Showing posts with label supersites. Show all posts
Showing posts with label supersites. Show all posts

Thursday, February 6, 2014

MIG/DEWANE Landfill ILD980497788, NPL Fact Sheet | Region 5 Superfund | US EPA

 

MIG/DEWANE LANDFILL
EPA ID# ILD980497788
Last Updated: September, 2013
Site Description

The 50-acre MIG/DeWane Landfill site is located about one-fifth mile east of the city of Belvidere and one-half mile north of U.S. Business Route 20 in Boone County, Illinois.  Approximately 1,500 people live within one mile of the site.
The MIG/DeWane site consists of a 47-acre landfill and leachate impoundment system that was operated by various entities from 1969 until its abandonment in 1988 by M.I.G. Investments, the final operator.  The landfill was a permitted municipal landfill and during its operating period it received household and municipal wastes as well as industrial wastes including paint sludge, volatile organic chemicals (VOCs), asbestos, and liquids containing heavy metals.  In 1984, the U.S. Environmental Protection Agency (EPA) had inspected the site and determined that the landfill waste and leachate were contaminating site soil, groundwater, and sediment, and that the potential existed for surface water contamination and direct exposure of humans to contaminants.

After the landfill was closed in 1988, the Illinois Environmental Protection Agency (Illinois EPA) inspected the site in 1989 and found that the site was not properly closed and capped, noting that there was exposed waste and a 5 to 10-acre depression in the middle of the landfill.  The depression collected water that drained into the landfill and resulted in over one hundred leachate seeps with some leachate flowing off site towards the nearby Kishwaukee River.  Illinois EPA's inspection also determined that the leachate surface impoundment was about to overflow and/or breach, which would potentially cause serious environmental impacts to the river.  In 1989 and 1990, Illinois EPA and EPA, in two separate emergency actions, removed approximately 155,000 gallons of leachate from the site.

EPA placed the MIG/DeWane Landfill site on the National Priorities List in 1990.

Site Responsibility

The MIG/DeWane Landfill site is being addressed through potentially responsible party (PRP) actions under state and federal oversight.

Threats and Contaminants
Sampling results from the MIG/DeWane Landfill site indicate that soil, groundwater, sediment, leachate, and landfill gas are contaminated by VOCs and semi-VOCs, pesticides, polychlorinated biphenyl (PCBs), and inorganic (metal) compounds.  A plume of groundwater contaminated with VOCs, semi-VOCs, and inorganic chemicals was found to be moving towards the Kishwaukee River.  Exposure to contaminants by drinking contaminated water or coming into contact with contaminated soil or sediment could result in human health effects.
Cleanup Progress

In 1989 and 1990, Illinois EPA and EPA, in two separate emergency actions, removed approximately 155,000 gallons of leachate from the site.

EPA and Illinois EPA issued an Administrative Order on Consent in March 1991 to a number of potentially responsible parties (PRPs) to conduct interim cleanup actions at the site, including the installation of an interim cap over the landfill, and to conduct a remedial investigation (RI) to determine the nature and extent of contamination.  The order required the PRPs to stabilize the site prior to the start of the RI.  The PRPs conducted several interim response actions from June 1991 to February 1993, including the installation of a security fence around the entire site, the removal of 50,000 gallons of leachate-contaminated ponded water from the top of the landfill and 240,000 additional gallons of leachate from the surface impoundment, the excavation of 3,500 cubic yards of off-site leachate-contaminated soil, the placement of the interim cap, the placement of topsoil and seeding, and the construction of temporary erosion controls both on and off site.

Early in 1999, landfill gas monitoring wells were installed along the western boundary of the soil borrow pit property west of and adjacent to the landfill.  These monitoring wells detected landfill gas (methane) in the soil borrow pit and elevated levels of landfill gas were also detected in a few homes in the Wycliffe Estates subdivision west of the landfill.  In April-May 1999, gas extraction wells, an interceptor trench, and a flare system were installed and activated to remove landfill gas that was moving off the site.  The system significantly reduced landfill gas levels within a month's time.  No landfill gas has been detected in the subdivision since.

