Westfarm Associates Ltd. Partnership v. International Fabricare Institute

846 F. Supp. 422, 24 Envtl. L. Rep. (Envtl. Law Inst.) 20009, 38 ERC (BNA) 1043, 1993 U.S. Dist. LEXIS 15921, 1993 WL 603159
CourtDistrict Court, D. Maryland
DecidedJuly 16, 1993
DocketHM-92-9
StatusPublished
Cited by10 cases

This text of 846 F. Supp. 422 (Westfarm Associates Ltd. Partnership v. International Fabricare Institute) is published on Counsel Stack Legal Research, covering District Court, D. Maryland primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Westfarm Associates Ltd. Partnership v. International Fabricare Institute, 846 F. Supp. 422, 24 Envtl. L. Rep. (Envtl. Law Inst.) 20009, 38 ERC (BNA) 1043, 1993 U.S. Dist. LEXIS 15921, 1993 WL 603159 (D. Md. 1993).

Opinion

MEMORANDUM

HERBERT F. MURRAY, Senior District Judge.

After discovering a hazardous substance in groundwater under its land, the plaintiff, Westfarm Associates L.P. (“Westfarm”), brought this action against the defendant, the International Fabricare Institute (“IFI”). Subsequently, both Westfarm and IFI asserted claims against the Washington Suburban Sanitary Commission (“WSSC”). At two hearings held in open Court, this Court entertained argument from all three parties on a variety of pending motions. Having considered the oral and written arguments of counsel, this Courttoday will resolve the four pending motions for summary judgment.

I. STATEMENT OF THE CASE

The standards governing the consideration of motions for summary judgment are well known and need not be reiterated in this opinion. See Weyerhaeuser Corp. v. Koppers Co., Inc., 771 F.Supp. 1406, 1409-10 (D.Md.1991).

Westfarm owns a number of adjacent parcels of land in Montgomery County, Maryland. Groundwater testing under three of those parcels (“Parcel A,” “Allegany,” and “Somerset”) has revealed concentrations of tetrachloroethylene (also known as perehlo *427 roethylene, perc, or “PCE”), a solvent used by IFI in its dry cleaning operations.

IFI occupies land at 12251 Tech Road (the “Tech Road site”), immediately to the northwest of Parcel A; Allegany and Somerset lie to the south-southeast of Parcel A. Both IFFs property and Parcel A abut Tech Road, beneath which runs a sewer line owned and operated by WSSC (the “Tech Road Sewer”). Beginning near the northwest corner of IFFs land, Tech Road runs southeast along IFI’s property and Parcel A, then turns to the southwest. Information gathered from monitoring wells in the area indicates that the groundwater under these parcels flows generally to the southeast.

As the nationwide trade association for commercial dry cleaners and launderers, IFI uses PCE in several of the dry cleaning and related operations conducted on its property. Different operations generate different kinds of PCE waste, and IFI employees over the years disposed of those wastes in different ways. First, since 1969 the ordinary dry cleaning operations of IFI or its predecessor, the National Institute of Dry Cleaning, have generated drained spent cartridge filters, “cooked” filter residues, and still residues.. Until 1985, IFI disposed of spent filters and cooked filter residue in a dumpster at the Tech Road site, and poured the PCE-laden still residues down the drain. Secondly, the operation of certain solvent recycling equipment and air pollution control equipment has generated so-called “separator water” — liquid containing PCE dissolved in solution. Until 1990, IFI poured its separator water down the drain. Finally, in its research laboratory IFI performs various tests on samples of PCE sent to IFI by its members and others. Until 1992, IFI poured PCE down the drain after completing each of the tests. IFI knows of no use of PCE on its land prior to 1969.

PCE, water, and other liquids poured down the drain at IFI flow through a lateral pipe (“sewer lateral”) underground in a straight line to the Tech Road Sewer. As noted above, the groundwater in the area flows generally to the southeast. A videotape examination of the sewer lateral revealed many cracks in its interior. Groundwater slightly southeast of the sewer lateral contains high concentrations of PCE, while groundwater just north of the sewer lateral contains no PCE.

WSSC is an agency of the State of Maryland, created in 1918 and charged with the responsibility for providing water and sewer services to the residents of Montgomery and Prince George’s Counties in Maryland. The Tech Road Sewer is part of a network of approximately 4000 miles of sewer pipes owned and operated by WSSC.

IFI’s sewer lateral empties into the Tech Road Sewer at a sewer house connection at the sewer’s terminal end. The house connection extends 27 feet toward IFFs land, where it links with the sewer lateral. Wastes from the sewer lateral enter the sewer house connection and then flow inside the Tech Road Sewer underneath Tech Road, first to the southeast and then to the southwest.

When it commissioned construction of the Tech Road Sewer in 1969, WSSC called for a design that would allow leakage from the pipe at a rate of 200 gallons per inch diameter, per mile, per day. Additionally, a videotape examination of the Tech- Road Sewer revealed cracks in the interior of the pipe. Testing of sediment in the sewer house connection of the Tech Road Sewer revealed concentrations of PCE over 100,000 parts per billion — the highest concentration of PCE found at any of the testing sites in the area.

As a governmental agency, WSSC regulates the discharge of industrial waste into its sewer system. Since the first set of regulations, WSSC has prohibited discharges of “[a]ny noxious or malodorous ... substance ... capable of creating a public nuisance or hazard to life____” 1972 WSSC Regulations § 701.3.4; see also 1983 WSSC Regulations § 702.1 (same language). Most recently, WSSC amended that regulatory language to prohibit discharges of “malodorous or toxic ... substances that ... are capable of creating a public nuisance or hazard to human health or the environment....” 1992 WSSC Regulations § 906.C. Also, beginning in 1983, WSSC imposed limits on discharges of “toxic organics” into the sewers. WSSC recently increased the limit on such discharges *428 to 2.13 milligrams per liter (mg/1), up from its 1983 level of 0.58 mg/1. 1992 WSSC Regulations, Table 9.1.

Westfarm filed this action in 1992 for relief available under the Comprehensive Environmental Response, Compensation, and Liability Act, 42 U.S.C. §§ 9601 et seq. (“CERCLA”), and the Resource Conservation and Recovery Act, 42 U.S.C. § 6901 et seq. (“RCRA”), as well as for relief under certain state law claims. After this Court ruled on the motion of IFI to dismiss, see Westfarm Assoc. L.P. v. International Fabricare Inst., 22 Envt’l L.Rep. (Envt’l L.Inst.) 21,350, 1992 WL 315188 (D.Md. May 6, 1992), Westfarm filed its first amended complaint, adding claims regarding the contamination of Allegany and Somerset. Later, IFI filed a third-party complaint against WSSC seeking contribution and indemnification, and Westfarm filed a second amended complaint adding WSSC as a defendant.

Presently pending before this Court are the following four motions: the motion of Westfarm for partial summary judgment on Counts I and III of the second amended complaint against IFI; 1 the motion of WSSC for summary judgment against Westfarm; the motion of WSSC for summary judgment against IFI; and the motion of Westfarm for partial summary judgment on Count I of the second amended complaint against WSSC. Tracking the claims asserted in the second amended complaint, this Court will address the issues raised in those motions.

Preliminarily, a procedural issue raised by IFI requires brief attention.

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846 F. Supp. 422, 24 Envtl. L. Rep. (Envtl. Law Inst.) 20009, 38 ERC (BNA) 1043, 1993 U.S. Dist. LEXIS 15921, 1993 WL 603159, Counsel Stack Legal Research, https://law.counselstack.com/opinion/westfarm-associates-ltd-partnership-v-international-fabricare-institute-mdd-1993.