Facility Site ID: 2703 Cleanup Site ID: 4534

  • Site Status

  • Cleanup Started

What's New?

Last Updated June 2, 2022

Boeing Everett Former South Fire Pit Cleanup

At Boeing’s request, Ecology granted an extension to the required schedule to investigate
and clean up the Former South Fire Pit at the Everett facility. The extension was granted because of the potential presence of PFAS (per- and polyfluoroalkyl substances) in the pit.

Ecology granted a 1-year extension to allow for the development of cleanup levels for PFAS, which Ecology anticipates will be final at the end of 2022. This extension applies only to the Former South Fire Pit (SWMU/AOC No. 068) and doesn’t increase risk to human health or the environment.

For more information about PFAS, visit ecology.wa.gov/PFAS.

What's Next?

The next stage in this process is to implement the Cleanup Action Plan (CAP). A public comment period on the CAP ended on April 19th, 2021. Ecology responded to all comments received. These responses can be read in our Responsiveness Summary posted in the "Electronic Documents" section of this site.

The Cleanup Action Plan for soil contamination under buildings is for the contamination to remain in place until it can be removed without disrupting facility operations. We require regular sampling of groundwater and indoor air to ensure the contamination does not impact human health or the environment. Contaminated groundwater will be pumped and treated to remove TCE and VC (vinyl chloride).

Ecology is using an Enforcement Order to implement the cleanup. Boeing refused to sign the Agreed Order because the groundwater cleanup levels are set to a level that is equal to surface water quality standards instead of state drinking water standards.

Ecology issued an Enforcement Order to implement the Cleanup Action Plan at the site. However, the portion of the site called the Bomarc property will be cleaned up under an Agreed Order so Boeing can sell the property. 

Site Background

Signs along the Powder Mill Creek
Signs along the Powder Mill Creek

The Boeing Company owns and operates the Boeing Everett Plant. The plant produces models 747, 767, 777, and 787 commercial aircraft.  Dangerous wastes are generated during aircraft assembly, and accumulated on site for less than 90 days.
 
Boeing used to store dangerous waste under a U.S. Environmental Protection Agency (EPA) Resource Conservation and Recovery Act (RCRA) interim status permit. Boeing no longer stores dangerous waste on-site for more than 90 days. However, Ecology will not withdraw Boeing’s interim status until all site wide cleanup is completed.


Boeing submitted the draft Feasibility Study (FS) in late 2015. After review, the FS was completed in 2016.

Boeing submitted a draft Supplemental Feasibility Study (SFS) in late 2018 for the Trichloroethylene (TCE) Plume at Powder Mill Gulch (PMG). After review, the SFS was completed in 2020.

Based on the evaluations presented in the FS and SFS, a draft Cleanup Action Plan (dCAP) was developed and completed by Ecology in late 2020.

The FS, SFS, and dCAP went out for public comment in early 2021. Ecology decided the final cleanup alternatives for the site based on the information provided in the FS and SFS reports and compliance with Washington State cleanup regulations.

Site Contamination

Over time, the facility released hazardous substances to soils, groundwater, surface water, and/or sediments. These hazardous substances include, but are not limited to: 

  • Chlorinated solvents (like TCE and PCE) 
  • Non-chlorinated solvents 
  • Fuels 
  • Oils 
  • Polychlorinated biphenyls (PCBs) 
  • Heavy metals

The 2012 RI identified TCE groundwater contamination on Boeing Everett property and migrating off Boeing Everett property. This contamination flowed north into Powder Mill Gulch).
 
TCE concentrations in groundwater are well above drinking water standards. Although residents in the area receive drinking water from piped in off-site drinking water sources (and not the TCE contaminated Esperance Sand Aquifer), Ecology advises that no groundwater within or near the contaminated portion of the Esperance Sand Aquifer is withdrawn for any reason. 

