospatial Resource Center, Esri, TomTom, Garmin, SafeGraph, FAO, METI/NASA, USGS, Bureau of Land Management, EPA, NPS, USFWS, Esri, USGS, County of Prince William, Fairfax County, VA, VGIN, Esri, TomTom, Garmin, FAO, NOAA, USGS, EPA, USFWS, Maxar, Esri Community Maps Contributors, Utah Geospatial Resource Center, Esri, TomTom, Garmin, SafeGraph, GeoTechnologies, Inc, METI/NASA, USGS, Bureau of Land Management, EPA, NPS, US Census Bureau, USDA, USFWS Figure 13: Tooele Army Depot South DCD-001-R-01 Boundary and Location Coordinate System: GCS North American 1983 DCD-001-R-01 Legend DCD-001-R-01 Tooele Army Depot South /0 1,000 2,000500 Feet August 2024 Utah Geospatial Resource Center, Esri, TomTom, Garmin, SafeGraph, GeoTechnologies, Inc, METI/NASA, USGS, Bureau of Land Management, EPA, NPS, US Census Bureau, USDA, USFWS, Esri, NASA, NGA, USGS, Utah Geospatial Resource Center, Esri, TomTom, Garmin, SafeGraph, FAO, METI/NASA, USGS, Bureau of Land Management, EPA, NPS, USFWS, Esri, USGS, County of Prince William, Fairfax County, VA, VGIN, Esri, TomTom, Garmin, FAO, NOAA, USGS, EPA, USFWS, Maxar Figure 14: Tooele Army Depot South DCD-004-R-01 Boundary and Location Coordinate System: GCS North American 1983 DCD-004-R-01 Tooele Army Depot South Legend DCD-004-R-01 Tooele Army Depot South /0 2,500 5,0001,250 Feet August 2024 Maxar, Microsoft, Esri, NASA, NGA, USGS, Esri Community Maps Contributors, Utah Geospatial Resource Center, © OpenStreetMap, Microsoft, Esri, TomTom, Garmin, SafeGraph, GeoTechnologies, Inc, METI/NASA, USGS, Bureau of Land Management, EPA, NPS, US Census Bureau, USDA, USFWS, Utah Geospatial Resource Center, Esri, TomTom, Garmin, SafeGraph, FAO, METI/NASA, USGS, Bureau of Land Management, EPA, NPS, USFWS, Esri, USGS, County of Prince William, Fairfax County, VA, VGIN, Esri, TomTom, Garmin, FAO, NOAA, USGS, EPA, USFWS Figure 15: Tooele Army Depot South SWMU 21/22, TEAD(S)-15 Boundary and Location Coordinate System: GCS North American 1983 SWMU 21/22 U S G U S G U S G Legend SWMU 21/22 Tooele Army Depot South /0 450 900225 Feet SWMU 22 SWMU 21 August 2024 Maxar, Microsoft, Esri, NASA, NGA, USGS, Esri Community Maps Contributors, Utah Geospatial Resource Center, © OpenStreetMap, Microsoft, Esri, TomTom, Garmin, SafeGraph, GeoTechnologies, Inc, METI/NASA, USGS, Bureau of Land Management, EPA, NPS, US Census Bureau, USDA, USFWS, Utah Geospatial Resource Center, Esri, TomTom, Garmin, SafeGraph, FAO, METI/NASA, USGS, Bureau of Land Management, EPA, NPS, USFWS, Esri, USGS, County of Prince William, Fairfax County, VA, VGIN, Esri, TomTom, Garmin, FAO, NOAA, USGS, EPA, USFWS Figure 16: Tooele Army Depot South SWMU 39/ AOC 24 Boundary and Location Coordinate System: GCS North American 1983 SWMU 39/ AOC 24 Legend Location of Dry Well Pipe Outlet SWMU 39/ AOC 24 Tooele Army Depot South /0 150 30075 Feet August 2024 Esri, NASA, NGA, USGS, Utah Geospatial Resource Center, Esri, TomTom, Garmin, SafeGraph, FAO, METI/NASA, USGS, Bureau of Land Management, EPA, NPS, USFWS, Esri, USGS, County of Prince William, Fairfax County, VA, VGIN, Esri, TomTom, Garmin, FAO, NOAA, USGS, EPA, USFWS, Maxar, Esri Community Maps Contributors, Utah Geospatial Resource Center, Esri, TomTom, Garmin, SafeGraph, GeoTechnologies, Inc, METI/NASA, USGS, Bureau of Land Management, EPA, NPS, US Census Bureau, USDA, USFWS Figure 17: Tooele Army Depot South SWMU 40/ AOC 5 Boundary and Location Coordinate System: GCS North American 1983 SWMU 40/ AOC 5 Tooele Army Depot South Legend SWMU 40/ AOC 5 Tooele Army Depot South /0 1,000 2,000500 Feet August 2024 Maxar, Microsoft, Esri, NASA, NGA, USGS, Esri Community Maps Contributors, Utah Geospatial Resource Center, © OpenStreetMap, Microsoft, Esri, TomTom, Garmin, SafeGraph, GeoTechnologies, Inc, METI/NASA, USGS, Bureau of Land Management, EPA, NPS, US Census Bureau, USDA, USFWS, Utah Geospatial Resource Center, Esri, TomTom, Garmin, SafeGraph, FAO, METI/NASA, USGS, Bureau of Land Management, EPA, NPS, USFWS, Esri, USGS, County of Prince William, Fairfax County, VA, VGIN, Esri, TomTom, Garmin, FAO, NOAA, USGS, EPA, USFWS Figure 18: Tooele Army Depot South SWMU 42/ AOC 3 Boundary and Location Coordinate System: GCS North American 1983 SWMU 42/ AOC 3 Legend SWMU 42/ AOC 3 Tooele Army Depot South /0 200 400100 Feet August 2024 Esri, NASA, NGA, USGS, Utah Geospatial Resource Center, Esri, TomTom, Garmin, SafeGraph, FAO, METI/NASA, USGS, Bureau of Land Management, EPA, NPS, USFWS, Esri, USGS, County of Prince William, Fairfax County, VA, VGIN, Esri, TomTom, Garmin, FAO, NOAA, USGS, EPA, USFWS, Maxar, Esri Community Maps Contributors, Utah Geospatial Resource Center, Esri, TomTom, Garmin, SafeGraph, GeoTechnologies, Inc, METI/NASA, USGS, Bureau of Land Management, EPA, NPS, US Census Bureau, USDA, USFWS Figure 19: Tooele Army Depot South SWMU 43/ AOC 6 Boundary and Location Coordinate System: GCS North American 1983 SWMU 43/ AOC 6 Legend SWMU 43/ AOC 6 Tooele Army Depot South /0 1,000 2,000500 Feet August 2024 Esri, NASA, NGA, USGS, Utah Geospatial Resource Center, Esri, TomTom, Garmin, SafeGraph, FAO, METI/NASA, USGS, Bureau of Land Management, EPA, NPS, USFWS, Esri, USGS, County of Prince William, Fairfax County, VA, VGIN, Esri, TomTom, Garmin, FAO, NOAA, USGS, EPA, USFWS, Maxar, Esri Community Maps Contributors, Utah Geospatial Resource Center, Esri, TomTom, Garmin, SafeGraph, GeoTechnologies, Inc, METI/NASA, USGS, Bureau of Land Management, EPA, NPS, US Census Bureau, USDA, USFWS Figure 20: Tooele Army Depot South SWMU 45/ AOC 8 Boundary and Location Coordinate System: GCS North American 1983 SWMU 45/ AOC 8 S t a t e R o u t e 3 6 Legend SWMU 45/ AOC 8 Tooele Army Depot South /0 1,000 2,000500 Feet August 2024 Maxar, Microsoft, Esri, NASA, NGA, USGS, Esri Community Maps Contributors, Utah Geospatial Resource Center, © OpenStreetMap, Microsoft, Esri, TomTom, Garmin, SafeGraph, GeoTechnologies, Inc, METI/NASA, USGS, Bureau of Land Management, EPA, NPS, US Census Bureau, USDA, USFWS, Utah Geospatial Resource Center, Esri, TomTom, Garmin, SafeGraph, FAO, METI/NASA, USGS, Bureau of Land Management, EPA, NPS, USFWS, Esri, USGS, County of Prince William, Fairfax County, VA, VGIN, Esri, TomTom, Garmin, FAO, NOAA, USGS, EPA, USFWS Figure 21: Tooele Army Depot South SWMU 47/ AOC 23, TEAD(S)-46 Boundary and Location Coordinate System: GCS North American 1983 SWMU 47/ AOC 23 U S G /0 160 32080 Feet Legend SWMU 47/ AOC 23 Tooele Army Depot South August 2024 Maxar, Microsoft, Esri, NASA, NGA, USGS, Esri Community Maps Contributors, Utah Geospatial Resource Center, © OpenStreetMap, Microsoft, Esri, TomTom, Garmin, SafeGraph, GeoTechnologies, Inc, METI/NASA, USGS, Bureau of Land Management, EPA, NPS, US Census Bureau, USDA, USFWS, Utah Geospatial Resource Center, Esri, TomTom, Garmin, SafeGraph, FAO, METI/NASA, USGS, Bureau of Land Management, EPA, NPS, USFWS, Esri, USGS, County of Prince William, Fairfax County, VA, VGIN, Esri, TomTom, Garmin, FAO, NOAA, USGS, EPA, USFWS Figure 22: Tooele Army Depot South SWMU 48/ AOC 27 Boundary and Location Coordinate System: GCS North American 1983 SWMU 48/ AOC 27 Legend SWMU 48/ AOC 27 Tooele Army Depot South /0 300 600150 Feet August 2024 Draft Final Land Use Control Implementation Plan U.S. Army Environmental Command and Tooele Army Depot South Contract No.: W9124J-23-C-0018 APPENDIX A-1 – Tooele Army Depot South Annual LUC Inspection Tracker Installati on Name Tooele Army Depot South Person Reviewing: Company Name and Job Title: Phone Number: Email: ANNUAL LUC INSPECTION CHANGES <DATE> CURRENT SITE WITH LUCS SWMU DESCRIPTIVE NAME CHANGES IN YEAR 1 DCD-002-R-01 Eastern Demilitarization and Disposal Groundwater Monitoring Plan (GMP) only 9 TEAD(S)-09 Area 2 Salvage Yard and Old Area 2 13 CC-001 Chemical Agent Munitions Destruction System (CAMDS) Facility 19 TEAD(S)-28 Building 533 Empty Drum Storage 25 DCD-006-R-01 Western Demilitarization and Disposal Area Groundwater Monitoring Plan (GMP) only 26 TEAD(S)-17 Sanitary Landfill 28 TEAD(S)-19 Inactive Landfill 29 TEAD(S)-20 Borrow Pit (anomaly avoidance) Special restrictions only in RCRA Permit 33 TEAD(S)-30 Building 536 Old CAMDS Salt Storage 47 AOC 27 Building 4553 Bomb Renovation Building Evaporation Pond SWMU – Solid Waste Management Unit TEAD(S) – Tooele Army Depot South DCD – Deseret Chemical Depot Page 2 REFERENCE DOCUMENTS ARE BELOW, AS WELL AS THE LOCATION OF THE FILE. SWMU Name and location of the file August 2024 Draft Final Land Use Control Implementation Plan U.S. Army Environmental Command and Tooele Army Depot South Contract No.: W9124J-23-C-0018 APPENDIX A-2 – Tooele Army Depot South AOC Annual LUC Inspection Tracker Page 1 Installati on Name Tooele Army Depot South Person Reviewing: Company Name and Job Title: Phone Number: Email: ANNUAL AREA OF CONCERN (AOC) INSPECTION CHANGES <DATE> CURRENT AOCS WITH ANTICIPATED LUCS SWMU DESCRIPTIVE NAME CHANGES IN PAST YEAR N/A DCD-001-R-01 Combat Training Area N/A DCD-004-R-01 Old Demolition Pit 21/22 TEAD(S)-15 Building S-554 and adjacent lagoons 39 AOC 24 Building 1873 and Dry Well AOC 24 was made SWMU 39 in RCRA Permit 40 AOC 5 Toxic Burial Site 42 AOC 3 Ladder Dip Tank 43 AOC 6 Toxic Area 2, Cadmium Hot Spots 45 AOC 8 Classification Yard 48 AOC 27 Classification Yard Access Road Burial SWMU – Solid Waste Management Unit TEAD(S) – Tooele Army Depot South DCD – Deseret Chemical Depot Page 2 REFERENCE DOCUMENTS ARE BELOW, AS WELL AS THE LOCATION OF THE FILE. AOC Name and location of file August 2024 Draft Final Land Use Control Implementation Plan U.S. Army Environmental Command and Tooele Army Depot South Contract No.: W9124J-23-C-0018 APPENDIX B-1 – Tooele Army Depot South Sites with LUCs August 2024 Draft Final Land Use Control Implementation Plan United States Army Environmental Command and Tooele Army Depot South Contract No.: W9124J-23-C-0018 Appendix B-1: Tooele Army Depot South Sites with LUCs 1 Solid Waste Management Unit (SWMU) 1 49245.1032, DCD-002-R-01 Site Description Eastern Demilitarization Area/Disposal Pits Regulatory Driver Resource Conservation and Recovery Act (RCRA) RCRA Permit, 2020 Groundwater Management Plan (GMP), 2024 Corrective Measures Study (CMS), 2022 Physical Characteristics SWMU 1 occupies an area of 373 acres near the southeastern boundary of TEAD-S. SWMU 1 is adjacent to SWMU 25 and is separated by a buffer zone of approximately 203 acres. The buffer zone is included in the remedial documentation. History of Contamination SWMU 1 was used from the 1940s to the 1970s to destroy and dispose of conventional and chemical munitions. As a result of these practices, various burial sites for explosives and chemical munitions exist within the SWMU. Other activities included open burn (OB) and open detonation (OD) for ordnance items and related packing material. Specific operations include crate burning with napalm, burning and disposal of mustard munitions, industrial chemical drums, suspected chemical warfare material drums, smoke pots, hand grenades, and other refuse. Three distinct contaminated groundwater plumes— Eastern Plume, Northern Plume, and Southern Plume— are associated with SWMU 1. The northern plume contains the contaminants of concern (COCs), carbon tetrachloride (CTC), and tetrachloroethene (PCE) contamination. The southern plume COCs include CTC. The eastern plume has COCs CTC, chloroform, and trichloroethene (TCE). (CMS 2022) The 2024 GMP stated that the northern CTC plume requirements do not include long-term management (LTM), and another plume, the Mustard Mountain Plume, has ongoing sampling. Previous investigations leading to the CMS for SWMU 1 and SMWU 25 plus their buffer zone include the following: Inventory Report (1959), Preliminary August 2024 Draft Final Land Use Control Implementation Plan United States Army Environmental Command and Tooele Army Depot South Contract No.: W9124J-23-C-0018 Appendix B-1: Tooele Army Depot South Sites with LUCs 2 Solid Waste Management Unit (SWMU) 1 49245.1032, DCD-002-R-01 Assessment (PA) and Site Investigation (SI) (1988), RCRA Facility Investigation (RFI) Phase I (1993), RFI Phase II (1995), Soil gas sampling report (2009), Groundwater Monitoring Report (2011), Surface Stabilization report (2016) and the Phase II Addendum RFI for SWMU 1 and SWMU 25 (2016) and a Phase II Addendum RFI Groundwater investigation (2018). The corrective action recommended for soil contaminants includes excavating contaminated soils to locate them in a specific area with a geosynthetic cap known as a consolidation cap. Groundwater will be addressed by capping the contaminated soil areas, monitoring natural attenuation, and long-term monitoring. COCs in soil include lead, arsenic, and mustard gas. COCs for groundwater include (CTC), PCE, TCE, and chloroform. Media Groundwater and Soils Corrective Action Objectives • Reduce exposure and/or contaminant levels. • Prevent exposure to uncharacterized waste. • Prevent further degradation via non-degradation per Utah Administrative Code (UAC) R315-101-3 • Prevent groundwater use. • Comply with UAC R315-101, Corrective Action for Hazardous Waste Sites. • Prevent exposure to elevated levels of contaminants in soil gas. • Comply with land use agreements (listed in industrial controls) Corrective Action Selection Soil and buried waste • Soil consolidation and cap. • Soil Cap with geosynthetic clay liner cap. • LUCs Groundwater • Soil capping • Monitored Natural Attenuation (MNA) • Long Term Monitoring August 2024 Draft Final Land Use Control Implementation Plan United States Army Environmental Command and Tooele Army Depot South Contract No.: W9124J-23-C-0018 Appendix B-1: Tooele Army Depot South Sites with LUCs 3 Solid Waste Management Unit (SWMU) 1 49245.1032, DCD-002-R-01 Current and Future Land Use Industrial/Military Institutional Controls • Land use is industrial use only. • Prohibit excavation or other intrusive activities. (Maintenance of established roads and firebreaks allowed) • Restrict access to workers. (Routine maintenance, groundwater monitoring, and potential MEC surface clearance allowed) • Restrict access to groundwater. • Restrict cattle grazing. • Prohibit the construction of buildings. • Notation in master plan. Engineering Controls • Installation access controls Groundwater Monitoring Frequency (LTM) Annual sampling per GMP Remedy Timeline LUCs remain in place until UU/UE is achieved, and No Further Action (NFA) is determined. Inspection Frequency Note the special restrictions in the RCRA Permit, as shown in Table 2 Special Conditions. Periodic Review every Five Years. Annual Inspections or Certifications There is no mention of SWMU 1 annual inspection requirements in the RCRA permit or any documentation received. August 2024 Draft Final Land Use Control Implementation Plan United States Army Environmental Command and Tooele Army Depot South Contract No.: W9124J-23-C-0018 Appendix B-1: Tooele Army Depot South Sites with LUCs 4 SWMU 9 49245.1006, TEAD(S)-09 Site Description Area 2 Salvage Yard and Old Area 2 (including mustard holding and pit areas) Regulatory Driver RCRA Permit, 2020 DD, 1999 GMP. 2024 Physical Characteristics SWMU 9 encompasses 50 acres and includes Area 2 and Old Area 2. These two portions consist of the former open storage portion of Area 2 Chemical Munitions Safeguarding Area (forty acres) and the Old Area 2 located just south of Area 2 (ten acres). August 2024 Draft Final Land Use Control Implementation Plan United States Army Environmental Command and Tooele Army Depot South Contract No.: W9124J-23-C-0018 Appendix B-1: Tooele Army Depot South Sites with LUCs 5 SWMU 9 49245.1006, TEAD(S)-09 History of Contamination Historically, SWMU 9 was the storage site for one-ton containers of chemical agents in open areas and buildings from the 1940s through the mid-1970s. Spray tanks of nerve agent VX were stored in the southern row of the buildings in Area 2. Soil samples revealed the presence of metals, methyl phosphonic acid (MPA), and isopropyl-MPA (IMPA). Groundwater detected MPA and metals. This application of open storage continued within this area until 1974 and lasted into the mid-1980s for the Old Area 2 region of this SWMU. The SWMU also contains portions of 10 pairs of rails (a frame used to hold incapacitating chemical agent BZ, bombs, wooden posts of the boundary fence, and sheet metal. SWMU 9 is part of the Group 2 investigation and DD. The 1999 DD includes the previous inspections for the decision: Phase 1 RFI (1993), Phase II RFI (1996), CMS Work Plan (1996), and CMS Report (1997). Interim actions for neutralizing mustard and lewisite agents spilled during a transfer operation included working bleach via mechanical mixing into the soil surface for treatment. COCs associated with this SWMU include arsenic and two agent breakdown byproducts of arsenic, methylphosphonicmethyl phosphonic acid (MPA) and isopropyl methylphosphonicmethyl phosphonic acid (IMPA). Groundwater COCs are no longer monitored based on industrial use per 2024 GMP. Media Soil Corrective Action Objectives All SWMU goals in DD • Protect human health and the environment. • Meet cleanup standards. • Control contaminant sources • Comply with waste management standards. SWMU 9 specific goals • Prevent exposure to soil contamination. August 2024 Draft Final Land Use Control Implementation Plan United States Army Environmental Command and Tooele Army Depot South Contract No.: W9124J-23-C-0018 Appendix B-1: Tooele Army Depot South Sites with LUCs 6 SWMU 9 49245.1006, TEAD(S)-09 • Prevent exposure to shallow groundwater contamination. • Prevent degradation of the environment. Corrective Action Selection • LUCs • Post Closure Plan, RCRA Permit • Groundwater LTM (Removed per 2012 Parsons, 2024 GMP) Current and Future Land Use Industrial Institutional Controls -Maintain industrial land use. -Deed restrictions -Restrict groundwater use. -RCRA Permit Post Closure requirements -Notation in RPMP Engineering Controls • Fencing • Signage Groundwater Monitoring Frequency (LTM) N/A Remedy Timeline LUCs will remain in place until the site is UU/UE or NFA. Inspection Frequency • Site inspections annually and maintained at the site. Form A. • Post Closure Reports of site inspections (form A, each year) due to UDEQ DWMR every 2 years. • Periodic Review every Five Years Annual Inspections or Certifications Inspections are done annually and submitted every 2 years. August 2024 Draft Final Land Use Control Implementation Plan United States Army Environmental Command and Tooele Army Depot South Contract No.: W9124J-23-C-0018 Appendix B-1: Tooele Army Depot South Sites with LUCs 7 SWMU-13 49245.1008, CC-001 Site Description Chemical Agent Munitions Destruction Systems (CAMDS) Facility Regulatory Driver RCRA Permit, 2020 DD, 2001 GMP, 2024 Physical Characteristics SWMU-13, CAMDS, is a ten-acre fenced area within the southwestern portion of the installation. History of Contamination The CAMDS facility near this SWMU operated from 1979 to 2005, developing and demonstrating methods for chemical munitions handling, demilitarizing chemical munitions, waste incineration, and treating wastes from the demilitarization process. While in operation, this facility included incinerators, munitions handling areas, waste handling areas, chemical storage areas, hazardous waste storage areas, laboratories, control rooms, maintenance facilities, and support buildings. In 2005, the CAMDS mission was completed, prompting the ceasing of operations for this facility. Corrective measures were evaluated for eight areas in the SWMU. The first is the Fuel Spill Site where between 1980 and 1985, a historical fuel spill occurred near an underground diesel fuel line leak, resulting in approximately 38,000 gallons of fuel. The second is the 3X yard, approximately 6,000 square feet, used as a staging area for vehicle traffic. Spills and soil discoloration were reported. The third is the drainage ditch site, which was a stormwater runoff area on the eastern portion of CAMDS, which may have led to contaminated soil. The fourth chemical unloading site 200 feet northwest of the CAMDs facility operated between 1979 and 1984 to transfer chemicals between cars and storage areas. The fifth is the pavement perimeter site, where surface runoff may have led to contaminated soil. The sixth is the sodium hydroxide spill site. The seventh is the wastewater lagoon site, which is 9,470 square feet and 5 feet deep. It received sewer discharge from the CAMDs complex. The lagoon was unlined. The eighth and last is groundwater August 2024 Draft Final Land Use Control Implementation Plan United States Army Environmental Command and Tooele Army Depot South Contract No.: W9124J-23-C-0018 Appendix B-1: Tooele Army Depot South Sites with LUCs 8 SWMU-13 49245.1008, CC-001 below CAMDS, a shallow aquifer with poor-quality groundwater. The 2001 DD was developed using the RFI Phase 1 (1993), RFI Phase II (1996), and CMS Study and Report. Additional investigations after the DD included a 2014 Data Gap Investigation and a 2018 Monitoring Plan. These investigations included analyzing soil and sump water for metals, explosives, VOCs, SVOCs, chemical agents, and agent breakdown products (ABPs). Per the Utah Risk Rule, COCs do not exist for current military use. The selected remedy for the Fuel Spill site is in-situ bioremediation, free product removal, and LUCs. The 3X yard, drainage ditch, chemical unload, pavement perimeter, and wastewater lagoon sites are remedied with LUCs. Groundwater requires LUCs and LTM. The COPCs include diesel fuel-derived petroleum hydrocarbons from spill sites. Media Soil and groundwater Corrective Action Objectives • Protect human health and the environment. • Meet Federal, State, and Local regulations. • Meet Utah Risk Rule UAC R315-101 and principle of non-degradation • Meet Utah Guidelines for Risk Based Corrective Action under RCRA Permit. Corrective Action Selection Fuel Spill Site • Free Product Removal • In Situ Bioremediation • LTM of Groundwater • LUCs 3X yard, drainage ditch, chemical unload, pavement perimeter, and wastewater lagoon sites • LUCs Groundwater at CAMDS • LTM of Groundwater • LUCs Current and Future Land Use Assumption Industrial/Military Use Institutional Controls • Maintain industrial use only. August 2024 Draft Final Land Use Control Implementation Plan United States Army Environmental Command and Tooele Army Depot South Contract No.: W9124J-23-C-0018 Appendix B-1: Tooele Army Depot South Sites with LUCs 9 SWMU-13 49245.1008, CC-001 • No groundwater use or installation of a water supply well • Deed restrictions • Limitation on buildings, future development, or construction of buildings within this proximity to the vapor intrusion pathway associated with VOCs need to be adequately ventilated and undergo periodic testing. • Restricting excavation and dig permits near the ground surface interface where any LNAPL may be present within the shallow groundwater of this SWMU. • Notation in RPMP Engineering Controls • Signage • Fence Groundwater Monitoring Frequency (LTM) GMP, Annual Remedy Timeline LUCs will remain in place until UU/UE or NFA is determined. Inspection Frequency • Site inspections annually and maintained at the site. Form A. • Post Closure Reports of site inspections (form A, each year) due to UDEQ DWMR every 2 years. • Periodic Review every Five Years Annual Inspections or Certifications Inspections are done annually and submitted every 2 years. August 2024 Draft Final Land Use Control Implementation Plan United States Army Environmental Command and Tooele Army Depot South Contract No.: W9124J-23-C-0018 Appendix B-1: Tooele Army Depot South Sites with LUCs 10 SWMU-19 49245.1023, TEAD (S)-28 Site Description Building 533 Empty Drum Storage Regulatory Driver RCRA Permit, 2020 DD, 2002 Physical Characteristics SWMU 19 includes Building 533’s foundation and liquid and dry sump. In addition to that landmark, the remains of abandoned railroad tracks and a septic tank (the septic system was scheduled for removal) are also present. It is located between Blume Street and Gardener Road in north-central TEAD South. History of Contamination Building 533 was used for railroad car maintenance and was demolished in 1992. The remnant foundation remains. Before the demolition, the building was used for empty drum storage. The exact type of materials stored at this site is not exactly known. However, it is suspected that trash, wood, empty brass shell casings, five-gallon paint containers, and drums were frequently stored here since they were observed to have been present at this site. The site is currently abandoned with overgrown sagebrush. SWMU 19 is one of the Group 3 Suspected releases in the 2002 DD. The DD was completed based on the RFI Phase I (1992), RFI Phase II (1994, 1995, and 1998), and Corrective Measures Report (2002). After the 2002 DD, soil gas was investigated under the 2011 gas survey, followed by a follow-up in 2013. TCE and chloroform were found in the soil gas survey. An RFI addendum was completed in 2014. COCs include fuel related VOCs and chlorinated solvents in subsurface soil gas. Media soil and vadose zone Corrective Action Objectives • Protect human health and the environment. • Meet Federal, State, and Local regulations. • Meet Utah Risk Rule UAC R315-101 and the principle of non-degradation. • Restrict groundwater use. Restrict land use (non-residential) August 2024 Draft Final Land Use Control Implementation Plan United States Army Environmental Command and Tooele Army Depot South Contract No.: W9124J-23-C-0018 Appendix B-1: Tooele Army Depot South Sites with LUCs 11 SWMU-19 49245.1023, TEAD (S)-28 Corrective Action Selection LUCs Current and Future Land Use Industrial Institutional Controls • Land use restriction non-residential • Restrict drinking well installation • Excavation restrictions and permitting • RCRA Permit Post Closure requirements • Notation in RPMP Engineering Controls N/A. Groundwater Monitoring Frequency (LTM) N/A Remedy Timeline LUCs will remain in place until the site is UU/UE or NFA. Inspection Frequency • Site inspections annually and maintained at the site. Form A. • Post Closure Reports of site inspections (form A, each year) due to UDEQ DWMR every 2 years. • Periodic Review every Five Years Annual Inspections or Certifications Inspections are done annually and submitted every 2 years. August 2024 Draft Final Land Use Control Implementation Plan United States Army Environmental Command and Tooele Army Depot South Contract No.: W9124J-23-C-0018 Appendix B-1: Tooele Army Depot South Sites with LUCs 12 SWMU-25 49245.1030, DCD-006-R-01 Site Description Western Demilitarization Area and Disposal Area Regulatory Driver RCRA Permit, 2020 GMP, 2024 CMS, 2022 Physical Characteristics SWMU 25 encompasses an area of 1,277 acres west of SWMU 1. The remedial