72 (Ernie's Texaco) Letters & Complaint 1987-2015 I
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Ernie's Texaco
72 King Street
Northampton, MA.
Attn: Ernie Booth
Dear Mr. Booth:
April 29, 1987
N
Re: Northampton - ERB- )4B7-183-SA
Release/threat of release of
gasoline from an underground fuel
storage system at 72 King St.
NOTICE OF RESPONSIBILITY
This letter concerns the release of gasoline from a leaking underground
fuel storage system located at 72 King Street, Northampton, MA.
This condition constitutes a release and or threat of release of oil or
hazardous materials from the site. The prevention and/or mitigation of
such a release or threat of release is governed by M.G.L. ch. 21E, the
"Massachusetts Oil and Hazardous Material Release, Prevention and
Response Act.”
Chapter 21E identifies as responsible parties the current owner or
operator of a site at which there has been a release or threat of release
of oil or hazardous material; the past owner or operator of such a site;
any person who directly or indirectly arranged for the transport,
disposal, storage or treatment of hazardous materials to, or at such a
site; any person who transported hazardous materials to such a site; and
any person who caused or is legally responsible for a release or a threat
of release at such a site. Such parties are liable without regard to
fault; the nature of this liability is joint and several. M.G.L. ch. 21E,
section 5(a) .
This letter is to inform you in writing that:
1) Information available to the Department of Environmental Quality
Engineering indicates that you may be a liable party pursuant to
section 5(a) as described above.
2) The Department can arrange for or can take actions which it deems
to be necessary to respond to the release/threat of release; and
3) You may take the prescribed response actions in lieu of the
Department.
Your liability noted in 1 ) above may include up to three times the cost
of:
a. all response casts incurred by the Department due to the
release/threat of release, including all contract, administrative,
and personnel costs; and
b. all damages for any injury to, destruction, or loss of natural
resources due to the release/threat of release.
This liability constitutes a debt to the Commonwealth. The debt, together
with interest, constitutes a lien on all of your property in the Commonwealth.
In addition to the foreclosure remedy provided by the lien, the Attorney
General of the Commonwealth may recover that debt or any part of it in an
action against you You may be liable for additional penalties or damages
pursuant to other statutes or common law.
If you intend to take the necessary actions in lieu of the Department, you
must notify the Department in writing of your intent no later than May
15, 1907 and contract within 5 days with a cleanup contractor and/or
professional engineer who is acceptable to the Department. The
contractor or professional engineer must be able to submit to the
Department a scope of work incorporating an acceptable sequence of
actions and timetable by June 19, 1987. This scope of work should
include a soil and groundwater exploration and monitoring program,
capable of delineating the vertical and horizontal extent of
contamination.
If the Department does not hear from you within the time specified above,
or if you or the persons acting on your behalf fail to act within the
prescribed time, the Department will commence response actions, and will
expect to recover to the extent of the liability set forth above.
If you have any questions regarding this matter, please contact Robert
Terenzi or Kevin Sheehan of this office.
Very truly yours,
Stephen F. Joyce
Deputy Regional Environmental Engineer
Air, Solid & Hazardous Materials
Western Region
SFJ:RT:bmz
dpw:ernies
Certified Mail #P288197223, return receipt requested
cc. James Colman, DEQE Boston
Northampton Public Health Dept.
Northampton Fire Department
Northampton Hazardous Waste Coordinator
Kevin Sheehan
SELL SYLVA
nmissioner
J. HIGGINS
Imnmental Engineer
e a ' • - .
e'r'e" '
Q2,...ElV7 Meg/an,
436 dau�/+L.�Gee4, Meg/an,
icld, S. O>103
Ernest T. Booth
Ernie's Texaco
72 King Street
Northampton, MA
Dear Mr. Booth:
(498,) 785-5327
June 11, 1987
Re: Northampton, SA 1-274-87153
Ernie's Texaco
M.G.L. ch. 21E
ACKNOWLEDGEMENT OF RECEIPT OF REPORT
The Department of Environmental Quality
proposing a scope of services relative
hydrocarbon, dated June 8, 1987, which
Corporate Environmental Advisors, Inc.,
Engineering has received a report
to the release of petroleum
was submitted in your behalf by
of Ludlow, Massachusetts.
This report describes a proposed methodology to determine the extent of
contamination arising from the leaking underground storage system of
Ernie's Texaco, located at 72 King Street, Northampton.
Department personnel are currently reviewing this report, and will
contact you when the process is completed. If you have any questions,
please contact Audrey Eldridge of this office.
Very truly yours,
Stephen F. Joyce
Deputy Regional Environmental Engineer
Air, Solid & Hazardous Materials
Western Region
SF3:ALE:bmz
dpw:erniercl
cc: Northampton Board of Health
CEA
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signer
i c INS
n^ral Engineer
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( 13) 785-5327
August 10, 1987
�eI2 �U22P/ tly,
;rnie Booth
:/o Ernies Texaco
I2 King Street
iorthampton, MA
REVIEW OF REPORT
Re: Northampton, SA1-274-87153
Ernies Texaco
M.G.L. ch. 21E
Dear Mr. Booth:
The Department of Environmental Quality Engineering has reviewed a report
describing a proposed scope of work to 2 King Sevaluate the
located petroleum release at Ernies Texaco, was guSreet, in your
Northampton. This report, dated June 8, 1987,
behalf by Corporate Environmental Advisors, Inc. (CEA) of Ludlow.
This report contains provisions to install on-site monitoring wells at
both the "identified point of removal" and at the perimeter of the
property. Split-spoon soil samples will be collected during drilling and
field screened with an MNu to assess the extent of subsurface
contamination. willubewagauged. The ngroundwater phwill pbe sampled ck s and rondter
if applicable,
analyzed for volatile organic compounds by EPA method 602 (8020) . CE
will prepare a final report, which will include an environmental impact
evaluation and an evaluation of remedial measures.
The Department has completed the review of this report, and approves of
the proposed scope of work with the following inclusions:
1) The installation of a minimum of two wells downgradient of the
source; wells must have screens which
2) The groundwater monitoring
cross-section the water table;
3) The final report must be submitted to the Department by August
25, 1987.
you have any questions, please contact Audrey Eldridge of this
Tice.
Veryit;uly yours,
Ste Joy__
Deputy Regional vironmental Engineer
Air, Solid & Hazardous Materials
Western Region
?d:ALE:
,e:erniery
:: Northampton Board of Health
CEA
SYLVA
ner
3GINS
sal Engineer
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ast T. Booth
King Street
thampton, MA 01060
inge obey 1C 1987
REVIEW OF REPORT
Re:Northampton, SA1-274-87303
Ernie's Texaco
M.G.L. ch. 21E
ar Mr. Booth:
e Department of Environmental Quality Engineering has reviewed a report
titled "Site Investigation and Technical Report ", dated September 14,
87, which was prepared by Corporate Environmental Advisors (CEA) and
bmitted in your own behalf. This report contains analytical results
rm the rte pton anddt an performed
a scopelofs Texaco Ring
work to further address
re et, Nocontmmina,
Le site contamination relative to a petroleum release from an
iderground storage system.
;A has installed four monitoring wells, and has sampled and analyzed the
roundwater for volatile organic compounds (VOC's) . Soil samples were
ollected at five foot intervals, and screenehwane Nu. Depthd to an
roundwater and thickness of free-floating product
roundwater contour map was drawn. A vapor survey was conducted at
nearby catch basins". Your underground storage tanks were removed, and
pproximately twelve cubic yards of contaminated soil are stockpiled
.a-site.
:EA reports VOC's levels up to up to 1.5 f per million (ppm) in th one
groundwater. Floating product, p the vapor survey.
aonitoring well. No vapors were detected during
property line. Theta additional
:EA proposes to gr undwaterand free product thickness the
behern
gauged, and the groundwater will be sampled and analyzed for VOC's using
EPA methodology 8020 (602) .
CEA concludes that because the high level of contamination remainsage
confined to an area directly downgradient of the former tanks,
of town water at "nearby premises", an and
ttthe
ee appears "near only vapors"
or registered complaints,
t term and long term threats to public health and safety. CEA also
:ludes that natural dilution and degradation will continue to mitigate
releases into the subsurface environment.
Department approves of the locations chosen for the well installation
will require that these wells be installed within three weeks of the
e of this letter. The Department cannot agree at this require that
ural processes will remediate this situation, o
edial alternative feasibility study be conducted to address the
mndwater contamination and the recovery of the floating product. This
Ay must be carried out using the enclosed draft phase III as guidance,
L must be submitted to the Department by November 19, 1987, for review
L approval. In addition, the remedial actions for petroleum
itaminated soils stockpiled on-site must be incorporated into this
port.
you have any questions, please contact Audrey Eldridge of this
fice.
Very truly yours,
Stephen F. Joyce
Deputy Regional Environmental Engineer
Air, Solid & Hazardous Materials
Western Region
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c:Northampton Board of Health
CEA
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(419 785-5327
November 30, 1987
T. Booth
Street
pton, MA 01060
Re:Northampton, SA1-274-87390
Ernie's Texaco
H.G.L. ch. 21E
GEM
,
ACIxOILED EMT OF RECEIPT OF REPORT
r. Booth:
partment of Environmental Quality Engineering has received a report
ed " Site Investigation and Technical Report ", dated November 19,
which was submitted in your behalf by Corporate Environmental
ors (CEA) of Ludlow, MA. This report describes CEA's proposed
ich to deal with the release of petroleum from the former
rround storage system(s) at Ernie's Texaco, located at 72 King
:, in Northampton.
tment personnel are currently reviewing this report, and will
et you when the process is completed. If you have any questions,
e contact Audrey Eldridge of this office.
Yer-y Sruly-yours,. —
Stephen F. Joyce
Deputy Regional Environmental Engineer
Air, Solid & Hazardous Materials
Western Region
1LE:ale
ernierc2
orthampton Board of Health
EA
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493) 785=0327
January 4, 1988
T. Booth
Street
pton, MA 01060
Re:Northampton, SA1-274-87390
Ernie's Texaco
N.G.L. ch. 21E
REVIEW OF REPORT
r. Booth:
partment of Environmental Quality Engineering has reviewed a report
ed " Site Investigation and Technical Report ", da Environmental 9 ded November
which was submitted in your behalf by ortp
irs (CEA) of Ludlow, MA. This report describes CEA's proposed
ich to deal with the release of petroleum located from
the atforIDering
ground storage system(s) at Ernie's Texaco,
in Northampton.
additional groundwater monitoring wells have been installed at the
radient property boundary. A one thousand gallon
lonnunderground fuel
ank was removed on August 26, 1987, which was
the source of the free-phase product in monitoring well MW-3.
dwater samples were collected from all seven monitoringewells 60 and
zed for volatile organic compounds (VOC's)) using EPA
ve monitoring and recovery of the free-phase product in 101-3 has
'red on a daily basis.
:ree-phase product level in MW-3 has decreased from one foot to less
one inch. Groundwater VOC levels ranged from not detected (at a
:tion limit of 1 part per billion) to 29,051 ppb total BTU. The
adwater contour map and the e to roundwater
ct resulting
ct two distinct VOC elarea, one relativ
the gasoline storage area, and the second resulting from leakage
Live to the former fuel oil tank.
concludes that the lack of high dissolved levels of VOC's infthet new in
.toring wells confirms that there has been only "minimum
of the contamination" (plume) , and that there appears to be
ial short-term or long-term threat(s) to the public health and
ier the current conditions of the site. CEA recommends that an
to evaluate the need for any further site
1 round of groundwater samples should be obtained around the
kin February, 1988,
s.
of the Department have reviewed this report and determined that
Ls at this site warrant further action to protect the environment
according to the attached guidance, and submit
,c health. The Department will require you to prepare a Remedia
l
a aDeparty Study,
Department, within 90 days of the date of this letter, for
ad approval.
eve any questions, please contact Audrey Eldridge of this
Very truly yours,
cyc c.
j.. r.
Stephen F. Joyce
Deputy Regional Environmental Engineer
Air, Solid & Hazardous Materials
Western Region
Lierv2
;hampton Board of Health
_VA
INS
Engineer
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(419 785.5327
st Booth
ing Street
hampton, MA 01060
1.: Ernest Booth
NUN 1 4 19te
RE: Northampton - Ernie's Texaco
72 Ring Street
RE: Request for Preliminary
Assessment
DEQE Case no. 1-274
r Mr. Booth:
Department is currently overseeing assessment and remedial activities
Lative to environmental conditions at the above referenced property
cent amendments to MGL ch. 21E, the Massachusetts Oil and Hazardous Material
eciftedP requirements and timetables for actions at sites listing
sites which the Department
investigating. The Department published the first
hcs updated compilation
this list sites appeared on and hasI pdat on July is,
sled y. be investigated (encI) on January 15, 1987,
)arterly. The above E referenced property imp
amp MGL in. 21E requires yas fhtheadate thatasiteAssessment
published as site
LTBI Us July
he abed within one
ed site,year the Preliminary Assessment completed
with
5, above 188 referenced sPre, Assessment form,
5 1988. The Preliminary
nstructions, must be completed and returned to the Department, at the address
.fisted in the letterhead, within one (1) month so that progress can continue at
his site within the deadlines specified in the law. These
aband other
:esponsibilitie legal it assistance described you in
haveL any 2qu You should obtain
responsibilities legal
responsibilities or liabilities under that statute.
Booth
be advised that information on property conditions that is submitted in
Le and prepared to accorance
the timeframe Departmental All in
Les, could d help
spondence and reports should reference the DEQE case number identified in
eading of this letter.
Very truly yours,
/ ' �!
(L114---
Stephen F. Joyce v
Deputy Regional Environmental Engineer
Air, Solid and Hazardous Materials
ALE:bas
7/1-274
Board of Health Inc.
Corporate Environmental Advisors,
Losures:
1. Preliminary Assessment Form
2. Guidelines for Preparation of Preliminary Assessment Form
\UM•
IS
&raltate/ W'S eirith
00 j&2Db°nn S4ytheria9
westan Region,
436 9 J net, f /d ✓ ass, o»os
4>J-7&'44/00
DEC 2 3 vYbb
rnest T. Booth
ng Street
ampton, MA 01060
Re: Ernie's Texaco
King Street
Northampton
Sir:
letter concerns the referenced disposal site which appeared on the "List
pursuant to the requirements of M.G.L.
