TO 2 PWS Attch 1 Midwest Base Site List BECOS vf9.xlsx
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- Attached to
- BASE REALIGNMENT AND CLOSURE (BRAC) ENVIRONMENTAL CONSTRUCTION AND OPTIMIZATION SERVICES (BECOS) Midwest Region Federal contract opportunity
- Solicitation number
- FA890320R0015
About this file
This document provides details on a federal contract opportunity for Base Realignment and Closure (BRAC) Environmental Construction and Optimization Services (BECOS) in the Midwest Region. The solicitation seeks proposals to provide long-term environmental remediation and monitoring services at 75 sites located at 13 active and former military installations in the Midwest. Services required include operation, maintenance, and monitoring of landfill caps, groundwater treatment systems, land use controls, and five-year reviews. The contract will have a one-year base period and four one-year options, with an anticipated award date of September 2020. The solicitation was issued by the Department of the Air Force Materiel Command Installation and Mission Support Center Installation Contracting Agency.
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Midwest
| Region | Base | Site ID | Site Name | Site Alias | Operable Unit (OU) | Regulatory Program | Site Phase | Current Remedy | Type of System | Current Frequency of Monitoring | Notes | Performance Objective | Projected | |
| RC Date | Projected |
SC Date
| Midwest | Chanute | SS041 | Bldg. 995 Engine Test Cells | CERCLA | RA-O | Ongoing groundwater remediation via in-situ enhanced reductive dechlorination, monitoring, LUC inspections and Five-Year Reviews. | None | Semi-annually | Investigation and remediation of 1,4-dioxane excluded | SC excluding 1,4-dioxane | FY26 | FY26 |
| Midwest | Chanute | FT021 | Fire Training Area 2 | CERCLA | LTM | LUC inspections and Five-Year Reviews. | None | Annually | Investigation and remediation of PFOS/PFOA excluded from this TO | LTM | FY20 | Indefinite |
| Midwest | Chanute | LF016 | Landfill 1 | CERCLA | LTM | Ongoing operation, maintenance, and monitoring (OM&M) of landfill cap (e.g., cap inspections, mowing, and maintenance; leachate collection system maintenance; groundwater monitoring), LUC inspections, and Five-Year Reviews | 1 - Leachate Collection System (Standby) | Semi-annually | LTM | FY15 | Indefinite | |
| Midwest | Chanute | LF017 | Landfill 2 | CERCLA | LTM | Ongoing OM&M of landfill cap (e.g., cap inspections, mowing, and maintenance; leachate collection system maintenance and discharge monitoring; evapotranspiration buffer maintenance; groundwater monitoring), LUC inspections, and Five-Year Reviews |
| Ongoing O&M of leachate treatment system (GAC), installed to remove PFOS/PFOA prior to discharge to the POTW, is included in this TO. | 1 - Leachate Collection System (GAC) | Semi-annually | PFOS/PFOA impacts. | LTM | FY15 | Indefinite | |||||||||
| Midwest | Chanute | LF018 | Landfill 3 | CERCLA | LTM | Ongoing OM&M of landfill cap (e.g., cap inspections, mowing, and maintenance; leachate collection system maintenance; evapotranspiration buffer maintenance; groundwater monitoring), LUC inspections, and Five-Year Reviews | 1 - Leachate Collection System (Standby) | Semi-annually | LTM | FY15 | Indefinite | ||||
| Midwest | Chanute | LF019 | Landfill 4 | CERCLA | LTM | Ongoing OM&M of landfill cap (e.g., cap inspections, mowing, and maintenance; evapotranspiration buffer maintenance; landfill gas monitoring; groundwater monitoring), LUC inspections, and Five-Year Reviews | None | Semi-annually | LTM | FY15 | Indefinite | ||||
