Re:
    Case
    #
    AS
    08-10
    1
    Dear
    Members
    of
    the
    Board:
    I
    write
    to
    you
    concerning
    Peoria
    Disposal
    Company’s
    proposal
    to
    obtain
    a
    delisting
    of
    electric
    arc
    furnace
    dust
    wastestreated
    at
    their
    PDC
    No.1
    Landfill
    and
    waste
    treatment
    facility
    near
    Peoria,
    Illinois.
    I
    am
    opposed
    to
    this
    delisting
    on
    numerous
    grounds,
    but
    for
    the
    purposes
    of
    this
    letter
    I
    will
    confine
    my
    arguments
    to
    issues
    of
    the
    location
    of
    the
    waste
    treatment
    facility
    that
    would
    (in
    the
    event
    that
    their
    request
    is
    granted)
    remain
    open
    indefinitely.
    The
    Peoria
    County
    Board
    denied
    PDC’s
    application
    to
    expand
    its
    hazardous
    waste
    landfill
    due
    to
    concerns
    regarding
    the
    landfill’s
    proximity
    to
    densely
    populated
    areas
    of
    Peoria
    and
    its
    position
    above
    the
    aquifer
    from
    which
    Peoriaand
    many
    other
    central
    Illinois
    communities
    draw
    drinking
    water.
    These
    concerns
    pertain
    as
    well
    to
    PDC’s
    proposed
    activities
    should
    it
    obtain
    this
    delisting.
    Truck
    traffic
    bringing
    loads
    of
    dusty
    hazardous
    material
    through
    our
    communities
    to
    PDC#1
    would
    continue
    for
    longer
    and
    at
    an
    increased
    rate
    over
    what
    would
    be
    expected
    if
    the
    waste
    continued
    to
    be
    classified
    as
    hazardous
    and
    landfilled
    accordingly.
    Indeed,
    if
    PDC
    succeeds
    in
    their
    efforts
    to,
    in
    effect,
    self-delist
    so
    they
    can
    accept
    wastes
    from
    generators
    not
    listed
    in
    this
    application
    then
    such
    traffic
    could
    increase
    greatly
    on
    a
    daily
    basis
    and
    extend
    indefinitely
    into
    the
    future.
    In
    their
    Technical
    Support
    Documents
    PDC
    projects
    an
    anticipated
    200-300
    tons
    of
    EAF
    dust
    coming
    in
    to
    the
    facility
    on
    a
    daily
    basis,
    just
    from
    the
    generators
    listed
    in
    the
    proposal.
    It
    could
    be
    much
    more
    if
    theyare
    allowed
    to
    accept
    wastes
    from
    new
    generators
    withoutapproval,
    as
    they
    are
    proposing.
    Increased
    traffic
    brings
    an
    increased
    risk
    of
    accidents
    and
    spills.
    This
    summer
    alone
    in
    Peoria
    County
    there
    have
    been
    two
    truck
    spills
    that
    have
    appeared
    prominently
    in
    local
    papers
    (and
    likely
    others
    that
    have
    not
    received
    such
    press
    coverage):
    a
    truckload
    of
    gravel
    overturned
    in
    downtownChillicothe
    at
    the
    intersection
    of
    Route
    29
    and
    Truitt
    Ave.;
    and
    a
    tanker
    truck
    full
    of
    lye
    skidded
    onto
    its
    side
    on
    Route
    24nearthe
    interchange
    with
    1-474.
    Just
    last
    month
    a
    truck
    hauling
    waste
    to
    PDC’s
    DeWitt
    County
    Landfill
    (a
    listed
    potential
    recipient
    of
    the
    proposed
    delisted
    EAF
    dust)
    overturned
    just
    outside
    the
    landfill’s
    gates.
    So
    truck
    accidents
    and
    spills
    in
    the
    area
    are
    not
    just
    remote
    hypotheticals,
    but
    fairly
    regularly
    occurring
    events.
    If
    the
    trucks
    were
    traveling
    to
    some
    remote
    location
    far
    from
    the
    city
    limits
    it
    would
    still
    be
    a
    concern;
    however,
    PDC
    No.1
    sits
    directly
    on
    the
    edge
    of
    the
    city
    of
    Peoria.Peoria
    has
    at
    least
    23
    schools
    and
    five
    daycare/preschools
    within
    3
    miles
    of
    the
    landfill.
    OSF
    and
    Methodist
    hospitals
    are
    approximately
    three
    and
    a
    half
    miles
    and
    Proctor
    hospital
    is
    just
    over
    four
    miles
    from
    the
    landfill.
    53,000
    citizens
    live
    within
    three
    miles
    of
    the
    landfill,
    and
    largely
    east
    and
    downwind
    of
    it.
    A
    spill
    of
    dusty
    waste
    on
    a
    breezy
    day
    would
    send
    clouds
    of
    dust
    laden
    with
    lead,
    hexavalent
    chromium,
    and/or
    other
    heavy
    metals
    drifting
    over
    and
    into
    some
    of
    the
    most
    densely
    populatedneighborhoods
    in
    Peoria—
    neighborhoods
    that
    arehome
    to
    some
    of
    our
    most
    vulnerable
    citizens.

    facility
    knew
    what
    was
    drifting
    through
    theirneighborhoods
    and
    public
    parks
    and
    through
    the
    open
    windows
    of
    their
    homes,
    schools,
    and
    nursing
    homes—especially
    considering
    it
    took
    a
    FOIA
    request
    for
    us
    to
    discover
    it?
    Should
    this
    delisting
    be
    approved,
    these
    sorts
    of
    insults
    to
    the
    systems
    of
    thousands
    of
    of
    Peorians
    would
    be
    repeated
    indefinitely.
    Not
    only
    must
    we
    have
    clean
    air
    to
    breathe,
    but
    we
    also
    need
    clean
    water
    to
    drink.
    While
    thedelisted
    treated
    EAF
    dust
    waste
    is
    not
    proposed
    to
    be
    landfilled
    (by
    and
    large)
    at
    PDC
    #1,
    it
    will
    be
    treated
    there
    and
    held
    for
    testing
    and
    curing
    there.
    Activities
    related
    to
    the
    waste
    treatment
    facility
    should
    this
    delisting
    be
    approved
    will
    only
    make
    aquifer
    contamination
    by
    the
    already-landfilled
    hazardous
    waste
    more
    likely.
    In
    the
    Technical
    Support
    Document
    for
    their
    delisting
    proposal,
    PDC
    describes
    how
    the
    treated
    waste
    will
    be
    moved
    to
    a
    storage
    area
    in
    25
    cubic
    yard
    rolloff
    boxes
    or
    168
    cubic
    yard
    gondola-style
    railboxes
    to
    await
    testing,
    or
    (having
    failed
    initial
    testing)
    to
    cure
    for
    a
    period
    of
    time
    before
    retesting.
    These
    very
    large,
    very
    heavy
    containers
    will
    need
    to
    be
    moved
    by
    very
    large,
    very
    heavy
    equipment.
    The
    storage
    area
    PDC
    proposes
    to
    use
    is
    portions
    of
    landfill
    cells
    0-1,
    0-2,
    and
    C-3.
    According
    to
    PDC’s
    estimates,
    each
    rolloff
    box
    holds
    37.5
    tons
    of
    treated
    waste,
    and
    each
    gondola
    box
    holds
    252
    tons
    of
    treated
    waste.
    With
    an
    anticipated
    daily
    output
    of
    treated
    waste
    of
    300-450
    tons
    (again
    using
    PDC’s
    own
    numbers),
    that’s
    between
    8
    and
    12
    trips
    across
    the
    closed
    landfill
    cells
    hauling
    a
    37.5-ton
    rolloff
    container
    every
    day.
    PDC
    plans
    to
    transfer
    the
    waste
    using
    articulated
    off-
    road
    trucks
    when
    gondolas
    are
    used
    for
    storage.
    These
    trucks
    range
    in
    size
    from
    about
    25
    to
    40
    tons,
    and
    hold
    about
    as
    much
    as
    they
    weigh.
    Therefore,
    there
    could
    be
    as
    many
    as
    18
    50-ton
    trips
    or
    11
    80-ton
    trips
    across
    the
    closed
    cells
    every
    day.
    I
    am
    very
    concerned
    about
    the
    repeated
    compaction
    and
    wear
    and
    tear
    to
    the
    landfill
    cells
    of
    driving
    these
    heavy
    machines
    and
    heavy
    loads
    back
    and
    forth
    over
    them
    on
    a
    daily
    basis.
    This
    does
    not
    even
    go
    into
    the
    loading-out
    for
    disposal
    using
    track-type
    excavators
    and
    tractor-dump
    trailers,
    all
    of
    which
    will
    be
    maneuvering
    over
    these
    closed
    landfill
    cells.
    I
    am
    also
    concerned
    about
    the
    additional
    weight
    of
    the
    stored
    material
    on
    the
    closed
    cells.
    From
    the
    Technical
    Support
    Document
    it
    appears
    that
    PDC
    anticipates
    successfully
    treated
    waste
    being
    in
    storage
    on-site
    for
    a
    day
    before
    being
    loaded
    out
    for
    disposal
    at
    another
    landfill.
    However,
    it
    seems
    they
    anticipate
    fairly
    regularly
    having
    to
    keep
    batches
    of
    treated
    waste
    in
    storage
    for
    further
    curing
    before
    it
    is
    acceptable
    for
    landfilling—they
    obtained
    a
    modification
    of
    their
    operating
    permit
    from
    the
    IEPA
    to
    increase
    the
    amount
    of
    time
    treated
    waste
    may
    be
    stored
    prior
    to
    re-treatment
    from
    15
    to
    60
    days.
    There
    does
    not
    seem
    to
    be
    any
    overall
    storage
    time
    limit;
    in
    other
    words,
    it
    appears
    that
    if
    a
    batch
    requires
    retreatment,
    it
    can
    be
    held
    60
    days
    before
    being
    retreated,
    then
    held
    again
    for
    60
    days,
    etc.etc.
    So
    at
    a
    bare
    minimum,
    there
    would
    be
    1
    day’s
    output,
    or
    8-12
    rolloff
    boxes
    or
    1-2
    gondolas
    stored
    on
    the
    closed
    landfill
    cells
    every
    day,
    for
    an
    additional
    weight
    of
    300-450
    tons.
    However,
    there
    are
    quite
    likely
    to
    be
    more.
    A
    week’s
    worth
    of
    treated
    waste
    waiting
    to
    cure
    and
    be
    retested
    would
    be
    40-60
    rolloff
    boxes
    or
    5-10
    gondolas,
    for
    a
    total
    of
    1,500-2,250
    tons.
    If
    every
    batch
    stays
    in
    storage
    for
    45

    that
    PDC
    had
    encountered
    a
    sand
    lens
    digging
    cell
    C-i,
    and
    that
    they
    were
    unable
    to
    find
    the
    bottom
    of
    it.
    Sand
    lenses
    can
    be
    a
    direct
    route
    into
    the
    aquifer
    below.
    Cell
    C-I
    was
    built
    over
    two
    sand
    lenses
    encountered
    in
    construction
    of
    the
    cell.
    Repeated
    hauling
    of
    heavy
    loads
    backand
    forth
    across
    this
    already
    compromised
    area
    only
    increases
    the
    chances
    of
    a
    breach
    and
    the
    contamination
    of
    the
    source
    of
    60%
    of
    Peoria’s
    drinking
    water.
    A
    map
    showing
    the
    location
    of
    the
    sand
    lenses
    is
    enclosed
    with
    this
    letter.
    Because
    it
    has
    been
    stated
    that
    this
    delisting
    proposal
    would
    be
    considered
    separately
    from
    PDC’s
    earlier
    expansion
    application
    and
    related
    filings
    and
    arguments,
    I
    am
    enclosing
    with
    my
    letter
    an
    Evidentiary
    Summary
    prepared
    by
    Peoria
    Families
    Against
    Toxic
    Waste
    in
    response
    to
    that
    expansion
    application.
    I
    do
    so
    because
    many
    of
    the
    same
    concerns
    are
    relevant
    to
    this
    delisting
    proposal,
    in
    particular
    issues
    involving
    compatibility
    with
    the
    surrounding
    area,
    airpollution
    emissions,
    and
    potential
    contamination
    of
    the
    Sankoty
    Aquifer.
    This
    summary
    is
    well-researched
    and
    fully
    footnoted.
    This
    delisting
    would
    pose
    a
    long-term
    threat
    to
    the
    health
    of
    local
    residents
    through
    both
    air
    and
    water
    pollution,
    all
    to
    gain
    profit
    for
    a
    few
    shareholders
    of
    Peoria
    Disposal
    Company
    and
    cost-reduction
    for
    companies
    largely
    outside
    of
    Peoria
    County
    (and
    even
    Illinois),
    some
    of
    whom
    are
    owned
    by
    companies
    outside
    of
    the
    United
    States.
    The
    tens
    of
    thousands
    of
    citizens
    of
    central
    Illinois
    who
    depend
    on
    clean
    air
    to
    breathe
    and
    clean
    drinking
    water
    from
    the
    Sankoty
    Aquifer
    deserve
    better
    than
    to
    be
    endangered
    for
    someone
    else’s
    profit.
    We
    are
    depending
    on
    you
    to
    deny
    this
    delisting
    request.
    Sincerely,
    Lisa
    K.
    Offutt
    10629
    N
    Moss
    Street
    P0
    Box
    222
    Mossville,
    IL
    61552-0222
    end:
    map
    of
    sand
    lenses
    beneath
    Cell
    C-i
    Peoria
    Families
    Against
    Toxic
    Waste
    Evidentiary
    Summary


    PEORIA FAMILIES
    AGAINST TOXIC
    WASTE
    Evidentiary
    Summary
    March 27, 2006

    (excerpt from the)
    PEORIA COUNTY
    BOARD STRATEGIC PLAN:
    “The Strategic Plan includes avision
    statement and guiding principles to
    help
    maintain focus on long-term goals. The incorporated
    principles that guide our vision serve
    as a checks and balances system
    for
    all policies, decisions, plans and actions.
    If a policy does not meet the standards
    set forth by our guiding piinciples, then the policy
    does not refl ect our vision for the future and shall not
    be
    implemented.”
    VISION
    STATEMENT:
    “Our residents live in a safe environment
    and have an opportunityfor healthy living’

    TABLE
    OF
    CONTENTS
    Introduction
    .4
    Decision
    Criteria
    6
    Criterion
    1: The
    facility
    is
    necessary
    to
    accommodate
    the
    waste
    needs of the
    area
    it is
    intended
    to serve
    7
    Criterion
    2: The facility
    is
    so designed,
    located
    and
    proposed to
    be
    operated that the
    public
    health,
    safety and welfare will
    be protected
    11
    Criterion
    3: The facility is located
    so as to minimize
    incompatibility
    with
    the character
    of the
    surrounding area
    and
    to minimize
    the effect
    of
    the
    value of surrounding
    property
    18
    Criterion 4: The facility
    is located
    outside the boundary
    of
    the 100-year
    flood plain
    or
    the
    site is
    flood-proofed
    23
    Criterion
    5: The plan of
    operations for the facility
    is designed to
    minimize
    the
    danger
    to the surrounding area
    from fire, spills,
    or other operational
    accidents
    24
    Criterion
    6: The traffic
    patterns
    to
    or from the facility
    are
    so designed as
    to minimize
    the
    impact on existing
    traffic flows
    26
    Criterion 7: If
    the facility
    will
    be treating, storing
    or disposing of hazardous
    waste,
    an emergency response
    plan exists
    for
    the facility,
    which includes
    notification,
    containment
    and evacuation
    procedures
    to
    be
    used in case of
    an accidental release
    28
    Criterion
    8: The facility
    is consistent with the
    County
    solid
    waste management
    plan
    30
    Criterion
    9:
    That
    if
    the facility will
    be located within a regulated
    recharge
    area,
    any applicable requirements
    specified
    by the Board for
    such areas
    have
    been met
    32
    Previous operating
    experience
    and past record
    38
    EPA
    Recommendations
    40
    Opposition
    to the Landfill
    Expansion
    43
    Conclusion
    44
    Glossary
    45
    References
    and
    Sources
    47
    PFATW
    Evidentiary
    Summary
    Page 3 of 51

    INTRODUCTION
    Recently, Peoria
    Disposal Company
    (PDC)
    filed for an expansion
    of its hazardous
    waste
    landfill.
    This expansion would
    expand the current
    32.4-acre
    facility by eight additional
    acres and
    allow a
    vertical
    expansion of an additional
    45 feet.
    PDC’s
    current
    landfill
    will reach capacity
    in about four
    years. Their
    recent application for expansion
    will extend
    the
    operation
    of the facility
    beyond that
    by an additional
    15 years
    or
    more.’
    Peoria Families Against
    Toxic Waste
    (PFATW)
    consists of a concerned
    group of Peoria
    County
    citizens who care about
    our
    community.
    We are
    ordinary
    people. We have
    different backgrounds,
    different
    political
    views and different
    income levels,
    but we are united
    on one point—to
    see that
    the
    PDC landfill local siting
    measure
    is not
    approved
    by the
    Peoria County
    Board.
    We do not
    make our
    money
    in the hazardous
    waste business. Unlike
    PDC, which
    will make many
    millions of dollars if this
    measure
    passes,
    we will receive
    no financial gain regardless
    of the outcome
    of this measure.
    This Document
    Peoria Families
    Against Toxic Waste
    (PFATW)
    prepared
    this document
    to directly address
    the
    criteria that the county
    board must evaluate
    when deciding
    this
    issue.
    We
    have addressed each criterion
    individually.
    Each criterion
    starts with a list of sourced
    facts and
    figures,
    followed
    by
    a summarization of those
    facts. Our conclusions
    are
    based on evidence
    submitted
    by
    PFATW,
    PDC, the
    original PDC
    application
    and hearing testimony.
    We realize that technical
    terms like “TRI”
    and “Recharge
    Area” may
    be new to some people
    reading this document.
    We have included
    a glossary
    to help
    demystify
    the language.
    A lot
    of this data overlap
    the nine criteria.
    Please
    do not feel
    the need to confine
    a fact to a
    particular
    criterion, as it may also
    apply
    to others.
    Our goal
    was
    to make the document
    readable
    and organize
    the information
    logically for you.
    Our Concerns
    Why
    are we against this
    measure? The document
    goes into
    detail on each point,
    but we
    summarize them
    here in order of greatest
    concern.
    Health
    (Criterion 2)—Our
    primary concern
    speaks to the
    health issues related
    to the site.
    We share
    the concern of Peoria’s
    medical community
    that the risk
    is too great. Submitted
    evidence
    shows that
    PDC’s
    hazardous waste
    facility puts our citizens’
    health
    at risk. PDC is
    polluting our environment
    and this
    type
    of pollution
    has been shown
    to
    have
    a damaging
    effect on the
    human body. The
    risk is too great.
    Groundwater Protection
    (Criterion
    9)—The Sankoty Aquifer
    provides drinking
    water to
    264,000
    people. Part of this
    fragile water system
    lies
    directly beneath
    the PDC landfill.
    The
    poor choice
    of the
    landfill
    location
    puts
    a
    heavy
    burden on the
    barrier
    that
    separates
    our
    drinking water
    from the
    thousands
    of tons of
    toxins that PDC accepts
    annually.
    As
    you will
    see,
    experts disagree on how
    long
    this barrier
    will be able
    to
    protect
    our aquifer. No
    one
    disputes the fact
    that the liner
    will
    fail.
    Property Values (Criterion
    3)—PDC
    has claimed that
    property values will not
    be affected by
    its
    operations.
    Industry experts,
    history and common
    sense disagree.
    The fact that PDC
    has
    been
    processing
    hazardous
    materials at its
    site was largely
    unknown to most of our
    citizens.
    But
    that has changed
    in recent months.
    This new knowledge
    that
    an
    active
    hazardous waste
    facility
    operates within
    a few miles from the majority
    of homes
    in Peoria will have
    an
    impact
    on property values.
    PFATW Evidentiary Summary
    Page
    4 of5l

