ILLINOIS
 POLLUTION
 CONTROL
 BOARD
August
 15~
 1985
CITY
 OF
 DIXON,
 An
IrL~nois
 Municipal
 Corporation
 )
Petitioner,
 )
V.
 )
 PCB
 85—47
T~LIC’~OIS
 ENVIRONMENTAL
 )
~QfE~TfON
 AGENCY,
Respondent.
C’INIO~
 AND
 ORDER
 OF
 THE
 BOARD
 ~hy
 R.
 C~.
Flemal):
Thi$
 matter
 comes
 before
 the
 Board
 upon
 a
 petition
 for
~artce
 ~iled
 by
 the
 City
 of
 Dixon
 (1’D:Lxon”)
 on
 April
 16,
~
 Pursuant
 to
 the
 Boardts
 request
 for
 additional
n~ornation,
 Dixon
 filed
 an
 amended
 petition
 on
 May
 9,
 1985.
 The
rclief
 requested by Dixon consists
 of
 v~riancr~until
 October
 30,
~6,
 from
 35 Iii.
 Adm. Code
 304.120(b)
 a~.reflected in NPDES
j~rmit
 number 1L0026450,
 which presently limits
 the discharge of
~ ~e
 day
 biochemical oxygen demand
 (BOD)
 to
 20 milligrams per
~er
 (mg/i)
 on
 a
monthly average,
 and 40 mg,’i on
 a weekly
average,
 and
 of
 total
 suspended
 solids
 (TSS)
 to
 25
 mg/i
 on
 a
~ont.h~y
 average,
 and
 45
 mg/i
 on
 a
 weekly
 average.
The
 Illinois
 Environmental
 Protection
 Agency
 (“Agency”)
E~Q itS
 recommendation
 in
 this
 matter
 on
 June
 1,
 1985,
~mending
 that
 variance
 be
 granted
 with
 conditions.
 No
~b:E
 ion
 or
 comment
 was
 received
 by
 the
 Agency
 in
 response
 to
‘egal
 notices
 published
 on
 its
 behalf.
 Dixon
 waived
 its
 right
 to
r~earing~,
and
 none
 was
 held.
Dixon.,
 which
 is
 an
 Illinois
 Municipal
 Corporation
 located
 in
~ee
 County,
 owns
 and
 operates
 a
 Municipal
 Wastewater
 Treatment
r;:LciL~t.y
which
 serves
 the
 Dixon
 community
 consisting
 of
~
 18,147
 residents
 and
 numerous
 commercial
 and
industrial
 establishments.
 The
 treatment
 plant
 is
 located
 on
 the
~
 o
 ~he
 Rock
 River,
 into
 which
 discharge
 occurs.
 Facilities
e!~i~1e
 raw
 sewage
 pumps,
 comminutors,
 grit
 removal,
 primary
~c~diinentation,
 aeration
 tanks,
 final
 sedimentation,
 disinfection
(chlorination),
 anaerobic
 digestion,
 sludge
 storage,
 drying
 beds,
and
 assorted
 appurtenant
 facilities,
 The
 plant
 has
 a
 design
~a~ze
 flow
 of
 3.5
 million
 gallons
 per
 day
 (mgd)
 and
 a
 design
naximum
 flow
 of
 8.4
 mgd.
 Present
 treatment
 volumes
 average
aç~rox
 rru~tely
 300
 mgd
T~scharge
 Monitoring
 Reports
 filed
 with
 the
 Agency
 have
sh~n
 Jiat
 the
 effluent
 from
 the
 Dixon
 treatment
 plant
 has
commonly
 experienced
 excursions
 heond
 the
 limits
 specified
 in
cr~.cive
 !IPFES
 permit,
 number
 1L0026450,
 with respect to
-2-
both BOD and TSS.
 The Agency provides data indicating
that
during the twelve month period April 1984 to March 1985 the NPDES
perrntt
 limit of 20 mg/i BOD on a monthly average was exceeded
during
 eight
 months
 and
 the
 TSS
 limit of 25 mg/i on a monthly
average
 was
 exceeded
 during
 six
 months.
 Data provided by
 Petitioner (Exhibit C) ±ndicatethat during the longer 26 month
perinci from January 1983 through February 1985 there were
 18
excurssons
 beyond
 the monthly average
 DOD
limit and 17 excursions
3eyoitd
 the
 monthly
 average
 TSS
 limIt.
 The
 Exhibit
 C
 data
proviced
 by
 Petitioner
 suggest
 similar
 rates
 of
 excursion
 for
 the
NPDSS-specif led
 ‘nekly
 average
 concentrations:
 the
 40
 mg/i
 BOO
I
itt
 was
 excev~c
 in
 17
 of
 the
 26
 months and the
 45
 ng/i
 TSS
t.imi:
 was
 exceed...
 in
 21
 of
 the
 26
 months.