As a safety precaution, Ecology advises that people and animals should stay on the walking trails adjacent to Powder Mill Creek and not enter or go near the creek. There is TCE contaminated groundwater seeping from the creek banks that drains along the surface of the creek shore and eventually flows into the creek. There are signs posted at visible trail entry points advising walkers to stay on the trails during the TCE groundwater remediation. 

Cleanup

  • The Remedial Investigation (RI) studies the site conditions and contamination so the Feasibility Study (FS) and Supplemental Feasibility Study (SFS) can compare cleanup actions. The RI is in two volumes. RI Vol. 1A and RI Vol. 1B. The FS and SFS compare cleanup methods for the site. The SFS report was modified by four letters: Aug. 2016July 2017May 2019Sept 2019.
  • Cleanup Action Plan (CAP): Ecology prepared this CAP that describes the cleanup actions and sets the cleanup standards.
  • Enforcement Order: Ecology is using an Enforcement Order to implement the Cleanup Action Plan.
  • Agreed Order (AO): We and Boeing decided to use an Agreed Order to implement the Cleanup Action Plan for the portion of the site called the Bomarc property so it can be sold.
  • Permit: A Permit Lite is a “Dangerous Waste Corrective Action Permit,” that allows environmental cleanup at the site to continue.
  • State Environmental Policy Act (SEPA) Checklist: We use SEPA during site cleanups to find and evaluate large, negative environmental impacts that could result from a proposed action. Ecology's evaluation of this SEPA checklist resulted in an Associated Determination of Non-Significance.
  • Public Participation Plan (PPP): The PPP encourages comment and involvement in cleanup decisions from the community.
Ecology approved the Boeing Everett Remedial Investigation (RI) in 2012.

The RI is an in-depth study to:-Determine site features such as groundwater flow, sediment type, and other factors.-Define the type and extent of contamination.-Assess potential effects on human health and the environment.-Determine if interim cleanup actions are needed. -Determine which contaminated areas need evaluation in the Feasibility Study (FS).Ecology received the Boeing Everett Feasibility Study (FS) in 2016.

The FS:

-Evaluates and selects cleanup alternatives for the entire site.
-Evaluates cost estimates of the selected cleanup alternatives for the entire site.

Ecology approved the Boeing Everett Supplemental Feasibility Study (SFS) in 2019.

The SFS:

-Evaluates and selects cleanup alternatives for Powder Mill Gulch.
-Evaluates cost estimates of the selected cleanup alternatives for Powder Mill Gulch.

Ecology completed the Boeing Everett draft Cleanup Action Plan (dCAP) in 2020. The dCAP became final in April 2021 following a public comment period.

The CAP describes:

-The cleanup standards for the entire site.
-The cleanup methods that will be used to achieve these cleanup standards.
-The requirements the cleanup must comply with for the entire site.

Boeing is required to cleanup contamination at their Everett plant and all contamination that has migrated off the Everett plant. Ecology uses both RCRA and the Model Toxics Control Act (MTCA) regulations when overseeing cleanup of hazardous waste sites. These cleanup measures protect human health and the environment from releases of dangerous wastes and chemicals at and from the facility.

Powder Mill Gulch Trichloroethylene (TCE) Groundwater Contamination:

