TO 2 PWS Attch 1 Southwest Site List BECOS vf5.xlsx
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- Attached to
- Base Realignment and Closure (BRAC) Environmental Construction and Optimization Services (BECOS) Southwest Region Federal contract opportunity
- Solicitation number
- FA8903-20-R-0013
About this file
This document contains a list of federal contract opportunities and related site information for Base Realignment and Closure (BRAC) Environmental Construction and Optimization Services (BECOS) in the Southwest Region. The solicitation seeks proposals to provide environmental remediation and monitoring services at 47 sites located at multiple military bases. Remediation strategies include groundwater monitoring, landfill capping, soil vapor extraction, and five-year reviews. Services will be required at sites contaminated with fuels, solvents, pesticides, and per- and polyfluoroalkyl substances (PFAS). Response is requested by December 5, 2019. The solicitation is identified as FA8903-20-R-0013 and is issued by the Department of the Air Force Materiel Command Installation and Mission Support Center Installation Contracting Agency.
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Southwest
| 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 Southwest George CG070 Northeast Disposal Area (NEDA) TCE Plume OU1 CERCLA RA-O Groundwater monitoring is ongoing. LUC monitoring and Five-Year Review. None As per the 14 August 2019 BCT Meeting Minutes, some monitoring wells are sampled annually, some biannually and the remainder are every five-years. The pump and treat (P&T) remedy as specified in the March 1994 ROD was discontinued in March 2003.
Optimization of remedy via in-situ bioremediation in progress as of March 2019. Continuing monitoring and evaluating effectiveness of optimization is included in this TO. Changes to the remedy based on optimization study are not included in this TO.
Increased off-base percolation by wastewater treatment plant is impacting groundwater elevation and flow direction. Updating the CSM and installing new wells is not included in this TO.
| Site contaminated with PFAS. | RA-O | FY79 | FY79 | |||||||||||
| Southwest | George | OT069 | PCE/TCE Plume | OU3 | CERCLA | RA-O | Monitored natural attenuation (MNA) remedy re-evaluation was completed in 2009. Groundwater monitoring is ongoing and continues in accordance with the LTMP approved in September 2009. LUC monitoring and Five-Year Review. | None | Annually as per the 2012 LTMP. | Increased off-base percolation by wastewater treatment plant is impacting groundwater elevation and flow direction. Updating the CSM and installing new wells is not included in this TO. | RA-O | FY79 | FY79 | |
| Southwest | George | SS030 | JP-4 Plume | RWQCB | RA-O | Groundwater monitoring is ongoing since 1992. Remedial activities include free-product recovery using permanent and mobile units. LUC monitoring and Five-Year Review. | x - Permanent Free Product Recovery Systems |
x - Mobile Free Product Recovery Systems Non free product monitoring wells are sampled annually. SS030 includes operation of SVE for lower screen interval wells at ST054, ST057, and SS084.
Petroleum Sites Corrective Action Plan (CAP), Part I is under RWQCB review since 24 June 2013. Final Conceptual Site Model (CSM) is expected late 2019. Changes to the remedy are not included in this TO.
