Title: The 7-Step DQO Process
1DQO Training Course Day 3Module 18
The EPA 7-Step DQO Process
Step 1 Problem StatementDQO Case Study
Presenter Sebastian Tindall
45 minutes
2DQO Case Study
Heli-101 Flight Pad
3Step 1a - State the Problem
Information IN Actions
Information OUT From Previous Step
To Next Step
Identify the DQO Team and define each members
roles and responsibilities
Identify available resources and relevant
deadlines
Planning Meeting
Continue activities
Identify the decision makers and define each
members roles and responsibilities
Identify the Stakeholders and determine who will
represent their interests
4Step 1b - State the Problem
Information IN Actions
Information OUT From Previous Step
To Next Step
- Scoping Process Results
- Collect site history, process knowledge,
- Summarize existing analytical data
- Specify areas to be investigated
- Summarize all recorded spills and releases
- Document applicable regulations
- Current housekeeping practices
- Current local environmental conditions
Administrative and logistical elements
Continue activities
5Step 1c - State the Problem
Information IN Actions
Information OUT From Previous Step
To Next Step
- Conduct interviews with decision makers and
Stakeholders to determine their - Objectives
- Requirements (applies to decision makers only)
- Concerns
Scoping Process Results Scoping Process Issues
Specify interview issues
Scoping Process Results Scoping Process Issues
Hold Global Issues Meeting to resolve scoping and
interview issues
6Step 1d - State the Problem
Information IN Actions
Information OUT From Previous Step
To Next Step
Identify COPCs
Provide rationale for COPC exclusions
Create final list of COPCs with rationale for
inclusions
Scoping Process Results Scoping Process
Issues Global Issues Resolutions
Specify release mechanisms
Conceptual Site Model
Identify fate and transport mechanisms
List potential receptors
Problem Statement
Estimate COPC distributions
Discuss decision drivers
Write CSM Summary Narrative
72 Approaches
- Approach 1 Traditional lab methods
- Approach 2 Field analytical methods with final
confirmation via lab methods - Select onsite methods that focuses on driver
COPCs (e.g., risk drivers, transport drivers,
etc.)
82 Approaches
- Approach 1
- Use predominantly fixed traditional laboratory
analyses and specify the method specific details
at the beginning of the DQO Process and do not
change measurement objectives as more information
is obtained - This approach will contain serious flaws.
Note Students are expected to point out these
flaws as the class progresses.
92 - Approaches (cont.)
- Approach 2
- Allow more field decisions to meet the
measurement objectives and allow the objectives
to be refined in the field using dynamic work
plans (Managing Uncertainty approach) - This approach will attempt to overcome the
serious flaws shown in Approach 1.
102 - Approaches (cont.)
- Approach 2 - Dynamic Work Plans
- Real-time, decision making in the field allows
for a seamless flow of site activities resulting
in fewer mobilizations - Requires more flexible contracting approach
- Requires experienced, well-trained field team
(e.g., geologists, chemists and statisticians)
either in the field or able to receive and
process electronic data in real-time
112 - Approaches (cont.)
- Approach 2
- Allows collection of more data in real-time
- Allows real-time decisions to be made
- Must have flexible but established decision trees
approved by decision makers ahead of time - Need general statements of measurement quality
that will be interpreted by field team - May be more costly due to higher level of
expertise required butmore defensible - Overcomes the Classical Statistical Burdens
12Objective
- Based on comprehensive Scoping, to be able to
develop, for a specific project - 1. a list of Contaminants of Potential Concern,
- 2. a conceptual site model (CSM),
- 3. a problem statement(s)
13DQO Team Members
14Available Resources and Deadlines
15Decision Makers
16Stakeholders
17Remedial Action Soil Process Knowledge
- Heli-101 flight pad used 1970-1995
- Used to load, unload and maintain aircraft
- Wash down and maintain vehicles
- Used oils and fuels spilled and washed off pad,
draining to the surrounding soil - 1980 used as staging area for transformer and
motor oils
18Remedial Action Soil Process Knowledge (cont.)