After the RI was completed, EPA signed a Record of Decision (ROD) on March 31, 2000 to document its selected long term remedial action for the site that included the construction of a multilayer cap, the active and passive management of landfill gas, the installation of a localized leachate collection system, the removal of leachate and sediments from the leachate surface impoundment, and monitored natural attenuation of groundwater. 

In December 2000, an addendum to the baseline risk assessment for methane and VOCs migrating from the site was completed. Using the collected groundwater and soil gas data, the Risk Assessment Addendum determined that the health risks were significantly lower than those presented in the March 1997 Baseline Risk Assessment and were less than EPA risk thresholds.  As long as methane and VOCs in both groundwater and soil gas concentrations remain less than or equal to the levels measured in late 1999 to mid-2000, the indoor air pathway does not present an exposure pathway of concern.  Overall, the methane gas levels have continued to decline from 2000 through 2003.  Most gas levels have reached non-detectable concentrations.

The PRPs signed a consent decree to conduct the cleanup actions in January 2006.  The PRPs completed part of the Remedial Design work plan, but are waiting for comments from Illinois EPA before continuing the Remedial Design work.

Illinois EPA evaluated new information, including existing landfill cover thickness measurements, leachate levels, and groundwater data, that had been collected since the ROD was issued and then supported making a modification to the ROD remedy, which included making improvements to the existing IRM landfill cover rather than installing the new cover system as described in the ROD.   The improvements included placing additional compacted clay cover in areas on the side slopes consistent with the ROD remedy. The improved and graded areas would receive a minimum of six (6) inches of topsoil and be seeded to establish and sustain vegetative growth.  No other modifications would be made to the ROD remedy.  The changes were documented in an Explanation of Significant Differences (ESD) that Illinois EPA and EPA signed in August 2013.

The PRPs installed gas wells and vents at the landfill; and conduct periodic groundwater monitoring (sampling) events.

Contacts
Remedial Project Manager, U.S. EPA
howard caine (caine.howard@epa.gov)
(312) 353-9685
Community Involvement Coordinator, U.S. EPA
janet pope
(312) 353-0628
Aliases
MIG INVESTMENT
BONUS LDFL
DEWANE LDFL (MIG)

The above is taken from:  ILD980497788, NPL Fact Sheet | Region 5 Superfund | US EPA

Saturday, July 27, 2013

Current Status of MIG/DeWane Landfill: ILD980497788, NPL Fact Sheet | Region 5 Superfund | US EPA

 

MIG/DEWANE LANDFILL
EPA ID# ILD980497788
Last Updated: April, 2013
Site Description

The 50-acre MIG/DeWane Landfill site is located about one-fifth mile east of the city of Belvidere and one-half mile north of U.S. Business Route 20 in Boone County, Illinois.  Approximately 1,500 people live within one mile of the site.
The MIG/DeWane site consists of a 47-acre landfill and leachate impoundment system that was operated by various entities from 1969 until its abandonment in 1988 by M.I.G. Investments, the final operator.  The landfill was a permitted municipal landfill and during its operating period it received household and municipal wastes as well as industrial wastes including paint sludge, volatile organic chemicals (VOCs), asbestos, and liquids containing heavy metals.  In 1984, U.S. Environmental Protection Agency (EPA) had inspected the site and determined that the landfill waste and leachate were contaminating site soil, groundwater, and sediment, and that the potential existed for surface water contamination and direct exposure of humans to contaminants.

After the landfill was closed in 1988, the Illinois Environmental Protection Agency (Illinois EPA) inspected the site in 1989 and found that the site was not properly closed and capped, noting that there was exposed waste and a 5 to 10-acre depression in the middle of the landfill.  The depression collected water that drained into the landfill and resulted in over one hundred leachate seeps with some leachate flowing off site towards the nearby Kishwaukee River.  Illinois EPA's inspection also determined that the leachate surface impoundment was about to overflow and/or breach, which would potentially cause serious environmental impacts to the river.  In 1989 and 1990, Illinois EPA and EPA, in two separate emergency actions, removed approximately 155,000 gallons of leachate from the site.

EPA placed the MIG/DeWane Landfill site on the National Priorities List in 1990.

Site Responsibility

The MIG/DeWane Landfill site is being addressed through potentially responsible party (PRP) actions under state and federal oversight.