| Increased off-base percolation by wastewater treatment plant is impacting groundwater elevation and flow direction. Updating the CSM and installing new wells is not included in this TO. | RA-O | FY40 | Indefinite | |||||||
| Southwest | George | OT071 | Pesticide (Dieldrin) Area of Concern (AOC071) | RWQCB | RA-O | Groundwater monitoring is ongoing since 1992. LUC monitoring and Five-Year Review. | None | Monitoring wells along with one the City of Adelanto production well #4 on an annually basis. | Revised Draft Pesticide Corrective Action Plan (PCAP) under RWQCB review since 27 June 2011. Data gap field investigation was completed in fall 2016, and the Final Data Gap Installation and Soil Sampling Report was issued on 28 September 2017. Current contractor preparing Draft Final CAP for hot spot soil removal. Finalization of the CAP and implementation of the CAP (based on quantities identified in the Draft Final CAP) are included in this TO. Changes in the remedy between the draft and final version are not included in this TO. - |
| Increased off-base percolation by wastewater treatment plant is impacting groundwater elevation and flow direction. Updating the CSM and installing new wells is not included in this TO. | RA-O | FY40 | Indefinite | |||||||||||
| Southwest | George | FT019 | Fire Training Area | OU3 | CERCLA | RA-O | Continue operation of SVE systems at subsites FT019a and FT019c. LUC monitoring and Five-Year Review | 2 - SVE Systems | Soil Source Area with monthly soil vapor compliance sampling events with an semi-annual full site soil vapor sampling event. | Current PBR contractor may expand SVE system. Operation of expanded SVE system is included in this PBR TO. | RA-O | FY24 | FY24 | |
| Southwest | George | ST067a and ST067b | LFDS Bulk Fuel Tank Farm (LFDS) | RWQCB | RA-O | Continue operation of SVE systems with thermal oxidizers and free product recovery. LUC monitoring and Five-Year Review. | 2 - SVE Systems (Thermal Oxidizer) |
| 1 - Free Product Recovery System | Soil Source Area with monthly soil vapor compliance sampling events with an semi-annual full site soil vapor sampling event. For groundwater, sampling frequency is annually to all non free-product monitoring wells. | RA-O | FY39 | Indefinite | |||||||||||
| Southwest | George | FT082 | CG070 TCE Source Area | OU5 | RWQCB | RA-O | LUC monitoring and Five-Year Review | None | Soil Source Area with monthly soil vapor compliance sampling events with an semi-annual full site soil vapor sampling event. | Ongoing SVE to be completed under current PBR contract. Current PBR contractor will draft ROD for ICs only due to potential vapor intrusion. Finalization of the ROD and decommissioning the system is included in this TO. | RC | FY24 | Indefinite | ||
| Southwest | George | SS083 | OT069 TCE Source Area Hangar 676 | OU5 | RWQCB | RA-O | LUC monitoring and Five-Year Review | None | Soil Source Area with monthly soil vapor compliance sampling events with an semi-annual full site soil vapor sampling event. | Ongoing SVE to be completed under current PBR contract. Current PBR contractor will draft ROD for ICs only due to potential vapor intrusion. Finalization of the ROD and decommissioning the system is included in this TO. | RC | FY24 | Indefinite | ||
| Southwest | George | DP003 | Acid and Oil Burial | OU3 | CERCLA | LTM | Annual landfill inspections and erosion repairs along with groundwater monitoring (every five years) in accordance with the long-term monitoring and maintenance plan (LTMMP), in accordance with OU 3 ROD. LUC and groundwater monitoring, and Five-Year Review. | None | Groundwater sampling is every five-years as per fourth LTMMP. | LTM | FY99 | Indefinite | |||
| Southwest | George | DP004 | Pesticide and Oil Burial | OU3 | CERCLA | LTM | Annual landfill inspections and erosion repairs along with groundwater monitoring (every five years) in accordance with the long-term monitoring and maintenance plan (LTMMP), in accordance with OU 3 ROD. LUC and groundwater monitoring, and Five-Year Review. | None | Groundwater sampling is every five-years as per fourth LTMMP. | LTM | FY99 | Indefinite | |||
