Vapor Intrusion - ASTM E2600 Overview

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PDHonline Course C294 (3 PDH) Vapor Intrusion - ASTM E2600 Overview Instructor: Jeffrey R. Sotek, PE, CSP, CIH 2012 PDH Online PDH Center 5272 Meadow Estates Drive Fairfax, VA 22030-6658 Phone & Fax: 703-988-0088 www.pdhonline.org www.pdhcenter.com An Approved Continuing Education Provider

VAPOR INTRUSION: UNDERSTANDING THE NEW ASTM STANDARD 2008 Vapor Intrusion Training Series Environmental Data Resources Inc.

Today s Agenda Welcoming Comments Dianne Crocker Managing Director, EDR s Market Research Group ASTM E 2600-08 Standard Practice for Assessment of Vapor Intrusion into Structures on Property Involved in Real Estate Transactions Anthony Buonicore, P.E., BCEE, QEP Chairman, ASTM Vapor Intrusion Task Group Closing Comments Dianne Crocker Q&A Page 2

Welcoming Comments EDR s Role Recent Developments Today s Webinar EDR s VI Training Series Page 3

ASTM E 2600-08 Standard Practice for Assessment of Vapor Intrusion into Structures on Property Involved in Real Estate Transactions by Anthony J. Buonicore, P.E., BCEE, QEP Chairman, ASTM Vapor Intrusion Task Group for presentation at EDR Vapor Intrusion Webinar March 19, 2008

What is vapor intrusion?

Overview Industry-Driven Standard Overview of ASTM Standard Tiered Methodology VI Screening Q&A

Industry-Driven Standard Prospective/Current/Past Property Owner Phase I Environmental Consultant Attorney for the Deal Property Lender Property Insurer

Prospective/Current Property Owner Liability Properties with NFA letters ( closed sites ) are being re-opened in NY, CA, ME, NJ and elsewhere because of potential vapor intrusion issues Further investigation and expense may be required Potential liability arising from tenant suits Tenant losses (leaving the property breaking leases) Inability to attract new tenants Stigmatized property devaluation? Toxic tort potential

Past Property Owner Liability Lawsuits by current property owner against past property owner (who sold property) for: - non-disclosure - misrepresentation

Phase I Env. Consultant Liability Litigation growing against environmental professionals who when they conducted their Phase I did not consider the possibility of vapor intrusion creating an indoor air quality issue

Confusion in the Marketplace Created by E 1527 ASTM E 1527-05, Section 1.1.1, REC definition means the presence or likely presence of any hazardous substances or petroleum products on a property under conditions that indicate an existing release or a material threat of a release into structures on the property not intended to include de minimis conditions release is not defined

Confusion in the Marketplace cont d ASTM E 1527-05, Section 13, Non-Scope Considerations: Following [is a] non-scope consideration that persons may want to assess: 13.1.5.12 Indoor air quality Vapor intrusion is an issue associated with indoor air quality Indoor air quality is not defined

Attorney Desires Defenses to CERCLA liability for client CERCLA addresses air emissions Confusion over indoor air responsibility: OSHA versus EPA? Does AAI mean VI needs to be considered in the Phase I? Confusion in ASTM E 1527-05 with respect to VI (same as for consultants)

Lender Liability Adverse impact on property (collateral) value Potential negative impact on borrower s creditworthiness and ability to repay loan Foreclosure complications

Insurance Company More re-opener policy claims More property pollution liability policy claims More E&O claims to defend on behalf of Phase I consultants being sued More toxic tort claims

ASTM Task Group Objectives Address vapor intrusion arising from contaminated soil and groundwater specifically as it can impact real estate transactions Clarify that vapor intrusion is a non-scope consideration in the ASTM E 1527 Phase I standard, but may be incorporated into the Phase I under a supplemental scope of work (aka asbestos, radon, lead-based paint, etc.) Develop prescriptive methodology to quickly an inexpensively screen out properties unlikely to have vapor intrusion issues Provide guidance on the overall vapor intrusion assessment process (from screening to mitigation)

Outline of Standard Scope References Terminology Significance and Use Relationship to ASTM Phase I Standard User s Responsibilities Vapor Intrusion Assessment Report Non-scope Considerations Appendices

Appendices Legal Background on Federal and State liability for Vapor Intrusion EP Qualifications and Relevant Experience Questionnaire (for prospective purchaser and property owner/operator/manager) Recommended Table of Contents and Report Format (for stand-alone VIA) Federal and State Agency VI Web Resources Common Chemicals of Concern for VI Pathway Typical Background VOC Concentrations Data Collection Guidance Documents for VIA Supplemental Bibliography

New Terminology Vapor Intrusion Condition (VIC) is defined as the presence or likely presence of any chemicals of concern in the indoor air environment of existing or planned structures on a property caused by the release of vapor from contaminated soil or groundwater on the property or within close proximity to the property, at a concentration that presents or may present an unacceptable health risk to occupants.

