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Potential Sources of Contamination
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Potential sources of contamination are those facilities, sites, and activities that have the potential to affect the underlying ground water aquifers or nearby surface waters used for public drinking water supply. Many of these potential sources are regulated by DEP, and the location and status of these sites are maintained within DEP databases. By utilizing in-house databases, and a geographical information system (GIS), DEP can access and illustrate the relationships of potential contaminant sources to the approximately 12,000 public water supply intakes in Florida.
It should be noted
that the potential sources of contamination identified by this
assessment project are just that: potential sources. Many of these
facilities are regulated and operate under stringent construction
and maintenance requirements designed to protect both human health
and the environment. The purpose of conducting the source water
assessments is to provide information that will lead to actions to
reduce current risks or avoid future problems. The next phase of the
SWAP Program will involve using what we have learned in our
assessments to protect our states sources of drinking water.
Potential Contamination Source Scoring
To complete
the assessment, we calculate a score for each facility which could potentially
produce contamination of a PWS well.
The calculation used is:
(Cancer Group
+ Toxicity) * Mobility
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= PCS SCORE
(Aquifer
Value * Management Practice)
The Cancer
Group (values 1 - 50), Toxicity (values 1- 50), and Mobility (values 1- 10) are
predefined based on a chemical of concern for the facility, which is supplied by
the program. The Aquifer Value (values 3,6,9) is determined by comparing the
Florida Geological Survey's FAVA (Florida Aquifer Vulnerability Assessment) GIS
coverage value with the public water system well. The Management Practice (value
1 - 15) is also determined by the program area and are based on the preventative
controls enacted at the site (1 = no controls, 15 = many controls).
Potential Sources Not Included in this
Assessment
Because this is a GIS based project, location data for the
public water supply intakes and for the potential sources of
contamination are extremely important. SWAPP is funding several
ongoing projects to evaluate and correct locational data in the DEP
databases. As locational data are improved, and more information is
moved to an electronic format that can be used in a computer- based
assessment, it is anticipated that additional potential sources of
contamination will be added to future assessments.
Potential sources of contamination not included in this
assessment include:
- Mining Areas, including phosphate mining
areas
- Petroleum Clean Up Sites
- Class 5 Underground Injection wells
- Storm Water Discharges
- Agricultural Facilities
Work continues on including these potential sources in the next
assessments to be conducted in 2010.
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Brownfields Program
(Top)
A brownfield site is a site that is generally abandoned, idled, or under-used
industrial and commercial property where expansion or redevelopment is
complicated by actual or perceived environmental contamination. A brownfield
area is a contiguous area of one or more brownfield sites, some of which may
not be contaminated, and which has been designated by a local government
resolution. Such areas may include all or portions of community redevelopment
areas, enterprise zones, empowerment zones, closed military bases or other
such designated economically deprived communities and areas, and EPA designated
brownfield pilot projects. Designation of a brownfield area by a local
government is the first step for a brownfield site to participate in and to receive
various economic and regulatory incentives under the Brownfields Redevelopment Program.
DEP Brownfields Website:
http://www.dep.state.fl.us/waste/categories/brownfields/default.htm
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CERCLA
(Superfund) Program
(Top)
For further information, please contract:
Teresa Booeshaghi 850/245-8989
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Domestic Wastewater Program
(Top)
Domestic wastewater is wastewater derived principally from dwellings, business
buildings, institutions, and includes sanitary wastewater and sewage.
Domestic wastewater in Florida is treated either by on-site sewage treatment and
disposal systems (i.e., OSTDS or septic tanks) or by centralized domestic
wastewater treatment facilities (WWF). The Florida Department of Health -
Onsite Sewage Program has responsibility for regulating approximately 1.9
million OSTDS which treat roughly one-fourth of our state's domestic wastewater.
The remainder of the state's domestic wastewater (approximately 1.7 billion
gallons per day) is treated by larger onsite systems or by centralized WWFs
which are the regulatory responsibility of DEP. DEP is responsible
for permitting and compliance activities for approximately 2,700 domestic wastewater
treatment facilities in the state.
DEP Domestic Wastewater Website:
http://www.dep.state.fl.us/water/wastewater/dom/index.htm
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Drycleaning Program
(Top)
The Florida Legislature has established a state-funded program to cleanup properties that are contaminated as a result of the operations of a drycleaning facility or wholesale supply facility. The program is administered by DEP. The statute was sponsored by the drycleaning industry to address environmental, economic, and liability issues resulting from drycleaning solvent contamination. The program limits the liability of the owner, the operator and the real property owner of drycleaning or wholesale supply facilities for cleanup of drycleaning solvent contamination if the parties meet the conditions stated in the law. The data set contained in this assessment represents all locations that have been registered as an operating or a former drycleaning facility regardless of the property's eligibility status in the Drycleaning Solvent Cleanup Program.
DEP Drycleaning Website:
http://www.dep.state.fl.us/waste/categories/drycleaning/default.htm
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Delineated Areas Program
(Top)
In 1988, the Florida Legislature directed the DEP to
implement the Delineated Areas Program for potable water well construction and
water testing standards within areas of known ground water contamination under
Chapter 62-524, F.A.C. This action was
taken to protect public health and ground water resources, and to promote the
cost-effective remediation of contaminated potable water supplies.
