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HYDRO23688
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HYDRO23688
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Last modified
8/24/2016 8:44:05 PM
Creation date
11/20/2007 3:59:42 PM
Metadata
Fields
Template:
DRMS Permit Index
Permit No
M1999002
IBM Index Class Name
Hydrology
Doc Date
9/22/2004
Doc Name
Well 20-12 TDR Monitoring
From
American Soda L.L.P.
To
DMG
Media Type
D
Archive
No
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i. - <br />AS believes that the monitoring result obtained from TDR cable on July 1.2004, is <br />reliable from the surface to 1000 feet below surface and can be utilized as the baseline for <br />comparisons to tutttre subsidence monitoring. EPA agrees that the July 1. ?004. monitoring data <br />can be used as a baseline for `orate comparisons of the monthly monitoring of this subsidence <br />monitoring well required by the UIC permit. <br />To explain the three TDR cable monitoring results, AS speculates that pressure of the <br />water in the rubing prior to cementing operations caused the cable to deform and resulted in a <br />short circuit at a depth of 1209 feet. AS further speculates that cementing operations on June 17, <br />2004, again deformed the cable at a depth of 1000 feet resulting in no signal return from below <br />that depth. <br />EPA agrees that this is one possible interpretation of the data. EPA points out. however, <br />that these data aze also consistent with one or more cavity collapses at depths below which there <br />are no signal returns (i.e. cavirv collan_ ses at 1309 and 1000 feet below surface). AS did not <br />address this possibility in its July 23.2004, letter. AS must address this possibility prior to <br />resuming injection at the injection wells surrounding the this TDR cable monitoring well (i.e. <br />injection into cavities 20-2, 20-3.20-11, 20-12, 3z 20-14. Until addressing the cavity collapse <br />possibility, injection into these same cavities is not allowed. <br />Within 30 days of your receipt of this letter, please provide a timeline by which AS <br />will address the possibility of cavity cotlaose at the TDR cable monitoring well 720-12. <br />Failure to comply with a UIC permit or the UIC regulations Yound at 40 CFR Parts 144 <br />through 1=13 constitutes one or more violations of the Safe Drinkin; Water Act, 42 U.S.C. ~300h. <br />Such non-compliance may subject you to formal enforcement by EPA, as codified at 40 CFR <br />Part 22. <br />If you have any questions or cotnments concerning this letter, you may contact Ken <br />Phillips at (?03) ; L?-640, or Fiathar. !Wiser az (.03) 312-6311. Also please continue to d!rect all <br />correspondence to the attention of Ken Phillips at vlail Code 3ENF-UF'O in our Denver Office. <br />Sincerely, <br />~, C,s a:o tX-Lt ~q~,.p <br />Elisabeth Evans <br />Director <br />Technical Enforcement Program <br />cc: Paul Daggat. BL~I <br />Erica Crosby, CDbIG <br />
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