Ecology required Boeing to install a groundwater pump-and-treat system to minimize contaminated groundwater flowing off of the Boeing property and into Powder Mill Creek. In addition, interim actions to cleanup the source of contamination were conducted to reduce groundwater contamination. These interim actions were done prior to developing a final cleanup plan for the entire Boeing Everett facility (including Powder Mill Gulch). The cleanup of Powder Mill Gulch is still on-going. The dCAP is intended to present the cleanup remedy for the entire Boeing Everett facility (including Powder Mill Gulch).
Legal 16
Public Information 6
Document Title Document Date Document Type
Boeing Everett South Fire Pit Postcard 5/12/2022 Fact Sheet\Public Notices
Boeing Everett - Responsiveness Summary 7/15/2021 Responsiveness Summary
Boeing Everett - Radio Ad 3/1/2021 Multimedia
Boeing Everett - Public Notice 2021 2/15/2021 Fact Sheet\Public Notices
Boeing Everett - Public Participation Plan 2/1/2021 Public Participation Plan
Boeing Everett - EJSCREEN ACS Summary Report 12/6/2016 Fact Sheet\Public Notices
State Environmental Policy Act 3
Technical Reports 18
Document Title Document Date Document Type
ECY Approval Letter-PMG PRDI Additional Work 10/11/2022 Site Specific Technical Document - other
Boeing Everett PMG PRDI SAP Approval Letter_070722.pdf 7/7/2022 Site Specific Administrative Document - other (Administrative correspondence)
Cleanup Action Plan - Upland Area and Powder Mill Gulch (PMG) 9/15/2021 Cleanup Action Plan
Boeing Everett - Draft Upland Areas and PMG Cleanup Action Plan_01_15_2021 1/15/2021 Cleanup Action Plan
Boeing Everett Draft RCRA Permit Application 11/19/2020 Site Specific Technical Document - other
Boeing Everett - Final Ecology Response Letter to SFS Rpt Sept 2019 9/5/2019 Feasibility Study
Boeing Everett - Ecology Final Dispute Resolution Letter 05_02_2019 5/2/2019 Feasibility Study
Boeing Everett - Boeing Response to ECY SFS Cost Est Comments March 2019 3/8/2019 Feasibility Study
Boeing Everett - Draft Supplemental FS Report 2018 11/29/2018 Feasibility Study
Boeing Everett - Final ECY Response Letter to submit SFS Report Aug 2018 8/6/2018 Feasibility Study
Boeing Everett Response for Formal Dispute Resolution Upland FS Sept 2017 9/8/2017 Feasibility Study
Boeing Everett - Ecology Final Decision Informal Dispute Resolution FS Jul 2017 7/20/2017 Site Specific Administrative Document - other (Administrative correspondence)
Boeing Everett Responses to Comments on Upland and PMG FS Sept 2016 9/19/2016 Feasibility Study
Boeing Everett - Ecology Modifications to Boeing Everett Uplands FS of Nov 2015 8/18/2016 Feasibility Study
Boeing Everett Draft Upland FS Report Nov 2015 11/16/2015 Feasibility Study
Boeing Everett - Final Remedial Investigation Report Boeing Everett Nov. 2011 (Vol. 1B) 11/4/2011 Remedial Investigation Report
Boeing Everett - Final Remedial Investigation Report Boeing Everett Nov. 2011 (Vol. 1A) 11/4/2011 Remedial Investigation Report
BOEING EVERETT—Initial Investigation RCU LUST ID 4604 5/18/2011 Initial Investigation Report
There may be more documents related to this site. To obtain documents not available electronically, you will need to make a public records request.

Places to see print documents

  • Everett Public Library
    2702 Hoyt Street
    Everett, 98201
    This location may only have print documents available during open comment periods.

Contaminants 8

Contaminant Type
Soil
Groundwater
Surface Water
Air
Sediment
Bedrock
Other Contaminant - Base/Neutral/Acid Organics C C
Halogenated Organics - Halogenated Organics C C C C
Metals - Metals Priority Pollutants C C S C
Metals - Metals - Other C
Halogenated Organics - Polychlorinated biPhenyls (PCB) S S S C
Non-Halogenated Organics - Petroleum Products-Unspecified C C S S
Non-Halogenated Organics - Non-Halogenated Solvents C C S S
Non-Halogenated Organics - Polycyclic Aromatic Hydrocarbons C C
S
Suspected
C
Confirmed Above Cleanup Levels
B
Below Cleanup Levels
RA
Remediated-Above
RB
Remediated-Below
R
Remediated
This contaminant list was based on our best information at the time it was entered. It may not reflect current conditions at the site.