From 1962 to 1983 the Florida Department of
Agriculture and Consumer Services conducted widespread field applications of
Ethylene Dibromide (EDB), an agricultural pesticide, to control nematodes in
citrus groves. EDB was also used on row
crops such as peanuts and soybeans and on golf courses. Discovery of EDB in
ground water in other states prompted Florida to begin testing potable water
wells in 1983.
Under the Delineated Areas Program approximately
427,897 acres in 38 counties have been delineated for ground water
contamination. Of these areas, the
majority are delineated for EDB contamination with a few additional areas
delineated for solvents and gasoline. Delineated areas are mapped and adopted by rule under Chapter 62-524,
F.A.C. These areas are typically mapped using a 1000-foot protective setback from a contaminated
well or site.
Within delineated areas more stringent well construction standards are
required for new drinking water well construction, along with testing
of well water for the chemicals of concern and clearance for potable use by the
Florida Department of Health. Contaminated
potable water wells are typically remediated by installation of a granular
activated carbon filtration system or by connection to a municipal water
system. In addition, community and non-transient noncommunity public water
systems with wells located within a delineated area routinely monitor for EDB
and solvents.
DEP Delineated Areas Website:
http://www.dep.state.fl.us/water/groundwater/delineate.htm
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Hazardous Waste Program
(Top)
- A TSD is a Treatment, Storage or Disposal facility for hazardous waste. All
TSDs require hazardous waste permits, or corrective action orders, to
perform treatment, storage or disposal of hazardous waste. The permits and
orders are processed and issued by DEP's Resource Conservation and
Recovery Act (RCRA) staff. TSD facilities handle a wide array of potentially
hazardous substances including, dioxins, metals, solvents, PAHs and other
materials. Potential contaminants vary depending upon the types of wastes,
management of those wastes and degradation products. There are 159 TSDs
in Florida.
- A Large Quantity Generators (LQG) is a facility that generates 2,200 pounds
or more of hazardous waste per month or 2.2 pounds or more of acute
hazardous waste (such as some pesticides, toxics or arsenic and cyanide
compounds) per month. Many wastes that are recycled are included in this
quantity determination. There are 351 LQGs in Florida.
DEP Hazardous Waste Website:
http://www.dep.state.fl.us/waste/categories/hazardous/default.htm
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Industrial Wastewater Program
(Top)
Industrial facilities vary highly in the amount and types of wastewater they
discharge. Industries that discharge large amounts of wastewater include North
Florida's pulp and paper mills, Central Florida's phosphate mines, and the many
electrical power plants throughout the state. Smaller industrial facilities, such as
car washes and laundromats, have distinctly different wastes. Agriculture is one
of the biggest industries in Florida. Many agricultural production and processing
activities, such as citrus processing, dairies and aquaculture facilities, are
regulated under DEP's Industrial Wastewater Program. There are
approximately 1,430 industrial wastewater facilities in Florida.
DEP Industrial Wastewater Website:
http://www.dep.state.fl.us/water/wastewater/iw/index.htm
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Injection Wells Program
(Top)
DEP's Underground Injection Control
(UIC) program consists of a team of geologists and engineers dedicated to
protecting the State's underground sources of drinking water (USDW) while
maintaining the option of using underground injection wells for the disposal of
fluids. A USDW is defined as an aquifer that contains ground water with a total
dissolved solids concentration of less than 10,000 milligrams per liter. The UIC
regulations are also designed to prevent the degradation of the quality of other
aquifers adjacent to the injection zone. Subsurface injection, the practice of
emplacing fluids in a permeable underground aquifer by gravity flow or under
pressure through an injection well, is one of the many waste disposal methods
used in Florida.
Class I wells are used to inject hazardous waste (new hazardous waste wells
were banned in 1983), nonhazardous industrial wastewater, or municipal
wastewater below the lowermost USDW. There are approximately 125 active
Class I injection wells in Florida. The majority of the Class I injection facilities in
Florida dispose of nonhazardous, secondary treated effluent from domestic
wastewater treatment plants. Class I injection wells are also increasingly being
used for the disposal of desalinization concentrate.
At locations where hydrogeologic conditions are suitable and where other
disposal methods are not possible or may cause contamination, subsurface
injection below all USDWs is considered a viable disposal method. There are
favorable hydrogeologic conditions in Florida where the underground formations
have the natural ability to accept and adequately confine the injected fluid. The
injection wells are required to be constructed, maintained, and operated so that
the injected fluid remains within the injection zone, and the unapproved
interchange of water between aquifers is prohibited. Class I injection wells are
monitored so that if migration of injection fluids were to occur it would be
detected before reaching the USDW. Testing is conducted on all Class I
injection wells at a minimum of every five years to determine that the well
structure has integrity.
DEP Injection Wells/UIC Website:
http://www.dep.state.fl.us/water/uic/index.htm
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National Priority List (Superfund) Program
(Top)
Years ago there was less understanding of how dumping or improper managment of
chemical wastes might adversely affect public health and the environment.