Threats and Contaminants
Sampling results from the MIG/DeWane Landfill site indicate that soil, groundwater, sediment, leachate, and landfill gas are contaminated by VOCs and semi-VOCs, pesticides, polychlorinated biphenyl (PCBs), and inorganic (metal) compounds. A plume of groundwater contaminated with VOCs, semi-VOCs, and inorganic chemicals was found to be moving towards the Kishwaukee River.  Exposure to contaminants by drinking contaminated water or coming into contact with contaminated soil or sediment could result in human health effects.
Cleanup Progress

In 1989 and 1990, Illinois EPA and EPA, in two separate emergency actions, removed approximately 155,000 gallons of leachate from the site.

EPA and Illinois EPA issued an Administrative Order on Consent in March 1991 to a number of potentially responsible parties (PRPs) to conduct interim cleanup actions at the site, including the installation of an interim cap over the landfill, and to conduct a remedial investigation (RI) to determine the nature and extent of contamination.  The order required the PRPs to stabilize the site prior to the start of the RI.  The PRPs conducted several interim response actions from June 1991 to February 1993, including the installation of a security fence around the entire site, the removal of 50,000 gallons of leachate-contaminated ponded water from the top of the landfill and 240,000 additional gallons of leachate from the surface impoundment, the excavation of 3,500 cubic yards of off-site leachate-contaminated soil, the placement of the interim cap, the placement of topsoil and seeding, and the construction of temporary erosion controls both on and off site.

Early in 1999, landfill gas monitoring wells were installed along the western boundary of the soil borrow pit property west of and adjacent to the landfill.  These monitoring wells detected landfill gas (methane) in the soil borrow pit and elevated levels of landfill gas were also detected in a few homes in the Wycliffe Estates subdivision west of the landfill.  In April-May 1999, gas extraction wells, an interceptor trench, and a flare system were installed and activated to remove landfill gas that was moving off the site.  The system significantly reduced landfill gas levels within a month's time.  No landfill gas has been detected in the subdivision since.

After the RI was completed, EPA signed a Record of Decision (ROD) on March 31, 2000 to document its selected long term remedial action for the site that included the construction of a multilayer cap, the active and passive management of landfill gas, the installation of a localized leachate collection system, the removal of leachate and sediments from the leachate surface impoundment, and monitored natural attenuation of groundwater. 

In December 2000, an addendum to the baseline risk assessment for methane and VOCs migrating from the site was completed. Using the collected groundwater and soil gas data, the Risk Assessment Addendum determined that the health risks were significantly lower than those presented in the March 1997 Baseline Risk Assessment and were less than EPA risk thresholds.  As long as methane and VOCs in both groundwater and soil gas concentrations remain less than or equal to the levels measured in late 1999 to mid-2000, the indoor air pathway does not present an exposure pathway of concern.  Overall, the methane gas levels have continued to decline from 2000 through 2003.  Most gas levels have reached non-detectable concentrations.

The PRPs signed a consent decree to conduct the cleanup actions in January 2006.  The PRPs completed part of the Remedial Design work plan, but are waiting for comments from Illinois EPA before continuing the Remedial Design work.  The PRPs installed gas wells and vents at the landfill; and conduct periodic groundwater monitoring.

Contacts
Remedial Project Manager, U.S. EPA
howard caine (caine.howard@epa.gov)
(312) 353-9685 begin_of_the_skype_highlighting (312) 353-9685 FREE  end_of_the_skype_highlighting
Community Involvement Coordinator, U.S. EPA
janet pope
(312) 353-0628 begin_of_the_skype_highlighting (312) 353-0628 FREE  end_of_the_skype_highlighting
Aliases
MIG INVESTMENT
BONUS LDFL
DEWANE LDFL (MIG)

The above is taken from:  ILD980497788, NPL Fact Sheet | Region 5 Superfund | US EPA

If you wish to compare with the previous update of 2012 go to:  http://boonecountywatchdog.blogspot.com/2012/04/current-status-of-mig-dewane-landfill.html

Wednesday, January 19, 2011

City-County Meeting: Landfill#2 needs to be closely monitored

The following are my words and are intended to reflect the discussion from this sub-committee.  I would be please to accept any comments from committee members.