| Midwest | General Mitchell | ST010 | POL Dry Wall | Wisconsin | LTM | Five-Year Reviews (Abbreviated) and annual LUC inspections | None | Every 5 years | Minimal LUC inspections required each year | LTM | FY04 | Indefinite | |||
| Midwest | Gentile | WP026 | Floor Drain to Infiltration Pit (R2) | R2 | CERCLA | RA-O | RA-O: GW monitoring; LUC inspections and Five-Year Reviews | None | Semi-Annual | RA-O | FY35 | FY35 | |||
| Midwest | Gentile | SS035 | Former Storage/Salvage Area | C7 | CERCLA | RA-O | RA-O: Confirmation GW monitoring; soil vapor monitoring; LUC inspections and Five-Year Reviews | None | Semi-Annual | Soil excavation was conducted at the Site in 2018. Residual soil contamination near electric utilities was not excavated and may require additional effort to achieve GW goals. GW is projected to achieve MCLs within current PBRC POP but incomplete excavation puts the goal at risk. SC confirmation requires eight consecutive sample events below MCLs to demonstrate closure. | RA-O | FY31 | FY31 | ||
| Midwest | Gentile | SS028 | Coal Storage Area (S1) | S1 | CERCLA | RA-O | RA-O: GW monitoring; LUC inspections and Five-Year Reviews | None | Semi-Annual | RA-O | FY31 | FY31 | |||
| Midwest | Gentile | ST003 | Rail Lines-Parcel B (C2B) | C2B | CERCLA | LTM | LUC inspections and Five-Year Reviews | None | Annual | LTM | FY99 | Indefinite | |||
| Midwest | Gentile | LF009 | Disposal Area No. 2 | ||||||||||||
| (D2) | D2 | CERCLA | LTM | LUC inspections and Five-Year Reviews | None | Annual | LTM | FY99 | Indefinite | ||||||
| Midwest | Gentile | CSS024 | Rail Line Parcel A | ||||||||||||
| (C2A) | C2A | CERCLA | LTM | LUC inspections and Five-Year Reviews | None | Annual | Administrative closure may require further analysis and consideration. | LTM | FY97 | Indefinite | |||||
| Midwest | Grissom | FT001 | Fire Protection Training Area 1 | CERCLA | RA-O | GW monitoring, LUC inspections, and Five-Year Reviews | None | Quarterly | Site was expected to close in current PBR, as trends were decreasing, but due to recent unexpected increase in one well A PBR mod is underway to implement injection remedy but site cannot reach SC within current PBR as 8 quarters of verification monitoring required to close site after reaching MCL |
| Contaminated with PFAS | SC | FY28 | FY28 | |||||||
| Midwest | Grissom | FT002 | Fire Protection Training Area 2 | CERCLA | RA-O | GW monitoring, LUC inspections, and Five-Year Reviews | None | Quarterly | Site was expected to close in current PBR, as trends were decreasing, but due to recent unexpected increase in one well A PBR mod is underway to implement injection remedy but site cannot reach SC within current PBR as 8 quarters of verification monitoring required to close site after reaching MCL. |
| Contaminated with PFAS | SC | FY23 | FY23 | ||||
| Midwest | Grissom | SS035 | OWS at Former Building 122 | CERCLA | RA-O | ESD/ROD Amendment, Delineation, Implementation of the Revised Remedy, Groundwater monitoring, LUC inspections and Five-Year Reviews (Industrial Use based on Soil) | |
| None | Quarterly | Residual TCE in soil remains in place. TCE in groundwater also found during current PBR, while the ROD identified TCE in soils only. Site recently underwent further investigation, which established higher TCE upgradient and groundwater gradient direction; delineation not complete. |
| Sufficient information will be available for PBR contractor to complete delineation, conduct groundwater monitoring, prepare ESD/ROD Amendment and implement remedy for soil and groundwater, as needed. | RA-O | FY27 | FY28 | |||||||
