United States Environmental Protection Agency
Region V
POLLUTION REPORT



Date:
Thursday, December 5, 2013
From:
Jon Gulch

To:
Sam Borries, U.S. EPA
Jason El-Zein, U.S. EPA
Carl Norman, U.S. EPA
Mindy Clements, U.S. EPA
Beverly Kush, U.S. EPA
Tom Krueger, U.S. EPA-ORC
Randa Bishlawi, U.S. EPA
Valencia Darby, Department of Interior
Joe Ulfig, U.S. EPA
Thomas Marks, U.S. EPA
Mick Hans, U.S. EPA
John Glover, U.S. EPA
Isalee Coleman, U.S. EPA
Yolanda Bouchee-Cureton, U.S. EPA
Carol Ropski, U.S. EPA
Barbara Carr, U.S. EPA
John Hahn, USCG
Michelle Bas, USCG
Patricia Cooley, USCG
Duty Officer, USCG
Scott Shane, Ohio EPA
Scott Nally, OEPA
Don Bussey, EPA
Mike Gerber, Ohio EPA
Kevin Clouse, Ohio EPA
Timothy Murphy, City of Toledo
U.S. Coast Guard Case Officer, USCG
Alex Tzallas, US EPA

Subject: 

Final POLREP
Delta Fuels
1820 Front St, Toledo, OH
Latitude: 41.6586000
Longitude: -83.5047000


POLREP No.:
20
Site #:
Z5FG
Reporting Period:
2/8/2010-9/16/2013
D.O. #:
0064
Start Date:
11/29/2005
Response Authority:
OPA
Mob Date:
11/29/2005
Response Type:
Emergency
Demob Date:
9/16/2013
NPL Status:
Non NPL
Completion Date:
9/16/2013
Incident Category:
Removal Action
CERCLIS ID #:
Contract #
68-S5-03-06
RCRIS ID #:
Reimbursable Account #
FPN#
E06502
 

Site Description

See POLREP #1 for a full description of the Site.


Current Activities

From February 8, 2010 to September 16, 2013, EPA has been working with the Department of Justice to settle Clean Water Act and Emergency Planning and Community Right-To-Know violations against the RP.  On September 16, 2013, the District Court for the Northern District of Ohio entered a consent decree resolving EPA and U.S. Coast Guard claims against Delta Fuels and Knight Enterprises.  The settlement with the RP will complete work associated with the Consent Decree and Injunctive Relief.  This work will also complete requirements from the Ohio EPA regarding RCRA Closure issues.  Ohio EPA will continue to monitor the work being performed under the RCRA Closure and will notify EPA if assistance is needed.


Planned Removal Actions

-  Complete the Liner Integrity Testing protocol established in the Injuctive Relief.
-  Complete and continue on-going sampling of wells associated with the RCRA Closure.


Next Steps

None.


Key Issues

None.


response.epa.gov/deltafuels