HomeMy WebLinkAboutDERR-2024-008335195 North 1950 West • Salt Lake City, UT
Mailing Address: P.O. Box 144840 • Salt Lake City, UT 84114-4840
Telephone (801) 536-4100 • Fax (801) 359-8853 • T.D.D. (801) 536-4284
www.deq.utah.gov
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State of Utah
SPENCER J. COX
Governor
DEIDRE HENDERSON
Lieutenant Governor
Department of
Environmental Quality
Kimberly D. Shelley
Executive Director
DIVISION OF ENVIRONMENTAL
RESPONSE AND REMEDIATION
Brent H. Everett
Director
ERRC-085-24
June 13, 2024
Nikki Humphries
Lonestar Properties, LLC.
2208 West 700 South
Springville, Utah 84663
Re: Acceptance of Documents Under the VCP - Former Anderson Auto Wrecking #C127
2890 South State Street, Spanish Fork, Utah County
Dear Ms. Humphries:
The Division of Environmental Response and Remediation (DERR) has reviewed the
following documents as required by the provisions of the Voluntary Cleanup Program (VCP):
Materials Management Plan, March 23, 2024; and
Site Characterization Work Plan, March 23, 2024.
Based on a review of these documents, the DERR accepts the Site Characterization Work
Plan (SCWP) and the Materials Management Plan (MMP). To ensure there are no
misunderstandings moving forward, the DERR has enclosed a General Comment on the SCWP.
This comment should be addressed during the remedial phase of the project. Additionally, the
Applicant should ensure that appropriate health and safety measures and track out procedures are
implemented during any MMP activities.
Thank you for your participation in the VCP. If you have any questions, please contact me
at (801) 536-4100.
Sincerely,
Lincoln Grevengoed, Project Manager
Division of Environmental Response and Remediation
Page 2
LG/tt
Enclosure: Technical Comments
cc: Eric Edwards, Executive Director, Utah County Health Department
Jason Garrett, Environmental Health Director, Utah County Health Department
Daniel Dean, Terracon
Page 3
DERR Review Comments – Former Anderson Auto Wrecking VCP:
Site Characterization Work Plan (SCWP)
General Comment SCWP:
1.The DERR can accept the implementation of the risk analysis methods mentioned in Section
1.4.4, Risk Evaluation. Please note that final approval will depend on the actual risk assessment
strategy when it is proposed in the Remedial Action Plan. Any future plans should clearly define
what samples are considered unimpacted native soil and will be used to determine the
Background Threshold Value (BTV) for arsenic. In addition, the samples being used to calculate
the BTV should be included as an appendix to the report.
End of DERR Review Comments.