科技报告详细信息
Closure Report for Corrective Action Unit 121: Storage Tanks and Miscellaneous Sites, Nevada Test Site, Nevada
National Security Technologies, LLC
National Security Technologies, LLC
关键词: Hydrocarbons;    Water Corrective Action Unit 121 Storage Tanks Closure Report;    Security;    Minimization;    Sanitary Landfills;   
DOI  :  10.2172/939672
RP-ID  :  DOE/NV--1294
RP-ID  :  DE-AC52-06NA25946
RP-ID  :  939672
美国|英语
来源: UNT Digital Library
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【 摘 要 】

Corrective Action Unit (CAU) 121 is identified in the Federal Facility Agreement and Consent Order (FFACO) (1996, as amended February 2008) as Storage Tanks and Miscellaneous Sites. CAU 121 consists of the following three Corrective Action Sites (CASs) located in Area 12 of the Nevada Test Site, which is approximately 65 miles northwest of Las Vegas, Nevada: (1) CAS 12-01-01, Aboveground Storage Tank; (2) CAS 12-01-02, Aboveground Storage Tank; and (3) CAS 12-22-26, Drums; 2 AST's. CAU 121 closure activities were conducted according to the FFACO and the Streamlined Approach for Environmental Restoration Plan for CAU 121 (U.S. Department of Energy, National Nuclear Security Administration Nevada Site Office, 2007). Field work took place from February through September 2008. Samples were collected to determine the path forward to close each site. Closure activities were completed as defined in the plan based on sample analytical results and site conditions. No contaminants of concern (COCs) were present at CAS 12-01-01; therefore, no further action was chosen as the corrective action alternative. As a best management practice (BMP), the empty aboveground storage tank (AST) was removed and disposed as sanitary waste. At CAS 12-01-02, polychlorinated biphenyls (PCBs) were present above the preliminary action level (PAL) in the soil beneath the AST that could possibly have originated from the AST contents. Therefore, PCBs were considered COCs, and the site was clean closed by excavating and disposing of soil containing PCBs. Approximately 5 cubic yards (yd{sup 3}) of soil were excavated and disposed as petroleum hydrocarbon PCB remediation waste, and approximately 13 yd3 of soil were excavated and disposed as PCB remediation waste. Cleanup samples were collected to confirm that the remaining soil did not contain PCBs above the PAL. Other compounds detected in the soil above PALs (i.e., total petroleum hydrocarbons [TPH] and semi-volatile organic compounds [SVOCs]) were determined to not likely have originated from the tank. Additional sample results showed that the compounds were likely present as a result of degraded asphalt around the adjacent, active water tank and not from the abandoned AST; therefore, they were not considered COCs. As a BMP, the empty AST was removed and disposed as sanitary waste. No COCs were present at CAS 12-22-26; therefore, no further action was chosen as the corrective action alternative. Although TPH was present at concentrations that exceeded the PAL, the volatile organic compound and SVOC hazardous constituents of TPH did not exceed the final action levels (FALs); therefore, TPH was not considered a COC. As a BMP, the empty AST was removed and disposed as sanitary waste. Closure activities generated sanitary waste, petroleum hydrocarbon PCB remediation waste, PCB remediation waste, and hazardous waste. Waste was appropriately managed and disposed. Waste that is currently staged on site is being appropriately managed and will be disposed under approved waste profiles in permitted landfills. Waste minimization activities included waste characterization sampling and segregation of waste streams.

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