2008-10-01 ARRA PacketAGENDA
Regular Meeting of the Governing Body of the
Alameda Reuse and Redevelopment Authority
Alameda City Hall
Council Chamber, Room 390
2263 Santa Clara Avenue
Alameda, CA 94501
1. ROLL CALL
2. CONSENT CALENDAR
Wednesday, October 1, 2008
Meeting will begin at 7:00 p.m.
Consent Calendar items are considered routine and will be enacted, approved or adopted by one motion unless a
request for removal for discussion or explanation is received from the Board or a member of the public.
2 -A. Authorize Execution of a No -Cost Sublease for Alameda Development Corporation at
Alameda Point.
3. REGULAR AGENDA ITEMS
3 -A. Approve the Executive Director's Recommendation Regarding Disposition of the Notices of
Interest for the Homeless Accommodation/Public Benefit Conveyances for the North
Housing Parcel and Authorize the Executive Director to Negotiate the Required Legally
Binding Agreement
3 -B. Report on Restoration Advisory Board Comment Letter on Installation Restoration
Site 1.
4. ORAL REPORTS
4 -A. Oral report from Member Matarrese, Restoration Advisory Board (RAB) representative.
- Highlights of September 4 Alameda Point RAB Meeting.
5. ORAL COMMUNICATIONS, NON - AGENDA (PUBLIC COMMENT)
(Any person may address the governing body in regard to any matter over which the
governing body has jurisdiction that is not on the agenda.)
6. COMMUNICATIONS FROM THE GOVERNING BODY
7. ADJOURNMENT
ARRA Agenda - October 1, 2008 Page 2
This meeting will be cablecast live on channel 15.
Notes:
• Sign language interpreters will be available on request. Please contact the ARRA Secretary at 749 -5800 at
least 72 hours before the meeting to request an interpreter.
■ Accessible seating for persons with disabilities (including those using wheelchairs) is available.
• Minutes of the meeting are available in enlarged print.
• Audio tapes of the meeting are available for review at the ARRA offices upon request.
Alameda Reuse and Redevelopment Authority
Interoffice Memorandum
October 1, 2008
TO: Honorable Chair and Members of the
Alameda Reuse and Redevelopment Authority
FROM: Debra Kurita, Executive Director
SUBJ: Authorize Execution of a No -Cost Sublease for Alameda Development
Corporation at Alameda Point
BACKGROUND
The Alameda Reuse and Redevelopment Authority (ARRA) Governing Board approves all Alameda
Point subleases with a lease term greater than one year. The proposed sublease for Alameda
Development Corporation (ADC) is a month -to -month lease that could extend over one year.
DISCUSSION
ADC is a community based nonprofit housing and community development corporation that
advocates for, develops, and manages housing opportunities for residents living or working in
Alameda, and making between 30% and 120% of the Area Median Income. The ADC was
established in 1999 for the purpose of promoting housing and homeownership opportunities in
Alameda. Since incorporating as a nonprofit agency, the ADC's efforts have included the acquisition
of the 626 Buena Vista site, buyer selection of the affordable units at Bayport, post - purchase
counseling for first -time homebuyers, and new affordable housing opportunities.
Attachment A describes the business teruns for the proposed sublease for Alameda Development
Corporation in a portion of Building 7. The rent for Alameda Development Corporation is waived.
The lease provides for Alameda Development Corporation to pay $125 per month to offset utility,
maintenance, and janitorial costs for the building. Building 7 is in good condition. Market rent for
this space would be $765.
In accordance with the Exclusive Negotiating Agreement between the ARRA and SunCal
Companies, this lease has been discussed with representatives from SunCal Companies and has their
concuitence.
BUDGET CONSIDERATION / FINANCIAL IMPACT
The rent for this lease annually waived. Because building 7 houses several different companies, there
is a shared charge of $500 for utilities, maintenance, and janitorial services. These funds will be
retained by the ARRA.
Honorable Chair and Members of the
Alameda Reuse and Redevelopment Authority
October 1, 2008
Page 2
RECOMMENDATION
Authorize execution of a no -cost sublease for Alameda Development Corporation at Alameda Point.
Respectftrily submitted,
Leslie Little
Development Services Director
By: Nanette Banks
Finance & Administration Manager
Attachment: A. Proposed Sublease Business Terms
B. Site Map
ATTACHMENT A
PROPOSED SUBLEASE BUSINESS TERMS
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Alameda Reuse and Redevelopment Authority
Interoffice Memorandum
To: Honorable Chair and Members of the
Alameda Reuse and Redevelopment Authority
From: Debra Kurita, Executive Director
Date: October 1, 2008
Re: Approve the Executive Director's Recommendation Regarding Disposition of the
Notices of Interest for the Homeless Accommodation/Public Benefit Conveyances
for the North Housing Parcel and Authorize the Executive Director to Negotiate
the Required Legally Binding Agreement
BACKGROUND
On November 5, 2007, the Navy declared the 42 acres at the former Naval Air Station Alameda
(Alameda Point), referred to as the North Housing Parcel, as surplus. The Coast Guard
previously used the property as housing and supportive recreation facilities. The surplus
declaration triggers a Federally prescribed screening process created by the McKinney -Vento
Act. This act requires the Federal government to prioritize any military surplus property to meet
homeless needs for both housing and services. The Federal screening process is used to solicit,
evaluate, and accommodate homeless assistance requirements and then, subsequently, public
uses in planning and implementing the reuse of surplus property. The Alameda Reuse and
Redevelopment Authority (ARRA), as the Local Redevelopment Authority (LRA), is responsible
for conducting the screening process for the North Housing Parcel.
Within 30 days of the Navy's surplus declaration, as required, the ARRA published a Notice of
Availability of Surplus Property on November 16, 2007. An informational workshop and site
tour for homeless services providers and organizations eligible for Public Benefit Conveyances
(PBCs) of the property was held on December 6, 2007. Subsequently, on March 7, 2008, five
interested organizations submitted Notices of Interest (NOIs) for portions of the North Housing
Parcel.
NOIs were submitted for both PBCs and homeless housing and services at the North Housing
Parcel. Staff then requested clarifications or additional information from each applicant. The
NOIs are summarized below:
Homeless Accommodation Requests
• Alameda Point Collaborative (APC) and Building Futures with Women and Children
(BFWC) submitted a joint proposal to provide homeless services. These organizations
propose to rehabilitate five buildings to provide a new location for Midway Shelter, if
needed, a multi - service center for currently homeless people, and a job training/education
center.
Honorable Chair and Members of the
Alameda Reuse and Redevelopment Authority
October 1, 2008
Page 2 of 6
• The Housing Authority of the City of Alameda, APC, and BFWC submitted a joint
proposal to construct 120 new units of permanent supportive housing for individuals and
families in Alameda who are homeless. The NOI states that the majority of residents will
be earning below 30% of area median income (AMI) at intake, although incomes could
increase to as high as 80% of AMI. The development would include a community center
and management offices.
• East Bay Asian Local Development Corporation (EBALDC) submitted a proposal to
rehabilitate 11 existing buildings to create 88 permanent affordable rental housing units
for Alameda residents at a mix of income levels at or below 50% of AMI. Eighteen
units would be set -aside for homeless individuals and families in the city. EBALDC
proposed to partner with, but had not yet identified, a homeless service provider to offer
on -site case management.
Public Benefit Conveyance Requests
• Habitat for Humanity East Bay submitted a PBC proposal to renovate 32 homes using its
self -help, or sweat - equity, model for providing affordable ownership housing. They
intend to sell the homes to households with incomes at 80% or less of AMI.
• The City of Alameda Recreation and Park Department submitted a PBC proposal to
utilize approximately eight acres of open space at the North Housing Parcel as a public
park providing a variety of youth sports activities, including a possible agreement with
the Miracle League for the renovation of the existing baseball field.
Staff, in consultation with the U.S. Department of Housing and Urban Development (HUD)
representatives, determined that the EBALDC proposal is not a housing project for the homeless
and is therefore not eligible for a no -cost transfer for homeless assistance. EBALDC has been
notified of this determination (see attached letter). Staff has completed its review of the
remaining four NOIs. A complete set of NOIs is on file in the office of the City Clerk.
DISCUSSION
As part of the screening process, the LRA evaluates the NOIs for both homeless
accommodations and PBC's. In addition, the LRA must balance the needs of the homeless and
requests for PBCs against other community needs and interests such as economic development
and provision of a range of housing for all segments of the population. The needs of the
homeless, requests for PBCs, and an evaluation of other community needs are addressed in a
Community Reuse Plan which is submitted to the Federal Department of Housing and Urban
Development (HUD). HUD ultimately approves each community's Reuse Plan prior to the Navy
disposing of the property.
The ARRA has a 1996 Reuse Plan for Alameda Point. However, that Plan must be amended to
address the newly surplused North Housing Parcel. Through a competitive Request for
Honorable Chair and Members of the
Alameda Reuse and Redevelopment Authority
October 1, 2008
Page 3 of 6
Proposals (RH'P) process, EDAW and Strategic Economics were selected to assist staff in that
effort.
Strategic Economics, a real estate economics consulting firm, was retained to assist staff in
evaluation the NOIs. Strategic Economics analyzed the organizational capacity and project pro
formas for the two requests for homeless accommodation and one self -help PBC and supported
the Evaluation Committee in its work. An Evaluation Committee consisting of Stephanie Forbes,
Local Initiative Support Corporation Executive Director, Leslie Little, Development Services
Department Director, Debbie Potter, Base Reuse & Community Development Manager, and
Elizabeth Cook, Development Manager — Housing, reviewed the NOIs described above.
A summary of the Evaluation Committee's recommendations regarding each NOI follows:
Recommendations for Homeless Accommodation Requests
• The Evaluation Committee did not recommend pursuing the joint proposal submitted by
the APC and BFWC to rehabilitate five buildings to provide a new location for Midway
Shelter, if needed, a multi - service center for currently homeless people, and a job
training /education center.
The Evaluation Committee concluded that:
There is no clear need for a new location for the Midway Shelter. The Navy owns
the existing shelter site, and leases the site to the City. The City in turn sub - leases
the property to BFWC to operate the shelter. BFWC's current sub -lease runs
through September 2010. Midway Shelter has been at this location for 18 years.