documents include a buffer zone containing 203 acres. History of Contamination From 1945 to 1978, this SWMU was used for the disposal of high explosives and incendiary munitions using open burn (OB)/open detonation (OD) methods. Numerous clusters of explosive craters exist along this western disposal area, each covering three to four acres. SWMU 25 has two groundwater contamination plumes. The Western Plume is contaminated with CTC, chloroform, and PCE. Eastern Plume's main COC is CTC. It also includes benzene, methylene chloride, chloroform, and PCE. Previous investigations leading to the CMS for SWMU 1 and SWMU 25 plus their buffer zone include the following: Inventory Report (1959), PA/SI (1988), RFI) Phase I (1993), RFI Phase II (1995), and a SWMU 25 Pit investigation (2006). Two removal actions were completed in 2012 and 2015 to remove ash and incendiary waste. Investigations include a groundwater Monitoring Report (2011), surface Stabilization report (2016), the Phase II Addendum RFI for SWMU 1 and SWMU 25 (2016), and a Phase II Addendum RFI Groundwater investigation (2018). The corrective action recommended for soil contaminants includes excavating contaminated soils to locate them in a specific area with a geosynthetic cap known as a consolidation cap. Groundwater will be addressed by capping the contaminated soil areas, monitoring natural attenuation, and long-term monitoring. COCs in soil include lead, arsenic, and mustard gas. August 2024 Draft Final Land Use Control Implementation Plan United States Army Environmental Command and Tooele Army Depot South Contract No.: W9124J-23-C-0018 Appendix B-1: Tooele Army Depot South Sites with LUCs 13 SWMU-25 49245.1030, DCD-006-R-01 COCs for groundwater include (CTC), PCE, TCE, and chloroform. Media Groundwater and soil Corrective Action Objectives • Reduce exposure and/or contaminant levels. • Prevent exposure to uncharacterized waste. • Prevent further degradation via non-degradation per UAC R315-101-3 • Prevent groundwater use. • Comply with UAC R315-101, Corrective Action for Hazardous Waste Sites. • Prevent exposure to elevated levels of contaminants in soil gas. • Comply with land use agreements (listed in industrial controls) Corrective Action Selection Soil and buried waste • Soil consolidation and cap. • Soil Cap with geosynthetic clay layer cap. • LUCs Groundwater • Soil capping • Monitored Natural Attenuation (MNA) • Long Term Monitoring Current and Future Land Use Industrial Institutional Controls • Land use is industrial use only. • Prohibit excavation or other intrusive activities. (Maintenance of established roads and firebreaks allowed) • Restrict access to workers. (Routine maintenance, groundwater monitoring, and potential MEC surface clearance allowed) • Restrict access to groundwater. • Restrict cattle grazing. • Prohibit the construction of buildings. • Anomaly avoidance on areas outside of SWMU areas. • Notation in master plan. Engineering Controls Installation access restrictions Groundwater Monitoring Frequency (LTM) Per GMP. LTM Annually Remedy Timeline LUCs will remain in place until the site is UU/UE or NFA. August 2024 Draft Final Land Use Control Implementation Plan United States Army Environmental Command and Tooele Army Depot South Contract No.: W9124J-23-C-0018 Appendix B-1: Tooele Army Depot South Sites with LUCs 14 SWMU-25 49245.1030, DCD-006-R-01 Inspection Frequency SWMU 25 has a post-closure plan mentioned, but no specific inspection requirements are included in the permit. Periodic Five-Year Reviews. Annual Inspections or Certifications N/A August 2024 Draft Final Land Use Control Implementation Plan United States Army Environmental Command and Tooele Army Depot South Contract No.: W9124J-23-C-0018 Appendix B-1: Tooele Army Depot South Sites with LUCs 15 SWMU-26 49246.1013, TEAD-17 Site Description Sanitary Landfill Regulatory Driver RCRA Permit, 2020 CMS Work Plan/Report, 2018 Physical Characteristics SWMU 26 can be divided into two parts: a western disposal area and an eastern disposal area. The western disposal area is approximately 11 acres and is separated from the eastern area via an access road. The western area is estimated to contain 22 burial features, and the eastern area contains 23 burial features. The total area is 31 acres along the northeastern quadrant of TEAD-S. History of Contamination This unlined sanitary landfill operated from 1956 to 1994. According to historical documentation for this SWMU, solid waste, paper, construction debris, and munitions were disposed of within this landfill. According to the U.S. Army Environmental Hygiene Agency, the munition debris deposed within this SWMU was associated with the packing material for white phosphorus munitions, rocket pans, and projectiles. However, during the use of this landfill, the burial of debris was often not contiguous within this site. The western disposal area is thought to contain buried waste and inert surface waste from previous landfill operations and activities. The waste within this region of the SWMU can be located within one of four separate areas, each covering a space of 2 acres. In addition to this, sporadically dispersed surface waste is present along the surface of the southern boundary for this western area. After closer observation of this region, there have not been significant sources of methane production associated with this portion of the SWMU, and the surface waste appears to be uncontaminated. The eastern disposal area for this SWMU was primarily used to dispose of solid waste and possibly even some liquid waste. However, it is also thought to contain waste and inert surface waste from past landfill activities. The buried waste within this area covers approximately a 14- acre surface area. Upon closer investigation of this August 2024 Draft Final Land Use Control Implementation Plan United States Army Environmental Command and Tooele Army Depot South Contract No.: W9124J-23-C-0018 Appendix B-1: Tooele Army Depot South Sites with LUCs 16 SWMU-26 49246.1013, TEAD-17 portion of SWMU-26, it has also been noted that no significant sources of methane production are associated with it, and the surface waste appears to be uncontaminated. SWMU 26 has undergone the following investigations: Installation Assessment from 1979 through 1986, 1986 initial evaluation, 1987 RFA, 1987 PA/SI, 1993 RFI Phase I, Additional investigation between 2006-2010, groundwater monitoring in 2010, and RFI Phase II in 2014. has undergone several different methods of investigation over the years. An RFI Addendum was completed in 2017. The CMS Work plan was initially completed in 2018. Landfill closures undergo groundwater sampling, surface sampling, and soil gas sampling as part of a long-term closure assessment for an RCRA landfill. COPCs for the western area are polyaromatic hydrocarbons (PAHs) in the surface soil (not an industrial COC). The COPCs for the eastern area include PAHs and thallium (not an industrial COC). Media Groundwater Corrective Action Objectives • Prevent Direct exposure to waste. • Prevent potential residential receptors from direct exposure to contaminated surface soil. • Prevent further degradation of soil and groundwater. • Prevent consumption of groundwater (Eastern Area only). Corrective Action Selection • Engineered Geosynthetic Clay Liner System (Capping) • Required post-closure groundwater, surface water sampling, and soil vapor sampling (landfill) • LUCs Current and Future Land Use Industrial Institutional Controls • Land use restrictions • Groundwater use restrictions • Notation in Master Plan August 2024 Draft Final Land Use Control Implementation Plan United States Army Environmental Command and Tooele Army Depot South Contract No.: W9124J-23-C-0018 Appendix B-1: Tooele Army Depot South Sites with LUCs 17 SWMU-26 49246.1013, TEAD-17 Engineering Controls • Fencing • Signs • Surface controls of landfill cover. Groundwater Monitoring Frequency (LTM) LTM is included in GMP annually Remedy Timeline LUCs will remain in place until the site is UU/UE or NFA Inspection Frequency • Site inspections annually and maintained at the site. Form B. • Post Closure Reports of site inspections (form B, each year) due to UDEQ DWMR every 2 years. • Periodic Review every Five Years Annual Inspections or Certifications Inspections are done annually and submitted every 2 years. August 2024 Draft Final Land Use Control Implementation Plan United States Army Environmental Command and Tooele Army Depot South Contract No.: W9124J-23-C-0018 Appendix B-1: Tooele Army Depot South Sites with LUCs 18 SWMU-28 49245.1015, TEAD-19 Site Description Inactive Landfill Regulatory Driver RCRA Permit 2020 Physical Characteristics SWMU-28 consists of approximately 0.3 acres of land. It is located roughly 1,000 feet southwest of the Administrative Area in the northeast region of TEAD- S. History of Contamination SWMU 28 was an active construction and debris landfill from 1963 to 1972. During that time, this landfill was used to dispose of solid waste, paper, and building debris. It is reported that no noxious or hazardous materials were disposed of at this site. Shortly after activity for this landfill ceased in 1972, the landfill was filled to grade and re-vegetated. However, the exact details of this capping mechanism for this SWMU are not well known. Several decades later, test pitting was conducted for this site in 2012. Details from that test pitting informed TEAD(S) that the thickness of overburden at the landfill ranges from approximately 1 to 2 feet, and the underlying buried debris exists within the range of 11 to 14 ft below grade for this SWMU. The landfill is assumed to be unlined based on the historical practices in the 1960s. In 2012, a range burn resulted in a loss of vegetative cover, exposing the landfill’s gravel and cobble material from the primary burrow pit. This previous landfill was investigated in 2012 via the completion of an RCRA Facility Assessment for a preliminary assessment/site investigation. This led to phase I of this investigation being completed, prompting an RFI test pit investigation in 2012 and 2013 RFI IIB. At completion, the conclusion was that the site risks were acceptable for industrial use, and groundwater monitoring was not required. COCs associated with this site include benzo(a)pyrene, which has been found to exist within August 2024 Draft Final Land Use Control Implementation Plan United States Army Environmental Command and Tooele Army Depot South Contract No.: W9124J-23-C-0018 Appendix B-1: Tooele Army Depot South Sites with LUCs 19 SWMU-28 49245.1015, TEAD-19 the soil, and chloroform, which is present as a soil gas. Media Soil Corrective Action Objectives Not provided. Corrective Action Selection LUCs Current and Future Land Use Industrial Institutional Controls • Land use is industrial • Restrict shallow groundwater use • Prohibit or otherwise manage excavation • RCRA Permit Post Closure requirements • Notation in RPMP Engineering Controls -Signage with instructions to not disturb this site. -Landfill cap (gravel). Groundwater Monitoring Frequency (LTM) N/A. Remedy Timeline LUCs will remain in place until the site is UU/UE or NFA. Request for closure submitted in 2001. Inspection Frequency • Site inspections annually and maintained at the site. Form A. • Post Closure Reports of site inspections (form A, each year) due to UDEQ DWMR every 2 years. • Periodic Review every Five Years Annual Inspections or Certifications Inspections are done annually and submitted every 2 years. August 2024 Draft Final Land Use Control Implementation Plan United States Army Environmental Command and Tooele Army Depot South Contract No.: W9124J-23-C-0018 Appendix B-1: Tooele Army Depot South Sites with LUCs 20 SWMU-29 49245.1016, TEAD-20 Site Description Borrow Pit (anomaly avoidance) Regulatory Driver RCRA Permit, 2020 Physical Characteristics SWMU 29 is also known as the Scrap Metal Landfill, or the former borrow pit. It is roughly one acre in size, and the pit associated with it is 15 to 20 feet deep. The only action associated with this area is anomaly avoidance surrounding the pit. History of Contamination SWMU 29 was a former borrow pit and scrap metal landfill. No contamination has been observed at this SWMU. However, a past employee indicated that there was the potential presence of buried debris and/or drums in the immediate areas near SWMU 29, and those drums may contain DANC. The investigations for SWMU 29 started in the 1980s. The 1986 SWMU evaluation and 1987 RFA recommended NFA. In 1990 RFI Phase I was completed. In 1996-1997 surface debris removal actions were conducted. A 2003 MEC geophysical investigation was conducted. UDEQ has deemed this SWMU as an NFA site. However, the installation has placed this SWMU under the post-closure permit with special condition LUCs. This is to serve as a precautionary practice placing restrictions on intrusive activities, including anomaly avoidance for workers. During the time of this removal process, one munition and explosives of concern (MEC) was found, a 20- millimeter round, and destroyed via open detonation. COPC is an anomaly in the soil immediately surrounding the pit area. Media Soil Corrective Action Objectives None provided. Corrective Action Selection LUCs August 2024 Draft Final Land Use Control Implementation Plan United States Army Environmental Command and Tooele Army Depot South Contract No.: W9124J-23-C-0018 Appendix B-1: Tooele Army Depot South Sites with LUCs 21 SWMU-29 49245.1016, TEAD-20 Current and Future Land Use Industrial Institutional Controls Notation in RPMP Engineering Controls Signs Groundwater Monitoring Frequency (LTM) N/A Remedy Timeline Site remedial action is complete. A special condition for anomaly avoidance was placed as LUCs and will remain in place until UU/UE or NFA is documented. Inspection Frequency Periodic Review every 5 years Annual Inspections or Certifications No August 2024 Draft Final Land Use Control Implementation Plan United States Army Environmental Command and Tooele Army Depot South Contract No.: W9124J-23-C-0018 Appendix B-1: Tooele Army Depot South Sites with LUCs 22 SWMU-33 49245.1025, TEAD(S)-30 Site Description Building 536 Old CAMDS Salt Storage Regulatory Driver RCRA Permit, 2020 DD, 2003 Physical Characteristics SWMU 33 is associated with Building 536 in the north- central portion of TEAD(S). SWMU 33B is the soil surrounding the building (northeast to Blume Street), and SWMU 33C is the drainage swale southeast of the building. History of Contamination Building 536 was formerly the Old Chemical Agent Munitions Disposal System (CAMDS) salt storage building. This 2.5-story warehouse covers an area of 50 by 200 feet. From 1983 to 1988, the building was used to store “dried organic salts,” in addition to spent PPE and carbon filters which were byproducts of the CAMDS operations. The salts potentially contained residual chemical agents. In 1987, the salts stored in the drums had lead and cadmium in them exceeding toxicity limits (EPA). The salt was taken to an off-site hazardous waste landfill between 1988 and 1993. Because these items were stored within Bldg. 536, TEAD(S) has classified and investigated this building as a Hazardous Waste Management Unit (HWMU) separate from SWMU 33. 