Srare or A.I-es^e,ran OTTIce oF THE ATTonNEY GENERAL 5OI WASHINGTONAYENUE P.O. BOX300152 MONTGOMERY, AL 36I3GOI 52 (334) 242-7300 LUTHER STnINEE ATTORNEYGENERAL October 23, 2014 \IYu/v\..AGO.^AI..A,BAMA.GO\/ VIA CERTIFIED MAIL. RETURN RECEIPTREOUESTED vrA E-MAIL (MCTEERTONEY.HEATHER@EPA.GOV) Ms. Heather McTeer Toney Regional Administrator-Region 4 United States Environmental Protection Agency Sam Nunn Atlanta Federal Center 6l Forslth Street, SW Atlanta Georgia 30303 Re: Non-compliance with July 25, 1997 Fields Memorandum Regarding 35th Avenue Site Proposed NPL Listing Dear Administrator Toney: I am writing on behalf of the State of Alabama regarding EPA's proposed listing of the "35ft Avenue" Superfund Siter on the National Priorities List ("NPL").'? For the reasons outlined below, EPA's proposed listing is both premature based on EPA's own policies and procedures, and is futile based on the statutory and regulatory mandates regarding EPA's use of superfund money for fundfinanced remedial action. Accordingly, the State requests that EPA revise Proposed Rule No. 6l to remove the 35th Avenue Superfund Site from the list of proposed additions to the General Superfund section of the NPL. As you are aware, your office contacted the Alabama DeparEnent of Environmental Management ( ADEM-) on airit 2,z}ll,regarding the State's position Ln potentially listing the 35th Avenue Superfund Site on the NPL. On June 11,2014, ADEM advised your office that it did not concur in EPA's proposed listing and specifically advised your office that the State of Alabama would not provide -y furdirrg "to cover thi State's share of cleanup costs."3 On September 16, 2014, ADEM sent your office a follow-up email making it abundantly clear that "[t]he State DOES NOT CONCUR in the proposed listing for numerous reasons."a Undetened by the State's unambiguous 1 Docket ID No. EPA-HQ-SFUND-2014-0623. ' SrrNational Priorities List, Proposed Rule No. 61,79 Fed. Reg. 56538 (Sept. 22,2014). o A copy of ADEM's September 16, 2Ol4 email is attached for your reference. t A .opy of ADEM's June ll,2Ol4 letter is attached for your reference. Ms. Heather McTeer Toney Page 2 statement that it did not concur with EPA's proposed listing, and despite its unqualified refusal to allocate any State funds to assist in clean-up of the 35& Avenue Superfund Site, EPA nevertheless decided to move forward with its proposed NPL listing without any further involvement from the State. As noted above, EPA's proposed rule listing the 356 Avenue Superfund Site on the NPL is premature. EPA failed to follow its own intemal procedures, which it says "will be employed in cases whereaRegionalOffice...recommendsproposingorplacingasiteonthe[NPL],buttheState... opposes listing the site." That process is clearly laid out in the July 25, 1997 memorandum-titled "Coordinating with the States on National Priorities List Decisions-Issue Resolution prcss55"-frsrn Timothy Fields, Jr., Acting Assistant Administmtor for the Offrce of Solid Waste and Emergency Response, to EPA's regional administrators.5 According to that memorandum, in situations where a State does not agree that listing a site on the NPL is appropriate, the relevant EPA regional office "should work closely with the State to try to resolve the issue before raising it to EPA Headquarters." In doing so, "[t]he Region should take into account past, ongoing and planned response actions by the State. If the Region determines that the issue cannot be resolved at the Regional level, the Regional Superfund Division Director should inform the Director of the State, Tribal and Site Identification Center (ST/SI) of the Office of Emergency and Remedial Response (OERR) and/or the appropriate ST/SI Regional Coordinator." OERR would then brief the