The Navy has notified the City that it will be evaluating the future of the site, an
active Marine Corps Training Center, over the next two years in consultation with
the City to determine its status. The Navy will review whether the site will be
retained as active military property, declared surplus, or partially realigned. The
City's focus will be to create a permanent location for Midway Shelter as part of
any disposition of the Marine Corps Training Center.
The proposed multi - service center would offer hot meals, showers, laundry
facilities, and a winter warming center. A multi- service center serving homeless
people was identified as an unmet need in Alameda. However, the North Housing
Parcel is not a suitable site for this use. As the City of Alameda Homeless Needs
Assessment (February 2008) states, a multi - service center should be located on a
site that is "close to services and other retail establishments providing basic
amenities, such as the food bank ".
The requested additional job training facilities could be accommodated at the
existing APC service center at Alameda Point and/or provided in the community
center in the permanent supportive housing development proposed by the
Honorable Chair and Members of the
Alameda Reuse and Redevelopment Authority
October 1, 2008
Page 4 of 6
Alameda Housing Authority, APC and BFWC, rather than be located at the North
Housing Parcel as a separate accommodation.
• The Evaluation Committee did recommend pursuing a modified version of the joint
proposal submitted by the Housing Authority of the City of Alameda, the APC, and
BWFC to construct 120 new units of permanent supportive housing for individuals and
families in Alameda who are homeless. The majority of residents will be earning below
30% of area median income (AMI) at intake, although incomes could increase to as high
as 80% of AMI. The development would include a community center and management
offices.
The Evaluation Committee concluded that:
- The total number of proposed units should be reduced to better balance the
community's reuse goals on, the site. Taking into account the existing
Neighborhood Residential zoning (R -4) and the required 25% inclusionary
obligations for any future residential development, the Evaluation Committee
recommended that the final project size be approximately 90 housing units on a
maximum of nine acres. The Evaluation Committee also recommended
evaluating alternative locations on the 42 acres.
The proposed development would help meet the top priority need of "permanent
supportive housing in Alameda, especially housing designed for individuals...for
couples and small families" identified in the City of Alameda Homeless Needs
Assessment (February 2008).
The proposed partners are all well- established and active housing and service
providers in Alameda.
Recommendations for Public Benefit Conveyance Requests
• The Evaluation Committee recommended submitting a modified development proposal
from Habitat for Humanity East Bay to renovate 20 -32 homes or build 20 -30 new duet -
style homes, or some combination thereof, using the self -help model, to HUD.
The Evaluation Committee concluded that:
The total number of units should be determined in part to meet future low- and
moderate- income inclusionary housing needs as part of any future residential
development consistent with the current R -4 zoning designation.
- Habitat is an experienced and well -run housing developer with the capacity to
develop a phased project of 20 -32 units.
Honorable Chair and Members of the
Alameda Reuse and Redevelopment Authority
October 1, 2008
Page 5 of 6
HUD approves PBCs for self -help ownership housing. If HUD approves the PBC, the
Navy will convey that portion of the property directly to HUD, and HUD would convey
the property to Habitat for Humanity for construction /rehabilitation of the affordable
ownership units. Self -help housing PBCs are not not homeless accommodations, nor do
they meet the needs of homeless people. However, they are a source of affordable
ownership housing.
• The Evaluation Committee also recommended submitting the PBC proposal from the
City of Alameda Recreation and Park Department (ARPD) to the Department of Interior
to utilize approximately eight acres of open space at the North Housing Parcel as a public
park for a variety of youth sports activities, including a possible agreement with the
Miracle League.
The Evaluation Committee concluded that:
The park location should be evaluated for the overall benefit of the
neighborhood. Relocating the eight -acre park to another location on the 42 -acres
may better serve existing and future residents.
The ARPD has the management capacity to manage an eight -acre facility.
Conclusion
Any homeless accommodation NOI that is consistent with the preferred reuse strategy for the
North Housing Parcel will be required to execute a Legally Binding Agreement (LBA) with the
ARRA. The LBA will define the applicant's and LRA's roles and responsibilities, the
development site, the allowed uses for the premises, maintenance and management standards,
and the anticipated property disposition method. Staff recommends beginning LBA negotiations
to revise the proposals recommended by the Evaluation Committee. The draft LBA will be
presented to the ARRA at its December 3, 2008, meeting for review and consideration. The
Reuse Plan Amendment and draft LBA are due to HUD in December.
As noted above, EDAW, a planning and environmental consulting firm, will assist staff with a
public process to amend the 1996 NAS Alameda Community Reuse Plan. "Amendment #1:
Main Street Neighborhoods Update" will address the reuse of the newly declared 42 surplus
acres and also include an update of redevelopment efforts in this sub -area of NAS Alameda (see
attached map).
The Base Realignment and Closure Act requires community outreach and opportunities for
participation in the reuse plan amendment process, which will include two public meetings with
the Planning Board in November. Based on community feedback regarding alternative reuse
strategies, staff will submit "Amendment #1: Main Street Neighborhoods Update" to the ARRA
for its consideration at a public hearing on December 3, 2008. An ARRA- approved amendment
to the Reuse Plan and related LBA will be submitted to HUD, along with a complete summary of
Honorable Chair and Members of the
Alameda Reuse and Redevelopment Authority
October 1, 2008
Page 6 of 6
the surplus process conducted by the LRA. Once approved by HUD, "Amendment #1: Main
Street Neighborhoods Update" will reflect the community's consensus for civilian reuse of the
42 acres, and guide the Navy's consideration of property conveyance options.
BUDGET CONSIDERATION/FINANCIAL IMPACT
A $128,000 grant from the Federal Office of Economic Adjustment (OEA) will fund the
contractual services costs for the surplus process. The required 10% local match will be met
through in -kind staff costs in the Development Services Department. The staff costs are
included in the FY 2008/2009 ARRA budget.
RECOMMENDATION
Approve the Executive Director's recommendation regarding disposition of the Notices of
Interest for the Homeless Accommodation/Public Benefit Conveyances for the North Housing
Parcel and authorize the Executive Director to negotiate the required legally binding agreements.
Attachment:
1. EBALDC letter
2. Base Map
Respectfxtlty submitted,
Leslie Little
Development Services Director
By: D ':.ie Potter
Base Reuse and Community Development
Manager
ATTACHMENT 1
Alameda Reuse and Redevelopment Authority
Alameda Point/NAS Alameda
950 W. Mall Square - Building 1
Alameda, CA 94501 -5012
Governing Body
Beverly ,Johnson
Chair
Marie Gilmore
Boardmember
Frank Matarresc
Boardmember
Doug dellaan
Boardmember
Lena Tam
Vice-Chair
Debra Kurita
Executive Director
1)r` '' Brandt
Executive Director
September 19, 2008
(510) 749-5800
Fax: (510) 521 -3764
David Dologite
East Bay Asian Local Development Corporation (EBALDC)
310 8th Street, Suite 200
Oakland, CA 94108
Dear Mr. Dologite:
This letter confirms that the Alameda Reuse and Redevelopment Authority
(ARRA) received your March 7, 2008 Notice of Interest (NOl) and May 15,
2008 letter clarifying your NOl for Alameda NAS - North Housing Parcel.
We have read the submitted materials and, following consultation with HUD
representatives, must inform you that, even with the proposed increase in
dedicated homeless units to 34% of the anticipated development, it has
been determined that the project described in the NOl and follow -up
materials is not a housing project for the homeless. The proposed project
is therefore not eligible for a no -cost transfer for homeless assistance. The
ARRA is bound by Federal law to consider only those projects that serve
the homeless and /or Public Benefit Conveyances during this surplus
process. The ARRA has determined that your proposal is not qualified for
further consideration.
As you clarify in your May 15 letter and exhibits, EBALDC "does not
develop housing for a 100% homeless population." The ARRA cannot
consider your proposal further, but will provide your contact information to
any private developer that may acquire land from the Navy following the
surplus process. Any future residential developer will be obligated to fulfill
the City's 25% inclusionary housing requirements, and therefore may be
interested in partnering with an affordable housing developer, such as
EBALDC.
If you have any questions regarding the surplus process, please contact
myself or Elizabeth Cook, Development Manager - Housing, at (510)
749 -5915.
David Dologite - EBALDC
September 19, 2008
Page 2
Again, thank you for your interest in the redevebpment of NAS Atameda.
Sincerely,
ebbie Potter
Base Reuse & Community Development Manager
CO: D. Kurita, Executive Director
ATTACHMENT 2
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Alameda Reuse and Redevelopment Authority
Interoffice Memorandum
To: Honorable Chair and Members of the
Alameda Reuse and Redevelopment Authority
Debra Kurita, Executive Director
October 1, 2008
From:
Date:
Re:
Report on Restoration Advisory Board Comment Letters on Installation
Restoration Site 1
BACKGROUND
At its September 10 meeting, the Alameda Reuse and Redevelopment Authority (ARRA)
discussed two Restoration Advisory Board (RAB) letters regarding Installation Restoration (IR)
Site 1. IR Site 1 is the landfill located at the northwest tip of Alameda Point. One of the RAB's
letters expressed RAB members' concerns with the Navy's Proposed Plan for the site, which has
now been carried forward to the draft Record of Decision (ROD). The other RAB letter
critiqued the Navy's report of its exploratory trenching into the landfill site. Following a
presentation by RAB Co -Chair Humphreys, the ARRA Board requested that its environmental
consultant, Dr. Peter Russell, prepare a technical assessment of the RAB's concerns with the
results of the Navy's trenching work, as well as the Navy's proposed remedial design for the site.
The ARRA Board further directed that the requested technical assessment be brought back for
discussion at its October 1 meeting. A draft technical assessment was prepared and presented to
Co -Chair Humphreys and several other RAB members for their review and comment. The
technical assessment is attached.
DISCUSSION
On October 25, 2007, the ARRA submitted a comment letter in response to the Navy's draft
ROD for IR Site 1. The letter was prepared based on Dr. Russell's analysis of the Navy's
documents to -date. The letter advocated that the Navy proceed with the clean -up alternative of
excavating and off hauling the landfill contents. An earlier ARRA letter to the U.S.
