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Testimony: 

Before the Subcommittee on Superfund, Toxics and Environmental Health, 
Committee on Environment and Public Works, United States Senate: 

United States Government Accountability Office: 
GAO: 

For Release on Delivery: 
Expected at 2:30 p.m. EDT:
Tuesday, June 22, 2010: 

Superfund: 

EPA's Costs to Remediate Existing and Future Sites Will Likely Exceed 
Current Funding Levels: 

Statement of John B. Stephenson, Director: 
Natural Resources and Environment: 

GAO-10-857T: 

Mr. Chairman and Members of the Subcommittee: 

I am pleased to be here to summarize the findings of our report on 
funding issues related to the Environmental Protection Agency's (EPA) 
Superfund program, which is being released today.[Footnote 1] To 
protect human health and the environment from the effects of hazardous 
substances, Congress enacted the Comprehensive Environmental Response, 
Compensation, and Liability Act (CERCLA) in 1980, which established 
the Superfund program.[Footnote 2] Since 1980, EPA has identified more 
than 47,000 hazardous waste sites potentially requiring cleanup. As of 
the end of fiscal year 2009, 1,269 of the most seriously contaminated 
sites were included on EPA's National Priorities List (NPL): 1,111 
nonfederal sites and 158 federal facilities.[Footnote 3] At the time 
of listing, EPA had determined that these sites posed relatively high 
risks to human health or the environment from releases or threatened 
releases of hazardous substances, such as lead and polychlorinated 
biphenyl. These substances can cause a variety of health effects--such 
as birth defects, cancer, and developmental disorders--in people 
exposed to them. Of the nonfederal sites listed on the NPL at the end 
of fiscal year 2009, EPA identified 75 that have "unacceptable human 
exposure"--actual or reasonably expected exposure of an individual to 
hazardous substances, pollutants, or contaminants at levels that 
present an unacceptable risk--to contaminants for people living, 
recreating, and/or working in the surrounding areas. In addition, 
another 164 of the sites listed on the NPL at the end of fiscal year 
2009 may potentially pose serious risks since EPA is in the process of 
determining if there is unacceptable human exposure at these sites. 
[Footnote 4] 

The Superfund cleanup process begins with the discovery of a 
potentially hazardous site or the notification to EPA of possible 
releases of hazardous substances that may threaten human health or the 
environment. EPA regional offices use a screening system called the 
Hazard Ranking System (HRS) to numerically assess sites' relative 
potential threat to human health and the environment. The HRS scores 
sites on four possible pathways of exposure: groundwater, surface 
water, soil, and air. Those sites with sufficiently high scores are 
eligible for proposal to the NPL.[Footnote 5] EPA regions submit these 
sites to EPA headquarters for possible listing on the NPL on the basis 
of a variety of additional factors, including the availability of 
alternative state or federal programs and concurrence from the 
governor of the state or environmental agency head in which the site 
is located. Sites that EPA decides should be listed are proposed in 
the Federal Register. After a period of public comment, EPA reviews 
the comments and decides whether to formally list the sites as "final" 
on the NPL. 

Once EPA lists a site, it is typically cleaned up through EPA's 
Superfund remedial program. EPA or a responsible party will begin the 
remedial process by conducting a remedial investigation and 
feasibility study to identify the nature and extent of contamination, 
quantify potential risks, and evaluate potential remedies.[Footnote 6] 
The culmination of these studies is a Record of Decision (ROD), which 
identifies EPA's selected remedy for addressing the site's 
contamination.[Footnote 7] The selected remedy is then designed during 
remedial design and implemented with construction activities in the 
remedial action phase, when actual cleanup of the site generally 
begins. When all physical construction at a site is complete, all 
immediate threats have been addressed, and all long-term threats are 
under control, EPA generally considers the site to be "construction 
complete." Of the 1,111 nonfederal sites listed on the NPL as of the 
end of fiscal year 2009, 695 had reached EPA's construction complete 
milestone, while the remaining 416 had not. Most sites then enter into 
the operation and maintenance phase, when the responsible party or the 
state maintains the remedy and EPA ensures that the remedy continues 
to protect human health and the environment. Eventually, when EPA and 
the state determine that no further site response is needed, EPA may 
delete the site from the NPL.[Footnote 8] 