| Southwest | George | LF007 | Base Landfill, Part of the SEDA | OU3 | CERCLA | LTM | Annual landfill inspections and erosion repairs along with groundwater monitoring (every five years) in accordance with the long-term monitoring and maintenance plan (LTMMP), in accordance with OU 3 ROD. LUC and groundwater monitoring, and Five-Year Review. | None | Groundwater sampling is every five-years as per fourth LTMMP. | LTM | FY99 | Indefinite | |||
| Southwest | George | LF012 | Landfill Street Sweepings Disposal Site | OU3 | CERCLA | LTM | Annual landfill inspections and erosion repairs along with groundwater monitoring (every five years) in accordance with the long-term monitoring and maintenance plan (LTMMP), in accordance with OU 3 ROD. LUC and groundwater monitoring, and Five-Year Review. | None | Groundwater sampling is every five-years as per fourth LTMMP. | LTM | FY99 | Indefinite | |||
| Southwest | George | LF014 | Base Landfill | OU3 | CERCLA | LTM | Annual landfill inspections and erosion repairs along with annual groundwater monitoring in accordance with the long-term monitoring and maintenance plan (LTMMP), in accordance with OU 3 ROD. LUC and groundwater monitoring, and Five-Year Review. | None | Groundwater sampling is annually as per fourth LTMMP. | Landfill cap was rebuilt in 2012. | LTM | FY99 | Indefinite | ||
| Southwest | George | ST054 | Liquid Fuel Distribution System (LFDS), Building 708 UST and Pipeline Leak | RWQCB | LTM | LUC monitoring and Five-Year Review. | None | Annually | Current SVE supports free-product removal under SS030 | LTM | FY16 | Indefinite | |||
| Southwest | George | ST057 | LFDS, Fuel Pit #1 | RWQCB | LTM | LUC monitoring and Five-Year Review. | None | Annually | Current SVE supports free-product removal under SS030 | LTM | FY16 | Indefinite | |||
| Southwest | George | SS084 | LFDS Fuel Pit #6 Leak, (AOC MW-32) | RWQCB | LTM | LUC monitoring and Five-Year Review. | None | Annually | Current SVE supports free-product removal under SS030 | LTM | FY16 | Indefinite | |||
| Southwest | George | SR401 | Small Arms Range and Practice Grenade Range (East and West) | MMRP | LTM | LUC monitoring and Five-Year Review. | None | Annually | LTM | Indefinite | |||||
| Southwest | George | XU400 | Old Borrow/Open Detonation (OB/OD) Area | MMRP | LTM | LUC monitoring and Five-Year Review. | None | Annually | Site boundary has been expanded to include Sites DP033, DP034, WP040, SS052, and SR401. | LTM | Indefinite | ||||
| Southwest | March | FT007 | Fire Protection Training Area No. 2, Area of Concern (AOC) 048 | 7 | CERCLA | RA-O | Ongoing SVE interim remedy, ICs and Five-Year Reviews | 1 - SVE System | Quarterly | Groundwater monitoring performed by March Air Reserve Base. |
Five new source areas identified at the site; however, not included in this TO.
Site contaminated with PFAS.
| Annual SLUC inspection being performed by MJPA. | RA-O | TBD | TBD | ||||||||
| Southwest | March | LF004 | Landfill 6 | 4 | CERCLA | LTM | Ongoing capped landfill OM&M, ICs and Five-Year Reviews | None | Semiannually | PBR contractor not responsible for maintenance of extraction wells, groundwater monitoring, extraction, and treatment, and reporting (EGETS paid by the Air Force.) |
| Annual SLUC inspection being performed by City of Moreno Valley | LTM | FY09 | Indefinite | ||||||||
| Southwest | March | LF006 | Landfill 4 | 6 | CERCLA | LTM | Ongoing capped landfill OM&M; leachate monitoring, collection, and disposal; landfill gas perimeter probes monitoring; ICs and Five-Year Reviews | None | Semiannually | Leachate can be disposed of at Site 31 at no cost. |
| Annual SLUC inspection being performed by MJPA. | LTM | FY04 | Indefinite | |||||||||||
| Southwest | Norton | CG097 | TCE plume (CBA OU in FY94) | CBA Plume | CERCLA | RA-O | Groundwater monitoring discontinued and regulators have concurred that remedial action objectives have been achieved. PBR contractor must prepare a Remedial Action Completion Report (RACR) and decommission wells | None | NA | SC | FY23 | FY23 | ||
| Southwest | Norton | LF002 | IRP-02 Landfill no. 2 | Site 2 Landfill | CERCLA | LTM | Ongoing post-closure cap LTM (cap maintenance, active landfill gas venting, landfill gas monitoring); LRA maintains asphalt cap; ICs and Five-Year Reviews | None | Semi-Annual | LTM | FY05 | Indefinite | ||