Environmental Protection Agency (EPA), dated June 25, 2007, recommended that the Navy dig
exploratory trenches to determine the amount of waste in the landfill and whether intact drums
likely still existed. The ARRA recommended exploratory trenching as a due diligence step to
evaluate the amount and type of waste, which enables more refined cost estimation for
excavating the landfill, and the prevalence of intact drums, which could later leak and allow
contaminants to leach into the Bay.
In the eleven months since the ARRA submitted its comment letter, the following activities have
occurred:
• Based on the ARRA's urging, the Navy trenched the landfill site at eleven locations. No
intact drums were located. Very little waste was discovered; however, more
Honorable Chair and Members of the
Alameda Reuse and Redevelopment Authority
October 1, 2008
Page 2 of 4
radioactively contaminated soil than anticipated was found during surface scans outside
the historical landfill waster cell locations.
• The Navy conducted a surface scan as part of a Time Critical Removal. The scan
identified radium -226 above the background level, some of which was outside the
footprint of the landfill's proposed soil cover. Radioactive waste and contaminated soil
was excavated to a maximum depth of two feet below land surface and hauled off.
• Since the Navy has identified more radioactive material than originally anticipated at IR
Site 1, the Navy requested that the environmental regulators allow it to modify the scope
of IR Site 1 to focus on remediation of the landfill waste cell area, including excavation
of a portion of the landfill known as the "burn area ", cleanup of areas near the shoreline,
and groundwater cleanup. All issues associated with radioactive contamination outside
these areas would be addressed as part of IR Site 32, which is east of and adjacent to IR
Site 1. The EPA and the California Department of Toxic Substances Control (DTSC)
agreed with the Navy's request to proceed with a more focused approach to IR Site 1 and
to undertake expanded remediation activities at IR Site 32. By addressing the issues of
remediating radioactive contamination as part of the Site IR 32 environmental program,
the ARRA, the RAB, and the public will have several new opportunities to comment on
that clean -up effort.
• In August, the Navy awarded a $14 million contract, with a $6 million contingency
budget, to prepare the remedial design and implement remediation of IR Site 1. The
planned cleanup addresses several key aspects of the necessary remediation, including
excavating and hauling off the "burn area ", installing a soil cover over the rest of the
landfill footprint, seismically stabilizing the shoreline with cleanup of contamination
there, and conducting groundwater remediation. The "bum area" is an area where wastes
were burned and pushed into the Bay. Excavating this portion of the landfill prevents
waste contact with the Bay and will help stabilize the landfill cover. While the Navy has
awarded the contract for engineering design and remediation work, fieldwork cannot
begin until the Navy has an approved Final ROD and receives regulatory agency
approval of the detailed remedial design.
Throughout this time period, the ARRA has maintained its position that the entire landfill should
be excavated and removed. The ARRA has continued to monitor closely the Navy's actions
regarding IR Site 1 and to participate in RAB and BRAC (Base Realignment and Closure)
Cleanup Team (BCT) meetings. There will be another opportunity to state the ARRA's position
on IR Site 1 when the draft final ROD is released by the Navy. The Navy expects to publish the
draft final ROD on October 28, 2008, with a 30 -day comment period ending on November 27,
2008.
The remediation of IR Site 1 has been predicated on the assumption that it contains a landfill
with uncharacterized waste. However, the Navy's 11 exploratory trenches did not encounter any
appreciable amount of waste. This new information has caused some members of the RAB and
the ARRA's environmental consultant to speculate about whether IR Site 1 still has a landfill.
Honorable Chair and Members of the
Alameda Reuse and Redevelopment Authority
October 1, 2008
Page 3 of 4
That speculation includes the possibility that, during the time the base was operational, the waste
was previously dug up and relocated somewhere else, possibly to the much larger landfill at IR
Site 2, on the property several hundred yards to the south to be conveyed via a Federal -to-
Federal transfer. This new idea that there may no longer be landfilled waste at IR Site 1 should
be analyzed further to determine the appropriate model for informing clean -up decisions at IR
Site 1. Staff and ARRA's consultant need to work closely with the environmental regulators and
the Navy to determine the feasibility of further exploring the theory that IR Site 1 no longer
contains a landfill. Such an effort would include investigating IR Site 1 to evaluate whether all
waste has been removed and to chemically and radiologically characterize the remaining soil.
Notwithstanding the idea that IR Site 1 may no longer contain a landfill, two aspects of the
cleanup should go forward as planned. These two remediation activities are excavation of the
"burn area" and groundwater remediation, as described above. Both of these activities are
consistent with the ARRA's comments to date (i.e., excavate and remove the landfill's contents
and remediate the groundwater contamination) and with the RAB's comments provided to the
ARRA Board on September 10, 2008.
Based on the ARRA Board's direction to date that the landfill contents should be excavated and
removed, it is recommended that staff, working with the ARRA's consultant, prepare a letter to
the Navy formally requesting that the scope of the draft final ROD be narrowed to cleanup of
groundwater and the "burn area ", and that the balance of IR Site 1's current scope be dealt with
separately, perhaps as part of IR Site 32. When the draft final ROD is issued, the ARRA should
restate its position regarding excavation of the landfill, regardless of its true size. In addition,
staff and Dr. Russell should work with the RAB, Navy, and environmental regulators to explore
the theory that the landfill is no longer present and determine how that may impact remediation
going forward.
BUDGET CONSIDERATION/FINANCIAL IMPACT
The work that the ARRA's environmental consultant does to comment on Navy documents,
attend RAB and BCT meetings, and coordinate with staff, is an eligible ARRA third party cost
that is reimbursed by SunCal pursuant to the Exclusive Negotiation Agreement. Therefore, there
is no impact on the ARRA budget or the City's General Fund to retain an environmental
consultant to assist the ARRA in participating in the public process regarding environmental
remediation at Alameda Point.
RECOMMENDATION
Receive the attached technical memo, prepared by the ARRA's environmental consultant,
analyzing the RAB comment letters on IR Site 1 and direct staff to prepare two letters. One letter
is to the Navy explaining the presumption that IR Site 1 no longer has a landfill, and the second
is a comment letter on the draft final ROD for Site 1, when it is issued, consistent with the
ARRA's previous direction.
Honorable Chair and Members of the
Alameda Reuse and Redevelopment Authority
Res . ectft `11y submitte
October 1, 2008
Page 4 of 4
Leslie Little
Development Services Director
By: • '•bi • otter
Base Reuse and Community Development
Manager
Attachment:
1. Technical Assessment
Russell Resources, Inc.
environmental management
ATTACHMENT 1
Evaluation of Alameda Point RAB Comments Letters
"Deficiencies in the Proposed Plan" & "Analysis of Trenching Report"
September 24, 2008
EXECUTIVE SUMMARY
This evaluation concludes that most of the RAB's points correctly identify important
considerations for proper closure of IR Site 1 (Installation Restoration Site 1), the landfill where
the Navy buried all the base's wastes from 1943 until 1956. Many issues raised by the RAB
appear to have been addressed satisfactorily by preliminary design plans the Navy recently
described to the RAB and the environmental regulatory agencies:
• improving seismic stability along the shoreline,
• including a rodent barrier in the landfill cover, and
• augmenting the network of perimeter groundwater monitoring wells.
Whether the Navy deals with other key RAB issues appropriately will not be known until the
Navy designs the cleanup and issues a work plan. Implementation of groundwater treatment is
the most prominent example of this type of issue. Finally, several RAB comments are directed
toward management of water within the landfill:
• an impermeable cap to prevent percolation of rainfall, and
• a slurry wall to control lateral migration of contaminated groundwater.
These comments are likely overly conservative, because the groundwater contamination that
has been detected at IR Site 1 appears to come predominantly from aircraft parts storage and
maintenance activities, rather than landfilled wastes. This presumption is subject to change as
the cleanup progresses.
The RAB's comment letters do not explicitly recommend that the landfill be completely
excavated and hauled off Alameda Island for appropriate disposal. However, both the RAB and
the ARRA are on record repeatedly and clearly demanding that this be done. Currently, remedial
plans provide for this type of excavation and off hauling only for the burn area, the portion of IR
Site 1's shoreline where wastes were burned then pushed into San Francisco Bay. The Navy,
with the support of the environmental regulatory agencies, plans to leave the majority of the
landfilled wastes where they are currently buried and to install a soil cover to prevent contact by
future users of the site.
The Navy dug eleven exploratory trenches into the IR -1 landfill in September 2007.
Surprisingly, none of the trenches found any landfilled waste. Although many of the trenches
encountered soil with minor amounts of concrete, wood, metal, and other debris, no landfill
deposits were found. The RAB's comments do not make this point directly, but the presumption
now should be that the IR Site 1 landfill is no longer there. One likely scenario is that the
landfilled wastes were relocated to the Navy's newer landfill several hundred yards to the south.
This probably occurred in the 1950s when the Navy built a new runway over part of the IR Site 1
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landfill. Another possibility is that, upon excavation, any combustible wastes were burned in the
shoreline burn area, and only the incombustible waste was relocated. Regardless of which
explanation is correct, the current conceptual site model, which is the foundation of all of the IR
Site 1 clean -up decisions, is fundamentally flawed.
A better path forward is to further investigate the footprint of the foliner IR Site 1 landfill to
verify that all wastes have been removed and to chemically and radiologically characterize the
backfilled soil. Then the conceptual site model should be updated to reflect actual site conditions.
This supplemental investigation and remedial decisionmaking will take time, but two areas of IR
Site 1 need immediate cleanup: the shoreline burn area and the contaminated groundwater. The
current configuration of IR Site 1 should be split into two parts:
• Clean -up of groundwater and the burn area should move forward as expeditiously as
possible.
• The rest of IR Site 1 should shift to a separate decisionmaking and cleanup track,
potentially by combining with the adjacent IR Site 32.
INTRODUCTION
This assessment addresses technical aspects of the Alameda Point RAB's August 14, 2008
comment letters concerning IR Site 1. These letters are titled "Deficiencies in the Proposed Plan"
and "Analysis of Trenching Report". This evaluation responds to a request by the ARRA Board
at its September 10, 2008, meeting. As directed by the Board, this assessment addresses technical
comments contained in the letters, without regard for economic feasibility.