- 1990s used as area to decon equipment from the
Gulf War - Collection sump used to capture pad rinsate from
Gulf War - Equipment was washed to remove depleted uranium
- 1995 trace uranium found on pad
19Summary of Existing Data
- ALL data collected from surface soil (0-6)
- Summary of existing total petroleum hydrocarbon
(TPH) data - See next table
- All TPHs were below regulatory limit of 100 mg/kg
- PCBs detected in 2 of 5 samples and were above
state limit of 1 mg/kg - No other volatiles, semivolatiles, or metals
(excluding Pb, U) were detected above background - The Base ground and surface water have not
detected contamination
20RI/FS Data Inorganics and TPH(surface soil
samples)
21RI/FS Data PCBs (surface soil samples)
22Areas to be Investigated
Plan View
Former Pad Location
Buffer Zone
Runoff Zone
23Summary of Spills and Releases
- Pad is 75 in diameter
- Add 50 to include the Run-off zone (d125)
- Buffer zone is 265 in diameter, with Pad
centered within - Area of Pad is 4,418 ft2
- Area of Pad Run-off zone 12,272 ft2
- Area of Buffer zone is 42,884 ft2 (excluding Pad
and Run-off zone)
Does not include layback area
24Summary of Spills andReleases (cont.)
- Volume of Pad Run-off zone, 0-6, is 227 yd3
- Volume of Buffer zone, 0-6, is 794 yd3
(excluding Pad and Run-off zone) - Volume of Pad Run-off zone, 6-10, is 4,318
yd3 - Volume of Buffer zone, 6-10, is 15,089 yd3
(excluding Pad and Run-off zone)
Does not include layback area
25Summary of Spills andReleases (cont.)
- No releases recorded before 1977 (e.g., before
adopting RCRA) - Drum inventories from 1980s were imprecise
- Reports from 1990s were sparse and not
declassified. One report did include uranium
data from the sump at 450 mg/L. - Interviews indicate that predominant metals were
Pb and U. U was depleted.
Does not include layback area
26Current Conditions
- Housekeeping practices
- physically barricaded to prevent use
- Site conditions and local environment
- Pad is removed, land is barren without vegetation
- Avg. rainfall 20 in./yr
- Groundwater at 50 ft below grade
- Temperatures range 12 to 98F
- No endangered species
- No cover or water collection system
27Current Conditions (cont.)
- Areas to be investigated
- exclude surface or groundwater
- exclude biota (covered by overall base program)
- include soil via direct exposure
- include soil area/volume
28Scoping Issues
- The degree and extent of soil contamination
reported from the RI/FS is questionable - There are different opinions as to whether
multiple constituents of interest exist and
whether the constituents are present above
regulated levels at the site
29Interview Issues
- Shipment of wastes from the base could impact the
local community Local authorities expressed a
concern over the transport of hazardous materials
from the Base. Of particular concern was the
impact to community traffic flow and the
potential for an accidental release.
30Interview Issues (cont.)
- Suitability/protectiveness of cleanup standards
Current State regulations regarding cleanup
levels have been questioned by local stakeholders
(special interest groups) as to their degree of
protectiveness. Current special interest groups
have argued that contamination, at any level,
poses an unnecessary and unacceptable threat to
human health and the environment. These special
interest groups have asserted that the Base has a
moral obligation to remove all detectable
contamination in order to ensure that the
surrounding community and wildlife is protected.
31Interview Issues (cont.)
- Schedule delays, cost overruns, lack of
sufficient sample data The Base has expressed
concerns over the involvement of special
interests, particularly, those who would require
that the Base perform potentially unneeded
cleanup operations that are well beyond the scope
and intent of the law. The Base has also
expressed a concern that the operation be managed
within the schedule and costs for which the
project has been assigned. There is also a need
to collect data that will be sufficient for its
intended purpose site closure/risk assessment
input, or, designation of the waste for cleanup
and disposal.
