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Naval Air Station (NAS) Whiting Field is a 2,560-acre installation devoted to training navalaviators. It is located in Santa Rosa County, in the northwest portion of the Florida panhandle,approximately 20 miles northeast of Pensacola and 8 miles north of Milton. Past handling anddisposal of chemicals used at NAS Whiting Field, including solvents, paints, degreasers, oil, andfuels, resulted in releases to the environment, either due to accidental spills or leaks or to surfacedisposal or burial of these substances. Efforts to identify contamination at the installation began in1985. Since then, 29 sites have been identified under the Department of Defense's InstallationRestoration Program (IRP). An investigation of each has been completed, is underway, or isplanned. An appropriate remedial alternative that is protective of human health will be selected foreach IRP site. There are several plumes of trichloroethylene and its breakdown products, and ofbenzene, toluene, ethylbenzene, and xylenes (petroleum byproducts) within the installation.Contaminants are thought to be migrating off site in only one location, near the southeast corner ofthe installation.

In 1986, two of NAS Whiting Field's three water supply wells were closed because volatile organiccompounds (VOCs) were detected in the wells at concentrations exceeding safe drinking waterstandards. Benzene concentrations exceeded the state drinking water standard in one well, andtrichloroethylene concentrations exceeded the state and federal drinking water standards in the other.Each well reopened after a treatment system was installed to remove the contaminants. As aprecautionary measure, a treatment system was also installed on the third water supply well. NASWhiting Field was placed on the U.S. Environmental Protection Agency's National Priorities List onJune 30, 1994, due to contamination detected at the installation, particularly groundwatercontamination that had affected the on-site water supply.

The Agency for Toxic Substances and Disease Registry (ATSDR) visited the site in 1994 and 1999to collect information about how people on and off site might be exposed to environmentalcontamination and to obtain environmental sampling results. During its review of availableinformation, ATSDR identified the ways that people might be exposed to environmentalcontamination. Since groundwater is the source of drinking water both on and off site, the mostwidespread potential pathway for exposure is through drinking contaminated groundwater.Recreational users of Clear Creek and its floodplain may also come into contact with contaminatedsurface water, sediment, and fish. The exposure scenarios that ATSDR identified and evaluated aredetailed below.

No Apparent Public Health Hazards

After evaluating available data, ATSDR concluded that past exposure to water from the NASWhiting Field water distribution system poses no apparent public health hazard. No sampling dataare available to assess the levels of contaminants, if any, in NAS Whiting Field drinking water priorto 1984. Limited sampling collected from the NAS Whiting Field distribution system in 1984 didnot contain detectable concentrations of contaminants. However, levels of VOCs exceeding safedrinking water standards were detected during sampling of supply wells and the distribution systemin 1985 and 1986. Use of the contaminated supply wells was suspended in 1986 until they werefitted with treatment systems. Because of the relatively low levels detected, and the short period ofexposure, it is very unlikely that adverse health effects would result from exposure to the maximumlevels of VOCs detected in the NAS Whiting Field drinking water. Levels of VOCs detected in morethan one sample were several orders of magnitude lower (i.e., 1,000 to 100,000 times lower) thanthe lowest doses found to cause adverse health effects in animal studies. Thus, ATSDR concludesthat it is unlikely that levels of VOCs were high enough to cause adverse health effects to NASWhiting Field employees and on-site residents.

Exposure to off-site groundwater presents no apparent public health hazard because no one has or isexpected to consume drinking water containing site-related contaminants. Groundwatercontamination has only been found migrating beyond NAS Whiting Field boundaries near thesoutheast corner of the installation. In a water well survey, the U.S. Navy determined the locationsof private wells near NAS Whiting Field. From this survey, the Navy found one well located in anarea downgradient of on-site groundwater contamination, which might be subject to contamination.However, no VOCs were detected in tap water collected from this well. In addition, at the request ofhomeowners, two other private wells have been sampled. These samples did not contain any VOCs.To ensure that no exposures of health concern occur, ATSDR recommends that the U.S. Navycontinue to fully delineate the extent of off-site groundwater contamination and develop andimplement a plan to monitor any private wells in the path of contaminant migration and address anydetected contamination.