At closing military installations, a RAB, which is composed of local community members, is
formally organized to increase public participation in the cleanup process. CERCLA
(Comprehensive Environmental Response, Compensation, and Liability Act, a federal law)
requires the formation of RAB's to assist the military branches with cleanup of closed bases. The
RAB's role is to increase community understanding and support for cleanup efforts, improve
soundness of government decisions, and ensure cleanups are responsive to community needs.
Alameda is particularly fortunate to have volunteers who are, not only very interested in a robust
restoration of Alameda Point, but also collectively well qualified to understand many technical
aspects of the clean -up issues. Among the professional credentials of the Alameda Point RAB
members are: registered civil engineer, professional geologist, certified hydrogeologist,
registered mechanical engineer, registered nuclear engineer, registered structural engineer, and
member of the California State Bar. Although some of these credentialed volunteers are retired
and no longer have an active practice, they have a wealth of experience in disciplines relevant to
cleanup of Alameda Point. Other RAB members are eager for the cleanup to be carried out in the
best manner possible, even though they do not have the formal training and experience to
appreciate independently some of the more detailed technical issues.
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BACKGROUND
On May 15, 2006, the Navy issued the draft IR Site 1 Proposed Plan for review and comment.
The ARRA's November 9, 2006, comments on the draft Proposed Plan, that the proposed
remedy is based on inadequate characterization and the proposed permeable soil cover for the
landfill is unacceptable, did not change the Navy's thinking in this regard. The Proposed Plan
was finalized with little substantive change. The final Proposed Plan is the subject of one of the
RAB's comment letters.
On April 11, 2007, the Navy issued the draft IR Site 1 ROD (Record of Decision) for review and
comment. This document carries forward the Proposed Plan's scheme of isolating the landfill
with a permeable soil cover. The course remedy selection was taking prompted the ARRA to
send its June 25, 2007 letter to EPA (U.S. Environmental Protection Agency). The ARRA's
letter points out several serious data gaps hampering the IR Site 1 remedial decisionmaking
process: what is the true volume of waste within the landfill, and does the landfill still contains
intact drums. Information about the volume of wastes is essential to confidently estimating the
cost to excavate the landfill. Understanding the prevalence of intact drums enables predictions
about the likelihood of future groundwater contamination.
On July 10, 2007, EPA issued a letter to the Navy agreeing to relax the formal clean -up schedule
for IR Site 1 while the Navy addresses the data gaps identified in the ARRA's June 2007 letter.
The Alameda Point BCT (BRAC (Base Realignment and Closure) Cleanup Team, which is
composed of EPA, DTSC (California Environmental Protection Agency, Department of Toxic
Substances Control), the San Francisco Bay Regional Water Quality Control Board, and the
Navy) had settled upon a plan to dig trenches into the IR Site 1 landfill to allow better estimation
of its volume and investigate the prevalence of intact drums.
The Navy dug 11 exploratory trenches into the landfill in early September 2007. The May 16,
2008, Navy report of the trenching activity documents that virtually no landfilled material was
encountered in any of the trenches. Some of the trenches unearthed minor amounts of glass,
wood, concrete, metal and other debris. No intact drums were found. All but one of the trenches
encountered soil with low -level radioactivity, presumably radium from the base's historic dial
painting activities. The percentage of soil impacted by radioactivity in any single trench ranged
from 7 percent to 90 percent. Overall, 25 percent of the soil excavated from the trenches was
impacted by low -level radioactivity.
On October 25, 2007, the ARRA commented on the Navy's draft IR Site 1 ROD, reiterating
excavation and removal of the waste is the only satisfactory landfill cleanup: "The Navy should
remove all wastes from the IR Site 1 landfill, with off -site disposal." (bolding in original)
The Navy is scheduled to issue the draft final IR Site 1 ROD for a 30 -day review and comment
period on October 28, 2008.
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EVALUATION of RAB COMMENT LETTERS
This evaluation assesses each RAB letter separately. Evaluation of the comment letter on the
Proposed Plan begins immediately below. The trenching report comment letter is evaluated
beginning on page 15. The original text is presented within outlines, followed by the technical
assessment.
Deficiencies in the Proposed Plan
This RAB comment letter is specific to the IR Site 1 Proposed Plan. However, its points are
generally applicable to the draft ROD too. This comment letter, which was formally submitted to
the Navy on August 14, 2008, was drafted before the Navy published the results of its
exploratory trenching activities into the IR Site 1 landfill.
"The Navy's proposed plan for the waste cell (Area 1 a) portion of Site 1 is 4 feet of soil cover
and in -situ chemical oxidation for treatment of the volatile organics plume. In November 2006,
the community RAB members took the position that excavation of the contaminated portion of
the wastes is the appropriate remedy for Area la because the types of waste materials disposed of
in the waste cells contained a larger proportion of industrial type (potentially hazardous wastes).
The proximity to San Francisco Bay, nearby wetlands, and a high water table favor excavation
and off -site disposal rather than source containment as the preferable alternative. The City took
the position in 2007 that they would not accept transfer of a site containing uncharacterized
wastes with a soil cover. Nevertheless, the Navy is proceeding with plans to issue a Record -of-
Decision based on the Proposed Plan.
"An example of current best practices for military landfills is the excavation and off -site disposal
of contaminated material at the 5 -acre former Connaught Military Landfill near Ottawa, Canada.
The site contained mechanical debris from target maintenance, potential unexploded ordnance,
paint cans with paint residue, hospital wastes, broken concrete, and hydrocarbon impacted soil.
Off -site disposal costs were reduced by sorting our inert waste materials (concrete, bricks, and
steel) and disposing of them on -site. The site was considered environmentally sensitive because
of its proximity to the Ottawa River, the City of Ottawa, and a bird sanctuary (an analogous
situation to that which exists at Sites 1 and 2)."
The overarching point of the RAB's comment letter is a good one: IR Site 1 is an unsuitable
location for a landfill. Today, it would not be possible to create a new landfill at a location
similar to IR Site 1. The RAB correctly points out the inappropriateness of siting a landfill near
San Francisco Bay, near wetlands, or in an area with shallow groundwater. The ARRA strongly
makes this is same point in its October 25, 2007 comment letter on the draft IR Site 1 ROD:
"The Navy should remove all wastes from the IR Site 1 landfill, with off -site disposal."
(bolding in original)
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Evaluation of Alameda Point RAB
Comment Letters re 1943 -56 Landfill
Concerns about the Navy's proposed remedy include:
a.
"The source containment, as proposed, is inadequate because the sandy soil cover does
not meet low- permeability standards for hazardous waste landfills and there is no lateral
containment. [intervening text is evaluated separately below] An example of an
integrated containment system is the Mare Island landfill. That application represents
integrated source containment. The RCRA Subtitle C cap includes a composite gas vent
layer, a geocomposite clay layer, a 60 -mil high- density polyethylene geomembrane, a
geocomposite drainage layer, and two feet of cover soil. The 72 -acre landfill site was
surrounded by a 7,300 -ft long soil - bentonite slurry wall 25 -ft deep and keyed into a
naturally- occurring clay layer underlying the site." (underlining in original)
This portion of comment "a." is evaluated in two parts. First, the issue of whether the
proposed closure is consistent with typical closures of hazardous waste landfills is
covered. Second, the closure of the landfill at the former Mare Island Naval Shipyard is
compared with the closure proposed for the IR Site 1 landfill. This evaluation is specific
to IR Site 1's Area l a, the portion of the landfill that is proposed to remain in place under
a soil cover. Area lb of IR Site 1, the shoreline burn area, is not addressed in the
evaluation of this RAB comment, because the Proposed Plan and draft ROD provide that
all waste in Area lb will be excavated and hauled for disposal off Alameda Point.
Proposed closure at IR Site 1 compared with a typical hazardous waste landfill
closure.
As the RAB notes, the closure proposed for the landfill does not meet standards for
hazardous waste landfills. Nevertheless, the Navy and the environmental regulatory
agencies favor the proposed closure. This apparent contradiction is explained as follows:
1) RCRA (Resources Conservation and Recovery Act) regulations and their
California analogs specify closure requirements for hazardous waste landfills
that were closed after the date of the act (1976). The Navy stopped using the IR
Site 1 landfill in 1956, twenty years before RCRA, so the RCRA regulations
and their California analogs do not apply.
2) Remedial decisionmaking must be consistent with existing law. That is, all
ARARs (Applicable or Relevant and Appropriate Requirements) must be
satisfied.
3) Even though the RCRA regulations and their California analogs are not
applicable to the IR Site 1 landfill, because they postdate its closure, they might
be relevant and appropriate. Relevant and appropriate requirements, while not
directly applicable, address problems or situations sufficiently similar to those
encountered that their use is well suited to a particular site.
4) The FS (Feasibility Study) for IR Site 1 concludes that many federal and
California regulations for hazardous waste landfill closure are not relevant and
appropriate for the IR Site 1 landfill, because they are designed to protect
groundwater from waste impacts. The FS reasons that protection provided by
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these regulations is unnecessary at the IR Site 1 landfill, because the landfill
does not threaten groundwater. The purpose of the IR Site 1 cleanup is to
protect recreational users and ecological receptors. This is a different intent
from that of the regulations, so they are not both relevant and appropriate.
"The medium of concern at IR Site 1 is landfill debris. It is not necessary
to engineer a cover to protect groundwater quality that does not appear to
be at risk of contamination from the landfill debris.... No impact has
occurred from the landfill to groundwater over the past 49 years that
would cause exceedances above...criteria in the bay, nor is it considered
likely that this condition would change. The VOC [volatile organic
compound] plume that has been identified is believed to have resulted
from chemicals associated with base activities such as aircraft engine
repair and maintenance rather than with landfill debris.
"...One purpose of the [hazardous waste landfill closure] requirements...is
protection of groundwater from the landfilled wastes. Therefore, the
purpose of the landfill closure requirements to prevent downward entry of
water and the purpose of the [IR Site 1] action proposed in the FS Report
are not the same. The medium regulated or affected by the requirement
should match the medium contaminated or affected at [IR Site 1]." (FS, p.
