HomeMy WebLinkAboutDRC-2019-004690 - 0901a06880a4d59aEnergy Fuels Resources (USA) Inc. 225 Union Blvd. Suite 600
Lakewood, CO, US, 80228
303 974 2140
www.energyfuels.com
May 13, 2019
Sent VIA E-MAIL AND EXPRESS DELIVERY
Ty L. Howard
Director
Division of Waste Management and Radiation Control
State of Utah Department of Environmental Quality
195 North 1950 West
P.O. Box 144880
Salt Lake City, UT 84114-4880
Dfic-zo19-00Lt-090
Div of Waste Management
and Radiation Control
MAY 1 7 2019
Re: Transmittal of Plan and Time Schedule under Utah Ground Water Discharge Permit
UGW370004 Part I.G.4 (c) White Mesa Mill (the "Mill")
Dear Mr. Howard:
This letter transmits Energy Fuels Resources (USA) Inc.' s ("EFRI' s") Plan and Time Schedule pursuant to
State of Utah Groundwater Discharge Permit UGW370004 (the "Permit") Part I.G.4(c) for MW-25 for the first
quarter of 2019. Part I.G.2 of the Permit provides that out-of-compliance ("00C") status exists when the
concentration of a pollutant in two consecutive samples from a compliance monitoring point exceeds a
groundwater compliance limit ("GWCL"). While consecutive exceedances have been noted in other wells at the
site, a plan and time schedule have not been required or appropriate in light of other actions currently being
undertaken by EFRI or in light of other reports submitted by EFRI.
This Plan covers cadmium in MW-25 that was identified as being in violation of Part I.G.2 of the Permit, in the
First Quarter 2019 Exceedance Notice, dated April 17, 2019.
Please contact me if you have any questions or require any further information.
Yours very truly,
ENERGY FUELS RESOURCES (USA) INC.
i'az".(4-,
Kathy Weinel
Quality Assurance Manager
cc: Paul Goranson
Terry Slade
Scott Bakken David Frydenlund
Logan Shumway
WHITE MESA MILL
State of Utah Ground Water Discharge Permit UGW370004
Plan and Time Schedule
Under Part I.G.4 (c)
For
Exceedance in MW-25 in the First Quarter of 2019
Energy Fuels Resources (USA) Inc.
225 Union Boulevard, Suite 600
Lakewood, CO 80228
May 13, 2019
1. INTRODUCTION
Energy Fuels Resources (USA) Inc. ("EFRI") operates the White Mesa Uranium Mill (the "Mill"),
located near Blanding Utah, under State of Utah Ground Water Discharge Permit UGW370004
(the "Permit").
This is the plan and time schedule (the "Plan") required under Part I.G.4(c) of the Permit relating
to violation of Part I.G.2 of the Permit for the MW-25 for the first quarter of 2019. Part I.G.2 of
the Permit provides that out-of-compliance status exists when the concentration of a pollutant in
two consecutive samples from a compliance monitoring point exceeds a groundwater compliance
limit ("GWCL") in Table 2 of the Permit. While consecutive exceedances have been noted in
other wells at the site, a plan and time schedule and Source Assessment Report ("SAR") have not
been required or appropriate in light of other actions currently being undertaken by EFRI (nitrate
Corrective Action Plan ["CAP"] or in light of other reports submitted by EFRI, and as determined
by Division of Waste Management and Radiation Control ("DWMRC") Staff. Specifically,
consecutive exceedances which occurred in previous reporting periods are discussed in previously
submitted SARs. Additionally, pH was addressed in reports dated November 9, 2012 and
December 7, 2012. A description of the other actions and reports which have affected the
requirement to submit a plan and time schedule are as follows:
1. Nitrate + nitrite and chloride in monitoring wells at the site have been the subject of
ongoing investigations at the Mill. Based on the results of the previous investigations,
EFRI and the Director acknowledge that it has not been possible to date to determine the
source(s), cause(s), attribution, magnitudes of contribution, and proportion(s) of the local
nitrate + nitrite and chloride in groundwater. EFRI submitted a Corrective Action Plan
("CAP") in February 2012 for nitrate + nitrite and chloride in groundwater. The CAP was
approved on December 12, 2012 and the activities associated with the CAP are on-going.
Based on information provided by DWMRC in teleconferences on April 27, and May 2,
2011, due to the ongoing activities and actions, the 30-day plan and schedule for
assessment is not required for nitrate + nitrite and chloride exceedances at this time.
