ILLINOIS POLLUTION CONTROL BOARD
    February
    26, 1986
    IN THE MATTER OF:
    )
    JOINT PETITION OF TUE CITY OF
    )
    PCB 85—211
    MARSEILLES AND THE ILLINOIS
    ENVIRONMENTAL PROTECTION
    )
    AGENCY FOR EXCEPTION TO TUE
    COMBINED
    SEWER
    OVERFLOW
    REGULATIONS
    ML. KEITH
    R.
    LEIGH APPEARED ON BEHALF OF TUE CITY OF MARSEILLES,.
    MR1 THOMAS DAVIS APPEARED ON
    BEHALF OF
    THE
    ILLINOIS
    ENVIRONMENTAL
    PROTECTION AGENCYI
    OPINION AND ORDER OF THE BOARD
    (by R~C~ Flemal):
    This matter comes before the Board
    upon a December
    26,
    1985,
    joint petition filed
    on behalf of the City of Marseilles
    (“City”)
    and
    the Illinois Environmental Protection Agency
    (“Agency”)
    for
    an exception to
    35
    1111
    ~dm1 Code 3061305(b)
    of the Board’s
    combined sewer overflow
    (CSO)
    regulations
    as they apply to the
    City’s existing C3O and sewage treatment facilities.~
    Section
    3061305(b) provides
    as follows:
    Additional
    flows,
    as determined
    by the Agency but not less
    than ten times
    the average dry weather flow for the design
    year,
    shall
    receive a minimum of primary treatment
    and
    disinfection with adequate retention time1
    The “additional flows”
    identified
    in this Section
    refer
    to
    discharges
    above
    and beyond all dry weather
    flows
    and the first
    flush of storm flows,
    as specified
    in Section
    3061305(a),.
    Hearing was held
    on January 30,
    1986,
    at the Marseilles
    City
    HalL
    Testimony and exhibits were presented only by Petitioners;
    no members of the public were
    in attendance.~ There was
    no
    disagreement
    as to the facts1
    Petitioners contend that existing overflows from the City’s
    combined storm and sanitary sewer system have minimal
    impact on
    the water
    quality of, and do not restrict the use of,
    the
    Illinois River
    (the receiving stream)1
    Petitioners also propose
    that Marseilles undertake
    a program which would enable the City
    to capture
    and treat first flush flows and
    to otherwise improve
    the capabilities
    of
    its sewage treatment system,
    and
    thus further
    minimize any impact of its CSO discharges1

    —2—
    In Board review of
    a joint petition, granting
    an exception
    to C3O rules
    based upon minimal
    discharge impact,
    as
    is the case
    here,
    is conditioned upon Petitioners providing justification
    according to the provisions
    of
    35
    111,.
    kdm,.
    Code
    306,.36l(a):
    An exception justification based upon minimal discharge
    impact
    shall
    include, as
    a minimum,
    an evaluation
    of
    receiving stream
    ratios, known stream uses,
    accessibility to
    stream and side land use activities
    (residential,
    commercial,
    agricultural, industrial,
    recreational),
    frequency and extent of overflow events,
    inspections
    of
    unnatural bottom deposits, odors, unnatural floating
    material
    or color,
    stream morphology and results
    of limited
    stream chemical analyses1
    The BoaLd
    finds that Petitioners have provided the
    information specified in Section
    306,.361(a),
    and that such
    information
    indicates that the granting
    of the requested
    exception would have
    a minimal discharge
    impact1
    Petitioners
    also contend
    that the alternative
    to granting
    of the requested
    exception would entail
    a costly, large—scale expansion of the
    sewage treatment plant1
    In view of these considerations the
    Board will grant the requested exception,
    subject to conditions
    as proposed by Petitioners,.
    DISCHARGE IMPACT
    The City
    is located on the north bank
    of the Illinois River
    at approximately river mile
    246 and approximately
    25 miles below
    the confluence of
    the Des Plaines and Kankakee Rivers
    (head of
    the
    Illinois River),.
