SUMMARY OF THE REMEDIATION TECHNOLOGIES DEVELOPMENT FORUM
  NON-AQUEOUS PHASE LIQUID CLEANUP ALLIANCE MEETING
  
U.S. Environmental Protection Agency—Region 6
    Offices
  Dallas, Texas
May 21–22, 2003
WELCOME AND OPENING REMARKS
  Mark Lyverse, ChevronTexaco Energy Research and Technology Company
Mark Lyverse, co-chair of the Non-Aqueous Phase Liquid (NAPL) Cleanup Alliance,
  welcomed meeting participants and asked them to introduce themselves. (Attendees
  included representatives from petroleum companies, consulting firms, and federal
  and state regulatory agencies; see Attachment A (PDF,
  39KB).) Lyverse noted that Randy Breeden, who has served as the Alliance’s other
  co-chair for several years, has temporarily stepped away from his position
  to accept a new assignment.
  Christine Lehnertz, representing Region 8 of the U.S. Environmental Protection
  Agency (EPA), will serve as a co-chair in Breeden’s absence. Unfortunately,
  Lyverse said, Lehnertz was unable to attend this meeting. 
Lyverse provided background information on the NAPL Cleanup Alliance. The
  group is one of six active teams participating in the Remediation Technologies
  Development Forum (RTDF). This forum, which is supported by EPA’s Technology
  Innovation Office (TIO), fosters collaboration between the public and private
  sectors in developing innovative solutions to hazardous waste problems. The
  Alliance’s roots stretch back to 1998, when a meeting was held in Region
  8 to discuss challenges associated with sites contaminated with light non-aqueous
  phase liquid (LNAPL). During the meeting, much interest was expressed in identifying
  better ways to manage and remediate LNAPL sites. This interest gave birth to
  the NAPL Cleanup Alliance, a partnership that has been formalized with a memorandum
  of understanding. The Alliance has worked on several projects since its inception,
  Lyverse said, noting that the status of each would be discussed during the
  meeting.
  THE ALLIANCE’S DECISION-MAKING FRAMEWORK
Background Information
The NAPL Cleanup Alliance is developing a NAPL Management Decision Framework
  (NMDF) document in an effort to help people identify practicable and reasonable
  approaches for cleanup and long-term management of LNAPL sites. One of the
  document’s major themes is the importance of fostering collaboration
  and consensus-building approaches among diverse stakeholders. 
Dawn Kaback, of Concurrent Technologies Corporation (CTC), is preparing the
  document with support from Sage Risk Solutions, Inc., and Paulson & Cooper,
  Inc. Over the last year, Alliance members have reviewed several versions of
  the document’s outline. The review process sparked debate and prompted
  several members to submit comments about the document’s scope, flow,
  and content. These comments were carefully considered, and in late March 2003,
  the Alliance leadership finalized the outline and asked Kaback to develop the
  first full draft of the NMDF document. The draft was distributed to Alliance
  members on May 13, 2003. 
Overview of the NMDF Draft Document
  Dawn Kaback, CTC
Kaback provided a brief overview of the draft NMDF document’s content
  and organization. In summary, she said, the document includes the following
  major sections:
  -  Introduction and Objectives
 
 
-  Organize Resources, Develop the End-State
    Vision, and Establish LNAPL Management Goals
 
 
- Collect and Analyze Supplemental
      Data
 
 
- LNAPL Management Strategy 
 
 
- Establish Endpoints To Measure Progress
 
 
- Implement and Monitor
 
 
- Revisit the LNAPL Management Plan
 
 
- Appendix A: Current Conditions Checklist
 
 
-  Appendix B: Selection of LNAPL
    Management Options
 
 
- Appendix C: Selected LNAPL Characterization and Remediation
      Technology References
 
 
-  Appendix D: References
See Kaback’s presentation (included as Attachment
    B (PDF, 54KB)) for additional
  information about the subtopics in each major section.
Group Discussion on the Draft NMDF Document 
  Facilitated by Dawn Kaback (CTC) and David Zabcik (Shell Oil Products US
  Company & Motiva
Enterprises) 
Kaback and David Zabcik, co-chairs of the Alliance’s NMDF Subgroup,
  asked attendees to comment on the NMDF document. The attendees obliged, recommending
  the following:
  -  Make it clear that the NMDF document is designed to address sites
    where imminent hazards are already under control and site managers already
    know that an LNAPL problem exists. The Alliance leadership agreed that the
    NMDF document should address sites where imminent hazards are already under
    control (e.g., sites where environmental indicators [EIs] have already been
    met) and said that this point should be emphasized in the Executive Summary,
    the “Introduction and Objectives” section, and the document’s
    flowchart. Focusing on the latter, attendees questioned whether the text in
    the first box of the flowchart (i.e., “Immediate hazards under control?”)
    should be modified to read “Have you completed your EIs?” Leslie
    Hay Wilson advised against this proposed modification, saying that the term “EI,” which
    is a RCRA term, is too prescriptive and would lead people to believe that the
    flowchart can only be applied to RCRA sites. Another attendee advised changing
    the box to read “Has all of your risk been assessed?” Terry Vandell-Bell
    said this proposed modification is also problematic: risk is constantly reassessed
    throughout all stages of the LNAPL management process. It is erroneous to
    imply, she said, that risk is evaluated just once during the initial stage
    of a project.
    Moving on to another topic relating to imminent hazards, some attendees advised
    including citations in the NMDF document that readers can use to determine
    whether imminent risks have already been adequately addressed at their sites.
    Other attendees, however, did not think it was necessary to provide such
    citations. Sue Westbrook suggested including information on the steps that
    need to be
    taken to determine whether a site even has an LNAPL problem in the first
    place. John Meyers said that this type of information would not be necessary.
    He said
    that it is fair to assume that those who will be using the NMDF document
    have already performed enough research to determine whether an LNAPL problem
    exists.
  Other attendees agreed with Meyers.
 