2. As discussed in previous quarterly groundwater sampling reports, the background levels
and GWCLs for pH were established based on eight or more quarters of laboratory data,
which are historically higher than field data. EFRI' s letter to the Director dated January
31, 2011 proposed the recalculation of the GWCLs for field pH. Following the statistical
evaluation of pH data by EFRI' s geochernical consultant, INTERA, Inc., EFRI compared
the Mill's groundwater pH data from Q2 2011 and noted that all of the June 2011
groundwater results, and many of the other results from Q2 2011, were already outside the
revised GWCLs that were to be proposed in the June 30, 2011 letter. Pursuant to
teleconferences with DWMRC on December 5, and December 19, 2011, EFRI submitted
a Work Plan and Schedule on January 20, 2012 and a revised plan based on DWMRC
comments on April 13, 2012. Based on the approved Work Plan and Time Schedule, EFRI
and DWMRC entered into a Stipulated Consent Agreement ("SCA") dated July 12, 2012.
The SCA required the completion of the pH Report and the Pyrite Investigation and
associated report. The pH Report and Pyrite Investigation Report were submitted
November 9, 2012 and December 7, 2012 respectively. By letter dated April 25, 2013,
DWMRC accepted the conclusions that the out-of-compliance results for pH are due to
background effects within the aquifer matrix and are not caused by Mill activities.
DWMRC also approved the recalculation of the GWCLs. As a result, the 30-day plan and
schedule for assessment is not required for field pH exceedances.
3. A Plan and Time Schedule will not be prepared for monitoring wells with two successive
exceedances if successive exceedances were reported in a previous quarter and/or were
included in a previous SAR, because the conclusions and actions delineated in those reports
were accepted by DWMRC.
Chloroform and methylene chloride are the subject of the ongoing chloroform pumping program
and are covered by State of Utah Notice of Violation ("NOV") and Groundwater Corrective Action
Order ("CAO") State of Utah Department of Environmental Quality ("UDEQ") Docket No. UGW-
20-01. As a result, the 30-day plan and schedule for assessment of chloroform and methylene
chloride exceedances is not required.
The Permit was originally issued in March 2005, at which time GWCLs were set on an interim
basis, based on fractions of State Ground Water Quality Standards or the equivalent, without
reference to natural background at the Mill site. The Permit also required that EFRI prepare a
background groundwater quality report to evaluate all historic data for the purposes of establishing
background groundwater quality at the site and developing GWCLs under the Permit.
As required by then Part I.H.3 of the Permit, EFRI submitted the following to the Director of the
State of Utah Division of Radiation Control (the "Director"):
• A Revised Background Groundwater Quality Report: Existing Wells For Denison Mines
(USA) Corp.'s Mill Site, San Juan County, Utah, October 2007, prepared by INTERA, Inc.
(the "Existing Wells Background Report");
• A Revised Ad,olendum: -- Evaluation of Available Pre-Operational and Regional
Background Data, Background Groundwater Quality Report: Existing Wells For Denison
Mines (USA) Corp.'s Mill Site, San Juan County, Utah, November 16, 2007, prepared by
INTERA, Inc. (the "Regional Background Report"); and
• A Revised Addendum: -- Background Groundwater Quality Report: New Wells For
Denison Mines (USA) Corp.'s Mill Site, San Juan County, Utah, April 30, 2008, prepared
by INTERA, Inc. (the "New Wells Background Report, and together with the Existing
Wells Background Report and the Regional Background Report, the "Background
Reports").
Based on a review of the Background Reports and other information and analyses the Director re-
opened the Permit and modified the GWCLs to be equal to the mean concentration of background
for each constituent on an intrawell basis plus two standard deviations or the equivalent. The
modified GWCLs became effective on January 20, 2010. A new GWDP was issued on January
19, 2018. The January 19, 2018 GWDP incorporated the revised GWCLs which resulted from
previous SARs. A revised GWDP was issued on March 19, 2019. The revised GWDP
incorporated the revised GWCLs which resulted from previous SARs among other changes.
Part I.G.4 c) of the GWDP states, with respect to exceedances of GWCLs, "that the Permittee shall
prepare and submit within 30 calendar days to the Director a plan and a time schedule for
assessment of the sources, extent and potential dispersion of the contamination, and an evaluation
of potential remedial action to restore and maintain groundwater quality to insure that Permit limits
will not be exceeded at the compliance monitoring point and that DMT or BAT will be
reestablished." Pursuant to this requirement, EFRI has submitted Plans and Time Schedules and
associated SARs to address previous dual exceedances (as required in light of other actions
currently being undertaken by EFRI and as determined by DWMRC Staff and stated in
teleconferences with EFRI on April 27 and May 2, 2011).