    The City
    is served
    by approximately 12,000
    L1F,.
    of combined sewers
    and approximately 57,000
    L1F1
    of separate
    sanitary
    sewers,.
    The collection system drains through
    a single
    27
    inch sewer which has an estimated maximum capacity of
    817
    million gallons per day
    (MGD),.
    This
    27
    inch sewer discharges
    to
    the Marseilles wastewater treatment plant1
    Overflows occur when
    flows
    in the
    27 inch sanitary sewer exceed
    the pumping capacity
    of
    the primary treatment plant or primary flows exceed
    the
    capacity of the primary clarifier;
    this occurs at
    a flow rate
    between 2q30 and
    2,.48
    MGD, depending upon the head
    in the system
    (R1
    at
    87),.
    Both sources
    of overflow are discharged
    to the
    Illinois River through
    a single
    30
    inch line which
    also carries
    the treated discharge from the plant1
    No other
    overflows exist
    in the Marseilles collection system1
    At ~4arseillesthe Illinois River
    consists of
    two channels,
    a
    north natural channel approximately 300 feet wide,
    and
    a narrow
    south channel modified
    for
    navigation1
    The two channels are
    separated by
    a forested
    island1
    The discharge point of the 30
    inch bypass line
    is
    located on the north side of the north
    channel1
    The river bottom in the north channel
    is rocky
    (Ex
    2)
    and has
    a normal
    4 to
    6 foot depth1
    This part of
    the river
    has
    no channelization or dredging for approximately one mile
    in each
    of the upstream and downstream directions~
    At the point
    of

    —3—
    discharge and
    for approximately one mile downstream the north
    bank
    of the north channel
    is bordered by
    a ten—foot wide forested
    belt,
    behind which
    is agricultural land1
    Petitioners contend
    that the near—stream land
    is not utilized nor
    accessible
    by
    children for recreational activities,
    nor
    is the river
    suitable
    for recreational activities other
    than fishing
    for
    at least
    one
    mile downstream due to rapid current and
    the shallow,
    rocky river
    bottom
    (Ex
    7,
    p.
    8);
    sport fishing
    is
    a popular activity
    (R,.
    at
    45).
    Petitioners contend that
    the impact of the C30 overflow on
    the Illinois River
    is negligible,
    noting that the
    7 day
    10 year
    low flow of the Illinois River
    in the vicinity of Marseilles
    is
    2086 MGD
    or 3228 cubic feet per
    second*,.
    The maximum peak hourly
    flow rate
    to the treatment plant
    is approximately 9.43
    MGD,.
    (Ex
    4,
    ~,.
    18;
    R1
    at
    89),.
    Assuming all
    of the
    sewage from the
    combined
    system in excess of plant capacity were dumped
    into
    the
    river, which
    it
    is
    not,
    the total discharge into the rivet would
    be
    7,.46
    MGD,.
    This provides
    a dilution ratio
    of
    230
    to
    1 at
    low
    flow1
    At average flow rates, the dilution ratio would be
    considerably higher,
    making
    the
    impact
    on the Illinois River
    considerably
    less,.
    Petitioners
    also note (Petition,
    p,.
    3):
    The first
    flush analysis established
    a volume of
    405,000
    gallons.
    Even
    if the entire
    first flush
    is bypassed
    to the
    Illinois River, which
    it
    is
    not,
    it
    is approximately
    0,.0l9
    of the low flow for the Illinois River1
    The first flush volume of 405,000 gallons cited
    above was
    calculated from analysis of
    an overflow event which occurred on
    June l~,1993
    (Ex
    1, p~ 17),.
    At hearing the City noted that an
    earlier event, which occurred on May 1,
    1983, but which had not
    been previously analyzed
    in this context,
    produced an estimated
    first flush of 651,300
    gallons
    (Ex
    1, p~ 18),
    more than 50
    larger
    than that cited
    in the Petition.
    As regards impact
    on the
    receiving stream,
    the Board
    notes that
    this larger
    first flush,
    if entirely bypassed,
    would
    still constitute significantly less
    than one percent of the low flow for
    the Illinois
    River,.