'.ishd quarterly Disposal b SthesDepartment,Locations to be Investigated."
ire This list .L
.i shed quarterly Y
:1E, Section 3A(c) . disposal
.L. c. 21E Section 3A(d)(2) requires That
Dt the Department rclissifytde
as as "priority" or "non-priority".
ormation available to it about the referenced disposal site, and pursuant to the Interim er0 ate
as
ermined that it is a ntsoiny usee, P
ssif station requirements in the Massachusetts Contingency Plan,
544.
requires that, once a site has been
press release informing
addition, M.G.L. c. 21E Section 14(a) if so, of its
a public, the Department s status a legal notice and p
. public of the location's ntawus as a disposal sioe, and,
1988. The legal notice will
ells£scat ion. The Department will issue a legal notice and press release
pear ong this information December 30 December in the following newspapers:on
pear on or about December 30, News
* Westfield Evening
* Springfield Union News * Daily Hampshire Gazette
* Berkshire Eagle
* Greenfield Recorder
ffective October 3, 1988, the extent of assessment and remediation required
y M.G.L. c. 21E at locations and disposal sites will be determined 66emedial
3A(m) ,
eference to the Massachusetts Contingency Plan (310 CMR 40.00 a se • ,
esponse romulgated pursuant to M.G.L. c. 21E, Sections 3, Plan (310 CMR 40.5 in et
esponse actions required at locations and disposal sites are described in
letail in Subpart D of the Massachusettts Contingency
ulq, ), nt prir further remedial cto 3,response may conducted at this approved by the
)apartment prior to October
approval,ii s310al site without first obtaining the Department's app.536.
obtainedxat4sspecificT points in the reuire that
process: approval be
in 310 CR
Orlalnal Printed on 100% Recycled Paper
Scope of Work for the Comprehensive Site Assessment (Phase II),
r Final Report of the Comprehensive Site Assessment (Phase II),
Final Remedial Response Plan (Phase III),
* Remedial Response Implementation Plan (Phase IV), and
* Final Inspection Report (Phase IV).
more information about the clssificatioadof the a referenced disposal
please contact Laura Perry Tan
Les of the Massachusetts Contingency Plan are available from the State
kstore, 21 Elm Street, Springfield, MA 01103, 413/733-7876.
Very truly yours,
c ,
Deputy Regional E' ironmental Engineer,
Air, Solid and .azardous Materials,
'I:bmz
j77:prior
• DEQE Boston Office
Chief Municipal Officer
Board of Health
S I T E S A N D L ONLOARTTIHOANMSP NORTHAMPTON E
N •"•
++
January 15, 1992
CONFIRMED SITES I
,ice
limber Name
1.0358 BACON PROPERTY
•+ Petroleum Release Site
+• Response action by: RP ONLY
•+ Unclassified Site well resulting in a release to the soil and
•• PetroLeuf released at a commercial site from a dry w
a groundwater release.
1-0647 CITY AUTO REPAIR
110 PLEASANT ST.
++ Petroleum a
eum and Hazardous rdous Material Release Site
+• Response action by: RP ONLY
•• NON-PRIDPITY Site VO[s and chlorinated solvents released at a
Gasoline, waste oil, a release to the satl,
leaking underground storage tank resulting in
surface water release.
1-0274 ERNIE`S TEXACO
•+ Petroleum Release Site
• Response action by: RP ONLY
•+ PRIORITY Site
• Gasoline released at a gas station from a leaking underground
release to the soil and a threat to the groundwater.
1-0129 HORTNAMPiON LANDFILL GLENDALE RD.
++ Hazardous Material Release Site
+• Response action by: RP ONLY
•+ NON-PRIORITY Site
+• Ink reteased at a landfill from five gallon cans resulting in
11 ATWCOD DR.
Address
TOWN
OF
Page: 1
Current Status
14 EASTHAMPTON ST. PHASE 1
First First New
Listed Listed to
L.T.B.I. Confirmed List
01/15/88 07/15/88
PHASE 2
72 KING ST.
1-0782 NORTHERN MOBIL
++ Hazardous Material Release Site
+ Response action by: RP ONLY
++ unclassified Site
• Gasoline released at a gas station from a leaking underground storage tank resulting in a
release to the soil and a groundwater release.
1-0462 PAGE PROPERTY 492 PLEASANT ST.
+• Petroleum Release Site
+• Response action by: RP ONLY
•+ NON-PRIORITY Site
• Petroleum and chlorinated solvents released at a former gas station from a leaking underground
storage tank resulting in a groundwater release.
37 BRIDGE ST.
10/15/89 10/15/89
former gas station from a
a groundwater release and a
PHASE 4
07/15/87 10/15/87
storage tank resulting in a
PHASE 2 / / 01/15/87
a threat to the soil.
PHASE 1 04/15/90 04/15/90
PHASE 2 07/15/88 07/15/88
1-0901 U.S. POST OFFICE
+ Petroleum Release Site
+• Response action by: RP ONLY
•• Unclassified Site
•• Gasoline released at a post office and federal from a leaking underground storage tank
resulting in a release to the soil.
PHASE 1 07/15/91 01/15/92 Yes
»,..14. H-144 H44-14... *.."'"""""'"""""4444
PROFILE CF RE.EASS IN NORTHAMPTON
EASE`
&ENDAiE ROAD
492 PLEASP\'T ST.
72 KITE ST.
14 EASTHAMPTON ST.
FsSON AVE.
RESPONSE CODES: A:SOURCE RECNA_; B--CAPPING/FENCING;
C=BROUNpWTER/SOIL TREATMENT; DOONITORTSN E2TER
3OZY 375 SOUTH ST.
LN MERCURY 280 KING ST.
PA E
1
STATUS: PHASE 2
ACTIONS BY: RESPONSIBLE PARTY
STATUS: PHASE 2
S7JRCE: STATE FILES
FIRST LISTED AS TBI ON 07/15/88
SITE DI9FV5(IC ! COIFIRYED
STATUS: PHASE 3
SOURCE: STATE FILES
FIRST LISTED AS TM ON S7/I5/87
SITE DISPOSTION: COFIRIED
STATUS: PHASE 2
SOURCE: STATE FILES
FIRST LISTED AS TBI CN 01/15/88
SITE DISPOSTION: COFIRIED
STATUS: PHASE 2
SOURCE: STATE FILES
FIRST LISTED AS TBI ON 01/15/88
SITE DISPOSTION: COFIRMED
STATE• A AFIEDIAL ACTION HAS BEEN COMPLETED:
AESPOEE CODE: D
ACTIONS BY; NESPOSIBLE PARTY
FIRST LISTED AS ECM ON 13/15/87
STATUS: A BEIEDIPL ACTION IRS BEEN COMPLETED:
TESPOSE CODE: A
ACTIONS BY: RESPONSIBLE PARTY
FIRST LISTED AS ppEDIFL ON 07/15/B7
IXIRTHAMPTO:; CONTIMED
3N6 NINE SI.
RING ST.
TA. 54 FAST44PTON RD.
WEST ST.
I MUSTER CpJRT
3TLEATED
S MAY OR MAY NOT REWIRE RECTAL ACTIONS
T INFER THAT A HAZARD EXISTS AT TIER LOCATIONS:
61 MASONIC ST,
STATUS: FIE EDIPL
FIRST LISTED AS TBI ON 01/15/88
SITE DISPOSTION: REMEDIAL
STATUS: F67EDIAL
FIRST LISTED AS TBI ON 04/15/87
SITE DISPDSTI)N: REMEDIAL
STATUS: RECTAL
FIRST LISTED AS TBI ON 0l/15/88
SITE OISPOSTIOA: MEDIAL
STATUS• REMEDIAL
FIRST LISTED AS TBI ON 04/15/67
SITE DISK:STION: RDCDIA_
STATUS: REMEDIAL
FIRST LISTED AS TBI ON 07/15/87
SITE DISPOSTION: REMEDIAL
STATUS: LOCATION TO SE INJESTISATED
SOURCE: STATE FILES
FIRST LISTED AS TBI ON 07/15/88
THAT IIEORMATtON EXISTS WICH INDICATES NO FURTFER IINESTISATI
STATUS: DELETED
FgR3 D St SWRCS: STATE FILES
FIRST LISTED AS TBI ON 07/15/87
SITE DISPOSTION: DELETED
PAGE a
4**4***4*4****4***444***04441*#M*******4*VHF**4*H***** *******#4******4 i4***44*****4444*#4*4**4**4**4*4*
_EASES
GLENDALE ROAD
PROFILE OF RELEASES IN
STA. 54 EASTHAMPTON RD.
72 KING ST.
AT_ON 300 KING ST.
FULTON AVE.
NORTHAMPTON 1
STATUS: PHASE 2
TYPE OF SUBSTANCE:
TYPE OF SITE:
TYPE OF CONTAINER:
it
RESPONSE CODES: A=SOURCE REMOVAL; 8=LAPPING/FENCINS;
C=GROUNDt4ATER/SOIL TREATMENT; D=MONITORING; E=OTHER
BODY 375 SOUTH ST.
:CUM MERCURY 280 KING ST.
PAGE
FLAMMABLE IO(
LANDFILL
FIVE GALLON
CANS
ThELPI T3 SU
ACTIONS BY: RESPONSIBLE PARTY
STATUS: PHASE 2
SOURCE: STATE FILES
FIRST LISTED AS TBI ON 01/15/88
SITE OISPOSTICN: CONFIRMED
STATUS: PHASE 2
SOURCE: STATE FILES
FIRS. LISTED AS TBI ON 07/15/87
SITE DISPOSTION: CONFIRMED
STATUS: PHASE 2
SOURCE: STATE FILES
FIRST LISTED AS TBI ON 01/15/88
SITE DISPOSTION: CONFIRMED
STATUS: PHASE 1
SOURCE: STATE FILES
FIRST LISTED AS TDI ON 01/15/88
SITE DISPOSTION: CONFIRMED
STATUS: A REMEDIAL POTION HAS BEEN COMPLETED:
RESPONSE CODE: 0
ACTIONS BY: RESPONSIBLEE PARTY
FIRST LISTED AS REMEDIAL INN 10/15/87
STATUS: A REMEDIAL ACTION HAS BEEN COMPLETED:
RESPONSE CODE: P
ACTIONS BY: RESPONSIBLE PARTY
FIRST LISTED AS REMEDIAL ON 07/15/B7
.NORTHAMPTON CONTINUED
MIA ST.
EST ST.
1 BREASTER COURT
'IGATED
MAY OR MAY NOT REQUIRE REMEDIAL ACTIONS
INFER THAT A HAZARD EXISTS AT THESE LOCATIONS:
14 EASTHAMPTON ST.
STATUS: REMEDIAL
FIRST LISTED AS TBI ON 94/15/87
SITE DISPOSTION: 'REMEDIAL
STATUS: REMEDIAL
FIRST LISTED AS TBI ON 94/15/87
SITE DISPOSTION: REMEDIAL
STATUS: REMEDIAL
FIRST LISTED AS TBI ON '27/15/87
SITE DISPOSTION: REMEDIAL
STATUS: LOCATION TO BE INVESTIGATED
SOURCE: STATE FILES
FIRST LISTED AS TBI ON 01/15/88
HAT INFORMATION EXISTS WHICH INDICATES NO FURTHER INVESTIGATION IS AARRANTT
HAROLD ST.
PAGE z
STATUS: DELETED
SOURCE: STATE FILES
FIRST LISTED AS TBI ON 07/15/87
SITE DISPOSTION: DELETED
11111110.,..14111.+=.. .......+144444..,,..
PROFILE OF RELEASES IN WIPTON
SES
ELENDALE ROAD
CA. 54 EASTIOISMEN RD.
72 KING ST.
ITION 300 KING ST.
FILTER E.
spa& CODES:SROIJEWATERJ LSOIL AN
TREATMENT; D ' ITORINE;E$TTERR
)7 375 SOUTH ST.
I FERMAT 280 KT% ST.
KING ST.
VEST ST.
1 BRtETSTER COMRT
NVESTIBATED
SITES NAY OR FAY ICY REQUIRE REMEDIAL FETTERS
i NOT INFER THAT A HAZARD EXISTS AT TIESE LOCTIONS:
14 FASTWMPTON ST.
STATUS: PIYCSE 2
ACTIONS BY: PESPRSIBIE PARTY
STATUS: PHASE 1
ACTIOS BY: RESPONSIBLE PARTY
STATUS: Puff 2
ElUA c: STATE FILES
FIRST LISTED AS TBI ON 87/15/87
SITE DISPOSTION: C3FIFBED
STATUS: PHASE 2
ACTIONS BY: RESPONSIBLE PARTY
STATUS: PHASE I
ACTIONS BY: RESPONSIBLE PARTY
STATUS: A REMEDIAL ACTION HAS BEEN COMPLETED:
RESPONSE CODE: 0
ACTIONS BY: RP OILY
FIRST LISTED AS REMEDIAL ON 18/15/87
STATUS: A REIEDIiL ACTION HAS BEEN CONPLETED:
RESPONSE CODE: A
ACTIONS BY: RP RLY
FIRST LISTED AS REWDIAL ON 07/15/B7
STATUS: WIFE
FIE LISTED AS
SITE DISPOSTION:
STATUS: ROEOIAL
FIE LISTED AS
SITE DISPOSTION:
STATUS: FINDER
-
FIRST LISTED AS
517E DISPOSTION:
TBI ON 34/15/B7
REIEEDIAL
TBI ON 04/15/B7
REMEDIAL
TBI ON 17/15/87
REMEDIAL
STATUS: LOCATION TO RE INVESTIGATED
SCUM: STATE FILES
1
IT INFDRMTIDN EXISTS NNICN INDICATES ND FURTFEA IMIESTI6ATIDN IS L4 RIv.NTED
}ARID ST.
STARE. DELETED
S JRCE: STATE FILES
FIRST LISTED AS TSI EN S7/15/87
SITE DISPCSTIg1: DELETED
�T/
ghe (9I I 4
S e'SJ
00 eat of'Sa . ai &veneering
W tern qv/oft
rla _iG =. ors
4s6 Orvey/rt ftrert, Jp''��' b
4/5-76'4-1100
Booth
cnie's Texaco
rig Street
ampton, MA 01060
rJUL 1 3 1989
Re: Northampton, SA1-0274P-88140
Ernie's Texaco
H.G.L. ch. 21E
Approval of FRRP
REVIEW OF REPORT
Mr. Booth:
Department of Environmental Quality Engineering has reviewed a report
.tied " Phase III Remedial Alternative and Feasibility Study Pursuant
I.C.L. 21E and the rention c and Response Act aofu1983s ", which RwasrdatedMMarcha Release
24, 1988.
report was submitted in your behalf by Corporate Environmental
isors, Inc. (CEA) of Ludlow, and describes three potential remedial
ernatives for the above-mentioned site.