33A is considered the primary building 536. 33B is the soil surrounding the building, and 33C is the drainage swale as discussed in physical characteristics. SWMU 33 is in Group 3 of suspected releases SWMUs associated with Deseret Chemical Depot, now TEAD(S). Investigated under a multipart RCRA Facility Investigation, with phase I completed in 1994 and 1995 and phase II completed in 1998 to 1999. As a result of this investigation, this site was identified as a permitted HWMU and closed. An asphalt cap was then installed over the lead-contaminated soil to encapsulate contamination. Results for this SWMU were provided within the interim final RFI report completed in 2001. August 2024 Draft Final Land Use Control Implementation Plan United States Army Environmental Command and Tooele Army Depot South Contract No.: W9124J-23-C-0018 Appendix B-1: Tooele Army Depot South Sites with LUCs 23 SWMU-33 49245.1025, TEAD(S)-30 During Phase II RFI, the region outside of Building 536 was divided up into two separate sections and identified as SWMU 33B and SWMU 33C. Area B encompasses all the soil surrounding Building 536 and extends north/northeastern to Blume Street. Whereas area 33C is the drainage swale to the southeast of Building 536. In 2013, a re-evaluation of these two portions of SWMU 33 was conducted and confirmed that both regions meet the criteria for industrial closure. However, there was a soil pile that has been identified as an isolated hot spot that is located outside of the building during this re-evaluation period. This pile needs to be removed and disposed of in an appropriate facility. COCs of IMPA and MPA were identified in SWMU 33A (Bldg. 536). No industrial COCs exist for SWMU 33B or C. Media Soil Corrective Action Objectives • Protect human health and the environment • Meet the corrective measure per the Federal, State and Local Regulations. UAC 315-101. • Meet RCRA permit requirements. Corrective Action Selection LUCs Current and Future Land Use Industrial Institutional Controls • Prohibit or tightly regulate excavation. • Restrict drinking water well installation. • Restrict groundwater or surface water use. • Restrict land use- no daycare/hospital/school use. • Restrict land use- no residential use. Engineering Controls Signage Groundwater Monitoring Frequency (LTM) N/A Remedy Timeline LUCs will remain in place until the site is UU/UE or NFA. Inspection Frequency • Site inspections annually and maintained at the site. Form A. • Post Closure Reports of site inspections (form B, each year) due to UDEQ DWMR every 2 years. August 2024 Draft Final Land Use Control Implementation Plan United States Army Environmental Command and Tooele Army Depot South Contract No.: W9124J-23-C-0018 Appendix B-1: Tooele Army Depot South Sites with LUCs 24 SWMU-33 49245.1025, TEAD(S)-30 • Periodic Review every Five Years Annual Inspections or Certifications Inspections are done annually and submitted every 2 years. August 2024 Draft Final Land Use Control Implementation Plan United States Army Environmental Command and Tooele Army Depot South Contract No.: W9124J-23-C-0018 Appendix B-1: Tooele Army Depot South Sites with LUCs 25 SWMU-47 TEAD(S)-46 Site Description AOC 23, Building 4553 Bomb Renovation Building Evaporation Pond Regulatory Driver RCRA Physical Characteristics The area associated with AOC 23 occupies four acres. This area consists of a formerly used evaporation pond associated with Building 4553. This SWMU is located within the northeastern quadrant of TEAD-S, at an elevation of 5,200 ft above mean sea level (amsl) and lies along the south side of Gardener Road. At this SWMU there is an overflow ditch that’s located south of the evaporation pond and a conveyance pipe travels between Gardener Road, discharging wastewater to the middle of the northeastern edge of the evaporation pond. The conveyance piping found on site for this SWMU was discovered via trenching activities and is located approximately 175 feet southeast of the building’s southwest corner. History of Contamination Building 4553 was historically used for the parkerization of machine gun links and painting/maintenance of munitions. Historical drawing associated with TEAD-S have indicated that a soaking pit within this region may have proceeded the approximate 60 ft by 25 ft evaporation pond that is south of Building 4553. However, further analysis of building drawings for this SWMU did not indicate any presence of a soaking pit ever existing here. After further skepticism it is thought that this misinterpretation could be the result of former employees using “slang” to describe one of the former parkerization tanks, or to incorrectly refer to the generic description of the parkerization process. The parkerization process occurring at this Building included three aboveground tanks that were used for acid washing, parkerization, and rinsing. Contents within August 2024 Draft Final Land Use Control Implementation Plan United States Army Environmental Command and Tooele Army Depot South Contract No.: W9124J-23-C-0018 Appendix B-1: Tooele Army Depot South Sites with LUCs 26 these three tanks were then often drained from the building, following just below the paved roadway, and discharging into the nearby evaporation pond. In 2013, an XRF screening was completed for the surface of the pond. The results of this screening indicated that high metal concentrations are present in the center of the former pond. In 2016, a Phase I RFI was conducted for this SWMU. Activities completed as part of the Phase I RFI included additional XRF screening, passive soil gas sampling, surface soil sampling, and subsurface soil sampling via direct push borings. Results from this RFI indicated that the following metals were COPC for this SWMU: zinc, cadmium, chromium and Cr(VI). A Phase II RFI was completed for this SWMU to assess the horizontal extent of the metals observed during the Phase I RFI. In addition to assess the vertical extent of Cr(VI) within the soil and if the conveyance pipe may be associated with any COPCs releases. Media Soil Corrective Action Objectives • Address risk from exposure to surface soils by future residents and industrial and construction workers. • Address the migration of COPCs metals and Cr(VI) in groundwater. Corrective Action Selection AOC 23 requires a work plan with corrective action for risk-based levels. Current and Future Land Use Industrial Institutional Controls No interim or remedial LUCs are mentioned. Engineering Controls No interim or remedial LUCs are mentioned. LTM Groundwater Monitoring Frequency The depth to groundwater at this SWMU is approximately 90 ft bgs. Currently there are three monitoring wells near this AOC that are used to assess the potential impact of COPCs in groundwater and Cr(VI) for regional groundwater August 2024 Draft Final Land Use Control Implementation Plan United States Army Environmental Command and Tooele Army Depot South Contract No.: W9124J-23-C-0018 Appendix B-1: Tooele Army Depot South Sites with LUCs 27 assessments. However, groundwater monitoring is not recommended for this AOC. Remedy Timeline No remedy has been selected. Inspection Frequency No inspections are required because the investigation is still underway. Annual Inspections or Certifications N/A August 2024 Draft Final Land Use Control Implementation Plan U.S. Army Environmental Command and Tooele Army Depot South Contract No.: W9124J-23-C-0018 APPENDIX C-1 – Tooele Army Depot South LUCIP Photo Log August 2024 Draft Final Land Use Control Implementation Plan United States Army Environmental Command and Tooele Army Depot South Contract No.: W9124J-23-C-0018 Appendix B-2: Tooele Army Depot South AOC Sites with Anticipated LUCs 1 DCD-001-R-01 49245.1028, DCD-001-R-01 Site Description Combat Training Area Regulatory Driver Comprehensive Environmental Response, Compensation, and Liability Act (CERCLA), non-National Priorities Listing (NPL) Draft Feasibility Study (FS), 2024 Physical Characteristics The Combat Training Area Munitions Response Site (MRS) is 104 acres in the north-central area of TEAD-S. History of Contamination In the 1940s, the MRS consisted of the following ranges: handgun, combat assault or machine gun assault, 500- yard rifle, hand grenade, and a rifle grenade/bazooka range. The ranges were conventional weapons, not chemical munitions. From the 1950s to the 1960s, this region was open to civilians annually for sight-hunting weapons. In the 1970s, the National Guard and Deseret Chemical Depot (DCD) conducted rifle and shotgun training area. The MRS was last used in approximately the 1980s. The Combat Training Area completed a 2005 Site Investigation (SI) and a 2013-2014 Remedial Investigation. Using these investigations, the Draft FS was completed. A remedial decision was not made when this LUCIP was written. The MRS is under the Military Munitions and Response Program (MMRP). This program uses the following terminology and acronyms. Munitions and Explosives of Concern (MEC) are military munitions that pose an explosive hazard. MEC include unexploded ordnance (UXO), which are military munitions that have been readied for action, fired (dropped, launched, placed) in a manner that creates a hazard to operations, personnel, and environment, and remain unexploded by design or malfunction. Discarded Military Munitions (DMM), another type of MEC, are military munitions without proper disposal. MEC includes Munitions Constituents (MC), chemicals such as explosives that can leak out of UXO or DMM. Munitions Debris (MD) is not considered MEC. However, it refers to the remnants of munitions and is often found when looking to remove MEC. August 2024 Draft Final Land Use Control Implementation Plan United States Army Environmental Command and Tooele Army Depot South Contract No.: W9124J-23-C-0018 Appendix B-2: Tooele Army Depot South AOC Sites with Anticipated LUCs 2 DCD-001-R-01 49245.1028, DCD-001-R-01 The SI involved a visual survey, a geophysical survey, and the collection of surface soil samples. The goal was to assess the amount of MEC. After completing this visual survey, three UXOs were discovered near the northeastern portion of this site along a ridge, and MD was observed throughout the site. The SI warranted further investigation. From 2012 to 2014, the RI was completed for the Old Demolition Pit MRS. Digital geophysical mapping was used to create an anomaly density map. Field reconnaissance used the related information to dig up anomalies. X-ray fluorescence (XRF) and soil sampling were conducted to evaluate MC. The Combat Training Area MRS found seven MECs in the subsurface soil (1-4 inches below grade). 