ILLINOIS POLLUTION CONTROL BOARD
April
 6,
 1989
MONSANTO COMPANY,
 )
)
Petitioner,
v.
 )
 PCB 88—206
)
 Docket B
ILLINOIS ENVIRONMENTAL
 )
PROTECTION AGENCY,
 )
Respondent.
ORDER OF THE BOARD
 (by 3.
 Marlin):
On December
 30,
 1988, Monsanto Company
 (Monsanto)
 filed
 a
Petition for Variance
 (Petition)
 in this matter seeking variance
from 35
 Ill.
 Adm.
 Code 215.966
for
 42 sources
 of volatile organic
material
 (VOM) originating from Monsanto’s Nitrated Chlorobenzene
(NCB) process.
In relevent part,
 Section 215.960
 states that requirements
of Subpart RR of Part 215 only apply
 to
 a plant’s miscellaneous
organic chemical manufacturing procesa emission sources
 if
certain process emission sources of the plant emit more than 100
TPY when uncontrolled.
Monsanto’s Petition states:
The
 NCB process
 includes
 a
 large
 number
 of
VOM
 emission
 sources.
 A
 number
 of
 these
sources,
 as
 currently
 operated,
 will
 be
 in
compliance
 with
 35
 Ill.
 Adrn.
 Code
 Section
215.966
 and
 are
 not
 the
 subject
 of
 this
variance.
 The
 remaining
 sources,
 as
identified
 below,
 are
 the
 subject
 of
 this
variance petition.
(Pet. p.2).
The Petition goes on to identify the
 42 sources which are the
subject of
 the variance
 request and asserts that those sources
have an uncontrolled emission rate
 of 110 tons per year
 (TPY).
At hearing
 on March
 3,
 1989, Monsanto amended
 its Petition by
stating
 that the sources subject
 to the variance
 request have an
98—83
2
uncontrolled emission rate of
 67 TPY1.
 (R.6).
 The original
Petition also states that the current emission level
 (after some
control) for the
 42 sources
 is 44 TPY.
 (Pet.
 p.2).
The March
 2,
 1989 Illinois Environmental Protection Agency
(Agency) Recommendation states:
If
 uncontrolled,
 emissions
 from
 the
 NCB
process would
 be
 67 tons per year.
*
 *
 *
The allowable
 emissions
 for
 the NCB process
after
 April
 1,
 1989
 the
 compliance
 date
prescribed
 by
 35
 Ill.
 Adm.
 Code
 215.966
 are
12.73
 tons per year... The current emissions,
if
 uncontrolled
 would
 be
 approximately
 67
tons per year.
(Ag.
 Rec.
 p.3,4).
The Agency also recommends
 as
 a variance condition
 “that
 total
VOM emissions from the NCB sources
 shall not exceed
 44 TPY during
the variance period.”
 (Ag.
 Rec. p.4).
The Agency Recommendation seems to suggest that the total
uncontrolled emissions
 of the NCB process
 is currently
 67
 TPY.
However, Monsanto seems
 to
 he asserting
 that only the
 42
 sources
of
 the NCB process which are subject to the variance request have
an uncontrolled emission rate of
 67 TPY and that there are other
NCB sources subject
 to Subpart RR of Part 215 which are not a
part
 of the variance request.
 The record
 is not cleat
 on the
issue
 of Monsanto’s
 total uncontrolled emissions.
Monsanto
 is directed
 to respond to the following questions:
1)
 Is the
 total amount of uncontrolled process emissions from
sources not regulated by Subparts
 B,
 E,
 F,
 N,
 P,
 Q,
 R,
 S,
 U,
 V,
X,
 Y,
 or
 Z
 of Part 215,
 at Monsanto’s W.G.
 Krummsich Plant,
 equal
to or greater
 than 100 TPY?,
 and
 2)
 Given the current
uncontrolled emissions estimates does Subpart RR apply to
Monsanto’s plant?
As this question concerns facts
 not already
 in the record,
appropriate affidavits
 should verify Monsanto’s
 response.
Monsanto’s
 response should be received by the Board and the
Agency not later
 than April
 17,
 1989.
 If the Agency wishes
 to
~~fb~anto
 also made changes
 to
 its proposed compliance plan at
hearing.
 (R.
 6—7).
 Given the amendments
 to Monsanto’s Petition,
the Board finds that the 120—day statutory decision period
started anew beginning March
 3,
 1989.
 The Board intends
 to act
on this case
 as expeditiously as possible.
98—84
3
respond
 to Monsanto’s filing
 it should file
 its own response on
or
 before April
 24,
 1989.
IT IS SO ORDERED.
I, Dorothy
 M. Gunn, Clerk of the Illinois Pollution Control
Board, hereby certify
 that t~heabove Order was adopted on
the
_______
 day of
________________,
 1989,
 by
 a vote
of
 7-c
Dorothy M.,~nn, Cleik
Illinois ~c~11ution Control Board
98—85