 
-  Make it clear that a written “LNAPL Management Plan” is
    not always needed. The NMDF document, Lyverse said, should not imply that management
    decisions must be recorded in a formal LNAPL Management Plan. While documenting
    decisions in a written plan might be useful, he said, it is also acceptable
    for people to solidify their decisions over a handshake. Lyverse’s comments
    spurred other attendees to comment on some of the prescriptive language that
    is currently included in the document. Attendees advised the authors to steer
    away from words like “should” and “must,” noting that
    the document’s purpose is to provide suggestions and recommendations
    on addressing LNAPL sites rather than serving as an authoritative regulatory
  guidance document.
 
 
-  Soften the superlatives. Greg Fletcher advised against using
  statements like “this activity is best conducted by . . .” 
 
 
-  Replace
    the term “end-state vision” with “long-term
  vision.” Attendees decided to use the term “long-term vision” in
  place of “end-state vision.” Kaback provided some clarification
  on the term, noting that “long-term vision” refers to the qualitative
  big picture that is envisioned for a site. Ali Tavelli said that it might be
  unrealistic to expect stakeholders to achieve consensus on one long-term vision
  at the start of the LNAPL management decision-making process. In light of Tavelli’s
  point, Zabcik advised making it clear that failure to achieve consensus up
  front on a single long-term vision should not prevent people from moving forth
  with the LNAPL management decision-making process.
 
 
- Define and describe key
    terms more clearly. Greg Fletcher advised underlining the terms that are
    formally defined in the NMDF document. Attendees
    also recommended defining terms in the Executive Summary as well as the “Introduction
    and Objectives” section of the document. When defining terms, Mark Adamski
    and Vic Kremesec said, the document should include examples to help readers
    fully understand the meaning of each term. For example, when defining the phrase “long-term
    vision,” Kremesec said, the authors could state that the vision will
    differ from site to site: while achieving pristine conditions might be the
    long-term vision at one site, continuous operation as an active refinery might
    be the long-term vision at another site. Hay Wilson asked NAPL Cleanup Alliance
    members to submit suggestions on real-world examples that could be used to
  further define the NMDF document’s key terms. 
 
 
-  Tell readers where to
    find key information within the document. Adamski noted that there are a
    series of text boxes peppered throughout the document
  that highlight key points. He said that a reader who is already savvy about
  LNAPL issues might be able to absorb the gist of the entire document just by
  reading the Executive Summary and the text boxes. Thus, he said, it might be
  useful to let readers know that they can obtain the key messages just by reading
  these sections. This will allow readers who already know a lot about LNAPL
  management issues—and therefore do not require as much detailed background
  information—to read through the document in a streamlined fashion. 
 
 
-  Add
    information about the RTDF NAPL Cleanup Alliance’s history
    and qualifications. Jeff Hostetler advised including additional historical
    and background information about the Alliance, either in the Executive Summary
    or in a preface. This will prevent readers from asking, “Who is writing
    this document, what qualifications do they have, and why is the document being
    written?” Attendees thought Hostetler’s suggestion was a good
  one.
 
 
-  Provide information about how the NMDF document advocates a better
      approach to LNAPL
      management decision-making processes. Hostetler recommended
    providing background information in the Executive Summary about the pitfalls
    one commonly encounters when trying to manage large LNAPL sites. After doing
    so, he said, it is important to explain how the NMDF document will help avoid
    these pitfalls. The idea, he said, is to stress the fact that the NMDF document
    represents a forward-thinking and progressive philosophy that bypasses existing
    stumbling blocks. It would be useful to explain, he said, how this document
  differs from other documents.
 
 
-  Be wary of using the phrase “maximum extent practicable.” The
    term “maximum extent practicable” is used in the second paragraph
    of the Executive Summary. Zabcik advised against using this phrase, noting
    that it is used for the Underground Storage Tank (UST) program. Hay Wilson
    said that the paragraph will be restructured to hit the following ideas:
    the default point, from a regulatory perspective, is to remove NAPL to the
    extent
    practicable, but this stance is not necessarily always the best one to take.
    Lyverse noted that “maximum extent practicable” is also used
    in the “Introduction and Objectives” section of the document,
    where it is accompanied by a reference to federal regulations. Attendees
    agreed
  that this reference should be removed.
 
 
- Clarify that short-, intermediate-,
      and long-term goals do not have to be set all at once. As written,
      Meyers said, the NMDF document implies that
    all of these goals must be established simultaneously. While such an approach
    is acceptable, he continued, the document should make it clear that it is
    also acceptable to set the goals individually as long as care is taken to
    ensure
  that short-term goals do not conflict with long-term goals.
 
 
- Modify the last
      sentence under the “Collect and Analyze Supplemental
  Data” heading in the Executive Summary. Kremesec advised making
  it clear that evaluating risk and regulatory compliance considerations is a
  key part
  of the LNAPL management process. 
 
