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COMMERCE BUSINESS DAILY ISSUE OF APRIL 17,2000 PSA#2580Department of the Air Force, Direct Reporting Units, 10 ABW/LGC, 8110
Industrial Drive, Suite 200, USAF Academy, CO, 80840-2315 S -- PRIVATIZATION OF THE WASTEWATER COLLECTION AND TREATMENT SYSTEM
AT THE USAF ACADEMY, COLORADO SOL F05611-00-R-0001 DUE 041800 POC
Leslie Ryan, Contracting Officer, Phone (719)333-8267, Fax
(719)333-2892, Email leslie.ryan@usafa.af.mil WEB: Visit this URL for
the latest information about this,
http://www.eps.gov/cgi-bin/WebObjects/EPS?ACode=P&ProjID=F05611-00-R-0001&LocID=479. E-MAIL: Leslie Ryan, leslie.ryan@usafa.af.mil.
This proposed contract action is for privatization of the WASTEWATER
COLLECTION AND TREATMENT SYSTEM at the U.S. Air Force Academy (USAFA),
CO for which the Government intends to solicit and negotiate only with
Colorado Springs Utilities (CSU) under the authority of FAR 6.302. This
determination was made based on the USAFA's requirement as stated in
the Request For Information (RFI) published 17 July 99 that the
Academy's wastewater treatment system qualify as a "Publicly-Owned
Treatment Work (POTW)" under the Resource Conservation and Recovery Act
(RCRA) and the ability to convert potable water purchases from CSU to
non-potable water uses (e.g., the productive use of treated discharges
from the Government-owned wastewater treatment plant). The following
facts warrant the need to pursue this action on a sole source basis:
The USAFA's wastewater collection and treatment system currently
qualifies as a Federally-owned Treatment Works (FOTW) which allows it
to take advantage of the RCRA mixed-sewage exclusion set forth in RCRA
section 3023(a). This section provides that if certain conditions are
met, FOTWs are essentially exempted from RCRA regulation based on the
domestic sewage exclusion to the definition of solid waste found in 40
CFR 261.4 as implemented by 6CCR1007-3 Section 261.4. The current
operation of the USAFA wastewater collection and treatment system
commingles (mixes) domestic sewage and other waste from various
locations that include housing, motor pool, photolab and chemistry labs
located throughout the installation. There is a similar mixed waste
exclusion that is available to Publicly-owned Treatment Works (POTW) .
Under 40 CFR section 261.4(a)(1)(ii) as implemented by 6CCR1007-3
Section 261.4, mixtures of sanitary wastes and other wastes that pass
through a sewer system to a POTW are excluded from RCRA regu-lation. A
Publicly-owned Treatment Works " means any. . .system used in the
treatment (in-cluding recycling and reclamation) of municipal sewage or
industrial wastes of a liquid nature which is owned by a "State" or
"municipality" (40 CFR 122.2). The City of Colorado Springs is a
Colorado home rule city and a municipal corporation established and
organized under the laws of the State of Colorado. The City of Colorado
Springs owns and operates CSU. CSU is a public utility under both
C.R.S. Section 40-1-103 and the Colorado Springs City Code. As a
result, ownership of the wastewater collection and treatment system by
the City of Colorado Springs and its enterprise, CSU, would qualify
for the RCRA mixed-sewage exclusion under 40 CFR 261.4, allowing its
classification as a POTW. A privately-owned treatment works can-not
qualify for the RCRA mixed-waste exclusion. CSU is also the only entity
that can continue the USAFA's current practice of reusing treated water
(non-potable) for irrigation purposes. CSU provides water service
beyond the municipal limits of Colorado Springs under C.R.S. Section
31-35-402 and the City of Colorado Springs has granted CSU an exclusive
water serv-ice territory, for both potable and non-potable water, that
includes the USAFA property under the authority of Section 12-1-107.1
of the City Code and City Ordinance #99-123. CSU pursu-ant to this
authority, voluntarily and as an accommodation to the USAFA, permits
the reuse of potable water CSU sells to the USAFA for non-potable
purposes. The loss of the right to re-use treated water would require
the purchase of potable water from CSU and the extensive
re-configuration of the current distribution system that collects,
stores, and distributes this non-potable water for irrigation and other
non-potable water uses. In order for privatization of wastewater
treatment and distribution services to be economically feasible, as
required by De-fense Reform Initiative Directive (DRID) No. 49,
Privatization of Defense Utility Systems, CSU is the only source who
can provide those services without subjecting the government to the
hazardous waste treatment, storage, and disposal requirements of RCRA
as set forth in 40 CFR Part 264 and the prohibitive cost to redesign
and reconfigure the USAFA wastewater system. Note: A contract will not
be awarded to CSU unless the Government can certify, at the end of the
negotiation process, that it is economical to privatize. Responses to
this notice as well as any questions should be directed to Ms. Leslie
Ryan at 10 ABW/LGCW, 8110 Indus-trial Drive, Suite 102, USAF Academy CO
80840-2315. Phone 719-333-8267. Posted 04/13/00 (D-SN444562). (0104) Loren Data Corp. http://www.ld.com (SYN# 0093 20000417\S-0006.SOL)
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