    These
    are our
    main
    concerns,
    but we
    also
    present
    strong
    cases
    that
    speak to
    the other
    criteria.
    We
    back up
    our
    views
    with industry
    experts
    including
    Dr.
    G.
    Fred
    Lee.
    Dr.
    Lee is
    a nationally
    recognized
    scientist
    and
    expert
    in hazardous
    waste
    evaluation
    and management.
    He has
    conducted
    contract
    and
    grant
    research
    and prepared
    affidavits/declarations
    for hundreds
    of
    companies,
    government
    entities
    and
    organizations
    in the
    United
    States
    and
    Canada.
    Dr. Lee
    talks
    directly
    to
    technical
    issues
    regarding
    this
    expansion
    proposal,
    and his
    analysis
    highlights
    weaknesses
    in
    PDC’s
    plan.
    Looking
    Forward
    We respect
    the role
    of the
    county
    board
    in this
    decision-making
    process
    and trust
    that
    you
    will
    make
    your
    decision
    based
    on the
    best
    interests
    of the
    constituency
    that
    elected
    you.
    vVe have
    a
    deep
    concern
    for
    the people
    and businesses
    in this
    community.
    The
    facts
    are clear.
    This
    expansion
    initiative
    will be
    bad
    for our
    county,
    not
    only in
    the short
    term,
    but for
    many, many
    generations
    to come.
    Long
    after
    this
    decision
    is
    made,
    long after
    PDC
    No.
    1 has
    closed,
    long after
    the
    liners
    fail,
    the
    toxins
    that
    are being
    buried
    will still
    be present
    in
    our community.
    You can
    change
    this.
    Peoria
    County
    can have
    cleaner
    air,
    land,
    and water.
    This
    can be a
    healthier
    place to
    live. Industry
    can thrive
    here.
    Property
    in Peoria
    can
    be a desired
    commodity.
    We
    can
    hand
    our future
    generations
    a
    legacy they
    will
    be
    proud
    of.
    Please vote
    not only
    with
    your constituents
    in mind
    but
    also
    knowing
    that
    the
    future
    and
    well-being
    of your
    children,
    your
    grandchildren
    and
    ours
    is at
    stake.
    PFATW
    Evidentiary
    Summary
    PageS
    of
    51

    DECISION
    CRITERIA
    An applicant
    for local siting
    approval shall
    submit sufficient details
    describing
    the proposed
    facility
    to
    demonstrate
    compliance, and
    local siting approval
    shall
    be
    granted only if the
    proposed
    facility meets
    the following
    criteria:
    (1)
    The facility is necessary
    to accommodate
    the waste needs
    of the
    area
    it is intended to
    serve.
    (2) The
    facility is
    so designed,
    located and
    proposed to be operated
    that
    the
    public health,
    safety and
    welfare will
    be protected.
    (3)
    The
    facility is located
    so
    as
    to minimize
    incompatibility
    with the character of
    the
    surrounding
    area and to
    minimize
    the
    effect on
    the
    value
    of the surrounding
    property.
    (4) The
    facility is located outside
    the
    boundary
    of the 100-year
    floodplain, or the site is
    flood-proofed.
    (5) The plan
    of operations for
    the facility is designed
    to
    minimize
    the danger to
    the
    surrounding area from
    fire,
    spills or other
    operational
    accidents.
    (6)
    The traffic
    patterns
    to or from the
    facility are so designed
    as
    to minimize
    the impact on
    existing
    traffic flows.
    (7)
    If
    the facility will be
    treating, storing
    or disposing of hazardous
    waste, an
    emergency
    response
    plan exists for the facility,
    which includes
    notification,
    containment and
    evacuation
    procedures
    to be used in case
    of an accidental release.
    (8) The facility is
    consistent with
    the county’s solid waste
    management
    plan.
    (9)
    If the facility
    will
    be located
    within a regulated
    recharge area, any applicable
    requirements
    specified
    by the board for
    such areas have been
    met.
    The county board
    or the
    governing
    body of
    the municipality
    may also consider
    as
    evidence
    the
    previous
    operating experience and
    past
    record
    of
    convictions or admissions
    of violations
    of the
    applicant (and any subsidiary
    or parent
    corporation)
    in the field
    of solid
    waste
    management when
    considering criteria (2)
    and
    (5) under
    this Section.
    Local
    jurisdictions, like Peoria
    County, may
    impose stricter
    standards or require additional
    criteria
    to be met to achieve
    local siting
    approval,
    as long as the additional
    locally
    imposed criteria
    are not
    inconsistent
    with the Illinois Environmental
    Protection
    Act. One example
    of this is Peoria
    County’s requirement
    that the
    Applicant
    provide detailed financial
    planning
    and technical
    information
    for the perpetual care of
    the site after
    closing.
    Peoria County
    Code Section 7.5-38(e).
    This
    is in effect the 10th criteria.
    PFATW Evidentiary Summary
    Page
    6 of5l

    CRITERION
    1:
    The
    facility
    is
    necessary
    to
    accommodate
    the
    waste
    needs
    of
    the
    area
    it
    is
    intended
    to
    serve.
    What
    is
    the
    “area
    intended
    to
    serve”
    and
    how
    well
    is
    PDC
    meeting
    its
    needs?
    PDC’s
    Vice
    President
    of
    Development
    and
    Operations,
    Ron
    Edwards
    stated
    in
    his
    testimony
    that
    the
    intended
    area
    was
    local.
    He
    says:
    “Why
    is
    hazardous
    waste
    here?
    Problem,
    local
    industry
    such
    as
    Caterpillar,
    Keystone,
    International
    Paper,
    International
    Harvester,
    Sherex,
    and
    others
    such
    as
    John
    Deere,
    had
    a
    problem,
    our
    waste
    is
    suddenly
    being
    regulated
    and
    we
    have
    nowhere
    to
    go,
    who
    will
    take
    care
    of
    it
    for
    us.
    We
    will
    have
    to
    close
    our
    operations
    or
    at
    best
    haul
    the
    waste
    for
    long
    distances.
    Solution,
    PDC
    again
    responded
    to
    its
    customers
    in
    the
    advancements
    of
    environmental
    protection
    in
    Peoria
    County.”
    2
    In
    2004,
    only
    9.5
    percent
    of
    all
    hazardous
    waste
    that
    PDC
    accepted
    came
    from
    Peoria
    County,
    with
    the
    trend
    in
    a
    clear
    downward
    direction.
    The
    majority
    of
    the
    remaining
    90.5
    percent
    are
    transported
    from
    other
    states.
    3
    This
    translates
    into
    approximately
    107,300
    tons
    of
    hazardous
    waste
    that
    is
    accepted
    each
    year
    by
    Peoria
    County,
    from
    non-local
    companies.
    The
    remaining
    fraction,
    11,250
    tons,
    is
    generated
    locally.
    93.00%-
    83.00%
    -
    7100%-
    63.00%-
    5300%-
    43.00%
    33.00%-
    23.00%
    13.00%
    3.00%
    Percentage
    of
    Local
    and
    Non-Local
    l-azardouc
    Waate
    Accepted
    at
    PDC
    No.
    I
    [
    c
    Peotia
    County
    Hazardoio
    Waste
    Hazardous
    Waste
    shipped
    in
    Irons
    oidsicie
    Peoria
    County
    What
    about
    distance
    and
    cost?
    It
    is
    closer
    for
    Peoria
    generators
    to
    go
    to
    Indiana,
    Ohio
    or
    Michigan
    than
    it
    is
    for
    a
    significant
    number
    of
    PDC’s
    current
    customers
    to
    come
    to
    Peoria
    County.
    4
    Since
    a
    substantial
    part
    of
    the
    hazardous
    wastes
    that
    PDC
    has
    been
    accepting
    and
    proposes
    to
    continue
    to
    accept
    is
    from
    non-local
    (non-Peoria
    County)
    sources,
    the
    Peoria
    County
    public
    is
    being
    exposed
    to
    hazardous
    chemicals
    that
    more
    appropriately
    should
    be
    managed
    in
    the
    vicinity
    of
    their
    sources.
    A
    nearby
    hazardous
    waste
    facility
    in
    Indiana
    could
    readily
    accept
    our
    local
    waste
    for
    an
    additional
    transportation
    cost
    of
    $30
    per
    ton.
    6
    -
    PDC
    has
    only
    recently
    offered
    the
    county
    a
    token
    sum
    of
    $1
    per
    ton
    as
    con3pensation’—far
    below
    typical
    industry
    rates.
    8
    103
    00%-
    PFATW
    Evidentiai-y
    Summary
    Page
    7
    of
    51

    PDC
    has competitors!
    Hazardous waste
    facilities
    in
    Indiana and Ohio
    recently received expansion
    permits.
    9
    PDC
    receives waste from
    27 Indiana generators.’°
    PDC accepted waste
    from
    Ohio, another
    state with
    its own
    facility.H
    Ron Edwards testified that
    PDC could
    look
    to
    different
    business models toward
    the
    end of the
    15 year expansion.’
    2
    PFATW
    Evidentiary
    Summary
    Page
    8
    of5l

    CRITERION I—SUMMARY
    Is
    PDC meeting
    the waste
    needs of the industries
    in our county?
    It appears that our local companies will be negatively
    affected if this expansion
    measure
    passes.
    Here’s why:
    The lifespan
    of the
    current
    landfill is four years.
    The reason? PDC accepts a huge
    percentage
    of
    waste from non-local sources. If non-local
    waste is taken
    out of the equation, the landfill’s lifespan
    reaches
    about 33 years -- without the expansion
    approval. PDC expects the landfill
    to
    reach
    capacity
    in 19
    years with
    the expansion. This means
    local business will lose roughly
    another 14
    years
    of use if the
    measure
    passes. This is bad for
    local industry.
    Related to the previous point, PDC’s self-serving
    “accommodation” or voluntary
    restriction
    number
    7, to
    guarantee
    capacity of Peoria County waste
    for 15 years, is illusory. The expected life
    of the expanded facility is
    just that—15 years.
    Add
    to
    this
    the
    fact
    that
    the numbers clearly show that
    the receipt of local hazardous waste
    is on a
    steady decline and the impact of the
    expansion may be even worse. It
    appears that local businesses
    are doing their part to keep our environment
    clean by reducing hazardous
    waste production, and
    PDC
    is responding
    by
    reaching
    out to new markets
    to
    increase
    the amount of hazardous material
    that it imports into our county. Each shipment
    increases PDC’s profit
    at the expense of Peoria
    County.
    A key point to remember is less than one tenth
    of all hazardous materials that PDC
    dumps in our
    county isfroni local companies.
    PDC downplayed
    the
    fact that Indiana has an operating
    hazardous waste site, which charges
    less
    than PDC to accept waste. Their argument
    that local businesses would
    be charged
    $30
    per ton for
    transportation did not take
    into account the fact that the
    competition may have lower rates. This
    difference could
    drive
    the
    $30
    per ton figure
    much lower.
    PDC was merely speculating
    on
    a cost increase to local generators if
    the expansion request is
    denied. No total cost or total volume picture or
    information was given by PDC at any time
    during
    the hearing or in its Application. For
    “proprietary” reasons, PDC intentionally
    kept any such
    information out of the application
    process. PDC did inject disposal
    costs
    into
    the application
    process - not
    about PDC’s
    own cost and volume structure,
    but about that of others, especially
    Keystone Steel and Wire. Speculative and
    incomplete testimony was given
    about potentially
    increased
    transportation
    costs if the expansion request is refused.
    But
    there is no way to quantify
    or prove a
    total cost differential
    (including transportation
    costs) when no evidence on disposal
    fees or disposal volumes is in the record.
    It’s important to remember that the states
    PDC intends to serve can
    be
    served well
    by other
    hazardous
    waste landfills. And just like waste
    producing companies in the
    ten
    states in question,
    our
    local companies will survive
    without a hazardous landfill
    in their own county. PDC failed to
    establish in its Application or at the hearing
    that there is an urgent need
    to expand the PDC
    facility
    when other hazardous
    waste landfills exist in the
    Midwest.
    PDC’s retained consultant, Sheryl Smith,
    admitted that in the 24 times
    she has been retained by
    landfills
    in a
    siting application
    process, she had always
    found a need for the landfill
    to
    exist)
    3
    PDC, and Sheryl Smith, defined the
    intended service area
    to
    exclude
    Indiana, a state with a
    hazardous waste disposal facility.
    This is manipulative
    at best given the fact that PDC accepted
    significant quantities of hazardous waste,
    non-hazardous waste and special
    wastes from Indiana
    during the
    same 1999 to 2004
    study period. Indiana
    generated waste included electric arc furnace
    dust from ISPAT Inland Steel and
    Nucor
    Steel, as well as 25 other Indiana
    generators. PDC also
    accepted waste from Ohio, another
    state with its own facility.
    PFATW Evidentiary Summary
    Page
    9
    of
    51

    There was no testimony that Indiana, Michigan
    or Ohio facilities would
    be
    incapable
    of providing
    disposal service for Peoria County generators,
    or for that matter, any generator in the Applicant’s
    defined intended service area. In Indiana
    and Ohio, the hazardous waste
    disposal facilities recently
    received
    expansion permits. There is no evidence
    that regional facilities and disposal alternatives
    other than PDC will cease to exist any time in
    the future. It is closer for Peoria generators
    to go to
    Indiana, Ohio or Michigan than it is for a significant
    number of PDC’s current customers to come
    to Peoria County. Based on the existence
    of significant, recently expanded and nearby capacity
    on
    a regional basis, there is no urgent need to expand
    PDC’s Peoria County facility.
    PDC would still have a role in hazardous
    waste disposal even if the Application is
    denied. Ron
    Edwards testified that
    upon
    reaching capacity at the landfill,
    PDC would transition into “other
    ways of helping customers manage their
    wastes
    PDC’s expertise and brokerage capabilities
    would enable them to still have a significant role in servicing
    the hazardous waste disposal needs
    of Peoria County generators.
    Peoria County has done its share. Enough is
    enough.
    PFATW
    Evidentiary Summary
    Page 10 of 51

    CRITERION
    2:
    The facility
    is so designed, located
    and proposed
    to be operated that
    the
    public health,
    safety and
    welfare
    will be protected.
    Peoria
    County is
    actively
    being
    polluted.
    Peoria
    has
    some of the worst
    pollution scores in
    the state and nation:
    National:
    Peoria
    County
    is
    the third
    worst county in
    the United States for
    cadmium.
    14
    National:
    Peoria
    County
    is the
    16” worst
    county in the United
    States for Toxic
    Release
    Inventory (TRI) chemical
    releases.’
    5
    National: Peoria
    County ranks
    24th
    in the nation
    for lead TRI)
    6
    State:
    Peoria County is
    the No. 1 worst county
    in
    Illinois for
    TRI chemical releases.’
    7
    State:
    Peoria
    County is the fifth
    worst county in Illinois
    for
    TRI
    air releases.’
    8
    This
    pollution
    affects our citizens’
    health.
    The
    American
    Cancer
    Society
    indicates
    that Peoria
    County
    is
    “significantly
    higher
    than
    state
    average” in
    cancer
    incidences)
    9
    From
    1998 to
    2002 there
    has
    been a
    1073
    percent increase
    in total
    cancer
    risk
    scores.
    2
    °
    Studies have
    shown a significant
    increase
    in the incidence
    of birth
    defects with proximity
    to
    a hazardous
    waste landfill.
    Sandra
    Steingraber,
    Ph.D.
    is an internationally
    recognized
    expert
    on
    the
    environmental
    links
    to
    cancer and
    threats to reproductive
    health. She
    states:
    “As the
    distance
    between
    waste
    site and place
    of
    residence
    increases, the
    chances
    of birth
    defects
    consistently
    decreases.”
    2
    Dr.
    Lee’s
    report
    mentions:
    “An
    issue
    of
    concern is
    whether those who
    live near
    landfills show
    evidence
    of
    adverse health
    effects. It is known
    from a number
    of
    studies
    conducted
    by the
    Centers
    for
    Disease
    Control and Prevention
    (Anderson,
    pers. comm.,
    1999)
    that
    some
    populations
    living near
    landfills
    have
    shown
    a greater
    incidence
    of
    some
    diseases
    22
    OAvege 4818
    15 percent of
    Peoria
    s children
    have
    been
    diagnosed with
    lead poisoning
    the highest
    in
    the nation.
    2
    A recent
    PJ Star article
    about
    lead
    poisoning in Peoria stated:
    “It’s likely
    in your bloodstream.
    It’s probably
    in your child’s.”
    24
    There is no safe
    threshold for
    lead
    levels in blood.
    25
    OSHA has recently
    lowered
    its Permissible
    Exposure
    Limits for workers
    to hexavalent
    chromium
    by a factor of
    100.26
    U
    Illinois
    Incidence
    Rates
    by
    County, 1996
    — 2000
    481.7
    932
    .;o
    “45.16.
    86.9
    ‘io
    •,
    -‘
    383.9
    485.6
    ;99.9
    467.1
    505.6
    -
    506.0
    3526
    -
    5088
    .275
    .:79
    .7
    ‘9
    .$)1
    i’;.3•
    :
    PFATW Evidentiary
    Summary
    Page 11
    of5l

    According
    to recent EPA data, PDCis actively
    pollutingthe county.
    PDC brings toxins into our county.
    PDC accepted 118,561 tons of hazardous
    waste in
    2004.27
    Here is a small sample list of these
    heavy metals and their pounds
    in benzene-equivalents
    accepted by PDC in
    2002:28
    o Cadmium Compounds—130,000
    pounds
    o
    Chromium
    Compounds—33,000
    pounds
    o Lead Compounds—2800 pounds
    PDC’s pollution
    scores
    PDC is No. 1 in Peoria
    County for TRI chemical releases.
    29
    • PDC is No. I in Illinois for TRI
    chemical releases.
    PDC is the 1
    9
    th
    top facility
    for TRI chemical releases
    in
    the
    United States.
    Air Pollution: In 2003 alone, PDC
    released 1,533 pounds of heavy metals
    into the county’s
    air.
    In
    addition
    to 88 pounds of lead, they also
    released chromium, copper; manganese
    and
    zinc compounds
    31
    • Toxins entering Peoria
    County via PDC are increasing.
    32
    PDC
    #1 TRI Releases in Pounds
    21
    .000,00O’
    20,500,000 -
    20,000,000-
    19,500,000-
    19,000,000-
    1 8,500,000 -
    18,000,000-
    17,500,000-,
    1999
    2000
    2001
    2002
    PFATW Evidentiary Summary
    Page
    12 of5l

    PDC is the No. 1 polluter
    in Peoria County,
    according
    to the recent 2002
    EPA TRI data:
    53
    2002TR1Total
    ReleaseBreakdownfor
    Peoria Cousty
    OPeona
    Cicposal#1
    cantraI I Iincisupht
    Company
    DACI,1
    Dl<e
    5
    stnne
    Wire
    &
    Clod
    Eapuooal0olclnchm8t
    Chemical
    Corp
    Dlerpillar Inc.
    M
    000ville
    Plant
    mrwr
    rermentotion Prods Inc.
    0 Caterpillar Inc.
    M aplelon Plant
    Lorza Goup
    0ernpton Carp.
    DF&lsris
    Irds.
    Ire.
    DlmatnrjAmeoco
    Corp
    UMist
    Mill
    Cesice Co
    calerpillar
    Inc. RutdterPrecesdng
    Facility
    Cast Tech Inc
    Lf3Nelonn Corp
    In 4 of the
    5 years from 2000 to 2004,
    PDC reported
    dangerous emissions
    of PM-b
    pollutants
    into
    our
    air which
    exceeded
    the annual allowable
    emissions
    established
    by permit for the
    waste processing facility
    by the Illinois
    34
    EPA. Indeed, PDC’s
    PM-b emissions
    have been
    consistently
    high
    for the last five consecutive
    years reported,
    with 2004 being
    the highest.
    35
    This
    trend is especially concerning
    given
    the
    known risks associated
    with
    PM-b.
    PM1O
    Air Pollution
    Emissions
    for
    PDC #1
    tltinnis PFA,
    OloPsiop
    of Air Pollirloo Conrrol. deAul 5rrrs5IOc55
    Cepord Irnyorr cr1
    P0cc
    ernicciocc ecrded
    fm’
    2002.3003.70043
    15.366000
    16.374800
    (tons/year)
    (eons/year)
    a
    Concerns
    about the PDC
    hazardous waste site
    19,077000
    (tons/sear)
    .442478
    (torls/year)
    II
    C-
    01.2
    05
    -t
    C-
    00
    001
    23
    PFATW
    Evidentiary
    Summary
    Page 13 of5l

