ILLINOIS POLLUTION CONTROL BOARD
    May 28,
    1987
    MORTON THIOKOL, INC~,
    )
    MORTON CHEMICAL DIVISION,
    )
    Petitioner,
    v,.
    )
    PCB 86—223
    ILLINOIS ENVIRONMENTAL
    )
    PROTECTION AGENCY,
    )
    Respondent,.
    DISSENTING OPINION (by B~Forcade):
    I respectfully dissent from the majority~
    In this proceed-
    ing,
    I do not feel the petitioner has demonstrated
    that the
    environmental harm
    is,
    in
    fact,
    minimal,.
    The applicable water quality standard for mercury is 0~0005
    mg/i (0~5ug/l)~
    35 Ill~Adm,. Code 302~407~The Illinois Envir-
    onmental Protection Agency’s (“Agency”)
    intensive survey of the
    receiving stream
    in this proceeding shows apparent violations of
    the mercury water quality standard (Agency
    Rec,., Attachment A,
    Table 2)~ Mercury is present in Morton Thiokol’s effluent and
    the highest recorded ambient mercury value is downstream of
    Morton Thiokol:
    A—i
    Approximately 30 yds~
    O~25
    ugh
    upstream from the
    Morton Chemical discharge,
    Ringwood, Mcflenry Co,.
    C—O
    Morton Chemical discharge
    0b25
    ugh
    Ringwood, McHenry Co~
    C—i
    Approximately
    C,.l mile
    078
    ugh
    downstream from the
    Morton Chemical discharge,
    Ringwood, Mcflenry Co,.
    C—2
    Approximately D~5mile
    0.28
    ugh
    downstream from the
    Morton Chemical discharge,
    0~5mile SE of Ringwood,
    Mcflenry
    Co,.
    (Agency Rec.,
    Attachment A,
    Table
    2
    & Appendix A)
    78-186

    —2—
    The 0.78 ugh
    value reported
    at location
    C—.
    certainly appears to
    be a violation of the 0.5 ugh
    water quality standard for
    mercury~
    I do not believe that this data positively demonstrates that
    Morton Thiokol’s effluent is causing or contributing to water
    quality violations for mercury~ It does, however, raise serious
    questions about whether the environmental impact from that
    effluent is indeed “minimal,.”
    In the absence of more definitive information on the source
    of the mercury and the magnitude of the problem,
    I cannot support
    a grant of variance which may add to the problem.
    The petitioner has the burden to demonstrate that the
    economic burden outweighs the environmental
    harm,.
    Since the
    environmental harm has not been demonstrated to be “minimal,” the
    petitioner has not made his case,.
    S,.~\
    I, Dorothy M. Gunn, Clerk of
    the Illinois Pollution Control
    Board, hereby certify that the a
    ye Dissenting Opinion was sub-
    mitted on the
    j/24
    day of
    _______________,
    l987~
    fr~.
    ___
    Dorothy M/Gunn, Clerk
    Illinois Pollution Control Board
    78-187

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