HomeMy WebLinkAboutDERR-2025-000705
195 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
Printed on 100% recycled paper
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
ERRL-0018-25
January 27, 2025
CERTIFIED MAIL
RETURN RECEIPT REQUESTED
Eric Jenkins
Jenkins Oil
P.O. Box 1356
Cedar City, Utah 84721
Re:Corrective Action Plan Approval
Jenkins Oil, located at 395 South State Street (Highway 89), Orderville, Utah
Facility Identification No. 6000782, Release Site OIA
Dear Mr. Jenkins:
The Division of Environmental Response and Remediation (DERR) has completed its
review of the Corrective Action Plan (CAP) prepared by Rockwell Solutions, Inc., submitted to us
on June 7, 2024 for the above-referenced facility. The CAP is in general compliance with Utah
Admin. Code R311-211 and R311-202. The DERR makes no guarantee, implied or otherwise, that
the approved CAP will be successful in obtaining established cleanup levels. In the event that the
cleanup goals are not met by the CAP, further work at the facility may be required prior to site
closure consideration. The public notification process has been successfully completed and there
was not substantial public interest or other reason to warrant a public meeting prior to CAP approval
or implementation of the cleanup activities.
Due to property negotiations that took place throughout 2024, this CAP has been on hold.
These negotiations have concluded and the CAP can proceed as planned. The CAP is approved and
will consist of several phases of work. The first phase will consist of remediating the soil and
groundwater below the aboveground storage tanks (ASTs) on the Jenkins Oil property using High
Vacuum Dual Phase Extraction (HVDPE).
Additionally, the following conditions must be met: monitoring wells on the affected offsite
property will be checked for the presence of free product. If free product is discovered, HVDPE
will be used on the well in question. The projected start date as indicated in the public notification
is February 10, 2025. If this schedule has changed, please contact your project manager with
an updated implementation schedule.
Facility ID# 6000782
Page 2
Any modifications to the above CAP conditions must be reviewed and approved by the
Division Director prior to their implementation. The local health department must be notified
72-hours before beginning corrective action activities.
Cleanup levels for this release have been established as ISLs using criteria outlined in Utah
Admin. Code R311-211. These levels are expected to be protective of all receptors within a critical
distance at the site considering the current land use. It may be necessary to reevaluate the cleanup
levels if additional information becomes available or if the land use changes in the future.
CAP construction or implementation should begin within 60 days of your receipt of this
approval letter. If corrective action has not begun by March 15, 2025, a revised CAP must be
submitted for approval.
Please submit a corrective action report detailing the cleanup activities and any sample
results within 60 days after corrective action is complete. Once it has been adequately demonstrated
that contaminant concentrations are below the established cleanup levels, you may petition the
DERR for site closure. After reviewing this information, the DERR will determine if no further
action is warranted, or if additional work is needed.
If you have any questions or concerns, please contact Liberty Coe, the DERR project
manager, at (801) 536 4100.
Sincerely,
Brent H. Everett, Director
Division of Environmental Response and Remediation
BHE/LC/rr
cc: Jeremy Roberts, Environmental Health Director, Southwest Utah Public Health Department
Paul Wright, District Engineer, Utah Department of Environmental Quality
David Hansen, Certified UST Consultant, Rockwell Solutions, Inc.