EPA RCRA ID: MDD003091972
The Resource Conservation and Recovery Act (RCRA) is the public law that creates the framework for the proper management of hazardous and non-hazardous solid waste. Corrective action is a requirement under RCRA that facilities that treat, store or dispose of hazardous wastes, or did so in the past, investigate and clean up hazardous releases into soil, groundwater, surface water and air. For more information, and for more information on RCRA-specific terms used on this page, please visit EPA’s umbrella RCRA web page or EPA’s RCRA Corrective Action page.
On this page:
- Cleanup Activities
- Facility Description
- Institutional/Engineering Controls
- Enforcement and Compliance
- Related Information and Publicly Available Electronic Records
- Contacts for this Facility
Cleanup Activities
On February 22, 2006, Duke entered into a Facility Lead Agreement (FLA) with EPA to address Resource Conservation and Recovery Act (RCRA) corrective action at the entire Facility. Duke also assessed the Facility under the Maryland Department of the Environment's Voluntary Cleanup Program (VCP) in order to obtain a Certificate of Completion (COC) under the VCP. For purposes of redevelopment, the Facility has been divided into four areas designated as Area A, Area B, Area C, and Area D, respectively.
On February 13, 2015, EPA issued a Statement of Basis (SB) in which it described the information gathered during environmental investigations at the Facility and proposed a Final Remedy for the Facility.
Consistent with the public participation provisions under RCRA, EPA solicited public comment on its proposed Final Remedy. On February 18, 2015, notice of the SB was published on the EPA website and in the Daily Record newspaper. The thirty (30) day comment period ended on March 20, 2015.
Since EPA did not receive any comments on the SB and EPA has determined it is not necessary to modify the proposed Final Remedy set forth in the SB based on the comment; thus, the remedy proposed in the SB is the Final Remedy selected by EPA for the Facility on March 26, 2015.
FINAL DECISION
EPA’s Final Remedy for the Facility consists of compliance with and maintenance of land and groundwater use restrictions.
Cleanup Actions or environmental indicators characterizing the entire facility are shown below. This listing, and all the data on this page, come from EPA’s RCRAInfo and are refreshed nightly to this page. For this table, a blank in the Status column could mean the action either has not occurred or has not been reported in RCRAInfo.
Cleanup Activities Pertaining to the Entire Facility
Action | Status | Date of Action |
---|---|---|
Human Exposure Under Control Human Exposure Under Control(CA725) | ||
Groundwater Migration Under ControlGroundwater Migration Under Control (CA750) | ||
Remedy DecisionRemedy Decision (CA400) | ||
Remedy ConstructionRemedy Construction (CA550) | ||
Ready for Anticipated Use Ready for Anticipated Use (CA800) | ||
Performance Standards AttainedPerformance Standards Attained (CA900) | ||
Corrective Action Process TerminatedCorrective Action Process Terminated (CA999) |
For definitions of the terms used, hover over or click on the term.
Cleanup Activities Pertaining to a Portion of the Facility
Action | Area Name | Date of Action |
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For definitions of the terms used, hover over or click on the term.
Facility Description
Link to a larger, interactive view of the map.
Below is a summary of the remedial activities that have been conducted at Areas A and D and Sub-parcels B-2, B-4 and C-1 at the Facility.
Area A:
Former Anchor Motor Freight Facility- Ward 26, Section 1, Block 6871-C, Lot 1. Area A covers approximately 35.35 acres in the northernmost portion of the Facility. Originally, Area A was part of Fort Holabird and was owned and operated by the Department of Defense to house military personnel. OM acquired Area A in 1972 and leased it to Anchor 3 Motor Freight (AMF) which provided trucking services to OM for distribution of OM vehicles. Remedial activities were:
Excavated soils that exceeded the soil to indoor air risk-based levels.