Assistant Administrator for Solid Waste and Emergency Response. And EPA's own memorandum regarding this "Issue Resolution Process" makes very clear that if the matter is escalated to the Assistant Administrator for Solid Waste and Emergency Response, "[t]he State should have t]re opportunity to present its position in writing." EPA failed to follow this procedure and Alabama has not been afforded an opportunity to present its position in writing. Instead, after being informed that the State of Alabama did not concur with the proposed NPL listing and that no State funds would be allocated to assist in any clean-up effort at the 35b Avenue Superfund Site, EPA moved forward with its proposed NPL listing without any further involvement from the State of Alabama. Such a blatant disregard of EPA's own policies and procedures is textbook arbitrary and capricious decision-making. See, e.g., Reuters Ltd. v. F.C.C., 781 F.2d 946,950 (D.C. Cir. 1936) ("[]t is elementary that an agency must adhere to its own rules and regulations. ld ioc departures from those rules, even to achieve laudable aims, cannot be sanctioned . . ."). Because the decision to propose the listing has not been elevated for review and because the State was not given the "opportunity to present its position in writing," as the Fields memo mandates, EPA's proposed rule listing the 35u Avenue Superfund Site as an addition to the General Superfund section of the NPL is premature. . Moreover, EPA's decision to move forward with its proposed NPL listing is perplexing, still, given the State's clear statement that it will not allocate g4y funds to assist in any clean-up effort at the 35th Avenue Superfund Site. The very purpose of listing a site on the NPL is to make the site eligible for superfund monies. Indeed, as the regulations make clear, "[o]nly those releases included on the NPL shall be considered eligible for Fund-financed remedial action." 40 C.F.R. $ 300.425(b)(1)' But u A .opy of the July 25, 1997 Fields memo is attached for your reference. Ms. Heather McTeer Toney Page 3 even if a site is listed on the NPL, "[a] Fund-financed remedial action undertaken pursuant to CERCLA section 104(a) cannot oroceed unless a state provides its applicable required assurances," 40 C.F.R. g 300.510(a) (emphasis added), including that "the State will pay or assure payment of . . . l0 per centum of the costs of the remedial action, including all future maintenance . . . ." 42 U.S.C. $e604(c)(3). The State of Alabama has been unmistakably clear that no State money will be expended to assist in any clean-up effort at the 35s Avenue Superfund Site. Although your October 1, 2014 email to ADEM Director Lance LeFleur indicates that EPA believes it has "flexibilities in how the state cost share is paid,"6 I see no statutory or regulatory basis for such flexibility. In fact, the regulations are quite clear that, in the absence ofthe State's agreement to shoulder l0% of the cost of EPA's remedial action, '[a] Fund-financed remedial action . . . cannot proceed." 40 C.F.R. $ 300.510(a). Because Alabama will not provide any State funds to assist in any clean-up effort at the 35tn Avenue Superfund Site, I must question why EPA would propose the site for listing at great expense to all concerned parties when listing the site will be futile and have no practical effect. appreciate an explanation of EPA's position as it relates to these issues, which are so critical to the relationship between the State of Alabama and the federal government on environmental matters. For the reasons stated above, the State of Alabama also requests that EPA revise Proposed Rule No. 6l to remove the 35ft Avenue Superfund Site from the list of proposed additions to the Ceneral Superfund section of the NPL. Should