, submitted information regarding
nl compounds
)
or wenwe, g roundwater recovery and treatment with a cutoff or
ox venting, trench, and in-situ biological and
sieffeemical stabilization. CEA has recommended that
ft-effective aad environmentally sound approach ould incorporate
lementi¢ an automatic oil recovery sy stem
in monitoring well MV-3,
contininge to investigate a vapor recovery system for the area around
1itoring well MW-2.
e Department approves of these recommendations, and will require a
medial Response Implementation Plan, as detailed in the Massachusetts
ntingency Plan, 310 CMR 40.547. In addition, a quarterly groundwater
¢itoring program must be implemented, with
anggroundwater
reeelevations/
oduct thicknesses taken from-4all5wells,and -7 The results of the
.rst rod from wells MV-2,
.rst round must be submitted to the Department within 90 days of the
Original Printed on 100% Recycled Paper
;h
this letter. If you have any questions, please contact Audrey
e of this office.
Very truly yours
n F. doyc
Regional Environmental Engineer
Bureau of Waste Site Cleanup
E:ale
2:erniery
rthampton Board of Health
rthampton Chief Municipal Officer
A
_S.GREENBAUM
Commissioner
NN J. HIGGINS
Gegional Director
JW 01°'x teili
9 Rn 6
Z' 0 03
i/36 _Di -" . g> d
(.us3Y »u/700
:nie's Texaco
a King Street
Drthampton, Mass. 01060
Attn: Ernie Booth
Re:
March 2, 1992
Northampton 1-0274
Ernie's Texaco
72 King street
M.G.L. Ch. 21E
Dear Mr. Booth: Protection (the Department)
f Environmental
o n d site.
has been revie
ing
The Department above reference si that
dated 13 July 1989, the Department required
the status of the
In a Review of Report letter, ro
a quarterly groundwater monitoring program be implemented. No data has been g
submitted to the Department.
work be completed
The De rtment requires that the following
within
elevations calculated h ld be anal
) A11 groundwater monitoring
on the site
a groundwater
1 days: wells should be gauged, 9
1
plan;
d contours drawn on a site
an analyzed for
2 d ev Samples should butyl ether
VOCs) plus methyl tertiary
2) All wells should be sample
volatile organic compounds
(MTBE) using EPA Method 602 . Analytical results should be
submitted to the Department.
The results
f the groundwater gauging and sampling
60 days of the date of this letter.
0
matter, please contact Stephen Ball of this office.
Very truly yours,
should be submitted within
Thank you for your cooperation.
I you have any questions regarding this
SFJ:SSB
WSC-031-s
ernies.ltr ton, Mayor's office
cc:Northamp
Northampton, Board of Health
F. Joyce
Regiocial Engine.,,
Bureau of Waste Site Cleanup
Commonwealth of Massachusetts
Executive Office of Environmental Affairs
Department of
Environmental Protection
Western Regional
am F.Weld
poems,
ady ca=e
wPt ECEA
as B. Powers
or mwo M
of Municipal Official
y of Northampton
; Main Street
rthamton, Ma 01000
May 17, 1994
n!r n
.IM 101994
Se: Northampton; Transition
Tier in Site.
aar Sir/Madam:
you that the Department of Environmental Protection's Bureau of
the following site as a Tier m disposal site in
his letter is to inform y "MCP", 310 CMR 40.0000,
dears Site with the intends to classify en Plan
ccordance with the revised Massachusetts Contingency
Mich took effect on October 1, 1993):
Ernie's Texaco; 72 King Street; Site # 1-0000274.
site, a "Potentially Responsible Party" (or another person who has
As a d to conduct duct response perform assessment and remediation activities e at
agreed to conduct response actions) will p expert in Waste
the Me in and with the
of a Licensed SitTB rofessiona Cleanup
nhb
site MCP, and under the supervision
has been licensed by the Commonwealth).
disposal sites. Response
Die assessment and cleanup ir cal R.an audit
so
Department t these will ite d aytb audit a response ureau at Tier
actions ht p sites may
be audited by the Bureau of Waste Site PeTannpconducting the
shows that response actions are take corrective actions. the MCP,
cleanup will be required to tak
ble at our office if you or others are interested in
reviewing file for this site is like
or if you require additional
reviewing it. If you would like to review these files,
438 Dwight Street • Spd„9Mld, Massachusetts 01103 • Fax(413)784-1149
• Telephone(413)784-1100
f Municipal Official
of Northampton
2
rmation about this disposal site, please contact Mr. Saadi Motamedi at 413/784-11
224. If your community wants to become involved in planning response actions at
disposal site, please contact Ms. Susan Steenstrup (Regional Public Involvement
rdinator) at 413/784-1100 to fmd out how to set up a Public Involvement Plan for this
closed please find a copy of a Fact Sheet that describes the requirements for sites
call Waste
C From area
asified as Tier L For more information about the redesigned Waste Site Cleanup
Dgram, please call the MCP Hotline (from area code 617,
les 608, and 413, call 1-800/
Very truly yours,
Richard M. Green
Section Chief
Site Management/Permits
Bureau of Waste Site Cleanup
Sttachment: Fact Sheet # 5
rmg/sm1-01271B.1et fmr
cc: Northampton Board of Health
Site Files, BWSC, WERO
Permit Files, BWSC, WERO
Commonwealth of Massachusetts
Executive Office of Environmental Affairs
Department of
Environmental Protection
Western Regional Office
m F. Weld
onemor
dy Coxe
„y, ECEA
sa powers
.TIFIED MAIL
'URN RECEIPT REQUESTED
?st T. Booth
sing Street 01060
thampton, Mass
August 12, 1994
53)7(7.7inn nnn
P..U6171994
Re: Northampton; Site 1-0000274;
Ernie's Texaco;
72 Ring Street
Permit # 78728;
ar Mr. Booth: redesigned the Waste Site
n Plan(DEP) has and related fee regulations
le Massachusetts Department Massachusetts of Environmental tangency lan (
110 C Program. The revised a n Octo r 1, 1993. The 1993. The new MCP (310 CMRs40.na00)the 1988
310 fic 4.ire ents for effective is October bet 1, "priority disposal m. 19e
pecion of the CPts for sites which had been the estran as
ncitosed fTra MCP
inn Fact heet #5e for tmore�nformation1)on into the redesigned Progra
This letter is being sent to you regarding the above-referenced
site which was Previously classified as
a"priority disposal site" and listed as such on DEP's August 1993 Transition List of Confirmed
Dis Sites and Locations to Be Investi:"ted or Addendum
for thereto.. brute's Texas has bbeeteh as
n
previously identified as a "Potential Responsible Party"
liability under MGL c.21E §5.
TRANSITION CLASSIFICATION
with assessment and remediation. Sites classified as Tier IA will be managed by
Under the new MCP, sites will be classified as either Tier I or Tier U. Ml Tier I sites require
aeries e Site Department's direct oversight. Tier IB and IC it
receive direct oversight by DEP, but will be subject to DEP
a Licensed S Professional T,SPs and u)not rose the Dea
will be managed
audit.
436 Dwight Street • Springfield, Massachusetts 01103
• FAX(413)784-1149 • Telephone(413)784-1100
1274
3 Texaco
ampton
Transition regulations of the new MCP (310 CMR 40.0640), categorically classify all sites which
riority disposal sites" as Tier IA sites. The new regulations allow DEP to
seen listed as "p
Departmental oversight required for transition priority disposal
aide the d on the and extent 0310 CMR available them Tier TB sites the
and, based on the criteria in 310 CMR 40.0730, classify them as Tier IB sites instead oft the
;orical Tier IA. Using these criteria and existing
artment has determined that the above-referenced site is classified as Tier IB.
TRANSITION PERMIT STATEMENT
new MCP does not a"
wire submittal of a new permit application for priority disposal sites.
teed, DEP will the site's classification and the
issue a"Transition Classification and Permit Statement" (Transition Statement) to
ise iris with potential liability under MGL c.21E §6 which ed and dated b the PRP or other •'rson
ms of the transition permit. This becomes a Statement if Tier rformin• the res••nse actions becomes a valid Tier I .•rmtt for the site effective u••n its rece
the D artment.
your review and action.
you must return the Transition St Statement
of the Transition 0
he Transition Statement for the above-referenced site is attached for y
coo of your to receipt CMR 4 s letter indicating y whether you (1) accept
to m your receipt re this letter s classification of t the tares of the
tatement, (2) disagree `O1�DEP's classificatien of the site, or (3) do not accept
transition Statement. These options are as follows: of the Transition Statement, please
t the terms t, this
(1) Aan t ,t both copies of the To mceP h"1" and return one copy
sign and date bath copies copy Statement the Paragraph Tr
also send a copy of one of the signed Transitio Compliance the
Faes for Tier
Mute. (Please of the Board of Health.) Annual
Municipal bl assessed starChairman O Transition Statement is
of CMR
IB will be assessed October 1, 1993. The Tier IB Transition Permit is effective
upon the Department's receipt of the signed and dated Tran
40.0640(3)(h11.a).
with Transition Statement: If you do not agree with the Department's
de Data use, in the Opinion of an
and date both copies of the
determination that this site should be classified as Tier IB
and return one copy to this office within 120 days. (Please also
LSP, the site should be reclassified as IC or Tier H, sign
Statement at Paragraph "2"
permit category and in
send a copy of one of the signed Transition Statements to the Chief Municipal Official and
actions at the subject site, you must obtain a Major Permit
Chairman of the Board of Health.) In order to change the site's ncation
iler continue fro( To do so, you must submit a"Major Permit Modification" app
(31 CMR Modification from DEP. 40.0720. The
This CMR application will which
hen a includes processed LSP Tier to theprovisioOns'of 310 CMR of$120 .an
recessed according
This ap iate n will to lia Fee will be determined pending the outcome of the permit
appropriate Annual Compliance
modification.
274
; Texaco
mmpton
assessment activities (such as the sampling of existing monitoring
and the monitoring of vapors inside buildings)
If you wish to conduct assess of filing a
wells, the in an effort of to docu soils, mng
you may do so. However, "intrusive" assessment 120 days in an effort to document a lower Tier Classification for the pm
Major Permit modification fs a rove with DEP, y new monitoring wells, art so soil
approval, unless they are being done as p
activities (subsurface investigations involving test pits, a
borings, etc.), will require Prior DEP aPP vel.
response action which already has DEP approval.
Y t this Transition
(3) Do Not Acce h"t-th or Transition
and return
t Transition Statement: If you do not accept
you g° of one of the signed Transition Statements
ou must sign and date the Statement at Paragraph
one copy Chief to this Municipal (Please l also shad a copy oved by
response actions which were app
to the Chief Municipal Official and Chairman of the Board of Health.) You O�e actions, you
indicate E whether or October 1 you intend ou do nottintend to conduct such respo
mus prior to an expl 1,explanation If you
mustinclude a schedule for completing them.
themdo intend to
must include an explseatctn p
conduct these response actions, you
work previously approved, you must submit a Status
Opinion as to whether a Temporary or Permanent Solution
Whether or not you intend to complete actions necessary to do so
Report
as been ill be ac ie ed at Op and if not, the response
has been or will be achieved at the site,
[310 CMR 40.0640(3)(b)31.
'lease note that if this site is adjacent to another disposal site where response actions are being
to coordinate your response actions with those being undertaken on
actions under a Tier I permit must
:he adjacent ce it may be necessary other
persons c. 21E, 310 to conduct
000ot permit terms and conditions and any
;he adjacent site. MI Pe 40.0000, applicable requirements shall be
imply applicable all times with MGL c.local la 310 CMR 1 with all app
causcaor fedDep state, two niti law. Failure to comp Y without limitation, Permit
cause for the Department to initiate enforcement action, including,
suspension and revocation. of its
Department within 120 days
that re do not accept the rmentiwiPermit u paragraph
If the enclosed if the e Statement tn Statement t not returned to the the t under
beginning on the
(3) abbe e, if e A Annual mans Fee for Tier IB sites ($2,600) will be assessed' commence or In addition, DEP may
(3) above, the Annual Come �� response actions for the above-
day after such Transition Statement is due [310 CMR iuired
appropriate enforcement actions to ensure in a timely manner.
referenced site are initiated and completed
If you sign and return the Transition Statement within 120 lease also submit a brief update
feted to date, are ongoing, and/or are planned for the
days, p the dates of completion
of ovsponse actions which have ma should include, but not be limited to,
of Phase I,II, II site. This summary term measures, and interim measures'
of Phase I, II, III, or W reports,
:74
Texaco
mpton
- 4
than one PRY performing response actions at the above-
to designate a Primary
note that hold there tbe he more iti owned and/or operated Primary r
aced site, all adds ion, sho Transition a referenced f nt and are encouraged operator(s)any
entity(s)(5) In addition, o should lea above
the name(s) f the owner(s) and/or ope of
entity(s) than Ernest Booth, please p
te. the transition of
be difficulties and confusion during incentives
Department recognizes that there may however, offers many
timely, and efficient cleanups. It is our intent to provide you with
ing sites from the old MCP to the new MCP. The new MCP,
opportunities for streamlined,
nooth a transition as possible.
aid you have any questions about this letter or the Transition Statement, please contact Stephen
at 413-784-1100 Ext. 250 or at the above address.
Richard M. Green
Section Chief
Site Management/Permits
Bureau of Waste Site Cleanup
MG:SSB/mr
rnies.per
;ertified mail # P 356 317 473 return receipt requested.
Attachments: Summary of Redesigned Program
Fact Sheet on 1 SPs
Transition Fact Sheet #5
310 CMR 40.0730
cc; Northampton, Mayor's Office(w/0 Attachments)
Northampton, Board of Health (w/o Attachments)
WERO, BWSC, Permit Files (w/o Attachments)
SRO, BWSC, Site Files (w/o Attachments)
Massachusetts Department of Environmental Protection
Bureau of Waste Site Cleanup (BWSC)
TIER I TRANSITION CLASSIFICATIONAND PERMIT STATEMENT
s Permit is Issued to:
® One Permittee
❑ More than One Permittee`
•A list of all Permittees is attached.
e Permittee:
Line of Organization: Ernie's Texaco
;rmittee Name: Ernie's Ted
tle or cloErnest Booth Zip code: 01060
;me t 72 Bin c Street State: Mass. P
ity/T0wn: Northam on
elephone: 413-554-0716
JEP Finding Concerning Tier Classification
7 Transition Tier IA(BWSC04) IS Transition Tier IB (BWSC05) Permit No.78728
This permit authorizes the performance of Comprehensive remedial response actions at:
Disposal Site Number: Ern 1-074
aco
Disposal Site Name: �— Zip Code; 01060
Street: 72 King Street State:Mass. P
City/Town: Northam on
120 days from rece P of the signed and submit the Transition n Statement.teme
i t of this Transition Permit to sign and submit the Transition Statement.
The permit has Department's receipt
This permit shall be effective upon the
This permit shall expire Five 5 years from its effective date.
1
Rev. 7/94
f Conditions
t shall comply at all times
The c.21E, 310 performing response actions pursuant to this Tic t I aed y hall c applicable federal,
times
.G.L. c.21E, 310 CMR 40.0000,the terms and conditions of the 1>e
r local law. Lance with the terms
In every prOCeeding, the burden shall be on the Permittee to demonstrate comp
inditions of a permit at all times.
