ILLINOIS POLLUTION CONTROL BOARD
    May
    9, 1986
    IN THE MATTER OF:
    )
    )
    THE JOINT PETITION OF THE CITY
    )
    OF PEORIA AND THE ILLINOIS
    )
    PCB 85-210
    ENVIRONMENTAL PROTECTION AGENCY
    )
    FOR EXCEPTION OF THE COMBINED
    )
    SEWER OVERFLOW REGULATIONS
    )
    MR. RALPH EVANS APPEARED ON BEHALF OF THE CITY OF PEORIA
    MR.
    E. WILLIAM HUTTON,
    ESQ. APPEARED ON BEHALF OF THE
    ENVIRONMENTAL PROTECTION AGENCY
    OPINION AND ORDER OF THE BOARD
    (by
    J. Marlin):
    This matter comes before the Board upon
    a joint petition for
    a combined sewer overflow
    (CSO) exception filed pursuant to
    35
    Ill. Adm. Code 306.305 by the City of Peoria
    (Peoria) and the
    Illinois Environmental Protection Agency (Agency).
    The Board
    conducted
    a public hearing
    in Peoria on February
    7,
    1986.
    Members
    of the press and public attended the hearing.
    The Board
    has received no comment,
    other than that offered by Peoria and
    the Agency at the hearing.
    As is discussed belo~w, on March 14,
    1986 the board
    requested additional information from Peoria and the Agency.
    The
    Board received the response to the Interim Order on May
    2,
    1986,
    together with a motion for leave
    to file instanter,
    which is
    granted.
    CSO Regulations
    The CSO regulations are contained in 35 Ill. Adm. Code
    306.302
    et seq.
    They were amended
    in R81-17,
    51 PCB 383,
    March
    24,
    1983.
    Section 306.305 provides
    as follows:
    All combined sewer overflows and treatment plant
    bypasses shall be given sufficient treatment to prevent
    pollution,
    or the violation of applicable water
    standards unless an exception has been granted by the
    Board pursuant to Subpart
    D.
    Sufficient treatment shall Consist of the following:
    a)
    All dry weather flows, and the first
    flush of
    storm flows as determined by the Agency,
    shall
    meet the applicable effluent standards;
    and
    69-407

    2
    b)
    Additional flows,
    as determined by the Agency
    but not less than ten
    times
    to average dry
    weather flow for the design year,
    shall
    receive
    a
    minimum
    of
    primary
    treatment
    and
    disinfection
    with
    adequate
    retention
    time;
    and
    c)
    Flows
    in excess of those described in
    subsection
    (b)
    shall be treated,
    in whole or
    in part,
    to the extent necessary to prevent
    accumulations of sludge deposits,
    floating
    debris and solids
    in accordance with
    35
    Iii.
    Adm.
    Code 302.203, and to prevent depression
    of oxygen levels; or
    d)
    Compliance
    with
    a
    treatment program authorized
    by
    the
    Board
    in
    an
    exception
    granted
    pursuant
    to
    Subpart
    D.
    Subpart
    D
    allows
    the
    discharger
    to file
    a
    petition
    for
    an
    exception either singly, or jointly with the Agency, as Peoria
    has done.
    A joint petition may seek an exception based on
    minimal discharge
    impact
    as provided
    in Section 3O6.361(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 analyses.
    Where
    a minimal impact exception cannot be established, or
    where an exception will include modification of water quality
    standards,
    Section 306.361(b) allows an alternative
    justification.
    In addition to the elements of paragraph
    (a), the
    justification must include:
    (E)valuations of stream sediment analyses, biological
    surveys
    (including habitat assessment), and thorough
    stream chemical analyses that may include but are not
    limited to analysis of parameters regulated in 35
    Iii.
    Adm. Code 302, analysis of toxics or metals
    if the
    collection system tributary to the overflow receives
    wastes which might contain them,
    sediment oxygen
    demand,
    volatile solids, and diurnal monitoring under
    both dry and wet weather conditions.
    Peoria and the Agency believe they have made the “minimal
    impact” showing pursuant to Section 306.305(a).
    Alternatively,
    69-408