 
-  Clearly define what is meant by the phrase “iterative nature” and
    do not lead readers to believe that the LNAPL Management Plan requires constant
    updating. Kaback said that the sections that discuss the iterative nature
  of the LNAPL management decision-making process will be reworked.
 
 
-  Clarify
    what is meant by the term “source zone.” Dick
  Woodward said that the NMDF document implies that source zones should already
  be addressed. Woodward said that this assumption could be false, especially
  if the NMDF document is being used to guide management systems at an operating
  facility where existing structures preclude access to contaminated soils. Zabcik
  said that there are two types of sources: (1) leaking facilities—which
  really should be fixed up front before one gets too involved with the long-term
  NAPL management process, and (2) contaminated soil. The NMDF document should
  make this clear.
 
 
- Incorporate the concept of contingency plans. Lyverse suggested
    incorporating the concept of contingency planning into the NMDF document.
    Meyers agreed,
    and advised modifying the document’s flowchart to incorporate this concept.
    He advised adding another box to the flow diagram that reads “Contingency
    Plan.” Users would be directed to this box, he said, if they answered “no” to
    the questions that ask about whether endpoints have been met. Dashed lines
    leading back to earlier parts of the decision-making flowchart would emanate
    from the “Contingency Plan” box. Meyers said that the potential
    reasons for not achieving endpoints can be numerous. For example, they can
    range from something relatively simple like needing to make remediation system
    modifications to more serious problems, like trying to meet an impracticable
    goal. The Contingency Plan, which should be established prior to system implementation,
    Meyers said, should discuss all the potential causes and the appropriate
  response actions.
 
 
- Make minor changes to the flowchart. Vandell-Bell advised
    adding “and
  data” to the box that reads “Organize Resources.” In addition,
  Meyers stated that the box that asks whether acceptable options are available
  should be modified to remind users that they need to ask themselves whether
  the initial site goals are still practicable. If the answer to either question
  is “no,” Meyers said, dashed arrows should be added to direct the
  reader to either the goal-setting step or the “more data needed?” decision
  box. Before the end of the year, Jim Higinbotham said, the American Petroleum
  Institute (API) plans to release a browser-based training program, called eManual,
  that consists of a set of tools that can be used to develop an overall approach
  for evaluating and managing LNAPL. One of the tools included in the eManual
  package is a flowchart that outlines an LNAPL management strategy. Higinbotham
  said that the first draft of the flowchart has been created and presented to
  API representatives. The flowchart is similar to the one the Alliance has created
  for the NMDF document. Higinbotham and Harley Hopkins said that it would be
  useful to harmonize the two flowcharts to ensure that they do not conflict.
  Since the RTDF flowchart has progressed further, Kremesec said, it makes sense
  for the API flowchart to be modified to mirror the RTDF’s flowchart.
  Higinbotham and Hopkins agreed to work on this. In fact, before the meeting
  ended, they had already begun.
 
 
-  Include additional EPA references. Kaback said
    that the document does not currently provide all the references that it should.
    She agreed to
    send Alliance members a list of the references that are currently cited.
    She encouraged them to review the list and to let her know whether additions
    should
  be made.
 
 
- Modify the text box that addresses the Guadalupe Oil Field. Kaback
    said that this text box has been created to give an example of successful
    stakeholder collaboration. Adamski expressed surprise: he had heard that
    relations at the
    Guadalupe Oil Field site were adversarial and that the cleanup project had
    been a failure. Kaback and Tavelli acknowledged that this was true of the
    project’s
    initial phases. The project was salvaged, however, when the stakeholders
    decided to embrace a collaborative, consensus-building approach. Zabcik advised
    adding
    information to the text box about the problems that existed before the collaborative
    process was initiated. Kaback agreed to do so, saying that she would ask
    Eva Davis for additional information about the public involvement component
    of
  the Guadalupe Oil Field project if necessary.
 
 
- Modify Table 2 and the text
    box entitled “Contaminated Site
  Cleanup Example.” Some attendees thought that the information provided
  in these two sections was misleading. They said that these sections imply that
  all of the stakeholders who represent a certain group automatically feel a
  certain way about site cleanup goals. Attendees advised changing the tone in
  the table and the text box. Kaback agreed to do so. In addition, attendees
  advised changing the title of Table 2 to “Common Stakeholder Starting
  Positions” and modifying the statement that says that regulatory agencies
  will be interested in “continu[ing] compliance with LNAPL regulations.” As
  an alternative, Tavelli recommended saying that regulators will want to “eliminate
  releases and control sources as best as possible.” Attendees also advised
  changing the language in the text box to say that health risks should be reduced
  to acceptable values rather than zero or near zero. 
 
 
-  Consider using the word “impacted” rather than “contaminated.” Kaback
    also asked attendees to think of other alternatives for the word and to submit
  suggestions directly to her.
 
 
-  Provide a better definition for the term “mobility.” Adamski
    said that the definition currently provided for the term “mobility” is
    circular in nature. Tavelli advised revising the definition to say something
    like “If you have to change the chemical or physical properties of a
    NAPL to move it, then it is considered immobile.” Other attendees liked
    this definition and recommended highlighting it in a text box, along with information
    to distinguish the difference between “mobility” and “mobile
  plumes.”
 
 
-  Modify the first sentence in paragraph two of Section
      3.4. Kremesec advised making it clear that geological site conditions
      affect the extent and
  success of LNAPL recovery.
 