    The PDC proposed landfill
    expansion includes
    the
    continued
    acceptance of a wide variety of
    hazardous waste tpes that
    are a potential threat
    to
    public health,
    groundwater resources and
    the environment.
    In addition to known,
    regulated chemicals,
    hazardous
    wastes
    of the type that PDC has been
    accepting and proposes
    to continue to accept contain a wide
    variety of unregulated,
    unmonitored hazardous
    and deleterious chemicals that are a threat
    to groundwater quality
    and nearby air quality.
    PDC has failed to inform Peoria
    County and the public about
    the long-term (effectively,
    forever) threat that the hazardous wastes
    represent to domestic water supplies that can
    be
    affected
    by
    landfill
    releases of leachate
    (soluble components of the deposited hazardous
    wastes)
    •38
    The
    PDC
    landfill
    represents a near-term and long-term
    threat to public health, groundwater
    resources and the environment
    associated with releases of hazardous
    and deleterious
    chemicals from the landfill.
    • HDPE liners
    will deteriorate and leak.
    The PDC landfill rests on top of an interconnected and
    interwoven finger of the Sankoty
    aquifer system.
    4’
    Experts on both sides agree that low levels
    of contaminants from PDC No. 1 have already
    penetrated into the aquifer
    system below it.
    42
    a
    Contamination from
    the PDC landfill can potentially affect the
    health of the people
    who
    use
    the Sankoty as their drinking water
    source.
    43
    a
    The materials that
    PDC accepts in the future may present
    even more health issues for our
    community.
    There is no governing or regulatory
    body outside of PDC that can block the
    acceptance of other types of hazardous
    materials in the future.
    44
    °
    Dr. Lee
    calls attention
    to the subset of pollutants for which
    PDC tests versus the number of
    hazardous substances potentially present
    in leachate and air emissions.
    46
    a
    Future legislation
    may relax regulations on pollution controls.
    Senator
    Jim Jeffords, ranking
    member of the Senate
    Environment and Public Works Committee commented
    in The New
    York Times: “Now President Bush and the Environmental
    Protection Agency want to weaken the
    largely successful Toxics
    Release Inventory program, which requires companies
    to tell the
    public
    how they dispose of or release nearly
    650
    chemicals that
    may harm human health and the
    environment.”
    47
    a
    PDC actively submits
    proposals to and accepts waste from Superfund sites outside
    our
    county.
    48
    49
    Where does the health community
    stand on the issue?
    The medical committees of all three Peoria hospitals representing
    approximately 750 doctors,
    citing health risks and the proximity
    to a large population center, have spoken out against
    PDC
    landfill expansion.’°
    Peoria Medical Society of the American Medical Association has
    passed a resolution calling
    for the prevention
    of
    hazardous waste
    landfills
    being placed over aquifers. This resolution is
    being considered at the Illinois State Medical Society
    and the American Medical Association.5’
    a
    PDC failed to provide
    any medical testimony or evidence to support its claim that
    the
    landfill
    expansion will not adversely
    affect the population’s health.
    52
    PFATW Evidentiary Summary
    Page 14 of 51

    CRITERION
    2—SUMMARY
    Welcome
    to
    Peoria!
    The bottled
    water
    business
    is booming.
    Children
    undergo
    routine,
    mandatory
    lead
    testing.
    We
    rank
    among
    the
    highest
    in
    the
    state
    for
    cancer.
    We
    are consistently
    in
    the highest
    group
    for
    air,
    water
    and
    land
    pollution.
    We lead
    the
    nation
    in
    lead poisoning.
    And
    the
    trends
    show
    that the
    situation
    is getting
    worse,
    not
    better.
    Truth
    be
    told, Peoria
    County
    is polluted.
    PDC
    is part
    of the
    problem,
    not
    the
    solution.
    The
    fact
    that a
    major
    hazardous
    waste
    facility
    is
    located
    adjacent
    to a
    major
    population
    center
    and over
    an
    aquifer
    system
    seems
    more
    like
    a work
    of bizarre
    fiction.
    But it
    is our reality.
    PDC
    routinely
    trucks
    toxins
    into
    our community,
    buries
    them
    in
    our
    soil and
    in
    the
    process
    pollutes
    our air
    with
    heavy
    metals.
    All
    of
    this
    occurs
    on
    top
    of
    our
    water
    supply
    system,
    which
    is
    protected
    by
    a
    barrier
    that
    will degrade
    in time.
    PDC paints
    a picture
    of
    local industry,
    working
    within
    the
    EPA
    regulations,
    filtering
    out toxins
    before
    the
    material
    is
    released
    into
    the environment.
    This filtered
    material
    is shipped
    to PDC
    for
    safe
    disposal.
    Indeed,
    it is
    a fine
    picture.
    But
    something’s
    not
    working
    here.
    Our
    residents
    are ailing
    from
    health
    conditions
    like cancer
    and lead
    poisoning
    at
    significantly
    higher
    rates
    than
    other
    areas.
    It appears
    that
    the
    EPA
    regulations
    are
    failing
    in
    Peoria
    County.
    Remember,
    this
    criterion
    talks to
    the public
    health,
    not
    adherence
    to
    the EPA
    regulations.
    Because
    of our
    county’s
    pollution
    rankings
    and
    health
    crisis,
    our
    county
    board
    needs
    to
    hold Peoria
    to a
    higher
    standard
    than
    the
    EPA
    regulations.
    And
    it should.
    The medical
    community,
    whose
    job
    it
    is
    to
    treat the
    health
    of
    the
    public,
    has
    spoken
    out
    loudly
    against
    this
    expansion
    measure.
    They
    are
    directly
    affected
    by
    anything
    that
    adversely
    affects
    our
    citizens’
    health.
    For
    the millions
    of dollars
    that
    PDC
    has
    profited,
    how
    many
    cases
    or
    lead
    poisoning,
    cancer,
    leukemia,
    etc.,
    have
    we endured?
    Zero?
    One?
    Ten?
    One
    hundred?
    One
    thousand? More?
    We
    may
    never
    know.
    The
    future
    may
    be
    even
    more concerning.
    PDC
    currently
    limits
    its business
    to certain
    toxins.
    This can
    all
    change,
    without
    any
    oversight
    outside
    of
    PDC.
    Although
    it currently
    doesn’t,
    the
    landfill
    can
    accept
    materials
    such as
    PCBs
    and
    dioxins.
    These
    items
    would
    add
    a
    whole
    new set
    of health
    risks to
    a community
    already
    struggling.
    The only
    thing
    that would
    prevent
    PDC
    from
    bringing
    these
    toxins
    into
    Peoria
    County
    is
    a
    committee
    made
    up
    of, and
    paid
    by,
    PDC.
    There
    are
    no
    provisions
    for
    an independent
    committee
    to review
    such
    matters
    in
    the future.
    There
    is no
    check
    and
    balance
    for the
    citizens
    of
    Peoria
    County.
    Since
    a
    major
    part
    of
    the
    health
    issue
    concerns
    the possibility
    of
    groundwater
    contamination,
    we
    encourage
    you
    to
    review
    our
    concerns
    on
    the
    ninth
    criteria.
    That
    section
    describes
    the
    fragility
    and
    importance
    of the
    Sankoty
    aquifer
    and
    calls
    out
    problems
    with
    how
    PDC
    has
    handled
    the
    challenge of keeping
    our
    water
    supply
    uncontaminated.
    The
    Peoria
    County
    Board
    must
    make
    the
    decision.
    Decisions
    about
    the
    protection
    of
    the
    public
    health,
    safety
    and
    welfare
    of
    our
    community
    are solely
    within
    the
    province
    of
    our
    elected
    representatives
    on
    the Peoria
    County
    Board.
    PFATW
    Evidentiary
    Summary
    Page
    15
    of 51

    It is the
    same
    water we
    drink. Complete protection
    of
    public water
    supplies and
    the groundwater
    that feeds them
    demands
    a
    heightened sensitivity
    and thoroughly critical
    review
    of
    the pending
    Application.
    The Peoria
    County Board is entitled
    under the
    law to deny the Application
    if
    the
    Board determines
    that the proximity
    of the landfill
    expansion
    to
    the interconnected
    Sankoty/Shelbyville
    aquifer
    creates a present or
    future public health
    concern,
    even
    if all technical
    requirements
    of the application
    process are otherwise
    met.
    In its Application,
    PDC
    itself
    agrees
    that “protection
    of the groundwater quality
    is
    one,
    if
    not
    the
    most importantfactor
    in the
    siting,
    design and permitting
    of any
    landfill. This is particularly
    true for
    hazardous waste
    landfills such
    as the PDC No. 1 Landfill.”
    3
    PDC continues
    by explaining why
    it is
    the most important
    factor:
    “The primary risk
    to
    groundwater comes
    from landfill
    leachate.
    Leachate is water
    (primarily from precipitation
    infiltration)
    that
    seeps through
    the landfill wastes.
    As it
    seeps
    through
    the wastes, various
    leachable
    constituents of the waste
    dissolve
    into
    the
    leachate. Ifsignificant
    quantities
    of leachate
    were allowed
    to infiltrate to groundwater,
    such as has
    happened at
    some poorly located unlined
    landfills, groundwater
    quality
    can
    be impaired.”>
    4
    PDC
    framed the issue
    very
    well, essentially:
    Given
    the proximity
    of the landfill to the
    Sankoty/Shelbyville
    aquifei
    is the design of the landfill
    in
    question
    foolproof in every way to
    protect
    the public
    health
    from present
    or future groundwater
    and water
    supply contamination? The
    answer
    is
    NO!
    PDC is not required
    to report air emissions
    data from their
    separately permitted hazardous
    waste
    processing facility
    as part of
    their
    Application. If they had,
    the Peoria County
    Board would surely
    be
    alarmed
    by
    the data. Thanks
    only to requests
    by
    citizens
    who
    exercised the Freedom
    of
    Information Act, the County
    may now
    consider that PDC reported
    dangerous
    PM- 10 pollutants
    in our air, for
    example in 2002,
    of 35 times the permitted
    level
    established
    by the Illinois EPA.
    5
    Likewise,
    for 2004, it was 43
    times the permitted
    level.
    56 Indeed, PDC’s
    recent
    annual
    PM-b
    emissions have been
    consistently
    high, with
    its
    highest numbers
    reported
    in 2004.
    This
    trend
    is
    especially concerning
    given
    the known
    risks associated with
    PM-b.
    “PM” stands for particulate
    matter, which
    is a complex mixture
    of extremely
    small particles and
    liquid droplets.
    “10” stands for
    micrometers.
    8
    PM-b
    particles are
    of concern to the EPA because,
    given
    their tiny size, they can
    be
    inhaled and reach
    deep
    into our lungs,
    and some can even
    get
    into our bloodstream.
    Numerous
    scientific studies have linked
    particle
    pollution
    to a variety of
    problems
    including
    increased respiratory
    problems,
    decreased lung function,
    aggravated asthma,
    chronic bronchitis, irregular
    heartbeat,
    non-fatal
    heart
    attacks,
    and premature death in
    people
    with heart or lung disease.
    59
    PDC
    did not disclose this information
    during
    the hearing process
    or, to the best of
    our
    knowledge, in the
    Application.
    The
    Peoria
    County Board
    should
    consider
    this to be a very serious
    concern.
    We hope IEPA is working
    diligently
    to
    correct this serious health
    concern in order
    to
    protect Peoria County
    citizens for the
    remaining life of the existing
    landfill. The
    County Board
    now has an opportunity,
    and responsibility,
    to eliminate
    this known health and
    safety threat going
    forward
    by denying the PDC
    expansion.
    Without
    the expansion of
    the hazardous landfill facility,
    the
    processing plant emitting
    the PM-b would
    have nothing
    to do.
    One
    of
    the
    greatest threats
    to the public’s health
    is the PDC
    No.
    1 barrel trench area. It’s
    a much
    older
    part
    of
    the site where waste was
    buried in steel
    drums. The drums were
    not designed for
    long term storage
    and there is only
    a ten foot clay liner
    that serves
    as
    a barrier. In his report,
    Dr.
    Lee provides a roadmap
    to address the issues
    concerning
    the barrel trench area.
    Little
    testimony
    was given
    by
    PDC about the pre-placement
    treatment
    (if any) of manufactured
    gas plant (MGP) remediation
    waste
    disposed
    in and comprising
    a significant
    quantity of landfill
    capacity.
    The dust created by
    the disposal process
    itself plus the wind
    will result
    in
    easy
    movement
    of
    this most toxic of substances
    to neighboring
    residential
    properties, thus risking
    their health and
    safety.
    PFATW Evidentiary
    Summary
    Page 16 of
    51

    PDC attempted
    to
    discount
    the
    TRI
    numbers.
    That
    the
    Toxic
    Release
    Inventory
    (TRI)
    includes
    materials
    deposited
    in
    the PDC
    hazardous
    waste
    landfill
    is
    beside
    the
    point.
    To the
    public,
    college
    students,
    and
    those
    looking
    to move
    families
    or
    businesses
    to
    Peoria
    County,
    looking
    at the
    TRI
    numbers
    is
    shocking
    - so
    shocking
    as to
    dissuade
    anyone
    who
    looked
    at
    them
    from
    locating
    here.
    In
    addition,
    the TRI
    is a
    good benchmark
    of
    how
    many
    toxic
    chemicals
    are being
    stored
    in
    the
    landfill
    in
    Peoria
    County,
    in
    perpetuity,
    just
    waiting
    for
    the
    “foolproof”
    design
    to
    deteriorate
    over
    time.
    As
    stated
    earlier,
    the
    Peoria
    County
    Board
    is
    entitled
    under
    the
    law
    to
    deny
    the Application
    if the
    Board
    determines
    that the
    proximity
    of the
    landfill
    expansion
    to the
    interconnected
    Sankoty/Shelbyville
    aquifer
    creates
    a present
    or
    future
    public
    health
    concern,
    even
    if all
    technical
    requirements
    of
    the application
    process
    are otherwise
    met.
    On
    this
    criterion,
    the
    Peoria
    County
    board
    is
    free
    to
    weigh
    the
    science
    with
    public
    policy.
    In effect,
    it
    defines
    what
    steps
    can
    be taken
    to
    protect
    the
    health,
    safety
    and
    welfare
    of the
    people
    they
    are
    elected
    to
    serve.
    As
    board
    members,
    you
    can decide
    “how
    safe
    is safe?”
    The
    long
    list
    of constituents
    who
    oppose
    this
    measure
    are counting
    on
    you to
    consider
    their
    safety
    when
    making
    this
    decision.
    Voting
    against
    this measure
    is
    a
    strong
    vote
    of support
    for our
    community’s
    health
    and
    well
    being.
    Not
    only for
    today,
    but
    for
    many
    generations
    to come.
    PFATW
    Evidentiary
    Summary
    Page 17
    of
    51

    CRITERION 3:
    The facility is located so as to minimize incompatibility
    with the character
    of the surrounding area
    and
    to
    minimize the effect of the value ofsurrounding
    property.
    The following
    photos demonstrate that there has
    been little or no regard to remain
    compatible
    with
    the
    surrounding residential area. Worse
    yet, PDC plans to add an additional
    45 feet (4.5
    stories) to these mounds.
    PFATW Evidentiary Summary
    Page
    18 of 51
    !Jll
    Pe,ria
    Cøunty
    .!
    L

    PDC
    No.
    I
    affects
    neighboring
    properties.
    PDC
    has
    failed
    to properly
    evaluate
    the
    airborne
    releases
    from
    the
    existing
    landfill,
    as
    well
    as
    those
    that could
    occur
    from
    the landfill
    expansion,
    which
    are
    a
    threat
    to public
    health
    and
    the
    environment
    in
    the
    vicinity
    of the
    landfill.
    6
    °
    PDC
    has
    failed,
    in developing
    this
    landfill,
    to provide
    adequate
    PDC-owned
    buffer
    lands
    between
    where
    hazardous
    wastes
    have
    been
    and
    are
    proposed
    to
    continue
    to be
    deposited,
    and
    adjacent
    properties.
    6
    The
    inadequate
    buffer
    lands
    lead
    to
    a situation
    where
    airborne
    releases
    of regulated
    and
    currently
    unregulated
    hazardous
    chemicals,
    through
    off-gases
    and
    volatilization,
    have
    limited
    opportunity
    for dispersion
    on PDC
    property
    before
    trespass
    onto
    adjacent
    properties.
    62
    Property
    values
    will decrease.
    PDC’s
    claim
    that
    property
    values
    will
    not
    decrease
    is fundamentally
    flawed.
    There
    was no
    evidence
    that
    the
    buyers
    or sellers
    were
    notified
    of
    the
    existence
    of
    the
    hazardous
    waste
    facility.
    63
    In
    a recent
    legal
    case,
    a property
    owner
    was
    awarded
    damages
    because
    a health
    stigma
    drove
    down
    property
    values.
    6
    PDC
    implied
    that
    there
    is already
    a
    stigma
    associated
    with
    their
    landfill
    when
    they
    stated
    that
    their
    facility
    has
    been
    compared
    to
    “Love
    Canal,”
    and
    then
    PDC
    had
    to educate
    the county
    board
    as
    to
    the
    differences.
    65
    PDC’s
    consultant
    on
    property
    values,
    Gary
    DeClark,
    testified
    about
    property
    values,
    but...
    Gary
    DeClark
    did
    not even
    attempt
    to
    analyze
    the 52%
    of the
    land
    to the
    west
    of
    the
    site
    that
    was
    predominately
    agricultural
    or
    vacant.
    The
    report
    did
    not cover
    the
    entire
    “surrounding
    property,”
    it only
    covered
    half of
    it, and
    left
    out
    a
    significant
    piece
    of
    the
    puzzle.
    66
    PDC
    has
    not satisfied
    the valuation
    impact
    criteria.
    Gary
    DeClark
    has
    studied
    valuation
    and
    impact
    issues
    relating
    to
    landfill
    siting
    on
    four
    (4)
    prior
    occasions,
    and
    on all
    4, found
    no
    affect
    on value
    from
    the
    location
    a
    landfill.
    The
    effect
    of the
    landfill
    on
    valuation
    was
    not just
    ‘minimized,”
    it
    did
    not exist.
    67
    Again,
    Gary
    DeClark
    failed to
    conduct
    his
    “impact
    study”
    on the
    roughly
    one-half
    of the
    land
    predominately
    to the
    west
    of the
    site and
    consisting
    of vacant
    or
    agricultural
    land.
    He
    initially
    claimed
    he did
    not
    do
    such
    a
    study
    because
    of “insufficient
    data”
    of
    sales,
    etc.
    68
    Truth
    be told,
    however,
    is that
    Gary
    DeClark
    later
    admitted
    that
    he
    never
    even
    investigated
    the
    agricultural
    land
    on the
    west
    half
    of the
    site, never
    even
    considered
    doing
    a
    study
    on
    it.
    69
    A
    study
    was
    not
    done
    because
    of
    insufficient
    data,
    but
    rather
    because
    PDC
    and Gary
    DeClark
    only
    wanted
    to
    give us
    half the
    picture.
    Without
    doing
    a
    study,
    without
    doing
    any investigation
    whatsoever,
    Gary DeClark
    still
    gave
    his
    opinion
    that there
    would
    be no
    impact
    on property
    values
    to
    the west
    side
    of the
    site.
    This
    opinion
    was
    based
    on his
    4
    previous
    landfill
    studies,
    none
    of which
    concerned
    hazardous
    waste
    facilities.’
    0
    After
    having
    given
    his
    opinion
    that there
    is
    no impact
    on
    property
    values,
    residential
    to
    the
    east
    and agricultural
    to
    the west,
    Gary
    DeClark
    then
    declared
    that
    every
    real
    estate
    salesperson
    had
    a
    duty
    to disclose
    the
    existence
    of
    the landfill
    to
    their
    clients
    and
    customers.
    7
    How
    can
    Gary
    DeClark
    declare
    that
    real
    estate
    salespeople
    have
    a
    duty
    to
    disclose
    the existence
    of the
    hazardous
    landfill
    to
    potential
    buyers,
    and
    then
    still
    declare
    that
    that disclosure
    will
    have
    no
    impact
    on
    valuation?
    It defies
    reality
    and
    common
    sense.
    Testimony and
    report
    by
    PDC’s
    Consultant,
    Chris
    Lannert,
    was
    not
    credible:
    The
    written
    conclusions
    of
    the Lannert
    Group
    (authored
    by
    Gregory
    B. Stevens,
    and
    not the
    testifying
    witness,
    Chris
    Lannert)
    failed
    to find
    any incompatibility
    of
    any
    kind
    whatsoever
    between
    the
    hazardous
    waste
    disposal
    facility
    and
    the residential
    areas
    directly
    abutting
    roughly
    42
    %
    of the
    site,
    most
    of it
    being
    located
    in the
    City
    of Peoria.
    72
    No incompatibility
    was found
    by
    Mr.
    Lannert
    even
    though
    some
    residences
    are a
    mere
    200
    feet
    away
    from the
    PDC
    site.
    73
    It
    also
    concluded
    that no
    visual
    detriment
    to the
    landscape
    will be
    created
    by
    adding
    45 feet
    in
    elevation
    to
    the
    site,
    and
    therefore,
    there
    is
    no incompatibility.’
    4
    PFATW
    Evidentiary
    Summary
    Page
    19 of
    51