    Petitioners estimate that
    4
    to
    8 events sufficient
    to cause
    overflow occur
    per year, depending upon rainfall conditions
    (Ex
    1,
    p,. 9)~ Actual numbers
    of events
    in the past ten years have
    varied from 17
    in
    1977
    to none in 1981
    (Ex 8,
    p.
    1).
    Petitioners
    further contend that the expected number
    of events has decreased
    over the past several years due to effective removal
    of inflow
    and infiltration sources
    (R,.
    at 38—40),
    which
    is supported by the
    *Flow figures for
    the Illinois River are
    for
    the combined
    discharge of the north
    and south channels,.
    However,
    according
    to
    PetitioneLs
    (R.
    at
    57, 94),
    flow
    is predominantly through
    the
    north channel;
    south channel
    flow is
    limited essentially
    to
    lockage,.

    —4—
    observation that within the past five years
    the number
    of
    overflow events has averaged five per year verus 8~6per year
    in
    the preceeding five—year period
    (Ex
    1,
    ~1
    9;
    Ex
    8,
    ~1
    1),.
    However,
    the City believes that inflow and infiltration removals
    have been
    or are
    in the process
    of being taken
    to their practical
    limits,
    and that therefore
    no further
    significant gains
    in this
    direction can be expected
    (R1
    at
    30—31),.
    Actual inspection
    of the
    river bank and
    river bottom of the
    north channel
    indicate that there
    is no visual effect of the
    discharge on
    the river
    bank
    or
    river bottom
    (Ex
    2;
    R,.
    at
    43),.
    Included
    in this inspection was determination via dye discharge
    (Ex
    2;
    Ex
    5,
    p.
    4)
    of the mixing
    zone, which was determined
    to be
    between
    6
    to
    15 feet wide and
    15
    to
    75 feet long
    (Ex
    5,
    ~1
    4;
    R,.
    at
    44), depending on flow conditions
    in the river1
    Petitioners
    assert that sampling
    of stream bottom sediments within the mixing
    zone revealed no discoloration, abnormal textures,
    or
    odors
    (Ex
    7, P~3)~
    Analyses
    of instream water quality were undertaken,
    representing both dry and wet weather sampling
    (Ex 7,
    p.
    9),.
    Sampling included
    fecal coliform bacteria, dissolved oxygen,
    five—day biochemical oxygen demand,
    suspended solids, volatile
    suspended solids, and
    ammonia,.
    Petitioners
    note that during each
    sampling from
    an overflow event
    the receiving water
    of the
    Illinois River was more turbid than water
    coming from the outfall
    (Ex
    71,
    p1
    9).,.
    Petitioners believe
    that these data show that the
    present bypassing has no effect on instream parameters,
    other
    than perhaps for fecal
    coliform bacteria,.
    With capture and
    treatment of the
    full first flush Petitioners assert that the
    water quality impact will
    be further minimized.
    PROPOSED CONDITIONS
    If
    the exception
    is granted,
    the City proposes
    to change
    its
    influent pumping capacity to be compatible with
    a design maximum
    flow
    (DMF)
    of
    2,.0l6 MGD
    (Ex
    1,
    ~1
    3)
    and
    to ensure that overflows
    occur only while the treatment plant
    is receiving
    its DMFI
    The
    City further
    proposes,
    if the exception
    is granted and
    as
    conditions
    to such action,
    to undertake
    a facilities construction
    program which,
    at
    an estimated cost of $474,650, would provide,
    inter alia
    (R,.
    at 92),
    for the following:
    1)
    Capture, storage
    in
    a
    0,.65 million gallon storage tank
    or basin, and complete
    treatment
    of the entire
    first
    flush,.
    2)
    Screening of all flows
    received at
    the plant prior
    to
    discharge1
    3)
    Increase
    in flood protection by raising the existing
    dikes around
    the treatment plant
    to
    an elevation of
    481,.l
    feet, which
    is 1.5 feet above the highest
    recorded flood.