The result of such practices was that hazardous substances contaminated thousands
of properties across the nation. Congress passed legislation in 1980 that established
the Superfund Program in order to locate, investigate and cleanup these sites. The
federal Environmental Protection Agency (EPA) administers the Superfund Program in
cooperation with the individual states and tribal governments.
The Hazard Ranking System (HRS) is the principal mechanism EPA uses to evaluate
sites for the National Priorities List (NPL). It is a numerically based screening
system that uses information from initial, limited investigations the preliminary assessment
and the site inspection to assess the potential of sites to pose a
threat to human health or the environment. Sites are listed on the NPL upon completion
of Hazard Ranking System screening, public solicitation of comments about the proposed
site, and after all comments have been addressed. The responsible parties may clean up
the Superfund site under an agreement with EPA; or, EPA may clean up the site under a
cost-share agreement using federal and state funds.
Complete information on the Superfund Program and individual Superfund sites is available on the EPA Superfund Sites Website:
http://www.epa.gov/superfund/about.htm
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Petroleum Storage Tanks Program
(Top)
There are over 20,000 petroleum storage tanks (both underground and aboveground) in Florida that are designed to
contain regulated substances such as motor fuels, residual oils, waste oil,
lubricants, petroleum solvents, and petroleum based substances. The Storage
Tank Regulation Section is part of the Bureau of Petroleum Storage Systems in
the DEP Division of Waste Management. Since Florida relies on groundwater for
approximately 92 percent of its drinking water needs, DEP has a very active petroleum
contamination prevention and cleanup program and some of the most stringent
rules in the country.
Leak Prevention is an important part of Florida's program. DEP's underground
and aboveground storage tank rules require that all new and replacement
storage tank systems have secondary containment. The rules also establish
deadlines for owners of existing storage tank systems to replace their systems
with those that have secondary containment. In addition, DEP has contracts with
all 67 counties in the state to perform compliance verification and enforcement
activities. The counties perform routine inspections of every facility within
their counties on an annual basis, inspect the installation and removal of
all storage tank systems, and complete investigations of discharges from
regulated facilities.
DEP Regulated Underground Storage Tank Facilities Website:
http://www.dep.state.fl.us/waste/categories/tanks/default.htm
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Responsible Party
Waste Cleanup Program
(Top)
Responsible Party Waste Cleanup sites are those sites for which the property owner or some other interested party is performing
the site cleanup in cooperation with the department. Sites covered by other cleanup programs (e.g., petroleum,
drycleaning) are typically
not included as responsible party cleanup sites. There is a broad range of types and sizes of sites and a broad range of
pollutants as well.
For more information, please contact Brian Dougherty at 850/245-7503.
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Solid Waste Program (Landfills)
(Top)
Class I and II landfills are lined landfills which accept all solid wastes (primarily
municipal solid wastes) which are not hazardous wastes and which are not
prohibited from disposal in a lined landfill. Class III landfills are landfills which
accept yard trash, construction and demolition debris, processed tires, asbestos,
carpet, cardboard, paper, glass, plastic, furniture other than appliances, and
other materials approved by DEP that are not expected to produce
leachate which poses a threat to public health or the environment. Florida has
488 landfills that are either Class I, II, or III. Of these landfills, 100 are active and
the remainder are closed. Some of the older landfills were closed before permits
were required.
Groundwater contaminants associated with Class I, II, and III landfills will vary depending on the type of wastes disposed, quantities of wastes disposed, whether or not the landfill is lined, the site specific hydrogeologic setting, and the age of the landfill. The permitting of landfills, the inspections to ensure landfills are in compliance with the rules, and any enforcement actions to bring landfills back into compliance with the rules are performed by the District office for the region where the landfill is located.
DEP Landfills/Solid Waste Website:
http://www.dep.state.fl.us/waste/categories/solid_waste/default.htm
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State Funded Cleanup Program
(Top)
The state-funded cleanup program is designed to address sites with soil or
groundwater contamination when legal efforts have been exhausted to find and
obtain funds from the responsible parties. Remediation efforts are triggered
when a DEP District Office, in collaboration with the Office of General Counsel,
refers a site for state-funded cleanup. Sites are then scored using the EPA Hazard
Ranking System to determine the severity of contamination. A site is adopted for
state cleanup if it poses an imminent hazard and does not qualify for Superfund
or is a low priority for EPA.
State-funded cleanup is managed by the Hazardous Waste Cleanup Section in the
Bureau of Waste Cleanup and is accomplished using hazardous waste contractors
who implement the DEP authorized remedial action at the site. Remedial activity
may include contamination assessments, risk assessments, feasibility studies,
design and construction of treatment systems, operation and maintenance of
treatment systems, and removal of contaminated media when necessary. Funding for
these remedial efforts comes from the Water Quality Assurance Trust Fund.
DEP State Funded Cleanup Sites Website:
http://www.dep.state.fl.us/waste/categories/wc/pages/stat_1199.htm
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Last updated:
January 08, 2010 |