Title: Confined Disposal Facilities and In Situ Capping
1Confined Disposal Facilities and In Situ Capping
- Site characterization / selection
- Engineering design
- Operational considerations
- Contaminant pathways and controls
- Long-term management
- Monitoring
- http//www.youtube.com/watch?vLbh9c0noR4s
2Potential Contaminant Release Pathways for
Dredging and Upland Disposal
3Confined Disposal Alternatives
4Engineering Issues
- Reduce Contaminant Pathways
- Disposal pathways
- Physical disturbance
- Seepage
- Optimize Capacity
- Safely dispose of the greatest amount of material
in the smallest area
5Physical Disturbance
- Excavation and removal of contaminated sediments
- Erosion and Scour at the disposal site
- Slope Stability
- Nature of underlying materials
- Stability of existing and future slopes
- Intended end use of site
- Consolidation and settling
- Cap Properties
6Seepage
- Excess pore water in upland sites
- Consolidation and compaction induced seepage
- Groundwater-driven seepage
7Other Considerations
- Dredged disposal volume
- Area of land desired
- Habitat mitigation requirements
- Cost comparisons
8Local Example Ross Island
9Ross Island Locator Map
10Aerial Photo
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12History of the Ross Island Sand Gravel Site
- July 1926 RISG acquires the islands and ownership
is established over the area defined by the low
water line surrounding the islands - October 1967 RISG issued removal permit following
effective date of Oregons removal law - 1972 RISG proposed to mine entire islands away -
denied by Oregon AG - 1972 RISG proposed to connect the northern ends
of the islands forming a private pond - denied by
COE
13RISG History Contd
- 1979 RISGs removal permit amended to include
fill - 1980 City of Portland issued Conditional Use
Permit specifying details of eventual reclamation - 1983 RISG began accepting fill materials from
outside sources - 1992 first confined disposal event of Port of
Portland dredged sediments
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16Typical Cross Section
17Disposal Methods
18Potential Contaminant Migration Pathways -
Disposal Processes
19Potential Contaminant Migration Pathways -
Groundwater Transport (Present and Future)
20Potential Contaminant Migration Pathways -
Physical Disturbance
21Groundwater Movement through Cells
22Potential Groundwater Transport from Containment
Cells
- Upward groundwater flow
- Cap design minimizes discharge via this sort of
flow - Predicted discharge concentrations below
risk-based criteria.
23Potential Physical Disturbance of Containment
Cells
- Natural erosion (floods).
- Human influence (mining).
- Geotechnical stability.
24Slope Instability
25Potential Physical Disturbance of Cells
- Minimal erosion potential due to a control dike.
- Mining controls would avoid future impacts.
- Slopes are presently receiving fills.
26RISG CDF Conclusion
- Final decision not yet made about CDF and the
future of the island as a city park or preserve - Engineering studies strongly suggest the CDF is
presently secure and presents an acceptable risk
27GREENFill Areas ConsideredYELLOWFill Areas
ProposedREDAreas to be Dredged
28Wyckoff/Eagle Harbor
29Wyckoff/Eagle Harbor
- Bainbridge Island, in Central Puget Sound
- 3,780-acre site
- Land use in the area is predominantly
residential, with some commercial and industrial
uses - The harbor supports several fish resources, a
wide variety of resident and migratory birds, and
other wildlife
30Eagle Harbor
31Wyckoff/Eagle Harbor
- Sources of Contamination
- Inactive 40-acre wood treating facility owned by
Wyckoff - Adjacent 500-acre Eagle Harbor
- Other upland sources of contamination (Shipyard)
32Site History
- Shipyard operated from 1903 to 1959 on the
northwest shore of Eagle Harbor, resulting in
releases of metals and organic contaminants. - 1905 to 1988, wood treating operations were
conducted on the southeast shore involving
pressure treatment with creosote and
pentachlorophenol
33Discovery
- During the 1970s, efforts were made to address
oil seepage on beaches adjacent to the Wyckoff - 1984 NOAA investigations of the Harbor revealed
that sediment, fish, and shellfish from Eagle
Harbor contained elevated levels of PAHs
34The Response to Discovery
- EPA required Wyckoff to conduct environmental
investigation activities under RCRA - Washington State required immediate action to
control stormwater runoff and seepage of
contaminants
35Response, Contd
- September 1985 Proposed to the Superfund NPL
- 1985Washington State Hazardous Waste Cleanup
Program, (Ecology) Preliminary Investigation of
sediment contamination in Eagle Harbor
36Response, Contd
- 1985 NOAA completed a study relating the
presence of PAHs in sediment to the high rate of
liver lesions in English Sole from Eagle Harbor - March 1987, Wyckoff Company entered into an
Administrative Order on Consent with EPA for
further investigation of the facility (RI/FS)
37Historical Sources
- Preservative chemicals were stored in tanks on
the property. - Contamination of soil and ground water at wood
treatment facility led to seepage into adjacent
sediments. - Wastewater discharged into Eagle Harbor for many
years storing treated pilings and timber in the
water continued until the late 1940's.
38Contaminants of Concern
- Shipyard Levels toxic to marine life
- Polyaromatic hydrocarbons (PAHs) and other
organics - Heavy metals such as mercury, copper, lead, and
zinc
39Contaminants of Concern
- Wyckoff facility, soil and groundwater are
contaminated with - Creosote
- Accompanying PAHs
- Pentachlorophenol (PCP penta)
40CERCLA Operating Units
- 1991, EPA defined three operable units at the
Wyckoff/Eagle Harbor site - Wyckoff (OU1)
- East Harbor (OU2)
- West Harbor (OU3)
- Wyckoff Facility groundwater (OU4, 1994)
41Selected Remedial Actions
- Dredging, excavating dewatering intertidal
sediment that exceeds levels of 5 mg/kg mercury
and/or lower, moderate PAH concentrations - Approximately 1,000 to 7,000 cubic yards
- Solidification/stabilization, as necessary, to
comply with disposal rules - Transporting sediment, which cannot be treated to
meet rules offsite for disposal at a
RCRA-permitted (Subtitle C or D) landfill
42Remedial Actions (contd)
- Treating dewatering wastewater onsite using
carbon adsorption before discharge into the
harbor - Capping the sediment in areas of high concern
with a 1- meter thick layer of clean sediment - Placing a thin layer of clean sediment in
subtidal areas of low to moderate concern to
enhance natural sediment recovery
43Remedial Actions (contd)
- Long-term environmental monitoring
- Institutional controls to prevent exposure to
contaminated fish and shellfish. - The estimated cost is up to 16,000,000
- Most work done but site still on NPL
44Eagle Harbor Cap Areas
45East Harbor Capping (OU2)
- Sept 1993-March 1994, EPA and the Corps of
Engineers covered contaminated sediments in the
East Harbor - Cap of clean sediment at water depths of 17 m and
13 m, respectively. - Sediment was dredged from the Snohomish River as
part of an annual project for ship navigation
46Capping Methods
47Capping Methods
- Split Hull Fast but uneven.
48Capping Methods
49West Harbor CDF (OU3)
50Final sediment cleanup actions
- Monitoring the success of natural recovery in
intertidal areas - Monitoring contaminated areas where active
remediation cannot be implemented.