| Southwest | Norton | SA017 | IRP-17 Drummed waste storage | Site 17 and IWL | CERCLA/ RCRA | LTM | ICs and Five Year Reviews | None | Annually | Current PBR contractor is drafting a ROD Amendment. Completion of the ROD Amendment is included in this TO. | LTM | FY21 | Indefinite | |
| Southwest | Norton | DP024 | AOC-33 Building 747 IWL Sump | AOC33 | CERCLA/ RCRA | LTM | ICs and Five Year Reviews | None | Annually | Current PBR contractor is drafting a ROD Amendment. Completion of the ROD Amendment is included in this TO. | LTM | FY21 | Indefinite | |
| Southwest | Norton | WT007 | IRP-07 IWTP Sludge Drying Beds | Site 7 | CERCLA/ RCRA | LTM | ICs and Five Year Reviews | None | Annually | Final site closeout for WT007 is dependent on RCRA corrective action termination associated with the IWTP Interim Status Facility (which includes sites SA017 and DP024 which will not achieve SC). |
| CERCLA NFA site. | LTM | FY21 | Indefinite | ||||||||||||
| Southwest | Norton | AT005 | IRP-05 Fire Training Area | Site 5 | CERCLA | LTM | ICs and Five Year Reviews | None | Annually | LTM | FY05 | Indefinite | |||
| Southwest | Norton | SR027 | Small Arms Range | CERCLA | LTM | ICs and Five-Year Reviews | None | Annually | Also includes post-revegetation maintenance and monitoring for recent excavations as required by the Habitat Restoration and Revegetation Plan for calendar years 2021 through 2025. | LTM | FY20 | Indefinite | |||
| Southwest | Norton | SA019 | IRP-19 Waste Drum Storage | Site 19 | CERCLA | LTM | ICs and Five-Year Reviews | None | Annually | LTM | FY05 | Indefinite | |||
| Southwest | Norton | DP023 | AOC 4, Building 301, Solids Collection Pit and Trench Drains | CERCLA | LTM | ICs and Five-Year Reviews | None | Annually | LTM | FY05 | Indefinite | ||||
| Southwest | Williams | ST012 | Liquid Fuels Storage Area | 2 | CERCLA | RA-O | SVE, enhanced bioremediation of groundwater, groundwater monitoring, institutional controls and Five-Year Review. A SEE phase of the remedy has been completed. | Soil vapor extraction and groundwater treatment (air stripper and granular activated carbon); EBR mixing and storage equipment. | Quarterly sampling with data submittals and annual groundwater/SVE/EBR Report. Quarterly sampling and reporting required for discharge permit compliance. | Pilot study initiated for enhanced bioremediation; continuation of the pilot study including monitoring for microbial analyses is included in this TO . |
| New monitoring wells, replacement monitoring wells and well abandonment due to rising groundwater levels is included in this TO. | RA-O | FY38 | FY38 | ||||||||
| Southwest | Williams | LF004 | Landfill | 1 | CERCLA | LTM | Permeable (non-RCRA) soil cap with rock cover; cap inspection and maintenance; groundwater monitoring; and Five-Year Review | None | Performance confirmation sampling of selected groundwater wells quarterly until concentrations confirmed below cleanup standards. Detection monitoring to check for new releases for indefinite period. AFCEC monitoring for IC compliance annual per LUCIP. | This remedy applies to both Sites LF004 and DP028; DP028 was added in the April 1995 ESD to the April 1994 OU-1 ROD. All costs, excluding Five-Year Reviews, are included under LF004. |
Site contaminated with PFAS.
| New monitoring wells, replacement monitoring wells and well abandonment due to rising groundwater levels is included in this TO. | LTM | FY95 | Indefinite | |||||||||||
| Southwest | Williams | SS016 | Electroplating/Chemical Cleaning Shop | 4 | CERCLA | LTM | Five year review only. | None | Monitoring for IC compliance by airport under DEUR; AF summarizes in five-year reviews | DEUR restricting property to nonresidential use in place. | LTM | FY00 | Indefinite | |
| Southwest | Williams | SS017 | Old Pesticide/ Paint Shop | 6 | CERCLA | LTM | Groundwater monitoring and Five-Year Review. | None | Groundwater monitoring events are quarterly but not all wells require sampling quarterly. IC monitoring will be by deed recipient ASU under DEUR. | Groundwater monitoring is anticipated to cease in September 2030. |
New monitoring wells, replacement monitoring wells and well abandonment due to rising groundwater levels is included in this TO.