 
- Make it clear that LNAPL saturation values cited
      in the literature can be erroneous. Section 3.7 indicates that LNAPL saturation
      for a site “can
  be compared to a residual saturation value, either from the literature . .
  . or from laboratory measurements.” Adamski said that he is uncomfortable
  with this statement—he has little faith in values cited in the literature.
  Attendees advised adding a statement that cautions readers against believing
  everything they read in the literature.
 
 
-  Modify the discussion of natural attenuation rates. Hay
    Wilson said that the NMDF document will be modified to say that it is useful
    to collect
  information about a site’s natural attenuation rate.
 
 
- Consider changing
    the title for Section 4.0—LNAPL Management
  Strategy. Meyers recommended making it clear that technology selection is the
  key activity covered by Section 4.0. Hay Wilson said that the authors decided
  against including the term “technology” in the title for Section
  4.0 since institutional controls are also a viable management strategy.
 
 
-  Add
    information to Appendix A. Tavelli agreed to send information to Kaback about
    what Wyoming does to ensure that stakeholder input is obtained.
    This information, Kaback said, could be included in the NMDF document’s
  Current Conditions Checklist. 
 
 
- Add more references to Appendix C. This appendix
    provides references on characterization and remediation technologies that
    can be used to address
  LNAPL sites. Meyers suggested expanding the list. Kaback said that the authors
  recognize that the list is not comprehensive. The intent is to provide a few
  key references that direct readers to other sources of information. Attendees
  advised adding some statements to the appendix (and/or to the text in the main
  part of the document) stating that Appendix C is not meant to be comprehensive,
  that the list highlights some key references and Web sites that provide additional
  information on technologies, and that the NMDF document is not endorsing one
  technology over another. Kathy Yager recommended saying that the Alliance has
  determined that there is a need to compile references on different technologies
  and that such a list will be posted in the future on the RTDF Web site. This
  spurred discussion about the goals that the Alliance has for the NMDF document.
  In the group’s early days, Adamski noted, the EPA co-chair—Randy
  Breeden—said that the Alliance should offer input on which technologies
  worked the best at LNAPL sites. Zabcik verified Adamski’s comments, but
  said that the Alliance’s focus has changed since Breeden’s original
  statements were made. In later years, Zabcik said, the Alliance agreed to focus
  on establishing a decision-making framework first and to use case studies to
  provide commentary on the efficacy of specific technologies. While the Alliance
  had hoped to include such case studies as a separate appendix to the NMDF document,
  Kaback said, it has become clear that case studies will not be ready any time
  soon. Zabcik recommended adding a statement in the NMDF document indicating
  that case studies will be available through the RTDF Web site in the future.
  Meyers reminded the Alliance members that the original intent of the case studies
  was to provide examples of sites which have successfully implemented the NMDF
  strategy and not to focus on which technology was used. 
Path Forward
Attendees decided that the following steps should be taken to move forward
  with the development of the NMDF document:
  - Complete the internal Alliance review and revise the NMDF document. Kaback
    asked Alliance members to submit their written comments on the draft by May
    30, 2003. Based on the comments she receives, Kaback said, she will
  revise the NMDF document and distribute the revised draft by July 1, 2003.
 
 
- Send
    the revised NMDF document to a broad set of regulatory reviewers. Alliance
    members agreed to seek the RTDF’s stamp of approval on the NMDF
  document. To obtain this approval, Yager said, EPA representatives must be
  comfortable with the NMDF document’s content and be allowed to participate
  in a formal review process. Toward this end, the following must be done: 
 
 
  -   Generate a list of potential reviewers. Yager said that she has created
    a list of EPA representatives who might be interested in reviewing the NMDF
    document. Some of the people on the list work at EPA Headquarters, others
    work at the EPA laboratories, and some work within the regions (e.g., Regions
    2,
    4, 5, 6, 8, and 9). In addition, some EPA-sponsored groups, like the Groundwater
    Forum, are also included on Yager’s list of potential reviewers. Several
    attendees advised including state regulators on the review list. Gaining endorsement
    from at least some state representatives, Tavelli said, could help other state
    representatives appreciate the value of the NMDF document more fully. Carolyn
    Perroni advised including all of the state regulators who have participated
    on the Alliance’s Training Workgroup on the list of potential reviewers.
  Attendees thought this was a good idea. 
 
 
-  Establish contact with the
    reviewers. Yager said that she has contacted about half of the people who
    are listed as potential reviewers. She said that
  efforts should be made soon to contact the remainder and tell them about the
  deliverables that will be sent to them for review. 
 
 
-  Prepare a cover letter for the NMDF. Perroni will prepare a letter
    that describes the Alliance’s mission and the products that are in development.
    The letter will explain why EPA review is being sought for the NMDF document
    and why the RTDF stamp of approval is considered important. The letter will
    also mention that the Alliance is preparing a training program, which will
    be sent to reviewers in the near future. Perroni will send the letter to EPA’s
    Jeff Heimerman, who will work with the Alliance while Yager is away over the
  summer. 
 
