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R2018-94 Authorizing 2nd Amendment to Agreement between the City of Decatur and MDA Properties LLC
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R2018-94 Authorizing 2nd Amendment to Agreement between the City of Decatur and MDA Properties LLC
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7/23/2018 1:44:57 PM
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7/23/2018 1:44:36 PM
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Resolution/Ordinance
Res Ord Num
R2018-94
Res Ord Title
Authorizing 2nd Amendment to Agreement Between the City of Decatur and MDA Properties LLC
Department
City Manager
Approved Date
7/16/2018
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Book: 4558 pace: 497 <br /> September 30, 2015 <br /> Mr. Billy Tyus <br /> Focused Phase 11 ESA- 151 West Main Street/152 West Wood Street <br /> Page 4 <br /> No observable physical evidence of potential contamination in the form of petroleum <br /> hydrocarbon or solvent-like odors or staining was encountered in the extracted soft cores at <br /> SB1, SB7 or SBB. PID readings were 0.0 ppm for these soil samples. The remainder of the soil <br /> samples had visual, olefactory, and/or PID responses indicating possible contamination. Soil <br /> Boring Logs are included as Attachment 3 and describe the specific geological conditions <br /> encountered at each soil boring location. <br /> The soil samples were collected and analyzed for volatile organic compounds (VOCs),semi- <br /> volatile organic compounds(SVOCs), and polychlorinated biphenyl(PCB)constituents present <br /> in the Illinois Environmental Protection Agency's(TEPA)Target Compound List (TCL), as set <br /> forth in 35 IAC 740 Appendix A.The(EPA's TCL is a series of constituents that are most likely <br /> to be present on sites contaminated by typical commercial and industrial land uses.Analysis of <br /> Resource Conservation and Recovery Act (RCRA)8 metals and soil pH was also completed to <br /> evaluate the teaching potential of inorganic and ionizing organic constituents for the Soil <br /> Component of the Groundwater(SCGW) Ingestion Route. <br /> Upon completion, all bore holes were plugged with 3/8 inch bentonite chips in accordance <br /> with general practice. Boring holes completed through impervious surface materials were <br /> patched at the surface with like materials. <br /> Groundwater Investigation <br /> Temporary groundwater monitoring welts TWi-TW3 were constructed by inserting 10-foot <br /> sections of 1-inch diameter schedule 40 polyvinyl chloride(PVC)riser and well screen (0.010" <br /> wide slots spaced 0.125"apart)threaded with 10-15 feet of 1-inch diameter schedule 40 PVC <br /> riser with o-ring seat piping, into the 2-inch diameter borehole at soil boring locations SB1, <br /> SB6, and SB9 upon completion of soil sampling activities. Alt screen and riser piping had <br /> threaded connections and the annular space between the borehole and well piping was packed <br /> with clean 10/20-sized silica sand blend from total depth to grade. Hydrated bentonite was <br /> utilized at the surface to create a temporary seal. <br /> On September 18, 2015, Fehr Graham collected groundwater samples from temporary <br /> groundwater monitoring wells TW1-TW3. Prior to sample collection, the wells were developed <br /> in accordance with Fehr Graham's SOPs as presented in the City's USEPA-approved QAPP using <br /> a peristaltic pump and disposable polyethylene tubing. <br /> All groundwater samples were analyzed for target compound list for (TCL)VOCs, SVOCs, PCBs, <br /> and RCRA 8 metals. Groundwater pH was collected in the field at each temporary well <br /> location. <br /> After sampling the temporary groundwater monitoring wells, the well screens and riser piping <br /> were removed and the boreholes were property abandoned as previously described. Regional <br /> groundwater flow direction is expected to be moving southwesterly towards Lake Decatur. <br /> Regulatory Standards <br /> To assess potential environmental impacts,the 35 IAC Part 742 TACO,Tier 1 SROs for <br /> commercial and industrial land uses, CROs for Class I Groundwater; and GROs for the Indoor <br /> Inhalation Exposure Route(Diffusion and Advection)were used as guidelines for qualifying <br /> concerns associated with potentially contaminated soil,soil gas, and groundwater. TACO is the <br /> [EPA's approved risk-based method for developing remediation objectives for the assessment <br />
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