| Midwest | Grissom | SS053 | North Side Hangar 200 | CERCLA | RA-O | ESD/ROD Amendment, Groundwater monitoring, LUC inspections and Five-Year Review (Industrial Use based on Soil) | None | Quarterly | TCE in groundwater found during current PBR. Groundwater was not encountered during pre-ROD investigations; however, the ROD identified potential for TCE in groundwater based on TCE in soils. Further investigation has found more extensive TCE and breakdown products; delineation could not be completed to the south and east due to buildings and utilities. |
| Due to buildings and incomplete delineation, PBR contractor will prepare an ESD/ROD Amendment to extend the LUC boundary. | RA-O | Indefinite | Indefinite | |||||||
| Midwest | Grissom | SS058 | OWS 896 near Building 19 | CERCLA | RA-O | ESD/ROD Amendment, Implementation of the Revised Remedy, Groundwater monitoring, LUC inspections and Five-Year Reviews (Industrial Use for Soil) | None | Quarterly | TCE in groundwater found during current PBR, while the ROD identified TCE in soils only. BEHP was a COC in groundwater but is no longer a concern. Site required further investigation, which adequately delineated TCE nature and extent in groundwater. |
| Sufficient information is available for PBR contractor to conduct groundwater monitoring, prepare ESD/ROD Amendment and implement remedy for soil and groundwater, as needed, to move site towards closure. | RA-O | FY27 | FY28 | ||||||||||
| Midwest | Grissom | SS190 | TCE Release at Building 190 | CERCLA | RA-O | GW monitoring, targeted ISCO injections, performance and verification monitoring, LUC inspections and Five-Year Reviews | None | Quarterly | Site is close to MCL, but the required eight quarters of verification monitoring cannot be completed within the current PBR PoP. | SC | FY22 | FY22 | |
| Midwest | Grissom | LF003 | Landfill #1 | CERCLA | LTM | LUC inspections and Five-Year Reviews | None | Annually | LTM | FY00 | Indefinite | ||
| Midwest | Grissom | LF004 | Landfill #2 | CERCLA | LTM | LUC inspections and Five-Year Reviews | None | Annually | LTM | FY01 | Indefinite | ||
| Midwest | Grissom | SS049 | Central Heat Plant Complex | CERCLA | LTM | GW monitoring, annual free product removal via bailing of monitoring wells, LUC inspections, and Five-Year Reviews | None | Annually | LTM | FY08 | Indefinite | ||
| Midwest | KI Sawyer | ST004 | POL Yard | CERCLA & Michigan Part 201 | RA-O | Maintain free-phase JP-4 recovery and air sparging systems, enclosure, and reinjection trenches on standby, 2 years of confirmation free product gauging, system decommissioning, annual LUC inspections, and Five-Year Reviews | 1 - Free Product Recovery System (Reinjection Trenches on Standby) | Monthly - 3 Months of Spring | |||||
| Quarterly - during other seasons | Current PBR contractor should complete the first year of confirmation guaging. |
Local response within 1 hour is required to ensure immediate system operability to prevent breakthrough.
| LTM | FY21 | Indefinite | |||||||||||||
| Midwest | KI Sawyer | LF008 | Landfills 1 and 2 | CERCLA & Michigan Part 201 | RA-O | Capped landfill with groundwater monitoring, periodic inspections, watering, mowing, and fence repair, annual LUC inspections, and Five-Year Reviews | None | Annually | RC | FY28 | Indefinite | ||||
| Midwest | KI Sawyer | LF010/011 | Landfills 3 and 4 | CERCLA & Michigan Part 201 | RA-O | Capped landfill with groundwater monitoring, periodic inspections, watering, mowing, and fence repair, annual LUC inspections, and Five-Year Reviews | None | Annually | RC | FY28 | Indefinite | ||||
