BEFORE THE ILLINOIS POLLUTION CONTROL BOARD
IN THE MATTER OF: )
) R06-25
PROPOSED NEW 35 ILL. ADM. CODE 225 ) (Rulemaking – Air)
CONTROL OF EMISSIONS FROM )
LARGE COMBUSTION SOURCES )
NOTICE
TO: Dorothy Gunn Marie Tipsord
Clerk
Hearing Officer
Illinois Pollution Control Board
Illinois Pollution Control Board
James R. Thompson Center James R. Thompson Center
100 West Randolph St., Suite 11-500
100 West Randolph St., Suite 11-500
Chicago, IL 60601-3218 Chicago, IL 60601-3218
(Electronic Mail) (First Class Mail)
SEE ATTACHED SERVICE LIST
PLEASE TAKE NOTICE that I have today filed with the Office of the Clerk of the
Illinois Pollution Control Board the MOTION CONCERNING GUIDELINES AND FORMAT
OF FIRST HEARING, a copy of which is herewith served upon you.
ILLINOIS ENVIRONMENTAL
PROTECTION AGENCY
By: /s/______________________
Charles E. Matoesian
Assistant Counsel
Division of Legal Counsel
DATED: April 3, 2006
1021 North Grand Avenue East
P. O. Box 19276
Springfield, IL 62794-9276
THIS FILING IS SUBMITTED
217/782-5544
ON RECYCLED PAPER
ELECTRONIC FILING, RECEIVED, CLERK'S OFFICE, APRIL 3, 2006
BEFORE THE ILLINOIS POLLUTION CONTROL BOARD
IN THE MATTER OF: )
) R06-25
PROPOSED NEW 35 ILL. ADM. CODE 225 ) (Rulemaking – Air)
CONTROL OF EMISSIONS FROM )
LARGE COMBUSTION SOURCES )
MOTION CONCERNING GUIDELINES AND FORMAT OF FIRST HEARING
NOW COMES the Proponent, the ILLINOIS ENVIRONMENTAL PROTECTION
AGENCY (Illinois EPA), by one of its attorneys, and pursuant to 35 Ill. Adm. Code 101.502,
moves that the Hearing Officer issue an order setting forth the guidelines and format of the first
hearing scheduled for May 8, 2006. In support of its Motion, the Illinois EPA respectfully states
as follows:
As the Illinois EPA stated in its Motion to Hold Required Hearings in Springfield that
was filed with the rulemaking proposal on March 14, 2006, the Illinois EPA held public outreach
meetings and numerous industry and environmental organization representatives participated in
these meetings and expressed significant interest in this rulemaking proposal. Consistent with
this strong public interest, and the fact that Section 102.304 of the Board's procedural rules states
that the first hearing "is reserved for the Agency's testimony and questions of the Agency's
witnesses," the Illinois EPA proposes the following format for the conduct of the first hearing so
as to maximize State resources.
The Illinois EPA moves that to assure smooth operation of the first hearing and to ensure
an orderly flow of questioning, the examination of witnesses follow a structure based upon
specified topics being presented on particular days. The areas encompassed within the chapters
of the Illinois EPA's
Technical Support Document for Reducing Mercury Emissions from Coal-
Fired Electric Generating Units
("TSD"), listed as follows, are useful in setting the format of the
hearing:
ELECTRONIC FILING, RECEIVED, CLERK'S OFFICE, APRIL 3, 2006
2
Chapter 1.0 Introduction
Chapter 2.0 Background Information on Mercury
Chapter 3.0 Mercury Impacts on Human Health
Chapter 4.0 Mercury Impaired Waters in Illinois
Chapter 5.0 Deposition of Mercury
Chapter 6.0 Regulatory Activities – Federal and Other States
Chapter 7.0 Illinois Mercury Emissions Standards for Coal-Fired Electric Generating
Units
Chapter 8.0 Technical Feasibility of Controlling Mercury Emissions from Coal-Fired
Power Plants in Illinois
Chapter 9.0 Economic Modeling
Chapter 10.0 Other Relevant Issues and Additional Considerations
A hearing structure based upon the above subject areas allows witnesses to concentrate
on the particular area covered for a given day rather than attempting to prepare for all fields of
questioning. Devoting particular days to specific topics will also maintain clarity as the record of
the proceedings is created. Further, use of a schedule such as the one proposed herein will allow
all parties to gauge the progress of the hearing. This will help facilitate the conduct of the
hearing.
In addition, restricting questioning to particular topics will help conserve State resources,
as the outside expert witnesses will not be required to be present for an indeterminate time.
Rather, each expert can provide his or her testimony for the hearing on the appropriate day.