Exposure to surface water, sediment, and fish in the Clear Creek floodplain poses no apparentpublic health hazard. Clear Creek is difficult to access and thought to infrequently be used forrecreation. Furthermore, signs have been posted by the U.S. Navy to warn people of contaminants inthe floodplain. Surface water and sediment contaminant levels are too low to cause adverse healtheffects. No fish tissue data have been identified by ATSDR. However, contaminants that mightaccumulate in fish were detected in sediment samples only sporadically. This suggests that thecontaminants are unlikely to accumulate in fish to levels that would cause adverse health effects topeople occasionally consuming the fish. Since exposure to Clear Creek and its floodplain pose noapparent public health hazard, ATSDR recommends that use of this area not be curtailed. The U.S.Navy is planning to conduct further sampling of the creek and floodplain to more fully characterizethe contaminants present in the area and to ensure the future safety of this area.

No Public Health Hazard

Current and future consumption of on-site drinking water poses no public health hazard becauseany VOC contamination is removed by a treatment system at each supply well, water is mixed priorto distribution, and drinking water is monitored regularly to ensure that it meets federal and statesafe drinking water standards. Thus, no exposure to contaminants at levels of health concern willoccur. In addition, NAS Whiting Field is planning to remediate sources of groundwatercontamination to the extent possible.

A summary of exposure scenarios identified at NAS Whiting Field is presented below.

Exposure Hazard Summary Table--Naval Air Station Whiting Field
Exposure Scenario Time Frame Exposure? Public Health Hazard? * Actions Taken/
Consumption of contaminated on-site drinking water past
no apparent
• VOCs of concern were detected at concentrations unlikely to cause adverse health effects
• In 1986, after VOC contamination was detected, supply wells were closed until activated carbon adsorption filtration systems were installed
• Monitoring of water supply wells is ongoing
• Remedial actions are underway or planned to address some of the sources of groundwater contamination
Consumption of contaminated drinking water from off-site wells past
no apparent
no apparent
no apparent
• A well survey was performed in 1995, and efforts to identify any other private wells in use are ongoing
• Tap water at a house served by a private well near site-related contamination was sampled and did not contain VOCs
• Two private wells were sampled at the request of homeowners, and no VOCs were detected
• ATSDR recommends that the full extent of the contamination near installation boundaries be delineated
• If it appears that any private wells might be affected by groundwater contamination migrating from NAS Whiting Field, ATSDR recommends that the U.S. Navy develop and implement a plan for monitoring these wells and addressing any detected contamination
Contact with contaminated surface water, sediment, and/or fish in Clear Creek past
no apparent
no apparent
no apparent
• Detected levels of contaminants are too low to pose a health hazard
• Signs warning of contamination in the floodplain have been posted in the vicinity
• Based on the results of site investigations, an appropriate remedial alternative will be implemented, if needed
• ATSDR recommends that recreational use of the Clear Creek area not be curtailed
* Denotes ATSDR category describing level of potential public health hazard. Definitions are listed in Appendix B - Glossary.


Site Description and History

Naval Air Station (NAS) Whiting Field is located in the northwest portion of the Florida panhandle,in Santa Rosa County. It is approximately 20 miles northeast of Pensacola and roughly 8 miles fromdowntown Milton (see Figure 1). The mission of NAS Whiting Field is to train naval aviators in theuse of basic instruments, in formation and tactical phases of fixed-wing, propeller-driven aircraftoperation, and in the basic and advanced aspects of helicopter operation (ABB-ES 1998a; U.S.Navy 1995).

NAS Whiting Field currently encompasses approximately 2,560 acres and consists of two air fieldsseparated by an industrial area. The air fields are known as North Field, which serves as the fixed-wing aircraft training base, and South Field, where helicopter training occurs. The industrial areacontains facilities for industrial and administrative support, as well as military quarters (ABB-ES1998a; U.S. Navy 1995). Land adjacent to the facility is primarily used for agriculture and forestry.However, within several miles of the facility (primarily to the southwest) are numerous residencesand businesses associated with Milton (ABB-ES 1998a; NASWF 1999).

The facility was commissioned as Naval Auxiliary Air Station Whiting Field in 1943. DuringWorld War II, naval aviators were trained at the field. Subsequently, the facility was elevated tonaval air station status and became the backbone of the Navy's flight training program. NASWhiting Field has become known as the busiest naval air station in the world (U.S. Navy 1995).

The primary mission of the NAS Whiting Field has always been to train naval aviators, and varioustraining squadrons have been stationed there over time. For example, the Navy's precision flyingteam, the Blue Angels, was stationed at NAS Whiting Field in 1949 and 1950. Helicopter squadronshave been active at the facility since 1974. Currently, NAS Whiting Field is home for the TrainingAir Wing Five, which includes fixed-wing squadrons VT-2, VT-3, and VT-6 and helicoptersquadrons HT-8 and HT-18. Other groups are stationed at the field to provide support (ABB-ES1998a; U.S. Navy 1995). There are 12 geographically separate installations associated with NASWhiting Field. Known as Outlying Landing Fields, they range from 10 to 60 miles from theinstallation (Armed Forces. com, n.d).