NPL cleanup efforts are typically expensive and can take many years. 
While responsible parties are liable for conducting or paying for site 
cleanup of hazardous substances, in some cases, parties cannot be 
identified or may be unwilling or financially unable to perform the 
cleanup. To fund EPA-led cleanups at nonfederal NPL sites, EPA uses 
the Hazardous Substance Superfund (trust fund) from which EPA receives 
annual appropriations. Historically, the trust fund was financed 
primarily by taxes on crude oil and certain chemicals, as well as an 
environmental tax on corporations based on their taxable income; 
however, the authority for these taxes expired in 1995,[Footnote 9] 
and shortly thereafter the balance in the trust fund started 
diminishing. Since 2001, appropriations from general revenues have 
been the largest source of funding for the trust fund. At the start of 
fiscal year 2009, the trust fund had a balance of $137 million. 
Superfund program appropriations have averaged about $1.2 billion 
annually since 1981, although the annual level of these appropriated 
funds has generally declined in recent years when adjusted for 
inflation. 

In fiscal year 2009, EPA received about $1.29 billion for the 
Superfund program, of which approximately $605 million was for the 
remedial program.[Footnote 10] Of this amount, EPA allocated $125 
million for preconstruction activities--remedial investigation, 
feasibility study, and remedial design activities--as well as other 
nonconstruction activities, including conducting prelisting activities 
through cooperative agreements with states, oversight of all 
responsible party-lead activities, and providing general support and 
management. In addition, EPA allocated $267 million for remedial 
actions. EPA allocated the remaining $213 million for headquarters and 
regional personnel to implement and oversee the overall program; for 
site management; and for providing technical and analytical support 
for all non-NPL sites as well as proposed, final, and deleted NPL 
sites. In addition, as part of the American Recovery and Reinvestment 
Act of 2009 (Recovery Act), EPA's Superfund remedial program received 
an additional $600 million.[Footnote 11] 

My testimony today summarizes highlights from our report. 
Specifically, I will discuss (1) the cleanup and funding status at 
currently listed nonfederal NPL sites with unacceptable or unknown 
human exposure, (2) what is known about the future costs to EPA to 
conduct remedial actions at nonfederal NPL sites that are not 
construction complete, (3) the process EPA uses to allocate remedial 
program funding, and (4) the number of sites EPA and selected state 
officials expect will be added to the NPL over the next 5 years, and 
what they expect the costs of cleaning up those sites will be. 

The findings of our report are based on an electronic survey of branch 
chiefs from the 10 EPA regions; data from EPA's Comprehensive 
Environmental Response, Compensation, and Liability Information System 
and Integrated Financial Management System; EPA guidance and planning 
documents; and interviews with officials from EPA headquarters and 
regional offices, 10 selected states, and the Association of State and 
Territorial Solid Waste Management Officials. The report contains a 
detailed overview of our scope and methodology. This work was 
conducted in accordance with generally accepted government auditing 
standards. Those standards require that we plan and perform the audit 
to obtain sufficient, appropriate evidence to provide a reasonable 
basis for our findings and conclusions based on our audit objectives. 
We believe that the evidence obtained provides a reasonable basis for 
our findings and conclusions based on our audit objectives. 

Considerable Work Remains at Most Nonfederal NPL Sites with 
Unacceptable or Unknown Human Exposure, and Some Site Cleanups Have 
Not Been Funded at the Most Efficient Level: 

As detailed in our report, over 60 percent of the 75 nonfederal NPL 
sites with unacceptable human exposure have all or more than half of 
the work remaining to complete remedial construction. According to EPA 
regional officials' responses to our survey, EPA has plans to control 
human exposure at all of the 75 sites with unacceptable human 
exposure; however, our survey results also show that EPA regional 
officials expect 41 of the sites to continue to have unacceptable 
exposure until fiscal year 2015 or later.[Footnote 12] Similarly, over 
60 percent of the 164 nonfederal NPL sites with unknown human exposure 
have all or more than half of the work remaining to complete remedial 
construction, according to EPA regional officials' responses to our 
survey. The majority of the sites with unknown human exposure that 
have all of the work remaining to complete construction are in the 
remedial investigation phase, which is when EPA usually determines a 
site's human exposure status, according to EPA guidance. EPA may also 
designate a site as having unknown human exposure during the 
construction phase of work, or after a site has met the construction 
complete milestone, if new information suggests that there may be risk 
at the site, or if an investigation is under way to assess a potential 
exposure pathway not previously analyzed. 