    3
    they believe the petition is justified pursuant to Section
    306.305(b).
    (R.41).
    Exhibits
    Peoria introduced four studies as exhibits at
    the hearing
    (also referred to
    as attachments A through D to the petition):
    Exhibit
    1
    Facilities Plan
    Exhibit
    2
    An Assessment of the Impact of Combined Sewer
    Overflows at Peoria on the Waters of the
    Illinois Waterway,
    Dept. of Energy and Natural
    Resources,
    September,
    1983.
    Exhibit
    3
    The Procedures, Observations,
    and Results of
    a
    Mixing Zone Study
    for Combined Sewer Overflows
    at Peoria,
    Illinois, Department
    of Energy and
    Natural Resources, October
    1984.
    Exhibit
    4
    Report
    on Combined Sewer Overflow Control
    Plan, Greeley and Hanson and Randolph and
    Associates,
    Inc., December,
    1985.
    Illinois River
    Peoria is situated on the west bank of the Illinois River.
    East Peoria is directly across
    the river.
    The Illinois River at
    Peoria forms
    a pool known as Peoria
    Lake.
    It
    is used for water skiing and other recreational
    purposes.
    Immediately below Peoria, the river is less suited
    for
    recreation because
    it
    is narrow, with heavy barge traffic and
    barge moorings.
    Access to the River from the city is by way of
    marinas, all of which will
    be upstream of the CSO outfalls upon
    completion of the project described below
    (R.
    44).
    The River has an average flow of about 15,000 cubic feet per
    second
    (CFS), with a ten-year low flow of around 4000 CFS
    (R.
    28).
    Peoria conducted
    a study to determine the CSO impact on
    water
    quality,
    sediment and benthic organisms.
    Parameters were
    measured above, among and below the CSO discharges during the
    summer of
    1982.
    River flow was around 6000 to
    101000 CFS.
    Measurements were taken after CSO overflows
    in response to
    rainfall events of 0.33 to 1.44 inches per hour (R. 23).
    Most water quality parameters measured were usually well
    within the general use water quality standards of
    35 Ill. Adm.
    Code 302,
    including dissolved oxygen, pH, ammonia, cadmium,
    lead,
    zinc and temperature.
    (R.24).
    Four of 654 samples violated the
    69-409

    4
    lead standard.
    The water quality standard for copper was
    violated above and below the CSO discharges.
    The CSO
    contribution to the violation was determined to be imperceptible
    (R. 25).
    Other parameters measured,
    for which there are no water
    quality standards, included biochemical oxygen demand
    (BOD),
    suspended solids and turbidity.
    The CSO contributions to
    suspended solids and turbidity were not significant compared with
    that originating from small water courses and overland drainage
    (R.
    25).
    Overland urban drainage and other discharges were
    thought by petitioner to be as significant as CSO’s with respect
    to BOD water quality
    (R. 26).
    The study determined that the CSO outfalls were contributing
    to violations of the water quality standard
    for fecal coliform
    and were introducing undesirable floatables into the River
    (R.
    26).
    The fecal coliform standard
    is 200 Counts per 100 ml
    (Section 302.209).
    Floating debris
    is prohibited by Section
    302.203.
    Above the CSO discharges
    fecal. coliform ranged from
    4
    to 50 counts per 100 ml during dry weather, and from
    3 to 4900
    after rainfall events.
    Near and below the CSO discharges fecal
    coliform ranged from
    5 to 340 counts per 100 ml during dry
    weather, but ranged up to 240,000 counts per 100 ml after
    rainfall events.
    (R.
    26,
    Exh.
    2,
    p.
    37).
    Peoria also conducted a study of the bottom sediments,
    including composition, percent volatile solids and concentrations
    of cadmium, copper,
    lead, zinc,
    grease and oil.
    (R.
    24).
    Bottom
    sediments
    in the vicinity of CSO~discharges were primarily sand,
    or a mixture of sand and rock.
    No sludge accumulations were
    encountered.
    Sediments showed an increase in grease and oil,
    zinc,
    and lead,
    which are indicative of urban storm drainage,
    rather than sewage
    (R.
    26,
    Exh.
    2,
    p.
    59).
    Bottom dwelling organisms were typical of those residing
    upstream in the Peoria pool.
    Densities were not typical of
    significant organic enrichment,
    as would be the case if
    sewage
    were
    a factor.
    The limiting factor for
    a well diversified bottom
    dwelling population
    is the unstable habitat of shifting sand,
    compounded by excessive wave action, rather than water quality.
    (R.
    26,
    Exh.
    2,
    p.
    62).
    Sewerage
    The sewage system includes the original area of downtown
    Peoria in which sewers were built before 1900.
    They were
    designed as storm sewers which ran under streets toward the
    River.
    With the development of indoor plumbing,
    residential and
    other sanitary sewers were connected to the storm
    sewers.
    In
    1931, Peoria completed construction of the Riverfront Interceptor
    sewer, which collected the dry weather flow from these sewers for
    transportation to the sewage treatment plant1
    Flows
    in excess of
    69-410