The majority of contamination identified at NAS Whiting Field has resulted from the handling anddisposal of products used at the facility over time, including solvents, paints, degreasers, oil, andfuels. Old landfills and disposal areas have also contributed to site-related contamination, as haveaccidental spills and leaks (U.S. Navy 1995).

Remedial and Regulatory History

In May 1985, an Initial Assessment Study of NAS Whiting Field was released. Available records,site reconnaissance, and interviews with long-standing and former employees indicated that mostwaste generated at the installation was disposed of on site until hazardous waste managementprograms and oil recycling programs were instituted in the 1970s. The report identified 16 areas(designated Site 1 through Site 16) where contaminants may have been used, stored, treated, ordisposed of and concluded that further study of them was warranted (Envirodyne Engineers 1985;ABB-ES 1998a). In December 1985, two sites (termed Sites 17 and 18) were added to the list ofareas warranting further study. Data regarding one site identified during the Initial AssessmentStudy, Site 5, were compiled in a 1985 report. This site, the Battery Acid Seepage Pit, had been thesubject of a consent order issued by the Florida Department of Environmental Regulation, laterrenamed the Florida Department of Environmental Protection (FDEP) (ABB-ES 1998a). Soil and/orgroundwater sampling at most of the remaining sites commenced in 1986 (Geraghty & Miller1986).

On August 18, 1986, the state of Florida requested that one of the installation's water supply wells,known as South Well (Well W-S2), be shut down due the detection of benzene levels exceeding thestate's drinking water standard of 1 part per billion (ppb). On September 25, 1986, the Staterequested that an additional well, known as West Well (Well W-W3), be shut down because thelevel of trichloroethylene in the water exceeded the state's drinking water standard of 3 ppb.Filtration systems were subsequently installed on the wells to reduce concentrations of volatileorganic compounds (VOCs), including benzene and trichloroethylene, to levels below healthconcern (USEPA n.d.).

Because of the documented contamination of the installation and its water supply, the U. S.Environmental Protection Agency (USEPA) placed NAS Whiting Field on the National PrioritiesList, pursuant to the Comprehensive Environmental Response, Compensation, and Liability Act(CERCLA), on June 30, 1994.

In 1990, under the Department of Defense's Installation Restoration Program (IRP), a remedialinvestigation (RI) at NAS Whiting Field commenced to characterize the nature and extent ofcontamination at the 18 identified sites. During Phase I of the RI, five additional sites requiringstudy were identified. These sites were designated Sites 29(1) through 33 and were to be investigatedduring Phase II of the RI. The six separate locations comprising site 31 were later assigned thedesignations 31A through 31F (ABB-ES 1995b). Three sites meriting investigation that had beenidentified in July 1993 were added to the IRP in 1995 (Sites 35(2), 36, and 37). Contamination inthese areas was characterized in 1996 and 1997 (ABB-ES 1998b). Site 38 was added to the IRP in1996.

In 1993, during Phase II RI activities, four drums were found in the Clear Creek floodplain andsubsequently removed. Reportedly, this was an isolated incident (ATSDR-DHAC 1995; NASWF1999). The floodplain was sampled in 1993 and 1997 and was added to the list of IRP sites in 1997(as Site 39), as was facility-wide groundwater (Site 40). (See Appendix A, which summarizesavailable information about identified sites and Figure 2.) Pesticide Storage Building 1485C may beadded to the list of IRP sites if planned soil and groundwater sampling reveal contamination. Thebuilding, which was used for storage of maintenance equipment and pesticides, caught fire in the late1980s (Tetra Tech, 2000). As a potential site, the area is known as Potential Source of Concern(PSC) 1485C.

In September 1999, a record of decision (ROD) for surface and subsurface soil contamination atSite 1 was issued. The remedial action selected is land use controls, which prohibit residential use ofthe site and require periodic site inspections, among other things. Activities involving limited humanexposure to the site, such as recreation, industrial or commercial uses, or limited agriculture, will beallowed on site (HLA 1999a). A September 1999 ROD for surface and subsurface soil at Site 2 alsocalls for the adoption of land use controls (HLA 1999b).

