CCLT/UNIONTOWNIEL SUPERFUND
Mr. Steve Johnson -
c/o Ms. Lori Dnbriel
Dear Administrator Johnson:
Since last October, we have written to you seeking your personal
involvement regarding our site, Uniontown Industrial Excess Landfill Superfund
Site, raising serious questions that we strongly believe have national policy
implications concerning radiation and Cold War waste material. To date, we
have yet to receive from EPA responses that are scientifically supportable.
Rather, you have allowed Region 5 and NAREL, which are hardly considered to be
impartial or objective regarding IEL, to "recycle" old, outdated opinions
that are not consistent with good science
found within either DOE, the Nuclear Regulatory Commission,
your own agency's R &D jq3/ department or the MARLAP Manual.. Moreover, a reporter learned
by making a few phone y calls, that the majority of the panel members from the
EPA IEL Science Advisory Board (
1.
2. FAILURE TO PRESERVE
WITH ACID IN 'I HE FIELD - Apparently, we are to infer from the Cook
response, that the EPA Inspector General report answered this question.
Unfortunately, this is not really true. The report, page 3, Appendix C, # 4
stated, ... "after the groundwater
samples were collected, they were stored for short periods of time
(unpreserved) that were acceptable according to EPA methods..." We do
not believe this is correct. EPA, in fact, recommends
that the samples be immediately preserved in the field. According to
experts, there is good reason for this. Failure to preserve can allow plutonium
to leave the solution and go to the walls of the jars before analysis, setting up conditions for most of the
plutonium to be unaccounted for. This may occur in just a few hours.
Page 2 letter to US EPA Administrator, Steve Johnson
Again, we repeat our request: Please have the IG go back to
Dr. Mel Gascoyne and ask him:
Can the
failure to immediately preserve the samples in the field set up conditions that
can allow the opportunity for loss of count? Please require him to check
with both DOE and NRC to assure that his response is scientifically
verifiable.
3. FILTERING - Is it not true
that field filtering (as performed on all US EPA IEL samples in 1992, 93) and
filtering ontop of Low Flow (as required to be
performed on the IEL samples in 2000/01) are BOTH considered by the US
scientific community to be methods that can seriously bias low the particle
phase where plutonium would be expected to be found? Therefore, HOW can EPA be
sure that the IEL is in "compliance" - IF the samples were not done
correctly?
4. PU REPRODUCIBILITY ISSUE: In all
previous responses to CCLT, your agency has continued to obfuscate concerning
the key question we have put forth repeatedly regarding the claim of
"reproducibility." This is extremely serious, because it was used in
the Justice Dept. report against the former landfill owner's claim that the US
government buried Plutonium 238 in large stainless steel containers at IEL in
the late 1960's/early 1970's. The EPA argued that, although it had reported
what experts called "valid hits" of plutonium at IEL in boreholes
drilled into the site in fall of 1991 and Jan. of 1992, (indeed, the recounts
were statistically identical to the original counts), EPA nontheless
went on to say that because it couldn't "reproduce" these findings in
subsequent retests of the samples, they could not confirm the original results.
Our question remains unresponded to scientifically,
after all this time, because Region 5 persists in merely recycling an old 1992
"fact sheet" that does not
answer the question. Please have an impartial qualified expert respond: Why
does EPA insist that reproducibility is a valid argument ? Why would EPA expect the same samples to have been
reproducible via retesting, if acid leaching used during the analysis
should have made all the Pu come off the original
particles in the sample?
5. FINISHED DRINKING WATER METHOD & NATIONAL POLICY IMPLICATIONS - In our
initial letters to you last year, we requested that you investigate the misuse
of the FINISHED DRINKING WATER EPA METHOD 900 used on raw unfinished dump water
at a superfund site such as IEL. We'now believe that
the
Very truly yours,
CONCERNED CITIZENS OF
Christine Borello
- President cc: Congressionals, DOE, NRC,
media, Ohio EPA, public