B4 -12)
The proposed landfill closure does not attempt to limit percolation of rainfall through the
landfill, nor does it attempt to prevent migration of groundwater from beneath the landfill
to the Bay. This is because the groundwater contamination detected by the Navy's
investigation of IR Site 1 appears not to come from the landfilled wastes. However, three
future developments may provide information that refutes this conceptual site model of
the landfill- groundwater interaction.
1) At meetings of both the RAB and BCT, the Navy committed to increasing the
number of groundwater monitoring wells at IR Site 1. The Navy will decide the
number and placement of these wells to monitor potential future impacts during
the remedial design for the IR Site 1 cleanup. Future monitoring of these wells
may detect water contaminated by landfilled wastes.
2) The preliminary remedial design presented at meetings of both the RAB and
BCT includes excavating wastes within 200 feet of San Francisco Bay. (This
issue is discussed further below.) This excavation activity may develop
infoiniation that shows migration of water contaminated by landfilled wastes to
the Bay.
3) Groundwater contamination at IR Site 1 is assumed predominantly to be the
result of aircraft parts storage and maintenance activities in the area. Treating
this groundwater plume may develop information that shows migration to the
Bay of groundwater contaminated by landfilled wastes.
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If any one of these future developments were to occur, the Navy and environmental
regulatory agencies would have to reconsider the remedial decisions for the IR
Site 1 landfill. The conceptual site model upon which the remedial decisions were based
would need revision and the ROD for IR Site 1 would be amended as needed. Further
cleanup in light of the revised conceptual site model may be required. This may include
upgrading the soil cover to an impermeable cap, installing a slurry wall to control lateral
migration of groundwater, and /or, conceivably, excavation of some or all of the landfill.
Proposed closure at IR Site 1 compared with landfill closure at the MINS (former
Mare Island Naval Shipyard).
Wastes were landfilled at MINS from 1910 through 1978. For much of this time, all
shipyard wastes were disposed in this way. Extensive groundwater contamination is
present as a result of these disposal practices. As the RAB's comment notes, a portion
(about 72 acres) of the waste disposal area at MINS is enclosed with a slurry wall to
prevent lateral migration of contaminated groundwater. Within the slurry wall, a low -
permeability cap, typical of modern hazardous waste landfills, limits infiltration of
rainfall. The cap includes a landfill gas handling system, to manage methane and other
landfill gases generated by the buried wastes.
The MINS landfill is similar to the IR Site 1 landfill in many aspects, but differs in
others. The similarities include:
1. received waste from a large, industrialized Navy base;
2. nearby sensitive wetland environment;
3. relatively shallow bay mud is present, which limits downward migration of
groundwater;
4. groundwater is not used for human consumption;
5. ecological receptors may be exposed to migrating groundwater;
6. closure is designed to prevent human and ecological receptors from contacting the
landfilled refuse and soil contamination;
7. excavated contaminated soil and waste is relocated for consolidation within the
landfill; and
8. institutional controls limit future land uses.
Differences between the closure of the MINS landfill and the IR Site 1 landfill include:
1. widespread groundwater contamination occurs at MINS from landfilled wastes,
requiring a closure designed to prevent percolation of rainfall into the landfill and
a slurry wall to manage lateral migration of groundwater; but widespread
groundwater contamination has not been detected at IR Site 1;
2. active landfill gas production occurs at MINS necessitating a landfill gas handling
system as part of the landfill closure, but little landfill gas has been detected at
the IR Site 1 landfill and cleanup plans include a verification soil gas sampling
program only; and
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3. RCRA is applicable for a portion of the MINS landfill, but all of the IR Site 1
landfill predates the RCRA regulations.
In summary, two important differences exist between the MINS landfill and the IR Site 1
landfill. First, extensive groundwater contamination from the buried wastes is present at
the MINS landfill. At IR Site 1, existing information supports the presumption that
groundwater contamination arises predominantly from aircraft parts storage and
maintenance activities that were conducted in the area. More thorough groundwater
monitoring in the future will evaluate whether this presumption continues to be valid.
Accordingly, current remedial decisionmaking is not predicated on controlling migration
of groundwater from the landfill.
Second, the RCRA regulations are applicable to a substantial portion of the MINS
landfill, because waste burial practices continued there after the effective date of these
regulations. Waste disposal at the IR Site 1 landfill stopped in 1956, two decades before
RCRA was enacted. Therefore, RCRA requirements are relevant and appropriate for the
IR Site 1 landfill only to the extent they address issues germane to IR Site 1, such as
monitoring, maintenance, erosion control, and site security.
"The most southern waste cell apparently overlaps the shoreline and also contains
radiologically impacted materials."
The RAB makes an important observation with this comment. Historical aerial
photographs are unclear about how close the southernmost waste disposal cell encroaches
on the Bay. However, this ambiguity is justification for addressing the issue further.
At the August 19, 2008, BCT meeting and the September 4, 2008, RAB meeting, the
Navy outlined its proposed remedial design plans for IR Site 1. One component of the
remediation is setback excavation and backfilling along the western shoreline of IR
Site 1. To ensure no wastes slide into the Bay during an earthquake, the proposed
remedial action would excavate soil and wastes, including any radioactive contamination,
to a depth of four feet within a swath about 200 feet wide along the shoreline. (The exact
width to be excavated will be determined by seismic stability modeling that has not been
conducted yet.) After excavation, the area will be backfilled with clean soil that is
compacted for improved seismic stability. The Navy is proposing to relocate the
excavated material beneath the soil cover to be installed over the IR Site 1 landfill.
After this proposed remedial measure (discussed above) is implemented, the Navy
will have addressed the RAB's comment about the southernmost landfill cell
encroaching on the Bay. The excavation will expose any wastes, including radioactive
contamination, within its footprint. If wastes are found to extend to the Bay at a depth
deeper than the four -foot excavation depth, then the conceptual site model, upon which
the ROD is based, will be fundamentally incorrect. The Navy and environmental
regulatory agencies will have to revisit this aspect of the clean -up decisionmaking and
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b.
potentially modify the clean -up plan. Otherwise, the backfilled clean soil will provide
assurance that no waste is in contact with the Bay along this shoreline.
This comment also appears in the RAB's comment letter about the Navy's trenching
report. (see page 18, below) That comment letter includes a copy of Figure 1 -1 from the
trenching report to illustrate this point. However, it should be noted that the copy of
Figure 1 -1 that is attached to the RAB's comment letter shows the southernmost cell
overlapping a line that confusingly and erroneously appears to be the shoreline. The line
representing the true shoreline is too faint on the original Figure 1 -1 (in the Navy's
trenching report) to reproduce easily by photocopying. The line overlapped by the
southernmost cell on the comment letter's copy of Figure 1 -1 appears to be the shoreline,
but is not. That line is labeled "RMA Boundary ", which defines the Radiological
Materials Area, and is about 70 feet inland of the true shoreline. A clearer copy of Figure
1 -1 is attached to this evaluation. On the attached figure, the faint gray line, which has a
bold yellow dashed line superimposed upon much of its length, represents the shoreline
of San Francisco Bay. Unfortunately, this line representing the shoreline is not labeled on
the figure and does not appear in the figure's legend.
"The Navy has recently said that a rodent barrier and plastic sheet will be added to the
top cover, but this has not yet been documented in writing and there aren't any design
specifics."
According to the Navy's proposed remedial design, which it described at meetings of
both the BCT and RAB, an engineered layer of rocks within the soil cover will be
used to prevent burrowing animals from digging deep enough to reach the buried
wastes. Details of this landfill cover feature will appear in the remedial design document
that the Navy prepares before it begins field activities. The Navy plans to issue the draft
remedial design document for review and comment by the end of 2008. The ARRA and
the RAB can review the remedial design and submit a critique if the detailed design of
the burrowing- animal barrier appears inappropriate in any way.
Landfill covers used to protect groundwater from contamination by the wastes have
certain design elements, such as plastic sheets to prevent percolation of rainfall and
barriers to prevent rodents from creating burrows through which rainfall could easily
enter the landfill. This type of groundwater protection is not a design consideration for
the Navy's proposed soil cover because groundwater contamination from the landfilled
wastes has not been detected. Accordingly, the plastic sheet is not needed and the purpose
of the rodent barrier is to protect the health of the rodents and to prevent them from
carrying buried wastes to the surface.
"The integrity of the top cover may be compromised by liquefaction and sand boils as a
result of a large earthquake. There is considerable doubt as to whether the Navy will be
able to design the top cap to resist damage during and /or following a large earthquake in
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the S. F. Bay area. There is nothing to show that four feet of cover will prevent
radioactivity or other toxic materials from being brought to the surface by liquefaction as
a result of a major earthquake. The Navy says that the seismic design of the cap will be
addressed during the remedial design phase. However, there may be no practical,
economic way of preventing such liquefaction. The Navy took the position during the
May 2008 RAB meeting that geysers and sand boils will not occur at Site 1. However,
there is ample scientific evidence that liquefaction has occurred in poorly consolidated
sandy fill areas during both the 1906 earthquake and the 1989 Loma Prieta earthquake.
During the Loma Prieta event, liquefaction occurred in the Marina District in San
Francisco, at Treasure Island, and along the Cypress freeway in Oakland. Sand boils
occurred on Treasure Island during the Loma Prieta seismic event (see the attached
photos showing these sand boils). Sand boils and/or geysers represent the conversion of
kinetic energy from the seismic shaking into pore (or static) pressure. This pore pressure
can cause liquefaction and /or sand boils. Whether or not sand boils or geysers result, of
course, will depend on the violence and duration of the earth movement. The sand boils
that happened on Treasure Island during the Loma Prieta event evidence the fact that this
can occur. The photos indicate that holes 2 to 3 ft in diameter were created and that sand
and subsurface water were ejected from the holes. The Feasibility Study for Site 1, in
fact, reported that evidence of liquefaction also was observed at IR Site 1 after the 1989
Loma Prieta earthquake. The Navy's seismic stability study showed 20 ft of lateral
displacement of the shoreline and 1 `/z ft of vertical displacement in the cover material
after a major seismic event.