Sub-parcel B-1:
The Property is subject to the following activity and use limitations, which the Owner and each subsequent owner of the Property shall abide by:
- The Property shall be restricted to commercial and/or industrial purposes and shall not be used for residential purposes unless (i) it is demonstrated to the Department and EPA that such use will not pose a threat to human health or the environment or adversely affect or interfere with the Final Remedy; and (ii) the Department and EPA provide prior written approval for such use;
- Groundwater from the Property shall not be used for any purpose other than to conduct the operation, maintenance, and monitoring activities required by the Department and/or EPA, unless (i) it is demonstrated to the Department and EPA that such use will not pose a threat to human health or the environment or adversely affect or interfere with the Final Remedy; and (ii) the Department and EPA provide written approval for such use;
- No new wells shall be installed on the Property unless (i) it is demonstrated to the Department and EPA that such wells are necessary to implement the Final Remedy and; (ii) the Department and EPA provide prior written approval to install such wells;
- The Owner shall perform all activities at the Property in accordance with the Risk Management Plan (Exhibit C), dated January 2008, to maintain the integrity and protectiveness of the Final Remedy unless (i) it is demonstrated to the Department and EPA that such activity will not pose a threat to human health or the environment or adversely affect or interfere with the Final Remedy; and (ii) the Department and EPA provide prior written approval for such use; and
- The Property shall not be used in any way that will pose a threat to human health or the environment or adversely affect or interfere with the integrity and protectiveness of the Final Remedy.
Sub-parcel B-2:
Sub-parcel B-2 encompasses approximately 8.02 acres in the southeast portion of Area B and was mainly used by OM as an access driveway into the former Main Assembly Building; a parking area (North Employee Parking Lot); temporary office/construction trailer storage, and a guard shack with an attached aerial walkway into the Main Assembly Building. Remedial activities were:
- Constructed a 118,000 square foot building (Building 118A) and associated paved parking areas and roadways, and green space areas were covered with a minimum of two feet of clean soil placed over a geotextile marker fabric, thereby eliminating direct contact exposures to soil by the on-site worker, child and youth visitor.
- Implemented a Risk Management Plan (RMP) to manage potential direct contact exposures to future construction/excavation workers during activities conducted after the initial redevelopment (e.g., utility maintenance).
- Recorded a deed restriction prohibiting on-site use of groundwater and restricting land use to commercial/industrial purposes throughout Area B.
Sub-parcel B-3:
The Property is subject to the following activity and use limitations, which the Owner and each subsequent owner of the Property shall abide by:
- The Property shall be restricted to commercial and/or industrial purposes and shall not be used for residential purposes unless (i) it is demonstrated to the Department and EPA that such use will not pose a threat to human health or the environment or adversely affect or interfere with the Final Remedy; and (ii) the Department and EPA provide prior written approval for such use;
- Groundwater from the Property shall not be used for any purpose other than to conduct the operation, maintenance, and monitoring activities required by the Department and/or EPA, unless (i) it is demonstrated to the Department and EPA that such use will not pose a threat to human health or the environment or adversely affect or interfere with the Final Remedy; and (ii) the Department and EPA provide written approval for such use;
- No new wells shall be installed on the Property unless (i) it is demonstrated to the Department and EPA that such wells are necessary to implement the Final Remedy and; (ii) the Department and EPA provide prior written approval to install such wells;
- The Owner shall perform all activities at the Property in accordance with the Risk Management Plan (Exhibit C), dated January 2008, to maintain the integrity and protectiveness of the Final Remedy unless (i) it is demonstrated to the Department and EPA that such activity will not pose a threat to human health or the environment or adversely affect or interfere with the Final Remedy; and (ii) the Department and EPA provide prior written approval for such use; and
- The Property shall not be used in any way that will pose a threat to human health or the environment or adversely affect or interfere with the integrity and protectiveness of the Final Remedy.
Sub-parcel B-4:
Sub-parcel B-4 encompasses 18.03 acres in the western portion of Area B and was mainly used by OM as a parking area for new vehicles awaiting shipment/distribution. Remedial activities were:
- Excavated and disposed of soils exceeding the TCLP-lead limit. Constructed a 342,000 square foot building (Building 342) and associated paved parking areas and roadways, and green space areas were covered with a minimum of two feet of clean soil placed over a geotextile marker fabric.
- Implemented a Risk Management Plan to manage potential direct contact exposures to future construction/excavation workers during activities conducted after the initial redevelopment (e.g., utility maintenance).
- Recorded a deed restriction prohibiting the construction of buildings over soils exceeding the soil-to-indoor air screening levels and use of on-site groundwater, in addition to restricting land use to commercial/industrial purposes throughout Area B.
Sub-parcel C-1:
Sub-parcel C-l is located within Area C. The Area C property covers approximately 81.33 acres. It consisted mainly of OM's Former Main Assembly Building.
- No active remedial activities were required for soil or groundwater within the Sub-parcel C-1.