Each Permittee shall comply with:
(a) submittal of a Class A, B or C Response Action Outcome Statement within five years oft the
effective date of the permit, unless otherwise provided in the permit;
(b) submittal of a copy of the signed and completed Transition Classification and Permit Statement
to the Chief Municipal Officer(s) and the local boards of health for the communities where the disposal
site is located. to the Department:
(c) notification in as required in 310 CMR 40.0500; perform
1 of any technical, financial or legal inability to pe
2. upon gaining knowledge Y
any necessary response a pe mtmn, in accordance is ring response actions as an Other
3. P upon a tocnotnro a deal requ who is h permit; and
Person h not in n the
as required by the Pe
4. of any change fe ie the LSP of Record for the
thugh site no later than ten days filing of a Minor Permit of
Mod the effective date of such change
Modification by the pernrrttee in accordance with 310 CMR 40.0725;
requirements, including but not limited to, scopes of
(d) compliance with: and RAOs;
1 all applicable submittal Phase Reports, but not
work, Status m nts Reports,record Completion Statements,d d
2. all requirements for record keeping and document retention, including
limited to 310 CMR 40.0014, 310 CMR 40.0022 and 310 CMR 40.0023;
3 the Notification Regulations, 310 CMR 40.0300, in the event of discovery of a
located at the disposal site,threat of release or Imminent Hazard;new releases procedures for excavated soils and wastes 4ements
4. the emu management l t
for remedial air emissions set forth in 310 CMR 40.0030 and 310 C 40.1406;
and 310 CMR 40.1400 through
5 all public involvement activities required by
(e) inclusion of the Disposal Site Number and the permit number on documents submitted to the
to the disposal site; aired by 310 CMR 40.0009;
(g)Department with respect to the Department as required with 310 CMR
(0 certification
valua i nn of of documents submitted Immediate ResppjSe Actions in accordance
40 gas newoo of the need to perform to maintain compliance with any
40.0400 as new or additional or ssat information of a ressWcnthe disposal action s site is obtained;i colic welfare, h or any
(h) condition or or prev potential threat to health, safety, P
permit condition or to prevent an actual or Po
environment;
to the Department within seventy-two hours of obtaining
(i) notification, orally or in writing,c response actions for the reasons in 310 CMR
the rmittee in writing
40.0740ge of the need to any modify or cease notification any itt prepared by
within0 sixty days provided such that any such oral written notice hall include da Status Report P P
impacts to health, safety, public welfare or the
within sixty days of such oral notice and any
and timely remediation of any adverse imp
an LSP; response actions;
environment that result from the performance of resp
2
Rev. 7/94
at disposal sites where groundwater investigation is necessary, delineation of the vertical and
groundwater flow directions,
h) but not limited to, the identification s,
identification extent of contamination,migration identification and ding atino of groof
possible partitioning io ing of groundwater migration r is compounds at the water table interfacwhich
lead
of
possible partitioning nt dissolved volatile ergo
rt into subsurface structures, homes or other occupied or unoccupied to vapor transport and/or other monitoring points in a manner which provides
monitoring timely ly development wells,
discharges in conditions at
for the timely development or representative information about conditions and changes
the disposal site; state and local permits; terns and
(k) acquisition of all required federal, abatement or control systems(I) proper operation and maintenance of all treatment, storage,
of all equipment required to continue or complete response
agents of the Department to enter, at reasonable
the rmittee for
times ad upon then for ptatio not and authorized als a aremises owned or controlled by lie itee or
(m) ntg,sa of credentials, any P records, conditions, equipment, practice
times and upon the Pre'e or inspecting any TQeO safety, public welfare,or
the purpose of investigating, sampling, or protecting health,
property relating to response actions at the disposal site, P
n a change of the Primary representative as required by 310 CMR 40.0703(7),
the environment; and
(n) notification upon
if one is designated.
A Tier I Permit does not grant any property rights or exclusive privileges, nor does it authorize any
ry to private property or invasion of property rights.
;Sal Conditions: in Attachment A.
Each Permittee shall comply with all Special Conditions if attached to this pa
Special Conditions are included within this permit:
No
❑ Yes
EP Authorization
sued by the Department of Environmental Protection:
Date of Issuance:
dame (Print)•
Signature
ha rd as
August 1
Notice of Appeal Rights within 21 days of the date
nest an adjudicatory hearing if the
eyed m this ate of decision may request 40.0008) of this permit,consent e
Any person aggrieved Permit as described in 310 CMR without the Permittees
sosed s date o this Attachment A)
of issuance (the Po al conditions (as set forth in
Department has imposed spec'
agreement, in accordance with 310 CMR 40.0050.
3
Rev 7194
Primary Representative and LSP Information
applicable if there is more than 07W Permittee) For more than
e gemrmittee, a Primary y pre sentati ve can be designated and authorized. If you are
following information:a Primary Representative provide the f
Check if Primary Representative is also a Permittee.
of Organization:
try Representative Name:
t: Sate:
Zip code:
Town:
phone:
troy Representative Certification: persons conducting response
rtify under the penalties of law that I am fully authorized to act on behalf of all
ens under this permit for the following purposes.
a) to receive oral and written correspondence from DEP with respect to this permit;
b) to receive oral and written correspondence from DEP with respect to the performance of
response actions upon issuance of a Tier I permit; and
c) to receive any statement of fee required by 310 CMR 4.03(3) under this Tier I permit.
am aware that the are significant penalties, including,but not limited to, possible fines and imprisonment,
>r wilfully submitting false, inaccurate, or incomplete information.
dame (Print):
'osition or Title:
signature:
Date: the annual compliance assurance statement for the disposal
Note: The Primary
Representative for more than one Permittee will receive
site.
LSP Information or employed to submit LSP Opinions concerning
Provide the following information if an LSP has been engaged
response actions that were approved prior to October 1, 1993.
Name (Print):
License Number:
4
Rey.7/94
Transition Statements
sites with more than one Permittee,make copies
s ch on, have ee must complete this Sete th. For disposal
ion to the Department.
section, hav each Permittee complete this information, and submit all c°P h(1 through 3) and
one of the following to indicate your response and then sign the appropriate paragraP
reification of Submittal:
o I do not Transition Permit ti n(sign Permit and I am attaching
a Major Permit Modification
❑ I do not accept the Transition P
t the Transition Permit and I intend to conduct response actions which were
application (sign "2")
p I do not accept Department prior to October 1, 1993.
approved by the Dep response actions which
(sign "3-R) 3-B").
p I do not accept the Transition Permit I intend
1993 to conduct to
were approved by the Department prior
terms and conditions of any a all
tarpon and Permit Acceptance S to and
conduct
cart and agree to hat ref all e effect as of actions 1, 1993 a to condu in
1993 as shown in Attachment B conditions
f a PP
Department
future r approvals that are in effect as of October 1, response actions with approvals
future response actions at this disposal site which are not subject to an existing
wct ters Permit and the eq ently p rove CMR 4 red in including
achm nt B accordance G.L. e
°mince 1993 and subsequently approved and listed in Attachment B2. I believe that I have the c.
things, October 1, raced with response actions at this site inarom a Min 310
;E, 310 Cinanci0. 000 legal therty tp requirements. I am aware of the req with such response et forth actions.
310
E, 310 CMR 40.0000 and other applicable
YIR 40.0172 for notifying the Department in the event that I am unable to proceed
fame (Print):
Position or title:
Vulture:
)ate:
Transition station).
Transition Permit and attaching Major Permit Modification app
Transition Statement of not accepting attaching
Opinion of an LSP may be
since the disposal site, in the Op son of I LS mayibe
t the enclosed Transition Permit, IC, or Tier II, whichever is app
I do not accept (Insert Tier ID,reclassified as t M upon pursuant to 310 CMR 40.0707.
a Major Permit Modification application
Name (Print):
Position or title:
Signature:
Date:
5
Rev.7/94
n Statement if not accepting Transition Permit and providing s
tate,,,0,t regarding future response
DE P ,trot to October
t the disposal site.
actions , ,,roved
Other Person intends to conduct use actions which were
I intend to conduct response accept the the a ment Transition foto Permit, however,
rated within this Statement
ale by Lhe Department prior to October completed nd a I have attached and ng whether one or more Temporary
Pe far when toll work hav be n chie ed
and a Status Report indicating site, including an LSP
use actions to date and the response actions remaining in order to
Permanent Solutions have been achieved or will be achieved at the disposal
i regarding Tmpr the completion Permanent response al site
a Temporary or Permanent solution at the disposal
1993.
m or title:
;ure:
RP Other Person does not intend to conduct
tend to conduct response actions including any
prior do
October 1, 1993. o have attached an eons including
of why
not accept the proved b the Department tmemit and to not er where have
attached, an explanation f any
In not continue approved re by the ctp ns at the P site including,
use actions at the disposal undertaking response actions at the disposal site
I not continue with response rated within this Statement, a Status Report me
nical, financial, or legal inabilities that tt dude and from
seating in whether one amore Temporary I have and/ord and inenrpo ace eved or to dbee chi the
andlor Permanent Solutile onaof �poachieved or Emil be achiev
eating wsal sir one iu more LSP Opi on regarding the completion 1 site.
he disposal site, including an LSP Op Temporary or Permanent Solution at the dispose
Tense actions remaining in order to achieve a Temp
me (Print):
sition or title:
gnature: certification)
ate: the following certific
above perntittee must also sign
!¢rtijication of Submittal (The above
certify under the penalties of law that I have personally examined and am familiar with the information
including any and all documents accompanying this certification, and that, based
risible for obtaining the information, the material
e and belief,obtaining
accurate and complete. I am
;ontained in this submittal,
in my inquiry of those individuals immediately responsible
wile cues and imprisonment, for i aware there herein is, to the best of
aware that there are significant penalties, including,informatoonimited to, Pons
wilfully submitting false, inaccurate or incomplete
Name (Print):
position or title:
Signature:
Date:
6
Rev. 7/96
This Attachment will be completed by DEP
ATTACHMENT A TO PERMIT NO. 78728
shall comply with the following special conditions:
here if not applicable to this permit.
This Attachment will be completed by DEP
ATTACH➢'IENT B TO PERMIT NO. 78728
lowing Department approvals Were in effect as of October 1, 1993:
here if not applicable to this permit.
e following response actions, which were pending as of October 1, 1993, and are now approved by DEP and
effect under this permit.
leek here if not applicable to this permit.
8
Commonwealth of Massachusetts
Executive Office of Environmental Affairs
Department of
Environmental Protection
Western Regional Office
William F. Weld
Governor
Trudy One
Secretary, EOEA
Thomas B. Powers
Acting Commissioner
Mr. Ernest Booth
Ernie's Texaco
72 King Street
Northampton, Mass 01060
January 17, 1995
Re: Northampton, Site # 1-0000274;
Ernie's Texaco;
72 King Street;
Transmittal # 51146;
Permit # 78728.
NOTICE OF COMMENCEMENT OF ADMINISTRATIVE IS COMPLETENESS REVIEW AND PUBLIC
Dear Mr. Booth:
Your permit application and the appropriate fee for the above referenced site
1994. In this case however, iew
Department mainoai
have been received by the Department. The official starting date for the review
of the permit application is December lication on hold until January 5, 1995, in
rod your .permit app
order for you to provide the correct Legal 1995tice. The Department resumed the
review of your application on January 5, the Department has 30
in accordance with 310 CMR 40.0721(2) and 310 CMR 4.04(2) ,
days from January 5, 1995 to complete the Administrative Completeness Review (AC-
1) .
The AC-1 shall result in a Determination of Administrative Completeness or a
Statement of Administrative Deficiencies. The Department may request additional
information during the AC-1 period.
permit
A determination Administrative the TechnCoapleteiess shall mean that the p
application may proceed to
applicant Statement
shall have 15 Administrative e fomrthe n shall h A
date of issuance of such statement Tto
respond to the Department.
Pursuant to 310 CMR 40.0721(2) , a Public Notice Period of 20 days from the above
interest start date shall run submitting with the A review. Persons
interested in reviewing and/or submimitting comments on the e app lication shall
notify the Department in writing within the same 20 day p eriod.the applicant and the
extend any schedule for timely action or
In accordance with 310 CMR 4.04 (2) and 310 CMR 40.0720 (3
Department may, by written agreement,
any portion thereof. Withdrawal of the permit application shall be subject o
the provisions of 310 CMR 4.04 (3) . ermit
All future c rre pand the Peregarding this pi ed apl application must reference the
Site,
436 Dwight Street • Springfield, Massachusetts 01103 • FAX(413)784-1149 • Telephone(413)784-1100
Mr. E. Booth
Ernie's Texaco
Transmittal it 51146
AC Review
Page 2
If you have any questions, please contact Mr. Saadi Motamedi at 413/784-1100
Extension 224.
rmg/SM1-274.LET/mr
CC: Northampton Board of Health
Northampton Chief Municipal Officer
Permit Files, BWSC, Region
Site Files, BWSC, Region
erelys
R hard M. Green
Section Chief
Site Management/Permits
Bureau of Waste Site Cleanup
Commonwealth of Massachusetts
Executive Office of Environmental Affairs
Department of
Environmental Protection
Western Regional Office
WlWlam F. Weld
Govemw
Trudy Coxe
Seem' EOEA
Thomas B. Powers
Ming Commissioner
Mr. Ernest Booth
Ernie's Texaco
72 King Street
Northampton Mass 01060
January 23, 1995
Re:
Northampton, Site # 1-0000274;
Ernie's Texaco;
72 King Street;
Transmittal # 51146;
Permit # 78728.
DETERMINATION OF ADMINISTRATIVE COMPLETENESS
Dear Mr. Booth:
The Department has completed its review of the Permit Application for the above
referenced site and has determined it to be Administratively Complete. This
determination was made on January 18, 1995. This letter serves to notify you
that the permit application will proceed to the Technical Review Period.
The Department shall have 75 days from the above date to review this application
for its Technical merits. Pursuant to 310 CMR 40.0722 (2) , a Public comment
Period (PC-1) of 20 days shall run concurrently with T-1 for those persons who
notified the Department of their interest in reviewing or submitting written
comments on the permit application.
This initial Technical Review Period (T-1), shall result in a decision to grant
or deny the permit, a Proposed Permit Decision to grant or deny a permit, a
determination that the above site does not require a permit or the issuance of
a Statement of Technical Deficiencies.
A statement of Technical Deficiencies shall the a e T-1 period. Pursuant to the CMR 40 0721 (2) and 310 CMR 4.04 (2) (b) , applicant respond
Department within 30 days of issuance of such Statement of Deficiencies.
Submission of a copy of this Determination of Administrative Completeness to the
Northampton Chief Municipal Officer and the Board of Health constitutes
compliance on the part of the Department with the requirements of 310 CMR 40 0721
(4) .
