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A letter of concurrence from DTSC dated September 19, 2025 (J09CA55804_05.08_0005_a)Printed on Recycled Paper SENT VIA ELECTRONIC MAIL September 19, 2025 Mr. Daniel L. Huff Project Manager U.S. Army Corps of Engineers Los Angeles District 916 Wilshire Blvd., Suite 1109 Los Angeles, CA 90017-3409 Daniel.L.Huff@usace.army.mil CONCURRENCE ON THE FINAL RECORD OF DECISION POINT VICENTE MIL RES FC SITES PROJECT 04-PT. VICENTE SOIL CONTAMINATION, RANCHO PALOS VERDES, CALIFORNIA Dear Mr. Daniel Huff: The Department of Toxic Substances Control (DTSC) has completed its review of the Final Record of Decision (ROD) Point Vicente MIL RES FC Sites Project 04-Pt. Vicente Soil Contamination, Rancho Palos Verdes, California, dated September 2025. The Formerly Used Defense Sites property known as the Point Vicente MIL RES FC Sites includes Project 04 Pt. Vicente Soil Contamination (Site), The Site is a 26.4-acre parcel located within the former Point Vicente Military Reservation and on the property of the current Point Vicente Interpretive Center. The Site is in Rancho Palos Verdes (RPV), Los Angeles County, California. The Site is on property owned by the City of Rancho Palos Verdes. It is bordered to the south by the Point Vicente Lighthouse and Coast Guard Reservation, to the west by sea cliffs and the Pacific Ocean, to the north by a storm drain adjacent to a privately owned residential area, and to the east by Palos Verdes Drive West. A Coast Guard communications site, Rancho Palos Verdes City Hall, and a shopping complex are located east of Palos Verdes Drive West. 1200C PERM J09CA055804_05.08_0005_a Mr. Daniel L. Huff September 19, 2025 Page 2 of 3 Printed on Recycled Paper A Draft Final ROD dated May 2025 was prepared by the U.S. Army Corps of Engineers (USACE) and finds that No Further Action is appropriate for the site and that five-year reviews are not required. The determination was based on site-related material, documents contained in the Administrative Record, results of previous investigations, regulatory correspondence, and the results of the 2024 remedial investigation (RI) which DTSC concurred with in a letter dated April 3, 2024. According to 2024 RI, the surface and subsurface soil does not represent a potential threat to public health, welfare, and/or the environment under the current and reasonably anticipated future land use. Since lead in soil remains at levels above residential screening levels, a land use control covenant (LUCC) executed in 2006 was established between the City of Rancho Palos Verdes and DTSC restricting property use to recreational and other related governmental and public use. The LUCC states that pursuant to California Civil Code Section 1471(a)(3), DTSC has determined that the covenant is reasonably necessary to protect current and future human health and safety of the environment because of hazardous materials (lead) on the land as defined in California Health and Safety Code Section 25260. While the USACE does not agree LUCC regulation (22 CCR § 67391.1) qualifies as an Applicable or Relevant and Appropriate Requirement (ARAR) under the Comprehensive Environmental Response, Compensation, and Liability Act (CERCLA), a LUCC has already been recorded between DTSC and the City of Rancho Palos Verdes (RPV) to protect human health and the environment. DTSC agrees to the USACE’s determination of No Further Action (NFA) so long the existing LUCC between DTSC and RPV remains in place to ensure protectiveness. Since the effectiveness of the NFA remedy hinges on ensuring the remedy remains protective, DTSC will engage with RPV to discuss conducting five-year reviews for the site. DTSC requests the presence of USACE during initial discussions with RPV to ensure information exchange and continuity with the project. As with any CERCLA site, if new conditions arise where previously unidentified release or threatened release of hazardous substances are discovered, or if land use changes are proposed that affect the remedy’s protectiveness, DTSC will coordinate with RPV and USACE to ensure appropriate course of action. Mr. Daniel L. Huff September 19, 2025 Page 3 of 3 Printed on Recycled Paper If you have any questions regarding this letter or other project matters, please e-mail Christie Bautista at christie.bautista1@dtsc.ca.gov. Sincerely, Eileen Mananian, M.S. Branch Chief Brownfields, Enforcement, and Military Solutions Branch Site Mitigation and Restoration Program cc: via e-mail Christie Bautista, DPA, MPA Unit Chief Brownfields, Enforcement, and Military Solutions Site Mitigation and Restoration Program Christie.Bautista1@dtsc.ca.gov