| Midwest | KI Sawyer | OT013 | DFSP Escanaba | CERCLA & Michigan Part 201 | LTM | LUC/IC Inspections, Five-Year Reviews | None | Annually | LTM | FY13 | Indefinite | ||||
| Midwest | KI Sawyer | CG406 (PFAS) | OU1 PFC KIS Groundwater Plume | CERCLA & Michigan Part 201 | RA-O | Maintain one whole-home resin treatment system including O&M, semiannual monitoring, and reporting. | |||||||||
| 1 - Home Resin Treatment System | Annually | Facilitate provision of bottled water in the event of a system emergency; system O&M and sampling should be accomplished using local resources. | RA-O | NA | NA | ||||||||||
| Midwest | Newark | LF002 | Landfill 2 13-Acre Site | CERCLA | LTM | LUC inspections and Five-Year Reviews | None | Annual | LTM | FY02 | Indefinite | ||||
| Midwest | Newark | SS102 | AOC2 Bldg 4 Dewatering Sump Pumps (AOC 102) (AOC2) | CERCLA | LTM | LUC inspections and Five-Year Reviews | None | Annual | LTM | FY99 | Indefinite | ||||
| Midwest | O'Hare | LF001 | Landfill 1 | CERCLA | LTM | LUC/IC monitoring, | |||||||||
| Five-Year Review | None | Annually | LTM | FY05 | Indefinite | ||||||||||
| Midwest | O'Hare | ST002 | JP4 Tank/West POL Area | CERCLA | LTM | LUC/IC monitoring, | |||||||||
| Five-Year Review | None | Annually | LTM | FY02 | Indefinite | ||||||||||
| Midwest | O'Hare | SS005 | Fuel- Contaminated Soil | CERCLA | LTM | LUC/IC monitoring, | |||||||||
| Five-Year Review | None | Annually | LTM | FY02 | Indefinite | ||||||||||
| Midwest | O'Hare | ST012 | South POL Area | CERCLA | LTM | LUC/IC monitoring, | |||||||||
| Five-Year Review | None | Annually | LTM | FY02 | Indefinite | ||||||||||
| Midwest | O'Hare | OT016 | Trailer Park | OTH-TP | CERCLA | LTM | LUC/IC monitoring, | ||||||||
| Five-Year Review | None | Annually | LTM | FY02 | Indefinite | ||||||||||
| Midwest | O'Hare | SA017 | Former Coal Storage Area | OTH-1 | CERCLA | LTM | LUC/IC monitoring, | ||||||||
| Five-Year Review | None | Annually | LTM | FY02 | Indefinite | ||||||||||
| Midwest | O'Hare | IN018 | Former Incinerator | OTH-13 | CERCLA | LTM | LUC/IC monitoring, | ||||||||
| Five-Year Review | None | Annually | LTM | FY02 | Indefinite | ||||||||||
| Midwest | O'Hare | SS019 | TCE Spill – Sanitary Sewer | OTH-SS | CERCLA | LTM | LUC/IC monitoring, | ||||||||
| Five-Year Review | None | Annually | LTM | FY02 | Indefinite | ||||||||||
| Midwest | O'Hare | CCB001 | Former Paint Shop | OTH-8-1 | CERCLA | LTM | LUC/IC monitoring, | ||||||||
| Five-Year Review | None | Annually | LTM | FY02 | Indefinite | ||||||||||
| Midwest | O'Hare | CLF002 | Hardfill No. 2 | OTH-HF-02 | CERCLA | LTM | LUC/IC monitoring, | ||||||||
| Five-Year Review | None | Annually | LTM | FY02 | Indefinite | ||||||||||
| Midwest | O'Hare | CTU003 | UST Nos 1902A/B | UST-1902A/B | CERCLA | LTM | LUC/IC monitoring, | ||||||||
| Five-Year Review | None | Annually | LTM | FY02 | Indefinite | ||||||||||
| Midwest | O'Hare | COW004 | Oil Water Separator No. 2909 | OWS-2909 | CERCLA | LTM | LUC/IC monitoring, | ||||||||
| Five-Year Review | None | Annually | LTM | FY02 | Indefinite | ||||||||||
| Midwest | O'Hare | COW006 | Oil Water Separator No. 30B | OWS-30B | CERCLA | LTM | LUC/IC monitoring, | ||||||||
| Five-Year Review | None | Annually | LTM | FY02 | Indefinite | ||||||||||
| Midwest | O'Hare | OT008 | South Edge of Concrete Apron | IRP-OT-008 | CERCLA | LTM | LUC/IC monitoring, | ||||||||
| Five-Year Review | None | Annually | LTM | FY02 | Indefinite | ||||||||||