New Terminology Cont d Potential Vapor Intrusion Condition (pvic) Pre-emptive mitigation Intrinsically safe building design

VIA Tiered Methodology Four tiers Designed to quickly and cost effectively screen out properties with a low risk of vapor intrusion Applies to volatile, select semi-volatiles and select volatile inorganic analyte (such as mercury) chemicals of concern

VIA Tiered Methodology cont d First two tiers are designed to identify if a p-vic exists the ASTM standard is prescriptive here Third tier identifies a toolbox of approaches to assess whether a VIC exists the standard directs the user to follow appropriate and applicable government guidance documents The fourth tier identifies general mitigation alternatives selection of a specific mitigation alternative is beyond the scope of the standard From Tier 1, one can proceed to any of the other tiers, or directly to mitigation, or wherever client and EP choose

Tier 1 Initial Screening for pvics Designed as a screening step to supplement a Phase I relies on all the information already collected in Phase I investigation Two tests: (1) Search Distance Test (2) Chemicals of Concern (COC) Test

Tier 1 Search Distance Test Review of government and historical records (and whatever else learned in Phase I investigation) at specific search distances to identify contaminated properties within the Area of Concern (AOC) - Primary AOC surrounding the TP - 1/3 mile - 1/10 mile (for petroleum) - Secondary AOC up-gradient of TP only - extending from primary AOC distances to full ASTM E 1527 search distances

EP Judgment Type target property: residential of greater concern than office, hotel and retail of greater concern than industrial Location of contamination source: the closer the nearby contaminated source, the greater the concern on the TP is worst case, next worse case is an up-gradient source, then cross-gradient, then down-gradient

EP Judgment cont d Cleanup Status of Contaminated Site: a remediated source is better than one that has not been remediated although if there is allowable residual contamination, it is important for the remediation to have considered the vapor intrusion pathway Depth to Groundwater: the deeper the groundwater, the greater the distance soil vapors must travel and the lower their concentration at the surface Soil Characteristics: low permeability soil, such as silty-clayey soil suppresses soil vapor movement, as does soil with high moisture content

EP Judgment cont d Presence of Vapor Conduits : significant man-made conduits such as sewers and utility corridors and natural conduits such as fractured bedrock can accelerate vapor migration from a contamination source to a TP Presence of Hydraulic or Physical Barriers: between source of contamination and TP may eliminate any VI concern Building Characteristics: intrinsically safe building design may eliminate any VI concern

Tier 1 COC Test Are COCs likely to be present? Refer to Appendix X6

Tier 1 cont d Tier 1 is a quick and inexpensive first screen If a pvic does not exist, vapor intrusion is presumed to be an unlikely concern at the target property If a pvic exists, generally proceed to more refined screening (Tier 2), or may proceed directly to pre-emptive mitigation (Tier 4), or client and EP may choose to proceed in another direction

Tier 2 More Refined Screening Non-invasive - If Phase II data on contaminated source exists, the status of the contaminated plume is evaluated Invasive - If Phase II data on contaminated source does NOT exist, sampling can be conducted at TP or nearby, if possible, to identify if vapor migration and intrusion may be an issue

Tier 2 cont d Two tests as part of the noninvasive investigation: (1) Plume Test (2) RBC Test (Comparison with Risk-Based Concentrations)

Tier 2 Plume Test Assess whether or not the plume is close enough to an existing or planned structure on the TP to result in a pvic Critical Distance Determination

Critical Distance Determination Critical distance is - defined as nearest edge of plume to the nearest structure on the TP, or to the property boundary if there are no existing or planned structures - in any direction, e.g., horizontal, vertical, etc. - 100 ft for COC - 30 ft for dissolved volatile petroleum hydrocarbons - 100 ft for petroleum LNAPL accumulating above the water table ( free product )

Tier 2 RBC Test Compare COC concentrations in plume with: (a) generic RBCs in state where TP is located; or (b) other government RBCs; or (c) site-specific RBCs developed by EP, e.g., using ASTM s RBCA standard

Tier 2 Invasive Screening If RBC exceeded, may want to do sampling to show pvic is unlikely If no Phase II data is available, may want to do sampling to show pvic unlikely Client may desire sampling Invasive testing may include soil, soil gas and/or groundwater sampling Sampling should only be conducted if able to provide useful information

If a pvic exists If a pvic is created at the TP by a source of contamination, a REC is identified on the TP in the Phase I May proceed to Tier 3 for VIC confirmation, or May proceed to Tier 4 for pre-emptive mitigation, or Client and EP may choose another direction

In the screening process, what can eliminate a contaminated site from creating a pvic at the TP? Outside AOC Hydraulic/Physical Barrier COCs unlikely to be present Beyond Critical Distance Below generic RBCs Below site-specific RBCs Sampling Data

Tier 3 VIC Assessment Identify goals for the assessment Provide a toolbox of potential investigative processes, e.g., - Soil gas (exterior/near-slab) sampling - Groundwater sampling - Sub-slab sampling/crawl space sampling - Indoor air sampling and ambient air sampling - Site-specific modeling for attenuation factors Standard directs user to existing applicable federal or state vapor intrusion policy or guidance Specific Scope of Services established by EP/client

Tier 4 - Mitigation Mitigation defined as: - Necessary (for a VIC) - Pre-emptive (for a pvic) General mitigation alternatives identified with advantages/disadvantages Specific scope of services established by EP/client

Closing Comments Action steps EDR s 2008 VI Training Series Poll Questions Q&A

Action Steps Visit www.edrnet.com/vi for educational materials. Buy the ASTM standard. Take advantage of training resources: Upcoming webinars ASTM VI training EDR s DDD forums EDR s CommonGround community with a blog dedicated to vapor intrusion (April 2008 launch) Educate your clients VI fundamentals Page 42

EDR s 2008 VI Training Series Upcoming webinars: Repeat of today s on April 1 st In the Trenches detail on Tiers 1 and 2 Legal Perspective on VI Real World Examples of VI Affecting Transactions Ideas for future webinar topics? E-mail to: dcrocker@edrnet.com Page 43

Q&A For educational materials, training resources, and ASTM links for downloading the standard, visit www.edrnet.com/vi More questions? dcrocker@edrnet. com Page 44