UNITED STATES ENVIRONMENTAL PROTECTION AGENCY
WASHINGTON, DC 20460
OFFICE OF
SOLID WASTE AND EMERGENCY
RESPONSE
MEMORANDUM
| SUBJECT: |
Request to Finalize Revisions to CERCLA Delegation of Authority 14-21-A, Consultations, Reviews, and Selection of Remedial Actions
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| FROM: |
Marianne Lamont Horinko
Assistant Administrator
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| TO: |
Frederick C. Garman, Director (Mail Code 3618A)
Organization and Management Consulting Services
Office of Administration and Resources Management
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Thank you for issuing an Expedited Directives Clearance Review request on December
11, 2001, to revise EPA Delegation 14-21-A. The comment period ended December 18. A
comment resolution summary is attached; we do not propose any further changes and request
you finalize the delegation as proposed.
If the delegation can be finalized quickly, EPA Regional Administrators could speed up Superfund federal facility response activities, particularly at those sites where other federal
agencies support the proposed remedial action.
Questions concerning CERCLA delegations of authority should be directed to Jan Baker in the Office of Emergency and Remedial Response at 703-603-8783. Questions about federal
facility issues should be directed to Seth Thomas Low of my office at 202-260-8692 or Sally
Dalzell of OECA at 202-564-2583.
Attachments
cc: Jan Baker, OERR 5202G
&th Thomas Low, FFRRO 5106
James Woolford, FFRRO 5106
Sally Dalzell, OECA 2261A
Loren Danforth, OSWER 5101
Sylvia Lowrance, OECA 2201A
Lisa Freedman, OGC 23665
John Michaud, OGC 2366A
Craig Hooks, FFEO 2261
THE COMPREHENSIVE ENVIRONMENTAL RESPONSE, COMPENSATION,
AND LIABILITY ACT (CERCLA)
14-21-A. Consultations, Determinations, Reviews, and Selection of
Remedial Actions at Federal Facilities
1. AUTHORITY. Pursuant to the Comprehensive Environmental Response, Compensation,
and Liability Act, as amended (CERCLA): to consult with agencies, departments, and
instrumentalities regarding investigations and studies of federal facilities under section 120(e)( 1);
to review the plans for and results of such investigations and studies under section 120(e)(2); to
select remedial actions under section 120(e)(4); and to determine under section 120(e)(6) that
remedial investigations and feasibility studies or remedial action will be done properly at a
federal facility by another potentially responsible party within the deadlines provided in section
120(e)(l), (21, and (3).
2. TO WHOM DELEGATED. Assistant Administrator for Solid Waste and Emergency
Response (OSWER) and Regional Administrators.
3. LIMITATIONS. Consultation prior to selection of a remedial action may be required by
memorandum from the AA/OSWER.
4. REDELEGATION AUTHORITY
-
The AA/OSWER may redelegate these authorities to the Director, Federal
Facilities Restoration and Reuse Office, and no further.
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Regional Administrators may redelegate these authorities to the Branch Chief
level, or equivalent, and no further.
4. ADDITIONAL, REFERENCES
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40 CFR Part 300, "National Oil and Hazardous Substances Pollution Contingency Plan" (NCP)
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CERCLA Delegation of Authority 14-2, Response.
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CERCLA Delegation of Authority 14-21-B, Agreements with Other Federal
Agencies.
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CERCLA Delegation of Authority 14-40, Evaluation of Approved Remedial
Design.
CURRENT DELEGATION OF AUTHORITY
DELEGATIONS MANUAL
1200 TN 349
4/15/94
THE COMPREHENSIVE ENVIRONMENTAL RESPONSE, COMPENSATION,
AND LIABILITY ACT (CERCLA)
14-21-A. Consultations, Reviews, and Selection of Remedial Actions
1. AUTHORITY. Pursuant to the Comprehensive Environmental Response, Compensation, and
Liability Act, as amended (CERCLA): to consult with agencies, departments, and
instrumentalities regarding investigations and studies of federal facilities conducted under
section 120(e)(l); to review the plans for and results of such investigations and studies under
section 120(e)(2); and to select remedial actions under section 120(e)(4).
2. TO WHOM DELEGATED. Assistant Administrator for Solid Waste and Emergency
Response and Regional Administrators.
3. REDELEGATION AUTHORITY
-
The authority to select remedial actions may be redelegated to the Division Director level
and/or the Associate Director for the Office of Superfund Programs in Region 3, the Associate
Director for the Office of Superfund and Emergency Response in Region 4, and the Associate
Division Director for the Office of Superfund in Region 5, and the Director of the Federal
Facilities Cleanup Office in Region 9.
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All other authorities under this delegation may be redelegated to the Branch Chief level.
4. ADDITIONAL REFERENCES. Section 120 of CERCLA.
Proposed Revision to CERCLA Delegation 12-21A
Originating Office: OSWER/FFRRO
Contact: Jan H. Baker, OERR, 5201G, 703-603-8783
Comment/Resolution Details
| Commenting Office/Commenter |
Comment |
Accepted (Y/N) |
Detailed Resolution |
Office of the Chief Financial Officer (Barbara Freggens) |
No comments |
|
|
Office of Solid Waste & Emergency Response
(Michelle Crews) |
No comments |
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|
Office of Inspector General
(Maureen Fletcher) |
No comments |
|
|
Region 3 - James Newsom ARA
(Marilyn Fisher) |
Concur no comment |
|
|
Region 9
Connie Choy
Regional Directives Manager |
No comments |
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|
Region 6
Gregg Cooke, RA |
No comments |
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|
Region 8
Sonya Moore |
Concur without comment |
|
|
Office of General Counsel
Lisa Friedman |
Concur |
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|
| |
Advisory comment: The wording of the
limitation should be revised, from:
"Consultation prior to selection of a
remedial action may be required by
memorandum from the AA/OSWER." To:
"Prior to selecting a remedial action,
Regional Administrators or their designees
must consult with the AA/OSWER or
their designee if required to do so under
the terms of a memorandum from the a
memorandum from the AA/OSWER."
|
N |
1) The use of "designees" in wording has been
determined to be unnecessary by OGC & OMCS.
2) OSWER prefers to leave limitation as "may be
required" rather than changing,to "must consult".
This is consistent with CERCLA Delegation of
Authority 14-2, Response, which says: "Regional
Administrators may select a response action.
Consultation prior to selection may be required by
memorandum from the AA/OSWER."
Since the limitation specifies "may be required by
memorandum", any memorandum issued by the
MOSWER would specifL criteria and with whom
Regional Administrators must consult.
|
| | Rationale: limitation should specie to
which of the delegatees it applies. The
AA/OSWER is among the delegatees. The
limitation should specify that it only applies
to the other delegatees (i.e., the Regional
Administrators or those to whom they
redelegate the authority).
The limitation should also specify with
whom the Regional Administrators must
consult. The authority section of the
delegation includes consultation with
"agencies, departments, and
instrumentalities," so readers may conclude
that the limitation likewise refers to
consultation with other federal agencies.
This wording also makes room for the
possibility that the OSWER memorandum
might waive consultation provided certain
criteria are met.
|
N
|
Since the limitation specifies "may be required by
memorandum", any memorandum issued by the
OSWER would specify criteria and with whom
Regional Administrators must consult. |
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