Since CERCLA was passed in 1980 through the end of fiscal year 2009, 
EPA reported expending a total of $3 billion in constant 2009 dollars 
on the 75 sites with unacceptable exposure and $1.2 billion in 
constant 2009 dollars on the 164 sites where exposure is unknown. 
[Footnote 13] However, despite the relatively high level of 
expenditures at sites with unacceptable human exposure, EPA regional 
and headquarters officials told us that construction has not been 
conducted in the most timely and cost-efficient manner at some of 
these sites because EPA had to balance limited annual resources among 
various program activities. At the Eureka Mills site in Utah, people 
who are in contact with soil and dust contaminated with lead from 
mining activities face human health risks. From 2003 to 2008, the site 
received $6.6 million to $10 million a year for construction, even 
though regional officials said that an additional $3 to $5 million per 
year would have allowed them to complete construction at the site 3 to 
4 years earlier at a reduced overall cost. However, with the addition 
of $26.5 million for the Eureka Mills site in fiscal year 2009 from 
Recovery Act funding, officials said that they will be able to 
complete construction at least 1 year earlier than planned and control 
human exposure at the site. In response to our survey, EPA regional 
officials noted that they are using Recovery Act funding to partially 
or completely control the unacceptable human exposure at 20 NPL sites. 
However, despite EPA's use of Recovery Act funds to control human 
exposure at these sites, EPA officials noted that EPA's constrained 
funding has caused delays in the control of human exposure at some 
sites. 

EPA's Costs for Conducting Remedial Construction at Nonfederal NPL 
Sites Will Likely Exceed Recent Funding Levels for These Activities: 

As we noted in our report, EPA's annual costs to conduct remedial 
construction in the most efficient manner at nonfederal NPL sites for 
fiscal years 2010 through 2014 may range from $335 million to $681 
million, according to EPA regional officials' estimates (see table 1). 
[Footnote 14] These estimates include EPA's costs to conduct remedial 
actions at 142 of the 416 nonfederal sites that are not construction 
complete. For the remaining 274 sites, EPA regional officials were 
unable to provide cost estimates for 57 sites, expect responsible 
parties to fully fund remedial actions at 206 sites, and do not expect 
to incur additional costs to complete construction at 11 sites because 
these sites are already fully funded. 

Table 1: EPA Regional Officials' Estimates of Costs to EPA to Conduct 
Remedial Construction in the Most Efficient Manner at Existing 
Nonfederal Sites on the NPL, as of September 30, 2009: 

Fiscal year: 2010; 
Cost: $412 million. 

Fiscal year: 2011; 
Cost: $681 million. 

Fiscal year: 2012; 
Cost: $520 million. 

Fiscal year: 2013; 
Cost: $420 million. 

Fiscal year: 2014; 
Cost: $335 million. 

Fiscal year: 2015 and beyond; 
Cost: $3.036 billion. 

Source: GAO analysis of EPA regional officials' responses to our 
survey. 

Note: These data include EPA's cost estimates for 142 of the 416 
nonfederal sites that are not construction complete. For the remaining 
274 sites, EPA was unable to provide annual cost estimates for 57 
sites, EPA indicated that responsible parties are fully funding 
remedial actions at 206 sites, and EPA does not expect to incur 
additional costs to complete construction at 11 sites. Unless 
otherwise specified, these numbers are as reported by EPA, and are not 
adjusted for inflation by GAO. 

[End of table] 

These annual cost estimates for remedial construction at these sites 
exceed past annual funding allocations for such actions. For example, 
EPA regional officials' cost estimates for remedial construction for 
the next 2 years--fiscal years 2011 and 2012--are $253 million to $414 
million greater than the $267 million in annual funding that EPA 
allocated for remedial actions in fiscal year 2009. From fiscal years 
2000 through 2009, EPA allocated $220 million to $267 million in 
annual funding for remedial actions. According to EPA headquarters 
officials, however, funds from additional sources--such as prior year 
funds, settlements with responsible parties, and state cost share 
agreements--may also be available to fund remedial construction from 
year to year. While the amount of funding available through these 
sources may vary substantially from year to year, according to EPA 
headquarters officials, approximately $123 to $199 million was 
available from additional sources for remedial actions in fiscal years 
2007 through 2009. Our analysis indicates that, even if this level of 
funding were available in future years, it would not supplement EPA's 
annual funding allocation enough to cover the estimated costs for 
conducting remedial construction in fiscal years 2011 and 2012. 
Therefore, despite funding from additional sources, EPA's estimated 
costs to conduct remedial construction will exceed available funds if 
funding for remedial construction remains constant. 