    4)
    Elimination of
    river backup
    into the
    system..

    —5—
    The City intends to capture the first 650,000 gallons of
    overflow
    in its first flush storage system.
    This capacity
    Petitioners believe
    is adequate
    to insure treatment of the full
    first flush
    as well
    as to provide
    an adequate safety margin
    (R.
    at
    53).
    Storage
    of some volume less than the actual
    first flush
    volume can be accommodated because that portion of the
    first
    flush which arrives
    at the plant between
    the time the dry weather
    flow
    is
    initially exceeded and the time the OMF
    is reached would
    enter
    the plant
    and be treated immediately;
    only the residual,
    not—immediately—treated
    first flush requires
    storage.,
    This
    is
    illustrated by the May 1,
    1983 event.
    Had the proposed plant
    then been
    in existence,
    323,800 gallons
    of the 651,300 gallon
    first flush would have undergone immediate treatment and 327,500
    gallons would have required storage and later
    treatment
    (Ex
    1, p~
    18).,
    Thus,
    a 650,000 gallon storage facility would have provided
    a safety factor
    of approximately
    2.,
    The City agrees
    to undertake the three additional
    facilities
    construction items
    (screening,
    dike modification, and backup
    elimination) as
    a good faith effort
    to assure
    that the plant
    operates
    in such
    a manner
    as
    to continue to minimize
    environmental impact.
    In view of
    the evidence above,
    the Board finds that granting
    of
    a
    CSO
    exception to the City of Marseilles,
    based
    on minimal
    discharge impact,
    is
    justified.
    The Board
    therefore grants
    the
    exception, with conditions
    as specified by ~JointPetitioners.,
    This Opinion constitutes
    the Board’s findings of fact and
    conclusions
    of law
    in this matter.
    ORDER
    The City of Marseilles (City)
    is hereby granted
    an exceotion
    from 35 Ill.
    1~drn.,
    Code 306.305(b),
    for combined sewer overflows
    into the Illinois River,
    subject to the following conditions:
    a)
    The City shall ensure that overflows occur only while
    the treatment plant
    is receiving and treating
    its
    design maximum flow.
    b)
    The City shall provide
    for capture
    and complete
    treatment of
    the entire first flush.
    c)
    The
    City shall provide
    for screening of
    all flows
    received at the plant prior
    to discharge.
    d)
    The City shall provide increased flood protection
    for
    the treatment plant by raising the existing dikes
    around
    the plant
    to
    an elevation
    of
    481.2
    feet.
    e)
    The City shall eliminate river
    backup into the system.

    —6—
    Within forty—five days of the date of this Order,
    the City
    shall
    execute
    a Certification
    of Acceptance and Agreement to be
    bound
    to all
    terms
    and conditions
    of this exception1
    Said
    Certification shall
    be submitted to the Board,
    as well
    as
    to the
    Agency
    at
    2200 Churchill Road,
    Springfield, Illinois 62706~
    The
    forty—five day period
    shall
    be held
    in abeyance during any period
    that this matter
    is being
    appealed,.
    The form of said
    Certification shall
    be as follows:
    CERTIFICATION
    I,
    (We), ____________________________, having read the
    Order
    of the Illinois Pollution Control Board,
    in PCB 85—211,
    dated February
    26,
    1986, understand
    and accept
    the said Order,
    realizing
    that such acceptance renders
    all terms
    and conditions
    thereto binding and enforceable.
    Petitioner
    By:
    Authorized Agent
    Title
    Date
    IT
    IS
    SO
    ORDERED,.
    J,.
    D,. Dumelle and Joan Anderson
    concurred,.
    I,
    Dorothy
    M,. Gunn,
    Clerk of the Illinois Pollution Control
    Board,
    hereby certify that the above Opinion
    an
    Order was
    adopted
    on the ______________________ day of
    ~
    ,
    1986,
    byavoteof
    7C
    ,.
    ~.
    2/~
    Dorothy
    M1 Q~n, Clerk
    Illinois Pollution Control Board

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