Pursuant to 310 CDR 4.04 (2) and 310 CMR 40.0721 (5) , a Determination of
Administrative Completeness shall not constitute any finding with respect to the
technical suitability, adequacy or accuracy of the material submitted, and shall
be no bar to a request to amend, revise, replace, or supplement such materials
based on technical suitability, adequacy or accuracy. The Department may request
additional information during the course of the Technical Review.
In accordance with 310 CMR 4.04 (2) and 310 cMR 40.0720 (3) , the applicant and
the Department may, by written agreement, extend any schedule for timely action
or any portion, thereof. withdrawal of the permit application shall be subject
to the provisions of 310 CMR 4.04 (3) (d) .
436 Dwight Street • Springfield, Massachusetts 01103 • FAX(413)784-1149 • Telephone(413)784-1100
Mr. E. Booth
Ernie's Texaco
51166
Transmittal f
Page 2
If you have any questions, please contact Mr- Saadi Motamedi at 413/784-1100
extension 224.
rmg/sM1-274.LET/nr
singlrely,
Ri'eI and M. Green
Section Chief
Site Management/Permits
Bureau of Waste Site Cleanup
cC: Northampton Board of Health
Northampton Chief Municipal officer
Permit Files, BWSC, WERO
Site Files, BWSC, WERO
Alan Weiss, Cold Spring Environmental Consultants, 01007
ts, Inc.
350 Old Enfield Road, Belchertown,
William F. Weld
Governor
Trudy Con
Secretary, EOEA
Thomas B. Powers
Acting Commissioner
Commonwealth of Massachusetts
Executive Office of Environmental Affairs
Department of
Environmental Protection
Western Regional Office
Mr. Ernest Booth
Ernie's Texaco
72 King Street
Northampton, Mass 01060
March 28, 1995
Re: Northampton, Site # 1-0000274;
Ernie s Texaco;
72 King Street;
Transmittal # 51146.
NOTICE OF APPROVAL OF MAJOR PERMIT MODIFICATION APPLICATION
Dear Mr. Booth:
The Department has concluded its review of the above-referenced permit
application and in accordance with the provisions of 310 CMR 40.0707, is
approving your Tier reclassification from Tier IB to Tier II.
The Tier II classification of this site is effective as of the date of this
notice.
All future response actions at this site shall be performed in accordance with
the provisions of the Massachusetts Contingency Plan (MCP) and within the
timelines set forth therein. The Tier Il status a Response Action Outcome valid for
o)e
5 years from the date of this approval,
is submitted earlier. If a RAO can not be achieved within this 5 years time, a
Tier II Classification Extension must be submitted to the Department in
accordance with 310 CMR 40.0560 (7) .
Please be advised that the Department may perform an audit of this site, in the
future, in order to ensure compliance with the requirements of the Massachusetts
Contingency Plan (MCP) . Should this site become a candidate for an audit you
will be notified promptly.
If you have any questions, please contact Mr. Saadi Motamedi at 413/784-1100
extension 224.
Sincerely,
Alan Weinberg
Regional Engineer
Bureau of Waste Site Cleanup
AW/SM1-274.LET /mr
CC: Northampton Board of Health
Northampton Chief Municipal Officer
Permit Files, BWSC, WERO
Site Files, BWSC, WERO
Alan Weiss, Cold Spring Environmental Consultants, Inc.
350 Old Enfield Road, Belchertown, Ma 01007
436 Dwight Street • Springfield, Massachusetts 01103 • FAX(413)784-1149 • Telephone(413)184-1100
FORMAL NOTIFICATION OF RESPONSE ACTIONS SUMMARY
06/06/2000
Ernies Texaco
72 King Street
: Northampton, MA 01060
rs/Madam DEP RTN#1-0274
of the Public Involvement regulations pursuant to M. G.L.
and 310 CMR 40 . 1400, this notice serves to notify your
ty of the initiation and occurrence of the following
e actions/measures at the abovementioned site :
Cmmediate Response Action) Implementation, status,
ion Report Purpose/Scope :
entation Plan w/in 3 days)
2elease Abatement Measure PLAN)
/Scope : Removal of impacted soil
days prior to implementing)
(duration:
Classification of site : Tier 1A, 1B, 1C, Tier II
Notice Required within 7 days and 3 days after BOH & CMO)
I, II, III, IV, V Report available Scope of Work
Phase II Report Available
Ph. III & IV require Env. Monit. Notice w/in 7 days of
city Use Limitation (AUL) (Legal notice & Bldg. /Zoning
)se Action Outcome: Class A, B, C; 1, 2 , 3
I Permit/Major Permit Mod. : (Legal Notice w/in 7 days)
)pinion :
evel A-C Work,private well and indoor air) =3 day prior
11 above require BOH or Chief . Munic. Off. unless noted) .
1y,
ring Environmental Consultants, Inc. , Belchertown, MA.
323-5957
Weiss, Licensed Site Professional # 6442
ident, Principal Hydrogeologist
vestigations
Investigations
emediation
f(
June 22, 2000
COLD SPRING ENVIRONMENTAL
CONSULTANTS, INC.
Mr. Michael Scherer
DEP Western Regional Office
436 Dwight Street
Springfield, MA 01103
RE: Ernie's Texaco, 72 King Street, Northampton
RTN 1-0274, NON-WE-99-3062
Tier II Extension Request
Dear Mr. Scherer:
• Percolation Tests and
Septic Designs
• Regulatory Compliance
• Recycling and SolidWaste
On behalf of Ernie Booth of Ernie's Texaco, we are requesting that the site(# 1-0274) be
granted a Tier II Extension in order to continue appropriate response actions. In
accordance with 310 CMR 40.0560(7)(c), we are including the following Tier II
Extension Submittal information:
1) A completed Transmittal form BWSC #107A is attached. The transmittal foam
includes a statement explaining why a Temporary or Permanent Solution has not
been achieved at the site.
2) Status of Response Actions: Mr. Booth has completed Phase II and plans to move
forward developing a RAM to expedite response actions in the next 120 to 180
days. The Phase II Comprehensive Site Assessment dated June 6, 2000 (pages 1-
9) demonstrates the previous and current status of Response Actions. This work
was conducted in response to NON-WE-99-3062. A RANI plan is expected to be
prepared within the next 30-90 days. The RAM including soil excavation and
dewatering is expected to take up to 6-12 months at this time and is also
dependant on securing financing for the response actions. Recently, Mr. Booth
filed a Request for Reconsideration on his application for eligibility for
reimbursement from the Chapter 21J UST Fund. It is the goal of the above-noted
measures to achieve either a Temporary Solution Response Action Outcome
(Class C) or a Permanent Solution Response Action Outcome (Class A).
3) Certification Statement Required by 310 CMR 40.0009: The required certification
is attached.
4) Certification Statement Required by 310 CMR 40.0540(1): The required
certification is provided in Section G of Form BWSC-107A.
5. An updated compliance history since the date of the Tier II Classification (March
28, 1995) is provided in the statement attached to the Transmittal Form.
350 Old Enfield Road•Belchenown,MA 01007• (413)323-5957
Fax:323-4916
6. This request is submitted in confomrance with the requirements of 310 CMR
40.0000, with the noted deficiency that this extension request is technically
overdue. However, the filing is responsive to the requirements of NON-WE-99-
3062 and is intended to return the site to compliance. It is the opinion of the
undersigning LSP that the plans and/or reports otherwise submitted are in
conformance with the requirements of 310 CMR 40.0000.
Sincerely,
Cold Spring Environmental Consultants, Inc.
t l etc
Alan E Weiss, M.S.
President
Principal Hydrogeologist
Licensed Site Professional, # 6442
Cc: Ernest Booth
Attorney Barry Fogel
Health and CMO offices of City of Northampton
N.CELLUCCI
T
Governor
COMMONWEALTH OF MASSACHUSETTS
EXECUTIVE OFFICE OF ENVIRONMENTAL AFFAIRS
DEPARTMENT OF ENVIRONMENTAL PROTECTION
WESTERN REGIONAL OFFICE
RTIFIED MAIL
TURN RECEIPT REQUESTED
Ernie Booth
vner
lie's Texaco
King St.
,rthampton,MA
October 16, 2000
Re: Northampton,Site 1-0274
Ernie's Texaco
72 King St.
Tier II Extension Approval
THIS IS AN IMPORTANT NOTICE.
BOB DURAND
Secretary
LAUREN A.LISS
Commissioner
lear Mr. Booth:
he Department of Environmental Protection(the Department) is in receipt of a Tier II Classification
:xtension request from Cold Spring Environmental for the above-referenced location(the site). The
purpose of this Notice is to clarify and approve the Tier II Classification Extension request so that work
in-site can continue and to extend the deadline for submittal of a Permanent Solution or Remedy
)peration Status nd Phase IV Plans established in the previous Notice you that the of Noncompliance
(NON-WE-99-3062)cannot be
ixtended and remain in effect.
Classification Extension Approval
The Department received a final Phase II Comprehensive Site Report and Completion Statement on June
15,2000 and your completed Tier II Classification Extension request(the request)for the site on July 11,
2000.
ng Environmental.The Department has concluded its review of of the request. preared for you by Cold
Spring
The
the request.o t
The reque this oshould therefore effective t
have been submitted to the Department by Ja0nuary 28,2000.
in
The request was submitted to the Department on July 11, 2000. In an effort to encourage and continue
response actions the Department approves the Tier II extension request with the correction that the Tier II
Classification for this site was effective as of March 28, 1995. The Tier II Classification Extension has
therefore been effective as of March 28,2000 and is valid for one year until March 28,2001. In
accordance with 310 CMR 40.0560, if a Permanent Solution or Remedy Operation Status submittal is not
achieved prior to the expiration of this extension,you must submit another Tier H Classification
This information is available in alternate format by calling our ADA Coordinator as W7)574-6812,
4 36 Dwight Street Springfield,Massa husett$01103•Fend(4U)784-1149
Paper•49 TOD(413)746-6620•Telephone(413)704-1100 on
1,Northampton
ision Status Report to the Department. This report shall be submitted at least sixty(60)days prior to
cpiration of this extension.
)epartment appreciates and recognizes your efforts to complete the Phase II Report. The
rtment recognizes that the final clean up and closure of this site is of overriding importance.
z contact Michael Scherer at 413/755-2278 if you have any questions concerning this Notice.
Sincerely,
(5)14/1
Richard Gree
Section Chief
Bureau of Waste Site Cleanup
tilled Mail#:7000 0600 0026 4624 8580
T2.ext
NORTHAMPTON Mayor's Office
NORTHAMPTON Board of Health
Steve Ellis,WERO(2 Copies)
Maria Pinaud,C&E,Boston
Enforcement Files,BWSC,WERO
Site Files,BWSC,WERO
LSP of Record,Alan Weiss,Cold Spring Environmental
Fuss&O'Neill Inc. C,n?s,lmre E,wrcei:
February 9, 2001
Mayor Mary Claire Higgins
City Hall, 210 Main Street
Northampton, Massachusetts 01060
78 Interstate Drive,West Springfield,MA 01089
TEL 4:3452-0445 FAX 413 846-0497
INTERNET-WWWh55andonelll.conn
Other Offices
Manchester,Connecticut
Fairfield Connecticut
Providence,Rhode Island
Mr. Peter McErlain
Health Agent
210 Main Street
Northampton, Massachusetts 01060
RE: Release Abatement Measure(RAM)Plan
Ernie's Texaco, 72 King Street,Northampton, Massachusetts
RTN: 1-0274
Dear Mayor Higgins and Mr. McErlain:
In accordance with the Public Involvement requirements outlined under 310 CMR 40.1403(3)
of the Massachusetts Contingency Plan (MCP), this letter serves as notification of a
submission of a Release Abatement Measure (RAM) Plan for the above referenced site.
The RAM Plan has been prepared by Fuss & O'Neill, Inc. in accordance with the
requirements of 310 CMR 40.0444 of the MCP. The RAM Plan, prepared by Licensed Site
Professional (LSP) David L. Bramley (LSP 147639), has been filed with the Massachusetts
Department of Environmental Protection(MADEP)Western Regional office in Springfield,
Massachusetts. Appointments to review the MADEP site files can be made by calling the
MADEP Western Regional office at(413) 784-1100.
The purpose of the RAM is to reduce the volume of petroleum-contaminated soil resulting
from releases of former underground storage tanks. To meet this objective, the RAM will
involve the excavation of approximately 450 cubic yards of soil. The excavated soil will be
transported to an off-site soil recycling facility and the excavation will be backfilled with
clean soil. The RAM is expected to be implemented in early March 2001.
I f you have any questions regarding this matter,please contact the undersigned at(413)452-
0445 extension 423 or John Ziegler at(413)452-0445 extension 413.
Sincerely,
Pdeeeedaade
David L. Bramley, PE, LSP
Senior Environmental Engineer
c: Barry Fogel, Keegan, Werlin&Fabian
Ernest Booth
P22000A20006n t A I0 RAM\RAh1_Netltwyd
_ogres.(MA)
JANE SWIFT
Governor
COMMONWEALTH OF MASSACHUSETTS
EXECUTIVE OFFICE OF ENVIRONMENTAL AFFAIRS
DEPARTMENT OF ENVIRONMENTAL PROTECTION
WESTERN REGIONAL OFFICE
DEC - 72001
URGENT LEGAL MATTER
Ernie's Texaco
72 King Street
Northampton, MA 01060-0000
Attn: Ernest Booth,Owner
RTN: Northampton p1-0274
72 King Street
Emie's Texaco
Compliance Deadline
ESTABLISHMENT OF INTERIM DEADLINE
Dear Mr. Booth:
BOB DURAND
Secretary
LAUREN A.LISS
Commissioner
On October 17, 2001, the Department received a letter prepared on your behalf by Fuss & O'Neill, Inc.
requesting an extension of time from December 15,2001 to June 30, 2002, for submittal of the Phase III,
Comprehensive Response Actions report or Response Actions Outcome(RAO). The December 15, 2001,
Interim Deadline was established by an Administrative Consent Order(ACO-WE-01-3004) dated April 6,
2001.
The Department,pursuant to 310 CMR 40.0167, is establishing June 30, 2002, as an Interim Deadline for
you to submit the Phase III Comprehensive Response Actions reports or RAO. If this Deadline is not met
the Department may initiate enforcement actions for failure to comply with Regulatory Deadlines.
According to 310 CMR 40.0560(7), if a Permanent Solution or Remedy Operation status is not achieved
prior to the expiration of a Tier II Classification, a Tier II Extension Status Report must be submitted at
least 60 days before the expiration of Tier II Classification. In this case the second Tier II Extension
expires on March 28, 2002. Therefore, as stated in the ACO, you are required to file a Tier II Extension
Request by January 28,2002, unless an RAO is filed sooner.