Dixon
 contends,
 and
 the
 Agency
 agrees,
 that
 failure
 to
 meet
.he
 extsttng
 standards
 is
 a
 result
 of
 two
 problems,
 namely
 very
inadequate
 existing
 final
 settling
 capacity
 and
 the
 need
 for
 increased aeration capacity for the activated sludge process.
The
 existing
 final
 settling
 capacity
 is
 only half of that needed
to
 comply
 with the current design criteria.
 This results in
exeeasive velocities and turbulence in the settling tanks, poor
ettting of solids and
 a
 carryover
 of
 solids
 over
 the
 tank
 weirs
to
 the
 plant
 discharge.
 The
 existing
 aerators
 are
 not
 sized
 to
provide
 sufficient
 oxygen
 transfer
 to
 satisfy the oxygen uptake
rates of
 the
 existing
 toads
 and
 can
 not
 maintain an adequate
dissolved oxygen concentration in the process basins.
 The
resulting sludges additionally tend to be bulky and difficult to
settte.
Dixon
 has
 commenced
 a
 project
 to
 address
 these
 two
 principal
system
 deficiencies,
 with
 the
 goal
 of
 providing
 the
 treatment
necessary
 to
 achieve
 the
 NPDES
 permit
 effluent
 standards.
SpeciE
tcslly
 Dixon
 intends
 to:
1.
 Construct
 a
 new
 third
 final
 clarifier
 equal
 in
 area
 to
the
 combined
 areas
 of
 the
 two
 existing
 final
 clarifers,
and
 thus
 increase
 the
 present
 capacity
 by
 1002.
2.
 Replace
 four
 of
 the
 existing
 aerators
 with
 larger
aerators
 of
 increased
 aeration
 and
 mixing
 capacity.
Preliaiinary
 engineering
 and
 estimating
 has
 been
 completed,
 the
project
 financing
 has
 been
 developed,
 and
 construction
 is
estimated
 to
 be
 completed
 and
 the
 new
 facilities
 in
 full
operation
 by
 October,
 1986.
 Total
 project
 costs,
 which
 include
some
 lesser-scale
 improvements
 than
 those
 specified
 above,
 are
estimated
 at
 $600,000.
By
 Order
 of
 April
 18,
 1985
 the
 Board
 requested
 that
 Dixon
discuss
 the
 posrble
 use
 of
 stIlling
 wells
 or
 cantilevered
 weirs
in
 r.he
 f i.nat
 ct
sr
 .fiers
 as
 a
 crnnpl
lance
 alternative
 •
 This
 Dixon
did
 in
 ics
 Ame:;:i~t:., Petition.
 Di.
 ton
 contends
 that:
65456
—3—
Since the existing final clarifiers are the tangential inlet
“Spira-Flo’ type, stilling wells, as used in center feed
clarifjets, are not viable or practicable means of improving
settling characteristics and achieving compliance.
 Also, the
use of cantilevered weirs, as used for center feed or
rectangular clarifiers, is not a practicable means of
achieving compliance for these “Spira-Flo” clarifiers
•
 The
operator is attempting to use baffles behind the inlet
circular
 skirt
 to
 decrease
 tank
 spin”
 with
 limited success,
but the overall very
high
 hydraulic rate in these clarifiers
makes
 compliance
 with
 the
 effluent
 criteria
 impracticable,
until
 the new third clarifier is built and operational.
The
 Agency
 agrees
 with
 this
 assessment
 and
 is
 of
 the
 opinion
 that
stilling
 wells
 or
 cantilivered
 weirs
 would
 not
 resolve
 the
particular
 problems
 faced
 by
 Dixon.
Dixon’s
 intent
 in
 the
 instant
 case
 to
 seek
 variance
 from
 the
NPDES
 limitations
 during
 the
 period
 when
 the
 system
 improvements
are
 in
 progress
•
 Dixon
 asserts
 that
 the
 present
 level
 of
treatment can be maintained during construction, and that the
utilization
 of
 good
 construction methods will assure against
 the
introduction
 of
 extraneous
 construction
 debris
 into
 the
effluent.
 Thus,
 there
 would
 be
 no
 change
 in
 the
 effluent
 from
the
 status
 quo
 during
 the
 pendency
 of
 the
 variance.
The
 specific
 limitations
 requested
 by
 Dixon
 for
 the
 term
 of
the
 variance
 are
 30
 and
 45
 mgfl
 of
 BOD
 as
 monthly
 and
 weekly
averages,
 respectively,
 and
 40
 and
 60
 mg/l
 of
 TSS
 as
 monthly
 and
weekly
 averages,
 respectively.
 Dixon
 believes
 these
 to
 be
reasonable
 limitations
 besed
 on
 past
 plant
 performance
 and
 on
existing
 plant
 capacity.
 The
 Agency
 recommendation
 agrees
 with
the
 reasonableness
 of
 the
 monthly
 average
 limitations,
 but
 leaves
the
 matter
 of
 the
 weekly
 averages
 unaddressed.