88 MD items were found in the subsurface soil (1-6 inches below grade). This amount of munitions does not allow for residential use. Polyaromatic hydrocarbons (PAHs) were also found at risk for cattle grazing, except for a small 2-acre portion. COCs associated with this site are MECs present within the soil and sub-surface soil. MCs include PAHs. Media Soil Remedial Action Objectives RAOs for MEC at MRS • Mitigate the exposure to surface MEC via direct contact. • Mitigate the exposure to subsurface MEC via direct contact by construction workers. RAO for MC at the MRS • Reduce the amount of lead soil present in the soil at the CTA. Remedial Action Selection Alternatives addressing MEC (UXOs or DMMs) • No action • LUCs (Institutional Controls, Engineering controls, and Education), and • MEC Removal. Alternatives for MEC (MC) • No action August 2024 Draft Final Land Use Control Implementation Plan United States Army Environmental Command and Tooele Army Depot South Contract No.: W9124J-23-C-0018 Appendix B-2: Tooele Army Depot South AOC Sites with Anticipated LUCs 3 DCD-001-R-01 49245.1028, DCD-001-R-01 • LUCs • Berm sifting, LUCs Remedial decision has not been made* Current and Future Land Use Zoned industrial and residential. Residential is not feasible from MEC. Institutional Controls (recommended in alternatives) • Restricting land use to only that of industrial • Restrict access to the site. • Permitting programs so intrusive activities such as excavation are accompanied by pre-construction planning. • Provide construction support or additional training. • UXO awareness training (3Rs – Recognize, Retreat, and report) • Notation in Master Plan Engineering Controls (recommended in alternatives, not in place) • Land Covers • Fencing • Signage LTM Groundwater Monitoring Frequency N/A Remedy Timeline The remedial decision has not been made at this time. Inspection Frequency All alternatives would require a CERCLA 121c Five-Year Review once the remedial decision has been selected. Annual Inspections or Certifications Not determined at this time. August 2024 Draft Final Land Use Control Implementation Plan United States Army Environmental Command and Tooele Army Depot South Contract No.: W9124J-23-C-0018 Appendix B-2: Tooele Army Depot South AOC Sites with Anticipated LUCs 4 DCD-004-R-01 DCD-004-R-01 Site Description Old Demolition Pit MRS Regulatory Driver CERCLA, non-NPL Draft FS, 2024 Physical Characteristics The Old Demolition Pit MRS, 712 acres, is centrally located within TEAD-S. The MRS contains a 106-acre “wedge,” a high-density portion totaling 310.64 acres, and a low-density portion of 246.37. History of Contamination In the late 1940s, an accidental detonation of 4.2-inch mortars created a large explosion, creating a large crater and kickout area of approximately 712 acres. The area included DCD-004-R-01, the Old Demolition Pit MRS. Since the explosion, the area has been developed and reworked. This includes Warehouse C-4002, which was constructed before 1952 and demolished in 1996. This building area was included in Solid Waste Management Unit 15, per Resource Conservation and Recovery Act (RCRA) Part B Unit. It received no further action in 2016. The area north of the demolition pit includes the former Tooele Chemical Agent Disposal Facility (TOCDF) and associated settling ponds. The 2024 Draft FS was developed using the 2005 SI and 2013-2014 RI. The SI included a visual survey for surface MEC and soil sampling for MC. During this visual survey of the site, four MEC items were found. Three of the four items were M329 4.2-inch mortars, and the other was an M74 1,000-pound incendiary bomb fragment. The results of this SI prompted additional investigations of MEC for this site. MD found that the site was inconsistent with installation personnel interviews, and further investigation was warranted. The 2013-2014 RI included visual reconnaissance and geophysical investigations, which were conducted to determine the distribution of MEC and MD. Results from the RI field reconnaissance discovered 710 MD items present at this site. The risk determined from the 2013-2014 RI did not allow for residential closure. COCs include MEC. Media Soil August 2024 Draft Final Land Use Control Implementation Plan United States Army Environmental Command and Tooele Army Depot South Contract No.: W9124J-23-C-0018 Appendix B-2: Tooele Army Depot South AOC Sites with Anticipated LUCs 5 DCD-004-R-01 DCD-004-R-01 Remedial Action Objectives RAOs are developed for this site to address the following: (1) Mitigate the exposure to surface MEC upon direct contact. (2) Mitigate the exposure to subsurface MEC upon direct contact by construction workers. Remedial Action Selection Alternative Actions (No decision document) 1-No Action 2-Surface MEC removal in the “wedge” and LUCs 3-Surface MEC removal and LUCs. Current and Future Land Use Land is coded as Industrial and residential but can only be used as industrial. Institutional Controls (recommended in alternatives) • Restrict land use to industrial. • Permit intrusive activities. Provide UXO support (if needed). • Pre-construction review and planning • Construction support and additional training • Educational Controls (UXO awareness training and pamphlets) • Notation in the master plan Engineering Controls (recommended in alternatives, not in place) • Land covers • Fencing • Signage LTM Groundwater Monitoring Frequency N/A Remedy Timeline The remedial decision has not been made at this time. Inspection Frequency All alternatives would require a CERCLA 121c Five-Year Review once the remedial decision has been selected. Annual Inspections or Certifications Not determined at this time. August 2024 Draft Final Land Use Control Implementation Plan United States Army Environmental Command and Tooele Army Depot South Contract No.: W9124J-23-C-0018 Appendix B-2: Tooele Army Depot South AOC Sites with Anticipated LUCs 6 SWMU-21/22 49245.1011, TEAD(S)-15 Site Description Incendiary Washout Operations/Incendiary Washout Basin, Bldg. S-554 Regulatory Driver RCRA Physical Characteristics Six adjacent concrete washout basins were once present at this SWMU. The area of these washout basins totaled approximately 40 x 60 x 15 ft deep. History of Contamination Building S-554 was used from the 1940s to the late 1950s as the site for washing out incendiary munitions. During that time frame this building was also used for the demilitarization of ammunitions and any contaminated wastewater associated with these operations was then channeled into a concrete drain. A unique aspect of that drain is that it could divide the flow of this discharge equally between six adjacent concrete washout basins. During the completion of Phase I RFI, the contamination of concern was identified as a leaching procedure (TCLP) - positive (barium) sludge found within the concrete basins. This investigation prompted the completion of a Phase II RFI in December 2002 and a final Corrective Measures Study (CMS) in March 2004. The actions that shortly followed the CMS was to backfill the basin in summer of 2004. After the review of all the previous RFI’s analytical data for this site indicated that chromium was detected at this SWMU in 2019. However, when those previous RFIs were being conducted it was not considered to be an issue of concern at that time. Advancements in technology now indicate that this contamination of chromium is an issue and may be a contributing factor to a regional hex chromium issue. It should be noted that hex chromium has been detected in groundwater at wells located directly downgradient from this SWMU. The primary COC associated with this SWMU is hexavalent chromium. However, there are elevated levels of the following metals such as cadmium, lead, and barium. August 2024 Draft Final Land Use Control Implementation Plan United States Army Environmental Command and Tooele Army Depot South Contract No.: W9124J-23-C-0018 Appendix B-2: Tooele Army Depot South AOC Sites with Anticipated LUCs 7 SWMU-21/22 49245.1011, TEAD(S)-15 Media Soil and groundwater Corrective Action Objectives N/A Corrective Action Selection N/A Current and Future Land Use Industrial Institutional Controls N/A Engineering Controls N/A Groundwater Monitoring Frequency (LTM) N/A Remedy Timeline N/A Inspection Frequency In RFI currently Annual Inspections or Certifications N/A August 2024 Draft Final Land Use Control Implementation Plan United States Army Environmental Command and Tooele Army Depot South Contract No.: W9124J-23-C-0018 Appendix B-2: Tooele Army Depot South AOC Sites with Anticipated LUCs 8 SWMU-39 No CRL or AEDBR Name. Site Description AOC 24 Building 1873 and Dry Well Regulatory Driver RCRA Permit, 2020 RFI Phase II (under name AOC 24), 2019 Physical Characteristics SWMU-39, formerly the AOC 24, contains Building 1873 (also known as Building 2005), conveyance piping, and dry well. It occupies less than 0.1 acres within Area 10, the northwestern quadrant of TEAD-S. History of Contamination Building 1873 contained two paint booths. Wastewater from operations was conveyed through approximately 70 feet of 4-inch cast iron pipe to the dry well east of the building. The dimensions of the dry well were 4 feet by 4 feet by 4 feet. The base of the well is six feet below grade, and 2 feet of earthen fill on the top brings the area up to grade. Paint booth operations were documented from 1951 through 1975 and included the dry well. The paint booths in Building 1873 were used for sandblasting and painting chemical agents for one-ton containers. While these booths were used, solid particulate matter and waste fluids would have been captured within them. Based upon the illustrations for these operations, it is still unclear if the liquid waste (treated or untreated) from these paint booths drained into the corresponding dry well outside this building. The 2017 Phase I RFI found PAHs and metals in the subsurface soils. The 2019 Phase II RFI included removing the conveyance pipe and further soil sampling. The groundwater depth of 47 feet created obstacles for sampling via direct push. Ultimately, the low precipitation and lack of surface water mitigated risk pathways for groundwater contamination. Samples were collected with findings of metals and PAHs; however, they do not meet the criteria for an industrial-use COC. Media Soil Corrective Action Objectives Not listed. August 2024 Draft Final Land Use Control Implementation Plan United States Army Environmental Command and Tooele Army Depot South Contract No.: W9124J-23-C-0018 Appendix B-2: Tooele Army Depot South AOC Sites with Anticipated LUCs 9 SWMU-39 No CRL or AEDBR Name. Corrective Action Selection Recommend Industrial closure with LUCs Current and Future Land Use Industrial Institutional Controls per Permit • Removal and reusing soil from this site is prohibited unless approved via an excavation permit. • Land use restrictions risks, industrial use. • Notation in master plan. Engineering Controls (existing) • Signage LTM Groundwater Monitoring Frequency N/A Remedy Timeline The remedial decision is not in place, and no timeline currently exists. Inspection Frequency RCRA inspections are required in the TEAD-S RCRA Permit. Annual site inspections and Biennial post-closure report Annual Inspections or Certifications Yes, biennial reports are due to UDEQ. August 2024 Draft Final Land Use Control Implementation Plan United States Army Environmental Command and Tooele Army Depot South Contract No.: W9124J-23-C-0018 Appendix B-2: Tooele Army Depot South AOC Sites with Anticipated LUCs 10 SWMU-40 TBD Site Description AOC 5, Toxic Area Burial Regulatory Driver RCRA RFI Phase II, 2019 Physical Characteristics AOC 5 is approximately 150 acres in the northeastern quadrant of TEAD S, West of Montgomery Road. The AOC 5 includes three areas: a concrete structure area, a burial area, and a lead hotspot. History of Contamination AOC 5 was a former open storage yard for the surface storage of mustard shipments as they arrived from the railroad in the early 1940s. Historically, this site was used for the surface storage of ton containers and 55-gallon drums of mustard. The total area of this site covers 150 acres. However, this investigation focuses on the following three areas: concrete structure area, burial area, and lead hotspot. The concrete pad (80 feet by 40 feet) and a solid concrete structure (15 feet by 15 feet by 3 feet) atop the concrete pad have unknown origins. From the structure, two drainage pipes extend from the east and south. Three sumps associated with 8-inch underground piping are located on the structure's east, west, and south sides. One 8-inch clay pipe runs 300 feet south toward the burial field. The burial area is approximately 180 feet by 60 feet. It is located 300 feet south of the concrete slab. The lead hotspot, 13 acres, is in the southern portion of the AOC. The RFI Phase II showed that COPCs included SVOCs, Target Analyte List (TAL) metals, thiodiglycol (TDG), and Cr-VI. The concrete structure area underwent 14 exploratory trenches excavated to investigate the underground pipe further. It was not mentioned where this soil was moved to. Still, this excavation practice and the 103 soil samples collected from across this AOC represent the closest removal practice occurring for this AOC. Following the soil sampling analysis, several metals such as copper, hexavalent chromium, manganese, and iron were August 2024 Draft Final Land Use Control Implementation Plan United States Army Environmental Command and Tooele Army Depot South Contract No.: W9124J-23-C-0018 Appendix B-2: Tooele Army Depot South AOC Sites with Anticipated LUCs 11 SWMU-40 TBD identified as COPCs within the soil near the concrete structure area. No COPCs have exceeded PALs within the surface soil samples collected for the burial area. However, MD was found along the surface of this region for AOC 5. COC of concern for the lead hot spot is lead, which is present within the surface soils of that region of AOC 5. Media Soil Corrective Action Objectives N/A Corrective Action Selection Recommendation (No remedial action selection) • Corrective action for lead hot spot. • Corrective action for burial area (such as engineered cap) • Further investigation of