Recent readings   located on this closed landfill at Route 76 & Squaw Prairie (behind the Maple Crest Nursing Home) indicate that readings may be higher than normal levels of toxins from the ground water monitor wells.  Several reading, over several months are required to made a real determination of any problem or concern.

landfill #2

Click on photocopy to enlarge.

Friday, January 8, 2010

When will the MIG/DeWane Landfill be capped?

Since 2000 the MIG/DeWane Landfill site has been in EPA litigation/negotiation.  Since 2006 a cap to the superfund site has been proposed and agreed by the EPA and the former operators.  In 2009 a special use permit to “ borrow”dirt from an adjacent property was applied for and then removed from consideration. I am sure the need for the cap has not been alleviated.   Does anyone know what is happening?

Mr. Pat Mattison (Rep., District 3, County Board) has written the following letter/email to the Illinois EPA to gain an understanding concern the current status of capping the supersite:

From: PMat33@aol.com [mailto:PMat33@aol.com]
Sent: Saturday, December 19, 2009 4:19 PM
To: ktboone@boonecountyil.org; Malonepeggy62@aol.com; sseaworth@boonehealth.org; Lanham, Rick
Subject: MIG DeWane Landfill Remedial Action Time Frame

To:  Ken Terrinoni, Boone County Administrator; Rick Lanham, Illinois EPA; Peggy Malone, Health & Human Services Committee, Boone County

Re:  MIG DeWane Landfill 4A Cap

From:  Patrick B. Mattison, Boone County Board Member, District 3

In September of 2008 a session was held to determine remedial actions to include the containment of landfill wastes by the installation of a multi-layer cap, plus other remedies.  The cap issue came before the Boone County Board in 2009, and then the cap proposal was removed from consideration.  It was my understanding the cap needed to be accomplished within a short time frame.

What is the risk exposure to the public by not capping the landfill?

When does the Illinois EPA feel the cap should be completed?

When does the Illinois EPA feel the remedial process be completed?

The following response indicates that the State, namely Mr. Lanham, should be getting back to Mr. Mattison soon.  It is anticipated that that response will then in turn be available at this blog:


From: Rick.Lanham@Illinois.gov
To: PMat33@aol.com
CC: ktboone@boonecountyil.org, Malonepeggy62@aol.com, sseaworth@boonehealth.org, JAY.TIMM@Illinois.gov, G.Karr@atg.state.il.us, Paul.Jagiello@Illinois.gov
Sent: 1/8/2010 11:24:37 A.M. Central Standard Time
Subj: RE: MIG DeWane Landfill Remedial Action Time Frame

Mr. Mattison,

Sorry that I was unable to get back to you sooner, but I was out of the office most of the last 2 weeks of calendar year 2009. I have reviewed your e-mail regarding the MIG/DeWane Landfill NPL site, and your letter (dated 12/29/09) to Mr. Karr (Office of the Illinois Attorney General), and have been researching documents in an attempt to provide answers to your questions. I will need to discuss some of your questions with an Illinois EPA Risk Assessor, and the Illinois EPA lawyer assigned to the MIG/DeWane site.

I have met with the Illinois EPA’s Community Relations Coordinator, Jay Timm, for the MIG/DeWane NPL site, to discuss your questions. I have yet to speak with Mr. Karr. I hope to have responses to your questions by late next week, or early the following week. I will need to contact you early next week to get clarification on part of your letter.  Thank you.

Sincerely,

Rick Lanham

Tuesday, December 29, 2009

MIG/DeWane Landfill Fact Sheet January 2006

When will the landfill be capped?  This documents indicates construction in 2007, it is now 2010.  Will it ever happen? Is anything happening?


Proposed Consent Decree
MIG/DeWane Landfill
Belvidere, Illinois

What is the MIG/DeWane Landfill?

The MIG/DeWane landfill is located in Boone County approximately one-quarter mile east of the City of Belvidere and one-half mile north of U.S. Business Route 20.

Between 1969 and 1988, the 47-acre landfill received general refuse and industrial wastes including paint sludge, volatile organic chemicals, asbestos and liquids containing heavy metals. The site was not properly closed and capped, resulting in a 5 to 10-acre depression in the middle of the landfill. This depression collected water, which drained into the landfill, resulting in over one hundred leachate seeps.