 
-  Send the NMDF document out for review and schedule a conference call
    to introduce the document. Yager said that Heimerman will attach the cover
    letter that Perroni creates to the NMDF document and send it out to the list
    of EPA reviewers. Tavelli said that she would be willing to distribute the
    document to the state regulators who have been selected to participate in the
    review process. Soon after the NMDF document is sent to reviewers, attendees
    agreed, a conference call should be held between the reviewers and the Alliance.
    The intent of this call will not be to collect comments, but to let the Alliance
    explain why the document has been written and describe the history of the Alliance’s
    effort. Call participants agreed that it would be useful for the Alliance’s
    EPA co-chair (Christine Lehnertz) to lead the call. Kaback said that she is
    also willing to help lead the call and to describe the NMDF document’s
    content. (Kremesec and Tavelli said that they could also participate.) Some
    attendees discussed conducting an Internet seminar, using EPA’s CLU-IN
    site, to present the NMDF document to EPA and state reviewers. These seminars
    are formal slide presentations, presented over the Internet, coupled with
    conference calls that allow participants to ask questions and get answers
    as the presentation
    proceeds. Since EPA/TIO hosts these seminars on the CLU-IN site, Yager said
    it would not be a problem to use the system.
 
 
- Consolidate the comments in preparation
        for the Alliance’s
      next meeting. Yager said that the reviewers should be given 4 weeks to
        submit their comments, and that all comments should be directed to Kaback.
        Kaback
    agreed to consolidate the comments.
 
 
- Present information about the NMDF document
        at an upcoming conference. The 2003 RCRA National meeting is scheduled
        to take place in Washington, D.C.,
  on August 12–15, 2003. David Zabcik recommended presenting information
  about the NMDF document at this meeting. Since many Alliance members are planning
  to attend this conference, he said, it might be beneficial to hold a full Alliance
  meeting in conjunction with the RCRA National conference. Tavelli expressed
  enthusiasm for this idea—many state regulators will attend the RCRA conference,
  and some of them might be interested in reviewing and commenting on the NMDF
  document. The Alliance members decided that it would be useful to coordinate
  the next Alliance meeting with the RCRA conference. Yager said that several
  concurrent sessions will take place during the conference, and that Alliance
  members could probably reserve a slot for a half-day session if they so desired.
  She said that she would ask Karen Tomimatsu whether this is possible and report
  her findings to Lyverse, Kremesec, Tavelli, and Zabcik, all of whom offered
to help plan the next NAPL Cleanup Alliance meeting.
  THE ALLIANCE’S TRAINING PROGRAM
Background Information 
The RTDF NAPL Cleanup Alliance plans to release a series of training modules
  to (1) describe the technical aspects of NAPL distribution and mobility, (2)
  correct common misconceptions about NAPL, (3) present a NAPL conceptual model,
  and (4) explore NAPL management issues. An Alliance Training Workgroup has
  been created to help guide the development of the training program, which will
  consist of four modules: Module 1 (The Basics), Module 2 (NAPL Management),
  Module 3 (Advanced Topics), and Module 4 (Modeling). For now, the Alliance
  is only focusing on Modules 1 and 2. 
The Alliance hopes to obtain the RTDF stamp of approval on the training modules.
  In order to obtain this stamp, the modules must be subjected to a broad EPA
  review. The review process will mirror the process described above for the
  NMDF document.
Module 1 (The Basics)
  Vic Kremesec, BP America, Inc. 
  David Ariail, EPA, Region 4 
EPA Region 4 provided the impetus for Module 1’s development, Kremesec
  said, when it asked BP America to develop online training programs on several
  topics, including LNAPL behavior. Before moving forth with a full report on
  Module 1’s status, Kremesec asked David Ariail to provide a more thorough
  description of the training initiatives that Region 4 is undertaking. In response
  to this request, Ariail presented an overview of the training programs that
  are being developed to support the region’s UST program.
Ariail said that employees who work under the UST program have extensive training
  needs. Providing training to all of them is a costly endeavor, especially if
  they are expected to travel to training events. To alleviate this problem,
  he said, Region 4 is committed to developing a series of online trainings.
  Toward this end, the region has pooled resources, hired contractors, and is
  working with BP America and university personnel to develop training programs.
  In addition, Ariail said, the Region 4 states have created a Region 4 Innovative
  Training Workgroup and are working with the Office of Underground Storage Tanks
  (OUST) to obtain funding to develop additional training modules. Spurred on
  by the Region 4 efforts, he said, OUST has created a UST/LUST National Training
  Workgroup and is now evaluating what must be done to implement a national program
  to address the training needs of UST/LUST professionals.
Kremesec thanked Ariail for the overview, then resumed his status report on
  Module 1’s development. He said that this module has almost been completed:
  66 slides have been created, a script has been created, and audio has been
  generated for each of the slides. Additional site characterization information
  will be incorporated into the training program over the next couple of weeks.
  Once completed, the module will be sent to Region 4 and the NAPL Cleanup Alliance
  membership. Kremesec said that NAPL Cleanup Alliance members will be asked
  to review the module and submit written comments. BP America will revise the
  module based on the comments and rerelease the training package. This revised
  version will be sent to the broad list of EPA reviewers that Yager has identified
  (see the discussion above on the NMDF document). 
Module 2 (NAPL Management) 
  Mark Adamski, BP America, Inc. 
Adamski said that Module 2 is being developed to help people understand how
  the emergence of new NAPL conceptual models (a topic explored in Module 1)
  impacts NAPL management approaches. Module 2 is still in the initial stages
  of development. Adamski said that some of the Alliance Training Workgroup’s
  industry members prepared a strawman for the module in late 2002. That version,
  he said, was viewed as having too strong of an industry bias. In late January
  2003, Tavelli agreed to alleviate this problem by revising the strawman to
  make it more acceptable from a regulator’s perspective and reorganizing
  the training topics to follow the organizational structure presented in the
  Alliance’s NMDF document. Tavelli placed her efforts on hold, however,
  when she heard that the NMDF document’s outline was still undergoing
  revision. Now that a draft of the NMDF document has been completed, Adamski
  said, Tavelli should feel free to resume her effort to revise the strawman.
  Tavelli agreed to do so; she will come to the next Alliance meeting prepared
  to present and discuss the revised version of the Module 2 strawman. Once the
  Alliance Training Workgroup agrees on the strawman, Hopkins said, API can ask
  one of its consultants to start developing slides for the Module 2 training
  program. 
Attendees discussed the scope of the Module 2 training package. Adamski and
  Hopkins said that they think the training program should provide more detailed
  information than the NMDF document does. For example, Hopkins recommended including
  detailed information about what people need to do “to get real about
  endpoints.” Lyverse asked whether the Module 2 program will include information
  about how to address and manage imminent risk at sites. As acknowledged earlier
  in the meeting, he said, the NMDF document does not cover this topic. Lyverse
  said that the training package’s title—NAPL Management—implies
  that the package covers all phases of the NAPL management problem, including
  imminent risk management. His statement prompted some attendees to ask whether
  the training module should be renamed. Zabcik recommended Implications for
  LNAPL Management as one possibility. No decision was made about whether the
  title should be changed. 
  INTRODUCTION TO GROUNDWATER CENTRAL©
  Dawn Kaback, CTC
Kaback provided information about Groundwater Central©,
  a multi-component portal that links people to information on ground-water science
  and technology.
  (The portal can be accessed by visiting http://www.groundwatercentral.info  .)
  Kaback’s PowerPoint presentation, which is included as Attachment
  C (PDF, 1.6MB),
  provides detailed information about Groundwater Central©. The
  highlights of her presentation are presented here. Kaback said that Groundwater
  Central©has
  two components:
.)
  Kaback’s PowerPoint presentation, which is included as Attachment
  C (PDF, 1.6MB),
  provides detailed information about Groundwater Central©. The
  highlights of her presentation are presented here. Kaback said that Groundwater
  Central©has
  two components: 
  - A resource database. Groundwater Central©uses a “smart” search
    engine to link to records on LNAPL, NAPL, dissolved or vadose zone hydrocarbons,
    petroleum oil lubricants (POLs), or oxygenate contaminants or technologies.
    At this time, she said, the link database is populated by more than 3,000 records.
    Records will continue to be added as time progresses. The “smart” search
    engine can search through multiple layers of Web sites to provide direct
    links to appropriate information. It is also equipped to perform advanced
    searches
  and to provide detailed reports of search results. 
 