    Lannert Group
    failed
    to
    analyze
    the size of
    population
    living within
    close proximity
    (within
    1500 feet) of landfill,
    but acknowledged
    a large
    number
    of
    homes and apartment
    buildings,
    including
    some ongoing new construction.
    75
    Lannert Group had never
    seen an operating
    hazardous
    landfill this close
    to a
    major
    residential
    population center,
    with the closest
    they had ever
    seen being in Joliet
    and “a mile
    or
    so” away
    from the nearest residential
    units;
    yet again, PDC’s landfill
    was found to
    be compatible with
    its
    surroundings.
    76
    No setback restrictions
    or locational
    requirements
    were
    even contemplated
    by
    Lannert
    Group
    where
    they
    did
    not find anything
    “incompatible” in the
    first place.
    Nonetheless,
    he later
    testified
    that if the landfill
    got
    too high
    or too close, “there
    could
    be some
    negative
    aspects,
    you know, of that
    type
    of landfill
    design.”
    7
    Vertical
    expansion
    computer
    landform
    models were purposely
    manipulated
    so
    as to distort
    and minimize the truly
    massive
    impact
    another
    45
    feet vertical
    expansion is going
    to
    have
    on
    adjacent
    residential properties.
    In
    point of fact,
    Proposed View
    3 was taken from a
    third-story
    balcony
    in
    a
    distant
    apartment
    (800
    feet
    back) to lessen the
    modeled impact
    78
    ,
    a greater
    distance away
    than any other computer
    modeled
    photo created
    by
    Lannert
    Group.
    Mr.
    Lannert
    stated that the initial
    picture forming the
    basis for the
    modeled image was taken
    on
    a
    public access
    cul-de-sac at ground
    level, and implied
    that the computer
    use of aerial photos
    made
    it look like
    the picture
    had
    been taken from
    a higher vantage point.
    79
    Mr. Lannert
    even
    acknowledged
    the impact
    of his manipulation
    when he answered
    another question
    by stating
    that when one is closer
    to a viewpoint,
    “it tends to mask what
    reality
    °8
    is.”
    The “reality” is that
    Lannert
    Group
    set out to
    minimize the impact
    of the photos taken
    by
    Peoria Families Against
    Toxic Waste.
    Mr. Lannert
    testified that
    “a
    picture is worth a thousand
    words.”
    81
    The
    3-D photo image that
    Lannert
    Group manipulated
    was the one with
    a similar perspective to
    the Peoria Families
    Against Toxic Waste
    photos included
    at the beginning of this
    section. Lannert
    Group’s action
    speaks louder
    than
    even
    those thousand
    words.
    Mr.
    Lannert
    did
    acknowledge
    that the Peoria
    Families Against Toxic
    Waste photos at issue
    represented “realistic pictures
    in
    terms
    of relationship.”
    82
    Mr. Lannert,
    a member
    of the
    American Planning
    Association (APA),
    was
    unfamiliar with the
    APA’s
    Policy Guide on Solid
    and
    Hazardous
    Waste Management dated
    April
    15, 2002,
    and in
    particular with Policy
    6
    which recommended
    that environmental
    protection
    and
    environmental justice
    should be ensured
    in every landfill
    siting determination.
    He agreed
    with the policy, just not
    as it applied
    to
    the PDC case.
    83
    In essence, Mr. Lannert’s
    testimony on
    compatibility
    was: Since the landfill is
    already there,
    the
    surrounding
    uses
    must be
    compatible. On this
    point he is wrong:
    The
    Application is
    treated
    as if it is a new pollution
    control facility,
    and compatibility standards
    must
    be applied
    as
    strictly to an expanded
    facility
    as to one not
    yet
    in
    existence. He, and the
    Lannert Group,
    did neither,
    and therefore their report
    is insufficient
    to meet Criterion
    3.
    Authorities
    weigh in on the
    topic of property
    values...
    “Everyone
    is concerned about
    property
    values.
    Very
    few people would
    buy a house near
    an airport
    or
    highway
    but
    we are less
    diligent when it comes
    to
    investigating
    hazardous waste sites
    near our
    home. In the
    case of hazardous waste
    sites, the
    best
    form ofprevention is to avoid
    them. Finding
    the location
    of current or potential
    hazardous waste
    sites is critical
    before you purchase a home.
    Sometimes they
    may
    be closer than you
    think.
    Proximity
    to such sites should be considered
    especially ifyou
    acquire
    your
    drinking water from a iell.”
    84
    —The
    Center for Environmental
    Health, Home
    Safety
    “No one
    wants
    to buy-or
    list-a house near an
    environmental hazard.
    “and “Homebuyers have
    a
    million details to manage,
    from financing
    their new homes
    to checking out the quality
    of nearby
    schools. They shouldn’t
    have
    to worry about the air
    they breathe or the
    water they drink. Real
    estate
    professionals
    can recommend
    Scorecard.org
    to help buyers evaluate
    an area’s environmental
    safety.
    The
    site
    allows
    users to identify
    local environmental
    hazards
    and gauge
    area pollution
    levels. You
    might also want
    to check it out before
    you list a toxic home
    that could hurt your
    reputation and possibly
    e2cpose you to liability.”
    8
    —RealtorMag
    PFATW Evidentiary
    Summary
    Page 20 of
    51

    “The results
    of
    the study
    of residential
    housing prices
    of homes located in
    the proximity
    to
    a
    large
    toxic
    chemical waste landfill in
    Toledo, Ohio,
    area from 1986
    to 1990 strongly suggests
    a
    distinct
    negative impact on
    sale
    prices for homes
    located within
    2.6 miles of the existing
    site
    and a
    diminishing
    impact before
    a
    distance of 5.75 miles
    is reached.”
    86
    —Department
    of Finance at the University
    of Toledo,
    Ohio
    “It is now so clear that
    hazardous waste
    condition should result
    in
    lower real
    property tax
    assessments
    that an appellate court
    has held
    that an
    upstate town had a
    cause of action against
    a
    polluter for an alleged reduction
    in tax revenue
    for neighboring
    properties whose assessments
    were
    reduced
    because
    of its alleged pollution.”
    87
    —Hazardous
    Waste Conditions
    and Real Estate
    Taxes
    Revisited,
    William Siegel
    PFATW Evidentiary
    Summary
    Page 21 of
    51

    CRITERION 3—SUMMARY
    PDC expects people
    to believe that their
    business of disposal
    of hazardous
    waste and the
    proximity
    of
    their site
    to surrounding homes will
    not
    have
    any
    effect on property values.
    It goes against logic to-assert
    that
    people
    would choose to live next
    to
    an environmental
    hazard. Even if
    it were
    just a perceived threat,
    most
    people
    would
    still choose not to
    live near it.
    PDC’s secret
    is out. Now that the
    community is
    becoming aware of the issue,
    expect to see
    declines
    in property values and
    county tax revenues.
    Until
    this application was
    submitted a few
    months
    ago,
    most Peoria
    County residents
    were not
    aware that
    a
    hazardous
    waste dump
    was in
    our
    midst.
    This
    hazardous waste
    site has been largely
    unknown.
    It is certainly not
    a business that our
    community has publicized
    when
    attempting
    to
    attract talent
    and
    families to the area.
    Many of the citizens
    of Peoria County were
    not aware of the
    activities
    that
    were
    being performed
    behind the PDC
    No.
    1 security
    gate. They know now. Now
    that it is
    public knowledge,
    realtors
    will
    be
    forced
    to disclose
    the fact that an active
    hazardous
    waste dump is operating
    within miles
    of the proposed house
    sale. Property values
    will decline.
    The publicity of the dump
    has caused
    a recent increase in requests
    to
    the
    Assessor’s
    Office by
    Peoria-area home
    owners
    to
    decrease their property
    taxes given their proximity
    to a hazardous
    landfill.
    This will have a negative
    effect
    on
    property values
    overall.
    PDC also
    expects us to believe that
    they have taken
    care to minimize the
    impact to the
    surrounding areas. The
    photographs
    speak for themselves.
    PFATW
    Evidentiary Summary
    Page 22 of
    51

    CRITERION
    4:
    The
    facility
    is located
    outside
    the
    boundary
    of
    the 100-year
    flood plain
    or
    the site
    is flood-proofed.
    The
    “glacial
    terrace”
    upon
    which
    the
    landfill
    is
    located,
    although
    not
    in
    a
    flood
    plain,
    is
    essentially
    surrounded
    by
    floodplains
    or
    ravines/low
    areas.
    There
    is
    no room
    for
    error—if
    waste
    is
    released
    off of
    site laterally
    (leachate
    runoff
    from
    the
    sides
    as
    opposed
    to
    down
    through
    the
    till)
    it
    will
    immediately
    get
    into
    the floodplain
    and
    the recharge
    area.
    Kickapoo
    Creek
    is a
    significant
    recharge
    source,
    as
    are the
    3 forks
    of the
    unnamed
    creek
    to
    the
    east
    and
    south
    of the
    site.
    PFATW
    Evidentiary
    Summary
    Page
    23
    of
    51

    CRITERION 5:
    The plan
    of
    operations for
    the facility is designed to minimize
    the danger to the surrounding area
    from
    fire, spills, or other operational accidents.
    Dr. Lee has specific comments that
    talk to the hazards of the PDC
    No.
    1 site. We list some of
    his issues below, but we
    prefer you to his report and papers
    for a more complete and in-depth
    technical analysis of the matter.
    The buffer area between the landfill operations
    and adjacent
    properties is inadequate for
    safety. Dr.
    Lee
    discusses
    the hazards of living near
    a hazardous waste landfill.
    88
    Airborne releases will have little opportunity
    to dilute before drifting
    into
    nearby
    neighborhoods
    and schoolyards.
    89
    Dr. Lee addresses the inadequacy
    of PDC’s airborne emissions
    monitoring, particularly
    the number of potentially harmful
    substances that are tested for.
    Seventy wells are within 1.5 miles
    of the site; 11 are within
    a mere 1,500 feet. Dr. Lee
    details eventual
    problems in this regard, including
    inadequate
    monitoring and the lack
    of
    a plan for replacing contaminated
    water sources for the
    surrounding area.
    91
    There have been at least four documented spills
    at PDC No. 1 since
    1994.92
    PFATW
    Evidentiary Summary
    Page 24 of 51

    CRITERION
    5—SUMMARY
    Spills
    prove
    accidents
    happen,
    and any
    accident
    puts
    our citizens’
    health
    at risk.
    There
    have
    been
    at
    least
    four
    documented
    spills
    from
    the
    PDC site
    since 1994.
    The
    topic
    of
    undocumented
    spills
    was
    not
    addressed
    in
    the
    hearing,
    but questions
    remain.
    Any
    spill
    of toxic
    material
    is serious.
    PDC
    has a
    history of
    them.
    Dr.
    Lee’s paper
    addresses
    some
    of the
    hazards
    that
    exist with
    the
    PDC landfill
    and
    how
    those
    issues impact
    the
    people
    and
    resources
    surrounding
    it.
    One
    thing
    is
    sure.
    Once
    the
    landfill
    is closed,
    the
    possibility
    of
    such
    occurrences
    diminishes
    significantly.
    PFATW Evidentiary
    Summary
    Page
    25
    of
    51

    CRITERION 6:
    The traffic patterns to or from the facility are
    so designed as to minimize the impact on existing traffic
    flows.
    PDC has discussed increasing their area traffic,
    including rail.
    “The hazardous waste industry is shrinking,
    so we will have to expand beyond our territory of the
    Midwest
    if
    we want
    to maintain
    and/or
    expand our disposal
    volume at our Peoria hazardous
    waste landfill. This entails the use of rail, which
    gives us access into those other markets.
    —Chris Coulter
    “Thinking outside of the
    box
    on
    issues, such as rail transportation ofgarbage from across the
    United States to our facilities and operating the
    transfer stations we already have in place, will
    help
    us to grow.”
    91—Matt Coulter
    More traffic means more transportation
    pollution and hazards.
    90.5 percent of all hazardous material disposed
    of at PDC No. 1 comes from outside our
    county. This represents a significant increase in
    traffic as well as transportation related
    emissions and pollution
    that would exist because such
    a
    high
    percentage
    of PDC’s
    business
    is
    non-local.
    Ron Edwards
    himself
    acknowledged the issue of transportation pollution
    in
    his
    testimony.
    95
    Question:
    “So
    it’s not practical
    to
    have
    a local generator bring the waste that is normally
    done where the only thing
    that has changed is instead of it being put in Trench C-5, it
    would be packed up and shipped to Indiana or to
    another then licensed
    facility?”
    Answer of Ron Edwards:
    “Right, that certainly wouldn’t be economically practical. But,
    you know, also just the transportation of that creates
    many more
    emissions
    as well. I
    mean, you know, if we’re looking out for the environment,
    there’s a couple of reasons
    there,
    but certainly the economic impact
    would be the most substantial for generators.”
    PFATW Evidentiary Summary
    Page 26 of 51

    CRITERION
    6—SUMMARY
    Because
    PDC
    accepts
    hazardous waste
    from
    non-local
    industry,
    its traffic
    on our county
    roads is
    approximately
    10
    times higher
    than
    if
    it
    were just
    local.
    Approximately
    nine out of
    10 shipments
    PDC
    accepts
    would not even
    be
    on
    the road. This
    significant
    amount
    of non-local
    traffic greatly
    increases
    the chance
    of accidents
    and
    spills.
    Keep
    in mind that
    the entire
    expansion
    proposal
    is based
    on a business-as-usual
    scenario.
    PDC
    may
    elect to
    double
    or
    triple
    its shipments
    without
    oversight.
    In addition,
    this
    application
    does
    not
    address
    potential
    traffic
    impact in the
    event that
    PDC
    changes
    management
    or chooses
    to
    utilize
    rail
    transport.
    PDC’s
    voluntary
    condition
    number
    2, to agree
    not
    to construct
    a rail
    spur,
    may
    be
    beyond the
    County
    of
    Peoria’s
    ability
    to enforce.
    One
    just
    has to look
    at the
    Kellar
    Branch
    abandonment
    application
    being subject
    to
    other
    regulatory
    authorities
    to
    see
    why.
    PFATW
    Evidentiary
    Summary
    Page 27 of
    51

    CRITERION
    7:
    If the facility
    will be treating, storing
    or disposing
    of hazardous waste,
    an emergency response
    plan
    exists for the facility, which
    includes notification,
    containment and
    evacuation procedures
    to be used
    in
    case of an accidental release.
    What about
    a fire?
    PDC acknowledges that
    there exists the
    possibility of a waste fire
    at
    its site.
    96
    In the case of
    fire, the
    Limestone
    Volunteer
    fire department will be the
    only fire department
    to
    respond.
    97
    Ron Edwards
    stated that he did not
    know what
    hazardous material training
    the responding
    fire department
    has had.
    98
    The PDC application
    makes no mention
    of PDC employees
    being trained
    as
    firefighters.
    99
    Part
    of
    PDC’s
    property
    extends into the city
    of Peoria (referred
    to as setback or buffer area).
    The
    PDC Application does
    not include
    coordination
    with City
    of Peoria emergency
    services.’
    00
    PFATW Evidentiary
    Summary
    Page 28 of
    51

    CRITERION
    7—SUMMARY
    Besides
    the
    hazardous
    waste
    that PDC
    No.
    1
    has on
    its premises,
    there
    also exists
    heavy
    machinery,
    buildings
    and
    other
    structures
    to support
    the
    handling
    of
    this
    material.
    These
    items
    are susceptible
    to
    fire.
    In the
    event of
    fire, the
    responding
    volunteer
    fire
    department
    may
    not be
    trained
    on
    how to
    deal with
    the
    special
    circumstances
    that
    exist
    at
    PDC
    No.
    1. Nor
    are PDC
    personnel
    trained
    on the
    complexities
    of
    firefighting.
    This
    gap
    will have
    to
    be
    filled at
    the time
    of
    an actual
    emergency
    when
    seconds
    may
    affect lives.
    In
    addition,
    part of
    the PDC
    No. 1
    landfill
    property
    extends
    into
    the city
    of
    Peoria.
    Despite
    this,
    there was
    no
    testimony
    regarding
    coordination
    with the
    City of
    Peoria in
    the event
    of an
    emergency.
    Furthermore,
    PFATW
    has
    contacted
    several local
    government
    entities
    in
    an attempt
    to
    understand
    our
    community’s
    readiness
    in
    the
    event
    of a toxin
    release
    at PDC
    No.
    1.
    The majority
    of them
    did
    not have
    a
    plan
    in
    place
    to
    deal
    with
    such an
    emergency.
    Remember,
    in the
    case of
    a disaster,
    natural
    or otherwise,
    if the
    groundwater
    is contaminated,
    evacuation
    may
    not be limited
    to
    a few days.
    A
    contaminated
    water
    supply
    may have
    a
    devastating
    and
    long
    term
    impact
    on
    the
    county.
    PFATW
    Evidentiary
    Summary
    Page
    29 of
    51

    CRITERION
    8:
    The facility is consistent with
    the County solid waste mantigement
    plan.
    The current Peoria County Solid
    Waste Management Plan is
    silent on hazardous waste landfills.
    Prior
    versions
    did
    seek to reduce
    generation and to facilitate recycling
    of hazardous waste in the
    county,
    but were dropped
    due to funding.
    10’
    Dr. Lee
    points
    out
    issues regarding the long
    term care of the site
    PDC only proposes
    to
    provide postclosure
    care (monitoring and maintenance) of the
    landfill
    for the
    minimum
    30-year period. This
    approach does not conform
    to
    Peoria
    County’s
    requirement of “perpetual
    care.”
    PDC has established a postclosure
    funding approach in the
    form
    of a Trust Fund, which will
    provide
    for minimal postclosure monitoring
    and maintenance during
    a
    30-year
    postclosure
    care period.
    Apparently, PDC’s
    approach to postclosure funding
    will require that Peoria County provide
    postclosure funding beyond
    this minimum 30-year postclosure
    care period, for the effectively
    infinite period
    of time that the wastes in
    the
    landfill
    will be a threat. The required
    postclosure
    funding will
    represent a significant financial
    burden and liability to the County.
    Other
    financial
    concerns
    Local businesses that do
    not use PDC hazardous landfill are
    being harmed through difficulty
    in recruiting talent
    to the area.’°2
    03
    Up to this point, Peoria County has received
    little or no compensation for
    the acceptance of
    these toxins.’0’
    According to the assessor, PDC paid
    $23,065
    for Landfill #1 in 2004 taxes.’°5
    The Peoria Journal Star states: “It expects
    to take in 150,000 tons yearly during the
    15
    additional years if the expansion
    is approved, a total of
    $180
    million
    in revenues at an average
    rate of
    $80
    per ton.”°6
    PFATW Evidentiary
    Summary
    Page 30 of
    51