"It is important that the bayside stability of Site 1 be maintained both to prevent disposed
waste materials from being directly released into S. F. Bay, and to maintain the shoreline
integrity of the planned park and golf course. The earlier study proposed a rock
column/soil cement barrier along the bayside of Site 1. The Navy has retreated from that
recommendation and has said that the bayside stability would be achieved by a method to
be determined during the remedial design phase. The writer asked, and was assured, that
access would be provided to the Site 1 beach area during the July 16, 2008 site tour.
However, that area had been fenced off and freshly placed rip rap made it impossible to
determine whether shoreline erosion had occurred or whether waste material had been
exposed to the Bay. One possible solution to shoreline instability that has been mentioned
by the Navy is the use of "seismic vents ". Such vents would consist of perforated pipes
filled with gravel. They would allow pore pressure, which might cause liquefaction, to be
vented to the surface during a seismic event. Such venting could also cause toxic
materials and radiologically contaminated soil to be released to the surface." (underlining
in original)
The RAB comment is absolutely correct: an earthquake can cause both liquefaction and
sand boils, as well as other types of ground failure. As the comment notes, the type and
degree of ground failure depends on the magnitude and duration of earth movement.
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c.
d.
The Navy's approach to providing for seismic stability has two components. First,
shoreline setback excavation and backfilling with compacted clean soil addresses the
hazard of shoreline failure during an earthquake, with potential landfill material
sliding into the Bay. Second, seismic damage to the landfill cover itself, including
liquefaction and sand boils, would be repaired pursuant to an operations and maintenance
plan.
"The Navy would comply with landfill cover seismic requirements...as described
below. The fill materials underlying the Area 1 soil cover are potentially
liquefiable. This landfill was located and used prior to the regulations being
promulgated. The Navy would comply with the intent of these potentially relevant
and appropriate ARARs by providing for any necessary repairs of the soil cover
following significant damage by a potential future earthquake. This repair
program would be documented in an O &M plan prepared during remedial
design." (FS, p. B4 -13)
At a BCT meeting, the DTSC expressed its desire for the Navy to include in its remedial
design the selection and installation of cover soil so as to provide some degree of seismic
stability. The Navy was noncommittal in its response. It is anticipated that this issue will
receive considerable scrutiny during the environmental regulatory agencies' review of the
draft remedial design document, which the Navy expects to release for review and
comment in December 2008.
"Ground squirrels, gophers and other burrowing animals may penetrate the cover and
bayside perimeter. The four -foot cover thickness was selected to provide 2 ft of cover,
plus 2 ft to protect against penetration by ground squirrels. The Navy cited a study in the
Site 2 Remedial Investigation that ground squirrels do not dig holes deeper than 2 feet.
The writer's personal observations are that ground squirrels often dig their burrows along
banks. On Bay Farm Island, the squirrels have burrows at the top of the shoreline and
have a labyrinth of burrows under the rip rap. These burrows appear to go parallel to the
slope for 10 or 15 ft. Also, burrowing owls use the burrows abandoned by ground
squirrels and jack rabbits. The owls enlarge and extend the burrows up to a depth of
seven feet. Gophers burrow as deep as 6 feet to create nest and food storage chambers."
(underlining in original)
This comment appears to be supporting infoaiation for a portion of RAB comment "a. ",
on page 9 above. As explained earlier, the Navy has committed to an engineered layer
of rocks within the soil cover to prevent penetration by burrowing animals. Design
details for this barrier are to appear in the Navy's upcoming remedial design document.
"The trenching study has shown that radiologically impacted soil is widely scattered .
within the waste cell area. Physical isolation by the top cover may be compromised by a
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e.
major seismic event and/or penetration by burrowing animals. Maintenance personnel for
the proposed shoreline park and golf course (or restored wetlands) will not be equipped
with radiation detectors and likely will not be trained in radiological removal or
recognize the danger presented by surface releases of soil contaminated by radioactive
and toxic materials." (underlining in original)
The RAB highlights a very real concern with this comment. This issue is indirectly
addressed in the context of two evaluations appearing above. First, if properly designed
and implemented, the barrier within the landfill cover will effectively preclude
burrowing animals from contacting the landfill contents. Since they will be unable to
access the landfill contents, burrowing animals will not bring to the surface any
radiologically impacted soil or waste from below the barrier. Second, the Navy plans to
develop an operations and maintenance plan for the landfill that includes repair of the soil
cover in the event of an earthquake. This plan should provide for closure of the IR Site 1
area following an earthquake, until inspection and any needed repairs can be conducted.
Both of these issues will be developed more fully in the Navy's upcoming remedial
design document, which will be available for review and comment in draft form.
"In -situ chemical oxidation (ISCO) may not be effective in treating the solvent plume
because the injected oxidants may force the contaminants away from the injection points.
Subsurface heterogeneities and preferential flow paths can cause uneven distribution of
the oxidant, resulting in untreated pockets of contaminants. Because the volatile plume is
close to the shoreline, there is a danger that the injection of oxidants will displace the
plume into the Bay. Also, within the ISCO treatment zone, changes in the oxidation states
and /or pH may result in the mobilization of radium and other toxic metals. If you have
high concentrations of contaminants in a well - defined plume, there is a good opportunity
to remove a lot of mass by pumping and treating. Later, ISCO could be used for
polishing." (underlining in original)
This comment enumerates many of the complicating factors with in situ treatment of
contaminated groundwater, and with ISCO in particular. The Navy has yet to develop the
details of how ISCO will be implemented, and how ISCO will be monitored to ensure it
does not cause unintended consequences, such as mobilization of radium or metals,
and /or migration of the groundwater plume into the Bay. These design details and others
will be clarified by the Navy's upcoming remedial design document.
On September 18, 2008, the ARRA's environmental consultant met with several
RAB members to discuss their comment letter. During that meeting, a more robust
groundwater treatment strategy become was devised. First, the Navy should
thoroughly sample and analyze the groundwater to fully understand the nature and extent
of the contamination. Second, hydraulic control of the groundwater in the vicinity of the
contamination should be established. This likely would involve pumping. Only then
should ISCO be implemented, and only with intensive groundwater monitoring to assess
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Page 13 of 21 Evaluation of Alameda Point RAB
September 24, 2008 Comment Letters re 1943 -56 Landfill
f.
g.
ISCO's effectiveness and to ensure contaminants do not migrate beyond the treatment
zone. As the comment notes, contaminant mobilization sometimes occurs with in situ
treatment for two reasons: the injected chemicals tend to displace contaminated
groundwater, and contaminants that are nomially immobile can transform so as to
become mobile. Finally, once ISCO achieves the cleanup goals, the normal geochemical
character of the groundwater must be restored. If ISCO treatment mobilizes metals,
radium, or any other contaminants, the Navy must render them immobile again before
discontinuing hydraulic control of groundwater in the area. Before implementing ISCO
treatment, the Navy must show that unintended consequences, such as mobilization
of metals and /or radium beyond the treatment zone, will not occur. Contingency
measures should be developed to address any unintended consequences quickly and
effectively.
If ISCO treatment is not as effective as intended, or if it causes any of the unintended
consequences this comment mentions, the treatment method may have to be modified or
an entirely different clean -up approach used, such as pump and treat. Remedy failure of
the ISCO alternative would result in another treatment technology being used. It would
not mean that the groundwater clean -up goals are unachievable. ISCO produces results
quickly, and unintended consequences will be closely monitored. If ISCO were not to
work properly, there will be ample opportunity to institute other groundwater clean -up
measures.
"The high concentrations (exceeding 100,000 u,g /L) of volatile organic compounds
(VOCs) in the groundwater plume indicate that dense non - aqueous phase liquids
(DNAPLs) probably are present under the plume. The Proposed Plan for Site 1 states that
DNAPLs may be present. These DNAPLs have a tendency to make the bay mud aquitard
more permeable. Thus, it would be expected that pathways might open up for
contaminants to flow into the second water - bearing zone." (underlining in original)
Most groundwater contamination at IR Site 1 is in the shallowest aquifer. However, as
the RAB states, VOCs can desiccate clays, such as the bay mud, causing cracks through
which contaminated groundwater can migrate downward. Currently, few contaminants
have been detected in the second water - bearing zone beneath the DNAPL area, and those
are present only at low levels.
The RAB comment underscores the importance of cleaning up IR Site l's
groundwater contamination without further delay.
"The radium hazard is not whole body radiation, but rather, internal via inhalation and
ingestion. Radium is a bone - seeker that can cause bone cancer, leukemia, or lung cancer
if it gets into the body. Direct contact with radiologically impacted soil and toxic
materials brought to the surface in the future poses an inhalation and ingestion hazard to
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Page 14 of 21 Evaluation of Alameda Point RAB
September 24, 2008 Comment Letters re 1943 -56 Landfill
h.
adults and children who might come into contact with such exposed materials. The 1,600 -
year half -life of radium brings into question the long -term containment integrity due to
seismic activity, shoreline erosion, burrowing animals, and site inundation (global
climate change and tsunamis). Note that even without the effects of man -made
greenhouse gases, the Bay water level has risen 25 to 30 ft over the last 3,500 years. The
Navy has said that it does not have to design for rising sea levels, but it is illogical to
design for some physical phenomena and not others." (underlining in original)
Unquestionably, exposure to radium can involve serious human health risks. Fortunately,
throughout IR Site 1, radium has been observed only at relatively low levels —high
enough to require remediation, but not exceptionally high. The comment speaks to
several mechanisms by which radium exposure might occur: shoreline failure, landfill
contents brought to the surface by burrowing animals, and earthquake damage to the
landfill cover. These concerns are discussed above in the evaluation of other RAB
comments. (Please see pages 8, 9, and 11.)
As sea level rises, wastes left in place at IR Site 1 will be inundated. Yet, sea level rise is
not specifically addressed in any of the remedial decision documents for IR Site 1.
Because the remediation is not intended to prevent the landfill from being exposed to
groundwater or rainfall, exposure to shallower groundwater caused by sea level rise
likely would not change the current situation. However, global climate change might
involve stronger wave action from storms than occurs now. By all accounts, the rate of
global climate change is measured in years, slowly enough to implement further
remediation as appropriate. Transfer documents for this land should ensure that
responsibility for such contingent future remediation remains with the Navy, as intended
by CERCLA.