I hope this clarifies the Department's position relative to extension of regulatory deadlines.
This information is a.aiiable in alternate format br calling our ADA Coordinator at 1617)574-687L
436 Dwight Street•Springfield.Massachusetts 01103•FAX(413)784-1148•TDD(413)746-5620•Telephone(413)784-1100
CJ Printed on Recycled Paper
Northampton, 1-0274
Clearly of overriding importance in this matter is continued progress in the clean up at this site. The
Department recognizes that sometimes delays in response actions can be unavoidable. The Department
appreciates and thanks you for the notification of delay in compliance and your continued efforts in the
clean up at this site.
If you have any questions,please contact Michael Scherer at 413/755-2278 or Baffour Kyei at 413 755-2158.
Y;
-Richard M.ireed
Section Chi -
Site Management/Permits
Bureau of Waste Site Cleanup
0274.id BK
CC: David L. Bramley,LSP,Fuss&O'Niell Inc.,78 Interstate Drive,West Springfield,MA 01089
Site files,BWSC,WERO
Northampton Board of Health
Northampton CMO
ms
Page-'ofl
Notwithstanding this Notice of Noncompliance, the Department reserves the right to exercise the full
extent of its legal authority, including,but not limited to,criminal prosecution,civil action including
court-imposed civil penalties, or administrative penalties assessed by the Department, in order to obtain
full compliance with all applicable requirements.
INDUSTRIAL WASTEWATER ISSUES
During the May 31, 2002 inspection of your facility,Department personnel observed two floor drains in
the garage area of this facility. These floor drains may allow spilled chemicals and/or industrial
wastewater to discharge to groundwater, a sewer, or some other location. The Department is
requesting that you submit documentation to the Department regarding the point(s)of discharge
of these floor drains. This documentation may include piping plans and/or dye tests,certified by a
registered professional engineer, and/or other documentation approved by the Department. The
Department requests that you submit this documentation to the Department within 30 days of the
date of receipt of this Notice.
If you have any questions regarding this Notice of Noncompliance,please contact Juliana Vanderwielen
at 413-755-2256.
Sincerely,
Mo dem itatiwiG✓
Section Chief
Compliance&Enforcement
Bureau of Waste Prevention
SM/JV/jv
enclosure(s) Table of Required.Stage//Tests
List of Testing Companies
Summary of Requirements for Small Quantity Generators of Hazardous Waste
cc: Steven Ellis (2 copies), Carla Shanahan/WERO
Northampton Board of Health
Northampton Fire Department
Northampton Department of Public Works
ANE SWIFT
governor
COMMONWEALTH OF MASSACHUSETTS
EXECUTIVE OFFICE OF ENVIRONMENTAL AFFAIRS
DEPARTMENT OF ENVIRONMENTAL PROTECTION
WESTERN REGIONAL OFFICE
JUN E 8 2002
CERTIFIED MAIL NO.7001 1140 0003 4427 7981
RETURN RECEIPT REQUESTED
Emie's Texaco
72 King Street
Northampton,MA 01060
Attn: Ernest Booth
BOB DURAND
Secretary
LAUREN A LISS
Commissioner
Re: BWP—Northampton
Erlrie's Texaco
72 King Street
FMF# 135987
HW ID#MAV 000 004 603
HW Class:VSQG;WO Class. VSQG
Noncompliance with
• MGL Chapter 111,§§142 A-M, 310
CMR 7.00 (Air Pollution Control
Regulations)
• MGL Chapter 21C, §§ 1 -14, 310
CMR 30.0000 (Hazardous Waste
Regulations)
Enforcement Document No.NON-WE-02-9038-27
NOTICE OF NONCOMPLIANCE
THIS IS AN IMPORTANT NOTICE. FAILURE TO TAKE ADEQUATE ACTION IN
RESPONSE TO THIS NOTICE COULD RESULT IN SERIOUS LEGAL CONSEQUENCES.
Dear Mr. Booth: '
Department personnel observed on May 31,2002 that the above referenced faociility as in enforced by
noncompliance with one or more laws,regulations,orders,licenses,permits,
the Department. Specifically,Department personnel observed that this facility was in noncompliance
with applicable Air Quality and Hazardous Waste regulations.
Attached is a written description of(1)the activities in noncompliance,(2)the requirement(s)violated,
(3)the action(s)the Department now requires you to take,and(4)the deadline(s)for taking such
action(s). M administrative •enal ma 'be assessed for eve da from now on that ou are in
noncompliance with the requirements described in this Notice of Noncompliance,
This information is available in alternate format by calling our ADA Coordinator at(617)574-6871.
436 Dwight Street•Springfield,Massachusetts 01103•FAX
on 3 )784letl •
9. T00(413)746-8620•Telephone(413)784.1 TAO•
Page f7
2) Failure to post a "WASTE OIL" sign in the waste oil/used oil fuel accumulation area, in
violation of 310 CMR 30.205(19), 310 CMR 30.253(5)(4 310 CMR 30.353(6)(h), 310
CMR 30.340(1)0).
3) Failure to clearly mark the waste oil/used oil fuel accumulation area boundary, in violation
of 310 CMR 30.20509), 310 CMR 30.253(5)(c),310 CMR 30.30353(6)(h)and 310 CMR
30.3400)(k).
4) Failure to determine whether waste being accumulated is hazardous, in violation of 310
CMR 30.302. There was a drum of unknown material being stored outside of the garage.
5) Failure to keep records of the following, in violation of 310 CMR 30.205(14)and 310 CMR
30.221(3).
a. Amount of used oil fuel accumulated or stored at the beginning of the calendar year.
b. Amount of used oil fuel received and generated during the calendar year.
c. Amount of used oil fuel accumulated or stored at the end of the calendar year.
6) Failure to provide secondary containment of outdoor accumulation of hazardous wastes, in
violation of 310 CMR 30.353(6)(h)and 310 CMR 30.340(1)(g).
7) Failure to keep at the site of generation copies of manifests of hazardous waste shipments by
the generator for the most recent 3 years, in violation of 310 CMR 30.331(1).
8) Failure to operate the hazardous waste accumulation area to prevent and to minimize the
possibility of any threat to public health, safety or welfare, or the environment from a
sudden or non-sudden release of hazardous waste to the air, soil, surface water, or
groundwater, in violation of 310 CMR 30.253(5)(c)and 310 CMR 30.353(4).
9) Failure to operate waste oil accumulation area with appropriate security measures, in
violation of 310 CMR 30.340(1)(i).
ACTIONS TO BE TAKEN AND THE DEADLINE FOR TAKING SUCH ACTIONS:
I. Noncompliance with the Massachusetts Statute Regulating Air pollution,MGL Chapter 111,
Sections 143 A-M, and the Regulations Which Implement Such Statute,310 CMR 7.00
1) Immediately upon the date of receipt of this Notice, the fill pipe cap must be clamped down
such that it forms a tight seal. The caps must be kept closed and tightly sealed at all times
(except when a tank truck is loading gasoline into the tanks).
2) Within 7 days of the date of receipt of this Notice, conspicuously post the Stage II system
operating instructions on both sides of all motor vehicle fuel dispensers or at a position
adjacent to the dispensers which is clearly visible to the system operator during the refueling
process for dispensing motor vehicle fuel using the vapor collection and control system. These
operating instructions must include, at a minimum, a clear description of how to correctly
dispense motor vehicle fuel using the system, a warning not to attempt continued refueling after
automatic shutoff, and the telephone number of the Department's Stage II Consumer Hotline.
Emlo]reSICO,FMFP 135987
NO/ E0903&2?
Page 3of7
NOTICE OF NONCOMPLIANCE
NON-WE-02-9038-27
NONCOMPLIANCE SUMMARY
NAME OF ENTITY IN NONCOMPLIANCE:
Emie's Texaco
LOCATION WHERE NONCOMPLIANCE OCCURRED OR WAS OBSERVED:
72 King Street
Northampton,MA 01060
DATE WHEN NONCOMPLIANCE OCCURRED OR WAS OBSERVED:
May 31,2002
DESCRIPTION OF NONCOMPLIANCE AND THE RE.UIREMENT S NOT COMPLIED
WITH:
I. Massachusetts Statute Regulating Air Pollution,MGL Chapter 111, §§ 142 A-M,and the
Regulations Which Implement Such Statute,310 CMR 7.00
1) Failure to install,maintain,one and properly fill pipes era operate Stage I a tight seal.violation of 3W CMR of
7.24(3)0). P
2) Failed to conspicuously post Stage II system operating instructions on both sides of all motor
vehicle fuel dispensers or at a position adjacent to the dispensers which is clearly visible to the
system operator during the refueling process (must include Stage II Consumer Hotline phone
number),in violation of 310 CMR 7.24(6)(a)5.
3) CMR 7.24(6)03)2.r Training record tmust include date trained,printed name ndviolation
s tgnature 310 on-site a
acknowledging receipt of the training.
4) Failure to maintain on-site Stage ien II
of system e CMR 7 q nc(6)(b)3.log for the most recent rolling
twelve month period,in
5) Failure to conduct required Annual hr Use Compliance Tests,in violation of 310 CMR
724(6)(c)3. According to Department records,the Stage B tests were last conducted on April
26, 1997 and no testing has been conducted since this date.
❑, Massachusetts Hazardous Waste Management Act,MGL Chapter 21C,§§ 1 -14, and the
Hazardous Waste Regulations,310 CMR 30.0000
1) Failure to properly label waste oil/used oil fuel storage containers and/or tanks,in violation
of 310 CMR 30.205(19),310 CMR 30.253(5), 310 CMR 30.353(6)(g),and 310 CMR
30.682.
Fn esT zo-o£M£a 135937
NON.W£ __yp39-D
Pogo 617
5) Immediately upon the date of receipt of this Notice, begin keeping the following records:
a) Amount of used oil fuel (waste oil for burning in space heater)accumulated or stored at
the beginning of the calendar year.
b) Amount of used oil fuel received and generated during the calendar year.
c) Amount of used oil fuel accumulated or stored at the end of the calendar year.
These records must be kept to demonstrate that speculative accumulation is not occurring.
Speculative accumulation is deemed not to be occurring if, during the calendar year
(commencing on January 1), the amount of used fuel oil that is burned in your used oil fuel
space heater equals at least 75 % of(by weight or volume)the total amount of used oil fuel
accumulated or stored during the calendar year. Speculative accumulation is prohibited.
6) Within 14-days of the date of receipt of this Notice, either store any drums of hazardous waste
indoors or provide secondary containment for the storage of hazardous waste drums outside.
The secondary containment system must be designed and at all times operated so that capacity to contain either 10%of the total possible ontained volume of the containers t and the
above-ground tanks, or 110%of the volume of the largest container or above-ground tanks,
whichever is greater.
7) Within 14 days of the date of receipt of this Notice, maintain the last 3 years of copies of
hazardous waste manifests signed by destination facility owner or operator. This would include
any manifests for any hazardous waste from the parts cleaner, waste oil,and hazardous waste
obtained from cleaning out the oil/water separator. For any wastes for which you currently do
not have and are not able to obtain a copy of the hazardous waste manifest signed
destination facility or for any copies where you do not receive a signed copy
the date the hazardous waste was accepted by the initial transporter,you must o tact the
transporter, owner,and/or operator of the designated facility to determine the status of the s of
hazardous waste. If you do not receive a signed copy within 45 days of the date the hazardous
waste was accepted by the initial transporter, you must submit an Exception Report to the
Department. The Exception Report shall include the following:
(a) A legible copy of the manifest for which the generator does not have confirmation of
delivery;
(b) a cover letter signed by the generator, or an authorized representative of the
generator, explaining the efforts taken to locate the hazardous waste and the results
of those efforts.
•
8) Within 7 days of the date of receipt of this Notice, begin operating the hazardous waste
accumulation area to prevent and to minimize the possibility of any threat to public health,
safety or welfare, or the environment from a sudden or non-sudden release of hazardous waste
to the air, soil, surface water, or groundwater.
9) Within 7 days of the date of receipt of this Notice, begin operating the waste oil/used fuel oil
storage area with adequate security(such as locking the outside waste oil storage area to limit
public access).
Please note the following:
If you intend to or accept waste oil from off-site, then the following conditions must be met:
Emki Tmrzo,FNF M 175987
NON WE-0'-9038.9
pages of 7
d
3) Within 14 days of the date of receipt of this Notice,begin maintaining on-site a Curren rec rec
of all Stage II trained persons. The training record must include date trained,printed name r
signature acknowledging receipt of the training.
4) Within 7 days of the date of receipt of this Notice,begin maintaining an on-site Stage II system
maintenance log for the most recent rolling twelve-month period. The log must include the
following:
a) date of each inspection(weekly,at a minimum)
b) list of all Stage II system components re-installed,repaired or replaced
c) signature of the person who performed the inspection
d) date and first result of each Stage II test
e) date each test passed.
5) Within 21 days of the date of receipt of this Notice,conduct the required Annual In-Use
this Notice. All tests must have passing required tests
order to meet Department requirements.with
Within 14 days of completing testing,submit copies of the testing results to the
02108) and to
the Department's artment's
Boston office to the attention of Jeff Gifford(One Winter Street,Boston,MA
the Department's Springfield office(letterhead address)to the attention of Juliana
V anderwielen. Within 30 days of passing the required Annual In-Use Compliance Tests,
submit a fully completed and signed In-Use Compliance Certification form(enclosed)to the
Department's Boston office to the attention of Jeff Gifford.
II
ha assachusetts
ardour Waste Regulations,an CMR 30.0000 Act, GL Chapter 21C,Sections 1 - 14,and
1) Immediately a receipt Notice, c label tanks
containing s e oil to be burned in your this
eoil space heater. Tanks and containers
containing this waste oil must be clearly marked and labeled with the following: "Regulate
Recyclable Material"(or"Used Oil Fuel"),"Waste Oil",and"Toxic". Marks and labels
must be placed on the sides of each tank or container in such a manner that they are clearly
visible.
2) date t place OIL" ot
accumulation area. The sign must met the guidelines the National Fire Protection
Associations code 704,with the words"WASTE OIL" in capital letters at least 1 inch high.
3) Within 7 days of the date of the receipt of this Notice,mark the boundary of the accumulation
area(e.g.by a clearly visible line or piece of tape on the floor,by a gate or fence,or by a sign at
the boundary of a clearly distinguishable area).
4) being stored outside at the time of the of
on are hazardous wastes,by testing the waste
material for applicable hazardous constituents. Submit the results of these tests to the
Department within 3 days of receipt from a certified laboratory. If it is determined that these
wastes area hazardous wastes,then these wastes must be stored,handled,and disposed of in
accordance with 310 CMR 30.0000.