the concrete structure Current and Future Land Use Assumption Industrial Institutional Controls No LUCs are in place or per interim or final remedial decision. Engineering Controls No LUCs are in place or per interim or final remedial decision. LTM Groundwater Monitoring Frequency N/A. Remedy Timeline No remedy has been selected. Inspection Frequency No inspections are required because the investigation is still underway. Annual Inspections or Certifications N/A August 2024 Draft Final Land Use Control Implementation Plan United States Army Environmental Command and Tooele Army Depot South Contract No.: W9124J-23-C-0018 Appendix B-2: Tooele Army Depot South AOC Sites with Anticipated LUCs 12 SWMU-42 TBD Site Description AOC 3, Ladder Dip Tank Regulatory Driver RCRA RFI Phase II, 2019 Physical Characteristics AOC 3 is estimated to be a three-acre site within the northeastern quadrant of TEAD-S. It encompasses a small, shallow concrete tank used to treat wooden ladders and fence posts with a preservative. History of Contamination The concrete tank associated with AOC 3 measures approximately 12 feet long, 2 feet wide, and 8 inches deep. The exact dates and chemicals that this dip tank used are unknown. Historical assumptive chemicals include sealants with pentachlorophenol, creosote, and other preservatives. Other chemicals commonly used to treat lumber in the 1940s include chromated copper arsenate (CCA), copper, and arsenic. Three subsurface soil samples were obtained from the region adjacent to the ladder dip tank in 1997. These soil samples were analyzed for SVOCs, pesticides, herbicides, and metals. It was later concluded that the following six different metals were found at this site: arsenic, barium, chromium, copper, lead, and zinc, in addition to pentachlorophenol within the surface soil samples. The 2016 Phase I RFI investigated passive soil gas samples, XRF readings, and discrete surface and subsurface soil samples. Based on the results of this investigation, a follow-up Phase II RFI was completed in 2017 with the goals of 1.) delineating the horizontal extent and confirming the vertical extent of any retained COPCs, 2.) assessing PAHs as a potential COPC and 3.) evaluating risks to human and environmental receptors. The corrective action of a 0.02-acre area of soil was removed from this site. August 2024 Draft Final Land Use Control Implementation Plan United States Army Environmental Command and Tooele Army Depot South Contract No.: W9124J-23-C-0018 Appendix B-2: Tooele Army Depot South AOC Sites with Anticipated LUCs 13 SWMU-42 TBD COPCs include pentachlorophenol, arsenic, and C-VI in soil. No groundwater migration is a concern. Media Surface soil Corrective Action Objectives N/A Corrective Action Selection • Corrective action is needed for the areas where pentachlorophenol exceeds industrial exceedance. • Industrial closure with LUCs Current and Future Land Use Industrial Institutional Controls Recommended • Land use restriction. Engineering Controls Recommended • Mitigation to future receptors. May include signs or fencing. Groundwater Monitoring Frequency (LTM) N/A Remedy Timeline No remedy has been selected. Inspection Frequency No inspections are required because the investigation is still underway. Annual Inspections or Certifications N/A August 2024 Draft Final Land Use Control Implementation Plan United States Army Environmental Command and Tooele Army Depot South Contract No.: W9124J-23-C-0018 Appendix B-2: Tooele Army Depot South AOC Sites with Anticipated LUCs 14 SWMU-43 TBD Site Description AOC 6 Toxic Area 2, Cadmium Hot Spot Regulatory Driver RCRA RFI Phase II, 2019 Physical Characteristics SWMU 43, AOC 6 has an approximate area of 75 acres in the northwest quadrant of TEAD-S, west of Montgomery Rd. AOC 6 includes two areas, including a cadmium hotspot, 1.3 acres, and an ash area, 75 feet by 250 feet, in the southeast portion of the site. Concrete anchor blocks are present and span 10 feet (width) by 200 feet (length) apart. and contains ash and scattered debris, including that from inert AN-M50 incendiary cluster bomb parts. History of Contamination AOC 6 was historically used as the surface storage location for one-ton containers and 55-gallon drums of mustard when they arrived at TEAD-S via rail in the early 1940s. Historical images show corrugated metal storage sheds without foundations. The concrete anchor blocks used for them are still present. The 2016 RFI Phase I divided the site into 2 separate sections: the cadmium hot spot and ash piles. The remainder of this AOC was then recommended and approved for NFA. The Phase 1 RFI included a site-wide visual reconnaissance and sampling from the cadmium hot spot and ash area. The 2018 Phase II RFI was used to determine the nature and extent of contamination and risks to human health and the environment. The investigations concluded that the ash area would require corrective action on 0.83 acres up to 0.5 feet below grade on the surface where visible ash Cadmium is present in hot spots in surface soils at risk to residents and construction workers. Groundwater migration is not a concern. The COPCs for this AOC are associated with elevated cadmium and arsenic (ash pile). Media Soil Corrective Action Objectives Not provided. August 2024 Draft Final Land Use Control Implementation Plan United States Army Environmental Command and Tooele Army Depot South Contract No.: W9124J-23-C-0018 Appendix B-2: Tooele Army Depot South AOC Sites with Anticipated LUCs 15 SWMU-43 TBD Corrective Action Selection Work plan to address elevated cadmium in hot spots and ash piles. Current and Future Land Use Assumption Industrial Institutional Controls No LUCs are mentioned as interim or remedial decision Engineering Controls No LUCs are mentioned as interim or remedial decision Groundwater Monitoring Frequency (LTM) N/A Remedy Timeline No remedy has been selected. Inspection Frequency No inspections are required because the investigation is still underway. Annual Inspections or Certifications N/A August 2024 Draft Final Land Use Control Implementation Plan United States Army Environmental Command and Tooele Army Depot South Contract No.: W9124J-23-C-0018 Appendix B-2: Tooele Army Depot South AOC Sites with Anticipated LUCs 16 SWMU-45 TBD Site Description AOC 8 Classification Yard Regulatory Driver RCRA RFI Phase II, 2019 Physical Characteristics AOC 8 is 2.8 acres located within the northwestern quadrant of TEAD-S. History of Contamination AOC 8 is the former classification yard for munitions shipments via rail spur that ran north to south. This rail spur was the central receiving and distribution point for all munitions transported to the installation. When trains were unloaded, the dunnage and debris from these railcars were often burned near the railroad tracks, creating ash piles. In 2016, a Phase I RFI investigation was conducted for this AOC. During this investigation, a reconnaissance of 80 acres was conducted, and XRF screening for ash within this area was undergone, collecting discrete soil and ash material samples. The results of this investigation allowed the area of this AOC to be reduced to its current area of 2.8 acres, based upon where these ash piles are present. The surrounding area of this AOC was then recommended and approved by NFA. During a Phase II investigation, the ash piles remaining from these activities were divided into either the north or south ash piles. The Phase II RFI was completed for this newly modified AOC in 2017 and 2018. The objectives were to assess the nature and extent of soil and groundwater contamination, complete data collection to support a human health and ecological risk assessment, and lastly to collect sufficient information to support the evaluation process for the recommended corrective measures. During a previous site investigation, a rusted and deteriorated 55-gallon drum was found within the southern portion of this AOC. That drum was later removed from this AOC during Phase II activities. Soil samples were collected and analyzed from just below where this drum rested. These results indicated; this deteriorated drum was acceptable for disposal as a scrap metal source. August 2024 Draft Final Land Use Control Implementation Plan United States Army Environmental Command and Tooele Army Depot South Contract No.: W9124J-23-C-0018 Appendix B-2: Tooele Army Depot South AOC Sites with Anticipated LUCs 17 SWMU-45 TBD COPCs are dioxin/furans, naphthalene, and arsenic in soil. Arsenic is limited to ash piles. COPCs in groundwater include naphthalene and dioxins/furans. Media Groundwater and soil Corrective Action Objectives • Address risk from exposure to surface soils by future residents and industrial and construction workers. • Address the migration of naphthalene in groundwater. • Confirmation sampling of dioxins/furans, arsenic, and naphthalene. Corrective Action Selection AOC 8 requires a work plan with corrective action for 0.13 in the North and 0.3 acres in the South areas. Current and Future Land Use Industrial Institutional Controls No interim or remedial LUCs are mentioned. Engineering Controls No interim or remedial LUCs are mentioned. LTM Groundwater Monitoring Frequency N/A. The current investigation is ongoing. Remedy Timeline No remedy has been selected. Inspection Frequency No inspections are required because the investigation is still underway. Annual Inspections or Certifications N/A August 2024 Draft Final Land Use Control Implementation Plan United States Army Environmental Command and Tooele Army Depot South Contract No.: W9124J-23-C-0018 Appendix B-2: Tooele Army Depot South AOC Sites with Anticipated LUCs 18 SWMU-48 TBD Site Description AOC 27 Classification Yard Access Road Burial Regulatory Driver RCRA RFI Phase II, 2019 Physical Characteristics AOC 27 occupies 0.4 acres. The scattered surface debris indicates a disposal or burial site. The mound is 8 feet tall and covers an irregular-shaped area 220 feet by 100 feet in the northwestern quadrant of TEAD-S. It is located along the south side of the access road to AOC 8. History of Contamination AOC 27 has an unknown history outside of the relationship with AOC 8. Debris found at the site includes concrete blocks and ceramic tile, cinderblocks, boards, paint cans, mask cartridges, melted metal, cable, rail ties, stained soil, and asbestos-containing material have all been found. The 2016 Phase I RFI is the first investigation on record. It included multi-media (soil gas, soil, groundwater) sampling, geophysical survey, and trenching. The metallic debris discovered was related to construction and debris. Elevated concentrations of metals and dioxins/furans led to a Phase II RFI to determine the nature, extent, and risks. The Phase II investigation confirmed the horizontal extent and assessed the groundwater. COPCs include TAL metals and dioxin/furans. The groundwater was also tested for VOCs and SVOCs. The investigations concluded that risks in soil are unacceptable for residents. TCE and metals were found in groundwater. COCs include metals, dioxins, and furans in the soil. Groundwater COCs include TCE. Media Groundwater and Soil Corrective Action Objectives N/A Corrective Action Selection Corrective action is needed to protect groundwater standards. Current and Future Land Use Industrial Institutional Controls No interim or remedial LUCs are mentioned. August 2024 Draft Final Land Use Control Implementation Plan United States Army Environmental Command and Tooele Army Depot South Contract No.: W9124J-23-C-0018 Appendix B-2: Tooele Army Depot South AOC Sites with Anticipated LUCs 19 SWMU-48 TBD Engineering Controls • Groundwater monitoring well bollards and concrete pad (existing) • All others are TBD. LTM Groundwater Monitoring Frequency N/A. The current investigation is ongoing. Remedy Timeline No remedy has been selected. Inspection Frequency No inspections are required because the investigation is still underway. Annual Inspections or Certifications N/A August 2024 Draft Final Land Use Control Implementation Plan U.S. Army Environmental Command and Tooele Army Depot South Contract No.: W9124J-23-C-0018 APPENDIX C-2 – Tooele Army Depot South AOC LUCIP Photo Log August 2024 Draft Final Land Use Control Implementation Plan United States Army Environmental Command and Tooele Army Depot South Contract No.: W9124J-23-C-0018 Appendix C-1: Tooele Army Depot South LUCIP Photo Log 1 Photo #1 Site Name SWMU-1 AEDBR Name DCD-002-R-01 Site Description Eastern Demilitarization/ Disposal Area CRL ID 49245.1032 Date 05/07/2024 Comments: SWMU 1 engineering controls with a locked gate, fence, and sign. The signage states, “SWMU #1 Do not disturb site unless authorized by the TEAD Environmental Office EXT 4434”. Photo #2 Site Name SWMU-1 AEDBR Name DCD-002-R-01 Site Description Eastern Demilitarization/ Disposal Area CRL ID 49245.1032 Date 05/07/2024 Comments: Zoom to sign. The signage states, “SWMU #1 Do not disturb site unless authorized by the TEAD Environmental Office EXT 4434”. August 2024 Draft Final Land Use Control Implementation Plan United States Army Environmental Command and Tooele Army Depot South Contract No.: W9124J-23-C-0018 Appendix C-1: Tooele Army Depot South LUCIP Photo Log 2 Photo #3 Site Name SWMU-9 AEDBR Name TEAD(S)-09 Site Description Area 2- Salvage Yard and Old Area 2 CRL ID 49245.1006 Date 05/07/2024 Comments: SWMU 9 