Furthermore, these annual cost estimates are likely understated. These 
officials were not able to provide annual construction cost estimates 
for 57 of the 416 nonfederal sites that are not yet construction 
complete because they are in the early stages of the remedial process, 
and EPA does not yet know the extent of the contamination and/or has 
not chosen a cleanup remedy for them.[Footnote 15] For some additional 
sites, EPA regional officials were unable to provide cost estimates 
for construction at some of the operable units at the site. In 
addition, EPA regional officials' estimates did not include costs for 
conducting long-term response actions--such as operating groundwater 
treatment facilities--which are considered part of the remedial 
action, or for performing 5-year site reviews, both of which EPA funds 
from its remedial action allocation and would, therefore, increase the 
cost estimate for remedial actions. 

EPA's estimates also did not include construction costs for sites that 
currently have a potentially responsible party that may be unable to 
fund the cleanup. EPA officials told us that EPA has identified one or 
more potentially responsible parties at 206 of the 416 nonfederal NPL 
sites that are not yet construction complete. However, officials also 
said that they were slightly or not at all confident that a 
responsible party would fund future remedial actions at 27 of these 
sites. 

EPA headquarters and regional officials also told us that EPA's actual 
costs for construction are typically higher than its cost estimates 
because of a number of uncertainties. Most importantly, according to 
EPA officials, the extent of contamination at a site is often greater 
than EPA expected when it developed the cost estimate, which can 
expand the scope of work and remedies needed and increase overall 
construction costs. For example, we recently reported that at the 
Federal Creosote Superfund site in New Jersey, the greater-than-
expected quantities of contaminated material contributed to a $111 
million increase in construction costs over EPA's estimates.[Footnote 
16] Another factor that can increase construction costs is a change in 
acceptable contaminant levels. In addition, according to EPA, the 
actual costs of goods and services--such as energy, construction 
materials, and labor--may increase above estimated prices, causing an 
increase in the actual construction cost. EPA officials noted that 
there may be some instances when construction costs are overestimated 
because, for example, there is less contamination at a site than 
previously thought or the prices of goods and services decrease; 
however, the officials commented that this is rare. The frequent 
occurrence of additional unexpected costs enhances the likelihood that 
EPA's costs for remedial actions over the next several years will 
exceed recent funding levels for these activities, and EPA may be 
forced to choose between funding construction at some sites in the 
most efficient manner or funding construction at more sites less 
efficiently. 

EPA Allocates Remedial Program Funding Separately for Preconstruction 
Activities and Remedial Actions, and Limited Funding Has Caused Delays 
at Some Sites: 

As explained in our report, EPA allocates funds separately for pre- 
construction activities--such as remedial investigation and remedial 
design--and remedial actions. EPA headquarters allocates funds for pre-
construction activities to the regions for them to distribute among 
sites. EPA headquarters determines the amount of resources that the 
Superfund program will allocate to the regions by using a model that 
distributes available funding based on a combination of historical 
allocations and a work-based scoring system that scores each region 
based on projects planned for the upcoming year.[Footnote 17] 
According to EPA's Superfund Program Implementation Manual, at the 
initiation of the planning process, headquarters provides general 
projections of funding for preconstruction activities that will be 
available to the regions. On the basis of these projections, each 
region then develops a plan for allocating these funds to sites. 
Before finalizing this plan, each region holds planning discussions 
with headquarters to discuss actions that can be accomplished during 
the year and alters its plans, as needed, based on refined projections 
of available funding from headquarters. 

To allocate funding for remedial actions, EPA headquarters works in 
consultation with the regions to allocate funds on a site-by-site 
basis. EPA's Superfund Program Implementation Manual states that sites 
with ongoing construction receive priority for funding over new 
construction work. Headquarters develops the initial plan for ongoing 
construction based on regional funding requests, projections of 
available funding, and discussions with regional officials. According 
to EPA, the agency's goal in allocating funds is to ensure that all 
sites with ongoing construction continue to progress toward 
construction completion while also funding some new construction 
projects. 