 
-  A communications center.
    The Groundwater Central©Communications
  Center currently has four features:
 
 
-   An events calendar. Information about conferences, field trips, and
    request-for-proposal deadlines is posted on the calendar. Although all who
    register with Groundwater Central©are allowed to post events on the calendar,
  postings have been sparse. 
 
 
-  Discussion forums. Bulletin boards have
    been created for seven topics: access, characterization and monitoring, contaminants,
    NAPL cleanup, physical
  setting, policy, and remediation technologies. All visitors can view information
  that has been posted to the bulletin boards, but only registered users can
  post new materials.
 
 
-  The “Ask an Expert” service. Registered
    users can send experts anonymous questions on bioremediation, permeable reactive
    barriers,
    and thermal-enhanced remediation. Experts are expected to respond to questions
  within 2 weeks.
 
 
-  Chat room. This feature allows users to chat directly with other
    users who are logged on to Groundwater Central©at the same time. 
Kaback said that Groundwater Central© was officially launched on January
  31, 2003. She and Yager asked Alliance members to visit the site and explore
  its features. After doing so, Alliance members should submit comments about
  the utility of Groundwater Central©and offer recommendations on how to
  improve it. Kaback agreed to serve as the repository for the comments and to
  forward them to Yager. 
Ariail asked whether the ground-water sites to which Groundwater Central©provides
  links also link back to Groundwater Central©. Kaback was not sure, but
  agreed to find out. Perroni advised sending an email to the webmasters who
  manage the sites to which Groundwater Central©links, and asking them
  to establish a link to Groundwater Central©. Lyverse asked whether Module
  1 of the Alliance training could be made available through the Groundwater
  Central©portal. Kaback said that this was possible.
  UPDATE FROM THE CASPER REFINERY SUBGROUP
  Jeff Hostetler, TriHydro Corporation
Hostetler provided information on behalf of the Casper Refinery Subgroup,
  a group that is using the decision-making process advocated in the NMDF document
  to develop a long-term NAPL management strategy at a former refinery site that
  is owned by ChevronTexaco. Hostetler said that the Subgroup recently completed
  a mobility study. The results indicate that 8 million gallons of NAPL are in
  the subsurface, and less than 2 percent of that NAPL is mobile and readily
  recoverable. Given this finding, Hostetler said, the Subgroup is now reexamining
  the goal that it originally set for the site to evaluate whether the goal is
  still practical. Now that he has a better understanding of the nature of the
  NAPL problem, Hostetler said, he doubts that the goal—to remove enough
  NAPL to enable natural processes to return ground-water quality to background
  levels or maximum contaminant levels (MCLs) within about 50 years after remedial
  engineering processes have been discontinued—is practical. As a result,
  the goal may require reformulation. Hostetler said that the Subgroup is currently
  working on the following: 
  -  Performing more studies. Additional site investigation activities
      will be initiated in the near future. For example, a natural attenuation
    study will be performed and NAPL–ground-water partitioning/dissolution,
    volatilization, and biodegradation data will be collected. Among other things,
    Hostetler said,
      the investigations will be used to evaluate whether certain portions of
  the subsurface NAPL pose less risk than others.
 