MA DEP STAGE H PROGRAM
STAGE II TESTS FOR BALANCE AND BOOTLESS SYSTEMS
The matrix shows the required Stage II tests and frequency for balance and bootless systems
under the revised Stage II regulation effective 1/1/01
System Type & Pressure Decay Effective 1/1/01
GARB # Dynamic Back
Leak Test Pressure Test Liquid Air/Liquid
Balance Systems Blocka_e Test
G-70-52-AM Upon installation or Upon installation or - Ratio Test
substantial modification*and substantial modification* and Not Applicable
Bootless Vacuum every 3 years every 3 years
Assist S stems
_______ 111.11111.1111111111111
GilbarcoVaporvac Annually
G-70-150-AE Upon installation or Upon installation or
substantial modification* and substantial modification* and lie
Dresser Waynevac every 3 ears
eve 3 ears
Upon installation or Upon G-70-153-AD substantial modification*and substantial modification* and
Tokheim Maxvac eve 3 ears — EMI
Upon installation or eve 3 ears
G-70-154-AA substantial modification* and Upon installation or
substantial modification* and le
Franklin Intellivac Annually every 3 ears eve 3 ears
6-70-169-AA Upon installation or Upon installation or
substantial modification* and substantial modification*and Annually
Callow Gilbarco Annually
eve 3 years
Upon installation or eve 3 ears
G-70-188 Upon installation or Annually
substantial modification*and substantial modification*and
OPW VaporEZ Annually eve 3 ears
Upon installation or eve 3 ears Upon
G-70-]63-AA substantial modification* and substantial modification*and Annually
eve 3 cars eve 3 ears
* Substantial modification: Replacement of one system type to another, e.g., Balance to Bootless system, new pumps/dispensers,new
product lines or vapor recovery lines, new vent lines, or new storage tanks. Note: Tests notated as "Annuall y", are also required at
installation, substantial modification, and every three years.
E nic Texaco.PUP#135957
nog.7(7_17 iez)
Pa&OUJ7
a) You may only accept waste oil from Very Small Quantity Generators(VSQGs) of waste
oil and from household generators of waste oil.
b) The VSQG from whom you accept the waste oil must be registered with the Department
as a generator of waste oil.
c) The VSQG from whom you accept the waste oil may not transport more than 200 kg
(approximately one 55-Gallon drum) at one time.
d) The VSQG and fhe household generator must bring the waste oil to your facility.
e) You must maintain receipts for waste oil brought to the facility by VSQGs of waste oil.
Each receipt must include the content(waste oil)and quantity of the material and date of
delivery. Both you and the VSQG delivering the waste oil must sign each receipt. Each
receipt must consist of 2 copies: one copy for your records and one for the VSQG
delivering the waste oil. Both you and the VSQG delivering the waste oil must keep each
receipt for at least three years after the date that the material is received by you.
• The Department has other requirements for the management,storage,handling,and transport
of other hazardous waste and waste oil that will not be burned in the used oil space heater.
Many of these requirements are summarized in the enclosed Summary of Requirements for
Small Quantity Generators of Hazardous Waste. Waste oil containing Polychlorinated
Biphenyls(PCBs)(PCBs are found in transformer oil) is considered to be hazardous waste
and may not be burned in your space heater.
• The Massachusetts Board of Fire Prevention has regulations regarding used oil fuel space
heaters and the storage of waste oil (527 CMR 9.06). These regulations include a requirement
to obtain from your local fire department a permit to operate a used oil fuel space heater and a
permit to store waste oil. You should contact your local fire department for further information
regarding the Board of Fire Prevention requirements for used oil fuel space heaters and the
storage of waste oil and/or other hazardous wastes.
Ernie's Texaco must no the D-.artment in wttin• of the ste s that it too is takin: or .tans to take in
res.onse to the above-cited violations and of its intentions to com 1 and remain in compiance with the
above referenced regulations. Said notification shall be ostmarked or otherwise receivedb the
De artment within fourteen 14 da s from the date of receipt of this Notice.
■
Date
JUN 8 8 2002
Saadi Motamedi
Section Chief
Compliance&Enforcement
Bureau of Waste Prevention
Fuss&O'Neill Inc. consulting Engineers
June 30, 2003
70 Interstate Drive,West Springfield,MA 01089
TEL 413 452-0445 FAX 413 846-0497
INTERNET:WWW.tussandonelll.com
other Offices:
Manchester,Connecticut
Providence,Rhode Island
Trumbull,Connecticut
Columbia,South Carolina
Greenville,North Carolina
Richard M. Green
Section Chief, Site Management/Permits
Bureau of Waste Site Cleanup
Massachusetts Department of Environmental Protection
436 Dwight Street
Springfield,MA 01103
Re: Phase V Status Report
Ernie's Texaco,72 King Street,Northampton, MA
RTN 1-0274,ACO-WE-01-3004
Dear Mr Green,
On behalf of Mr. Ernest Booth, we are submitting this letter to serve as a Phase V
Status Report for the above referenced site, pursuant to 310 CMR 40.0892. The
MCP transmittal form is attached to this letter. This report details the results of the
first six months of Phase V monitoring activities conducted as outlined in the Phase
IV Final Inspection Report. Remediation consisted of injection of oxygen release
compound (ORC) to treat petroleum hydrocarbons present in groundwater.
Analytical data from the monitoring events are attached as Table 1 and indicate that
hydrocarbon concentrations in groundwater have decreased significantly following
ORC injection.
The first quarterly groundwater monitoring event was conducted on January 10,
2003 and included seven wells identified as MW-5, MW-6, MW-8, MW-10, MW-
16, MW-18, and MW-19. The location of these wells is depicted on the plan
included as Figure 1. Groundwater samples were analyzed for volatile petroleum
hydrocarbons (VPH) by the Massachusetts Department of Environmental Protection
(MADEP) VPH method. A second quarterly groundwater monitoring event was
conducted on April 22 and April 23, 2003 and included twelve wells. In addition to
the wells MW-9, MW-15, and MW-17 first
was sampled event,
mpledand oanalyzed r wells for VPH by the MADEP
VPH method.
As summarized in Table 1, hydrocarbon concentrations in groundwater detected for
the past two sampling events following ORC injection do not exceed applicable
F:\P2000 @000691SAIO\Phase V\Status Report ARH0609.doc
Cones.(MA)
Fuss&O'Neill Inc. Consulting Engineers
Mr. Richard M. Green
June 30, 2003
Page 2
MCP Method 1 standards. In addition, hydrocarbon concentrations indicate a
decreasing trend since ORC injection. Groundwater elevations for the two post-
ORC injection monitoring events are within historically observed ranges (Table 2)..
Field measurements of dissolved oxygen indicate that sufficient oxygen remains in
the aquifer to allow bioremediation processes to continue.
No modifications to the monitoring plan outlined in the Phase IV Final Inspection
Report were made during this monitoring period. In addition, no problems or
conditions were noted during the monitoring period that may affect the performance
of the remedial action. Two additional quarterly monitoring events are planned as
was detailed in the Phase IV Final Inspection Report. Assuming that groundwater
quality trends continue, we expect that a Response Action Outcome Statement can be
filed for this site following the final quarterly monitoring event.
Again, we are encouraged by these monitoring results. In accordance with 310 CMR
40.1403(e), copies of this document have been provided to the City of Northampton
Mayor and Board of Health. If you have any questions regarding this submittal,
please do not hesitate to contact either of the undersigned at(413) 452-0445.
Sincerely,
Addie Rose Holland Herbert E. Woike,LSP
Hydrogeologist Project Manager
w/Attachments
Figure 1 —Post-ORC Monitoring Plan
Table 1 —Post ORC Injection Groundwater Analytical Results
Table 2 —Groundwater Elevation Summary
BWSC Transmittal Form BWSC-108
c: Ernest Booth—Emie's Texaco
Barry Fogel—Keegan,Werlin&Pabian, LLP
Clare Higgins—Mayor, City of Northampton
Peter McErlain—Northampton Board of Health
F\P2000.200069l AIO\Phase V\Status Report ARH0609 doc
Cores.(MA)
TABLE
POST-011C INJECTION GROUNDWATER ANALYTICAL RESULTS
ERNIE'S TEXACO
72 KING SWEET
NORTHAMPTON.MA
SITE 014274
June 2003
Method 1 Sample amuel IL MW-4
MW-5 MW-6 MW-7 MW-8 MW-9
MCP Standards FAO Sample IL 311031200310211/1020008 3110]/2003 21 1030110-07 211010423-14 211030423.11 211010100TH 31101W00-0fi 3110012
OW-2 GW-3 Date 1Rl/1W) IIIOISCO 1/312001 IIIOI3W] M]I/EWl 1l3]RWI 1/102001 4422/3001 IR333001
Parameters VMalila Petroleum Hydrocarbon <690 <69.0 <690 1990 <69.0 <69.0 1R 189 <690
CSCS AIipbtllu 1000 4000 ug/L 415 410 pap 331 1S9 <690
C9-C13 Aliphe(rs IUA 20000 uWN. <34,0 p1A pl0
C9410 Armmicl 5000 4000 up/4 <20.0 <200 <20.0 337 351 <200 475 529 <200
Volatile Organic Compounds 0 <90 p0 p0
Ethyl d0 <3.0 CO<]0 39 272 25 50
Benzene 2000 4000 up/4 <30 <30 <3.0 pa 3.0 pa G <5 <30
MTBBmune f 4000
0000 matt 10 <30 <30 755 1610 4.5 <)o
NaphE <10.0 <100 <10.0 13.7 193 <10.0 <10.0 144 <'00
Naphthalene 6000 6000 ug/L p0 <3 0 <30 < 0 40 <30 <30 <l0 <3.0
Toluene 6000 500W ugh <60 <60 <60 147 120 <60 361 043 <6.0
o-Xyleneu 6900 50000 ugh <30 <1.0 <30 <30 <30 <3.0 <3 0 <30 ]0 6000
oXylme 50000 ugh
Pieldhnmatm __ SU. 641 698 637 689 633 642 645 630 680
pH mgt 672 292 9.63 440 874 7.84 2.10 5
0Dissolved
3P dOnYBen —. — 172 -852
ORP —. — -IfA.fi 51 812 J3 Q41 �81
Nme:
OW-2 standard applies to MW-I6 only. All remaining wells are more than 30 feet from the misting building.
VPH and VOC analysis performed by MADE?VAN Method
Results in heM Bolin indicate exeWrnoa or Method I GW-2/GW-3 Standards.
mgh°miemgnms per liter
mV=millivolts
Nit 9 No reading
5U.°Standard Units
ug/L=micrograms per liter
Pagel of 2
F\PW
20I20AS91N1%PMSe NGW data.xis
TAKE I
POST.ORC INJECTION GROUNDWATER ANALYTICAL RESULTS •
ERNIE'S TEXACO
72 KING STREET
NORTHAMPTON,MA
SITE#1-0274
June 2003
Method Semple ampe In 04 20 M-05 1021101 MW-I5 MW-26 MW427
MW-15. MW-19
MCP Standards F60 Sample ID 1/0/200001101 24/21/1003« 211/10/20035 314/12/200 5 31402/1005] 311OI�00003 31412'11100300 214031200115 21103011002 1/10/2003 2140001] 211050000-02 311/121200 3
Pnrmnen <69.0 7690
V91e[ilCPCrdeum ticJrornrE°n 2420 466 2860 469 <69.0 <690 <690 <69.0 <69.0 <69,0
CO-CI Plipnlm IOW 4000 ugll. 12300 2490 UMW 2140 <340 <340 <340 <3400 <340 <340 <300 <340
C9-C10 AL0b[iu 5000 2400 ugh 1580 632 5003 WI <300 <200 <10.0 <20.0
• A[omnia 5000 4000 °911 <30 <30 <30 <10 <10
Volmile Orville Compound[ e30 7148 <10 Q0 7348 7148 <3.0 n0 7148 OO 00
Ethyme 2000 7000 ug/L 139 5A 132 <l0 <30 <30 <30 88 `50 <160 446
MM1YIRmzme 50100 5000 ugll <30 <30 4.1 42 299 292 <30 53
MTBE 50"00 600 Ugh 898 320 150 365 <100 <100 <100 <100 <10.0 <100 <100 <j0.0
TrpMnel<ne 6000 50000 1811 <10 <10 <30 <30 Q0 <3.0 <30 <30 <6.0 <60 <30
mlp-• Xe 6000 50000 12611. 2520 724 m0 <60 m0 m0 <60
mlXyleuene NA0 50001 1211 21110 751 <3 0 0 <3.0 <30 QO 30 <1.0 n0 <]0 <3.0
rvXYlme 6GW 50000 ueA < <
36 0. 649
Field Pmme[en S.U. 611 611 6l] 6.31 6.O 617 6.24 8p N0.. 10.13 N0. IO SI
H Llq 8.54 2.35 4 .3,] NR. TAO
01W• Oxygen mI,V 49 -5]l .49 .73 80.8 Id6 482 12] N R
ORP _. m
Notes standard analivmMW
All remains wells e
e more then
VPH and VOC analysis perfwnned by MAO EP VPI1
Results in hold lm6r vliwmmec Lnw of Method IGW_YGWd
Smnlert
mg/L-m mbmmi per liter
mV-millivolts
N R.-No reading
S.O.-Standard Uniu
u2IL-micrograms per liter
Page 2 or2
F_1P2CW[2000091 W105PMae1AGW 1aln.Ms
TABLE 2
GROUNDWATER ELEVATION SUMMARY
ERNIES TEXACO
72 KING STREET
NORTHAMPTON.MA
SITE 41-0273
JUNE 2003
Static Water Level
Location Ground F.PVCiCn Depth 12'Elevation Depth Mr 10,
Elevation Depth ElevviOn Depth Elevation Elevation Depth April 29Elaaion Depth September l Elevation Depth�lOElevation Dept April 22Elevation
10 G(FD PVC l) FT FT JFT) .OFD �FT) , (D 1V JFT�_ JFTL _in) _ AFT] -(� -�-J �� (FT)
(FD (96 -���. 1 ).�.