EPA persist in moving forward with listing the 35th Avenue Superfirnd Site in contravention of its own policies and procedures, the State of Alabama is prepared to file comments in opposition to this proposed rule. I would very much Respectfully, L.rt^rrSk^\Luther Strange Attorney General Attachments cc: Governor Robert Bentley Administrator Gina McCarthy Ms. Gwendolyn Keyes Fleming Mr. Lance R. LeFleur Mayor William A. Bell, Sr. t A .opy of your October l,2Ol4 email is affached for your reference. Lrme R, LeFr-rue RorEFr J. BEtmEY ADEITI DrREcroR Gwrnron Emtf![flrt r,r-r$"., atatama D.prrmcrr ot t 1400 Collseun 8lvd, 3611G2400 hst olfice Box 90146i] Montgomery, Alab6mr 3613G1463 (334)271-7700 HX (334) z1'7s50 June I l, 20t4 Ms. Heather McTeor Toney Regional Administrator, US EPA Region 4 6l Forsyth Stroet, SW Atlsnta, Georgia 30303-3104 RE: Proposed NPL Listing 35th Avenue Site, Birrringharn (J€fferson Counly), AL Dear Ms. Toney: As indicated in the attached leftr, the Alabama Department of Environmental Management (ADEM) has bcen designated by Govemor Robert Bentley to reprcsent the Staie of Alabama in issues conceming the porcatial listing of thc 35th Avenue Site (Site) in Birmingham on thc National Priorities List (NPL). ADEM does Dot objest to EPA'S proposal to list the Site on the NPL provided EPA is able to reach an agrcement wilh the potentially responsibilities parties (PRPS) to provide adequate funding for the cleanup offorls. Howcver, should EPA be unable to reach an agreement or pwail in an enforcement action to compel a responsible party for rhe funding of the rcmediation, thus rcsutting in the Agency proceeding with a 'fund-lead" cleanup under the Comprehensive Environmerul Rcsponse Compensation and Liability Act (CERCLA), ADEM's support for such a lisling would be contingent on having funding available to cover the Statc's share oflhe clernup costs, Cunently, no sush funding source exists. the As the listing process progresses, please feel frcc to coordinate with Mr. Chip Crocken of ADEM Land Division at 334-270-5627 otvia c-mail at vhc@adem.state.al.us. w,<,# Dircctor LRLA/HC/ghe Attachment Br liilDflr a1O t .rdr ltlcrn Bo.d Bl,rnhlhm. lt 352olf0? {205} 94}6158 (2oo 041-1CO3 tFU) D.aatr lr.rat 2n5 Sid{n Eord. g. w' D.rrlu., AL 3sGC3.13:l t250) 31117ti1 1256) 3.O€a59 lFNo ,.r.eYiri r.'r iili " -,.j i:I li'i \ !,ll ',:Jdlit*is ?2(X fulmEb. Road tlffi I6aBdfiSt!.rshs Motdo, t!to!tb, aL 3am8 m.af. Ardr lr s8attlllu e50 45(xl,l0o r]51) 479-2593 (Fr& etD s+1176 (251) 3O+U€s (6i)0 Oruce or rxe GovrnNon STATE Moxrcourt! Rorrnr Brrurlry CAprroL AUaAMA 36130 (3341242-7t00 F^* (334) 242-3282 GownNon SrerB or Amreua May 30, 2or4 Heather MCfeer Toney Regional Adminishator U.S. Environrnental Pmtection Ageucy, Region + Atlanta Federal Center 6r Forsyth Street, $W Atlant4 GA gogoS-gro4 -: 't' l- -.:a'?Jzri+\ sf ;i;..xt?efi B\ i :'\nn S (,"]--i'*,,/ {e'Irrr Dear Ms. Tone;r By letter of April 2, zor4 your office contacted the Alabama Department of Euvironmental Management ("ADEM) concerning potelrtial llsting of the g5p Avenue Site located in Northern Birmingham, Alabama, ou tle National Priorities List ancl solicited the State's positiou on the proposed lisftrg. EPA's letter asked for a response from the Governor or a delegatetl rcpresentative. ADEtrt{ has rrorked dosely with EpA in the evaluation of the tbe assessmetrt process. Accordingly, I am delegating authority to ADEM to provide cotnnetrts to EPA on behalf of the State concerning the proposed listing. Tbe Department wili be providing a response to you regarding ttris matter in ttre near future. Site fla#lvw*y Robert Bentley Govemor Iance R. [rEleur, Director, Alabama Departrnent of Environmental Manatement Franklin E, Hall, Director, Superfuud Divisiou Phillip