    CRITERION
    8—SUMMARY
    Peoria
    looks
    out
    for
    its
    own. The
    county’s
    solid-waste
    plan
    attempts
    to
    balance
    the needs
    of
    the
    community
    with
    the handling
    of our
    garbage.
    The
    financial
    consideration
    of
    this
    plan is
    one
    that
    seeks
    to
    ensure
    the fiscal
    health
    of our county
    and
    local
    industries.
    Let’s
    look at
    the
    dollars
    and
    cents
    of this
    long
    term.
    PDC
    will
    stop
    care
    after
    30 years
    (assuming
    release
    of site
    by IEPA
    at that
    time).
    For the first
    30
    years
    of
    post-closure
    care, PDC
    will
    be responsible
    and
    the trust
    fund
    will
    grow
    (and
    will
    not be
    tapped
    by
    PDC),
    according
    to PDC’s
    estimated
    investment
    returns.
    PDC
    valued
    the
    trust fund
    at
    $2,606,964
    at
    the 31st
    year after
    closure
    (which
    is
    the
    first
    year
    of post-closure
    release
    by
    IEPA).
    They
    then
    ran
    the numbers
    for
    100 years,
    and
    assumed
    that
    only normal,
    annual
    care
    costs
    would
    be
    incurred.
    So
    PDC’s
    numbers
    run for
    at least
    130
    years
    from closure.
    From the
    time
    the
    facility
    is
    released
    by IEPA,
    the
    county
    will be responsible-
    PDC
    sets up
    a trust
    fund,
    and
    then
    the
    county
    takes
    it from there.
    Weaknesses
    abound,
    but one
    is
    that
    there is
    no
    guarantee
    that the
    whole
    trust
    fund
    wont
    be
    blown
    in the
    35th
    year,
    or
    the
    50th
    year,
    or
    worse
    yet,
    upon
    a
    default
    by
    PDC while
    it
    is still
    in the
    initial
    30
    year
    post-closure
    pre-release
    period.
    Does
    Peoria
    County
    need to take
    this
    gamble?
    The business
    case
    for local
    industry
    is weak.
    Manufacturers
    do
    not
    need
    a hazardous
    facility
    in
    their
    county
    to
    operate
    profitably.
    If
    they did,
    there
    would
    be
    hazardous
    waste
    sites in
    most
    every
    county.
    The
    fact that
    only 12
    similar
    hazardous
    waste
    landfills
    exist in
    the United
    States
    shows
    that industry
    can
    thrive
    while
    having
    one
    not only
    outside
    its county,
    but
    outside
    its state.
    PDC
    has
    put
    the interests
    of Peoria
    County
    second
    to its profit
    margin.
    Rather
    than
    reimburse
    Peoria
    for
    the negative
    effect
    that
    it
    has on
    the community,
    it chose
    to
    offer
    no compensation
    for
    its
    unpopular
    activities
    until it
    requested
    this expansion.
    If Peoria
    County
    accepts
    hazardous
    material
    by
    the
    ton, and
    therefore
    the
    risk,
    why
    does
    it receive
    little or
    even
    negative
    benefit?
    PFATW
    Evidentiary
    Summary
    Page
    31
    of 51

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    Serious
    concerns regarding
    the
    safety
    of the
    Barrel Trench
    burial area at PDC
    No. 1 are:
    There
    is only a 10- foot clay
    “liner”
    below
    the
    barrels.”
    6
    The
    barrels contain
    solids and liquids including
    organics.”
    7
    These barrels
    were placed in the landfill
    before environmental
    regulations
    for
    treating
    hazardous
    waste existed.’
    18
    It has been over
    20 years
    since
    the steel
    barrels
    were buried in the trench
    and the barrels
    were
    intended
    for transportation
    and not for long-term
    storage
    of chemicals and
    other hazardous
    and non-hazardous
    wastes.”
    9
    A 1983 EPA
    report on the
    PDC No. 1 site refers
    to “contaminants
    found
    puddled
    on soil from
    leaking
    drums”
    2
    °
    “The Shelbyville
    Outwash
    (SankOty
    Sand)
    is
    located stratigraphically
    beneath the Illinoisan
    Drift.
    There
    is
    also
    a
    barrel
    trench in the site which
    has received hazardous
    waste. Barrels
    are no longer
    being placed in the
    trench.
    However,
    contaminated
    soil is now being placed
    in the trench to bring
    it
    to grade.”
    12
    —Project
    Plan, Hazardous
    Waste Ground
    Water Task Force, PDC,
    04/04/86
    How reliable is the
    liner
    that protects
    our water
    source?
    HDPE
    liners
    are permeable
    even when intact.’
    22
    HDPE liners will
    deteriorate and
    leak.’
    23
    The PDC
    landfill
    liner
    system,
    consisting of plastic
    sheeting
    and
    clay layers, will,
    in time,
    deteriorate in its ability
    to prevent
    hazardous
    waste leachate
    from penetrating
    through
    it,
    which can lead
    to the pollution of groundwaters
    with
    hazardous
    and
    deleterious chemicals.
    This
    will cause the groundwaters
    to be a health
    threat
    to those
    who
    use them for
    domestic
    water
    supply, and will
    render the groundwaters
    unusable for
    domestic
    and
    many other
    purposes.’
    24
    What
    do the tests show about
    PDC’s liner
    system?
    A report
    prepared
    for PDC
    by
    Environtech
    Consultants
    indicates
    expected
    leakage through
    the
    top
    liner
    of the PDC Environmental
    Management
    Facility,
    Landfill cell C-i.’
    25
    PDC’s
    witness confirmed
    that toxins have already
    been
    found
    in PDC leachate.’
    26
    PDC’s water
    analysis reports
    confirm
    these findings.’
    27
    Experts on
    both sides agreed that
    low
    levels of contaminants
    from
    Peoria
    Disposal
    Co.’s
    hazardous waste landfill
    already have
    penetrated
    the aquifer
    below it.’
    28
    What about
    the Pleasant Valley
    report? Didn’t
    that say that the PDC
    No. 1 posed no danger?
    The
    Groundwater Protection
    Needs Assessment
    for Pleasant
    Valley Public
    Water District
    (“Pleasant Valley”)
    dated
    September
    24, 1992 concluded
    with respect to the
    PDC hazardous
    waste landfill that
    there is a “minimal
    potential
    hazard
    presented
    by this facility” to Pleasant
    Valley.’
    29
    The Groundwater
    Protection
    Needs Assessment
    did not
    say the close
    proximity of the landfill
    to the Pleasant
    Valley
    wells was
    hazard-free.
    Furthermore, in coming
    to its conclusion,
    the
    Groundwater
    Protection
    Needs
    Assessment
    heavily relied
    on
    PDC’s modeling of the
    groundwater flow velocities
    under
    the PDC site.’
    3
    °
    The facts
    set forth in Criterion
    9, below, cast doubt
    about
    the
    validity
    of the modeled
    flow
    velocity numbers created
    by
    PDC
    as compared
    to the actual
    flow velocity numbers
    during
    1989, 1990 and 1991, the
    same time period
    when
    the
    Groundwater Protection
    Needs
    Assessment
    was being formulated.
    Monitoring performed
    by PDC may
    not be accurate.
    PDC does
    its own leachate
    testing, except for one
    annual
    test by
    the IEPA.’
    3
    PDC’s
    current
    and proposed groundwater
    monitoring
    system,
    employing
    vertical monitoring
    wells spaced hundreds
    of feet
    apart, is inadequate
    to detect leachate-polluted
    groundwater
    when
    it first reaches the
    point of compliance
    for groundwater
    monitoring.
    This can lead
    to
    offsite
    (adjacent property)
    pollution
    of groundwaters, without
    this pollution
    having
    been
    detected
    by
    the
    monitoring
    wells.’
    32
    PDC’s proposed approach
    for monitoring/maintenance
    of the landfill cover
    will not prevent,
    for as long as the
    wastes
    are a
    threat, water from
    penetrating through
    the cover
    and
    entering
    PFATW
    Evidentiary
    Summary
    Page
    33
    of
    51

    the wastes
    to generate
    leachate
    that will contain
    hazardous
    chemicals
    at concentrations
    that
    threaten
    to
    pollute
    groundwaters.’
    33
    Overall,
    PDC’s
    approach
    toward
    analyzing
    the potential
    threat that
    the
    hazardous
    waste
    landfill
    represents
    to pollute
    groundwaters
    is superficial
    and
    based on inadequate
    evaluation
    of the
    long-term
    characteristics
    of the landfill
    liner system
    and the
    flow
    paths
    by
    which
    leachate
    that
    penetrates
    through
    the liner system
    can pollute
    groundwaters
    of the area.’’
    4
    Independent
    auditing
    of the
    PDC
    laboratory
    which performs
    water analysis
    testing
    documented
    57
    deficiencies.’
    3
    In 4
    of the 5
    years from
    2000
    to 2004, PDC
    reported
    dangerous
    emissions
    of PM-b
    pollutants
    into our
    air
    that exceeded
    the annual
    allowable emissions
    established
    by
    permit
    for the
    waste
    processing
    facility by
    the Illinois
    EPAJ’
    6
    Indeed,
    PDC’s PM-b
    emissions
    have
    been
    consistently
    high
    for
    the last
    five consecutive
    years reported,
    with
    2004 being
    the
    highest.
    137
    This trend
    is especially
    concerning
    given the known
    risks associated
    with
    PM-b.
    Peoria
    has
    had
    earthquakes!
    Disasters
    such as earthquakes
    or
    tornadoes
    may
    cause a breach
    of
    the
    barrier and
    contamination
    of the Sankoty.’
    38
    • PDC
    stated in
    their testimony
    “only relatively
    mild
    ground shaking
    would
    happen in Peoria”
    39
    Earthquakes
    in the
    central
    or
    eastern United
    States affect
    much larger
    areas
    than earthquakes
    of similar
    magnitude
    in
    the western United
    States.’
    4
    °
    For example,
    the San
    Francisco,
    California,
    earthquake
    of
    1906
    (magnitude
    7.8) was felt
    350
    miles
    away
    in
    the middle of
    Nevada, whereas
    the New
    Madrid earthquake
    of
    December 1811
    (magnitude
    8.0)
    rang
    church bells
    in
    Boston,
    Massachusetts,
    1,000 miles
    away.
    The
    probability for
    an earthquake
    of
    magnitude
    6.0 or
    greater
    is significant
    in the near
    future,
    with a 90
    percent
    chance
    by
    the
    year
    2040142
    PFATW
    Evidentiary
    Summary
    Page 34
    of
    51

    CRITERION
    9—SUMMARY
    There
    are two
    primary
    ways that
    toxins
    can
    reach the
    people of
    Peoria County
    in
    the event
    ofa
    release
    of
    hazardous
    materials:
    air
    and
    water. Common
    sense
    dictates that
    to minimize
    the
    risk to
    the community,
    a
    hazardous
    waste
    site should
    not be located
    over
    public
    drinking water
    sources.
    The IEPA
    even requires
    it.
    Enter
    PDC No.
    1
    Built
    directly over
    a part of the
    Sankoty
    Aquifer
    system,
    it places
    a heavy
    burden
    on the
    barrier
    that
    separates
    the
    toxins
    and
    our water
    supply. That
    barrier may
    not
    last as
    long as PDC
    would
    like us
    to
    believe.
    Some
    of Dr. Lee’s
    concerns
    talk specifically
    to
    the
    longevity
    of the
    liner
    system
    and
    its role in
    protecting
    our
    water supply.
    He disagrees
    with Dr.
    Daniels
    on
    key points.
    A
    summary
    of his findings
    are located
    in his
    analysis
    of the
    PDC application.
    Bottom line:
    This
    is a ticking
    time bomb.
    The
    EPA states
    that
    water
    contamination
    can
    be extremely
    costly
    to clean
    up.
    In some cases,
    it
    may
    not even
    be
    possible.
    The
    very
    fact that monitoring
    and
    testing must
    be
    done proves
    that
    contamination
    is
    possible;
    otherwise,
    why
    test
    at all?
    All of the hydrogeological
    consultants
    who
    testified
    at the
    hearing
    agreed
    that the
    site proposed
    for expansion
    sits
    on
    top of an aquifer
    system
    known as
    the Shelbyville
    Outwash,
    a deposit of
    sand
    which
    is
    hydraulically
    interconnected
    to
    the
    predominate
    Sankoty.
    Dr. Barrows,
    on behalf
    of
    PDC,
    testified
    that the two
    were actually
    “interfingered”
    at
    the places where
    they
    meet.”
    3
    The
    Sankoty aquifer
    underlies
    an area of
    more
    than 750
    square
    miles.’
    44
    The
    base
    of
    the
    existing
    and proposed
    expansion
    of the PDC
    landfill
    is
    hydraulically
    connected
    to a
    complex
    aquifer
    system
    that is an
    important
    source
    of domestic
    water
    supply
    for the Peoria
    area.’
    45
    It supplies
    many
    irrigation
    wells,
    and
    in the tn-county
    area alone
    furnishes
    drinking water
    to 264,000
    people
    in
    39 communities.’
    46
    However,
    no one
    could
    tell exactly
    where
    the
    Shelbyville
    sands stop
    and where
    the Sankoty
    sands
    begin
    in relation
    to the site.
    Dr. Barrows
    referenced
    two known
    wells
    slightly
    to the
    southeast
    and
    northeast
    of the
    site as being
    indicative
    of Sankoty
    sands.’
    47
    Dr. Barrows
    then stated
    at the hearing:
    “Now,
    where
    exactly
    you
    hit
    the Sankoty
    on this,
    I
    don’t
    know.”
    This
    uncertainty
    alone creates
    a
    sufficiently
    high
    public
    health
    concern
    to
    warrant denial.
    What
    is certain is
    that
    wherever
    the transition
    does occur,
    it is all
    the same
    water
    we drink
    - the
    Shelbyville and
    Sankoty
    are interconnected
    and
    interfingered.’
    48
    PDC
    itself
    acknowledges
    that
    the Shelbyville
    sands underneath
    the
    site
    constitute
    the “aquifer
    of
    concern.”
    49
    Thereafter,
    however,
    PDC
    took
    great pains
    to
    downplay
    the
    hydraulic
    connection
    by
    stating that
    the flow rates
    of movement
    of
    the
    water in
    the aquifer
    were
    very low,
    and for year
    2003
    under Area
    C,
    on
    the order
    of”approximately
    0.017
    feet per
    day
    (6.2
    feet
    per
    year).”°
    Dr.
    Barrows himself
    calculated
    them
    from PDC
    supplied
    data
    to be about
    eight (8)
    feet
    per year, after
    taking
    into
    account
    the
    range of
    velocities under
    different
    parts of the
    site.’’
    The
    Shelbyville
    sands
    were said
    by
    PDC
    to
    be
    about “15
    to roughly
    800 times less
    permeable
    than the Sankoty
    sand,”’
    2
    with
    the
    clear implication
    being that
    even
    if contamination
    got
    down into the
    Shelbyville
    Outwash
    sands, it
    would
    not
    go
    anywhere
    fast.
    PDC’s
    groundwater
    velocity
    figures
    and flow
    rates, at least
    for the
    year 2003,
    are dramatically
    lower
    - by
    over
    a
    factor
    of 10 - than
    what
    PDC’s
    own
    studies showed
    for 1989,
    1990 and
    1991.
    According
    to the
    1989 Annual
    Report
    Groundwater
    Monitoring
    prepared
    for
    PDC
    by Harza
    Environmental
    Services,
    Inc.
    (“Harza”), the
    flow
    velocities
    in the west
    area
    of
    Area
    C
    “ranged
    from
    0.20 to
    0.23
    ft/day”
    and for
    the east-southeast
    part
    of the site,
    “ranged between
    0.13 and
    0.15
    PFATW
    Evidentiary
    Summary
    Page 35 of 51

    ft/day.’’
    53
    These flow velocities
    come
    out to up
    to
    83.95 ft/year
    on the west side, and
    up to 54.75
    ft/year on the
    east-southeast.
    The velocities for
    1989 were not an isolated
    event. The similar
    report for
    1990, also prepared
    by
    Harza,
    shows west area ranges from
    0.17
    to
    0.25
    ft/day, and
    east
    side velocity stable at around
    0.08
    ft/day.’
    4
    The
    report for the next year,
    1991,
    was prepared
    by
    PDC
    Technical
    Services, Inc. and
    shows west area
    ranges
    from
    0.157 to 0.211
    ft/day, and east side velocity
    stable at
    around
    0.12
    ft/day.’
    55
    Whether
    by
    picking a
    dry (or slow)
    year,
    or taking mean
    values of hydraulic
    conductivity
    as
    opposed to averages,
    or
    by
    manipulating
    which slugs
    were
    tested for
    conductivity, or
    by
    not
    using
    all
    well information and related
    data available,
    PDC has
    certainly
    tried to put the best
    possible
    face
    forward on the issue
    all the while consciously
    seeking to minimize
    the impact
    of groundwater in
    the siting
    process.
    Fifty
    to Eighty
    (50
    to 80) feet per year of potentially
    contaminated
    water
    moving toward
    the faster Sankoty sands,
    the Pleasant
    Valley wells, and the Illinois
    American
    wells
    is
    certainly
    a fact that
    should create concern. It
    certainly did
    for PDC.
    Why should this
    flow velocity
    aspect
    of the groundwater
    interconnection
    be of concern?
    PDC
    acknowledges
    that groundwater
    protection
    is the
    most important
    factor in a siting application
    process. Yet, PDC tried
    to deflect
    the
    issues raised
    by
    the
    Peoria Families Against
    Toxic Waste,
    Heart
    of
    Illinois Group
    Sierra Club, and
    the Peoria
    medical
    community
    by
    maintaining
    a hard
    and
    fast position that
    there
    is no
    pathway
    for human exposure,
    through groundwater
    or
    otherwise.
    Like the
    disparities in groundwater
    velocities
    under
    the site, PDC’s
    current position
    flies in the
    face of prior pathway
    exposure
    reports
    it has prepared.
    To be in compliance
    with RCRA, PDC
    filed its
    Exposure
    Information Report
    (“Report”) with
    the
    US
    EPA and
    IEPA in August
    of 1985 associated with
    its then
    operating
    hazardous
    waste landfill
    units,
    the
    Barrel Trench and
    Area
    B.’
    6The
    present site, Area
    C, was in the planning
    process. The
    Report assessed the
    potential for human exposure
    to releases
    from the hazardous
    waste
    facility
    for
    a number
    of different potential
    pathways, including
    via the groundwater.
    The Report describes
    the landfill site
    geology
    in similar terms as in its
    current Application
    at issue. It includes
    an
    estimate of the
    flux of water passing underneath
    the
    site to be between 5,500
    and
    55,000 gallons
    of
    water a day.’
    57
    The Report states
    that if”a contaminant
    plume,
    originating
    from the PDC site
    enters the
    Shelbyville
    Outwash underneath
    the
    site, the population
    in the vicinity
    of the site
    that
    use groundwater
    from the Shelbyville
    and Sankoty outwash
    aquifers
    would
    be directly affected.”
    58
    The Report
    goes on to indicate that
    the contaminants
    would primarily
    affect a “3-mile
    radius of
    the site.”’
    59
    Figure
    2.2-1 of the Application
    shows that the Pleasant
    Valley wells
    are within 1.5 miles
    of the
    site.’
    6
    °
    George
    Armstrong
    testified that the
    closest Illinois
    American well is 2.9 miles
    to the south-
    southeast
    of the PDC
    site.’
    6
    Two
    major public water supplies
    to
    the population
    of Peoria County
    are located within that
    3-mile radius of the
    site.
    PDC
    significantly
    overreached
    in its hearing testimony
    about
    there
    being
    no potential hazard
    to
    the
    Pleasant Valley Public Water
    District wells
    created by the proximity
    of
    those
    wells
    to the
    landfill. George Armstrong
    stated
    that the Pleasant Valley
    groundwater
    needs assessment
    study
    evaluated
    the
    PDC landfill,
    “but it
    was
    not considered
    to
    be a potential
    hazard and was
    given a
    hazard ranking of zero.”
    62
    Nothing could
    be further from the
    truth.
    The Groundwater
    Protection
    Needs Assessment
    concluded that there
    is a
    “minimal
    potential hazard presented
    by this facility”
    to
    Pleasant Valley, far from
    being zero.’
    63
    Mr. Armstrong
    then
    omitted
    the fact that in formulating
    its conclusions,
    the
    Groundwater
    Protection Needs Assessment
    heavily relied
    on PDC’s modeling
    of the slow
    groundwater
    flow
    velocities under
    the PDC
    site
    to show that it would take
    a long time
    for contamination
    from PDC
    to
    reach
    the Pleasant Valley
    wells. The
    PDC
    facility was found
    by
    Clark
    Engineers
    MW to be
    outside of the 5 year
    capture
    zone,
    the area from where water
    pumped out
    the wells comes from
    PFATW Evidentiary
    Summary
    Page 36 of
    51

