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And as I understand it, the progress being made now is in the right direction. And if it has already been fairchildd will you just stop me? In closing, Mr. In conclusion, Mr. And we have set up a directorate within our office as a long-term institutional basis to examine perchlorate and other emerging contaminants. How do you address that?

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I thank our distinguished witnesses for appearing before this subcommittee today to talk about our environmental restoration programs. They are dealing with current owners of the property and also with interests from State and local regulators and communities as to how best to clean up the properties. Again just for my memory, what have we spent on environmental restoration at bases that have been closed by rounds of BRAC to date, and what is your estimated amount to clean chhat the bases that have been identified to be BRAC'd by the panels that have already met and made decisions?

When properly implemented, an EMS identifies the environmental aspects of the mission, highlights and prioritizes areas of risk, promotes pollution prevention, and tracks progress toward environmental goals. DoD is developing guidance on evaluating potential exposures through vapor intrusion and the DoD Components are also developing more specific guidance.

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All remaining sites will have a remedy in place bywhich is prior to completion of the build-up construction phase. Doctors say new scientific information indicates that the exposure pathways and health impacts on TCE may not yet be fully understood. Groundwater contaminated with RDX Cyclotrimethylene-trinitramine and perchlorate is being remediated through a groundwater treatment system which is in place and operating.

Our work detailed some of the ificant challenges, and potentially large costs, that the Department of Defense DOD must address with regard to perchlorate. They have been well received by installation personnel and are both improving EMS performance and reducing administrative costs. Drinking small amounts of TCE over long periods may cause liver and kidney damage, harm the immune system, washinvton impair fetal development in pregnant women.

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If a State has promulgated a drinking water standard i. The existence of an MCL will not affect whether a cleanup is conducted. The Department has faced a daunting task of addressing environmental contamination in a variety of bases, both active and closed, for many years. Those in uniform face enough hazards when deployed.

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They continue to spend money on the high-risk sites across the board, whether it is FUDS or the active installations. In the absence of a Federal perchlorate standard, 8 states, including Texas and California, have established non-regulatory action levels or advisories for perchlorate ranging from 1 part per billion to 18 parts per billion, all below the National Academy of Sciences suggested 24 parts per billion.

The EMS fxirchild group is refining EMS guidance to emphasize the cross functional nature of the EMS framework, and the inter-relationships outside of the environmental community. Foremost is Massachusetts, that has set a standard for fairxhild water of two parts per billion.

Some of the services have put out guidances on how to handle vapor intrusion issues at individual sites. If so, why?

This hearing will come to order. Detection does not necessarily mean there is a need to remediate. And it is my understanding that many of the defense, the aerospace industries are not waiting for the EPA to set the drinking water standards for this particulate, and they are spending a lot of money doing that. How much have we spent so far?

I can say that obviously--and I am sure you know this as well--that the remediation is done in accord with the State and Federal regulators, and therefore I can only assume at this point that there is a good reason that the regulators have concurred in as to why those parcels have not yet been included in the cleanup. I will, and give you the support. In the absence of an EPA standard, do you think it is prudent for the Department of Defense to move forward and clean up sites contaminated with perchlorate?

And, of course, we comply with those accordingly. Have they been advised that that area has been contaminated? So I apologize. And you know, we want to work together, and I hope by working with the Congress and DOD that we can come af with a solution to hopefully expedite to do some of this cleaning up.

In summary, we found that while DOD classifies both TCE and perchlorate as emerging contaminants, there are important distinctions in the extent to which they are regulated and what is known about their effects on human health and the environment. Moreover, DOD has engaged a three-prong approach to risk management of perchlorate: One, assessing potential releases, where I note the vast majority of samples taken at these sites are either non-detects or levels well below the current EPA reference dose.

Once again, if they have been covered, I apologize profusely for that. Chairman, I want to thank you, as I close, for holding this hearing, and I look forward to our witnesses. Removal actions have been completed for contaminated soils. I appreciate the Department's work to address environmental issues resulting from important Department activities, but I hope that some isolated concerns are not neglected as we learn more about environmental hazards and possible connections to the Department of Defense.

Cross-functional teams are formed with members from the various organizations on the installation whose activities interact with and impact the environment. I am sorry; is this Kelly Air Force Base?

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We are. In the absence of a federal standard, at least 8 states have established non-regulatory action levels or advisories that range from 1 part per billion ppb to 51 ppb of perchlorate.

And I thought about, while I was running for this office, I had heard stories about some of the contamination problems at that plant. However, the Department has elected to place a priority of funding toward active installations and much lower priority toward former Defense sites. The methods for testing for trichloroethylene have changed little since the 's, and still use the same technologies and method performance precision, accuracy, sensitivity, and selectivity capable of detecting concentrations between 1 to 5 parts per billion.

I know, for instance, that a consortium led by the University of Iowa with other universities and other entities have a prototype trial project involving phytoremediation, which at this point is proving to be effective, and hopefully therefore can be expanded to have a more efficient cleanup. I know the matter of individual tort claims is under review, and I have no wish to interfere in that process.

It has been found in over 1, defense sites, over half at concentrations exceeding the 5 parts per billion standard. I know we have got two wars going on at the same time.

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