MW-I 96.02 96 6.05 89.95 7.45 88.55 7.45 88.55 6.90 89.10 6.35 89.65 6.93 89.07 NM NA NM
MW 1 NM NM 865 NA @.5 NA DRY NA 6.W NA 8.08 NA DRY NA NM NA NM NA
MW-4 97.24 97.17 7.4 89977 805
88.52
8858 8.85
04 1029 9.00 90.30 8.30 91.00 9.06 9024 059 90.75 8.05 9115
MW-5
.6 99,43 9.3
88.72 9.9(I) 88.42 678(1) 89.54 8.5(I) 89.82 9.58(1) 88.74 NM NA 822 89.56
MW-S 99.69 99.36 9.35 9001 10.9 88.46 Ild 87.96 9.00 8931 9.60 89.76 10.48 88.88 9.8 89.56 918
MW-7 98.32 97.78 NM NA 9.6(I) 9.2 90 16
MW-9 99.62 99.36 7.5 W38 10.7 88.78 10.85 88.33 9.70 89.48 9.15 WA3 1035 88.83 NM 90.69
10.26 88.92
MW-9 99.29 99.18 8.H
MW-15 00.0 9942 8.5 88.92 9.35 88.07 NM NA 5.97 91.45 8.55 88.87 8]8 88.64 NM 88.95 1031
MW-I6 9951 9928 10.15 89.56 9.5 8]83 11.8 8]08 1351 87.20 9.10 90.61 10.62 89.09 NM NA 10.24 89.47
MW-17 99.54 99.28 7.65 91.78 9.45 89.83 10.2 89.08 8.93 90.35 8.20 91.08 9.23 90.05 NM 92
NA 4.43 92
202
MW-17 9954 9N11 165 91.56 10 .2921 10.5 Did Not Exist ell 90.30 Bd0 90.81 10.05 89.16 8.98 NM 1.43 9NM
MW-19 NM NM Did Not Exist
•
MW-19 NM NM
Notes'
Elevation based on assumed reference elevation of 100.16 feet. .
Static water levels measured from top of PVC casing unless otherwise noted.
NM=Not Measured
NS=Not Surveyed
Monitoring wells MW-16 and MW-I]installed by Fuss&O'Neill. Remaining wells installed by others.
(I)Measured from top of protective cover(i.e.,ground).
F:\P2000\20c0691Nl 0\Water_Levels.xls
Massachusetts Department of Environmental Protection
Bureau of Waste Site Cleanup
COMPREHENSIVE RESPONSE ACTION TRANSMITTAL
FORM & PHASE I COMPLETION STATEMENT
Pursuant to 310 CMR 40.0484(Subpart D)and 40.0800(Subpart H)
BWSC-108
Release Tracking Number
1
0274
A. SITE LOCATION:
Site Name:(optional)
Street: 72 King Street
City/Town:
Related Release Tracking Numbers that this Form Addresses:
Tier Classification: (check one of the following) ❑ Tier IA ❑ Tier lB n Tier IC
If a Ter I Permit has been issued,state the Permit Number'
Northampton
Location Aid
ZIP Code:
01060
0
Tier II ❑ Not Ter Classified
B. THIS FORM IS BEING USED TO: (check all that apply)
❑ Submit a Phase I Completion Statement,pursuant to 310 CMR 400484(complete Sections A,B,C,G.H.I and J).
U Submit a Phase II Scope of Work,pursuant to 310 CMR 400834(complete Sections A,B,C.G,H.I and J).
fl Submit a final Phase II Comprehensive Site Report and Completion Statement,pursuant to 310 CMR 40.0836
(complete Sections A,B,C.D,G.H,I and J).
❑
Submit a Phase III Remedial Action Plan and Completion Statement,pursuant to 310 CMR 40.0862
(complete Sections A.B.C.G.H.I and Jt.
O Submit a Phase IV Remedy Implementation Plan,pursuant to 310 CMR 40.0874(complete Sections A,B,C.G,H,I and J).
fl Submit an As-Built Construction Report,pursuant to 310 CMR 40.0875(complete Sections A.B,C.G,H.I and J).
• Submit a Phase IV Final Inspection Report and Completion Statement.pursuant to 310 CMR 40.0878 and 40.0879
(complete Sections A B,C,E,G.H,I and J).
O Submit a periodic Phase V Inspection&Monitoring Report,pursuant to 310 CMR 40.0892(complete Sections A.B,C.G,H,I and J).
❑ Submit a final Phase V Inspection&Monitoring Report and Completion Statement,pursuant to 310 CMR 40.0893
(complete Sections A B.C,F,G,H,I and J). copies of
You must attach any Legal Notices and Notices to Public Officials required rg red by 310 CMR 40.1400. co of form indicated,
C. RESPONSE ACTIONS:
piCheck here if any response action(s)that serves as the basis for the Phase subnittal(s)involves the use of Innovative Technologies. (DEP is
interested in using this information to create an Innovative Technolooies Clearinghouse.)
Describe Technologies: Oxygen Release Compound
D. PHASE II COMPLETION STATEMENT: -
Specify the outcome of the Phase II Comprehensive Site Assessment:
• Additional Comprehensive Response Actions are necessary at this Site based on the results of to Phase II Comprehensive Site Assessment.
o The requirements of a Class A Response Action Outcome have been met and a completed Response Action Outcome Statement(BWSC-104)
will be submitted to DEP.
❑ The requirements of a Class B Response Action Outcome have been met and a completed Response Action Outcome Statement(BWSC-104)
will be submitted to DEP.
fl Rescoring of is Site using the Numerical Ranking System is necessary,based on the results of the final Phase II Report.
E. PHASE IV COMPLETION STATEMENT:
Specify the outcome of Phase IV activities: to achieve a Response Action Outcome.
• Phase V operation,subject ject maintenance e monitoring of Maintenance and Monitoring Annual Com Compliance Fee.)
(This site will be subjeol o a Phase V Operation, _
E The ensure the integrity of the Response Action Outcome. Acompleted Response se additional Actin Outcome Statemennt(BWSCr104)1will be submitted to
DEP.
❑ The requirements of a Class C Response Action Outcome have beeen Response t additional Outcome Statement emnan a or104)ioll ng be is necessary rto
ensure the integrity of the Response Action Outcome. A comp
DEP.
Revised 3/30/95
SECTION E IS CONTINUED ON THE NEXT PAGE
Supersedes Forms BWSC-010 On part)and 013
Do Not Alter This Form
Page 1 of 3
Massachusetts Department of Environmental Protection
Bureau of Waste Site Cleanup
COMPREHENSIVE RESPONSE ACTION TRANSMITTAL
FORM & PHASE I COMPLETION STATEMENT
Pursuant to 310 CMR 40.0484(Subpart D)and 40.0800(Subpart H)
BWSC-108
Release Tracking Number
1
0274
E. PHASE IV COMPLETION STATEMENT: (continued)
❑ The requirements of a Class C Response Action Outcome have been met. Further operation,maintenance or monitoring of the remedial action is
necessary to ensure that conditions are maintained and that further progress is made toward a Permanent Solution. A completed Response
Action Outcome Statement(BW SC-104)will be submitted to DEP.
Indicate whether the operation and maintenance rill be Active or Passive. (Active Operation and Maintenance is defined at 310 CMR 40.0006.):
0 Passive Operation and Maintenance
(Active Operation and Maintenance makes the Site subject to a Post RAO Class C Active Operation and Maintenance Annual Compliance Fee.)
F. PHASE V COMPLETION STATEMENT:
C) Active Operation and Maintenance
Specify the outcome of Phase V activities:
❑
The requirements of a Class A Response Action Outcome have been met and a completed Response Action Outcome Statement(BWSC-104)
will be submitted to DEP.
❑ The requirements of a Class C Response Action Outcome have been met. No additional operation,maintenance or monitoring is necessary to
ensure the integrity of the Response Action Outcome. A completed Response Action Outcome Statement(RWSC-104)will be submitted to DEP.
The requirements of a Class C Response Action Outcome have been met. Further operation.maintenance or monitoring of the remedial action is
❑ necessary to ensure that conditions are maintained and that fuller progress is made toward a Permanent Solution. A completed Response
Action Outcome Statement(BWSC-104)will be submitted to DEP.
Indicate whether the operation and maintenance will be Active or Passive. (Active Operation and Maintenance is defined at 310 CMR 40.0006):
0 Passive Operation and Maintenance
to a Post-RAO Class C Active Operation and Maintenance Annual Compliance Fee.)
0 Active Operation and Maintenance
(Active Operation and Maintenance makes the Site sub
G. LSP OPINION:
I attest under the pains and penalties of perjury that I have personally examined and am familiar with the information contained in this transmittal form,
including any and all documents accompanying this submittal. In my professional opinion and judgment based upon application of 0)the standard of
care in 309 CMR 4.02(1),(ii)the applicable provisions of 309 CMR 4.02(2)and(3).and(iii)the provisions of 309 CMR 4.03(5).to the best of my
knowledge,information and belief, Phase II,Phase III,Phase IV or Phase V Completion Statement is being submitted,the response action(s)
> t S(are) B indicates Rats ubaitt I, implemented in accordance with the applicable provisions of M.G.L.c.21E
that is• 310 CMR the subject of this are)app/(i)has and reasonable been developed tloacd and h the
i io s of 40.0000,(11E a(are)appropriate CMR 4 . 000 reasonable a aes(y) ith the ierpoes r such s response action(s)r ,ptts and approvals identified in
provisions of M.G.L.c.21E and 310 CMR 40.0000.and(iii)onpliea(y)with the identified provisions of all orders,permits, pP
this submittal;
> if Section B indicates that a Phase II Scope of Work ore Phase N Remedy Implementation Plan is being submitted,the response action(s)
that is(are)the subject of this submittal 0)has(have)been developed elo in accordance re with eapplicable)as provisions t forth of M.G.L.c.21E
applicable and 31provisions CMR
40.0000,(ii)is(are)appropriate and reasonable to aoornp purposes
M.G.L.c.21E and 310 CMR 40,0000,and(iii)complies(Y)with the identified provisions of all orders.permits,and approvals identified in this
submittal:
> if Section B indicates that an As-Built Construction Report or a Phase V Inspection and Monitoring Report is being submitted,the response
CM• R 40 0000, (are)i(are)appropriate this submittal 0)is
and reasonable to accomplish the p purposes offs such response action(s)as seprovisions rth in the applicable provisions
CMR c.21Ei) ( ) M P
of M.G.L.c.21E and 310 CMR 40.0000,and(iii)complies(y)with the identified provisions of all orders,permits,and approvals identified in this
I am aware that significant penalties may result,including,but not limited to,possible fines and imprisonment,if I submit information which I know subrittal.
to
be false.inaccurate or materially incomplete.
Check here if the Response Action(s)on which this opinion is based if any,are(were)subject to any order(s),permit(s)and/or approval(s)issued
by DEP or EPA. If the box is checked,you MUST attach a statement identifying the applicable provisions thereof.
LSPName: Herbert E. Woike LSP#:
413-452-0445 Fxt. 4412
Telephone:
FAX:(optional) 413-846-0497
Signature:
Date:
Revised 3130195
- 30- o.-3
Stamp.
Page 2 of 3
Supersedes Forms BWSC-010 On part)and 013
Do Not Alter This Form
Revised 3/30/95
Supersedes Forms B WSC-010 tin part)an
Do Not Alter This Form
Massachusetts Department of Environmental Protection BWSC-108
Bureau of Waste Site Cleanup
TRANSMITTAL Release Trading Number
COMPREHENSIVE RESPONSE ACTION
D E P FORM & PHASE I COMPLETION STATEMENT
1
-
0274
Pursuant to 310 CMR 40.0484(Subpart D)and 40.0800(Subpart H)
H. PERSON UNDERTAKING RESPONSE ACTION(SI:
Ernie'a Texaco
Name of Organization:
Ernest T. Booth Title: Owner
Contact:
Name of
Street 72 Kin° Street
01060
Northampton State: MA ZIP Code'
City/Town:
413-584-0716 : FAX:(optional)
Telephone:
❑ Chad here if there has been a change in the person undertaking the Response Action.
I. RELATIONSHIP TO SITE OF PERSON UNDERTAKING RESPONSE ACTION(S): (check ones
Other RP or PRP:
J
•
RP or PRP Specify: @ Owner Q Operator O Generator O Transporter
Fiduciary.Secured Lender or Municipality with Exempt Status(as defined by M.G.L.c.21 E,s.2)
Agency or Public Utility on a Right of Way(as defined by M.G.L.c.21E,s.50))
• My Other Person Undertaking Response Action Specify Relationship
J. CERTIFICATION OF PERSON UNDERTAKING RESPONSE ACTION(S):
Ernest T. Booth attest under the pains and penalties of perjury0)that l have personally examined and am
inquiry
familiar with the information contained in this submittal.including any and all documents accompanying this tansnittal form,(ii)that,based on my
of those individuals immediately responsible for obtaining the information,the material information contained in this submittal is.to the best of my
knowledge and belief,true,accurate and complete.and(iii)that I am fully authorized to make this attestation on behalf of the entity legally responsible for
this submittal. Lithe person or entity on whose behalf this submittal is made antis aware that there are significant penalties,including.but not limited to,
possible fines and imprisonment,for willfully submitting false,inaccurate,or incomplete Information.
Goner
Title:
�
11.41,44- n-(70-44
By
(signature) (}
Date' _ '"3
For Ernie's Texaco
(print name of person or entity recorded in Section H)
Enter address of the person providing certification,if different from address recorded in Section H:
Street
ZIP Code:
State:
City/Town:
FM:(optional)
Telephone: Ext'
YOU MUST COMPLETE ALL RELEVANT SECTIONS OF THIS FORM OR DEP MAY RETURN THE DOCUMENT AS
INCOMPLETE. IF YOU SUBMIT AN INCOMPLETE FORM,YOU MAY BE PENALIZED FOR MISSING
A REQUIRED DEADLINE.
This Phase V Report is being submitted pursuant to Administrative
Consent Order ACO-WE-01-3004.
cn,.va nra
Revised 3/30/95
Supersedes Forms B WSC-010 tin part)an
Do Not Alter This Form
CT
-Z.4)N42
Geo Tracking #:_p()p7..tj
Entered By: G- S
Date Entered: o/z?/ze-r
FOOD
PESTS
WATER/SEWER
NUISANCE %
HOUSING SEPTIC
ODOR SMOKE
BODYART
HOARDING
POOLS NAIL SALONS
OTHER
Inspection Scheduled on:
COMPLAINT INFORMATION:
CC
Complaint Location: GrYlIe5 721(it„% SC
Nature of Complaint:
ow
Date of Complaint: oc l a' l /S
Animals: Y/N Child Under 6: Y/N
Rhotittoin q if `lion ono Yo valiant avuotS <S fot
1SA a r . i Si_ • • l� . • • .
(n L L t k/b r y=3 / -e e CLLU ///S J-[N-ct-
io /). (tom,
• .,..� cam I G ANT'S NFO (A TI I — /ll)'�a�+4.4- lut f ctOTR-O
/ COMPLAINTANT'S INFORMAT II
Complainant/Occupant's Name: j()r Hparl(a,V1
Ai1&n Place ,
c' cis to
O-CC
Telephone#( ) -61W1
Alternate Alternate# ( )_
Mailing Address:
OWNER'S INFORMATION:
Owner's Name:
Property Mgr./LL:
Address:
Address:
Complaint Unfounded:
Conditions Found:
Telephone
( )
Alternate # ( ) -
Lti s/,a/1 r ' ,/y: .ys
ACTION
TAKEN:
A l v 4J t� . - titf-reV to /
lure of Inspecting
Date/Time of Inspection