According to EPA headquarters and regional officials, the funds for 
both preconstruction activities and remedial actions have not been 
sufficient to clean up some sites in the most timely and cost-
efficient manner. EPA officials from several regions told us that 
their regions currently receive about half or less than half of the 
funding they could use for preconstruction activities. As a result, 
according to our survey, which collected data on fiscal years 2000 
through 2009, most regions have sites that have experienced delays in 
the preconstruction phase because of insufficient funding. Similarly, 
sites with ongoing construction have experienced delays caused by 
limited funding, according to EPA officials. Since fiscal year 2000, 
most regions have experienced delays because of insufficient funding 
at one or more sites with ongoing construction, according to responses 
to our survey. According to several EPA regional officials, delays in 
funding for sites with ongoing construction increase the length of 
time it takes to clean up a site; the total cost of cleanup; and, in 
some cases, the length of time populations are exposed to 
contaminants. In addition, funding limitations have caused delays at 
sites that were ready to begin new construction. According to EPA 
Superfund Accomplishment Reports, between fiscal years 2004 and 2008, 
54 sites, or over one-third of all sites ready for new construction 
funding, were not funded in the year that they were ready to begin 
construction, and some sites were not funded for several years after 
they were construction-ready. 

EPA officials told us that EPA prioritized sites to receive the $582 
million in American Recovery and Reinvestment Act funds allocated to 
remediation in a manner similar to the way EPA prioritizes sites for 
remedial actions. According to EPA headquarters officials, 25 sites 
needing new construction funding in fiscal year 2009 would most likely 
not have received funding had Recovery Act funding not been available. 

Most EPA Regional and Selected State Officials Expect an Increase in 
the Number of Sites Added to the NPL over the Next 5 Years but Cannot 
Estimate the Cleanup Costs: 

Our report also notes that most of the EPA regional officials and 
state officials we interviewed told us they expect the number of sites 
listed on the NPL over the next 5 years will be greater than the 
number listed in the past 5 years. EPA regional officials estimate 
that from 101 to 125 sites--an average of 20 to 25 sites per year--
will be added to the NPL over the next 5 years. This is higher than 
the 79 sites--an average of about 16 sites per year--added from fiscal 
years 2005 through 2009. As table 2 shows, all EPA regions expect that 
the number of sites added to the NPL over the next 5 years from their 
region could increase. According to EPA headquarters officials, the 
number of sites proposed for listing over time has decreased as a 
result of the expanded use of other cleanup programs, including state 
programs. Most of the officials who expect an increase in listings 
noted that current economic conditions--which can limit states' 
abilities to clean up sites under their own programs and responsible 
parties' abilities to pay for cleanup--are a contributing factor to 
the expected increase in listed sites. 

Table 2: Comparison of the Number of Sites EPA Listed from Fiscal Year 
2005 through 2009 and the Number of Sites Projected to Be Listed from 
Fiscal Years 2010 through 2014, by Region: 

EPA region: 1; 
Number of sites EPA listed from fiscal year 2005 through fiscal year 
2009: 3; 
Number of sites EPA regional officials project will be added to the 
NPL over the next 5 years: 3 to 5; 
Projected change in the number of sites listed: 0 to + 2. 

EPA region: 2; 
Number of sites EPA listed from fiscal year 2005 through fiscal year 
2009: 12; 
Number of sites EPA regional officials project will be added to the 
NPL over the next 5 years: 15 to 20; 
Projected change in the number of sites listed: + 3 to 8. 

EPA region: 3; 
Number of sites EPA listed from fiscal year 2005 through fiscal year 
2009: 8; 
Number of sites EPA regional officials project will be added to the 
NPL over the next 5 years: 10 to 15; 
Projected change in the number of sites listed: + 2 to 7. 

EPA region: 4; 
Number of sites EPA listed from fiscal year 2005 through fiscal year 
2009: 14; 
Number of sites EPA regional officials project will be added to the 
NPL over the next 5 years: 20 to 25; 
Projected change in the number of sites listed: + 6 to 11. 

EPA region: 5; 
Number of sites EPA listed from fiscal year 2005 through fiscal year 
2009: 14; 
Number of sites EPA regional officials project will be added to the 
NPL over the next 5 years: 20; 
Projected change in the number of sites listed: + 6. 

EPA region: 6; 
Number of sites EPA listed from fiscal year 2005 through fiscal year 
2009: 9; 
Number of sites EPA regional officials project will be added to the 
NPL over the next 5 years: 10 to 15; 
Projected change in the number of sites listed: + 1 to 6. 

EPA region: 7; 
Number of sites EPA listed from fiscal year 2005 through fiscal year 
2009: 8; 
Number of sites EPA regional officials project will be added to the 
NPL over the next 5 years: 10; 
Projected change in the number of sites listed: + 2. 

EPA region: 8; 
Number of sites EPA listed from fiscal year 2005 through fiscal year 
2009: 4; 
Number of sites EPA regional officials project will be added to the 
NPL over the next 5 years: 5; 
Projected change in the number of sites listed: + 1. 