"The presentation by SunCal on August 7, 2008 showed the western portion of the
`northwest territories' being used for wetlands restoration, with return to Bay wetlands
instead of a golf course. If it is planned to excavate portions of Site 1 to create permanent
wetlands, this appears incompatible with leaving large quantities of uncharacterized
wastes and radiologically impacted soil in place under a cap. In fact, the creation of an
engineered cap in such a situation appears wasteful. There needs to be closer coordination
between the Navy, the City of Alameda, and the developers regarding cleanup,
restoration, and development plans." (underlining in original)
Building wetlands on a landfill is inappropriate, as the RAB's comment clearly
articulates. If the Navy demonstrates that all of the landfilled wastes have been excavated
and removed, and that the backfilled soil has no high contaminant levels, then
redevelopment as a wetland may be appropriate. SunCal has made no proposal to the
RAB, the Navy, the environmental regulatory agencies, or the ARRA to create wetlands
at IR Site 1. As the RAB's comment suggests, the developer should be required to closely
coordinate any redevelopment plans for IR Site 1 with all interested parties.
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Page 15 of 21
September 24, 2008
Analysis of the Trenching Report
Evaluation of Alameda Point RAB
Comment Letters re 1943 -56 Landfill
"Exploratory trenches were excavated within the waste cell area (Area 1a) of Site 1. The stated
objectives of the trenching were to:
a. Verify waste volume estimates.
b. Confirm the absence of intact drums.
"The final report on the exploratory trenching was issued on May 16, 2008. The findings were as
follows:
a. The total waste volume within the cells could be between 94,000 and 133,000 cubic
yards (cy). This corresponds to a tonnage range of from 141,000 to 200,000 tons. This can be
compared to a range of between 15,000 and 200,000 tons used in the Feasibility Study Report.
b. No intact drums were found.
c. Although approximately 25 % of the waste volume had radiation levels above the
Navy's criterion for removal (6,000 counts per minute), the study states "... It should not be
inferred that the distribution of radiological contamination in the excavations is consistent
throughout the volume that was radiologically impacted, nor should it be inferred that this
distribution would be consistent throughout the site ". (Emphasis added)" (underlining in
original)
After the ARRA reviewed the Navy's draft ROD for IR Site 1 in 2007, the ARRA sent a letter to
USEPA. One of the major points the ARRA's letter makes is "Uncertainty regarding whether or
not large amounts of hazardous industrial wastes and intact drums are buried in Area 1 a is a data
gap that should be investigated before final remedy selection." This is an important point,
because the presence of drums would undercut a fundamental Navy assumption: the landfilled
wastes are not contaminating groundwater. However, if intact drums are still prevalent in the
landfill, their eventual failure likely would cause groundwater contamination. This should be
prevented by properly designing the landfill remediation. USEPA agreed with the ARRA's
position and worked to obtain Navy agreement to trench the landfill to evaluate the prevalence of
intact drums and to allow better estimation of the waste volume.
"It is also noteworthy that little or no evidence of municipal (household) wastes was found, only
construction debris (concrete, bricks, pipes, glass, and wood) interspersed in the soil. This may
account for the statement by Mr. Pat Brooks, the Navy's Base Environmental Coordinator,
during the aborted tour of Site 1, that a lot of municipal wastes were excavated from Site 1
before construction of the runway. He said that he thinks the wastes went to Site 2. This raises
questions about where the wastes from Site 1 were deposited in Site 2 and how municipal wastes
could have been transferred without taking along interspersed toxics and radiological
contamination. If the Navy excavated a substantial volume of wastes from Site 1, and the Navy
can document where this occurred (e.g., under the runway), then the cost of excavation and
removal of the remaining wastes would be much less than estimated in the Proposed Plan ($92
million)." (underlining in original)
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Page 16 of 21 Evaluation of Alameda Point RAB
September 24, 2008 Comment Letters re 1943 -56 Landfill
The RAB's comment is good, but it does not emphasize how little debris was found during the
exploratory trenching. The amount of waste encountered by trenching into the landfill is much
less than anticipated. IR Site 1 was to have contained all of the base's wastes produced between
1943 and 1956. It is remarkable that none of the 11 trenches came across a classic deposit of
landfilled waste. One thought is that when runways were constructed over a portion of the
landfill, the buried material would have been relocated due to geotechnical unsuitability.
The RAB's comment suggests Mr. Brooks has knowledge of relocating wastes from IR Site 1 to
IR Site 2, the Navy's closed landfill south of IR Site 1. Mr. Brooks has stated that he has no
direct knowledge of the Navy relocating IR Site 1 landfilled material, and that he was only
speculating. Nevertheless, waste relocation is probably the most plausible explanation for not
finding the landfill and encountering only minor amounts of debris during trenching.
The existence of landfilled wastes at IR Site 1 is central to the conceptual site model. Based on
the results of the Navy's exploratory trenching, little or no waste remains in the waste disposal
cells that are prominent in historic aerial photographs. The working presumption should now
be that the Navy already excavated and removed the landfill. IR Site 1 no longer has a
landfill, except potentially in the burn area. Perhaps the Navy's speculation that IR Site 1
wastes were relocated to the IR Site 2 landfill is correct. Another plausible explanation is that
only noncombustible wastes were relocated to the IR Site 2 landfill, and combustible wastes
instead were burned in Area lb then pushed into the Bay. Regardless of which explanation is
correct, remedial decisionmaking should not proceed on the basis of such fundamental
misconceptions in the conceptual site model.
A better path forward is to reduce the scope of the IR Site 1 ROD to (1) cleanup of the
groundwater contamination, and (2) excavation of all wastes in Area lb (the shoreline burn
area) with off -site disposal. These two components of the ROD are in most need of immediate
implementation. The balance of IR Site 1 should be administratively transferred to IR Site 32, as
has already been done for IR Site 1's Areas 2a, 3a, and 3b. As part of IR Site 32, the former
landfill site's remedial investigation can be supplemented with verification that all wastes were
removed and with chemical and radiological characterization of the soil backfilled into the space
the wastes had occupied before they were relocated. After this critical data gap is filled, the
location of the former landfill can proceed through the normal Feasibility Study, Proposed Plan,
and ROD decisionmaking process as part of IR Site 32.
"The Navy still has not adequately characterized the contents of the waste cells. According to the
Spring 2007 Basewide Annual Groundwater Monitoring Report, IR Site 1 accepted all of the
solid waste generated at Alameda Point between 1943 and 1956. Wastes included municipal
garbage, construction debris, transformers, cleaning solvents, oil /lubricants, ordnance and
explosive waste, and radiological materials such as radium dials and buttons. There was a golden
opportunity to take samples and analyze them for toxics during the exploratory trenching.
Unfortunately, the Navy was explicit that they were not going to characterize the wastes and that
they were only trying to prove the absence of intact drums (a negative objective). Even though
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Page 17of21
September 24, 2008
the Navy said they weren't going to characterize the wastes, measurements of radioactivity were
made during the trenching operations."
It is correct that the IR Site 1 landfill has not been characterized. Navy and environmental
regulatory agencies discussions on how to implement the trenching effort illustrate their
reasoning about whether to chemically analyze samples of the landfill material. A landfill's
principal threats to public health and the environment involve: (1) direct contact with the waste,
(2) groundwater contamination, and (3) landfill gas generation. The draft ROD specifies
installation of an isolating soil cover to prevent contact with the landfill's contents. Groundwater
contamination from the landfill appears not to be occurring. The landfill appears not to be
producing appreciable amounts of landfill gas. Accordingly, full characterization of the landfill's
contents unlikely would change any aspect of the cleanup decision. Further, the inherent
variability within a typical landfill makes full characterization extremely difficult.
Radioactivity measurements were made during landfill trenching for worker health and safety,
and to determine whether the material dug up had to be hauled offsite or could be backfilled into
the trench. Radioactivity was not measured in an effort to characterize the landfill per se,
although the measurements provide valuable insight to the nature of the landfilled material.
Evaluation of Alameda Point RAB
Comment Letters re 1943 -56 Landfill
"Figure 1 -1 from the trenching report is attached and has been annotated by the writer. Note that
five of the trenches were located relatively close to the walls separating the waste cells. These
locations have been circled in the figure. If the locations of these trenches were off only slightly,
the trenches may have been cut into the walls between the cells or into the sloping portions of the
walls. Thus, it would not be surprising if little or no waste debris were found."
This RAB observation is correct. The locations of the trenches were decided by the Navy and
environmental regulatory agencies as follows. Ideally, two trenches would be dug in each landfill
cell: one near the center and one near the edge. This strategy attempts to establish whether the
landfill cells have relatively constant depths or are shallower near the edges. The bottom shape of
the cells is important to estimating the volumes of the cells. As the comment notes, this strategy
for locating the trenches depends on knowing where the edges of the landfill cells are. The
landfill cell edges can be identified reasonably well from historic aerial photographs. Due to
avoidance of runways and wetlands, not every cell was trenched at the center and the edge. Three
of the seven cells have only one trench each.
Of the four cells with two trenches each, no trend is apparent in the trench logs between the
center and the edge trenches as to thickness of refuse, amount of refuse, type of refuse, or
amount of radioactivity. In view of the scarcity of waste encountered by the trenches, one
must presume the landfill is no longer present at IR Site 1. This is consistent with the Navy's
speculation that the Navy relocated landfilled wastes from IR Site 1 to IR Site 2, a more
plausible explanation for not finding any waste than that all of the trenches encountered only the
walls between the landfill cells.
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Page 18 of 21
September 24, 2008
Evaluation of Alameda Point RAB
Comment Letters re 1943 -56 Landfill
"Of the eleven trenches, seven showed some excessive radioactive contamination (as indicated
on the trenching logs for the respective trenches). Perhaps more significantly, six of the seven
cells had some radioactively contaminated soil in the excavated soil.
"Consider the carefully worded conclusion of the trenching report, i.e., that it should not be
inferred that the radiological contamination is consistent throughout the waste volume. The word
"consistent" can be taken as meaning uniform or at the same concentrations throughout.
