This Streamlined Approach for Environmental Restoration (SAFER) Plan addresses the actions needed to achieve closure for Corrective Action Unit (CAU) 544, Cellars, Mud Pits, and Oil Spills, identified in the Federal Facility Agreement and Consent Order (FFACO). Corrective Action Unit 544 comprises the following 20 corrective action sites (CASs) located in Areas 2, 7, 9, 10, 12, 19, and 20 of the Nevada Test Site (NTS): ? 02-37-08, Cellar & Mud Pit ? 02-37-09, Cellar & Mud Pit ? 07-09-01, Mud Pit ? 09-09-46, U-9itsx20 PS #1A Mud Pit ? 10-09-01, Mud Pit ? 12-09-03, Mud Pit ? 19-09-01, Mud Pits (2) ? 19-09-03, Mud Pit ? 19-09-04, Mud Pit ? 19-25-01, Oil Spill ? 19-99-06, Waste Spill ? 20-09-01, Mud Pits (2) ? 20-09-02, Mud Pit ? 20-09-03, Mud Pit ? 20-09-04, Mud Pits (2) ? 20-09-06, Mud Pit ? 20-09-07, Mud Pit ? 20-09-10, Mud Pit ? 20-25-04, Oil Spills ? 20-25-05, Oil Spills This plan provides the methodology for field activities needed to gather the necessary information for closing each CAS. There is sufficient information and process knowledge from historical documentation and investigations of similar sites regarding the expected nature and extent of potential contaminants to recommend closure of CAU 544 using the SAFER process. Using the approach approved for previous mud pit investigations (CAUs 530?535), 14 mud pits have been identified that ? are either a single mud pit or a system of mud pits, ? are not located in a radiologically posted area, and ? have no evident biasing factors based on visual inspections. These 14 mud pits are recommended for no further action (NFA), and further field investigations will not be conducted. For the sites that do not meet the previously approved closure criteria, additional information will be obtained by conducting a field investigation before selecting the appropriate corrective action for each CAS. The results of the field investigation will support a defensible recommendation for closure of the remaining CASs in CAU 544. This will be presented in a closure report (CR) that will be prepared and submitted to the Nevada Division of Environmental Protection (NDEP) for review and approval. The sites will be investigated based on the data quality objectives (DQOs) developed on April 27, 2010, by representatives of NDEP and the U.S. Department of Energy (DOE), National Nuclear Security Administration Nevada Site Office (NNSA/NSO). The DQO process was used to identify and define the type, amount, and quality of data needed to determine and implement appropriate corrective actions for each CAS in CAU 544. The DQO process developed for this CAU identified the following expected closure options: (1) investigation and confirmation that no contamination exists above the final action levels (FALs) leading to an NFA declaration, (2) characterization of the nature and extent of contamination leading to closure in place with use restrictions, (3) clean closure by remediation and verification, (4) closure in place with use restrictions with no investigation if CASs are in crater areas that have been determined to be unsafe to enter, or (5) NFA if the mud pit CAS meets the criteria established during the CAUs 530?535 SAFER investigation. The following summarizes the SAFER activities that will support the closure of CAU 544: ? Perform visual inspection of all CASs. ? Perform site preparation activities (e.g., utilities clearances, construction of temporary site exclusion zones). ? Removal of easily managed, nonhazardous, and nonradioactive debris, including vegetation (e.g., tumbleweeds), at various CASs that interfere with sampling, if required to inspect soil surface or collect soil sample. ? Collect environmental samples from designated target populations (e.g., mud pits, cellars, stained soil) to confirm or disprove the presence of contaminants of concern (COCs) as necessary to supplement existing information. ? If no COCs are present at a CAS, establish NFA as the corrective action. ? If COCs exist, collect environmental samples from designated target populations (e.g., clean soil adjacent to contaminated soil) and submit for laboratory analyses to define the extent of COC contamination. ? If a COC is present at a CAS, either - Establish clean closure as the corrective action. The material to be remediated will be removed, disposed of as waste, and verification samples will be collected from remaining soil, or - Establish closure in place as the corrective action and implement the appropriate use restrictions. ? Confirm the preferred closure option is sufficient to protect human health and the environment.