EPA region: 9; 
Number of sites EPA listed from fiscal year 2005 through fiscal year 
2009: 4; 
Number of sites EPA regional officials project will be added to the 
NPL over the next 5 years: 3 to 5; 
Projected change in the number of sites listed: -1 to + 1. 

EPA region: 10; 
Number of sites EPA listed from fiscal year 2005 through fiscal year 
2009: 3; 
Number of sites EPA regional officials project will be added to the 
NPL over the next 5 years: 5; 
Projected change in the number of sites listed: + 2. 

EPA region: All regions; 
Number of sites EPA listed from fiscal year 2005 through fiscal year 
2009: 79; 
Number of sites EPA regional officials project will be added to the 
NPL over the next 5 years: 101 to 125; 
Projected change in the number of sites listed: + 22 to 46. 

Sources: GAO analysis based upon EPA data and regional officials' 
projections. 

[End of table] 

Most of the officials we spoke with in the 10 selected states also 
expect that the number of sites listed from their states over the next 
5 years could increase above the number of sites listed over the past 
5 years, as table 3 shows. For example, officials from the Michigan 
Department of Natural Resources and Environment said that they expect 
EPA to list five sites in Michigan to the NPL over the next 5 years, 
even though no sites have been listed from their state since 1996. 
These officials noted that the Superfund program has traditionally 
been a program of last resort, but declining resources in their 
state's cleanup program have renewed Michigan's interest in cleaning 
sites up through the federal program. 

Table 3: Comparison of the Number of Sites EPA Listed from Each of the 
10 States from Fiscal Years 2005 through 2009 and the Number of Sites 
State Officials Project May Be Listed from Fiscal Years 2010 through 
2014, by State: 

State: Maine; 
Number of sites EPA listed from fiscal year 2005 through fiscal year 
2009: 0; 
Number of sites state officials project will be added from their 
states to the NPL over the next 5 years: 1 to 2; 
Projected change in the number of sites listed: + 1 to 2. 

State: New Jersey; 
Number of sites EPA listed from fiscal year 2005 through fiscal year 
2009: 6; 
Number of sites state officials project will be added from their 
states to the NPL over the next 5 years: 15 to 25; 
Projected change in the number of sites listed: + 9 to 19. 

State: Virginia; 
Number of sites EPA listed from fiscal year 2005 through fiscal year 
2009: 1; 
Number of sites state officials project will be added from their 
states to the NPL over the next 5 years: 1; 
Projected change in the number of sites listed: 0. 

State: Kentucky; 
Number of sites EPA listed from fiscal year 2005 through fiscal year 
2009: 0; 
Number of sites state officials project will be added from their 
states to the NPL over the next 5 years: 0 to 1; 
Projected change in the number of sites listed: 0 to + 1. 

State: Michigan; 
Number of sites EPA listed from fiscal year 2005 through fiscal year 
2009: 0; 
Number of sites state officials project will be added from their 
states to the NPL over the next 5 years: 5; 
Projected change in the number of sites listed: + 5. 

State: Louisiana; 
Number of sites EPA listed from fiscal year 2005 through fiscal year 
2009: 0; 
Number of sites state officials project will be added from their 
states to the NPL over the next 5 years: 1; 
Projected change in the number of sites listed: + 1. 

State: Iowa; 
Number of sites EPA listed from fiscal year 2005 through fiscal year 
2009: 0; 
Number of sites state officials project will be added from their 
states to the NPL over the next 5 years: 0; 
Projected change in the number of sites listed: 0. 

State: Montana; 
Number of sites EPA listed from fiscal year 2005 through fiscal year 
2009: 1; 
Number of sites state officials project will be added from their 
states to the NPL over the next 5 years: 1 to 2; 
Projected change in the number of sites listed: 0 to + 1. 

State: California; 
Number of sites EPA listed from fiscal year 2005 through fiscal year 
2009: 3; 
Number of sites state officials project will be added from their 
states to the NPL over the next 5 years: 5; 
Projected change in the number of sites listed: + 2. 

State: Washington; 
Number of sites EPA listed from fiscal year 2005 through fiscal year 
2009: 2; 
Number of sites state officials project will be added from their 
states to the NPL over the next 5 years: 1 to 4; 
Projected change in the number of sites listed: -1 to + 2. 

Sources: GAO analysis based upon EPA data and state agency officials' 
projections. 