    during
    a 5
    year
    period.
    64
    Clark Engineers
    MW is
    silent
    on calculating
    how
    long
    it
    would
    take for
    water
    under
    the
    PDC
    landfill
    site
    to
    get
    to the
    Pleasant
    Valley
    well pumps.
    It merely
    said
    it was
    longer
    then
    5 years.
    Clark
    Engineers
    MW
    readily
    acknowledged
    in
    its report
    that
    the
    aquifer
    feeding
    the
    Pleasant
    Valley
    wells
    was widespread
    and
    contained
    various
    sands
    with
    different
    hydraulic
    conductivities.
    Hydraulic
    conductivities
    are
    greatly
    affected
    by the
    percentage
    of Sankoty
    sands
    are
    in
    the
    aquifer
    at
    any
    given
    point)
    In
    fact,
    it described
    the Shelbyville
    Outwash
    sand
    conductivity
    (5 cubic
    feet
    per
    day
    per
    square
    foot
    (cfd/sq.
    ft.))
    as
    compared
    to
    the conductivity
    of sand
    underneath
    the
    Pleasant
    Valley
    wells
    (80
    cfd/sq.
    ft.)
    and the
    super
    conductivity
    of
    the type
    of
    sand
    under
    Illinois
    American
    Water
    wells
    (3850
    cfd/sq.
    ft.).’
    66
    The
    fact
    that
    the Shelbyville
    Outwash
    is interconnected
    and
    interfingered
    with
    the
    Sankoty
    Outwash
    establishes
    the
    potential
    hazard
    associated
    with
    the
    PDC
    landfill
    being
    so
    close
    to
    the
    Pleasant
    Valley
    wells.
    Dr.
    Barrows
    himself
    stated
    he
    did
    not know
    where
    the
    better
    conducting
    Sankoty
    sands
    started.
    Far
    from
    being
    a
    ‘zero’
    risk,
    the
    close
    proximity of
    the hazardous
    landfill
    to
    the
    Pleasant
    Valley
    wells
    creates
    a
    clear
    and
    present
    potential
    risk
    for
    contamination
    of
    the public
    water
    supply.
    Groundwater
    contamination
    can
    have
    a
    serious
    impact
    on public
    health.
    With
    this
    in
    mind,
    we
    refer
    you to
    our
    findings
    on the
    second
    criteria.
    It outlines
    how
    our
    residents
    are
    having
    their
    health
    compromised
    by
    pollution
    and
    shows
    how
    PDC
    contributes
    to
    the
    problem.
    As called
    out
    previously,
    the
    Peoria
    County
    Board
    is
    entitled
    under
    the
    law
    to deny
    the
    Application
    if the
    Board
    determines
    that
    the proximity
    of
    the landfill
    expansion
    to
    the
    interconnected
    Sankoty/Shelbyville
    aquifer
    creates
    a present
    or future
    public
    health
    concern,
    even
    if all
    technical
    requirements
    of
    the application
    process
    are
    otherwise
    met.
    We
    believe
    that
    the
    evidence
    raises
    serious
    concerns
    on
    the
    issue of
    contamination
    of our
    public
    water
    source.
    PFATW
    Evidentiary
    Summary
    Page
    37 of
    51

    PREVIOUS
    OPERATING EXPERIENCE
    AND
    PAST
    RECORD
    The
    county
    board or the governing
    body
    of the
    municipality may also consider
    as
    evidence
    the
    previous
    operating experience
    and past
    record of convictions
    or admissions
    of
    violations of the
    applicant (and
    any subsidiary or
    parent corporation)
    in the field of solid waste
    management
    when
    considering
    criteria
    (2) and (5) under this
    Section.
    PDC’s
    history
    speaks
    loud and clear.
    PDC’s
    Ron
    Edwards testified that
    PDC
    provided
    incorrect data to the EPA
    in the most
    recently published (2003)
    TRI report.’
    67
    Mr. Edwards
    explained how
    sample
    measurements
    were improperly collected
    by PDC
    personnel.’
    68
    As a result, published
    EPA
    figures
    were
    wrong by a factor
    of
    89
    percent’
    69
    A 2005 report
    by
    State of
    Wisconsin
    Department
    of
    Natural
    Resources (WDNR)
    Audit
    Chemist Diane
    Drinkman
    raised
    serious concerns regarding
    PDC’s
    water testing facilities.
    She writes, “At this time,
    I
    am concerned
    with the turnover of staff
    and what appears
    to
    be
    a systematic
    lapse in either
    sufficient training or
    substantiation that
    analysts are truly
    capable
    of meeting the requirements
    for staff
    in accordance with the
    Manual for
    Certification of Laboratories
    Analyzing
    Drinking Water.”
    Ms. Drinkman
    goes on to cite
    57
    “deficiencies”
    in
    the PDC inspection. Some
    are listed
    below.
    o Deficiency:
    “Laboratory does not always
    collect sufficient
    sample
    volume to
    ensure
    required
    quality control samples,
    e.g. matrix
    spike/matrix
    duplicates,
    are performed.”
    o Safe
    drinking water
    methods deficiency:
    “Many of the deficient practices
    encountered
    for solid-phase
    extraction
    (SPE)
    of
    drinking water
    contaminants are a
    result of the
    apparatus
    used by the
    laboratory for these procedures.”
    o Deficiency: “The laboratory’s
    method
    detection limits do not
    meet WDNR sensitivity
    requirements
    for the following analytical
    method
    and technique/analyte
    combinations:
    6010B/ICP: Antimony, Arsenic,
    Beryllium,
    Cadmium,
    Lead, Selenium
    and
    Thallium”
    o
    Deficiency:
    “Logbooks for pipettor
    calibration (particularly
    those used
    in the metals
    preparation
    section) lack
    complete records.”
    o
    Quality
    Assurance
    and Quality
    Control
    Deficiency:
    “Records of analyst training,
    including,
    but not limited
    to initial demonstration
    of capability (IDCs), were
    not
    available
    for all analysts performing
    drinking
    water analyses.”
    o
    Deficiency:
    “The
    laboratory’s reporting
    limits appear
    to
    be
    arbitrarily
    assigned;
    they
    are not
    mathematically-derived
    from
    the method
    of
    detection, as in a
    limit of
    quantitation.”
    o
    Deficiency:
    “On occasion, corrections
    are not properly
    annotated.”
    IEPA
    inspection
    reports
    highlight problems with
    the way
    the PDC
    landfill has been operated.
    PFATW’s request for additional
    current
    reports was denied
    by
    the IEPA. These were
    submitted into
    evidence
    by PDC.
    “General Remarks: Permitted
    operating general
    and hazardous
    waste site. Site in
    approximately
    the same
    over-all
    condition as previously
    noted.
    (A mess)
    High winds
    accounted
    for a spectacular blowing
    litter problem.
    Some cover being
    applied
    on the
    western
    slopes. Spraying
    of
    liquid
    wastes was observed again.
    Same
    old stuff. No
    substantive
    change in procedure. Site
    inspected-observed
    with Stan Parsons
    of the
    Planning Section.”
    “Interview:
    Elmer and Royal
    Coulter. Elmer
    Coulter couldn’t figure
    out who we (Stan
    and myself) were. Royal
    told us that he wanted
    to request an
    inspection on the following
    day as the
    site was
    near compliance.
    This statement
    taken in
    context
    with the condition of
    the site had us on our knees
    laughing.
    Nothing
    else of substance
    was said.”
    —IEPA Inspection
    Report
    dated
    11/17/77.
    PFATW Evidentiary
    Summary
    Page 38 of5I

    “General
    Remarks:
    Site was
    inspected
    shortly
    after
    opening time.
    All of the same refuse
    observed
    the previous night
    was still uncovered,
    + more
    freshly dumped garbage
    had
    been
    added to the piles.
    (Photos
    should
    show
    some
    of
    the
    same refuse
    of the previous
    night).No
    spreading + compacting
    had been
    done
    since previous
    night;
    cats
    were just
    being
    warmed
    up. On
    the west side
    of the site, leaching
    has been temporarily
    stopped by
    additional covering.
    I noticed
    sand in some of
    the cover material.”
    “Interview:
    Royal
    Coulter
    showed
    me the
    areas
    where the
    additional
    covering had
    been
    done + explained
    how
    they had
    contracted earth
    haulers for
    the
    job in an
    effort to clean
    up
    the
    site. He wanted
    to know
    when
    their
    supplemental
    permit
    applications would
    be
    approved again.”
    —IEPA Inspection
    Report
    dated
    10/21/77.
    171
    “Permitted
    operating
    general
    and special waste
    site. Site being operated
    in general
    disregard
    of permit. Water
    being pumped
    off the site. (Probably
    drinkable).
    The site
    continues
    to be a mess.
    Operating
    outside the permitted
    fill area. Wastes from
    Diamond-
    Vogel being
    accepted without
    necessary
    supplemental permit. (Not
    known until
    after the
    inspection)
    Bad
    odor from
    ponds noticed
    east of the site.
    Cut made at west end
    of Barrel
    Trench to allow water
    to escape the site.”
    —IEPA Inter-Office
    Correspondence
    06/22/1978172
    “The attached water
    sample
    analysis
    sheets
    indicate
    why we should not allow
    Peoria
    Disposal
    to
    continue operating
    as they have in
    the past. We should
    no longer
    entertain
    any of their
    quixotic
    schemes
    that result
    in water pollution
    of this magnitude. It
    is time
    that
    they
    either
    come down
    to
    earth and use
    accepted disposal methods
    within
    the
    framework of
    their permit
    of
    face the consequences.”
    3
    —IEPA memo,
    11/8/77
    “The
    Agency (has)
    several statistics
    on solvent
    types permitted
    for disposal/treatment.
    We
    also expressed
    our concern
    on the large number
    of supplemental
    waste
    stream
    permits
    identifying
    the waste
    only
    generically
    as
    ‘solvent.”
    74—IEPA
    memo
    06/18/82
    The
    Hazardous Waste
    Unit of
    the
    Division
    of
    Land/Noise
    Pollution Control
    had
    this to
    say
    when PDC
    had their permit
    denied:
    “Recent
    inspections
    made
    by
    our
    Field
    Operations
    Section have disclosed
    the
    fact that
    your sanitary landfill
    is not being
    operated in General
    Compliance.
    This violation of
    Chapter 7
    of the Solid Waste
    Rules and
    Regulations makes your
    sanitary
    landfill
    ineligible
    to receive supplemental
    permits
    for
    disposal of Special
    and/or Hazardous
    Waste.
    To
    this
    end we are returning
    those
    applications
    forwarded
    to us denied.”
    175
    —Division
    of
    Land/Noise
    Pollution Control
    letter dated
    01/26/1978
    Here’s a memo
    talking about
    the barrel trench:
    “The Shelbyville
    Outwash
    (Sari
    koty Sand)
    is located stratigraphically
    beneath the
    Illinoisan
    Drift. There is also a
    barrel trench in the
    site which has received
    hazardous
    waste. Barrels are
    no
    longer being
    placed in the trench.
    However,
    contaminated soil is now
    being
    place
    in
    the
    trench
    to bring it to
    grade.
    —Project
    Plan, Hazardous
    Waste Ground Water
    Task Force,
    PDC, 04/04/86
    PFATW Evidentiary
    Summary
    Page
    39
    of
    51

    EPA RECOMMENDATIONS
    Siting Issues
    The EPA has specific
    recommendations
    about where
    hazardous waste
    sites
    should
    not be
    located.’
    77Here
    are
    some key
    factors that they
    identify:
    “Locating
    hazardous waste
    management facilities
    in
    certain
    areas.. .may pose significant
    risks
    of releases and possible
    exposures
    to humans
    and
    the environment.”
    The
    landfill is next to the
    city ofPeoria, a major
    population center.
    The problem
    with locating
    a
    HWM facility
    near high-value groundwater
    (the sole source
    of
    drinking
    water
    available)
    is that “contaminants
    can move
    quickly
    into the
    groundwater. It can
    be very difficult and
    expensive,
    if
    not impossible
    to clean up this contamination....Most
    of the
    time, groundwater cannot
    be cleaned for
    a reasonable
    cost and within a reasonable
    time
    frame. Removing
    contamination from
    groundwater may
    take
    hundreds of
    years.”
    The Sankoty
    Aquifer system
    is in
    close proximity
    to PDC No.
    1.
    Ground
    shaking during an earthquake
    could cause
    damage
    to the
    structures that contain
    waste in
    HWM facilities
    and could “result in
    accidental releases
    to the groundwater, surface
    water, soil, and air.”
    Peoria has
    a history
    of
    earthquakes.
    The EPA states: “Hazardous
    waste
    management facilities
    should avoid locating
    near sensitive
    populations
    or
    in densely
    populated areas. Areas
    near
    schools,
    nursing home, day care
    centers, or hospitals should
    be avoided.”
    Many states require setbacks
    from certain
    types
    of
    land use to “protect
    the public
    or the environment from
    potential exposure
    to hazardous
    waste.”
    Peoria
    has at least
    23 schools and
    five
    daycare/preschools
    within 3 miles of the landfill.
    OSF
    and Methodist
    hospitals are
    approximately
    three and a half
    miles
    and
    Proctor
    hospital is just
    over
    four miles
    from
    the landfill..
    a
    Siting hazardous
    waste facilities on
    unstable terrain can
    cause structural
    damage
    and
    lead to
    spills
    and
    leaks.
    “Poor foundation
    conditions can:
    disrupt landfill gas
    and leachate collection,
    rip
    landfill liner systems.”
    The EPA
    recommends applicants
    check past mining activity
    when
    siting
    a
    hazardous
    waste facility.
    Underground
    coal mines
    are located adjacent
    to
    the PDC propertygoing
    back as far as
    1881.178
    The Illinois
    State Geologic
    Survey won’t guarantee the
    location
    of
    old mines
    because
    many were
    active before
    regulations
    were imposed.’
    79
    PFATW Evidentiary
    Summary
    Page
    40 of 51

    In
    conclusion,
    ‘EPA recommends
    NOT siting
    hazardous
    waste
    facilities
    in
    sensitive locations
    for the following
    reasons:
    Land
    Use: Sensitive
    populations
    such
    as the elderly,
    children
    and the
    sick
    are more
    affected
    by
    toxic
    exposures.
    High-Value
    Groundwater:
    Contaminants
    are transported
    quickly.
    Cleanup is
    costly and
    difficult.
    Earthquake
    Zones:
    Ground fractures
    and
    shaking
    damage
    structures,
    leading
    to
    spills.
    Unstable
    Terrain:
    Soil
    movement
    can
    shift and
    damage
    structures causing
    waste
    releases.
    quality of
    Life Concerns
    The EPA also
    has
    specific
    recommendations
    regarding
    quality
    of life concerns
    of the community.
    Some
    of their
    issues are
    listed here:’
    8
    °
    “Local
    communities
    often
    have
    understandable
    concerns about
    why their
    site was selected
    and
    how
    the facility will
    affect their
    quality
    of
    life.
    These concerns
    encompass
    a broad
    array
    of
    issues that
    range from
    health
    and environmental
    effects
    to social
    and economic
    impacts.
    Social and
    economic
    issues
    are not
    evaluated
    during
    the RCRA
    permitting
    process,
    but this
    does not
    diminish
    the
    legitimacy
    of the community’s
    concerns
    and
    the
    need to address
    them.
    ..when siting
    a facility.”
    “Quality of
    Life reflects
    the values a
    community
    places
    on
    its
    cultural,
    social,
    and natural
    resources.
    Local residents
    strive
    to preserve
    those
    resources
    for
    current
    and future
    generations.
    .
    . .local
    governments
    should
    recognize
    and respect
    these often
    intangible values
    and integrate
    them
    into their planning.”
    “Quality
    of
    Life is difficult
    to
    define and
    measure but
    is critically
    important to
    communities
    involved
    in
    RCRA
    hazardous
    waste
    siting and permitting.”
    Quality
    of
    Life
    concerns can
    include: location,
    nuisance,
    cultural,
    social,
    and
    economic
    concerns.”
    Quote from
    EPA
    Administrator
    Carol
    Browner:
    “There
    is
    no doubt in
    my
    mind
    that
    when a
    neighborhood
    or community
    becomes
    informed
    and involved,
    they will
    do a far better
    job
    of
    deciding
    what
    is right
    for
    their
    children,
    for
    their
    air,
    for their water,
    than any
    government
    agency.”
    “Agencies
    and
    permittees
    must
    recognize that
    community
    values
    and
    feelings are
    a legitimate
    aspect
    of environmental
    health
    issues.”
    Lcaing
    h2zrrJoua
    wase fzIitiea
    Th uni
    niwnmenL thc’wn
    in
    1hi
    r’gijm
    incm
    ‘3
    rs
    f n
    lt€’T
    1?
    PFATW Evidentiary
    Summary
    Page
    41 of5l

    EPA RECOMMENDATIONS
    - SUMMARY
    These EPA recommendations
    are
    grounded in the industry’s
    best practices.
    The fact that
    PDC has
    done a
    poor
    job
    of heeding
    them speaks volumes
    to the manner
    in which
    PDC
    management runs
    the company and its past
    practices.
    PFATW
    Evidentiary Summary
    Page 42 of
    51

    OPPOSITION
    TO
    THE
    LANDFILL
    EXPANSION
    PFATW
    stands
    united
    with
    others
    on
    this
    issue.
    Here
    is
    a partial
    list
    of
    the
    many,
    many
    businesses
    and
    individuals
    who
    have voiced
    opposition
    to
    this
    expansion
    measure:
    OSF
    Medical
    Staff
    a
    Methodist Medical
    Staff
    Proctor
    Medical
    Staff
    OSF
    Administration
    Peoria
    Medical
    Society
    Moss
    Bradley
    Neighborhood
    Association
    Uplands
    Neighborhood
    Association
    Neighborhood Alliance
    (the umbrella
    group
    for
    the Peoria
    neighborhood
    associations)
    a
    Altamont
    Park
    Neighborhood
    Association
    a
    Bill Rutherford
    a
    Heart
    of Illinois
    Group
    Sierra
    Club
    Barbara
    Van
    Auken
    (Peoria
    City
    Council)
    a
    Gary
    Sandberg
    (Peoria
    City Council)
    a
    Pleasant
    Valley
    School
    a
    Students
    of
    Richwoods
    HS
    a
    Citizens
    for
    Our
    Environment
    a
    River
    Rescue
    The
    general
    public
    has
    been
    vocal
    too. The
    public
    file
    has been
    flooded
    with
    letters
    from
    concerned
    citizens.
    River
    Rescue
    has reported
    that
    they
    have
    collected
    over
    6000
    petition
    names.
    PEATW
    Evidentiary
    Summary
    Page
    43
    of 51

