Cal/EPA Building Room 550 Postclosure Maintenance Workshop March 10, 2008 9:00 am to 12:00 pm Postclosure Maintenance Workshop March 10, 2008 9:00 am to.

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Presentation transcript:

Cal/EPA Building Room 550 Postclosure Maintenance Workshop March 10, :00 am to 12:00 pm Postclosure Maintenance Workshop March 10, :00 am to 12:00 pm

AGENDA 9:00 - 9:15Introductions and General Overview (Bill Orr) 9:15 – 9:45Postclosure Maintenance 101 (Mike Wochnick) 9:45 – 10:30California Experience with PCM Costs Over Past 15 Years (Garth Adams, Mike Wochnick, Rachel Davis) 10:30 – 11:00Criteria for Ending Post Closure Maintenance (Mike Wochnick, Mike Houlihan, P.E. GeoSyntec) 11:00 – 11:45Discussion of Financial Assurances Postclosure Scenarios (Richard Castle) 11:45 – 12:00Next Steps (Bill Orr) 9:00 - 9:15Introductions and General Overview (Bill Orr) 9:15 – 9:45Postclosure Maintenance 101 (Mike Wochnick) 9:45 – 10:30California Experience with PCM Costs Over Past 15 Years (Garth Adams, Mike Wochnick, Rachel Davis) 10:30 – 11:00Criteria for Ending Post Closure Maintenance (Mike Wochnick, Mike Houlihan, P.E. GeoSyntec) 11:00 – 11:45Discussion of Financial Assurances Postclosure Scenarios (Richard Castle) 11:45 – 12:00Next Steps (Bill Orr)

Closure Postclosure Corrective Action Financial Assurances Goal: Protect Public Health, Safety, and the Environment into the Future

Postclosure Maintenance 101 Definitions of Terms Postclosure Maintenance Maintain the integrity of closed disposal site Regular/periodic to deal with routine, expected wear and tear Corrective Action Restore the integrity of landfill/disposal site Can occur during both operational and closure phases Result of Major events Mismanagement, defective materials, poor design, improper installation, inadequate maintenance Definitions of Terms Postclosure Maintenance Maintain the integrity of closed disposal site Regular/periodic to deal with routine, expected wear and tear Corrective Action Restore the integrity of landfill/disposal site Can occur during both operational and closure phases Result of Major events Mismanagement, defective materials, poor design, improper installation, inadequate maintenance

Postclosure Maintenance 101 Major Maintenance Undefined in Regulations Need to assign to PCM or CA Final Cover Replacement of barrier layer not currently included in cost estimates Costs for repair included in PCM Leachate Collection & Recovery System Water Board requirement RWQCBs have required over-design to account for potential clogging Major Maintenance Undefined in Regulations Need to assign to PCM or CA Final Cover Replacement of barrier layer not currently included in cost estimates Costs for repair included in PCM Leachate Collection & Recovery System Water Board requirement RWQCBs have required over-design to account for potential clogging

California Experience with PCM Costs Over Past 15 Years Profiles of Currently Closed Landfills CATEGORYCOUNTPERCENT Closed Landfills % Privately Owned2620% Publically Owned10680% Large ( >30M cy ) 8 6% Medium (0.5-30M cy) 8967% Small ( <0.5 M cy ) 35 27% Urban 2015% Non – Urban % Profiles of Currently Closed Landfills CATEGORYCOUNTPERCENT Closed Landfills % Privately Owned2620% Publically Owned10680% Large ( >30M cy ) 8 6% Medium (0.5-30M cy) 8967% Small ( <0.5 M cy ) 35 27% Urban 2015% Non – Urban %

California Experience with PCM Costs Over Past 15 Years Profiles of Currently Closed Landfills CATEGORYCOUNTPERCENT Operator Type Private - multiple 5 4% Public - multiple 8665% Single 4131% Public 2317% Private 1814% Large 2 2% Medium 11 8% Small 5 4% Profiles of Currently Closed Landfills CATEGORYCOUNTPERCENT Operator Type Private - multiple 5 4% Public - multiple 8665% Single 4131% Public 2317% Private 1814% Large 2 2% Medium 11 8% Small 5 4%

California Experience with PCM Costs Over Past 15 Years Actual Release of California Landfills from PCM, Myth or Reality CIWMB/LEAs No releases from PCM requirements RWQCBs Require no ground water monitoring (7 sites) Rescinded WDRs (6 sites) Sites are inspected periodically All 7 sites required to perform PCM Actual Release of California Landfills from PCM, Myth or Reality CIWMB/LEAs No releases from PCM requirements RWQCBs Require no ground water monitoring (7 sites) Rescinded WDRs (6 sites) Sites are inspected periodically All 7 sites required to perform PCM

California Experience with PCM Costs Over Past 15 Years Reported Reductions/Increase in Annual PCM Costs Insufficient evidence to determine definitive trend Requests for fund releases 1/30 of PCM estimate Some for > 1/30 PCM estimate Few revised PCM plans Many included increased costs Reported Reductions/Increase in Annual PCM Costs Insufficient evidence to determine definitive trend Requests for fund releases 1/30 of PCM estimate Some for > 1/30 PCM estimate Few revised PCM plans Many included increased costs

California Experience with PCM Costs Over Past 15 Years Development of Survey: Operators’ Actual PCM Costs Responding to stakeholder feedback Goal of the Survey Survey Design We need your help! Development of Survey: Operators’ Actual PCM Costs Responding to stakeholder feedback Goal of the Survey Survey Design We need your help!