RIs and/or feasibility studies (FS) at IRP sites numbered 3 and higher are ongoing. A pilot study toremove petroleum products from soil at Site 4 is underway (Martin 2000). Nine petroleum-contaminated sites have been investigated by NAS Whiting Field's Underground Storage Tank(UST) program. At seven of the sites, sampling did not indicate related groundwater contamination.Appropriate remediation, such as the removal of contaminated soil, is planned at the other two sites,a JP-5 release from a pipeline at the intersection of Hornet and Saratoga Streets and a release ofaviation gasoline (AVGAS) from Tanks 1438 and 1439 (Holland 2000b).

ATSDR Activities

In December 1994, the Agency for Toxic Substances and Disease Registry (ATSDR) conducted aninitial site visit and met with representatives of NAS Whiting Field, the Naval Environmental HealthCenter, and other interested governmental agencies, including FDEP (ATSDR-DHAC 1995). Afterthe site visit, ATSDR recommended that a private well survey be performed and potentially-impacted wells be sampled. The U.S. Navy conducted a well survey of private well use within 4miles of NAS Whiting Field in 1995. During the site visit, warning signs clearly marking most IRPsites were observed (NEHC n.d.).

In June 1999, ATSDR conducted another site visit to gain an understanding of current siteconditions and of the status of remedial actions, as well as to collect site-related documents andenvironmental data (NASWF 1999).

Demographics and Land Use

At the time of the 1990 U.S. Census, the total off-site population within one mile of the site was1,371. Of these individuals, about 82% were white, 13% were black, and the others were of otherracial origin. There were 166 children under the age of 6, 38 adults over the age of 65, and 334females of reproductive age (15-44 years). (These numbers were calculated by ATSDR from 1990U.S. Census data using an area-proportion spatial analysis technique.)

As of 1995, NAS Whiting Field employed approximately 3,800 military and civilian personnel. Atthat time, about 600 aviators were earning their wings at the facility each year (U.S. Navy 1995).The average tour of duty at NAS Whiting Field is 1 year, but aviators undergoing training at theinstallation may reside on site for up to 3 years (NASWF, 1999). An on-site housing facility knownas the bachelors' quarters (BQ) typically houses from 100 to 300 military personnel on regular toursof duty (Brown & Root Environmental 1997). During the year ending in October 1999, the averagedaily residency of the BQ was 362 people (Durbin 2000). Just outside the main gate, there are 82housing units available to NAS Whiting Field employees. This community, referred to as MagdaVillage, uses the installation's water supply (ATSDR-DHAC 1995). A larger housing development,called Whiting Pines, also served installation personnel and is located 7 miles south of theinstallation.

Milton is the largest incorporated municipality in Santa Rosa County. The site vicinity, in northernSanta Rosa County, is largely rural. Downtown Milton is approximately 6 miles southwest of NASWhiting Field. Other nearby communities are East Milton (approximately five miles to the south),Point Baker (approximately 1.5 miles to the southwest), and Allentown (approximately 2 miles tothe north). The 1990 U.S. Census reported 29,520 residents of Milton. According to the Navy,Santa Rosa County has experienced and is still experiencing significant population growth. Thepopulation of the county has grown from 55,988 in 1980 to over 90,259 (U.S Navy, 1995).

As of 1983, almost 65% of the county was forested, about 13% was used for agriculture, and only4% was developed. The primary industries in the county as a whole are agriculture, U.S. Navyactivities, manufacturing, forestry, oil, and tourism/recreation. Land to the northwest of NASWhiting Field is primarily used for agriculture, land to the south and southwest is primarilyresidential or forested, and land surrounding the remaining borders of the facility is forested(Envirodyne Engineers 1985; U.S Navy, 1995).

Other military facilities in the vicinity are Pensacola NAS, located approximately 23 miles to thesouthwest, and Eglin Air Force Base, located approximately 10 miles to the southeast of NASWhiting Field. Eglin Air Force Base is the largest military base in the nation and spans threecounties on the Florida panhandle, including 10% of Santa Rosa County. The Blackwater RiverState Forest, occupying about 60,000 acres of land, is approximately 10 miles northeast of NASWhiting Field (Envirodyne Engineers 1985).

Access to NAS Whiting Field is restricted to military personnel, civilian employees, and authorizedvisitors. The installation is surrounded by a perimeter fence. Signs posted on the fence warn thattrespassing is not permitted. People entering the facility must pass through staffed entrance gates.Within installation boundaries, certain contaminated sites are fenced (NASWF 1999).

