HomeMy WebLinkAbout20080718DEQ Letter to UPR.pdfSTATE OF IDAHO
DEPARTMENT OF
ENVIRONMENTAL QUALITY
2110 Ironwood Parkway. Coeur d'Alene. Idaho 83814. (208) 769-1422 CL "Butch" Otter, Governor
Toni Hardesty. Director
July 18 2008
Chuck Saylors
Union Pacific Railroad
1400 Douglas Street
Mail Stop 1580
Omaha, NE, 68179
Subject: Proposed Union Pacific Railroad Abandonment - Coeur d' Alene Industrial Lead
Dear Mr. Saylors:
This letter is in response to your July I, 2008 letter requesting assistance in identifying any
potential environmental affects from the abandonment of the Coeur d'Alene Industrial Lead rail
line from M.P. 7.5 to M.P. 8.79 in Coeur d'Alene, Idaho. It appears that this section is a
continuation of the same rail line that was formally abandoned from mile post 7.5 to 2.25 in
2004/2005. The Department of Environmental Quality (DEQ) submitted comments to Union
Pacific on that abandonment in a June 15 , 2004 letter. Many of DEQ's concerns are the same for
this section and are reiterated below.
The rail line passes by residential neighborhoods and industrial areas in Coeur d'Alene. It is
readily accessible to the public. After discussions with long time residents of the Coeur d'Alene
area, our understanding is that the line primarily carried forest products to and from lumber
mills. Petroleum products were also transported to heating oil distributors and an asphalt plant
along the line. Herbicides, used in vegetation control, and spilled petroleum product are potential
contaminants in the rail corridor
The Department of Environmental Quality (DEQ) is not aware of any large releases of hazardous
materials along the rail line. Based on the potential for petroleum contamination, the long history
of this line s operation and our experience with other rail line abandonment projects, DEQ
requests that Union Pacific conduct a reconnaissance assessment of the rail bed and adjacent
right of way over this segment proposed for abandonment. The assessment should inventory any
areas with discolored soils or devoid of vegetation for no apparent reason. The extent of these
areas should be mapped. Any areas inventoried should undergo soil testing using a defensible
sampling design to establish the nature of any contamination, its extent and maximum
concentration values. The type of contamination suspected at any particular site should dictate
the constituents sampled and assessed.
UPRR Abandonment - Coeur d' Alene Industrial Lead
Page 2
July 18, 2008
Union Pacific should also complete a scientifically supportable random sampling of the grade
and right of way to establish the surface and near surface (12 inches) concentrations of petroleum
constituents and herbicides. These data should be subjected to a risk based assessment protocol
that would guide grade closure alternatives protective of human health and the environment. The
Idaho Risk Evaluation Manual is available through the DEQ website at
http://www.de,!.idaho.gov/ Appl ications/Brownfields/index.cfm?site=risk. htm
Since this section of the rail line is situated along the Spokane River, any abandonment
activities such as rail and tie removal should apply best management practices (BMPs)
designed to protect the river from nonpoint source pollution. Once installed, these BMPs should
be inspected on a regular basis and enhanced if not achieving the desired control of runoff and
nonpoint source pollution.
Any area used to temporarily store and/or treat salvaged rails and ties should be situated well
away from the river. It should be adequately fenced to restrict public access. Any temporary
storage and/or treatment facility situated any place along the rail line will be over the Rathdrum
Prairie-Spokane Valley Aquifer, a sole drinking water source for over 450 000 residents in the
region. Local critical materials regulations (IDAP A 41.01.01.400) designed for aquifer
protection will apply to any associated chemical storage at a storage and/or treatment site.
Groundwater protection is required by the Idaho Groundwater Rule (IDAP A 58.01.1 1). Primary
and secondary impermeable layers for containment of drainage generated from precipitation on
stored rails and ties would be warranted. Adequate measures to collect, isolate and treat any
accumulating liquids should be in place. Should tie washing be contemplated on such a site
liquid waste minimization measures would be required in addition to a liquids removal or
treatment plan. RCRA regulations may also apply, dependent on any wastes generated.
If you have any questions concerning this response, please direct these to Kreg Beck at 208-769-
1422 or kreg.beck~deq.idaho.gov.
tl2/
Daniel Redline
Regional Administrator
Toni Hardesty, Director, DEQ
Rosie Alonzo, DEQ - Assignment 39135
Kreg Beck, CDA DEQ
June Bergquist, CDA DEQ