Criteria for Ending PCM PCM Period (California Standard) Minimum 30 years Until waste no longer poses a threat PCM Period (ITRC/EREF Proposal) Point of Exposure impacts “Custodial Care” No regulatory oversight Deed restrictions w/ local control No financial assurances PCM Period (California Standard) Minimum 30 years Until waste no longer poses a threat PCM Period (ITRC/EREF Proposal) Point of Exposure impacts “Custodial Care” No regulatory oversight Deed restrictions w/ local control No financial assurances

ITRC/EREF Consistency with CA Standards Consistent General process could be used to justify proposed reduction in PCM Inconsistent Point of Exposure vs. Intrinsic Waste Threat and Point of Compliance If PCM is necessary (e.g., cap maintenance) then regulatory oversight is required (along with FA) Deed restrictions would require additional statutory authority Local planning/building departments are less familiar with disposal site issues Consistent General process could be used to justify proposed reduction in PCM Inconsistent Point of Exposure vs. Intrinsic Waste Threat and Point of Compliance If PCM is necessary (e.g., cap maintenance) then regulatory oversight is required (along with FA) Deed restrictions would require additional statutory authority Local planning/building departments are less familiar with disposal site issues

27 CCR vs. Sub D Standards PCM Period 27 CCR – minimum of 30 years and lasts as long as waste poses a threat Sub D – default of 30 years but can be extended/shortened by approved state PCM FA Requirement 27 CCR – must match PCM plan (currently 30 years) Sub D – identified PCM period (30 years) CA for Ground Water Release 27 CCR – reasonably foreseeable or known release Sub D – known release PCM Period 27 CCR – minimum of 30 years and lasts as long as waste poses a threat Sub D – default of 30 years but can be extended/shortened by approved state PCM FA Requirement 27 CCR – must match PCM plan (currently 30 years) Sub D – identified PCM period (30 years) CA for Ground Water Release 27 CCR – reasonably foreseeable or known release Sub D – known release

Criteria for Ending PCM SURVEY QUESTIONS: 1. Has your state decreased or increased the post-closure care period of any Subtitle D municipal solid waste landfills in your state? 49 states participated in the survey 47 states have not changed the 30-year care period Two states have changed the 30-year care period as follows: Nebraska decreased the period of one MSWLF to 18 years Tennessee increased the period of one MSWLF to 50 years Wisconsin has increased the financial assurance requirement to 40 years with PCM required until the waste no longer poses a threat. SURVEY QUESTIONS: 1. Has your state decreased or increased the post-closure care period of any Subtitle D municipal solid waste landfills in your state? 49 states participated in the survey 47 states have not changed the 30-year care period Two states have changed the 30-year care period as follows: Nebraska decreased the period of one MSWLF to 18 years Tennessee increased the period of one MSWLF to 50 years Wisconsin has increased the financial assurance requirement to 40 years with PCM required until the waste no longer poses a threat.

Criteria for Ending PCM SURVEY QUESTIONS: 2. If so, what criteria were used to make the determination? Six states are currently considering criteria to increase or decrease the postclosure maintenance period: Indiana, Minnesota, Nebraska, Ohio, Utah, and Virginia. (Draft documents are currently being prepared for the states of Indiana, Minnesota, Utah, and Virginia and will be considered “guidelines” not official mandates.) SURVEY QUESTIONS: 2. If so, what criteria were used to make the determination? Six states are currently considering criteria to increase or decrease the postclosure maintenance period: Indiana, Minnesota, Nebraska, Ohio, Utah, and Virginia. (Draft documents are currently being prepared for the states of Indiana, Minnesota, Utah, and Virginia and will be considered “guidelines” not official mandates.)

Financial Assurances PCM Scenarios Rolling 15/30 Year Individual Demonstrations Perpetual Individual Demonstrations Pooled Fund Reasonable PCM Cost Estimate Contingency Grandfathering Narrowing Focus for Ongoing Scenarios Perpetual Care Demonstrations (with/without Pooled Fund) Rolling Individual Demonstrations with Pooled Fund Pooled Fund after 30 years Rolling 15/30 Year Individual Demonstrations Perpetual Individual Demonstrations Pooled Fund Reasonable PCM Cost Estimate Contingency Grandfathering Narrowing Focus for Ongoing Scenarios Perpetual Care Demonstrations (with/without Pooled Fund) Rolling Individual Demonstrations with Pooled Fund Pooled Fund after 30 years

Financial Assurances PCM Scenarios Post-30 year FA Demonstrations Scenarios Rolling PCM Holding at 30- year value will greatly extend time funds are available for routine PCM, but not indefinitely Post-30 year FA Demonstrations Scenarios Rolling PCM Holding at 30- year value will greatly extend time funds are available for routine PCM, but not indefinitely

Financial Assurances PCM Scenarios Post-30 year FA Demonstrations Scenarios Rolling PCM Allowing reductions initially will lessen impact to operator and extend time funds are available for routine PCM, but not indefinitely Post-30 year FA Demonstrations Scenarios Rolling PCM Allowing reductions initially will lessen impact to operator and extend time funds are available for routine PCM, but not indefinitely

Financial Assurances PCM Scenarios Post-30 year FA Demonstrations Scenarios Plus 11 Years to PCM Cost Estimates Provides assurance that funds will continue to be available for routine PCM Post-30 year FA Demonstrations Scenarios Plus 11 Years to PCM Cost Estimates Provides assurance that funds will continue to be available for routine PCM

Workshops/Meetings April - July 2008 DateLocationActivity 4/14/08CalEPA Rm-550Corrective Action Workshop 5/12/08CalEPA Rm-550Phase II Informal Rulemaking 6/9/08Coastal Hearing RoomDiscussion and Request for Additional Direction P&C Committee Meeting 7/14/08Coastal Hearing RoomRequest for Rulemaking Direction for Phase II P&C Committee Meeting Discuss potential dates for additional meetings

Next Steps