There are no schools at NAS Whiting Field, although there is an on-site child development centerthat opened in 1988 (NASWF 1999). The installation also supports a community center, whichopened subsequently (Holland 2000b).

Natural Resources

NAS Whiting Field is located on a plateau that slopes to the south. Elevations range from 150 feet to190 feet above sea level. The land is well-drained; Clear Creek is to the west and south, and BigColdwater Creek is to the east. The eastern floodplain of Clear Creek is within the boundaries ofNAS Whiting Field, but outside of the fencing surrounding the installation (ATSDR-DHAC 1995;ABB-ES 1998a). Big Coldwater Creek is about 2 miles west of the installation boundary. Bothcreeks are tributaries to the Blackwater River, which feeds the Blackwater Bay, about 7 miles duesouth of NAS Whiting Field (U.S. Navy 1995). No drinking water intakes on Clear Creek, BigColdwater Creek, or Blackwater Creek exist (ABB-ES 1998a).

Clear Creek and Big Coldwater Creek have been designated by FDEP as Class III surface waters, adesignation applied to water bodies suitable for the propagation of fish and aquatic life and forrecreational uses that involve body contact with the water. The Blackwater River is classified as anOutstanding Florida River, affording it recognition as a water body of exceptional recreational andecological significance (ABB-ES 1998a).

When land was cleared for North and South Fields in the 1940s, concerns about the possibility oferosion led to the implementation of several soil conservation measures. Slope contouring and asystem of concrete-lined drainage ditches were instituted to channel surface water runoff fromrunway, support, and industrial areas at NAS Whiting Field to either Clear Creek or Big ColdwaterCreek. Five ditches run southwest from points on the west side of the facility to Clear Creek. Fromnorth to south, they are E Ditch, C Ditch, New A Ditch, New M Ditch, and New S Ditch. "New"ditches were reconstructed in the 1950s. Two ditches originating on the east side of the facility, PDitch and Y Ditch, run east to a tributary of Big Coldwater Creek (ABB-ES 1998a; NASWF1999).

Studies of hydrogeologic conditions at NAS Whiting Field indicate that some groundwater on thewest side of the installation, flowing to the south or southwest, recharges Clear Creek. In addition,until April 1998, discharge of "secondary-treated" sewage effluent from the Sanitary WastewaterTreatment Plant at NAS Whiting Field, several hundred feet north of Site 31A, entered Clear Creek.Since April 1998, wastewater has been routed to the Milton wastewater treatment plant (ABB-ES1993a; NASWF 1999).

Big Coldwater Creek, about 2 miles from the facility, is reportedly heavily used for recreation.However, this creek is not thought to be affected by NAS Whiting Field-related contamination.Clear Creek runs through the southwest corner of the installation. However, in this area, the creek issurrounded by dense vegetation, and few locations for public access exist. A small number of nearbyresidents are, however, thought to access the creek (NASWF 1999). Furthermore, there was aportion of NAS Whiting Field, at the southwest corner of the facility, that the Boy Scouts ofAmerica were permitted to use by the installation. Occasional Boy Scout use occurred fromapproximately 1987 to 1994. A fence separated the area used by the Boy Scouts from the remainderof the installation. Most Boy Scout activity is thought to have been restricted to a cleared area withina loop at the end of the access road to the camp. This area is about 1,000 feet from Clear Creek. Theremainder of the 41-acre camp is forested (Gibson 2000).

Quality Assurance and Quality Control

In preparing this public health assessment (PHA), ATSDR reviewed and evaluated informationprovided in the referenced documents. Documents prepared for the CERCLA and ResourceConservation and Recovery Act programs must meet specific standards for adequate qualityassurance and control measures for chain-of-custody procedures, laboratory procedures, and datareporting. The environmental data presented in this PHA are from U.S. Navy reports, includinginvestigations of the IRP sites, as well as from information provided by FDEP and NAS WhitingField on samples collected from the NAS Whiting Field drinking water supply system and fromprivate wells. Based on our evaluation, ATSDR determined that the quality of environmental dataavailable in site-related documents is adequate to make public health decisions.

1. Site numbers 19 through 28 are not used at NAS Whiting Field because they identify sitesunder investigation at NAS Whiting Field's Outlying Landing Field Barin in Foley, Alabama.Investigations at that facility are being overseen by the Alabama Department of EnvironmentalManagement and the USEPA.

2. Site 34 was initially assigned to the former facility laundry. After a record search and sitehistory review, the site was removed from consideration. Thus, there is no longer a Site 34.

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