Moreover, one of the Illinois EPA's expert witnesses, Dr. Deborah Rice, is only available to
testify on May 8 due to a prior commitment. Such a system will greatly reduce State expenses
involved with the hearing. For these reasons, the Illinois EPA recommends the following
schedule for the format of the first hearing:
Day Areas Covered
Monday, May 8 Chapter 1.0 Introduction
Chapter 2.0 Background Information on Mercury
Chapter 3.0 Mercury Impacts on Human Health
Tuesday, May 9 Chapter 4.0 Mercury Impaired Waters in Illinois
Chapter 5.0 Deposition of Mercury
Chapter 9.0 Economic Modeling
ELECTRONIC FILING, RECEIVED, CLERK'S OFFICE, APRIL 3, 2006
3
Wednesday, May 10 Chapter 6.0 Regulatory Activities – Federal and
Other States
Chapter 7.0 Illinois Mercury Emissions
Standards for Coal-Fired Electric
Generating Units
Thursday, May 11 Chapter 8.0 Technical Feasibility of Controlling
Mercury Emissions from Coal-Fired
Power Plants in Illinois
Chapter 10.0 Other Relevant Issues and Additional
Considerations
In the event that questions on one topic area do extend beyond the allotted day, it is
suggested that that line of inquiry be continued at the start of the following day. As can be seen,
the suggested order of topics largely follows the order of the TSD. This is both logical and will
allow most outside experts to finish testifying on Tuesday. If essential questions arise that can
only be answered by a particular expert witness who has already testified, the Illinois EPA
suggests that the witness be allowed to respond with written answers.
This arrangement ensures that the flow of questioning proceed in an orderly fashion and
follow a logical order. It further provides that all parties can prepare for the same topics at the
same time. As the point of a public hearing is to gather information, this system will reduce
confusion over the content and direction of questioning. Finally, it conserves scarce State
resources in a time of budget concern.
WHEREFORE, for the reasons set forth above, the Illinois EPA moves that the Hearing
Officer enter an order setting the guidelines and format of the first hearing as indicated above.
Respectfully submitted,
ILLINOIS ENVIRONMENTAL
PROTECTION AGENCY
By:/s/____________________
Charles E. Matoesian
Assistant Counsel
Division of Legal Counsel
ELECTRONIC FILING, RECEIVED, CLERK'S OFFICE, APRIL 3, 2006
4
DATED: April 3, 2006
1021 North Grand Avenue East
P. O. Box 19276
Springfield, IL 62794-9276
217/782-5544
ELECTRONIC FILING, RECEIVED, CLERK'S OFFICE, APRIL 3, 2006
STATE OF ILLINOIS )
) SS
COUNTY OF SANGAMON )
)
CERTIFICATE OF SERVICE
I, the undersigned, an attorney, state that I have served electronically the attached
MOTION CONCERNING GUIDELINES AND FORMAT OF FIRST HEARING upon
the following person:
Dorothy Gunn
Clerk
Illinois Pollution Control Board
James R. Thompson Center
100 West Randolph St., Suite 11-500
Chicago, IL 60601-3218
and mailing it by first-class mail from Springfield, Illinois, with sufficient postage affixed
to the following persons:
SEE ATTACHED SERVICE LIST
ILLINOIS ENVIRONMENTAL
PROTECTION AGENCY,
/s/__________________________
Charles E. Matoesian
Assistant Counsel
Division of Legal Counsel
Dated: April 3, 2006
1021 North Grand Avenue East
Springfield, Illinois 62794-9276
(217) 782-5544
ELECTRONIC FILING, RECEIVED, CLERK'S OFFICE, APRIL 3, 2006
SERVICE LIST 06-25
Marie Tipsord
Hearing Officer
Illinois Pollution Control Board
James R. Thompson Center
100 West Randolph St., Suite 11-500
Chicago, IL 60601-3218
James T. Harrington
David L. Rieser
McGuire Woods LLP
77 West Wacker, Suite 4100
Chicago, IL 60601
Bill S. Forcade
Jenner & Block LLP
One IBM Plaza
Chicago, IL 60611
William A. Murray
Special Assistant Corporation Counsel
Office of Public Utilities
800 East Monroe
Springfield, IL 62757
S. David Farris
Environmental, Health and Safety
Manager
Office of Public Utilities
City of Springfield
201 East Lake Shore Drive
Springfield, IL 62757
Faith E. Bugel
Howard A. Lerner
Meleah Geertsma
Environmental Law and Policy Center
35 East Wacker Drive
Suite 1300
Chicago, IL 60601
Keith I. Harley
Chicago Legal Clinic
205 West Monroe Street, 4th Floor
Chicago, IL 60606
Christopher W. Newcomb
Karaganis, White & Magel, Ltd.
414 North Orleans Street
Suite 810
Chicago, IL 60610
Katherine D. Hodge
N. LaDonna Driver
Hodge Dwyer Zeman
3150 Roland Avenue
Post Office Box 5776
Springfield, IL 62705-5776
Kathleen C. Bassi
Sheldon A. Zabel
Stephen J. Bonebrake
Joshua R. More
Glenna L. Gilbert
Schiff Hardin LLP
6600 Sears Tower
233 South Wacker Drive
Chicago, IL 60606
ELECTRONIC FILING, RECEIVED, CLERK'S OFFICE, APRIL 3, 2006