    CONCLUSION
    Thank
    you for
    taking
    the
    time
    to read this
    document.
    We realize
    that
    hazardous
    waste is a
    topic
    that most people
    would
    prefer
    not to
    talk about,
    we certainly
    don’t.
    The people
    of
    Peoria
    County
    have
    done more
    than their share
    in
    accepting
    these toxins
    up to
    now,
    but
    enough is enough!
    We
    do not want
    an additional
    15 years
    or
    more
    of
    hazardous waste
    dumped on
    our
    community
    that will
    risk the health
    of future
    generations.
    This
    document
    outlined compelling
    and
    factual reasons
    to
    vote
    against
    the
    PDC hazardous
    landfill expansion.
    Peoria County’s
    high
    pollution score
    is
    clear.
    The
    impact
    that
    this
    type
    of pollution
    has on health
    is clear.
    -
    How PDC
    contributes
    to this
    pollution is
    clear.
    The danger
    of contamination
    of the
    Sankoty
    Aquifer
    system is
    clear.
    The county’s
    long-term
    financial
    risk
    post
    closure
    is clear.
    The
    future
    negative
    effect
    on
    property values
    is clear.
    The
    fact that
    this
    landfill expansion
    may
    hurt economic
    growth
    is clear.
    The only
    thing
    not clear is
    Peoria
    County’s
    land,
    air and water.
    Questions
    surround
    Peoria
    County’s
    future if the
    facility were
    to
    be
    sold
    to
    either a non-local
    or
    foreign
    corporation.
    PDC downplayed
    this
    during the hearings
    and
    offered to have
    the county
    board
    approve the
    sale. Unfortunately,
    that
    offer has many
    conditions.
    Under
    new
    ownership,
    PDC’s current
    business
    model
    may
    change dramatically
    within
    the allowances
    of the
    new permit.
    This
    would
    open
    the
    door to the acceptance
    of
    a whole range
    of
    new
    toxins,
    possibly
    increased
    traffic
    and risk of
    spills. And
    how
    the
    new
    owner decides
    to run
    operations
    could
    put
    Peoria
    County at even
    more
    risk.
    There
    are
    alternatives.
    A
    Caterpillar
    plant
    in South
    Carolina recently
    developed
    a process
    to
    recycle 100
    percent
    of its
    hazardous
    waste. Not
    only was it
    good for the
    environment,
    but it
    even
    saves
    the
    company money
    each year.
    No hazardous
    landfill
    required.
    Hundreds
    of
    letters have
    been sent in
    and are
    now
    on record
    by concerned,
    voting citizens
    opposing
    the
    landfill.
    We have
    supplied
    ample
    reason
    based
    in
    credible
    evidence
    to say “No!”
    We
    are
    confident
    that
    you’ll
    do
    the right thing
    and
    vote
    against
    the
    PDC expansion.
    Peoria
    County can
    start
    to heal
    itself. We
    can
    make
    our
    area a cleaner
    and
    healthier
    place to
    live.
    Peoria County
    has
    the
    capacity
    to be
    a welcoming
    place for industry
    and
    families
    alike.
    We can
    thrive
    as
    a
    community.
    Voting against
    this measure
    is
    the
    first step.
    Thank
    you,
    Peoria
    Families Against
    Toxic
    Waste
    PFATW Evidentiary
    Summary
    Page 44 of
    51

    GLOSSARY
    6010B/ICP —
    A soil
    testing
    method
    used
    by
    the
    US
    EPA
    Aliquot
    An aliquot
    part
    of
    a
    number
    or
    quantity
    is
    one
    which
    will
    divide
    it
    without
    a
    remainder;
    thus,
    5 is
    an
    aliquot
    part
    of
    15.
    (Brainy
    Dictionary
    website,
    wx.v.brainydictionaicom)
    Analyte
    — An
    analyte
    is the
    substance
    or
    chemical
    constituent
    that
    is
    undergoing
    analysis.
    It
    is the
    substance
    being
    measured
    in
    an analytical
    procedure.
    (Wikipedia
    website,
    http://en
    wiki
    pedia
    .org/wiki/1’vl.ain
    Page)
    Benzene
    — a colorless
    volatile
    flammable
    toxic
    liquid
    aromatic
    hydrocarbon
    C
    6
    H
    6
    used
    in
    organic
    synthesis,
    as
    a solvent,
    and
    as
    a
    motor
    fuel
    --
    called
    also
    benzol.
    (Merriam
    1
    vVebster
    Online
    Dictionary,
    http:/Iw.vw.
    rn—w.coml)
    Daily
    cover
    — a
    term
    assigned
    to
    the
    requirement
    that
    landfills
    cover
    fresh
    trash
    with
    six
    inches
    of
    dirt
    at
    the
    end
    of
    each
    day
    in
    order
    to
    control
    nuisance
    conditions
    such
    as
    flies,
    rodents,
    odors,
    and
    windblown
    litter.Alternative
    daily
    cover
    is
    cover
    other
    than
    dirt,
    such
    as
    crushed
    glass,
    POTW
    waste
    sludges,
    pulp
    and
    paper
    mill
    waste,
    coal
    combustion
    by-products,
    construction
    and
    demolition
    debris
    and
    treated
    contaminated
    soil.
    (University
    of
    Wisconsin-Green
    Bay
    Solid
    and
    Hazardous
    Waste
    Education
    Center
    website,
    http://wv’3.uwm.ecluJDept/shwec/links/uwgb!landfihl.htm)
    Dioxin
    — any
    of
    several
    heterocyclic
    hydrocarbons
    that
    occur
    especially
    as
    persistent
    toxic
    impurities
    in
    herbicides;
    especially
    TCDD.
    (Merriam
    Webster
    Online
    Dictionary,
    http://www.m
    w.com/)
    Elution
    from
    Elute,
    extract;
    specifically:
    to
    remove
    (adsorbed
    material)
    from
    an
    adsorbent
    by
    means
    of
    a
    solvent.
    (Merriam
    Webster
    Online
    Dictionary,
    http://www.m_w.com/)
    Ester
    any
    of a class
    of
    often
    fragrant
    compounds
    that
    can
    be
    represented
    by
    the formula
    RCOOR’
    and
    that
    are
    usually
    formed
    by
    the
    reaction
    between
    an
    acid
    and an
    alcohol
    with
    elimination
    of
    water.
    (Merriam
    Webster
    Online
    Dictionary,
    http://www.m-w.com/)
    Esterification
    from
    Esterify,
    to
    convert
    into
    an
    ester.
    (Merriam
    Webster
    Online
    Dictionary,
    http://xrw.m_w.com/)
    Heterocyclic
    relating
    to,
    characterized
    by,
    or being
    a ring
    composed
    of
    atoms
    of
    more
    than
    one
    kind.
    (Merriam
    Webster
    Online
    Dictionary,
    h ttp:J!www.
    m-w.com/)
    I-L
    sample—
    Intra-laboratory
    sample
    (abbreviation
    found
    in
    report
    by
    Diane
    Drinkman
    of
    the
    Wisconsin Dept.
    of
    Natural
    Resources,
    evidence
    submitted
    by PFATW)
    Initial
    Demonstration
    of
    Capability
    (IDCs)
    — from
    State
    of
    Wisconsin
    Administrative
    Code,
    section
    NR
    149.14,
    Quality
    Assurance/Quality
    Control,
    Laboratory
    Certification
    and
    Registration
    Program.
    (Wisconsin
    Dept.
    of
    Natural
    Resources
    website,
    http://www.dnr.state.wi.us/org/es/science/lc/APPLICATION/SpecAppReqs.htm)
    Landfill
    cell
    C-i
    — one
    section
    of
    PDC’s
    Environmental
    Management
    Facility.
    Leachate — a
    solution
    of
    product
    obtained
    by
    leaching,
    which
    is
    to dissolve
    out
    by
    the
    action
    of
    a
    percolating
    liquid.
    (Merriam
    Webster
    Online
    Dictionary,
    http:/!www.m-w.com/)
    Matrix
    — the
    component
    or
    substrate
    (e.g.,
    surface
    water,
    drinking
    water)
    which
    contains
    the
    analyte
    of
    interest.
    (First
    Environmental
    Laboratories,
    Inc.
    website
    definitions
    page,
    http://www.firstenv.com/definitions.htm)
    PFATW
    Evidentiary
    Summary
    Page
    45
    of
    51

    Matrix (Spike) Duplicates — Intra-laboratory
    split samples spiked with identical
    concentrations of
    target
    analyte(s).
    The spiking occurs prior
    to sample preparation and analysis.
    They are used to
    document the precision and bias
    of a method in a given sample
    matrix. (First Environmental
    Laboratories, Inc. website definitions
    page,
    hflpi/!www.firstenv.coni!definitions.htm)
    Matrix Spike — An aliquot of sample spiked
    with a known concentration of target analyte(s).
    The
    spiking
    occurs prior to sample preparation
    and analysis. A matrix spike is
    used to document the
    bias of a method in a given sample matrix.
    (First Environmental Laboratories, Inc. website
    definitions
    page,
    http:!/w’rw.fIrstenv.com!definitions.htm)
    PCB or polychiorinated biphenyl — any of several
    compounds that are produced by replacing
    hydrogen atoms in biphenyl with
    chlorine, have various industrial applications,
    and are
    poisonous environmental pollutants which
    tend to accumulate in animal tissues. (Merriam
    Webster
    Online Dictionary,
    http://www.m -w.com/)
    PDC
    No.
    1 — Peoria Disposal
    Company’s Landfill #1. Accepts hazardous waste.
    Pipettor
    — an industry
    term taken from Pipet, a small piece of
    apparatus which typically consists
    of a narrow
    tube
    into
    which fluid is drawn
    by
    suction
    (as
    for dispensing
    or measurement) and
    retained by closing the upper end. (Merriam
    Webster
    Online Dictionary, http:/!www.m-w.com!)
    For
    a
    picture of
    a pipettor, please visit
    http://www.eandkscientific.com!pipettor°A20stands.htm.
    Recharge Area — an area that allows
    water to enter an aquifer. The area is particularly vulnerable
    to any
    pollutants
    that could be in the water. If pavement is
    constructed over this area, less water
    can enter the aquifer. This could
    mean
    a water shortage to those people using the groundwater
    from the aquifer. (Purdue University departmental website,
    http://pasture.ecn.purdue.edu/AGEN521/epadir/grndwtr/recharge area.htrnl)
    SDWA — US Safe Drinking Water Act (acronym)
    Solid-phase Extraction
    — (SPE)
    is
    an
    extraction
    method that uses a solid phase and a liquid phase
    to isolate one, or one type, of analyte from a solution. It is usually
    used to clean up a sample
    before
    using a chromatographic or other analytical
    method to quantitate the amount of analyte(s)
    in the
    sample.
    The general procedure is to load a solution onto the
    SPE phase,
    wash
    away
    undesired components, and then wash off the desired analytes with another solvent into
    a
    collection tube. (University of Adelaide, Australia,
    Dept. of Chemistry website,
    http://www.chemistrv.adelaide.edu.au/external!soc-rel/content/spe.htm)
    Split Samples — Aliquots of
    sample taken from the same container and analyzed
    independently.
    In
    cases where aliquots of samples are impossible to obtain, field duplicate
    samples should be taken
    for the matrix duplicate analysis.
    These are
    usually
    taken after mixing or compositing and are
    used to document intra- or inter-laboratory precision. (First Environmental
    Laboratories, Inc.
    website definitions page, http://www.firstenv.com/definitions.htm)
    Superfund — A federal program established in 1980,
    to
    locate, investigate
    and clean up
    uncontrolled or abandoned
    hazardous
    waste sites, such as abandoned warehouses
    and landfills on
    thousands of
    properties
    where such practices were intensive or continuous.
    Citizen concern over
    the extent of this problem
    led Congress to establish the Superfund Program. The EPA administers
    the Superfund program in cooperation with individual
    states and tribal governments. The office
    that oversees management
    of the program is the Office of Superfund Remediation
    Technology
    Innovation (OSRTI).
    (US EPA website, http:!!www.epa.gov/superfu nd/about.htm)
    THM or Trihalomethane — any of various derivatives
    CHX
    3of methane (as chloroform) that have
    three halogen atoms
    per molecule and are formed especially during the chlorination
    of drinking
    water. (Merriam Webster
    Online Dictionary,
    http://www.m_w.com!)
    PFATW Evidentiary
    Summary
    Page
    46 of
    51

    Till — Toxics
    Release Inventory,
    a publicly
    available
    EPA
    database
    that contains information
    on
    toxic
    chemical
    releases
    and other waste management
    activities
    reported annually
    by
    certain
    covered
    industry
    groups as well as federal
    facilities. This
    inventory was
    established
    under the
    Emergency Planning
    and Community
    Right-to-Know
    Act
    of 1986 (EPCRA) and
    expanded by the
    Pollution Prevention
    Act of
    1990.
    (US EPA website,
    http://www.epa.gov/tri/)
    VOC
    or
    Volatile Organic
    Compounds
    — emitted
    as gases
    from certain
    solids or liquids. VOCs
    include
    a variety
    of chemicals,
    some of which may
    have short- and long-term
    adverse
    health
    effects.
    (US
    EPA website,
    h
    ttp://www.epa.gov/iaq/voc.html)
    WDNR
    — Wisconsin
    Department
    of Natural
    Resources (acronym)
    REFERENCES
    AND
    SOURCES
    PDC
    Application Hearings
    — Brian Meginnes,
    PDC Opening
    Comments — 2/21/2006,
    Page 27,
    Line
    20
    2
    PDC Application
    Hearings — Ron
    Edwards,
    02/21/2006,
    Page 37, Line
    3
    PDC Evidence,
    Historical
    Waste Receipts at
    PDC No. I Landfill 1999—
    2004,
    Golder
    Associates
    Inc.,
    09/30/2005
    PDC Application,
    See Figure 1-2 in
    comparison to Figure
    1-4
    ‘ G.
    Fred Lee, Comments
    on the Potential Impacts
    ofthe Peoria
    Disposal
    Company
    Land/ill Expansion
    on
    Public
    Health, Groundwater
    Quality
    and the Environment, 2006
    6
    PDC Application
    Hearings,
    Sheryl Smith, 02/21/2006,
    page
    129, line
    10
    PDC Application,
    November 2005
    8
    PJ Star, Hazardous Waste
    Landfill Worth
    Millions, Elaine
    Hopkins,
    06/18/2005
    PDC Application,
    Volume 1,
    page 1-22
    ‘°
    PDC
    Application, Table
    1-2, pages 11 and 12
    of l6(as determined
    by hazardous
    listing codes)
    PDC
    Application,
    Table 1-2, page 15
    of 16
    12
    PDC Application
    Hearings, Ron Edwards
    testimony
    02/22/2006,
    pages
    162-163
    ‘ PDC Application
    Hearings,
    Sheiyl Smith, 2-23-06,
    p.
    189
    www.scorccard.org
    current to 2002 EPA
    TRI data
    15
    www.scorccard.org
    current to 2002
    EPA TRI data
    6
    www.scorecard.org
    current to
    2002
    EPA TRI
    data
    www.scorecard.org
    current to
    2002 EPA TRI
    data
    18
    www.scorecard.org
    current to 2002
    EPA TRI data
    American
    Cancer Society,
    Illinois Facts and Figures
    2004, page
    10
    20
    wv,’wscorecard
    org - POLLUTION
    LOCATOR
    Toxic
    Chemical Releases
    I
    Pollution Releases
    Ranked
    by
    Cancer Risk
    Score
    21
    Berkley
    Publishing Group,
    Having Faith, Sandra
    Steingraber,
    Reissue edition
    (May
    2003)
    22
    G.
    Fred Lee, C’omnienis
    on the Potential
    Impacts ofthe Peoria
    Disposal company
    Landfill
    Expansion
    on
    Public Health, Groundwater
    Quality
    and the Environment,
    2006
    (p.
    114)
    23
    PJ Star,
    Dangerously high lead
    levels threaten Peorias
    children, 11/13/2005
    24
    PJ
    Star, Dangerously
    high lead levels threaten
    Peoria
    children,
    11/13/2005
    25
    New York Times,
    Dally No
    Longer: Get the
    Lead Out, Jane E. Brody,
    0 1/17/2006
    26
    PDC
    Public Comment
    - Hazardous Waste Landfill
    letter, Dr.
    William
    S. Scott,,
    03/10/2006
    27
    PDC
    Evidence,
    Historical
    Waste
    Rece(pts
    at PDC No.
    I Landfill 1999 — 2004,
    Golder Associates
    Inc.,
    09/30/2005
    28
    www.scorecard.org current
    to 2002
    EPA
    TRI
    data
    29
    www.scorecard.org
    current to
    2002 EPA TRI data
    30
    www.scorecarcl.org
    current to
    2002
    EPA TRI
    data
    PDC Application,
    PDC evidence
    32
    wvw.scorccard.orv
    current to 2002
    EPA TRI data
    www.scorecard.org
    current
    to 2002
    EPA
    TRI data
    PFATW
    Evidentiary
    Summary
    Page 47 of 51

    Illinois
    EPA, Division of Air
    Pollution
    Control,
    Annual Emissions
    Reports,
    2001-2005
    (report
    on PDC’s
    “emissions reported
    for” years 2000, 2001,
    2002,
    2003 and 2004)
    Illinois EPA, Division
    of Air Pollution Control,
    Annual Emissions
    Report, 200 1-2005 (report
    on PDC’s
    “emissions
    reported
    for” years 2000, 2001,
    2002, 2003
    and
    2004)
    6
    G.
    Fred Lee, Comments on
    the Potential
    Impacts
    of the Peoria Disposal
    company LandfIll
    Expansion
    on
    Public Health, Groundwater
    Quality and the Environment,
    2006
    G.
    Fred
    Lee, Comments
    on the Potential Impacts
    ofthe Peoria Disposal
    Company Landfill Expansion
    on
    Public I-Jealth, Groundwater
    Quality and
    the Enviromnent, 2006
    38
    G.
    Fred Lee,
    comments on
    the Potential Impacts
    of the Peoria Disposal
    company
    Landfill Expansion
    on
    Public
    Health, Groundwater
    Quality and the Environment,
    2006
    G.
    Fred
    Lee, Comments on the Potential
    impacts
    ofthe Peoria Disposal
    company
    Landfill Expansion
    on
    Public Health,
    Groundwater
    Quality and the Environment,
    2006
    40
    G.
    Fred Lee,
    Comments
    on the Potential
    Impacts of the
    Peoria Disposal Company
    Landfill
    Expansion
    on
    Public
    Health,
    Groundwater
    Quality
    and the Environment,
    2006
    Department of Energy
    and Natural
    Resources, Evaluation
    of
    Groundwater Monitoring
    Programs at
    Hazardous
    Waste Disposal Facilities
    in Illinois, Beverly
    Herzog, 1988
    42
    PJ Star, Experts: Toxins
    escape landfill Elaine
    Hopkins, 02/25/2006
    PJ
    Star, Drought Not Damaging
    to Sankeoty,
    Elaine Hopkins,
    7/10/2005
    Army Corps of Engineers
    Commercial
    Hazard
    Waste Landfills —
    http://www.environmental.usace.army.mil/library/pubs/tsdf/sec2-3/sec2-3.html
    PDC
    Application
    Hearings
    — Ron
    Edwards cross examination
    2/22/2006,
    page
    218, line 21
    46
    G.
    Fred
    Lee, Comments on the Potential
    Impacts
    ofthe Peoria Disposal
    Company
    Landfill
    Expansion
    on
    Public Health,
    Groundwater
    Quality a/3d
    the Environment,
    (p.
    9,
    25),
    2006
    New York Times,
    A Dark Cloud Over
    Disclosure,
    Jim
    Jeffords and Julie Fox Gorte,
    04/10/06
    48
    EPA,
    Federal
    Register Notice,
    40912 - 40915
    Federal Register / Vol.
    66,
    No. 151
    /
    Monday,
    August 6,
    2001 / Rules and
    Regulations
    - http://www.epa.gov/superfundlsites/npl/dO
    1 0920.htm
    u
    PDC Application
    Hearings, Ron
    Edwards testimony
    02/21/2006,
    page 230, line
    12
    50
    PJ Star,
    Letter
    from
    the presidents
    of OSF Saint Francis
    Medical
    Center,
    Proctor
    Hospital and
    Methodist
    Medical Center,
    02/11/2006
    PDC Application
    Hearings — Dr. Vidas
    —02/27/2006,
    Page
    300, line 19
    52
    PDC
    Application Hearings
    — Ron Edwards cross
    examination 02/222006,
    Page
    212, line
    12
    PDC Application,
    Vol.
    1, page ES-6 (emphasis
    added).
    PDC
    Application,
    Vol. 1, page ES-6
    (emphasis added).
    Illinois
    EPA,
    Division
    of
    Air Pollution
    Control,
    Annual
    Emissions
    Report, 2003
    (report on PDC’s
    “emissions reported
    for” 2002)
    56
    Illinois
    EPA,
    Division
    of Air
    Pollution
    Control, Annual
    Emissions
    Report, 2005
    (report on PDC’s
    “emissions reported
    for” 2004)
    Illinois EPA, Division
    of Air Pollution Control,
    Annual
    Emissions
    Report, 200 1-2005 (report
    on PDC’s
    “emissions
    reported
    for”
    years
    2000,
    2001, 2002, 2003
    and 2004)
    8
    EPA INTERNET PUBLICATION
    http://www.epa.gov/air/particles/index.html
    and sub-page
    http://www.epa.gov/air/particles/
    EPA
    INTERNET
    PUBLICATION
    http://www.epa.gov/air/particles/index.html
    and sub-page on “Health
    and Welfare” http://www.epa.gov/air/particles/health.html
    60
    G. Fred
    Lee,
    Comments
    on the Potential
    impacts
    of
    the Peoria
    Disposal Company
    Landfill Expansion
    on
    Public Health, Groundwater
    Quality and the Environment,
    2006
    G.
    Fred Lee, Comments
    on
    the Potential
    Impacts ofthe Peoria Disposal
    Company
    Landfill Expansion on
    Public
    Health, Groundwater Quality
    and the Environ,’nent,
    2006
    62
    G. Fred Lee,
    Comnsents
    on the Potential Impacts
    of
    the Peoria
    Disposal Company Landfill
    Expansion
    on
    Public Health,
    Groundwater Quality
    and the Environment, 2006
    63
    PDC Application
    Hearings
    — Gary DeClark, 2/23/2006,
    page 291, line 23
    64
    SOURCE FOR
    PROPERY VAULE DECLINE
    BECASE
    OF POWERLINES
    65
    PDC
    Application
    Hearings —
    Ron Edwards, 02/21/05,
    page 61, line 5
    66
    PDC Application,
    Volume 2,
    p.
    3.2-2
    1.
    67
    PDC Application
    Hearings — 2-23-06
    Transcript
    of Proceedings,
    p.
    275
    68
    PDC Application Hearings
    — 2-23-06 Transcript
    of Proceedings,
    p.
    281-282
    PFATW Evidentiary
    Summary
    Page 48 of
    51

