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TABLE B9-1b<br />

Comparative Analysis of Alternatives 4+(a) through 4+(e)<br />

<strong>Site</strong> <strong>In<strong>for</strong>mation</strong> <strong>Package</strong> <strong>for</strong> <strong>National</strong> <strong>Remedy</strong> <strong>Review</strong> <strong>Board</strong><br />

OU 2 Alternative (a)<br />

OU 2 Alternative (b)<br />

OU 3 Component<br />

Alternative 4+: Maximum Removal, Disposal, and Treatment<br />

OU 2 Component<br />

OU 2 Alternative (c)<br />

OU 2 Alternative (d)<br />

OU 2 Alternative (e)<br />

Extensive Stream Lining/French Drain<br />

Minimal Stream Lining<br />

Extensive Stream Lining<br />

French Drains<br />

Combined Upper Basin Alternative<br />

Stream Lining/French Drain Combination<br />

Combination<br />

Criteria<br />

Alternative 4+(a) Alternative 4+(b) Alternative 4+(c) Alternative 4+(d) Alternative 4+(e)<br />

Irreversible treatment Treatment is irreversible <strong>for</strong> the water stream<br />

treated <strong>for</strong> both active and semi-passive<br />

processes. Treatment residuals (Spent SRB<br />

media and hydroxide sludge) would require<br />

proper disposal to ensure that leaching of<br />

metals into the environment would not occur.<br />

Same as Alternative 4+(a). Same as Alternative 4+(a). Same as Alternative 4+(a). Same as Alternative 4+(a).<br />

Type and quantity of residuals Spent SRB substrate and hydroxide sludge<br />

require disposal. It is assumed that these<br />

wastes would be disposed of onsite. Total<br />

volume requiring disposal is estimated to be<br />

10,300 cy/y.<br />

Same as Alternative 4+(a). Same waste types as <strong>for</strong> Alternative 4+(a). Total<br />

volume requiring disposal is greater, and<br />

estimated to be 15,300 cy/y.<br />

Same as Alternative 4+(c). Same waste types as <strong>for</strong> Alternative 4+(a). Total<br />

volume requiring disposal is greater than<br />

Alternative 4+(a) and (b) but less than<br />

Alternatives 4+(c ) and (d), and is estimated to<br />

be 13,300 cy/y.<br />

Statutory preference <strong>for</strong><br />

treatment<br />

Short-Term Effectiveness<br />

Satisfies. Satisfies. Satisfies. Satisfies. Satisfies.<br />

Community protection Potentially significant short-term risks to the See Alternative 4+(a). Slightly higher volume of See Alternative 4+(a). Slightly higher volume of See Alternative 4+(c ). Slightly higher volume of See Alternative 4+(d ). Slightly higher volume of<br />

community from construction traffic. Risks truck trips would be associated with the longer truck trips would be associated with more truck trips would be associated with stream truck trips would be associated with additional<br />

would be minimized by traffic control plans and stream liner lengths in Alternative 4+(b). extensive floodplain work to install French lining and associated work in Government construction work in the Box.<br />

selective repository siting.<br />

drains.<br />

Gulch.<br />

Worker protection Limited risks to workers from remediation See Alternative 4+(a). See Alternative 4+(a). See Alternative 4+(a). Risks may be slightly See Alternative 4+(a). Relative to other<br />

actions. Risks would be minimized with<br />

higher than <strong>for</strong> Alternative 4+(c ) due to the alternatives, Alternative 4+(e) would present the<br />

standard health and safety measures. The<br />

massive scope of actions under Alternative 4+<br />

would increase the risk of work injury relative to<br />

Alternative 3+.<br />

additional actions in Government Gulch. greatest short-term risks to workers.<br />

Environmental impacts Significant and ongoing impacts to environment<br />

during several decades of construction. In the<br />

context of current water quality in the SFCDR,<br />

these potential risks would be minimal.<br />

Impacts associated with:<br />

- 300,000 LF stream and riparian improvements<br />

- Very extensive excavation<br />

- Extensive repository requirements<br />

- Potential stream flow reduction<br />

(hydraulic isolation)<br />

Time until action is complete c Approximately 80 to 130 years to implement<br />

actions. Additional time would be required <strong>for</strong><br />

natural source depletion to attain ARARs. See<br />

the discussion of overall protection of human<br />

health and the environment above.<br />

See Alternative 4+(a). In addition, more<br />

extensive floodplain construction would be<br />

required in the Box, adding to the short-term<br />

risks. In the context of current water quality in<br />

the SFCDR, these potential risks would be<br />

minimal.<br />

Approximately 80 to 130 years to implement<br />

actions. Additional time would be required <strong>for</strong><br />

natural source depletion to attain ARARs. See<br />

the discussion of overall protection of human<br />

health and the environment above.<br />

Slightly less floodplain construction would be<br />

required in the Box relative to Alternative 4+(b);<br />

there<strong>for</strong>e, short-term risks would be slightly<br />

lower. In the context of current water quality in<br />

the SFCDR, these potential risks would be<br />

minimal.<br />

Approximately 80 to 130 years to implement<br />

actions. Additional time would be required <strong>for</strong><br />

natural source depletion to attain ARARs;<br />

however, it is expected this time would be<br />

shorter than Alternatives 3+(a) and 3+(b) and<br />

Alternatives 4+(a) and (b), given the lower<br />

predicted AWQC ratios at remedy completion.<br />

See the discussion of overall protection of<br />

human health and the environment above.<br />

Page 3 of 5<br />

Short-term risks would be roughly comparable<br />

to Alternative 4+(b). In the context of current<br />

water quality in the SFCDR, these potential<br />

risks would be minimal.<br />

Approximately 80 to 130 years to implement<br />

actions. Additional time would be required <strong>for</strong><br />

natural source depletion to attain ARARs;<br />

however, it is expected this time would be<br />

shorter than Alternatives 3+(a) and 3+(b) and<br />

Alternatives 4+(a) and (b), given the lower<br />

predicted AWQC ratios at remedy completion.<br />

See the discussion of overall protection of<br />

human health and the environment above.<br />

Short-term risks would be higher than <strong>for</strong><br />

Alternatives 4+(a) through 4+(d) due to<br />

extensive floodplain construction in the Box. In<br />

the context of current water quality in the<br />

SFCDR, these potential risks would be minimal.<br />

Approximately 90 to 140 years to implement<br />

actions. Less time would be required <strong>for</strong> natural<br />

source depletion to attain ARARs given the<br />

lower predicted AWQC ratios at remedy<br />

completion. See the discussion of overall<br />

protection of human health and the environment<br />

above.

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