TO 2 PWS Attch 2 March Base Spec Req Southwest BECOS vf2.docx
DOCX document 52 KB Posted
- 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 provides the scope of work for a task order under the Base Realignment and Closure (BRAC) Environmental Construction and Optimization Services (BECOS) Southwest Region contract opportunity. Key activities include operation and monitoring of remedial systems and landfills, investigation and remediation of groundwater plumes, land use control inspections, and five-year reviews at the former March Air Force Base in Riverside, California. Regulatory oversight is provided by the California Department of Toxic Substances Control, U.S. Environmental Protection Agency Region 9, and Santa Ana Regional Water Quality Control Board according to the Federal Facility Agreement and Records of Decision for multiple operable units. Transition of existing task orders is required by March and September 2021. Public meetings, site access permitting, and computer-aided drawing and geographic information system updates are also within scope.
View the file
Other files for this federal contract opportunity
Show all 50
Base Realignment and Closure (BRAC) Environmental Construction and Optimization Services (BECOS) Southwest Region has more files on GovTribe.
On GovTribe
Work with this file on GovTribe
- Download the original file
- Contacts named in this file
- Similar government files
- Ask GovTribe AI about this file
Text version
FA4890-06-R-9999
Attachment 1
APRIL XX, 2009
- final –
FA8903-20-R-0013 TO 2
ATTACHMENT 2
SOUTHwest REGION - MARCH 5 december 2019
1.1 Scope
The former March AFB is located in the City of Riverside, Riverside County, California. March AFB was placed on the National Priority List (NPL) in November 1989. A Federal Facility Agreement (FFA) was signed in September 1990 by the United States Air Force (USAF); the Department of Toxic Substances Control (DTSC); United States Environmental Protection Agency (USEPA) Region 9 (USEPA); and the Regional Water Quality Control Board (RWQCB), Santa Ana Region. The Air Force Reserve Command (AFRC) and the Air Force Real Property Agency (AFRPA) signed a Memorandum of Agreement in FY99 for sharing environmental restoration responsibility. Whole-base property transfer was completed in 2007.
The Installation Restoration Program (IRP) at former March AFB and MARB are executed collaboratively by the AFCEC/CIB under the BRAC Program and AFCEC/CZRW, under the Air Force Reserve Command (AFRC), respectively. Site cleanup requirements are based on the Comprehensive Environmental Response, Compensation, and Liability Act (CERCLA), Resource Conservation and Recovery Act (RCRA), and California State Water Resources Control Board. Regulatory oversight is provided by the DTSC, successor to the California Health Services (the Lead State agency per the FFA); USEPA; and the RWQCB.
Groundwater elevations at the installation rose approximately 40 to 50 feet between 1970 and 1984. Since 1992, groundwater levels have risen at a rate of 1-foot to 2 feet per year in the central part of the base. At LF004, the wastes on the northern end of the landfill are in contact with the groundwater. However, groundwater monitoring conducted in 2007 and 2008 suggested that the submerged waste was not a continuing source of contamination. The RWQCB agreed that the existing remedy was adequate, and that further action would not be necessary.
As of May 2018, there are three remaining open CERCLA sites managed by the AFCEC/CIB: LF004, LF006, and FT007. Remedial activities at these sites are being conducted, in accordance with the existing Records of Decision (RODs).
As of 9 November 2012, all groundwater plumes beneath the installation, except LF004, were consolidated into a single basewide groundwater site (i.e., CG049), managed by MARB as OU-5. This includes groundwater beneath FT007, which is currently remediated in accordance with the OU-1 ROD groundwater remedy (i.e., extraction and treatment and deed restrictions to prohibit well installation and groundwater use) and being implemented by MARB.
At FT007, increasing concentrations of chlorinated solvents in groundwater from 2000 to 2007 suggested the potential presence of an unknown source of soil contamination that may be impacting groundwater. An Interim ROD Amendment for soil was signed on June 2017 to modify the NFA remedy established in the OU-1 ROD and establish SVE and LUCs as the interim remedy. On March 2017, additional focused investigation at the five former burn pits/disposal areas was initiated and expected to be completed in 2019.
In addition to the requirements presented in this PWS, this scope includes the following:
· No additional base-specific inclusions.
Contractors are not responsible for the following:
· Implementation of modifications to remedy due to rising groundwater.
· Investigation and remediation of PFAS, except as noted in Attachment 1.
1.3 Applicable Documents
Key Documents
| Entry No. |
| Document Title |
| Location |
| Date Issued |
| 1. |
| Federal Facility Agreement |
| AR 53 |
| September 1990 |
| 2. |
| OU-1 ROD |
| AR 544 |
| June 1996 |
| 3. |
| OU-2 ROD |
| AR 2226 |
| April 2004 |
| 4. |
| Third Five-Year Review Report |
| AR 421538 |
| September 2014 |
| 5. |
| Fourth Five-Year Review Report |
| AR 590189 |
| September 2019 |
| 6. |
| OU-1 Interim ROD Amendment |
| AR 562439 |
| June 2017 |
1.4 Work Ramp-Up and Transition
Transition of Work
| Contract No. |
| Project Name |
| Field Support |
Complete Reporting Complete
| FA8903-09-D-8547 |
| March PBR |
| 9/24/2020 |
| 9/24/2020 |
| FA8903-16-D-0026 |
| Basewide Remedial Action-Operation and Monitoring – FT007, Focused Investigation at Former Burn Pits |
| 3/13/2021 |
| 3/13/2021 |
2.6.1 Meeting/Teleconference Support
· BCT meetings in-person are currently held semiannually at March ARB.
2.6.2 Public Meetings and Hearings
· RAB meetings are currently held in Spring and Fall at March ARB.
2.6.5 Site Access: Permits, Easements, and Work Site Access
· South Coast Air Quality Management District (SCAQMD) Permit. Because Site FT007 is a CERCLA site, the SVE system at the site is exempt from SCAQMD permitting. However, compliance with the regulations will include analytical sampling over the operational lifetime of the system. Disposal of the vapor-phase GAC will require administrative tracking and reporting of the storage, transportation, and disposal or recycling of the generated waste. All this information must be reported in the SVE O&M Report.
3.4 Computer Aided Design Drawing (CADD) and Geographic Information Systems (GIS) Updates
· No base-specific requirements in addition to those in the PWS.
6.14 Land Use Controls (LUC)
· The contractor shall conduct annual inspections and reviews to confirm compliance with all CERCLA and non-CERCLA environmental restrictions associated with the sites. Where possible, the contractor shall obtain and provide copies to the Air Force of annual reporting required by state covenants for applicable sites by respective property owners. An annual inspection report shall be provided or otherwise included in site reports by the contractor to confirm implementation of environmental restrictions.
· The contractor shall provide supporting information and technical support to the Air Force for property owner requests to remove restrictive covenants.
6.15 Five-Year Reviews
· The next combined statutory and policy 5th and 6th Five-Year Reviews are due in September 2024. This TO also includes the Five-Year Reviews due in September 2029.
File details come from the government source that posted it. Updated .