    5
    dry weather flow were bypassed to the River,
    as well as flows
    when the River was above the Interceptor.
    In its present configuration, the Riverfront Interceptor
    is
    5.6 miles
    long,
    serving 5,080 acres,
    about 2,950 acres of
    combined sewers and 2,130 acres of separate sewers
    (R. 29).
    There are 23 regulator structures which discharge to 20 CSO
    outfalls.
    (R.
    30).
    The Interceptor has around
    499 overflow
    events per year
    (R.
    31).
    The Riverfront Interceptor flows to the Greater Peoria
    Sanitary District treatment plant.
    It has
    a capacity of about
    80
    million gallons per day (MGD) at the plant.
    The plant also
    receives up to 74 MGD from the Kickapoo Interceptor, which serves
    only separate sewer areas
    (R.
    30,
    47).
    The plant treats up to
    60 MGD.
    It has an 8.5 million gallon
    basin
    to store first flush
    flows for later treatment.
    Flows
    in
    excess of
    60 MCD receive primary sedimentation
    (R.
    30).
    CSO Reduction Plan
    Peoria presented
    a plan for reducing the frequency and
    intensity of CSO overflows.
    This is detailed
    in Exh.
    4.
    The
    plan includes the elements described
    in the following paragraphs.
    Peoria will construct
    a 5,100 foot,
    48 inch sewer near the
    northern end of the Interceptor.
    This would provide storage for
    about
    21 percent
    of the first
    flush at the upper overflows, which
    have the greatest impact on recreational uses
    (R.
    32).
    Peoria will build diversion sewers to consolidate five CSO
    outfalls into two outfalls, moving the outfalls downstream to
    minimize recreational
    impact
    (R.
    33).
    A floatables capture
    system will be provided
    at many outfalls to capture floating
    solids.
    (Exh.
    4,
    p.
    62,
    R.
    34).
    No capture will be provided at
    four downstream outfalls, because of excessive costs.
    However,
    the frequency and severity of overflows will be reduced by the
    other aspects of the project
    (Response to Interim Order).
    Peoria will move regulator devices to higher ground,
    so that
    all will be functional up to the 25 year flood level.
    This will
    decrease the frequency of CSO discharges,
    and allow treatment of
    part of the flow up to the
    25 year flood level.
    (R.
    34,
    38).
    Peoria will reduce the area served by combined sewers by
    separating eight sewers.
    Peoria will extend sanitary sewers to
    divert sanitary flow from some of these,
    and will extend storm
    sewers to divert inflow from others
    (R.
    33,
    34).
    The treatment plant
    capacity will
    be increased to
    accommodate higher flow rates from the interceptor.
    Additional
    69-411