This Plan covers cadmium in MW-25 that was identified as being in violation of Part I.G.2 of the
Permit, in the First Quarter 2019 Exceedance Notice, dated April 17, 2019.
2. CONSTITUENTS AND WELLS SUBJECT TO THIS PLAN
The following constituents are covered by this Plan:
Table 1
Constituent and Well Subject to this Plan
Constituent POC Well Current GWCL Q1 2019
Results
Cadmium (ug/L) MW-25 1.5 1.32, 1.52, 1.54
It should be noted that the First Quarter 2019 Exceedance Notice identifies a number of wells, with
consecutive exceedances of other constituents. None of those constituents are included in this
Plan, for the reasons stated in Section 1 above and in the First Quarter Exceedance Notice. This
Plan and the associated SAR are being submitted to DWMRC by EFRI to address exceedances in
MW-25 for cadmium.
3. CATEGORIES FOR ANALYSIS
Previously EFRI has categorized wells and constituents in several categories as follows:
1. Constituents Potentially Impacted by Decreasing pH Trends Across the Site
2. Newly Installed Wells with Interim GWCLs
3. Constituents in Wells with Previously Identified Rising Trends
4. Pumping Wells
5. Other Constituents
Cadmium in MW-25 falls within the first category: Constituents Potentially Impacted by
Decreasing pH Trends Across the Site. Due to the limited number of data points available when
the initial GWCL was calculated, cadmium also falls within the fifth category: Other Constituents.
Assessment of cadmium in MW-25 will follow the process noted below with additional
considerations to address the unrepresentative GWCL which was established using 10 data points
at the time of the New Wells Background Report.
3.1. Constituents Potentially Impacted by Decreasing pH Trends Across the Site
EFRI has observed a decreasing trend in pH in a number of monitoring wells across the Mill site.
See the discussions in the pH Report dated November 9, 2012 and the Pyrite Investigation Report
dated December 7, 2012. The pH Report specifically noted that wells MW-03A, MW-11, MW-
12, MW-14, MW-15, MW-17, MW-18, MW-22, MW-24, MW-25, MW-30, MW-32, and MW-
37 showed significantly decreasing trends in pH. In addition, MW-25 showed a statistically
significant decreasing trend of pH in the New Wells Background Report in 2008. By letter dated
April 25, 2013, DWMRC accepted the conclusions that the decreasing trends for pH are due to
background effects within the aquifer matrix and are not caused by Mill activities.
The mobility of cadmium in groundwater is sensitive to decreases in pH.
4. PLAN
4.1. General
This Plan is a plan and time schedule for assessment of the sources, extent and potential dispersion
of the contamination, and an evaluation of potential remedial action to restore and maintain
groundwater quality to ensure that Permit limits will not be exceeded at the compliance monitoring
point and that, to the extent applicable, discharge minimization technology and best available
technology will be reestablished.
Given the recent analyses in the Background Reports, SARs, pH Report, and Pyrite Report and
other recent information relating to the Chloroform and Nitrate/Chloride investigations at the site,
EFRI believes that all of the exceedances are likely due to background influences (including a
natural decreasing trend in pH across the site, changing water levels in some wells and other
factors), disruption of the aquifer by pumping, and/or the geochemical influences of the existing
chloroform and nitrate/chloride plumes.
Therefore, the first step in the analysis will be to perform an assessment of the potential sources
for each exceedance to determine whether the exceedance is due to background influences or Mill
activities. If an exceedance is determined to be due to background influences then it will not be
necessary to perform any further evaluations on the extent and potential dispersion of the
contamination or to perform an evaluation of potential remedial actions. Monitoring will continue,
and where appropriate revised GWCLs will be proposed to reflect changes in background
conditions at the site.
However, if any of the exceedances are determined to be caused by Mill activities, then EFRI will
proceed to the next step and will consider the extent and potential dispersion of the contamination,
and will perform an evaluation of potential remedial actions to restore and maintain groundwater
quality to ensure that Permit limits will not be exceeded at the compliance monitoring point.
This two-step approach is necessary, because, in light of the varied background conditions at the
site and previously identified background trends, it can't be assumed that consecutive exceedances
of a constituent in a well represents contamination that has been introduced to the groundwater. It
is first necessary to establish whether or not the exceedances represent background influences.
4.2. Constituents Potentially Impacted by Decreasing pH Trends Across the Site
As mentioned above, EFRI has observed a decreasing trend in pH in a number of monitoring wells
across the Mill site. The mobility of cadmium in groundwater is sensitive to decreases in pH.