| Midwest | O'Hare | OT010 | Storm Drainage Area | IRP-OT-010 | CERCLA | LTM | LUC/IC monitoring, | ||||||||
| Five-Year Review | None | Annually | LTM | FY02 | Indefinite | ||||||||||
| Midwest | O'Hare | ST014 | Fuel Line Break Area | IRP-ST-014 | CERCLA | LTM | LUC/IC monitoring, | ||||||||
| Five-Year Review | None | Annually | LTM | FY02 | Indefinite | ||||||||||
| Midwest | O'Hare | CSS026 | Sanitary Sewer Site | OTH-SS | CERCLA | LTM | LUC/IC monitoring, | ||||||||
| Five-Year Review | None | Annually | LTM | FY02 | Indefinite | ||||||||||
| Midwest | O'Hare | CAT021 | Suspected Fire Training Area | OTH-FT | CERCLA | LTM | LUC/IC monitoring, | ||||||||
| Five-Year Review | None | Annually | LTM | FY02 | Indefinite | ||||||||||
| Midwest | O'Hare | CCB022 | Former Aircraft Hangar | OTH-7 | CERCLA | LTM | LUC/IC monitoring, | ||||||||
| Five-Year Review | None | Annually | LTM | FY02 | Indefinite | ||||||||||
| Midwest | O'Hare | CRW023 | Aircraft Washrack | OTH-2531-1 | CERCLA | LTM | LUC/IC monitoring, | ||||||||
| Five-Year Review | None | Annually | LTM | FY02 | Indefinite | ||||||||||
| Midwest | O'Hare | CSA024 | Former Drum Accumulation Area | OTH-2531-2 | CERCLA | LTM | LUC/IC monitoring, | ||||||||
| Five-Year Review | None | Annually | LTM | FY02 | Indefinite | ||||||||||
| Midwest | O'Hare | CFL025 | Hardfill No. 1 | OTH-HF-01 | CERCLA | LTM | LUC/IC monitoring, | ||||||||
| Five-Year Review | None | Annually | LTM | FY02 | Indefinite | ||||||||||
| Midwest | O'Hare | SS007 | Hazardous Waste Storage Site | IRP-SS-007 | CERCLA | LTM | LUC/IC monitoring, | ||||||||
| Five-Year Review | None | Annually | LTM | FY02 | Indefinite | ||||||||||
| Midwest | O'Hare | OT009 | Vehicle Maintenance Facility | IRP-OT-009 | CERCLA | LTM | LUC/IC monitoring, | ||||||||
| Five-Year Review | None | Annually | LTM | FY02 | Indefinite | ||||||||||
| Midwest | O'Hare | FT003 | Fire Protection Training Area | IRP-FT-003 | CERCLA | LTM | LUC/IC monitoring, | ||||||||
| Five-Year Review | None | Annually | LTM | FY02 | Indefinite | ||||||||||
| Midwest | Richards-Gebaur | SS012 | Building 105 | CERCLA | RA-O | GW monitoring, HRC injections, installation of additional treatment trench, installation of additional wells, performance verification monitoring, LUC inspections, and Five-Year Reviews | None | Semiannually | Building demolitions, Excavation of remaining source, and application of amendments to be conducted under current PBR | SC | FY27 | FY27 | |||
| Midwest | Rickenbacker | SS001 | Former |
Hazardous Waste Storage Area Site 1 RCRA RA-O GW monitoring, LUC inspections, and Semi-Annual Correction Action Effectiveness/Protectiveness Monitoring
| None | Semi-Annual | RA-O | FY35 | FY35 | ||||
| Midwest | Rickenbacker | SS021 | Oil Change Area | Site 21 | CERCLA | RA-O | GW monitoring, LUC |
inspections, and Five-
| Year Reviews; confirmation GW sampling to validate closure | None | Semi-Annual | One well remains above cleanup goals at the site. Soil source delineation work to be completed under current PBRC. | RA-O | FY31 | FY31 | |||
| Midwest | Rickenbacker | SS041 | Multi-chambered Oil/Water Separator North of Bldg 848 | Site 41 | CERCLA | RA-O | GW monitoring, LUC |
inspections, and Five- Year Reviews
| None | Semi-Annual | GW concentrations increased after latest injections. Soil source suspected but not identified | RA-O | FY31 | FY31 | |||
| Midwest | Rickenbacker | SS042 | Jet Engine Test Stand, Bldg 896 | Site 42 | CERCLA | RA-O | GW monitoring, LUC |