In 1989 and 1990, the Illinois EPA and U.S Environmental Protection Agency (U.S EPA), in two separate actions, removed approximately 155,000 gallons of leachate. * In 1991, parties responding to a U.S. EPA and Illinois EPA Administrative Order on Consent conducted a number of interim actions including the installation of an interim cap over the landfill. The landfill was placed on the National Priorities List (sometimes called the Superfund List) in 1990.

In April 1999, elevated levels of landfill gas were detected in the soil and in a few homes in Wycliffe Estates directly west of the landfill. The parties responding to the 1991 Administrative Order on Consent installed an active landfill-gas interception system along the western boundary of the landfill. The system significantly reduced landfill gas within a month. No landfill gas has been detected in the subdivision during the past six years.

*Leachate is water that has passed through landfill waste and picked up contaminants present in the waste.

On January 4, 2006, the State of Illinois lodged a proposed consent decree in the U.S. District Court for the Northern District in Illinois regarding the MIG/DeWane Landfill in Belvidere.

What is the content of the consent decree?

Without admitting liability, the defendants have agreed:

  • to design and implement the remedy for the landfill that was designated in the 2000 Record of Decision (ROD), (the accompanying fact sheet summarizes the ROD),
  • to reimburse the state for pasts costs it has incurred at the site,
  • to pay the state for future costs including oversight of work conducted by the defendants and
  • to not sue the state for any costs relating to the site.

Who are the defendants listed in the consent decree?

The defendants are BFI Waste Systems of North America, Inc. , five past and present owners and 88 former customers of the landfill including municipalities and manufacturers.

May I comment on the proposed consent decree?

Yes. The public may send written comments on the proposed consent decree to Gerald T. Karr, Senior Assistant Attorney General, Office of the Illinois Attorney General, Environmental Bureau, 188 West Randolph Street, 20th Floor, Chicago, Illinois 60601. Comments must be postmarked by February 21, 2006 and should refer to The State of Illinois v. BFI Waste Systems of North America, Inc. , et. al.

Where can I view the proposed consent decree?

The proposed consent decree may be viewed at (1) the Illinois Environmental Protection Agency (Illinois EPA) headquarters in Springfield, Illinois (2) the Ida Public Library in Belvidere or (3) the Illinois EPA website. The locations of these sites are listed on the bottom of page two.

What are the next steps?

During 2006, the defendants will conduct a predesign investigation to collect information needed to design the remedy designated in the 2000 ROD. This information will include an evaluation of present landfill, leachate, landfill gas and groundwater conditions. Actual construction of the remedy probably will not begin until 2007.

Will the pipes and wells in the soil borrow pit area west of the landfill be removed?

The pipes and wells are an aboveground landfill-gas extraction system. The main extraction system is buried to the east, closer to the landfill. As a precautionary measure, the aboveground system will remain in place to ensure protection against landfill gas moving into the Wycliffe Estates Subdivision. The 2000 ROD requires that a fence be constructed around the landfill and the soil borrow pit area.

FOR MORE INFORMATION

For more information about the consent decree contact

Gerald T. Karr, Senior Assistant Attorney General, Environmental Bureau, Office of the Illinois Attorney General, 188 West Randolph Street, 20th Floor, Chicago, Illinois 60601.

For more information about the site contact

Stan Black
Community Relations Coord.
Illinois EPA
1021 N. Grand Ave. E.
Box 19276
Springfield, Illinois 62794-9276
Phone: 217-785-1427
Rick Lanham
Project Manager
Illinois EPA
1021 N. Grand Ave. E.
Box 19276
Springfield, Illinois 62794-9276
Phone: 217-782-9881

Repository

The proposed consent decree and other project documents are available at the project repository located at the Ida Public Library, 320 North State St. , Belvidere, IL 61008.

Administrative record file

This file contains all the documents that are the basis for Illinois EPA and U.S. EPA decisions for this project. It is located at the Illinois EPA headquarters in Springfield, Illinois. Call 217/782-9878 for more information.