The primary focus of the source assessment for cadmium in IVIW-25 will be two-fold. First, EFRI
will determine whether or not there is any new information that would suggest that the previous
analyses conducted in the New Wells Background Report or the pH Report have changed since
the date of that Report. This analysis will include the following:
(i) A geochemical analysis that will evaluate the behavior of the constituents in MW-25 to
determine if there are any changes in the behavior of indicator constituents, such as
chloride, sulfate, fluoride and uranium since the date of the Existing Wells Background
Report and the pH Report, that may suggest a change in the behavior of that well since
the date of that Report;
(ii) If necessary, a mass balance analysis that will evaluate the observed concentrations in
light of the concentrations in Mill tailings and the presence or absence of any mounding
at the location of the well in question; and
Second, a pH analysis will be performed for cadmium that will:
(iii) Review the behavior of pH in the well to determine if there has been a significant decrease
in pH in the well; and
(iv) Analyze the expected impact from any such decrease in pH on the concentration of
selenium, based on currently available information.
The foregoing analyses (both steps) will be included in the Source Assessment Report.
If no significant changes are identified that would suggest that the previous analysis conducted in
the New Wells Background Report, the SAR and the pH Report, has changed other than what
would be expected from decreasing trends in pH, then EFRI will propose changes to the GWCL
for cadmium in MW-25 to better reflect background concentrations at the site.
If significant changes are identified that cannot be attributed to changes in pH or other natural
phenomena, then EFRI will propose to the Director further analysis that may be required in order
to identify the source and the extent and potential dispersion of the contamination, as well as
potential remedial actions.
4.3. Expert Reports to be Prepared
The results of the statistical analysis and, if appropriate, recalculation of the GWCL will be
compiled as a SAR that will be submitted to DWMRC within 90 days of the approval of this plan.
The SAR will detail the results of all of the analyses to be performed and the conclusions to be
drawn from such analyses, including any proposed revisions to existing GWCLs. Specifically, the
SAR will follow the format of the previously submitted SARs and will include discussions, results
and conclusions of the analysis and appendices containing the following:
A geochemical analysis of MW-25
Comparison of calculated and measured TDS for samples with complete major ions
Charge balance calculations
Descriptive statistics
Box plots to identify extreme outliers
Histograms and Shapiro Wilk test for normality
Regression or Mann Kendall trend analysis
Proposed Revised GWCLs for MW-25
A geochemical analysis of Indicator Parameters in MW-25
Descriptive Statistics
Box plots to identify extrerne outliers
Histograms and Shapiro Wilk test for normality
Regression and/or Mann Kendall trend analysis
A pH analysis in MW-25
Descriptive Statistics
Box plots to identify extreme outliers
Histograms and Shapiro Wilk test for normality
Regression and/or Mann Kendall trend analysis
5. TIME SCHEDULE
The SAR will be submitted to the Director within 90 days after approval of this Plan. The SAR
contemplated by this submission, may be combined with any subsequent SARs resulting from
other Plans and Schedules for other out of compliance constituents, as necessary.
6. CONCLUSION
Preliminary analyses show that indicator parameters chloride, fluoride and sulfate in MW-25 are
not exhibiting significantly increasing trends, and uranium concentrations are significantly
increasing. EFRI believes that the consecutive exceedance as well as the increasing uranium is
likely due to the statistically significant decreasing trend of pH and an unrepresentative GWCL
that was set with only 10 data points. The GWCL for cadmium does not accurately reflect the true
natural variation that would be evident with a larger data set, especially with the added variability
caused by the historic (since 2008) decreasing trend in pH. There are now 103 data points
available, which will undoubtedly affect the outcome of the analysis.
With respect to field pH in MW-25, the previously identified trend suggests that the first quarter
2019 exceedances of cadmium are caused by continuation of the statistically significant decreasing
pH trend that was previously identified in the Background Report.
The exceedances of cadmium represent impacts due to a decreasing pH (statistically significant)
and the unrepresentative GWCL.
Background at the Mill site was recently thoroughly studied in the Background Reports, the SAR,
the pH report, and the University of Utah Study. The Background Reports, the SAR, the pH report
and the University of Utah Study concluded that groundwater at the site has not been impacted by
Mill operations. All of these studies also acknowledged that there are natural influences at play at
the site that have given rise to increasing water levels and general variability of background
groundwater chemistry at the site.
EFRI maintains that it is not practicable to redo the University of Utah Study and comprehensive
Background Reports each time a monitoring well shows consecutive exceedances, particularly
where the exceedances are consistent with those recent analyses. The focus should be on
identifying any changes in the circumstances identified in those studies. Therefore, EFRI will
conduct a geochemical analysis of field pH and cadmium in MW-25 and assess indicator
parameters to confirm that the out-of-compliance status is due to variations in background.