    6
    pumps will be installed to increase discharge capacity at high
    river
    stages.
    An additional sluice gate will be installed to
    bypass
    flows
    in excess of 154 MCD
    at the plant
    (R.
    35).
    The overall project will cost $7,340,000, with an estimated
    annual operating and maintenance cost of $102,000 per year.
    A
    1976 plan to eliminate all CSO discharges was estimated to cost
    $38,000,000, with $467,000 in annual maintenance
    (R.
    36).
    The
    addition of downstream floatables capture would add more than
    $2,900,000.
    Adding swirl concentrator type floatable capture
    systems at
    six locations would add $6.1 million
    (Response to
    Interim Order).
    Grant funding may be available for a part of the cost.
    However,
    local government
    is prepared to pay the entire cost
    if
    necessary.
    (R.
    12,
    15,
    19).
    Not included
    in Exhibit
    4,
    and perhaps more important
    in the
    long run,
    are Peoria’s efforts to reduce and eliminate combined
    sewers
    in conjunction with new development and redevelopment.
    Peoria has an ordinance which prohibits the discharge of storm
    flow into
    a sanitary line
    (R.
    56).
    New buildings must have
    separate storm and sanitary sewer systems,
    even if these
    ultimately discharge to the same combined sewer.
    (R. 56).
    When
    streets are reconstructed sewers are separated.
    Also,
    separate
    sewers are constructed within area redevelopment projects
    (R. 57).
    New separated storm sewers have also been constructed
    (R.
    58).
    Expected System Performance
    Section 306.302 defines “sufficient treatment”
    for CSO
    discharges
    in the absence of an exception.
    This includes:
    1.
    Treatment of all dry weather flows.
    2.
    Treatment of first
    flush flows.
    3.
    Primary treatment and disinfection for flows up to ten
    times dry weather flow.
    4.
    Treatment of excess flows to prevent accumulations of
    sludge deposits, floating debris,
    solids, and to prevent
    suppression of oxygen levels.
    As noted above,
    the existing system appears to be capable of
    performing without accumulation of sludge deposits
    or suppression
    of oxygen levels.
    Relocation of regulation devices will ensure
    treatment of dry weather flow up to a 25-year flood.
    First
    flush can be defined in terms
    of the flow required to
    restore oxygen demand or suspended solids to normal values.
    If
    first flush is defined in terms of oxygen demand, Peoria will be
    69-412

    7
    able
    to capture and treat nearly all of the first
    flush.
    However,
    it will fail to capture the entire first flush of
    suspended solids.
    Because of the low oxygen demand of the
    suspended solids flush,
    Peoria believes
    it represents
    a wash-out
    of grit collected by the storm sewer system,
    rather than of
    sanitary sewage solids.
    Such solids would also be washed out of
    a separated storm sewer system.
    (R.
    53; Exh.
    4, p.
    30).
    The Interceptor will capture from 3.8 to 22 times the dry
    weather flow at various CSO outfalls.
    (R.
    33,
    35).
    Overall,
    the
    project will result
    in treatment of four times dry weather flow.
    (R.
    55).
    The downstream CSO discharges will be without provision for
    capture of floating solids.
    (R.
    35).
    However,
    these will
    discharge less frequently and are located below the area of heavy
    recreational use.
    Peoria will remain subject to Sections 302.203
    and
    306.305(c), which prohibit these discharges
    (Response to
    Interim Order).
    Overall the number of CSO discharge events is expected to
    drop from 499 to 161 per year
    (R. 36).
    The number of days during
    which
    an overflow occurs would be reduced from around
    40 to
    around
    28
    (Exh.
    4,
    p. 84-85).
    Improvement
    in Water Quality
    Section 302.102 requires co~mpliancewith water quality
    standards at the edge of
    a mixing zone.
    Because of the size of
    the Illinois River,
    Peoria is able to take advantage of
    a large
    amount of dilution in
    a reasonable mixing zone even under low
    flow conditions.
    Peoria has conducted
    a study to define the size
    of an allowable mixing zone.
    (Exh.
    3).
    The plan is expected to
    result
    in
    a considerable reduction in fecal coliform levels
    outside the mixing zone.
    Nevertheless,
    there will continue to be
    some violation of this standard.
    (R.
    45).
    Peoria has requested
    no modification to the water quality standard.
    Conclusion
    Having considered the evidence and the factors enumerated
    in
    Section 306.361(a),
    the Board concludes that the Peoria CSO
    discharges will have
    a minimal impact.
    Although there will
    continue to be some violations of the water quality standard for
    fecal coliform,
    they will be greatly reduced
    in severity and
    frequency, and generally moved downstream away from areas of
    heavy recreational use.
    The Board will grant an exception with
    language similar to that recommended by Peoria and the Agency.
    In order to assure that this Order
    is not construed as
    authorizing Peoria to abandon its other efforts to reduce
    its CSO
    discharges,
    the Board will add conditions obligating Peoria to
    continue with its program of separating sewers
    in conjunction
    69-413