 
-  Applying to Wyoming’s
    voluntary remediation program (VRP). Once the Casper Refinery site enters
    the VRP, Hostetler said, public involvement
  will increase and ChevronTexaco will be expected to identify stakeholders who
  are deeply interested in the site. While the public has been involved to some
  extent already, Hostetler said, the collaborative stakeholder decision-making
  process is just now about to go into full swing at the Casper Refinery site.
 
 
- Finalizing
      a Current Conditions report. Hostetler said that ChevronTexaco has
      consolidated detailed information about human resources, material resources,
    and data into one report. The report is under review and will be finalized
  in the near future. 
 
 
-  Developing a remediation agreement. ChevronTexaco is
        in the process
    of developing a draft preliminary remediation agreement. The Wyoming Department
    of Environmental Quality and ChevronTexaco hope to sign a final remediation
  agreement by the end of 2005.
 
 
- Identifying innovative remediation technologies
    to use at the site. Hostetler said that the Subgroup is trying to generate
    case studies about the
  way innovative technologies have performed at LNAPL sites. To date, he said,
  the Subgroup has experienced much difficulty collecting case study information.
  Although the Subgroup knows this information exists, it is difficult to extract
  technical and cost performance data from the site managers and consultants
  who have those data. For this reason, Hostetler said, the Subgroup needs help
  from Alliance members in identifying contacts who are willing to provide such
  information. Hostetler said that he has generated a 1-page data profile sheet
  that lists the information the Subgroup is trying to collect. He will e-mail
  it to the Alliance members. He strongly encouraged Alliance members to submit
  completed data profile sheets or to submit the names of contacts who could
  provide such information. Hostetler said that the case studies might eventually
  be posted on an EPA Web site. If people are not comfortable having the information
  go public, he said, they do not have to include site names in their data profile
  sheets. Hostetler’s request for information spurred discussion about
  projects that might make good case studies. The following projects and potential
  contacts or resources were identified:
 
 
-   ConocoPhillips’ water-flooding project. Greg Fletcher agreed
  to check with ConocoPhillips’ management to find out whether cost and
  performance data from a recent remediation effort could be released to the
  Subgroup. He said that he did not think ConocoPhillips would object to releasing
  performance data to the Alliance, noting that these data will be reported to
  the state in July 2003.
  
 
 
-   An expert on bioremediation technologies. Tavelli recommended contacting
  an EPA representative who is an expert on bioremediation technologies for input
  on potential case studies.
  
 
 
-   A trenching project. Westbrook said that trenching was successfully
  performed at an active refinery site, and that the experience obtained at this
  site might make an interesting case study.
  
 
 
-   The CLU-IN Web site. Kaback said that CTC has been examining site
  profile information that has been posted on EPA’s CLU-IN site. Kaback
  said that she would let Hostetler know whether this information is relevant
  to the Subgroup’s data collection effort. 
 
 
-   BP America projects. Kremesec said that he could provide completed
  profiles and/or contact names for a biowall project, a bioventing project,
  a steam flood project, and a microwave project.
Lyverse asked Hostetler to discuss the long-term vision for the Casper Refinery
  site. Hostetler said that this vision can be separated into two components: 
  -  Future land use. The goal is to use the site for light industrial
  use and some recreational purposes. 
 
 
- Groundwater restoration. Wyoming’s
      nondegradation policy dictates that remedies focus on eventual reduction
      of ground-water contaminants to background
  concentrations or MCLs. 
  UPDATE ON THE EMANUAL PROJECT 
  Jim Higinbotham, ExxonMobil 
Higinbotham provided information about API’s LNAPL eManual, a diverse
  set of tools that presents information on a variety of LNAPL topics. He said
  that the product, which will be available at no cost to the public, will be
  distributed as a CD-ROM. It will include educational information, checklists,
  an LNAPL management flowchart, calculation tools, remedial selection tools,
  assessment tools, and a broad range of other useful tools, including the most
  recent generation of LNAST.
Higinbotham said that the first draft of the eManual product was completed
  and presented to API on May 20, 2003. API members have been asked to review
  the eManual tool and submit comments by July 18, 2003. The final version of
  the product is scheduled for release on January 4, 2004. Once it is released,
  training forums will be held to provide additional information on how to use
  the eManual product.
  NEXT MEETING
As noted above, the Alliance plans to hold its next meeting in conjunction
  with the 2003 RCRA National meeting that is scheduled to take place in Washington,
  D.C., on August 12–15, 2003. (The NGWA conference that is scheduled to
  take place in Costa Mesa, California, on August 20–22, 2003, was chosen
  as a potential backup meeting location.) Attendees agreed that the Alliance’s
  meeting agenda should include the following topics: (1) EPA’s comments
  on the NMDF document, (2) the revised Module 2 strawman, and (3) an update
  on the Casper Refinery site. 
  WRAP UP
Lyverse thanked everyone for their participation and said that he thought
  the meeting had been productive. He thanked Westbrook, of EPA Region 6, for
  hosting the meeting. 
  ACTION ITEMS 
Several action items were identified during the meeting:
  -  In an effort to move forth with the development of the NMDF document:
 
 
  -  Alliance
  members will send Kaback comments on the NMDF document by May 30, 2003.
 