| The ROD was issued in March 2018. Air Force will coordinate finalizing the DEUR. Property transfer to ASU pending. | LTM | FY17 | Indefinite | |||||||||||
| Southwest | Williams | SS019 | Former Skeet Range | 4 | CERCLA | LTM | Five year review only. | None | ASU reports semiannaul Protective Cap Inspection per O&M manual and ADEQ/ ASU Agreement (VEMUR); AF summarizes in five-year reviews. | Air Force implemented a VEMUR on the site and the Arizona State University has the responsibility to monitor for compliance with the VEMUR and an operations plan adopted by ASU as specified in the OU-4 ROD. | LTM | FY00 | Indefinite | |
| Southwest | Williams | SS020 | Firing Range | 4 | CERCLA | LTM | Five year review only. | None | Monitoring for IC compliance by airport under DEUR; AF summarizes in five-year reviews | A DEUR restricting property to nonresidential use in place for the Firing Range. Also, a separate DEUR addresses Skeet Range, restricting property to nonresidential use in place for Skeet Range. | LTM | FY00 | Indefinite | |
| Southwest | Williams | SS021 | Facilities 1020 & 1051 and Surrounding Area | 4 | CERCLA | LTM | Five year review only. | None | Monitoring for IC compliance by airport under DEUR; AF summarizes in five-year reviews | DEUR restricting property to nonresidential use in place. | LTM | FY00 | Indefinite | |
| Southwest | Williams | SS024 | Building 1010 | 4 | CERCLA | LTM | Five year review only. | None | Annual reporting by City of Mesa; AF summarizes in five-year review | A DEUR restricts property to nonresidential use. | LTM | FY00 | Indefinite | |
| Southwest | Williams | DP028 | Sewage Sludge Trenches | 1 & 5 | CERCLA | LTM | Remedy included in LF004. PBR contractor to provide Five-Year Review cost only for DP028. | See LF004 | See LF004 | LTM | FY98 | Indefinite | ||
| Southwest | Williams | FT002 | Fire Training Area Number 2 | 3 | CERCLA | LTM | Five year review only. | None | AF annual reporting per LUCIP and DEUR | DEUR in place. |
| Site contaminated with PFAS. PBR contractor only required to discuss in 5YR. ROD ESD pending to retain the DEUR. | LTM | *non-PFA Date of FY20 | Indefinite | ||||||||||
| Southwest | Williams | CTU043 | UST 1085-2 | Non-CERCLA | LTM | Five year review only. | None | Should be included in reporting for SS016 | LTM | FY11 | Indefinite | ||
| Southwest | Williams | LF026 | Concrete Hardfill | Non-CERCLA | SC | Five year review only. | None | Monitoring for deed restriction compliance only annual per LUC plan; no reporting required of landowner | This deed restiction was because of possible asbestos in soil at the site; monitoring per the LUC plan. | LTM | FY98 | Indefinite | |
| Southwest | Williams | TBD | Facility 46 | Non-CERCLA | TBD (LTM) (not yet in IIT) | Five year review only. | None | AFCEC to summarize in five-year reviews; no reporting required of landowner | VEMUR in place. | LTM | TBD (not yet in IIT) | Indefinite | |
| Southwest | Williams | TBD | 1093/1094 | Non-CERCLA | TBD (LTM) (not yet in IIT) | Five year review only. | None | AFCEC to summarize in five-year reviews; no reporting required of landowner | VEMUR in place. | LTM | TBD (not yet in IIT) | Indefinite |
FA8903-20-R-0013 TO 2
Attachment 1 Southwest Region 5 December 2019
&P of &N
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