Davis, Director, land Management Division From: LeFleur, lance R Sent Tuesday, Septerber 16,2ol4 L2t43 N To: 'Mccafthy.Gina@EPA.9oy; 'McTeeftoney.heather@Epa.gov'; Gwendolyn lcyesFleming (KevesFlemlno.Gwendofu n@ Subj€cc 35th Avenue Hrmingham NPL llstir€ Administrator McCarthy It came to the attention ofthe Alabama Department of Environmental Management (ADEM) this morning that EPA will announce today at 1:OO p.m. CDT, and it will be published in the Federal Retister on Thursday, September 18, 2014, that EPA is proposing a listing on the National Priorltles List for the 35m Avenue, Blrmingham, Alabama site. EPA did not consult with or notify ADEM of this intended action untiljust hours before announcing it to the public. This is a most egregious breach of protocol in the lonB established working arran8ement between ADEM and EPA. ln a letter dated Aprll 2,2014EPA requested the State ofAlabama concurina listlng on the NPL. ln my June 11, ZO14 response directed to Reglonal Administrator McTeer-Toney, EPA was informed the State DID NOT OONCUR in the proposed l'rstinB' The State ggElIqL,lglQNgUB in the proposed listinB for numerous reasons lncludlnS: 1. 2. 3. ADEM has not been provlded the Hazard Ranking System documentatlon that was requested by the Department, so there ls lslgig[]lE@lg on which the Department can make a determination on whetherto concur ln a listin8. The air and land studles performed by the u. 5. AEenGy for Toxic substances and Disease ReBistry (ATSDR) within the Centers for Disease Controldetermlned there is no public health hazard at the 35h Avenue slte and therefore the studies d9!OLggpBgIL!!s!!8 on the NPL A recently completed study by the Jefferson County Department of Health determined there is no increased lncidence ofcancers in the 35h Avenue area and therefore it @gS ttg! 4. 5. lsppelllislllE on NPL ADEM is aware of no scientific or epidemiological data related to contamination at the 35th Avenue site that is consistent with listlng on NPL due to a slgnificant threat to public health. EPA has not prevailed in any enforcement action against any Responsible Party and no potentially Responsible Party has volunteered to cleanup such contamlnation as may exist on the sitq therefore, there is no clear path to removing any contamination. ln the strongest terms possible I wish to t oice my disappointment in this action by EPA. Lance R. LeFleur Director Cc: Governor Robert Bentley r'al'i DT{ITED 9TITES EITVTBONUEII?AI, PROTECTION AGENCY WASIiINGTON, D. C. 2C450 LYJ JIJL 25 p97 OAF'ICE OE SCL1D }IID EUERCEI{CY 'ASTE RESPANSE I{EfiOI\.NDII^'I SUBJBCT I PROM: coordinating with ehe Suate6 on Naelonal Priorit.ies Lis-L l)ecisions, -- Iss}€ Resolution u,^W^W^,,: ;,.:;, fj.ce of Solid waste and of o9T,,=""'.,o" Emeigency Response Regional AdminisErators Regions I - I TO: IECAS,E Thc purpose of t.his memorandum is to describe the process char will be employed 1n cases where a Regional office of the U.S. Environmental Protectsion Agency (EPA) recc lends proposing the 'or placlng a siEe on Ehe NaEional PrioriEies t'iEt (NPL) ' but. listing oppoBes strt" o" Tribe (hereafEer referred tso as "state") b,he site. BACKGBOUI{D The DepartmenE of veterans Affairs and Housing and urban Developmene, and Independent Agencies ApproprLations AcE, Fiscal Year 1995, included a requiremenE that EPA musE receiva a writtsen request from Ehe Governor of Ehe state in order for the Agency to propose Eo place a sice on Ehe NPL, or to P1ace a slte on Ehe NPL. However, the DeParement. of Veterand Affalr6 and -2Housing and Urban DevelopmenE, and IndePendenE Agencie6 appropiiacions Act, Fiscal Year 1997, Public !'ev' Lo4-204, did noi such a reguiremenb. on November 14, 1995, che office of "orrt"i., Solid wa6Ee and Emergency Response (OswER) iE6ue'l