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United
States Environmental Protection Agency
Region IV
POLLUTION REPORT
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| Date: |
Tuesday, March 8, 2011
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| From: |
Warren Dixon, Gary Andrew
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| To: |
James Webster, USEPA R4 ERRPB
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Subject:
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Anniston Lead Site
Anniston, AL
Latitude: 39.4230000 Longitude: -50.1753000
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| POLREP No.: |
48
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Site #:
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A43T
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| Reporting Period: |
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D.O. #:
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4006-F4-063
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| Start Date: |
4/22/2002
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Response Authority:
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CERCLA
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Mob Date: |
4/22/2002
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Response Type:
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Time-Critical
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| Demob Date: |
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NPL Status:
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Non NPL
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| Completion Date: |
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Incident Category:
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Removal Action
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| CERCLIS ID #: |
ALN000407242
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Contract #
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| RCRIS ID #: |
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The Anniston lead site is located approximately 90 miles west of Atlanta, Georgia. The site consist of individual properties and chemical manufacturing facilities that have been contaminated with lead.(See Pervious POLREP for detail description) The cleanup of lead contaminated soils in residential properties where lead levels above 400ppm is the established goal for the removal action.
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Foothills Community Partnership has submitted its final report for review. Foothills reports sampling 1,309 properties in Zone A and 3,311 properties in Zone B for a total of 4,620 properties. They completed removals at 596 properties in Zones A, B, and C. EPA has sampled 2,150 properties and completed removals at 175 properties.
There are 24 residential properties which have been identified for cleanup due to lead or lead and PCB contamination which have not yet been cleaned up. These properties include both owner occupied and tenant occupied residences. The owners have denied access to Foothills and EPA despite multiple attempts from both parties.
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The owners of the 24 remaining contaminated properties continue to refuse access for cleanup. The properties are located in the cities of Anniston and Oxford. The OSCs are attempting to enlist the help of local elected leaders, community leaders and other EPA resources to help convice the owners to provide access. Should this effort fail other avenues are being investigated. A determination of the feasibility of utilizing restrictive covenants or other types of institutional controls is currently being examined by the Anniston Lead enforcement team. The use of warrants to force access for removal on these remaining properties is also under consideration.
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Obtaining access to the remaining 24 properties Review of Foothills Community Partnership Final Report
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Budgeted |
Total To Date |
Remaining |
% Remaining |
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Extramural Costs
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| ERRS - Cleanup Contractor |
$5,990,500.00 |
$5,968,778.11 |
$21,721.89 |
0.36% |
| START-2, Tetra Tech EM, Inc. |
$830,000.00 |
$707,259.00 |
$122,741.00 |
14.79% |
| START-2, Weston Solutions, Inc. |
$800,000.00 |
$698,000.00 |
$102,000.00 |
12.75% |
| Habitat for Humanity |
$30,000.00 |
$25,812.00 |
$4,188.00 |
13.96% |
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Intramural Costs
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| USEPA - Direct (Region, HQ) |
$1,350,000.30 |
$1,350,000.30 |
$0.00 |
0.00% |
| USEPA - InDirect |
$6,021,728.54 |
$6,021,728.54 |
$0.00 |
0.00% |
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| Total Site Costs |
$15,022,228.84 |
$14,771,577.95 |
$250,650.89 |
1.67% |
* The above accounting of expenditures is an estimate based on figures known to the OSC at the time this report was written. The OSC does not necessarily receive specific figures on final payments made to any contractor(s). Other financial data which the OSC must rely upon may not be entirely up-to-date. The cost accounting provided in this report does not necessarily represent an exact monetary figure which the government may include in any claim for cost recovery.
response.epa.gov/annistonlead
POLREP #48 Last Updated 3/17/2011
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