ENVIRONMENTAL CLEANUP & BROWNFIELDS REDEVELOPMENT
BRRTS on
the Web
ACTIVITY DETAILS
09-67-543808
HARTFORD CLEANERS
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Activity Type |
Jurisdiction |
NO ACTION REQUIRED
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DNR RR |
Address |
Municipality |
32 W SUMNER ST |
HARTFORD |
PLSS Description |
Latitude (WGS84) |
Longitude (WGS84) |
Google Maps |
RR Sites Map |
SE 1/4 of the NE 1/4 of Sec 20, T10N, R18E
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43.3180038 |
-88.3797239 |
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Additional Activity Details |
Acres |
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UNKNOWN
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Facility ID |
PECFA No. |
EPA ID |
Start Date |
End Date |
267005750
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2005-08-11
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2012-03-07
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Characteristics
Above Ground Petrol Tank
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Drycleaner |
EPA NPL Site
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EPA Superfund
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PECFA Funds Eligible
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PFAS |
ROW Impact |
Sediments |
Underground Petrol Tank
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WI DOT Site
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Actions and Documents
Records related to the site are
documents that were available at the time the scanned paper or
electronic file was uploaded. Records withheld by the
department due to confidentiality, attorney-client privilege,
and other sensitive records, as well as lab data, may not be
included. Additional records associated with the site may or
may not be accessible through an open records request through
DNR or another state agency (see Jurisdiction above).
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Date |
Code |
Name |
File |
Comment |
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2012-03-07
|
801
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No Action Required (NAR) determination
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2012-03-05
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99
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Miscellaneous
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EXCAVATED SOIL WASTE PROFILE REC'D
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2011-12-30
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99
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Miscellaneous
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PM CHANGE LETTER SENT (CHRISTINE LILEK)
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2011-10-27
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200
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Push Action Taken
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2011-09-07
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130
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DNR Regulatory Reminder Sent
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Vapor Intrusion (VI) Assessment Notification Ltr Sent
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2007-11-06
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43
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Site Activity Status Update Received
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DOT ROW
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2005-08-22
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2
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Responsible Party (RP) letter sent
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POTIENTIAL
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2005-08-11
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1
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Notification of Hazardous Substance Discharge
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PHASE II INVESTIGATION REPORT (DOT ROW)
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2005-08-11
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29
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Phase II Environmental Site Assessment (ESA) Rpt Received
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Relationships to Other Activities
Click Activity Below to View
Details
Substances
Substance |
Type |
Amt Released |
Units |
Tetrachloroethene (Perchloroethylene) |
VOC |
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Trichloroethylene |
Industrial Chem |
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Volatile Organic Compounds |
VOC |
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Vapor Intrusion Continuing Obligation(s)
(A) Exceedence of Vapor Risk Levels - Vapor Mitigation Required: Vapor mitigation is required due to sub-slab or nearby soil vapor concentrations exceeding vapor risk screening levels.
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(C) Hydraulic Control Required for Operation of a VMS: Hydraulic control is required for effective operation of a vapor mitigation system is required where contaminated groundwater is in contact with the building foundation. |
(E) Future Redevelopment of Property – Vapor Control Technology Required for Construction: DNR requires notification prior to new building construction or building modifications. Potential for vapor intrusion exists due to residual contamination. Vapor control technologies are required to be installed or modified, and verified protective unless a vapor evaluation is accepted by DNR. |
DNR Project Manager
For More Information on this Activity
543808
|
09-67-543808