Enron Mail

From:larry.campbell@enron.com
To:edward.attanasio@enron.com
Subject:Re: Additional Soil Investigations, North Coles Levee
Cc:louis.soldano@enron.com, scott.jones@enron.com, william.kendrick@enron.com
Bcc:louis.soldano@enron.com, scott.jones@enron.com, william.kendrick@enron.com
Date:Mon, 21 May 2001 09:04:00 -0700 (PDT)

OK Ed try this:

Tank 15 area- Total petroleum hydrocarbons TPH concentrations in soil
exceed 10,000 mg/kg. This value has been identified in the "Leaking
Underground Fuel Tank Field Manual, (State of Califonia, 1989). This value
was identified as a potential threat to groundwater aquifers.

Glycol reboiler area- Total petroleum hydrocarbons TPH concentrations in
soil exceed 10,000 mg/kg. This value has been identified in the
"Leaking Underground Fuel Tank Field Manual,(State of Califonia,
1989). This value was identified as a potential threat to
groundwater aquifers.

Hot oil heater area- Total petroleum hydrocarbons TPH concentrations in soil
exceed 10,000 mg/kg. This value has been identified in the "Leaking
Underground Fuel Tank Field Manual, (State of Califonia, 1989) as a potential
threat to groundwater aquifers.

Wash rack area- Lead Lead values exceed the Toxic Characteristic
Leaching Procedure target levels as a hazardous waste (40 CFR 261)

Propane comp. area Lead Lead values exceed the Toxic Characteristic
Leaching Procedure target levels as a hazardous waste (40 CFR 261)

Total petroleum hydrocarbons TPH concentrations in soil exceed 10,000
mg/kg. This value has been identified in the "Leaking Underground
Fuel Tank Field Manual, (State of Califonia, 1989) as a potential threat
to groundwater aquifers.

Chromates Chromate values exceed the Toxic Characteristic Leaching
Procedure (TCLP) target levels as a hazardous waste (40 CFR 261)

Cooling tower area- Chromates Chromate values exceed the Toxic
Characteristic Leaching Procedure (TCLP) target levels as a
hazardous waste (40 CFR 261)

Compressor area- BTEX Benzene concentrations in soil exceed 1.0 mg/kg.
This value has been identified in the "Leaking Underground Fuel Tank
Field Manual, (State of Califonia, 1989) as a potential threat to
groundwater aquifers.

Chromates Values exceed the Toxic Characteristic Leaching Procedure
(TCLP) target levels as a hazardous waste (40 CFR 261)

Lead Values exceed the Toxic Characteristic Leaching Procedure (TCLP)
target levels as a hazardous waste (40 CFR 261)



From: Edward Attanasio@EOTT on 05/21/2001 11:09 AM PDT
To: Larry Campbell/ET&S/Enron@ENRON
cc: Louis Soldano/ET&S/Enron@Enron, Scott Jones/Bakersfield/Eott@Eott,
William Kendrick/OTS/Enron@Enron

Subject: Re: Additional Soil Investigations, North Coles Levee

In light of the Koch indemnity, at minimum we'll need to come up with a
specific reason for each area, based on California standards, and to
communicate that rationale to Koch prior to doing any substantial work --
certainly before boring. Thanks.



Larry Campbell@ENRON
05/21/01 09:54 AM

To: Edward Attanasio/Remote/Eott@Eott, Louis Soldano/ET&S/Enron@Enron, Scott
Jones/Bakersfield/Eott@Eott
cc: William Kendrick/OTS/Enron@Enron
Subject: Additional Soil Investigations, North Coles Levee

After reveiwing the documents entitled, "Baseline Environmental Investigation
of Arco North Coles Levee Plant 8, Rogas Loading Facility and Associated
Natural Gas Pipeline Systems Kern County, California" and "Report of
Preliminary Asessment Sampling North Coles Levee Gas Plant Loading Rack Area
Tupman, California", it appears that the following areas should be
investigated further to detemine horizontal and vertical extent of
identified contamination from the above referenced reports:

Tank 15 area- total petroleum hydrocarbons

Glycol reboiler area- total petroleum hydrocarbons

Hot oil heater area- total petroleum hydrocarbons

Wash rack area- lead

Propane comp. area lead
total petroleum hydrocarbons
chromates

Cooling tower area- chromates

Compressor area- BTEX
chromates
lead

In the "Baseline Environmental Investigation" report, sampling was only
conducted to an approximate depth of 2.5'. I am not comfortable with basing
decisions for further investigations on such a shallow depth, in leau of the
fact that many times water soluble constituents may horizonatlly move
vertically from surface shallow depths into the lower subsurface areas. This
is indeed the case for chromates. I based my recommendations for metal
concentrations on the federal RCRA Subtitle C hazardous waste target levels
for metals and evaluated the TPH and BTEX levels with the underground
storage tank guidlines for California. There were references to a 1989
document in the "Baseline" report for specific parameters, but there may have
been an update to target contamination level requirements since that date and
therefore, I used 10,000 ppm which is a general action level for most states
for total petroleum hydrocarbons. Again, I did not evaluate the mercury or
the loading rack issues.

One last issue. As you know, identification of contamination is usually
accomplished by sight observations of visible contamination, knowledge of
processes and or history. Report results of the surface contamination do not
show there to be an immediate environmental concern. Due to the age of the
facility, there may be concerns which were not identified in the reports.
However, based upon the locations of the preliminary samplings which were
conducted throughout the facility, it appears that the information presented
in the reports would be adequate to address suspected contamination at the
facility.