engineering controls include a locked gate, a chain-linked fence surrounding this SWMU, and a sign. The signage states SWMU #9 Do not disturb site unless authorized by the TEAD Environmental Office EXT 4434”. Photo #4 Site Name SWMU-9 AEDBR Name TEAD(S)-09 Site Description Area 2- Salvage Yard and Old Area 2 CRL ID 49245.1006 Date 05/07/2024 Comments: SWMU 9 zoom into sign. SWMU #9 Do not disturb site unless authorized by the TEAD Environmental Office EXT 4434”. August 2024 Draft Final Land Use Control Implementation Plan United States Army Environmental Command and Tooele Army Depot South Contract No.: W9124J-23-C-0018 Appendix C-1: Tooele Army Depot South LUCIP Photo Log 3 Photo #5 Site Name SWMU-13 AEDBR Name CC-001 Site Description Chemical Agent Munitions Destruction (CAMDS) Facility CRL ID 49245.1034 Date 05/07/2024 Comments: SWMU 13 engineering controls include a chain-linked fence surrounding this SWMU, a locked gate, and a sign. The signage states SWMU #13 Do not disturb site unless authorized by the TEAD Environmental Office EXT 4434”. Photo #6 Site Name SWMU-19 AEDBR Name TEAD(S)-28 Site Description Building 533 Empty Drum Storage CRL ID 49245.1023 Date 05/07/2024 Comments: Signage is visible at this SWMU 19 and states, “SWMU #19 Do not disturb site unless authorized by the TEAD Environmental Office EXT 4434”. The concrete pad is visible in the picture. August 2024 Draft Final Land Use Control Implementation Plan United States Army Environmental Command and Tooele Army Depot South Contract No.: W9124J-23-C-0018 Appendix C-1: Tooele Army Depot South LUCIP Photo Log 4 Photo #7 Site Name SWMU-25 AEDBR Name DCD-006-R-01 Site Description Western Demilitarization Area and Disposal Pit CRL-ID 49245.1030 Date 05/07/2024 Comments: This SWMU has restricted access to it, as seen via a locked gate and a perimeter barbed wire fence surrounding it. There is also signage posted at this SWMU. The signage states, “SWMU #25 Do not disturb site unless authorized by the TEAD Environmental Office EXT 4434”. Photo #8 Site Name SWMU-25 AEDBR Name DCD-006-R-01 Site Description Western Demilitarization Area and Disposal Pit CRL-ID 49245.1030 Date 05/07/2024 Comments: Zoom to sign. The signage states, “SWMU #25 Do not disturb site unless authorized by the TEAD Environmental Office EXT 4434”. Photo #9 Site Name SWMU-26 AEDBR Name TEAD(S)-17 August 2024 Draft Final Land Use Control Implementation Plan United States Army Environmental Command and Tooele Army Depot South Contract No.: W9124J-23-C-0018 Appendix C-1: Tooele Army Depot South LUCIP Photo Log 5 Site Description Sanitary Landfill CRL-ID 49245.1013 Date 05/07/2024 Comments: SWMU 26 has a locked gate, barbed wire fence, and sign. Signage is visible at SWMU 26 and states, “SWMU #26 Do not disturb site unless authorized by the TEAD Environmental Office EXT 4434”. August 2024 Draft Final Land Use Control Implementation Plan United States Army Environmental Command and Tooele Army Depot South Contract No.: W9124J-23-C-0018 Appendix C-1: Tooele Army Depot South LUCIP Photo Log 6 Photo #10 Site Name SWMU-26 AEDBR Name TEAD(S)-17 Site Description Sanitary Landfill CRL-ID 49245.1013 Date 05/07/2024 Comments: Zoom to sign “SWMU #26 Do not disturb site unless authorized by the TEAD Environmental Office EXT 4434”. Photo #11 Site Name SWMU-28 AEDBR Name TEAD(S)-19 Site Description Inactive Landfill CRL ID 49245.1015 Date 05/07/2024 Comments: SWMU 28 has a gravel cap. Signage is visible at SWMU 28 and states, “SWMU #28 Do not disturb site unless authorized by the TEAD Environmental Office EXT 4434”. August 2024 Draft Final Land Use Control Implementation Plan United States Army Environmental Command and Tooele Army Depot South Contract No.: W9124J-23-C-0018 Appendix C-1: Tooele Army Depot South LUCIP Photo Log 7 Photo #12 Site Name SWMU-29 AEDBR Name TEAD(S)-20 Site Description Borrow Pit (anomaly avoidance) CRL ID 49245.1016 Date 05/07/2024 Comments: This is an anomaly avoidance site, so no further action is occurring here, and no ground water monitoring is occurring for this SWMU. Signage is visible at SWMU 29 and states, “SWMU #29 Do not disturb site unless authorized by the TEAD Environmental Office EXT 4434”. Photo #13 Site Name SWMU-33 AEDBR Name TEAD(S)-30 Site Description Building 536 Old CAMDS Salt Storage CRL ID 49245.1025 Date 05/07/2024 Comments: SWMU includes the building within the background. The inside of the building floor has been capped with asphalt. There is a ditch that runs parallel to this building, and it is a known hexavalent chromium hotspot. Signage is visible at SWMU 33 and states, “SWMU #33 Do not disturb site unless authorized by the TEAD Environmental Office EXT 4434”. August 2024 Draft Final Land Use Control Implementation Plan United States Army Environmental Command and Tooele Army Depot South Contract No.: W9124J-23-C-0018 Appendix C-1: Tooele Army Depot South LUCIP Photo Log 8 Photo #15 Site Name SWMU-47 AEDBR Name Or Site ID TEAD(S)-46 AOC 23 Site Description Building 4553 Bomb Renovation Building Evaporation Pond CRL ID TBD Date 05/07/2024 Comments: Location of evaporation pond on land adjacent to Building 4553. No signage or fence was present for this SWMU. Photo #14 Site Name SWMU-33 AEDBR Name TEAD(S)-30 Site Description Building 536 Old CAMDS Salt Storage CRL ID 49245.1025 Date 05/07/2024 Comments: SWMU 33 backside of building with ditch. Sign states “SWMU #33 Do not disturb site unless authorized by the TEAD Environmental Office EXT 4434”. August 2024 Draft Final Land Use Control Implementation Plan U.S. Army Environmental Command and Tooele Army Depot South Contract No.: W9124J-23-C-0018 APPENDIX D – Example Post-Closure Inspection Checklist August 2024 Draft Final Land Use Control Implementation Plan United States Army Environmental Command and Tooele Army Depot South Contract No.: W9124J-23-C-0018 Appendix C-2: Tooele Army Depot South AOC LUCIP Photo Log 1 Photo #1 Site Name DCD-001-R-01 AEDBR Name Or Site ID DCD-001-R-01 Site Description Combat Training Area CRL ID 49245.1028 Date 05/07/2024 Comments: Land cover at the Combat Training Area AOC. Photo #2 Site Name DCD-004-R-01 AEDBR Name Or Site ID DCD-004-R-01 Site Description Old Demolition Pit CRL ID 49245.1029 Date 05/07/2024 Comments: Land cover at Old Demolition Pit AOC. August 2024 Draft Final Land Use Control Implementation Plan United States Army Environmental Command and Tooele Army Depot South Contract No.: W9124J-23-C-0018 Appendix C-2: Tooele Army Depot South AOC LUCIP Photo Log 2 Photo # 3 Site Name SWMU-21/22 AEDBR Name TEAD(S)-15 Site Description Incindiary Washout Operations/ Incindiary Washout Basin, Building 554 CRL-ID 49245.1011 Date 05/07/2024 Comments: Side of building associated with incendiary washout operations and washout basin. Signage states “SWMU #21 Do not disturb site unless authorized by the TEAD Environmental Office EXT 4434. Photo #4 Site Name SWMU-39 AEDBR Name Or Site ID AOC 24 Site Description Building 1873 and Dry Well CRL ID Not Assigned Date 05/07/2024 August 2024 Draft Final Land Use Control Implementation Plan United States Army Environmental Command and Tooele Army Depot South Contract No.: W9124J-23-C-0018 Appendix C-2: Tooele Army Depot South AOC LUCIP Photo Log 3 Comment: SWMU 39 is the only AOC requiring inspections in RCRA Permit. Engineered land cover and signage are visible in the picture. Signage states “SWMU 39 Do not disturb site unless authorized by TEAD Environmental Office EXT 4434”. August 2024 Draft Final Land Use Control Implementation Plan United States Army Environmental Command and Tooele Army Depot South Contract No.: W9124J-23-C-0018 Appendix C-2: Tooele Army Depot South AOC LUCIP Photo Log 4 Photo #5 Site Name SWMU-40 AEDBR Name Or Site ID AOC 5 Site Description Toxic Burial Area CRL ID Not assigned Date 05/07/2024 Comments: The land cover at the toxic burial area shows sunken ground, and various scrap metal (MEC) was present. Currently, no signage or fence is present for this SWMU. Photo #6 Site Name SWMU 40 AEDBR Name Or Site ID AOC 5 Site Description Toxic Burial Area CRL ID Not assigned Date 05/07/2024 Comments: Zoom into ground debris at SWMU 40/ AOC 5 August 2024 Draft Final Land Use Control Implementation Plan United States Army Environmental Command and Tooele Army Depot South Contract No.: W9124J-23-C-0018 Appendix C-2: Tooele Army Depot South AOC LUCIP Photo Log 5 Photo #7 Site Name SWMU-42 AEDBR Name Or Site ID AOC 3 Site Description Ladder Dip Tank CRL-ID Not Assigned Date 05/07/2024 Comments: Concrete structure at SWMU where ladder dipping operations took place. Photo #8 Site Name SWMU-43 AEDBR Name AOC 6 Site Description Toxic Area 2, Cadmium hot spot CRL ID Not Assigned Date 05/07/2024 Comments: Wooden remnants on site of AOC 6. August 2024 Draft Final Land Use Control Implementation Plan United States Army Environmental Command and Tooele Army Depot South Contract No.: W9124J-23-C-0018 Appendix C-2: Tooele Army Depot South AOC LUCIP Photo Log 6 Photo #9 Site Name SWMU-45 AEDBR Name AOC 8 Site Description Classification Yard CRL-ID Not Assigned Date 05/07/2024 Comments: SWMU land cover shows ash piles. No signage or fence was present for this SWMU. Photo #10 Site Name SWMU-48 AEDBR Name Or Site ID AOC 27 Site Description Classification Yard and Burial CRL ID Not assigned Date 05/07/2024 Comments: SWMU land cover and a picture of one of three groundwater wells are included within this SWMU. There is no fencing or signage present. Tooele Army Depot-South Area Module VI – Post-Closure Conditions June 11, 2020 FORM A Page 1 FORM A GENERAL POST-CLOSURE SITE INSEPCTION CHECKLIST Industrial Closure/Industrial Use Sites Site: Date: 1. List any site-specific inspection requirements outlined in the Site Post Closure Plan and any special tracking conditions in Module VI Table 2. _____________________________________________________________________________________ _____________________________________________________________________________________ _____________________________________________________________________________________ 2. Inspect the site and surrounding land use. Does the area remain in industrial use? Yes No* *If no, notify the TEAD-S Environmental Office to determine the appropriate course of action. Comments:___________________________________________________________________________ _____________________________________________________________________________________ _____________________________________________________________________________________ 3. Were any dig permits issued for this site since the last inspection? Yes* No *If yes, notify the TEAD-S Environmental Office to determine the appropriate course of action. 4. Are posted warning signs, security measures, and/or perimeter fencing and locks in good condition and in place? Yes No* *If no, notify the TEAD-S Environmental Office to determine the appropriate course of action. If the fence is damaged; mark the area of fence needing repair. 5. Is there any soil disturbance in the vicinity of the site? (This may also include conditions of roads up to site: significant potholes and/or erosion.) Yes* No *If yes, verify any change to the site and describe excavation or other activities. Notify the TEAD-S Environmental Office to determine the appropriate course of action. Comments:___________________________________________________________________________ _____________________________________________________________________________________ _____________________________________________________________________________________ 6. Is there any orphan waste at the site? Yes* No SWMU 26 ,QGXVWULDO XVH RQO\ 1R JURXQGZDWHU PRQLWRULQJ UHTXLUHG QR VSHFLDO WUDFNLQJ UHTXLUHPHQWV LQ MRGXOH ,9 7DEOH 1923 Tooele Army Depot-South Area Module VI – Post-Closure Conditions June 11, 2020 FORM A Page 2 *If yes, notify the TEAD-S Environmental Office to determine the appropriate course of action. Comments:___________________________________________________________________________ _____________________________________________________________________________________ _____________________________________________________________________________________ Comments:___Paint touched up on all wells with red spray paint.________________________________ _____________________________________________________________________________________ _____________________________________________________________________________________ Name of Inspector: C. Holt, J. Haydock Company:_Brice Engineering ________________________________ Signature of Inspector: _____________________________________ Time and Date of Inspection: 1015 9-19-23________ Site Location: SWMU 26 7.Verify the security of Groundwater Monitoring Wells – (are caps intact, securely locked, etc.) Groundwater wells were inspected: •S-38-90 - stenciling, pad, cap, bollards, and lock, all in good condition •S-39-90 - stenciling, pad, cap, bollards, and lock, all in good condition •S-40-90 - stenciling, pad, cap, bollards, and lock, all in good condition •S-118-90 - stenciling, cap, and lock, all in good condition. •S-124-13 - stenciling, pad, cap, bollards, and lock, all in good condition •S-150-20 - stenciling, pad, cap, bollards, and lock, all in good condition •S-41-90 - stenciling, pad, cap, bollards, and lock, all in good condition SWMU 26 Signage SWMU 26 Gate S-38-90 S-39-90 S-40-90 S-118-90 S-124-13 S-150-20 S-41-90 Tooele Army Depot-South Area Module VI – Post-Closure Conditions June 11, 2020 FORM B Page 1 FORM B - GENERAL POST-CLOSURE SITE INSEPCTION CHECKLIST Landfill Sites Site: Date: 1. List any site-specific inspection requirements outlined in the Site Post Closure Plan. _________________________________________________________________________________ _________________________________________________________________________________ ___________________________________________________________________________ ATTENTION: Verbal notification (direct communication or voice mail) within 24-Hours MUST be provided to the TEAD-S Environmental Office on information concerning any non-compliance (for example: extreme erosion, burrowing into buried debris, or ponding on landfill cover footprint), which may endanger public drinking water supplies, human health, or the environment. 