United States Environmental Protection Agency
Region II
POLLUTION REPORT



Date:
Thursday, October 5, 2006
From:
Paul L. Kahn & Eric M. Daly

To:
Mary Mears, USEPA, Region 2, PAD
Carole Petersen, USEPA, Region 2ERRD-NJRB
John Kushwara, USEPA Region 2 DECA-WCB
Patricia Carr, USEPA-PAD
Fred Mumford, NJDEP
Marissa Truono, USEPA ERRD-RAB
Walter Andrews , USEPA Region 2 DEPP-WPB
George Zachos, USEPA Region 2 ERRD
Andrew Radaant, US DOI
Dave Sweeney, NJDEP
Tim Grier, USEPA Headquarters 5202G
Kristin Grun, NJDEP
Joshua Gradwohl, NJDEP
Paul King, NJDEP
Carol Chamberlain, Lawrence Township Health Dept.

Subject: 

Friction Division Products
40 North Enterprise Ave, Lawrence Township (Trenton), NJ
Latitude: 40.2728000
Longitude: -74.7083000


POLREP No.:
6
Site #:
XW
Reporting Period:
D.O. #:
031
Start Date:
6/15/2006
Response Authority:
CERCLA
Mob Date:
 
Response Type:
Time-Critical
Demob Date:
 
NPL Status:
Non NPL
Completion Date:
 
Incident Category:
Removal Action
CERCLIS ID #:
NJN0002058677
Contract #
RCRIS ID #:
 

Site Description

This site, a defunct automotive brake pad manufacturer, was brought to the attention of EPA by the NJDEP for a possible referral for a CERCLA removal action.  An inspection by EPA OSCs and a DEP responder on 12/23/05 revealed the following hazardous materials/wastes were abandoned at the site:  tons of asbestos material, tons of elemental sulphur, 1,000+ drums of mostly unknown materials or materials that do not match the label description, hundreds of smaller containers, acids, flammable liquids, iron and aluminum powders, flammable solids, waste oil, solvents, and other contaminants or pollutants.  The site is semi-controlled, with most doors being locked but numerous open windows or sections of sheet metal walls missing.  A maintenance man is on-site for a few hours Mon-Fri.  The owner of the building (not the business) has balked at doing a cleanup, but with pressure from the DEP, he has hired a company to provide him with an estimate of the clean-up cost. The former operator of the actual manufacturing business has left the state and resumed the same business in Pennsylvania.


Current Activities

EPA's Office of Regional Counsel has drafted an Administrative Consent Order (ACO) which was sent to the attorney for the RP on August 24, 2006.  A meeting was convened between the RP and EPA, at which time certain revisions to the ACO were discussed.  A revised ACO was sent to the RP on 9/28/06, and based on subsequent phone conversations with the RP, EPA believes that the RP is satisfied with the terms of the ACO and will be willing to sign it so that the removal work can be started prior to the onset of winter.


Planned Removal Actions

One final phone call between EPA and ORC is scheduled for 10/6/2006, presumably to resolve some minor points in the draft ACO.  Once all outstanding issues are resolved, the ACO will be finalized and sent to RP for signature.  Upon returning to EPA, the Order will be signed (issued) and the RP-lead removal will commence ASAP.


Next Steps

Resolve any outstanding issues with RP and submit final version of ACO to EPA management for concurrence.


Key Issues

Finalizing draft of ACO.


response.epa.gov/frictiondivision