Sub-parcel C-2:
The Property is subject to the following activity and use limitations, which the Owner and each subsequent owner of the Property shall abide by:
The Property shall be restricted to commercial and/or industrial purposes and shall not be used for residential purposes unless (i) it is demonstrated to the Department and EPA that such use will not pose a threat to human health or the environment or adversely affect or interfere with the Final Remedy; and (ii) the Department and EPA provide prior written approval for such use;
- Groundwater from the Property shall not be used for any purpose other than to conduct the operation, maintenance, and monitoring activities required by the Department and/or EPA, unless (i) it is demonstrated to the Department and EPA that such use will not pose a threat to human health or the environment or adversely affect or interfere with the Final Remedy; and (ii) the Department and EPA provide written approval for such use;
- No new wells shall be installed on the Property unless (i) it is demonstrated to the Department and EPA that such wells are necessary to implement the Final Remedy and; (ii) the Department and EPA provide prior written approval to install such wells;
- The Owner shall perform all activities at the Property in accordance with the Risk Management Plan (RMP), dated April 2008, (Exhibit C) to maintain the integrity and protectiveness of the Final Remedy unless it is demonstrated to the Department and EPA that (i) such activity will not pose a threat to human health or the environment or adversely affect or interfere with the Final Remedy; and (ii) the Department and EPA provide prior written approval for such use; and
The Property shall not be used in any way that will pose a threat to human health or the environment or adversely affect or interfere with the integrity and protectiveness of the Final Remedy.
Area D:
Area D covers approximately 20 acres and is bounded to the north by CSX Railroad; to the south by Keith Avenue; to the east by Colgate Creek and FILA sportsware facility; and, to the west by Broening Highway.
- No active remedial activities were required for soil or groundwater within the Area D.
Duke Realty developed and implemented a Public Involvement Plan that was approved by the U.S. EPA and MDE early in the project. The Public Involvement Plan outlines procedures to obtain public input and provide opportunities for comment during significant decision-making milestones during the RCRA Corrective Action process. To date, Duke has conducted several public meetings that have included both formal public meetings associated with the regulatory process and informal meetings with Site neighbors and community leaders to discuss redevelopment activities. The public involvement activities have also included focused consultation with neighborhood groups to discuss Site demolition activities, results of environmental assessment activities and plans for future Site development.
Institutional and Engineering Controls at this Facility
Currently, deed restrictions affecting the Site prohibit the use of groundwater at the property and restrict the property to commercial and industrial uses.
Institutional and Engineering Controls help ensure human exposure and groundwater migration are under control at a cleanup facility. Where control types have been reported by states and EPA in EPA’s RCRAInfo, they are shown below. Not all control types are needed at all facilities, and some facilities do not require any controls. Where there are blanks, the control types may not be needed, may not be in place, or may not be reported in RCRAInfo.
Are Controls in Place at this Facility?
Control(s) Type |
Control(s) in Place? |
Areas Subject to Control(s) |
|
---|---|---|---|
Institutional ControlsNon-engineering controls used to restrict land use or land access in order to protect people and the environment from exposure to hazardous substances remaining in the site/or facility. (CA 772) |
Informational DevicesInformational Devices (ID) |
||
Governmental Controls (GC) |
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Enforcement and Permit Tools (EP) |
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Proprietary ControlsProprietary Controls (PR) | |||
Engineering ControlsEngineering measures designed to minimize the potential for human exposure to contamination by either limiting direct contact with contaminated areas or controlling migration of contaminants. (CA 770) |
Groundwater ControlGroundwater Control (GW) |
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Non-Groundwater |
For definitions of the terms used, hover over or click on the term.
Enforcement and Compliance at this Facility
EPA’s Office of Enforcement and Compliance Assurance (OECA) provides detailed historical information about enforcement and compliance activities at each RCRA Corrective Action Site in their Enforcement and Compliance Historical Online (ECHO) system.
RCRA Enforcement and Compliance Reports from ECHO
Related Information and Publicly Available Electronic Records
For more information about this facility, see these other EPA links:
- RCRA information in EPA’s Envirofacts database
- Information about this facility submitted to EPA under different environmental programs as reported in EPA’s Facility Registry Services
- Alternative Names for this facility as reported by EPA programs in EPA’s Facility Registry Services
- Cleanups in My Community provides an interactive map to see EPA cleanups in context with additional data, and lists for downloading data
- Search RCRA Corrective Action Sites provides a search feature for Corrective Action Sites
Documents, Photos and Graphics
Contacts for this Facility
EPA Region implements and enforces the RCRA Corrective Action program for and federally recognized tribes.
For further information on this corrective action site, use the Contact Information for Corrective Action Hazardous Waste Clean Ups listings that are accessible through Corrective Action Programs around the Nation.