inspections, and Five- Year Reviews LUC inspections
| None | Semi-Annual | RA-O | FY31 | FY31 | ||||||||||
| Midwest | Rickenbacker | SS046 | Facilities (Pumphouses) 898/899 | BUSTR** | LTM | LUC inspections | None | Annual | LTM | FY05 | FY20 | |||
| Midwest | Wurtsmith | SS072 | PCE Plume discharging to Clark’s Marsh | CERCLA & Michigan Part 201 | RA-O | Biowall with discharge to Clark’s Marsh, groundwater monitoring, LUC/IC inspections and Five-Year Reviews. | None | Annual monitoring | RA-O | FY35 | FY35 | |||
| Midwest | Wurtsmith | ST068 | Oil/Water Separator, Facility 5067 | CERCLA & Michigan Part 201 | RA-O | Groundwater monitoring, LUC/IC inspections and Five-Year Reviews. | None | Annual monitoring | RA-O | FY24 | FY24 | |||
| Midwest | Wurtsmith | WP004 | Inactive Waste Treatment Plant Sludge Drying Beds | CERCLA & Michigan Part 201 | RA-O | Groundwater monitoring, LUC/IC inspections and Five-Year Reviews. | None | Annual monitoring | RA-O | FY24 | FY24 | |||
| Midwest | Wurtsmith | OT016 | Jet Engine Test Cell Building 5098 | CERCLA & Michigan Part 201 | RA-O | Groundwater monitoring LUC/IC inspections and Five-Year Reviews. | None | Annual monitoring | PFAS sampling at 5 wells is accomplished under FT002 PFAS monitoring | SC | FY23 | FY23 | ||
| Midwest | Wurtsmith | SS005 | TCE Spill, Southwest of SAC Alert Apron | CERCLA & Michigan Part 201 | RA-O | Groundwater monitoring, LUC/IC inspections and Five-Year Reviews. | None | Biennial monitoring | RA-O | FY22 | FY24 | |||
| Midwest | Wurtsmith | SS008 | TCE and Fuel Spill, SAC Nose Doc and Operational Apron | CERCLA & Michigan Part 201 | RA-O | Groundwater monitoring, LUC/IC inspections and Five-Year Reviews | None | Annual monitoring | RA-O | FY21 | FY22 | |||
| Midwest | Wurtsmith | LF030/ LF031 | Landfill, Northern (Perimeter Road) Area | CERCLA & Michigan Part 201 | RA-O | Pump and treat (VOCs and metals) and landfill cover maintenance. Treatment is via an Engineered Wetland Treatment System (EWTS). Groundwater monitoring, LUC/IC inspections and Five-Year Reviews. | P&T (EWTS) | Annual / biennial monitoring | Bioventing system is being evaluated as part of FS being prepared in 2019. |
| PFOS/PFOA impacts. | RA-O | FY39 | Indefinite | ||||||||||
| Midwest | Wurtsmith | SS021 | TCE Spill Northeast of Building 43 | CERCLA & Michigan Part 201 | RA-O | PTS-GAC (Central Treatment System - CTS Arrow street) for PFAS (influent and effluent) and VOCs, groundwater monitoring, LUC/IC inspections and Five-Year Reviews. | P&T (GAC) | Annual / biennial monitoring | PFOS/PFOA impacts associated with SS021 (PFAS) | RA-O | FY39 | Indefinite | |
| Midwest | Wurtsmith | OT024 | Three Pipes Drainage Ditch | CERCLA & Michigan Part 201 | RA-O | PTS-Ion Excchange Resin (Mission Street) for PFAS (influent and effluent) and VOCs, groundwater monitoring, LUC/IC inspections and Five-Year Reviews. | P&T (IX Resin) | Annual / biennial monitoring | PFOS/PFOA impacts associated with OT024 (PFAS) | RA-O | FY39 | Indefinite | |
| Midwest | Wurtsmith | SS057 | Old Apron Hydrant Fuel System | CERCLA & Michigan Part 201 | RA-O | BioSparging (BS) ongoing and in-situ bioremediation injections implemented in 2019, groundwater monitoring, LUC/IC inspections and Five-Year Reviews. | Biosparging Systems | Annual monitoring | RA-O | FY29 | Indefinite | ||
| Midwest | Wurtsmith | FT002 | Active Fire Training Area | CERCLA & Michigan Part 201 | RA-O | Ongoing air sparging (AS), pump and treat system with granular activated carbon (PTS-GAC) (FT002) for PFAS (influent and effluent), groundwater monitoring including PFAS, LUC/IC inspections and Five-Year Reviews. | 1 - Air Sparging System |