a memolandum enriEled, "coordinating with the sEaLes on National' Priorities i,ist Decisione", According eo thaL menorandum, an EPA Regional office requescs the posiLion of the state on a Bite Ehat cbe Region is considering for NPL tisEing. the Reglonal witsh a AdministraEor direcEs a tr,rict.en inguiry Eo Ehe goverflor, gtate may not a aiEes, copy to the SEaEe commissioner, For some purPose cf agi:ee ehat EPA ehould proceed wiEtr NPL lisElng' -The cf,is memoranlum is tc ouEline the pro'iess EhaE wii:I bd employed when tshe state does not agree Ehats a site should be lisEed, but Ehe Region believe€ its has sufficlent reasons to Proceed wiEh Ehe NPL listlng proceBa . II{PI,E!{ENTA"ION Offices have been seekiDg Lhe poaition of the SLates on siEes that bhe Region is coneidering for NPt lisring' In some cases, the sEatse may noE agree t,haE EPA dhould pursue NPI' lleting, buE Lhe Reglon believea it has sufficient reasons to EPA Regional prcceed . Ehese cases, the negion should work closely with Ehe staLe Eo try to resotve Ehe isBue beJore raising it Eo EPA HeadquarEers. The Region snould Eake into accounE past, ongoing and planned response actions by the SEate. In If the Region determinee Ehat the isgue cannot be resolved at Ehe Reg1onal }eveL, the Regional superfund Division Director should inform the Direct,or of the staEe, Ttibal and siEe rde nt. j.f i cat. j,on Center (ST/SI) Gf the Office of Emergency and Remedial Response (oERR) and/or the .appropriate sT,/sI Regional coordinator. OERR should then brlet the Asaistant AdminisrraEor (AA) for solid Waste and Emergency Response, The State Eh9uld have the opportunity to preEent its position in writing. The A caee OSyIER AA witl then decide $hether to pursue NPIj ]isting' of, its writing statse in Ehe could arise where the Regj,on noE.ifieE provides an appropriate desJ.re tso proceed rrttEh lieEing a eiLe and deadline for a response, but the SEate does noE reepond. In such a case. EPA may Proceed with Ehe NPL listlng Process' -3coNcl,rsroN The EPA Regional offices have been rrorking closely witsh Ehe SEaEeB to enEure EhaE siLeE are evaluated aIrd Ehat responae actions, if warranEed, are t.aken as quickly ae PoBsible. EPA wil-L continue Eo 1{ork with the sEates to aseesB siEes and to prepare amd Eubmit HRS package6 for thoae €ites thaL are the highest priority for IiEEing on the NPl, ' The Agency also will coordinaEe with the A?SDR and the NaEuxal Resource TrusEees in gatshering informaEion for Ehe process. If you or your staff have any questions, you may coqcacf me ats (202) 260-46Lo, o! Dave Evans, Dlrector of the sT/sI cenLer, ar (703) 603 - 8085, cc: Steve Herman, sr,eve Iruf t.ig, OECA oERR Lisa Fliedflarr, OGC Jim woolford, FFRRo A11 oERR Center DirecEors Site Asse,asmenE ContacEs, Reglons I-X Superfund Regional Diwieion DirectorB Regional- counsels, Regiofls r-x . I€Fl€ur, Lance R From: LeFleur, Lance R Senti Wednesday, Octobet O1"ZOL4 4i27 PM 'McTeerToney, Heathel' RE: 35th Ave, NPL Listing Yo: SubJoct: Heather Thank you for your follow up on our conversatlon earllertoday. I want to make lt clear that EPA misconstrued our letter ofJune 11,2014. As Iprevlously stated, a careful reading ofthe letter wlllconflrm ADEM dld not and does not condltlonally, or otherwlse, concur in the proposed llsdng ofthe 35s Avenue slte on the NPL. [ance From: McTeefTon€y, Heather [mallto:McTee/Ioney.Heathet@epa,gov] SBnt! Wednesday, mber ol, 2014 u:45 AM To: LeHeur, lance R subJech FW: 35th Ave. NPL LlsUng Please see below, The previous emall was incorrect' All the best, Heather From: M cTeerToney, Heather Sentr Wednesday, october 01, 2014 12:43 PM To 'LLf leur@ADEM,state.AL.USr Cc3 Stantslaus, Mathy; Heard, Anne; Jenkins, Brandl; Feldt, Lisa; HicksWhite, Jarroyne; KeyesFlemin& Gwendolyn; tranklinl