    69
    PDC
    Application
    Hearings
    — 2-23-06
    Transcript
    of Proceedings,
    p.
    285
    70
    PDC Application
    Hearings
    — 2-23-06 Transcript
    of Proceedings,
    p.
    283.
    PDC Application
    Hearings — 2-23-06
    Transcript
    of Proceedings,
    p.
    292.
    72
    PDC
    Application, Volume 2,
    p.
    3.1-13, and
    p.
    3.1-8.
    °
    PDC Application
    Hearings
    — 2-23-06
    Transcript
    of
    Proceedings,
    pps.
    256.
    PDC Application,
    Volume
    2,
    p.
    3.1-13.
    u
    PDC Application
    Hearings — 2-23-06
    Transcript
    of Proceedings,
    pps. 214-215.
    76
    PDC Application
    Hearings
    -
    2-23-06 Transcript
    of Proceedings,
    pps.
    216-217.
    PDC
    Application
    Hearings
    - 2-23-06 Transcript
    of Proceedings,
    p.249.
    78
    PDC Application,
    Volume
    2,
    p.
    3.1-11
    and Photo
    Sheet
    3.1-5. 2-23-06 Transcript
    ofProceedings,
    pps.
    224.
    PDC Application
    Hearings - 2-23-06 Transcript
    of Proceedings,
    pps.
    223-227.
    The correct answer
    was in
    the
    report itself at page 3.1-11,
    which the testif’ing
    witness apparently did
    not know because
    on 2 separate
    occasions,
    he said it was at ground
    level on a public
    street.
    80
    PDC Application
    Hearings - 2-23-06
    Transcript
    of
    Proceedings, p.226.
    PDC Application
    Hearings
    - 2-21-06 Transcript
    of Proceedings, p.165.
    62
    PDC Application Hearings
    - 2-21-06 Transcript
    of
    Proceedings,
    p.172.
    83
    PDC Application
    Hearings - 2-23-06 Transcript
    of Proceedings,
    pps.
    23
    1-237.
    The
    Center for Environmental
    Health, Home
    Safety,
    2005
    ReatorMag, Get the
    Lowdown
    on
    Pollution Levels, Chris Leporini,
    03/01/2002
    86
    Department
    of Finance at the University
    of Toledo,
    Ohio, Economic
    Ejfrcts ofHazardous Chenmical
    and
    Proposed
    Radioactive Waste
    Landfills on Surrounding
    Real Estate
    Values,
    Gerald Smolen
    87
    William
    Siegel,
    Hazardous Waste Conditions
    And Rca/Estate
    Taxes
    Revisited
    http://www.aptcnet.com/articles/hazwasterevisited.htm
    88
    G.
    Fred Lee, Flawed Technology
    ofSubtitle
    D Landfilling
    of
    Munici’al Solid Waste, 2006,
    (p.
    56)
    89
    G.
    Fred
    Lee, Comments
    on the Potential
    Impacts ofthe Peoria
    Disposal
    Jompany
    Landfill Expansion on
    Public Health,
    Groundwater
    Quality and the Environment,
    2006,
    (p.4,
    11)
    90
    G.
    Fred
    Lee, Comments
    on the Potential Impacts
    ofthe Peoria Disposal
    Company
    Landfill Expansion on
    Public Health, Groundwater
    Quality and
    the Environment,
    2006,
    (p
    25)
    G. Fred Lee,
    Comments on the Potential
    Jn3pacts
    ofthe
    Peoria Disposal
    Company Land/Ill Expansion
    on
    Public
    Health, Groundwater
    Quality and the Environment,
    2006,
    (p.
    11, 16, 18, 21)
    92
    pj
    Star,
    Activists
    Continue to Fight Landfill
    Growth,
    Elaine Hopkins,
    12/18/2005
    °
    PJ
    Star,
    Still Playing in Peoria, John
    Roebush,
    7/1/2003
    PJ Star,
    Still Playing in Peoria,
    John Roebush, 7/1/2003
    PDC
    Application
    Hearings — Ron Edwards,
    2-22-06
    Transcript
    of Proceedings,
    pps.
    164-165.
    96
    PDC Application-Volume
    2, Section
    5.10.2, Waste Fires
    °
    PDC
    Application-Volume 2,
    Section
    5.10. 5,
    Government Unit Participation
    98
    PDC
    Application Hearings
    — Ron Edwards cross
    examination:
    02/22/06 Page 234, line 21
    PDC Application
    — Volume
    2
    ‘o°
    PDC
    Application — Volume 2
    o
    PDC Application Hearings
    - Sheryl Smith
    2/23/06
    pages
    157-158.
    102
    PDC Application
    Hearings Public
    Comments 02/25/2006,
    page 137, line 24
    103
    PDC Application Hearings
    — Public Comments
    02/25/2006,
    page 186, line 24
    104
    Previous PDC Application,
    1987
    ‘°
    Peoria
    County Assessor, PDC #1
    Landfill
    reference
    parcel/I 13-36-101-005
    106
    PJ Star,
    C’osts ofLandfill
    Expansion Application
    Piling
    Up, Elaine
    Hopkins, 03/11/2006
    107
    Illinois State
    Water Survey, Groundwater
    Conditions
    of
    the Principal
    Aquifers
    of
    Lee, Whiteside,
    Bureau,
    and Henmy Counties, Illinois.
    Burch, Stephen
    L., 2004, Champaign,
    IL, ISWS
    DCS
    2004-01
    08
    Illinois
    State Water
    Survey, Groundwater
    Conditions of the
    Princpal Aquifers
    ofLee, Whiteside,
    Bureau, and Henmy
    Jounties, Illinois.
    Burch, Stephen
    L.,
    2004,
    Champaign, IL,
    ISWS DCS 2004-01
    09
    USGS, Water-Quality
    Assessment
    of
    the
    Lower Illinois River Basin:
    Environmental
    Setting, Water-
    Resources Investigations
    Report
    97-4165,
    1998
    110
    JEPA, Press Release dated
    08/30/2001 - http://www.epa.state.il.us/news-releases/200
    1/2001-122-
    groundwater-protection
    html
    Ill
    pj
    Star, Drought
    Not Damaging
    to Sankeoty,
    Elaine
    Hopkins, 7/10/2005
    PFATW
    Evidentiary Summary
    Page
    49 of 51

    2
    PJ
    Star,
    Drought
    Not Damaging
    to Sankeoty, Elaine
    Hopkins,
    7/10/2005
    113
    G.
    Fred
    Lee, Comments
    on the Potential
    Impacts ofthe Peoria Disposal
    Company
    Landfill Expansion
    on Public
    Health, Groundwater
    Quality
    and the
    Environment,
    2006
    114
    Department of Energy
    and Natural Resources,
    Evaulation
    of
    Groundwater Monitoring
    Programs
    at
    1-lazardous
    Waste Disposal Facilities
    in Illinois, Beverly
    Herzog, 1988
    ‘‘
    IEPA,
    Illinois
    Hazardous
    Waste Citing Provisions
    116
    PDC Application
    Hearings
    — Ron Edwards cross examination,
    02/22/2006
    PDC Application Hearings—Ron
    Edwards
    cross examination,
    02/22/2006
    ‘“ PDC Application
    Hearings
    — Ron
    Edwards cross examination,
    02/22/2006
    119
    PDC
    Application Hearings—Ron
    Edwards cross
    examination, 02/22/2006
    120
    Ecology
    and
    Environment,
    Inc. “Preliminary
    Assessment,
    Peoria Disposal Company,
    05-IL-0052,
    1LD000805812”
    from
    Paul
    D.
    Shea, to File/USEPA
    Region
    V,
    page 2 [document
    located in Heart of
    Illinois
    Sierra Club
    #5 evidence file “Questionable
    Practices
    and
    Issues Regarding Earlier
    Years
    Operations
    atPDC”j
    121
    PDC, Hazardous Waste
    Ground Water
    Task Force Project Plan,
    , 04/04/86
    22
    G.
    Fred Lee, Comments
    on the Potential
    Impacts
    of the
    Peoria Disposal Company
    Landfill Expansion
    on
    Public Health,
    Groundwater
    Quality and the Environment,
    2006
    23
    G. Fred Lee, Comments on
    the Potential Impacts
    of
    the Peoria
    Disposal Company Land/Ill
    Expansion
    on
    Public Health, Groundwater
    Quality
    and
    the
    Environment,
    2006
    24
    G.
    Fred
    Lee, Comments
    on the Potential Impacts
    of
    the Peoria
    Disposal
    Company Landfill Expansion
    on Public Health, Groundwater
    Quality
    and the Environnsent, 2006
    l2
    Environtech
    Consultants, Inc., Report
    on
    the Expected
    Leakage through the Top Liner
    ofthe
    PDC
    Environmental
    Management
    Facility Landfill
    Cell C’-], Peoria, Illinois.
    1989.
    126
    PDC
    Application
    Hearings — Ken Liss, 02/24/2006,
    page 53
    27
    Heart
    of Illinois SielTa Club evidence
    submission
    12b
    PJ Star,
    Experts: Toxins
    escape landfill Elaine Hopkins,
    02/25/2006
    29
    Groundwater Protection
    Needs Assessment
    for
    Pleasant
    Valley Public Water District,09/
    24/92,
    page
    33
    L’O
    Groundwater
    Protection
    Needs
    Assessment
    for Pleasant
    Valley Public Water
    District,09/ 24/92, page
    33
    31
    PDC Application Hearings
    — George Armstrong,
    02/22/2006 page 21,
    line
    17
    32
    G.
    Fred
    Lee,
    Comnients
    on the Potential Impacts
    ofthe Peoria
    Disposal Company LandjIll
    Expansion
    on Public
    Health, Groundwater
    Quality and the Environment,
    2006
    G.
    Fred
    Lee,
    Comments
    on the Potential impacts
    ofthe Peoria Disposal
    Company Landfill Expansion
    on Public Health,
    Groundwater
    Quality
    and the Environmnent,
    2006
    134
    G.
    Fred Lee,
    Comments on the
    Potential hnpacts ofthe
    Peoria Disposal Company
    Landfill
    Expansion
    on
    Public
    Health,
    Groundwater
    Quality and the
    Environment,
    2006
    135
    Wisconsin Department
    of Natural Resources,
    Report of On-site
    Evaluation for Compliance
    with
    Chapter
    NR 149,
    Laboratory
    CertUlcation
    and
    Registration,
    Dianne Drinkrnan, 03/25/2005
    36
    Illinois
    EPA,
    Division
    of Air Pollution Control, Annual
    Emissions
    Reports, 200 1-2005 (report
    on PDC’s
    “emissions reported
    for” years 2000, 2001,
    2002,
    2003 and
    2004)
    Illinois
    EPA,
    Division
    of Air
    Pollution Control, Annual
    Emissions Report,
    200 1-2005 (report on
    PDC’s
    “emissions
    reported
    for”
    years 2000, 2001, 2002,
    2003
    and
    2004)
    b8
    Source: EPA, Sensitive
    Environments
    and the Siting
    of
    Hazardous
    Waste
    Management
    Facilities, May
    1997,
    Publication
    530K97003
    u
    PDC
    Application Hearings
    — George Armstrong
    02/22/2006,
    Page
    15,
    line 10
    140
    U.S.
    Geological
    Survey,
    http://quake.
    wr.z,ss.gov/preyare/1àctsheets/NewMadrid/
    141
    U.S. Geological Survey, http://guake.
    wr.
    usgs.gov/prepare/factsheets/NewMadrid/
    142
    Arkansas Center
    for
    Earthquake
    Education and Technology
    Transfer, The Great
    New Madrid
    Earthquake
    http://www.hsv.com/genlintr/newmadrd/
    ‘‘
    PDC Application Hearings
    - 2-27-06
    Transcript of Proceedings,
    p.
    21, line 15.
    144
    Illinois
    State Water
    Survey, Groundwater
    c’ondiiions
    ofthe Princmal Aquifers
    ofLee, Whiteside,
    Bureau, and
    Henry
    Counties, Illinois. Burch, Stephen
    L., 2004,
    Champaign, IL, ISWS DCS
    2004-0
    1
    l4
    0.
    Fred Lee, Comments
    on the Potential
    Impacts of the Peoria
    Disposal Company
    Landfill Expansion
    on Public Health, Groundwater
    Quality
    and
    the
    Environment,
    2006
    46
    PJ Star, Drought Not Damaging
    to
    Sankeoty,
    Elaine Hopkins, 7/10/2005
    “v
    PDC
    Application
    Hearings
    — 2-27-06 Transcript of
    Proceedings,
    p.
    22,
    lines 10-23.
    PFATW
    Evidentiary Summary
    Page 50 of 51

    ‘‘
    PDC Application Hearings — 2-27-06
    Transcript of Proceedings,
    pps.
    24-25.
    149
    PDC
    Application,
    Vol. 1, page ES-7.
    50
    PDC
    Application, Vol.
    1, page ES-7; see also Table 2.2-8.
    2-27-06 Transcript of Proceedings,
    p.26, line 18. Dr. Barrows
    did not know how much water (the flux,
    or cubic
    feet of water
    per square foot of area per
    day) could be moving under the site on any given
    day. P.
    27, lines 5-15.
    52
    PDC Application Hearings — George
    Armstrong, 2-22-06 Transcript
    of
    Proceedings,
    p.
    26, lines 5-6.
    1989 Annual Report Groundwater Monitoring
    prepared for PDC by Harza Environmental
    Services, Inc.
    (“Harza”), dated July 1990 and stamped
    “Received” by IEPA on July 19, 1990,
    p.
    3;
    located
    in Applicant’s
    Exhibit
    A.
    1990 Annual Report Groundwater
    Monitoring
    prepared for PDC
    by Harza, dated July 1991 and stamped
    “Received” by TEPA on July 15, 1991,
    p.
    3;
    located in Applicant’s Exhibit A.
    b5
    1991 Annual Report Groundwater
    Monitoring
    prepared for PDC
    by
    PDC Technical
    Services, Inc., dated
    July 1992
    and
    stamped “Received”
    by
    IEPA on July 15, 1992,
    p.
    3; located in Applicant’s Exhibit A.
    56
    Peoria Disposal Company Exposure
    Information Report, filed August
    8, 1985 with US EPA,
    p.
    4;
    located in Applicant’s Exhibit
    A.
    57
    Peoria Disposal
    Company
    Exposure Information
    Report, filed August 8, 1985 with
    US
    EPA,
    p.
    7;
    located in Applicant’s Exhibit A.
    ‘s
    Peoria Disposal
    Company Exposure Information Report,
    filed August 8, 1985 with
    US
    EPA,
    p.
    7;
    located in Applicant’s Exhibit
    A.
    Peoria Disposal Company Exposure
    Information Report, filed August
    8,
    1985 with
    US EPA,
    p.
    9
    (the
    Report concluded that the
    exposure would have
    a
    minimal impact
    because
    it was unlikely the contaminants
    released from the site would remain undetected
    before reaching the groundwater pumping
    stations); located
    in Applicant’s Exhibit A.
    60
    Application, Volume
    1, Table 2.2-1.
    61
    PDC Application Hearings
    2-22-06 Transcript
    of Proceedings,
    p.
    18.
    62
    PDC Application Hearings—
    2-22-06
    Transcript of Proceedings,
    p.
    19.
    63
    Groundwater
    Protection Needs Assessmentfor
    Pleasant Valley Public Water District,09/ 24/92,
    page 33
    64
    Groundwater Protection
    Needs Assessmentfor Pleasant
    Valley Public Water District, 09/24/92, page
    33
    165
    Groundwater Protection Needs Assessment
    for Pleasant Valley Public Water District,
    09/ 24/92, page 8
    166
    Groundwater Protection
    Needs Assessmentfor Pleasant
    Valley Public
    Water
    District, 09/ 24/92, page 15
    67
    PDC Application Hearings — Ron Edwards,
    02/21/2006,
    page 96, line 1
    168
    PDC Application Hearings — Ron Edwards, 02/21/2006,
    page 96, line
    9
    169
    PDC Application Hearings—Ron
    Edwards , 02/21/2006, page
    99,
    line
    9
    70
    IEPA, EPA Inspection Reports-Site Inventory
    NO. 14381203, 11/17/77
    ‘‘
    TEPA, EPA Inspection Reports
    Site Inventory NO. 14381203, 10/21/77
    72
    IEPA, Inter-Office Correspondence
    dated 06/22/1978
    IEPA, memo
    dated
    11/8/77
    IEPA, memo dated 06/18/82
    Division
    of
    Land/Noise
    Pollution
    Control, Hazardous Waste
    Unit — letter dated 01/26/1978
    76
    PDC,
    Hazardous Waste
    Ground Water Task Force Project
    Plan,
    04/04/86
    EPA, Sensitive Environments
    and
    the
    Siting ofHazardous Waste Management Facilities,
    May 1997,
    Publication
    530K97003
    176
    1905-2005 Illinois State Geologic
    Survey: Coal Section, County Map Series - Coal
    Mines, “Coal Mines
    Peoria County”, October 13, 2005
    Department
    of Natural Resources, ILLINOIS
    STATE GEOLOGiCAL SURVEY, DIRECTORY OF
    COAL
    MINES IN ILLINOIS: Peoria
    County, September 2005
    ISO
    EPA, Social Aspects ofSiting RCRA Hazardous
    Waste Facilities, April 2000, Publication EPA53O-K-
    00-005
    PFATW Evidentiary Summary
    Page 51 of 51

    PEORIA FAMILIES
    AGAINST TOXIC WASTE
    Evidentiary Summary
    March 27,
    2006

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