 
-  Tavelli will send Kaback information that can be included in the
  NMDF document’s Appendix A: Current Conditions Checklist. 
 
 
-  Kaback
    will distribute a list of EPA references that will be included in the NMDF
    document. Alliance members will review the list and let Kaback
  know of any citations that should be added to it.
 
 
-  Higinbotham and Hopkins will compare the NMDF flowchart with the
    one created for API’s E-manual toolkit. They will look for ways to harmonize
    the API flowchart with the NMDF toolkit. If they have any changes to recommend
    for the NMDF flowchart, they will submit their suggestions by May 30, 2003. 
 
 
-  Kaback
    will revise the NMDF document based on the comments she receives from Alliance
  members and redistribute the document by July 1, 2003.
 
 
-  Yager will e-mail a list of potential reviewers to Alliance members.
    Perroni will make sure that the state regulators who participate in the Alliance
  Training Workgroup are added to Yager’s list.
 
 
-  Perroni will prepare a letter that describes the Alliance’s
  mission, projects, and products. She will send the letter to Heimerman. 
 
 
-  Heimerman will send the NMDF document out to EPA reviewers with Perroni’s
    cover letter attached. (Yager will contact Heimerman to let him know that someone
    from the Alliance might be contacting him in July about distributing the NMDF
  document.) Tavelli is willing to distribute the NMDF document to state regulators. 
 
 
-  Soon after the NMDF is sent to reviewers, the Alliance will hold
    a conference call to explain why the document has been written and describe
    the history of the Alliance’s effort. Call participants agreed that it
    would be useful for Lehnertz to lead the call. Kaback is also willing to help
    lead the call and to describe the NMDF document’s content. (Kremesec
    and Tavelli are also willing to participate.) Some attendees discussed conducting
    an Internet seminar, using EPA’s CLU-IN site, to present the NMDF to
    EPA and state reviewers. Since EPA/TIO hosts these seminars on the CLU-IN site,
  Yager said, it would not be a problem to use the system.
 
 
-  The EPA/state
    regulator reviewers will be given 4 weeks to submit their comments. Kaback
    agreed to serve as the repository for all of the comments
  and to consolidate them. 
 
 
-  Attendees expressed interest in presenting information about the
    NMDF document at the 2003 RCRA National meeting that is scheduled to take place
    in Washington, D.C., on August 12–15, 2003. Yager said that several
    concurrent sessions will take place during the meeting, and that Alliance
    members could
    probably reserve a slot for a half-day session if they so desired. Yager
    will ask Karen Tomimatsu whether this is possible and report her findings
    to Lyverse,
    Kremesec, Tavelli, and Zabcik, all of whom offered to help plan the next
  NAPL Cleanup Alliance meeting.
 
 
 
-  Kremesec agreed to send the most recent version
      of the Module 1 training
    package to Kaback as soon as he returned to the office. In a few weeks, Kremesec
    will send the module out to the entire Alliance for review. Alliance members
    will be given about 2 weeks to comment on the module. Once the Alliance is
    comfortable with the training program, it will be sent to a broader list
  of reviewers.
 
 
- Tavelli will prepare and distribute a revised version of the
    Module 2 outline before the next Alliance meeting. The revisions will be
    based, at
  least in part, on comments received from the Alliance’s Training Workgroup
  members. Hay Wilson asked Tavelli to let her and Kaback know whether any of
  the Workgroup members’ comments are relevant to the NMDF document. Tavelli
agreed to look through the comments as soon as possible.
 
 
- Alliance members will
    visit Groundwater Central©(http://www.groundwatercentral.info  ),
    explore its features, and provide feedback on its utility. Kaback will collect
  the comments and send them to Yager. ),
    explore its features, and provide feedback on its utility. Kaback will collect
  the comments and send them to Yager.
 
 
-  Kaback will find out whether the sites
      that Groundwater Central©links
  to are linking back to the Groundwater Central©page. 
 
 
- Hostetler
    will send out blank data profile sheets to Alliance members. (The forms ask
    for information on LNAPL cleanup projects.) Alliance members
  agreed to help fill out the forms and/or name a contact who might be able to
  provide relevant information. In response to Hostetler’s request, Greg
  Fletcher agreed to check with ConocoPhillips’ management to find out
  whether information about a recently completed waterflood project can be released
  to the Alliance and developed into a case study. (He will ask whether cost
  data, as well as performance data, may be released.) Also, Kremesec and Westbrook
offered to send Hostetler information and/or contact names. 
 
 
- Perroni will send
    Alliance members an updated list of the Alliance’s
  e-mail notification list. 
 
 
- Yager and Kaback will call Lehnertz and Breeden
      to let them know about the major decisions that were made during the Alliance
    meeting. 
ATTACHMENTS A through C
Attachments A through C are available on the Internet. To view
      these attachments, visit the RTDF home page at http://www.rtdf.org, click
      on the “Non-Aqueous
  Phase Liquid (NAPL) Cleanup Alliance” button, then click on the “Alliance
  Meetings” button. The attachments will be available as part of the May
  2003 meeting summary. 
Attachment A:	Final Attendee List (PDF, 39KB)
Attachment B:	Dawn Kaback’s presentation entitled
  Decision-Making Framework for Cleanup of Sites Contaminated With LNAPLs (PDF,
  54KB)
Attachment C:	Dawn Kaback’s presentation entitled GWRTAC’s
  Groundwater Central© (PDF, 1.6MB)