    8
    with development projects.
    The Board recognizes
    that
    in certain
    situations this may not be feasible from an engineering
    standpoint.
    The Board
    notes that the relief
    is restricted only to those
    substantive requirements for effluent treatment of CSO’s, and not
    to relief from water quality standards.
    To insure that this
    issue is clear, the Board will introduce into the Order language
    identifying the scope
    of the exception as granted.
    This Opinion constitutes the Board’s
    finding of fact and
    conclusions of law
    in this matter.
    ORDER
    1)
    The City of Peoria
    is granted an exception from
    35
    Ill.
    Adm.
    Code 306.305(a) and
    (b), subject to the following conditions:
    a)
    All components of the recommended combined sewer
    overflow plan presented in Exhibit
    4, and generally
    described
    in the above Opinion,
    shall be implemented in
    accordance with the time schedule contained in Paragraph
    2.
    b)
    Within eighteen
    (18) months after completion of system
    improvements,
    the City of Peoria shall report
    to the
    Illinois Environmental Protection Agency on performance
    and effectiveness of th~eimprovements, including extent
    of overflow reduction, attainment of additional excess
    flow treatment at Greater Peoria Sanitary District
    Treatment Facility, adequacy of floatable capture
    appurtenances at each remaining overflow point and
    performance of backflow prevention facilities.
    c)
    The City of Peoria shall,
    in addition to the plan
    contained
    in Exhibit
    4:
    1)
    Prohibit new connections of residential downspouts
    to sanitary sewers;
    ii)
    Require that sanitary sewers and storm sewers exit
    new buildings as two separate lines;
    iii) Construct separate storm and sanitary sewers to the
    extent feasible when streets are reconstructed and
    when area redevelopment occurs.
    2)
    The City of Peoria shall fully implement all requirements of
    Paragraph
    1 in accordance with the following time schedule:
    69-414

    9
    I~pl~eme
    n~ta•t
    ion. Schedul~e
    Ev~e
    n~t
    Begin
    Design of Improvements
    Complete Design of
    Improvements
    Complete Securing of Land and Easements
    Secure Construction Financing
    Construction of
    Improvements
    Phase
    I
    -Treatment Plant and
    )
    Upstream Storage Sewer
    )
    -Sewer Separations
    )
    Phase III -Remainder of Recommended)
    Project
    )
    Achieve Full Operational
    Status
    Phase
    II
    Data
    October 1986
    February 1988
    March 1988
    April 1988
    June 1988 thru
    June 1990
    June 1989 thru
    September 1992
    June 1990 thru
    August 1992
    December 1992
    3)
    Within forty-five
    (45) days ,after the date of this Order,
    the
    City of Peoria shall execute
    a Certification of Acceptance
    and Agreement to be bound to all terms and conditions of this
    exception.
    Said Certification shall be submitted to the
    Illinois Environmental Protection Agency at 2200 Churchill
    Road;
    Springfield, Illinois 62706.
    The form of said
    Certification shall be
    as
    follows:
    Cer~tificat.i~on
    I,
    (We)
    hereby accept
    and agree to be bound by all terms and conditions of the Order of
    the Pollution Control Board in PCB 85-210, _______________________
    1986.
    Pet it ion er
    Authorized Agent
    Title
    69-415

    10
    Date
    IT IS SO ORDERED.
    J.D. Dumelle and 3. Anderson concurred.
    J.T. Meyer and B. Forcade dissented.
    I,
    Dorothy
    M. Gunn, Clerk of the Illinois Pollution Control
    Board, hereby certify that the above Opinion and Order was
    adopted on the
    9t~..
    day of
    ~
    ,
    1986, by a vote
    of
    ..
    Dorothy
    ~.
    C nn,
    Clerk
    Illinois Pollution Control Board
    69-416

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