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Environmental Quality Service Council Institutional Controls Registry October 6, 2009

Environmental Quality Service Council Institutional Controls Registry October 6, 2009 Peggy Dorsey Deputy Assistant Commissioner. Indiana Department of Environmental Management Office of Land Quality. Institutional Controls (ICs). Legal or administrative tool (paper)

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Environmental Quality Service Council Institutional Controls Registry October 6, 2009

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  1. Environmental Quality Service Council Institutional Controls Registry October 6, 2009 Peggy Dorsey Deputy Assistant Commissioner Indiana Department of Environmental Management Office of Land Quality

  2. Institutional Controls (ICs) • Legal or administrative tool (paper) • Used to cut off exposure to unacceptable risk posed by contamination left in place

  3. IC Types • Environmental Restrictive Covenants (ERCs) • Legal document that stipulates restrictions and conditions that must be met and complied with by the property owner (current and future) in lieu of removal of contamination. • Signed by IDEM and property owner and owner has it recorded as part of deed record and runs with the land • Restrictions selected based on the site conditions (ex. do not use groundwater, no residential use) • Currently most common IC used in Indiana

  4. Groundwater ordinances (per HEA 1162) Municipality can pass ordinance to restrict groundwater use Municipalities must provide copy to IDEM (per HEA 1162) Better definition of what needs to be sent would be beneficial to all Area of coverage variable Longevity of ordinance variable Municipalities enforce them Information devices (deed notices or signs) Zoning ordinances Easements IC Types

  5. The Remediation Program prevents, stops, or minimizes: contamination that has been released into our water and soil exposure to people degradation to our natural resources Allows for economic development and advancement Remediation Program Responsibilities

  6. IDEM addressed contamination and tried to find a sensible approach to cleanup and risk Unnecessary to remove every molecule of contamination in certain situations However, it was necessary to manage contamination by allowing acceptable levels of risk while protecting human health and the environment. Prior to HEA 1162

  7. IDEM’s approach to addressing contamination post P.L. 78-2009 (HEA 1162) Approach to addressing contamination determined by site May go directly to risk management of contamination and utilize Institutional Controls or Engineering Controls to prevent human exposure to contamination left in place ranging from free product to minimal amounts of contamination Post HEA 1162

  8. Institutional Controls A component of site-specific approach to address contamination and risk, or Sole means of closure – designed to cut off exposure to the contamination left in place Will be many more of them to keep track of IC’s now play a more important role in risk management than before so to continue to protect people’s health it is critical to keep track of: where contamination still remains in soil and water what people can and cannot do with the soil or water on site how the property can and cannot be used Purpose of Institutional Controls

  9. The restrictions and conditions placed on the property and its use will remain in effect until new data provided to IDEM proves the risk has been mitigated and the Institutional Control is no longer necessary Long Term Stewardship: Can’t walk away from them, they outline obligations to which the current property owner and all future property owners must adhere to be protective. (Part of the deal.) Components of Long Term Stewardship: Implement the IC Track the information – Interim IC Registry created by IDEM Monitor – are conditions and restrictions still in place and in effect Enforce – if they aren’t, some action needs to be taken Long Term Stewardship

  10. To track when and where ICs established Prior to 2008 IDEM had no comprehensive list of IC sites The more contamination left in place, the higher the long term risk of exposure if ICs not monitored Recommended by EPA Study found lack of easily available information on ICs Study found significant number of ICs not in place IDEM research found less than 50% in deed record search Majority of states now have registries EPA Brownfield grant stipulates public record of IC sites; IC registries also eligible for EPA funding No comprehensive federal registry Provides notice to public and local government units Reason For IC Registry

  11. ERC Numbers by Program • Indiana Brownfields Program • 76 ERCs • LUST/ELTF • 207 ERCs • VRP • 31 ERCs • SCU • 31 ERCs • Superfund/DERP • 41 ERCs • RCRA – Corrective Action • 7 ERCs APPROXIMATELY 400 ERCs TO DATE

  12. Interim: Access Database Rolled-out late 2008 Information tracked includes county, city, address, types of restrictions, engineering controls, county recorder information Linked to electronic filing cabinet (VFC) and Indiana Map Summary report compiled from database and updated on IDEM website monthly Limitations No way to search (query) – sort function only ERC boundaries not required so maps limited Change in ownership not required Long-term: TEMPO Software IC module funded by EPA Brownfields grant Development ~2010 IDEM IC Registry

  13. IC Registry Summary Report Available on-line at www.in.gov/idem/5959.htm

  14. IC Summary Report Contents County Address and City Site Name

  15. Program ID OLQ Program Date Recorded IC Type

  16. Affected Media Contaminant Class Restriction or Engineering Control Comments

  17. Click ‘View’ to open document in VFC

  18. Specific Restriction Language (no residential use, etc).

  19. Click ‘Map’ to open aerial photo in IndianaMap

  20. Institutional Controls not effective if no one knows about them New owners/tenants may be unaware of ICs Administrative records may be lost (not recorded properly, property subdivided, etc.) Local government units and decision makers (planning, zoning, building permits, etc.) may be unaware of contaminated sites Environmental regulators typically not involved with local redevelopment projects IC Challenges

  21. Puget Sound Naval Shipyard, “Do Not Dig” - contaminated soil excavated within 3 weeks of property transfer State audits Rhode Island audit results ~19% of IC sites out of compliance for technical reasons Kansas audit Some owners unaware of ICs 12% improperly filed 68% met all IC conditions Records lost, not tied to property, not carried over when property subdivided IC Failures

  22. No comprehensive IC audit conducted to date; extent of compliance issues unknown IC site numbers growing with higher levels of contamination remaining Known Issues SF sites: some ICs not yet in place IDEM notified by property owner that ERC not found during title search/property transfer Misc. recorder offices statements: cannot locate some ERCs in county records Indiana – IC Concerns

  23. Sites in IDEM Remediation Programs • Leaking USTs • Voluntary Remediation • RCRA Corrective Action • Superfund • Brownfields • State Cleanup

  24. Future Institutional Controls • ~3850 Current Active Sites • ~400 Existing ERCs • Est. 70% current sites will close with some type of ICs = 3100

  25. There are long-term costs associated with maintaining controls Inspections Records management Operation/maintenance of engineered controls Replacement of engineered controls at end of life Property transactions (subdivision, redevelopment, etc) may require re-evaluation of ICs Site construction (contaminated soil & water management) Public/private party notification After Site Closure

  26. Government Fees (flat or annual) paid to government entity to administer tracking, compliance and enforcement - not failure of EC Private Company Fees (flat or annual) paid to private entity to administer tracking and compliance – no enforcement or failure of EC Owner Periodically self-reports to government and pays for engineering inspection costs – not tracking or enforcement Trusts Financial assurance Used by property owner to show adequate economic solvency should they need to cover all the costs associated with the maintenance and possible failure of Engineering Controls Mechanisms for Long Term Stewardship

  27. Trust Owner pays a 1 time flat fee and the trustee (IDEM?) then is responsible to deal with the obligations of the IC and failures of ECs as well as tracking, compliance and enforcement Proposed in 2009 - HEA 1162 If established, IDEM and IFA agree that it should be administered by IDEM Trusts not new to IDEM – currently manages several Institutional Controls Trust

  28. Peggy Dorsey Deputy Assistant Commissioner Office of Land Quality pdorsey@idem.in.gov (317) 234-0337 Contact Information

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