[End of table] 

Neither EPA regional officials nor state officials we contacted were 
able to provide cost estimates for many of the sites they expect to be 
added to the NPL over the next 5 years. Furthermore, when these 
officials were able to provide cost estimates, most of them were 
imprecise figures based on limited knowledge and best professional 
judgment. Officials also explained that they could not provide cost 
estimates for some of the sites, because either the type and extent of 
contamination are not yet known, or officials have not yet identified 
the actual sites that may be listed. Therefore, it is impossible to 
accurately estimate what the cost may be to clean up these sites. 
However, we reported in July 2009 that the average amount EPA spent to 
clean up individual sites has increased in recent years.[Footnote 18] 
For example, EPA spent an average of approximately $7.5 million at 
sites that reached EPA's construction complete milestone in fiscal 
year 1999. EPA's expenditures increased to an average of about $10.2 
million in total expenditures per site at sites reaching construction 
complete in fiscal year 2007. In that report, we noted that individual 
site costs may have increased because the sites on the NPL now are 
more complex than in the past, construction costs have been rising, 
and EPA has not been able to identify as many responsible parties to 
fund site cleanups as in the past, leaving a higher share for EPA to 
fund. 

In addition to the number of sites that could be listed, the number of 
sites eligible for the NPL could increase if EPA begins to assess, as 
a part of its listing process, the risk of vapor intrusion caused by 
subsurface hazardous substances that have migrated via the air into 
homes and commercial properties. Although sites with vapor intrusion 
can pose considerable human health risks, EPA's HRS--the mechanism 
used to identify sites that qualify for NPL listing--does not 
currently recognize these risks; therefore, unless a site with vapor 
intrusion is listed on some other basis--such as groundwater 
contamination--EPA cannot clean up the site using remedial program 
funding. Many EPA regional officials and state officials noted that 
vapor intrusion is a concern, and several of these officials told us 
that they believe additional sites would be eligible for listing if 
assessments of vapor intrusion were included as part of the listing 
process. According to an EPA headquarters official, based on recent 
discussions with regional officials, up to 37 sites could be eligible 
for NPL listing if EPA includes vapor intrusion assessments as part of 
the listing process. However, according to EPA headquarters officials, 
EPA must first determine whether or not it can consider the vapor 
intrusion pathway under its existing HRS regulations, and it has not 
yet made such a determination. While these sites are not currently 
eligible for NPL listing, the EPA headquarters official noted that EPA 
is addressing vapor intrusion at 13 of these sites through its 
Superfund removal program; however, this official also told us that, 
when conducting removal actions, EPA is limited in its ability to 
fully remediate the source of contamination. For example, according to 
an official from the Montana Department of Environmental Quality, 
preliminary data collected at the Billings PCE site[Footnote 19]--
which the official noted is not eligible for NPL listing--indicated 
vapor intrusion in buildings, and EPA conducted a removal action at 
this site. However, according to this official, it is unclear whether 
the removal action was effective in mitigating the vapor intrusion 
contamination, and people may continue to be exposed. 

In conclusion, we found that limited funding for the Superfund program 
has caused delays in cleaning up some sites in recent years. This 
limited funding, coupled with increasing costs of cleanup, has forced 
EPA to choose between cleaning up a greater number of sites more 
slowly at higher cost and cleaning up fewer sites more quickly at 
lower cost. Compounding these challenges, EPA does not currently 
assess the relative risk posed by vapor intrusion when deciding which 
sites to include on the NPL, and assessing this risk could lead to an 
increase in the number of sites listed on the NPL. However, if these 
sites are not assessed and, if needed, listed on the NPL, some 
seriously contaminated hazardous waste sites with unacceptable human 
exposure may not be cleaned up. In our report being released today, we 
are recommending that the Administrator of EPA determine the extent to 
which EPA will consider vapor intrusion as part of the NPL listing 
process and how this will affect the number of sites listed in the 
future. EPA agreed with our recommendation. 

Mr. Chairman, this concludes my prepared statement. I would be pleased 
to respond to any questions that you or Members of the Subcommittee 
may have at this time. 

GAO Contact and Staff Acknowledgments: 

For questions about this statement, please contact John Stephenson at 
(202) 512-3841 or stephensonj@gao.gov. Individuals making key 
contributions to this testimony include Barbara Patterson and Vincent 
P. Price, Assistant Directors; Deanna Laufer; and Kyerion Printup. 
Elizabeth Beardsley, Pamela Davidson, and Mehrzad Nadji also made 
important contributions. 

[End of section] 

Footnotes: 

[1] GAO, Superfund: EPA's Estimated Costs to Remediate Existing Sites 
Exceed Current Funding Levels, and More Sites Are Expected to Be Added 
to the National Priorities List, [hyperlink, 
http://www.gao.gov/products/GAO-10-380] (Washington, D.C.: May 6, 
2010). 