Certainly no one would expect that. What can be reasonably concluded is that radioactive
contamination of the subsurface material is widely scattered throughout the waste cells (but not
uniformly)." (underlining in original)
This comment is correct. It reinforces a key finding of the trenching exercise: radioactive
contamination is widely scattered throughout the waste cells, but not uniformly. One implication
of this finding is that any material that is excavated from the area will have to be tested for
radioactivity, and much of it likely will require offsite disposal at a landfill that is permitted to
accept radioactive wastes. California has no such landfills. Radioactive soil dug up by the
exploratory trenching was transported to Texas and Utah for disposal.
"Another observation from Figure 1 -1 is that the southernmost cell (in which trench T -6 was
excavated) overlaps or abuts the shoreline. This indicates that either wastes from this cell are
currently exposed to the Bay or that they could easily be exposed by minor shoreline erosion in
the future." (underlining in original)
This comment is similar to one of the points made in Comment "a." of the RAB's "Deficiencies
in the Proposed Plan" letter. The evaluation of this comment appears on page 8.
"Note also the notation from the T -6 trench log that all the excavated soil from this cell was
radioactively impacted. One would expect some radioactive contamination of the adjacent beach
area."
This comment is well- taken. The comment might be founded in part on the confusing "RMA
Boundary ", which appears to be the shoreline on the copy of Figure 1 -1 that is attached to the
RAB's comment letter. However, the Navy proposes to test shoreline soil, including the beaches,
(Area 5) and relocate any hot spots above screening criteria to beneath the soil cover to be
installed over the landfill. This testing will evaluate whether there is radiological contamination
of the beach area. When the details of this remediation are explained in the remedial design
document, inclusion of radioactivity criteria in the screening must be verified.
"It is also significant that little or no municipal (household) wastes were found and that Mr.
Brooks stated that such wastes were moved to Site 2. The Navy early on relied on the presence
of municipal rather than industrial wastes as justifying the "presumptive remedy" of source
containment. It appears that the justification for the "presumptive remedy" has been substantially
weakened."
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Page 19 of 21
September 24, 2008
Evaluation of Alameda Point RAB
Comment Letters re 1943 -56 Landfill
As the comment notes, the Navy early on used the "presumptive remedy" of source containment
in its clean -up decisionmaking. However, in large part due to the ARRA's June 25, 2007 letter
to USEPA, the Navy dropped the "presumptive remedy" approach. "Presumptive remedy"
is not mentioned in either the Proposed Plan or the ROD for IR Site 1.
"From the report and accompanying photographs, it appears that trenching only went down 7 or
8 ft from the surface to the groundwater level. There could be wastes buried deeper. It is likely
that groundwater and the depth of the bay mud aquitard do not coincide. If the wastes were used
as fill, the wastes could extend down to the original level of the Bay's bottom (i.e. sand or mud).
See the attached figure from a presentation by the Navy's former Remedial Project Manager, Mr.
Rick Weissenborn, that shows the sea level 8 ft below the surface, but fill going down to about
25 ft below grade or 17 ft below sea level. One can reasonably assume that the groundwater level
is approximately at, or slightly above, sea level."
Landfill material likely is not present below the bottoms of the trenches, but cannot be ruled out.
First, the trenching work plan requires trenching down, until waste is no longer encountered,
without regard to whether groundwater has been reached. The field crews continued digging
until they believed waste residues were no longer present. This mush have been a difficult task,
given the scarcity of readily identifiable waste at any depth. Second, the chronology of IR Site 1
is that the Navy first filled the Bay in that area with dredge spoils, as with much of the rest of
Alameda Point, then excavated basins or trenches through the filled dredge spoils to landfill the
wastes. Due to sloughing and other geotechnical instability of the filled dredge spoils, the Navy
would have had great difficulty excavating the basins or trenches much below the water table.
The figure "Recommended Geotechnical Alternative ", to which the comment refers, is attached
to the RAB's comment letter. The RAB likely misinterpreted the figure due to its ambiguous
labeling. On the figure, the soil layer labeled "FILL" most likely refers to a layer consisting of
both the dredge spoils that were placed upon the native bay mud and the wastes later landfilled
into the dredge spoils. This interpretation is most logical for geotechnical considerations, which
is the subject of the figure. The comment assumes the layer labeled "FILL" represents landfilled
material, an unlikely interpretation stemming from the ambiguity of the figure's labeling.
"Aerial photos of the Site 1 waste cells (from the Feasibility Study) appear to show ponds in the
bottom of at least two cells. This indicates that the excavations went substantially below the
groundwater levels."
This interpretation of the aerial photographs, that water is present in the bottoms of some of the
excavations, is reasonable. However, it is much more difficult to discern from the photographs
how deep the water is. The excavations might extend substantially below the groundwater levels,
but that conclusion is difficult to reach based on these aerial photographs.
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Page 20 of 21
September 24, 2008
Evaluation of Alameda Point RAB
Comment Letters re 1943 -56 Landfill
Conclusion
"The trenching report demonstrates that a substantial fraction of the material buried in the waste
cell area is radiologically impacted. Further, this radiologically- impacted material is widespread
and randomly scattered. If this material finds its way to the surface in the future, it will have to
be removed from the site because it is radiologically impacted at levels (> 6,000 counts per
minute) that are unacceptably high."
This conclusion to the RAB's comment letter is accurate and thoroughly supported by the current
understanding of IR Site 1.
SUMMARY and CONCLUSION
Most of the RAB's points identify important considerations for proper remediation of IR Site 1.
Many issues raised by the RAB appear to have been addressed by preliminary design plans the
Navy recently described to the RAB and the environmental regulatory agencies: improving
seismic stability along the shoreline, including a rodent barrier in the landfill cover, and
augmenting the network of perimeter groundwater monitoring wells. Whether other key RAB
issues are dealt with appropriately will not be known until the Navy designs the cleanup plan.
Implementation of groundwater treatment is the most prominent example of this type of issue.
The RAB comments directed toward management of water within the landfill are likely overly
conservative, because the groundwater contamination that has been detected at IR Site 1 appears
to come predominantly from aircraft parts storage and maintenance activities, rather than the
landfilled wastes. This presumption is subject to change should it be determined that
groundwater contamination comes from landfill wastes.
The Navy dug eleven exploratory trenches into the IR -1 landfill in September 2007. Remarkably,
none of the trenches found any landfilled waste. Although many of the trenches encountered soil
with minor amounts of concrete, wood, metal, and other debris, no landfill deposits were found.
The presumption now should be that the IR -1 landfill is no longer there. One likely scenario is
that the landfilled wastes were relocated to IR Site 2, the Navy's newer landfill to the south. This
probably occurred in the 1950s when the Navy built a new runway over the IR Site 1 landfill.
Another possibility is that, upon excavation, any combustible wastes were burned in the
shoreline burn area, and only the incombustible waste was relocated. Regardless of which
explanation is correct, the current conceptual site model, which is the foundation of all of the IR
Site 1 clean -up decisions, is fundamentally flawed.
A better path forward is to further investigate the footprint of the former IR Site 1 landfill to
verify that all wastes have been removed and to chemically and radiologically characterize the
backfilled soil. Then the conceptual site model should be updated to reflect actual site conditions.
However, the shoreline burn area, and the groundwater plume need prompt cleanup. The current
configuration of IR Site 1 should be split into two parts. Clean -up of groundwater and the burn
area should move forward as expeditiously as possible. The rest of IR Site 1 should shift to a
separate decisionmaking /cleanup track, potentially by combining with the adjacent IR Site 32.
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Page 21 of 21
September 24, 2008
Evaluation of Alameda Point RAB
Comment Letters re 1943-56 Landfill
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IR SITE 1 AND 32 BOUNDARIES
DISPOSAL AREA BOUNDARY
SEASONAL WETLAND BOUNDARY
RMA BOUNDARY
TRENCH LOCATIONS
SEASONAL WETLAND AREA
DISPOSAL CELL
Figure 1-1
TRENCH LOCATIONS
IR SITE 32 AND THE SHORELINES OF IR SITES 1 AND 2
ALAMEDA POINT — ALAMEDA, CA
TETRA TECH
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Russell Resources, Inc. Item 4 -A
environmental management
Highlights of Alameda Point RAB Meeting on September 4, 2008
RAB members present: George Humphreys (co- chair), Fred Hoffman, Joan Konrad, Jim Leach,
Dale Smith, Jim Sweeney, Jean Sweeney, and Michael John Torrey
Remediation and other field work in progress:
• debris pile removal along north shore of Seaplane Lagoon
• removal of radiologically impacted storm drain inside Building 5
• expansion of petroleum remediation system near Atlantic Avenue entrance
• groundwater treatment at IR 14 (former fire training area in Northwest Territory)
• two large aboveground petroleum storage tanks in Term 1 have been dismantled and the
scrap metal recycled off site
• the petroleum remediation system at the southern end of the western hangar row is
operational and extracting from the ground much more leaked jet fuel than was expected
IR Site 1 Proposed Remedial Design /Remedial Action Presentation:
• AMEC has been awarded a Navy contract for up to $20 million for remediation of IR
Site 1 and investigation of radioactively contaminated soil immediately to the east.
• Eastern portions of IR Site 1 soil have been transferred to IR Site 32 because hotspots of
radioactivity are more widespread than expected.
• The Navy described its plans for cleaning up Area lb, the shoreline area where wastes
were burned and pushed into the Bay. The Proposed Plan and draft ROD provide that all
waste will be excavated and disposed off site.
• The preliminary clean -up design for IR Site 1 includes excavating a 200 -foot wide, 4 -foot
deep swath of soil along the shoreline and replacing it with compacted clean soil. The
excavated soil will be placed under the sol cover proposed for the landfill. This measure
is design to improve the shoreline's seismic stability and address the potential for wastes
to slide into the Bay during an earthquake.
• During discussion of the proposed groundwater cleanup at IR Site 1, several RAB
members voiced concern that groundwater treatment not cause contamination, perhaps
mobilized by the treatment itself, to migrate into the Bay. The Navy acknowledged these
concerns and will provide further details as the remedial design progresses.
At several points during the meeting, SunCal's proposal to create a wetland in the Northwest
Territory arose. The Navy clarified that SunCal's idea is highly conceptual and that any formal
proposal would be coordinated with the Navy and the environmental regulators before
development occurs.
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