2000 Record of Decision
MIG/DeWane Landfill
Belvidere, Illinois

The 2000 Record of Decision (ROD) for the MIG/DeWane Landfill documents the Illinois Environmental Protection Agency (Illinois EPA) and U.S. Environmental Protection Agency (U.S. EPA) decision on the final remedy for this site. The agencies made this decision after carefully considering public comments received during a public comment period held from June 11, 1999 to August 27, 1999. The Illinois EPA signed the ROD on March 30, 2000 and the U.S. EPA signed a letter of concurrence on March 31, 2000. THE ROD includes the following requirements:

Landfill gas management

As garbage decays in a landfill, it generates methane gas. The ROD requires that up to 15 additional passive gas vents be installed within the interior of the landfill to supplement the existing landfill-gas interception system installed in 1999. These vents can be upgraded to an active system if necessary. The active landfill-gas extraction system will be enhanced if necessary.

Landfill Cover/Cap

A multi-component landfill cap and cover system will be constructed and maintained to meet required landfill standards. The purpose of the cap is to minimize the infiltration of rain or other precipitation into the landfill, thus reducing the generation of leachate* and landfill gases and the movement of contaminants into groundwater, soil and air. The cap will cover the entire landfill. The landfill vegetative cover will be maintained to the maximum extent possible before, during and after construction. Unless the Illinois EPA approves alternate layers, the landfill cover/cap from top to bottom will consist of:

  • a vegetative layer of at least six inches over the entire landfill cap,
  • a protective 24-inch layer on the crest tapering to a minimum of 18 inches at the toe of the landfill, (the tapering and reduction in the depth of the protective layer is due to engineering problems associated with the closeness of the landfill cap to the property boundaries and physical barriers such as railroad tracks and buried fiber optic cable),
  • a drainage layer of synthetic material,
  • a low permeability layer of synthetic material or a combination of synthetic material and clay, and
  • a subsoil/grading layer of at least 12 inches of compacted soil.

* Leachate is water that has passed through landfill waste and picked up contaminants present in the waste.

Storm Water/ Surface Water Management

A runoff diversion and drainage system will be constructed so that the cap is not eroded. This system will include a drainage ditch around the toe of the landfill and a storm water retention pond.

Leachate management

All ponded water and leachate plus a minimum of two feet of sediments will be removed from the leachate surface impoundment. The liquids will be treated and disposed of in an approved manner, and the sediment will be disposed of on-site or in an otherwise approved manner. The empty surface impoundment will then be filled with clean soil. A leachate collection and management system will be installed to replace the leachate surface impoundment.

Groundwater treatment

The chosen remedy for groundwater treatment is monitored natural attenuation. Natural attenuation occurs when any of several natural processes takes place in the soil or groundwater to reduce the mass, toxicity, mobility, volume or concentration of contaminants. One example of natural attenuation is when naturally occurring microbes in the soil or groundwater break down contaminants into harmless components. Another example is when contaminants become adsorbed (attached) to soil particles, thus preventing the contaminants from moving into the groundwater. Natural attenuation was chosen for several reasons including:

  • Between 10 to 25 feet of low-permeability soil exists between the base of the landfill and the groundwater. The Illinois EPA believes the presence of this soil is reducing the movement of contaminants from the landfill into the groundwater.
  • Monitoring well sample results support this belief, because only very low concentrations of contaminants are being detected in monitoring well samples.
  • Surface water and sediment samples from the Kishwaukee River show that, although groundwater is flowing toward the river, the surface water and sediments of the river have not been affected by contaminants from the landfill.
  • There are no residential drinking water wells in the path of groundwater flow.
  • The landfill cap and leachate collection system will result in dramatically reduced groundwater contamination.
  • The ROD requires ongoing monitoring to ensure that effective natural attenuation is occurring.
Institutional controls

A restriction will be placed on the landfill and the adjacent soil borrow pit area and will be recorded with the Boone County Recorder of Deeds. This restriction will prohibit the following activities on the landfill and soil borrow pit area: construction of buildings, on-site groundwater use, drilling, excavation and any other soil intrusive activities.

Operation and Maintenance

The ROD requires an Operation and Maintenance Plan that will cover all aspects of the remedial action including the landfill cap, landfill gas monitoring and groundwater monitoring. The plan must be approved by the Illinois EPA.