chaffins, Randall subjecE 35th Ave. NPL Listlng Hill, . Dear Larrcg It was a pleasurc speaking with you today. On behalf of Administrator McCarthy, I am responding to your Scptemb& 16,2011, email regarding EPA's action to propose tIrc 35'r Avcnrrc Site to the National Pliorities Lilt q{PL). EPA highly values the relationships we maintain with our state partners and rccognizes that without thcse partnerships, suoce.ss in the work wE accomplish to protect human health and lhc cnVironment is imposiible. To tlnt point I want to clari$ that our astions on the 35m Avenue Site are to plotect and improve the quality of .life for Alabama residents. Moving forward, I would likc to reaffirm that we must improvc the quantity and quatity of our communications to ensure that our words and aotions ate woll ooordrnated. In this specific case, EPA strongly believes the 35tl' Avenue Site warants inclusion on the NPL based on a large quantitf of environmental data sampled and analyzed by EPA aontractors whioh shous widcspread oontamination of reside,rrtial yards with hazardous gub,stances. We have conduoted a rigorous evaluation of the risks to human health posed by this contamioation and have detcrmiued that oleanup is warratrted for several hundr.ed residential plopcrties. Those decisions are consistent with deoisions EPA has rrade on other sites in Rcgion 4 and tbroughout the nation. EPA is committod to our Enforcement First principle whore Potentially Rosponsible Prties @RPs) conduct clean-ups. Listing the site on the NPL puts us in the best possible position to achieve a PM-led invcstigation and cleanup of the site' Qn fune 17, 2014,I received a rcsponso fiom you to Region 4's request for concunrnoe to list the Site on tlre ' ,NPL. EPA understood your lefiet to meatr that ADBM concuned on the listing, but conditioned that coocurrence with the undcrstanding that the State does not have funds amilable to pay the 10% oost shqrg required fot "fiind-lead" remedial aotioni under Superfiurd. Region 4 has rcceived. similar 'tonditiold conoutence" fiom othot statcs in Rcgion 4 and has always proceeded with the listing, Your condi(ional concurrcnce also refcttuces the Agency's ability to idcnti$ PRPs which the Region is proceeding on a du4. track to aocomplish, I ccrtainly understand your finding concerns and you have my corrmitment &at EFA will work closely with the State as wE engage PRPs to take ffrll responsibility for the cleanup via an enforreable agtcemert. Should our enfortement efforts fail and we find it neccssary to r€quest a l07o cost sharc fipm the state, we will use our flexibilities in how the state cost share is paid to the maximum extent possible. . Our efforts in this community have been discussed wilh rnombers of tho community, the State, congression;l reprcsentatives, the Mayor and other local government representatives, We are cumontly rrsponding to a_ community in need which has suffered disproportionately as the result of a legaoy of industrial releases of hazardous constituenb that have been documcnted as a rcsult of our sampling in ths Faimont, Coltcgeville anal Haruimm Park communities. We strongly believe oul top priority should continue to be bringing as many resourccs 0o bear as we oan to imptove this sifuation. Adding the site to the NPL scnds a slrong signal to tho community AND to the PRPs that EPA and ADBM are willing to take tk neoessary steps to address the needs of tho community. I look fotvard to gontinuitg to work with ADEM to irnprove ou oommrmications and in this effort to protcct these communities. Heather McTeer Toley U.S. Environmonhl Protection Agency Regional Adminiqhalor, Region 4 Sam Nunn Fodoral Bldg. 6l Forsyth Streot NW Atlanta, GA 30303 404-562-8348 Mc teortonev. hoather(Deoa.cov