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2010-112
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Mr . Terry Southard <br /> 24 March 2010 <br /> Page 2 <br /> • The Manager of the Indian River Counly Department that resides on the property to the <br /> west and north of the Indian River Count) North RO facility must be notified in writing <br /> that the sodium plume has been partially defined and may extend onto the property west <br /> of the site and that groundwater monitoring with specific conditions has been approved <br /> instead of further assessment at this time . In addition, the Indian River County Board <br /> must be notified in writing that the sodium plume may extend onto an adjacent Indian <br /> River County property and that monitoring with specific conditions rather than further <br /> assessment has been granted at this time . A copy of this letter shall be provided to both <br /> parties. Please provide copies of your letters to the Department. If either party requests <br /> that the plume be defined further, then the Department will require the extent of the <br /> sodium plume to be defined completely. <br /> • The parameters of analysis shall be total dissolved solids, chloride, sodium and sulfate <br /> for groundwater samples. The field measurements during purging shall be temperature, <br /> pH, specific conductance, turbidity and dissolved oxygen. Purging and sampling methods <br /> in the Department 's Standard Operating Procedures shall be followed. <br /> • Reports for each groundwater monitoring event shall include a cumulative summary <br /> table of all groundwater monitoring results including from assessment phases. The <br /> parameters reported in the table shall be pH, turbidity, total dissolved solids, chloride, <br /> sulfate and sodium. Reports shall contain a map depicting the direction of groundwater <br /> flow and maps depicting plumes . Reports shall contain copies offield sampling logs and <br /> laboratory reports. <br /> • The number of wells and monitoring ftequency of the groundwater monitoring plan may <br /> be reduced in the fixture after a sufficient number of reszxlts are reported and a request is <br /> submitted. <br /> The proposed scope of work summarized below is intended to only provide reporting <br /> documentation regarding the implementation of the NAM Plan for quarterly monitoring (four <br /> monitoring events total ) for a duration of one year at the Site and respond to FDEP comments in <br /> a cost effective manner . Please note that IRC has indicated that they will subcontract the <br /> sampling activities and provide Geosyntec with documentation from the sampling efforts that <br /> will be compliant with all applicable FDEP guidance and standard operating procedures ( SOPs ) . <br /> PROPOSED SCOPE OF WORK <br /> Task 1 through Task 4 — NAM Report Preparation (4 Quarterly Submittals) <br /> For each event, upon receipt from IRC of the final data package of the field activities and the <br /> laboratory results of the groundwater sampling effort, Geosyntec will evaluate the data and <br /> incorporate these findings into a quarterly report for submission to FDEP within approximately <br /> 60 days from the date of sample collection , as proposed in the NAM Plan . As a contingency <br /> required in the 21 December 2009 FDEP letter, if sodium concentrations increase above the <br /> XR10051 /XR10051 IRC North RO NAM Reporting Proposal . Doc <br /> engineers I scientists I innovators <br />
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