32Interview Issues (cont.)
- Land Use
- Base commander believes land use is industrial
- EPA believes land use should be residential
33(No Transcript)
34Global Issues Meeting
- Scoping Issue
- The degree and extent of soil contamination
reported from the RI/FS is questionable - Resolution
- Currently available historical information
(existing data) was collected with the intent to
characterize the site for disposal according to
RI/FS considerations. However, such
characterization data are not sufficient to
support a decision for site closure or a decision
to conduct additional remedial action if deemed
necessary.
35Global Issues Meeting (cont.)
- Interview Issue
- Shipment of wastes from the Base could impact the
local community Local authorities expressed a
concern over the transport of hazardous materials
from the Base. Of particular concern was the
impact to community traffic flow and the
potential for an accidental release.
36Global Issues Meeting (cont.)
- Resolution
- The only quantities planned for off-site shipment
are small quantities of slightly contaminated
soil and/or water that would be sent to an
independent analytical laboratory. Large
shipments of hazardous substances are not
planned. All Department of Transportation
regulations will be followed as applicable.
Shipments will be timed for off-peak traffic
hours. If a large-scale soil remediation project
is spawned as a result of the sampling effort,
waste shipments will be planned at that time, and
in such a way as to minimize the impact to the
community.
37Global Issues Meeting (cont.)
- Interview Issue
- Suitability/protectiveness of cleanup standards
Current State cleanup standards are questioned by
the interest groups. The concern is that the
standards are not protective of the wild life and
community. - Resolution
- The State and Federal agencies have explained the
risk assessment process to the interest groups.
Compliance with these risk levels will be
protective. The State has encouraged the special
interest groups to take their concerns to the
legislature. Based on more information related
to the risk assessment process, the interest
groups indicated that the approach was logical.
38Global Issues Meeting (cont.)
- Interview Issue
- Schedule delays, cost overruns, lack of
sufficient sample data The Base has expressed
concerns over the involvement of special
interests, particularly, those who would require
that the Base perform potentially unneeded
cleanup operations that are well beyond the scope
and intent of the law. The Base has also
expressed a concern that the operation be managed
within the schedule and costs (presented later in
this example) for which the project has been
assigned. There is also a need to collect data
that will be sufficient for its intended purpose
site closure/risk assessment input, or,
designation of the waste for cleanup and disposal.
39Global Issues Meeting (cont.)
- Resolution
- The Base is relying on the DQO Process to
determine the most cost-effective and technically
defensible means for collection of samples. The
DQO Process will specify the decision makers
tolerable limits on decision errors, which are
used for limiting uncertainty in the data and
therefore reduce the chance of unnecessary
cleanup. Furthermore, the Base will be using the
DQO Process to document agreement of the sampling
strategy with the regulators and local community
as a means of reducing base liability. The SAP
generated from the DQO effort will result in data
collection sufficient for its intended purpose.
40Global Issues Meeting (cont.)
- Interview Issue
- Data will not be of sufficient quality for risk
assessment Regulators are concerned that
previous data are not of the quality to support
risk assessment. - Resolution
- Regulators will be participants in the DQO
Process which defines the data and quality
requirements. In addition, they may take split
samples at the same time sampling is performed.
41Global Issues Meeting (cont.)
- Interview Issue
- Conflicting land uses (industrial vs.
residential) Regulators believe the land use is
residential which decreases the allowable risk
(10-6 as opposed to 10-5) and may result in
allowing higher concentrations to remain in the
soil. Base command believes the land use is
industrial.
42Global Issues Meeting (cont.)
- Resolution
- For all government facilities a federal facility
agreement (FFA) is signed between the EPA/State
and the federal agency that owns the site (e.g.,
DOE or military). By law, this agreement
indicates that the federal agency owning the site
can designate the land use or agree to negotiate
the land use. The FFA indicated that the
military would designate the land use, thus, it
will be industrial.