[2] Pub. L. No. 96-510 (1980), codified, as amended, at 42 U.S.C. §§ 
9601-9675 (2010). 

[3] The 158 federal facilities are owned and operated by federal 
agencies, such as the Departments of Defense, Energy, and the Interior. 

[4] At the remaining 872 sites, EPA has determined that human exposure 
has been controlled, but additional work to clean up the sites may 
still be needed. EPA refers to sites with unacceptable human exposure 
as "current human exposures not under control" and sites with unknown 
human exposure as "insufficient data to determine human exposure 
control status." 

[5] While the HRS is the principal mechanism EPA uses to place sites 
on the NPL, two additional mechanisms can also be used. More 
specifically, a site can be listed regardless of score if a state or 
territory designates the site as its single top-priority site. In 
addition, a site may be listed if the Agency for Toxic Substances and 
Disease Registry of the U.S. Public Health Service has issued a health 
advisory that recommends removing people from the site, EPA determines 
the site poses a significant threat to public health, and EPA 
anticipates it will be more cost-effective to use its remedial 
authority than to use its emergency removal authority to respond to 
the site. 

[6] For certain remedial actions, additional work at a site may be 
required after construction is completed, such as continuing 
groundwater restoration efforts or monitoring the site to ensure that 
the remedy remains protective. For EPA-lead remedial actions that have 
a groundwater or surface water restoration component, EPA funds the 
necessary activities--known as long-term response actions--for up to 
10 years before turning over these responsibilities to the state. 

[7] Cleanup at a site is often divided into smaller units (operable 
units) by geography, pathways of contamination, or type of remedy. 

[8] Although most sites progress through the cleanup process in 
roughly the same way, EPA may take different approaches based on site-
specific conditions. 

[9] The budget proposed by the administration for fiscal year 2011 
reflects legislative proposals to reestablish a tax to support the 
Superfund program. 

[10] The remaining $680 million was for other activities, such as 
emergency response and removal, enforcement, and operations and 
administration. 

[11] Of the $600 million, EPA allocated $582 million to remedial 
cleanup activities and $18 million to internal EPA activities related 
to the management, oversight, and reporting of Superfund Recovery Act 
funds. 

[12] Thirty of the 41 sites that EPA regional officials expect will 
continue to pose unacceptable risk until fiscal year 2015 or later are 
"teenager sites"--sites that have been on the NPL for at least 13 
years. 

[13] These totals include construction costs and all other 
appropriated site-specific Superfund expenditures through fiscal year 
2009, except for reimbursable and homeland security supplemental 
expenditures. 

[14] Our survey asked EPA regional officials to provide the 
approximate projected costs to EPA to complete construction at a site 
in the most efficient manner, given what is currently known about 
contamination at a site. EPA regional officials provided cost 
estimates based on various information, including ROD estimates, 
estimates developed during remedial design or construction, and 
estimates developed during remedial investigations and feasibility 
studies. According to EPA officials, cost estimates for individual 
fiscal years for a site may change because of a number of factors, 
such as a site's construction readiness and contracting delays. 

[15] For 9 of the 57 sites, EPA officials did provide a broad range of 
costs for construction, but we did not include those costs in our 
analysis because EPA officials were unable to provide more precise, 
annual cost figures for those sites. 

[16] GAO, Superfund: Information on Cost and Other Issues Related to 
the Cleanup of the Federal Creosote Site, [hyperlink, 
http://www.gao.gov/products/GAO-10-277] (Washington, D.C.: February 
25, 2010). 

[17] As part of this allocation, EPA headquarters includes funding for 
other nonconstruction activities, including conducting prelisting 
activities through cooperative agreements with states, oversight of 
all responsible party-lead activities, and providing general support 
and management. 

[18] GAO, Superfund: Litigation Has Decreased and EPA Needs Better 
Information on Site Cleanup and Cost Issues to Estimate Future Program 
Funding Requirements, [hyperlink, 
http://www.gao.gov/products/GAO-09-656] (Washington, D.C.: July 15, 
2009). 

[19] PCE is perchloroethylene, which is a manufactured chemical used 
for dry cleaning and metal degreasing. Potential health effects from 
exposure to PCE include dizziness, headaches, sleepiness, confusion, 
nausea, difficulty in speaking and walking, loss of consciousness, and 
death. 

[End of section] 

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