| 2 - P&T (GAC) | Annual monitoring | PFOS/PFOA impacts associated with FT002 (PFAS) | RA-O | FY25 | Indefinite | |||||||||
| Midwest | Wurtsmith | SS047 | Base Gas Station | CERCLA & Michigan Part 201 | RA-O | PTS-GAC (Central Treatment System - CTS) for PFAS (influent and effluent) and VOCs (treatment at SS021), groundwater monitoring, LUC/IC inspections and Five-Year Reviews. | P&T (GAC) | Annual / biennial monitoring | PFOS/PFOA impacts associated with SS021 (PFAS) | RA-O | FY25 | Indefinite | ||
| Midwest | Wurtsmith | SS006 | Fuel Spill, POL Bulk Storage Area | CERCLA & Michigan Part 201 | RA-O | Groundwater monitoring, Groundwater extraction (Central Treatment System - CTS) for PFAS (influent and effluent) (treatment at SS021). | None | Annual monitoring | PFOS/PFOA impacts associated with SS021 (PFAS) | SC | FY24 | Indefinite | ||
| Midwest | Wurtsmith | LF023 | Landfill, SE of POL Bulk Storage | CERCLA & Michigan Part 201 | LTM | LUC/IC inspections and Five-Year Reviews. | None | Annually | LTM | FY98 | Indefinite | |||
| Midwest | Wurtsmith | LF026 | Landfill, East of Alert Apron | CERCLA & Michigan Part 201 | LTM | LUC/IC inspections and Five-Year Reviews. | None | Annually | LTM | FY98 | Indefinite | |||
| Midwest | Wurtsmith | LF027 | Landfill South of the Center of SAC Instrument Runway | CERCLA & Michigan Part 201 | LTM | Groundwater sampling, LUC/IC inspections and Five-Year Reviews. | None | Annually | FFS and LUC/IC Only ROD required to achieve RC. | LTM | FY23 | Indefinite | ||
| Midwest | Wurtsmith | SS071 | Building 5045 Drain Field | CERCLA & Michigan Part 201 | RA-O | Groundwater sampling, LUC/IC inspections and Five-Year Reviews. | None | Annually / biennial monitoring | PFOS/PFOA impacts associated with CAT605P. | SC | FY25 | FY25 | ||
| Midwest | Wurtsmith | ST069 | TCE Plume DRMO | CERCLA & Michigan Part 201 | LTM | LUC/IC inspections and Five-Year Reviews. | None | Annually | PFOS/PFOA impacts. | LTM | FY15 | Indefinite | ||
| Midwest | Wurtsmith | SS051 | KC135 Crash Site | CERCLA & Michigan Part 201 | LTM | LUC/IC inspections and Five-Year Reviews. | None | Annually | PFOS/PFOA impacts. | LTM | FY16 | Indefinite | ||
| Midwest | Wurtsmith | WP070 | Sand-Fill Storage and Borrow Area | CERCLA & Michigan Part 201 | LTM | LUC/IC inspections and Five-Year Reviews. | None | Annually | LTM | FY04 | Indefinite | |||
| Midwest | Wurtsmith | SR408 | Bombing and Strafing Area | CERCLA & Michigan Part 201 | LTM | LUC/IC inspections and Five-Year Reviews. | None | Annually | Contractor to provide public notices and conduct biennial public training to stakeholders regarding actions if ordnance remnants are encountered. | LTM | FY07 | Indefinite | ||
| Midwest | Wurtsmith | XE404 | Weapons Storage Area | CERCLA & Michigan Part 201 | LTM | LUC/IC inspections and Five-Year Reviews. | None | Annually | Contractor to provide public notices and conduct biennial public training to stakeholders regarding actions if ordnance remnants are encountered. | LTM | FY07 | Indefinite | ||
| Midwest | Wurtsmith | XU402 | Former Grenade Range | CERCLA & Michigan Part 201 | LTM | LUC/IC inspections and Five-Year Reviews. | None | Annually | Contractor to provide public notices and conduct biennial public training to stakeholders regarding actions if ordnance remnants are encountered. | LTM | FY11 | Indefinite |
FA8903-20-R-0015
Attachment 1 Midwest Region 5 December 2019
&P of &N
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