43(No Transcript)
44COPC Exclusions part 2
45Final List of COPCs
46Release Mechanisms
- How the COPCs arrived at the site
- Motor pool type supplies and products were
transported to the site to aid in maintenance
operations. Transformers containing PCBs were
stored at the site. COPCs were typically washed
from spills on the helicopter pad and into the
surrounding soil.
47Fate and Transport
- How has fate and transport mechanisms affected
the COPCs - The soil is suspected of being contaminated by
spilled material that leaked or was washed from
the pad at various times during the pads
history. The physical components of the site
include surface and subsurface soils and gravel
within the known boundaries of the spill.
Unimpeded access is assumed for all sampling
media. Because the site has been exposed to
weather (precipitation) since the spill
occurrences, some transport into the subsurface
is likely to have occurred therefore, to support
clean site confirmation, the underlying soil is
included within the boundaries of the site.
48Receptors
- Future land use
- It is anticipated that the land must be released
for industrial use at some future time.
Therefore, potential receptors include human
workers as well as the surrounding biota (e.g.,
shrubbery).
49Potential Receptors
- Data for groundwater wells on the military base
have not indicated contamination attributable to
this site - This leads one to believe that there is no
groundwater contamination, thus the groundwater
ingestion pathway is not complete and does not
require added investigation. Industrial workers
will use sanitary water from the city.
50Potential Receptors (cont.)
51Spatial Surface Soil Sample Results
A (18, 102, 4, 0.03)
B (27, 96, 3, 1.5)
Plan View
Former Pad Location
Buffer Zone
C (15, 78, 2.5, 0.03)
D (10, 86, 1, 2.0)
Runoff Zone
Letter sample point Concentrations (Pb, U, TPH,
Aroclor 1260)
E1 (12, 112, 0.03, 0.75)
E2 (15, 92, 0.03, 11)
52Distributions
- Presumed Spatial Distributions of the COPCs
- The pad was washed, and therefore the area where
the edge of the pad once existed is likely to
have higher concentrations than the area further
away from the previous edge of the pad. It cannot
be assumed that contamination decreases with
depth from the surface. However, contamination
is expected to decrease with depth therefore,
deeper soils are assigned a lower probability of
being contaminated. - The probability of contamination will be scaled
within a range bounded by the arbitrary lateral
and vertical boundary to be determined during
sample optimization (Step 7). This is because
the amount of data collected from the RI/FS is
not sufficient to define the physical boundaries
of the expected residual contamination. The
previous RI/FS did not use the DQO Process.
53Frequency Distribution
54Histogram
55Histogram (cont.)
56Histogram (cont.)
57Histogram (cont.)
58Decision Drivers
- Future land use
- Effect of residual contamination on the ecosystem
was not previously considered - Direct long-term industrial land use was not
considered in the past risk models - All parties agreed to use industrial land use as
the scenario - If concentrations are below the levels based on
industrial use, the remediation will be complete,
otherwise added remediation will be needed
59CSM Narrative
- The Heli-101 Pad and the surrounding soil
(surface and underlying) extending laterally up
to ? 95 ft in any direction from the perimeter of
the pad and up to a depth of 10 ft constitutes
the conceptual model for the contaminated site.
It is graphically depicted in the plan view and
section view in the following section. Surface
soil is defined as soil up to a depth of 6 in.
and underlying (subsurface) soil is defined as
soil up to a further depth of 10 ft. - (Etc...)
60CSM Spatial Graphical
Plan View
Former Pad Location
Buffer Zone
Runoff Zone
Section View
Former Pad Location
Buffer Zone
Grade Level
Runoff Zone
60 of 101
61Overview of the Receptor Pathway(CSM) Tabular
62Problem Statement
- In order to determine whether the residual soils
at the site are contaminated, data regarding
potential contaminants in the surface and
underlying soils are needed.
63End of Module 18