Petitioner
 addresses
 the
 issue
 of
 environmental
 impact
 by
noting
 that
 the
 Rock
 River
 at
 and
 below
 the
 point
 of
 discharge
“is
 a
 wide,
 shallow,
 fast-flowing
 stream
 that
 would
 have
 optimum
reaeration
 and
 assimilative
 capabilities”
 (Petition,
 p.
 4).
 The
Agency
 agrees
 with this
 assessment.
 Dixon
 further
 notes
 that
 the
7-day
 10-year
 low
 flow
 at
 Dixon
 is
 1144
 cfs
 (739
 mgd),
 which
provides
 a
 minimal
 low
 flow
 dilution
 factor
 of
 246:1
 for
 the
 3.0
mgd
 average
 plant
 discharge;
 under
 normal
 river
 flows
 the
dilution
 would
 be
 considerably
 greater.
 On
 this
 basis
 Dixon
 contends
 that
 no
 measurable
 effect
 on
 th.
 stream
 water
 quality,
the
 environment,
 or
 aquatic
 life
 is
 expected.
During
 Water
 Year
 1983,
 the
 Agency
 collected
 water
 quality
samples
 of
 the
 Rock
 River
 at
 Grand
 Detour,
 which
 is
 about
 12
miles
 upstream
 of
 Petitioner’s
 outfall,
 and
 at
 Como,
 which
 is
about
 18
 miles
 downstream.
 Analysis
 of
 the
 sampling
 for
dissolved
 oxygen
 and
 ammonia
 nitrogen
 (un-ionized)
 indicated
 to
the
 Agency
 that
 the
 Rock
 River
 is
 essentially
 unaffected
 by
Petitioner’s discharge.
 On this basis the Agency concludes “that
85-257
—&,—
the
 requestec
 variance
 would
 have
 little
 effect
 on
 the
 water
quality
 of
 the
 Rock
 River” (Recommendation,
 9).
En addressing the issue of hardship, Petitioner believes
that immediate compliance with its existing NPDES permit effluent
limitations for BOD and TSS
 imposes
 an
 arbitrary
 or
 unreasonable
hardship because the existing noncompliance is due to physical
constraints of the treatment plant process units.
 These
constraints, it is argued, can not be instantaneoulsy addressed,
but rather require the system improvements specified in
Petitioner’s c~w’plianceplan.
 The system improvements, in turn,
will require
 :r.c~.lOctober 30,
 1986 to carry out
•
 The Agency
agrees
 with
 .‘.
 analysis,
 consIders
 the
 construction
 timetable
to
 be
 expeth::
 .,is, and accordingly believes that an arbitrary or
unreasonable :‘cdship would result
 if
 the
 variance
 were
 denied.
Based on c~ieforegoing, the Board finds that requiring
immediate coc~.iancewould constitute an unreasonable or
arbitrary hnë::~ip,considering the limited environmental
impact.
 Accc.’~ingly,
the
 requested
 variance
 is
 hereby
 granted,
subject to co3~iltions.
This Opin-on constitutes the Board’s findings of fact and
conclusions of law in this matter.
ORDER
The
 City
of Dixon is hereby granted variance beginning this
day
from
35 111.
 Adin.
 Code 304.120(b) for
 Outfall
 001 of NPDES
Permit
 110026450
 with
 the
 following
 conditions;
1.
 The
 variance
 shall
 be terminated on October 30, 1986, or
1
 month
 subsequent
 to
 the
 completion
 of
 the
 proposed
improvements, whichever occurs first.
2.
 The interim effluent limitations shall be 30 mg/l BOD and
40 mg/l
 TSS
 on monthly averages, and 45
mg/i
 BOD
 and
 60
mg/l TSS on weekly averages.
3.
 Petitioner shall continue to sample and analyze its
effluent
 at
 the
 frequency
 specified
 in
 its
 NPDES
 permit
and
 shall
 comply
 with all other effluent limitations and
conditions
 thereof.
4.
 Petitioner
 shall
 submit
 a
 progress
 report
 with
 each
monthly D~scharge Monitoring Report outlining
construction efforts during the month.
5.
 Within
 ‘.5 days of this
 3rder, Petitioner shall execute
and submit to the Agency a Certificate of Acceptance in
the following form:
65-288
CERTIFICATION
We,
 the
 City
 of
 Dixon,
 hereby
 accept
 and
 agree to
 be
 bound
by
 all
 terms
 and
 conditions
 of
the
 Opinion
 and
 Order
 of
 the
Pollution
 Control
 Board
in
 PCB
85~47~
City
 of
 Dixon.
By: Authorized Agent
Title
Date
The Certification shall be sent to the following address:
Illinois Environmental Protection
 Agency
Division of Water
Pollution
 Control
Compliance Assurance Section
2200 Churchill
Road
Springfield,
 IL
 62706
Attention:
 James
Frost
IT
 IS SO
 ORDERED.
I,
 Dorothy N. Gunn,
 Clerk
of
 the Illinois Pollution Control
 Board, hereby certify that
the above Opinion
and
 Order
 was
ado ted
 on
 the
 ~
 day of
~hy.unn,erk
Illinois Pollution
Control Board
8~259