2. Purpose of Inspection: a. Routine Annual b. Contingency (Storm Event, Fire, Earthquake, etc.) circle one. c. Other _________________________________________________ 3. Have the inspectors completed training as required by permit condition VI.K? Yes No 4. Are there open holes in the soil of the landfill cover footprint that may be caused by burrowing animals and potentially lead to a compromise of the integrity of the system that can not be mitigated during the site inspection? Yes * No * If yes, coordinate with the TEAD-S Environmental Office to determine the appropriate course of action. Comments: SWMU 26 Signage to be on the East and West sides along with all entry points; general site conditions (refer to Section 6.1.1 of post closure plan; integrity of rock cover; and soil erosion controls (refer to Section 6.2.1 of the post closure plan). 9/19/2023 Tooele Army Depot-South Area Module VI – Post-Closure Conditions June 11, 2020 FORM B Page 2 5. Are there noticeable depressions or ponding of surface water on the landfill cover footprint that could compromise the integrity of the landfill cover system? Yes * No * If yes, coordinate with the TEAD-S Environmental Office to determine the appropriate course of action. Comments: 6. Are there large (more than two inches wide) cracks or rills in the soil cover that may lead to a compromise in the integrity of the cover system? Yes * No * If yes, coordinate with the TEAD-S Environmental Office to determine the appropriate course of action. Corrective action may include placing a “watch status” on the area for future evaluation, filling in the eroded or cracked area, investigating the cause of erosion, and regrading slopes. Comments: 7. Inspect the survey monuments. Are they intact and legible? Yes No * * If no, coordinate with the TEAD-S Environmental Office to determine the appropriate course of action. Comments: 8. Inspect the survey monuments. Is there evidence of erosion or subsidence in the vicinity of the monument (ponding, cracks, rills, or uneven terrain)? Yes * No * If yes, coordinate with the TEAD-S Environmental Office to determine the appropriate course of action. Comments: Not Applicable Not Applicable Tooele Army Depot-South Area Module VI – Post-Closure Conditions June 11, 2020 FORM B Page 3 9. Is re-surveying of monuments necessary, based on the time since the cover was installed or the answer to Questions 7 & 8 above (i.e, is there visual evidence of significant settling)? Yes * No *If yes, coordinate with the TEAD-S Environmental Office to arrange resurvey the monument and note if the survey monument position is significantly different in any direction from the coordinates listed in the appropriate site-specific Module VI attachment and to establish magnitude of movement. Comments: 10. Are any trees, shrubs or other vegetation present on the landfill cover that can not be mitigated (removed) during the inspection? Yes * No * If yes, coordinate with the TEAD-S Environmental Office to determine the appropriate course of action. Comments: 11. Are posted signs in place and in good condition (legible)? Yes No * * If no, coordinate with the TEAD-S Environmental Office to determine the appropriate course of action. 12. Inspect areas that channel water runoff at the site, including ditches and slope edges. Are there signs of excessive erosion (rutting 1-ft wide by 1-ft deep) from storm water runoff? Yes * No * If yes, coordinate with the TEAD-S Environmental Office to determine the appropriate course of action. Comments: Tooele Army Depot-South Area Module VI – Post-Closure Conditions June 11, 2020 FORM B Page 4 Comments: 13. Inspect the access road leading to the site. Are there significant potholes and/or erosion preventing access to the site? Yes * No * If yes, coordinate with the TEAD-S Environmental Office to determine the appropriate course of action. Comments: 14. Were there any problems obtaining access to the site? Yes No Comments: 15. Were any orphan wastes found inside or nearby the site? Yes * No * If yes, notify the TEAD-S Environmental Office immediately (within 24-hours) to determine appropriate measures for management of the waste. Comments: 16. Additional Notes (Sketches, time, temperature, wind direction, and other observations), attach additional sheets as needed. Tooele Army Depot-South Area Module VI – Post-Closure Conditions June 11, 2020 FORM B Page 5 Is a location map showing location of deficiencies and/or watch items attached? Yes No Groundwater wells were inspected: •S38-90 - stenciling visible and well locked •S-39-90 - stenciling visible and well locked •S40-90 - stenciling visible and well locked •S118-90 - stenciling visible and well locked •S124-13 - stenciling visible and well locked •S150-20 - stenciling visible and well locked •S41-90 - stenciling visible and well locked Name of Inspector: C. Holt, J. Haydock Company:_Brice Engineering Signature of Inspector: _____________________________________ Time and Date of Inspection: 1015 9-19-23________ Site Location: SWMU 26 August 2024 Draft Final Land Use Control Implementation Plan U.S. Army Environmental Command and Tooele Army Depot South Contract No.: W9124J-23-C-0018 APPENDIX E – Excavation Permit, Form D TEAD-S LUCIP RCRA Permit Dig Permit Coordination RCRA Permit, 2020 Appendix E Form D 1 FORM D EXCAVATION PERMIT COORDINATION This Excavation Permit form shall be used by the Facility contractor or Facility personnel prior to beginning any excavations. I. Procedures: a. The Excavation Requester shall begin the process for an excavation permit as early in the project's development as possible to ensure the acceptability of the proposed work and site and avoid complications from approval delay. b. The request will indicate any critical time constraints and be accompanied by three items: 1) A detailed map of the area showing where the undertaking will occur. 2) A larger-scale small map or sketch showing the dimensions and depth of the proposed excavation along with distances and orientations from local landmarks. 3) Name, telephone number, and email (if applicable of a point of contact designated by the Excavation Requester). c. These documents shall be forwarded to appropriate reviewers with suspense for comments. d. The reviewers will be provided two weeks to review the requested documents. At the end of that time, a signed approval form or detailed explanation of the problems and issues will be due back to the requester. e. After notification of approval of the excavation permit, the excavation requestor will notify the blue stake teams of the projected start dates. A 48-hour advance notice is needed so that the blue staking can be in place before the start of the excavation. The excavation requestor has the responsibility to mark the extent of the excavation and protect the markings through blue stake procedures and excavation. f. An approved Excavation Permit will be valid for the period of the project as identified. g. An excavation permit for a new project within the limits of a previous metal sweep can be granted without an additional metal sweep if a site visit produces no indications of additional hazards having been introduced to the site. Exemptions: The following are the only approved excavations that can be performed without an approved Excavation Permit. a. Removal of material from existing gravel or borrow pits, within the marked limits of a previously cleared Excavation Permit. b. Excavations within the marked limits of a previously cleared excavation permit are exempt from the requirement to obtain an additional metal sweep. TEAD-S LUCIP RCRA Permit Dig Permit Coordination RCRA Permit, 2020 Appendix E Form D 2 Comment #:Location of Comment in Document:Comment:Commentor:Response to Comment/CNES:Follow-up Question:Question for Installation:Installation Response to Question:Response to Changes Made to Initial Comment: Figures Combined Comment 1 - Add Figure for SWMU 47/ AOC 23 Comment 8 - Figure 16 (1) Create a separate figure for AOC 23 (Bldg 533 Bomb Renovation) (8) Include boundary of dry well (drawing)CJ 1-Make sure Figure 3 updated Figure 15 will be SWMU 21/22 Figure 16 will be SWMU 47/ AOC 23 (does this match Table 1?), matched to table 1* Three figures have been made for TEAD-S. These figures contain the following changes: 1.) Figure 15 reflects SWMU 21/22, TEAD(S)-15. 2.) Figure 16 includes the dry well associated with SWMU 39, AOC 24. 3.) Figure 21 reflects SWMU 47, AOC 23, TEAD(S)- 46. 1 List of Figures/Tables/Appendices Comment pertains to Figure 15 AOC 23 is separate site known as Bldg 553 Bomb Renovation Bldg Evaporation Pond. SWMU 47. CRL ID TBD and Regulatory Driver: TBD. It is not part of SWMU 21/22.N/A Figures addressed in Figure combined. Update Table 1, Section 2, Appendix B-2 Need to create a "new" Figure 15 that just shows the location of SWMU 21/22. Need to create a new figure that corresponds with AOC 23. Relabel the figures within the table of contents once these two images are edited/created. 2 Table 2, SWMU 21/22 AOC 23 is separate site known as Bldg 553 Bomb Renovation Bldg Evaporation Pond. SWMU 47. CRL ID TBD and Regulatory Driver: TBD. It is not part of SWMU 21/22.N/A Need to add in another line into table 2 to account for AOC 23 being its own site.Y According to the recent IAP, this site needs further investigation and the RFI Phase I did not have enough info provided for it. With that being said, would we still want to include it within this draft of the LUCIP? A new row has been added to table 1 to include information for SWMU 21/22. Row in table 2 that initial had SWMU 21/22 associated with AOC 23 has been updated and modified at this time. 3 1.4 Army Cleanup Process The TEAD-S Permit Number is UT5210090002 (see permit signature page). The DSHW referenced number is a document file number assigned by DSHW for one of the modules.N/A This permit ID has been updated from the original DSHW one to the newly provided UT one. 4 2.2 Land Use Control Summary The TEAD-S Permit Number is UT5210090002 (see permit signature page). The DSHW referenced number is a document file number assigned by DSHW for one of the modules.N/A This permit ID has been updated from the original DSHW one to the newly provided UT one. 5 2.3 Sites with Land Use Controls AOC 23 (SWMU 47) is not associated with TEAD(S)-15 (SWMU 21/22) and is a separate site.N/A Omit AOC 23 from any association with SWMU 21/22. Portion of draft final has been updated. At this time, it reads as TEAD(S)-15 (SWMU 21/22), AOC 23 (SWMU 47). 6 2.3.2 TEAD-S Areas of Concern (Anticipated or Interim LUCs) SWMU 48 SWMU 47, AOC 23 is missing from the list with its associated site description.N/A Add in background information for AOC 23 within this section of the LUCIP draft final. The list for this portion of the draft final LUCIP has been modified, so that SWMU 21/22 (TEAD(S)-15) has been removed from the list for AOC and SWMU 47 for AOC 23 has been added within the appropriate numerical order to this list and has included the appropriate background history for this SWMU. 7 Table 3, Task (RCRA Post Closure Plant Annual Inspections and Reports every two years)Delete "t" to read Post Closure Plan.N/A Update. Portion of table 3 now reads as "RCRA Post Closure Plan…" 8 Figure 16 (SWMU 39/AOC 24) Please include in boundary the dry well (see attached drawing).TJ Update. New figure has been created for this SWMU highlighting where dry well is located in relation to building. 9 Appendix A-1 SWMU 25 Should be same as DCD-002-R-01.TJ Need clarification on this matter, so the changes in year for this given site will be the same as that of DCD-002-R-01 (Groundwater Monitoring Plan (GMP) only)? SWMU 25 has been updated within appendix A-1 to reflect this change. 10 Appendix A-1 SWMU 29 Should be "in" RCRA Permit.N/A Need to replace "on" to "in". Grammar modification has been made within this table. 11 Appendix A-2 SWMU 21/22 AOC 23 is Building 4553 Bomb Renovation Bldg Evaporation Pond is not associated with TEAD(S)-15 or Bldg S-554.N/A Need to omit AOC 23 from the descriptive name for TEAD(S)-15. Update has been made to SWMU 21/22 for Appendix A-2. 12 Appendix C-2 Photo #3 SWMU-21/22 AOC 23 is not associated with SWMU 21/22 (TEAD(S)-15). Photo is of AOC 23 Evaporation Pond and not Bldg S-554 and lagoons.N/A Need to update photo for this site and omit AOC 23 from any association with SWMU 21/22. Appendix C-2 has been updated so appropriate image is associated with SWMU 47, AOC 23. Will update Appendix C-1 to include appropriate image for SWMU 21/22.