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Lower Passaic River Cleanup Update

 

This article provides a brief description of the Lower Passaic River Restoration Project (LPRRP) in New Jersey. A study performed in 1983 by the United States Environmental Protection Agency (USEPA) and the New Jersey Department of Environmental Protection (NJDEP) found elevated concentrations of dioxins in the sediments in the Lower Passaic River adjacent to the Diamond Alkali property at 80 and 120 Lister Avenue, Newark, New Jersey. As a result of the 1983 Dioxin Study, USEPA placed the Diamond Alkali site on the National Priorities List (NPL) in 1984 and the state of New Jersey issued fish and seafood consumption advisories for the river.

Investigation activities conducted by USEPA, NJDEP, and the named responsible party for the Diamond Alkali Superfund Site (Occidental Chemical Corporation) found that sediments within Newark Bay and the 17-mile stretch of the Lower Passaic River that extends from Newark Bay to Dundee Dam in Garfield, New Jersey are impacted with dioxins and other hazardous substances. As a result of these findings, the Lower Passaic River (LPR) and Newark Bay were added as Operable Units (OUs) of the Diamond Alkali Superfund Site in 2003 and 2004, respectively.

USEPA has identified Occidental Chemical Corporation as the responsible party for the Diamond Alkali Superfund Site, including the LPR and Newark Bay OUs. In 1995, the USEPA began issuing CERCLA Section 104(e) information request letters to current and former property owners, tenants, or facility operators in the general vicinity of the LPRRP. The letters requested information about past material handling practices and known or suspected releases of contamination to the Passaic River. The USEPA used this information to identify additional potentially responsible parties (PRPs) for the LPRRP. The USEPA continues to issue CERCLA Section 104(e) information request letters, and the total number issued to date is not tracked by the USEPA.

In 2004, the USEPA entered into an Administrative Order on Consent (AOC) with 31 PRPs for the LPRRP. This AOC required the PRPs to fund up to $10 million for USEPA’s future response costs for conducting remedial investigation/feasibility study (RI/FS) activities of the LPRRP. This estimate does not include the cost of remediation. The LPRRP AOC was amended in 2005 when USEPA added 12 additional PRPs and increased the payment requirement for USEPA’s future response costs from $10 million to $10.75 million.

The USEPA issued a new AOC in 2007 for the LPRRP. The 2007 AOC named 73 PRPs for the LPRRP (including Occidental Chemical Corporation, the 31 PRPs named in the 2004 LPRRP AOC, and the 12 PRPs added to the LPRRP AOC in 2005). The 2007 AOC requires the PRPs to conduct the RI/FS activities in the LPRRP and requires the PRPs to pay up to $13.15 million for USEPA’s future response costs related to the RI/FS activities.

Since 2007, the PRPs for the LPRRP have increased from 73 to more than 300, including additional PRPs identified by the USEPA and PRPs named in third-party complaints brought on by the PRPs for the Newark Bay OU. The USEPA has identified 36 additional PRPs based on information they continue to receive in response to the CERCLA Section 104(e) information request letters. In February 2009, the PRPs for the Newark Bay OU (which consist of the corporate successor of the Occidental Chemical Corporation) filed third -party complaints against more than 300 parties, including municipalities and nearly all 73 PRPs that are named in the 2007 LPRRP AOC. Nearly 250 properties and storm and sanitary sewer systems are now involved with the LPRRP.

Costs for RI/FS activities and remediating the contaminated sediments in the LPRRP are currently estimated by the USEPA at more than $1 billion. These costs do not include potential Natural Resource Damages (NRD). The extent of the contamination in the LPR has not yet been fully defined and a final remedial action has not yet been selected. Therefore, the total costs for RI/FS and remediation of the contaminated sediments remain uncertain. A comprehensive sediment characterization report for the LPRRP is due in 2010. Once this document is completed, the identification of additional PRPs and allocation activities for the LPRRP RI/FS and remedial action costs will likely accelerate.

For more information, please contact John Elliott at (925) 403-6200.

 


 

 

 

 

 

 

 

 




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