1
1
BEFORE THE ILLINOIS POLLUTION CONTROL BOARD
2
3 IN THE MATTER OF:
4
5 WATER QUALITY STANDARDS AND)
6 EFFLUENT LIMITATIONS FOR )
7 THE CHICAGO AREA WATERWAY )
8 SYSTEM AND THE LOWER
)
9 DES PLAINES RIVER:
) No. R08-9
10 PROPOSED AMENDMENTS TO )
11 35 Ill. Adm. Code Parts )
12 301, 302, 303 and 304
)
13
14
15
REPORT OF PROCEEDINGS had before the
16 ILLINOIS POLLUTION CONTROL BOARD held on March 12,
17 2008, at 9:00 o'clock a.m. at the 1215 Houbolt Road,
18 Room- T-1000, Joliet, Illinois.
19
20
21
22
23
24
2
1 A P P E A R A N C E S:
2 ILLINOIS POLLUTION CONTROL BOARD:
3 MS. MARIE TIPSORD, Hearing Officer
MR. TANNER GIRARD, Member
4 MR. ANAD RAO, Senior Environmental Scientist
MR. THOMAS JOHNSON, Member
5
6 ILLINOIS ENVIRONMENTAL PROTECTION AGENCY:
7 Ms. Stefanie Diers
Ms. Deborah Williams
8 Mr. Robert Sulski
Mr. Scott Twait
9 Mr. Roy Smogor
Mr. Howard Essign
10 Ms. Marcia White
11 ENVIRONMENTAL LAW AND POLICY CENTER
33 East Wacker Drive
12 Suite 1300
Chicago, Illinois 60601
13 (312) 795-3707
BY: MR. ALBERT ETTINGER
14
Appeared on behalf of ELPC, Prairie Rivers
15
Network and Sierra Club;
16 FRANZETTI LAW FIRM P.C.
10 South LaSalle Street
17 Suite 3600
Chicago, Illinois 60603
18 (312) 251-5590
BY: MS. SUSAN FRANZETTI
19
Appeared on behalf of Midwest Generation;
20
HODGE DWYER AND ZEMAN
21 3150 Roland Avenue
P.O. Box 5776
22 Springfield, Illinois 62705
(217) 523-4900
23 BY: MR. THOMAS SAFLEY
24
Appeared on behalf of Exxon Mobil, and the
3
1 APPEARANCE (CONTINUED):
2
3 THE CHICAGO LEGAL CLINIC
2938 East 91st Street
4 Chicago, Illinois 60617
(773) 731-1762
5 BY: MR. KEITH HARLEY
6
Appeared on behalf of the Southeast
Environmental Task Force;
7
8 MAYER BROWN, LLP
71 South Wacker Drive
9 Chicago, Illinois 60606
(312) 782-0600
10 BY: MR. THOMAS DIMOND
11
Appeared on behalf of Stepan & Company.
12
13
14
15
16
17
18
19
20
21
22
23
24
4
1
CHAIRMAN TIPSORD: Again, my name is
2
Marie Tipsord. This is day three of R08-9.
3
With me today to my immediate right is
4
Dr. Tanner Girard, presiding board member, to
5
my immediate left board member Thomas Johnson
6
and to Dr. Girard's right is Anand Rao from
7
our technical unit. This, again, is our
8
third day, and if there's nothing else right
9
now, I think we are ready to start with
10
Midwest Generation's questions.
11
Ms. Franzetti?
12
MS. FRANZETTI: Thank you, Madam
13
Hearing Officer.
14
Good morning. We left off with
15
subsection D of my pre-filed questions
16
entitled, Proposed "Period Average" and
17
"Daily Maximum" Elements of the Proposed
18
Thermal Standards. And question one under
19
that, on page 83 of the statement of reasons
20
and page 14 of the Twait pre-filed testimony
21
the Illinois EPA states, "The daily maximum
22
of the summer months is preserved for the
23
entire year to ensure that no acute lethal
24
temperatures are present, rather than using
5
1
the 98 percentile ambient temperature values
2
for the nonsummer months or some other
3
statistical method as suggested by Chris
4
Yoder." The question is, is the Illinois EPA
5
saying that Yoder's recommended methods would
6
not have insured that no lethal temperatures
7
are present in the waterways? And if so,
8
explain the basis for this conclusion.
9
MR. TWAIT: No, the Agency is not
10
saying that Chris Yoder's methodology would
11
have allowed lethal temperatures. The MBI
12
methodology is more restrictive than the
13
Agency's proposal. MBI's methodology used
14
the 98 percentile of ambient data percent of
15
daily maximum. By using the 98 percentile
16
like he suggested, would automatically have a
17
two percent exceedance in the values.
18
MS. FRANZETTI: Like you explained
19
yesterday?
20
MR. TWAIT: Yes.
21
MS. FRANZETTI: (B)If the Agency had
22
followed Yoder's recommendation of using the
23
98 percentile of ambient temperature values
24
for the nonsummer months, would it have
6
1
resulted in requiring the MWRGDC to cool its
2
effluent?
3
MR. TWAIT: No, the Agency made the
4
decision to use the MWRDGC as background.
5
This decision would have been for the period
6
average, as well as for the daily maximum.
7
We just did not feel comfortable with the two
8
percent exceedance at our background
9
stations.
10
MS. FRANZETTI: Moving on to question
11
1C, How does a daily maximum standard derived
12
for the summer months, ensure that no acute
13
lethal temperatures are present during the
14
winter months?
15
MR. TWAIT: The Agency believes that
16
the period average will protect the fish and
17
their spawning ability. However, the Agency
18
didn't want to completely abandon the daily
19
maximum, so it kept the summer daily maximum
20
throughout the year.
21
MS. FRANZETTI: Scott, can you
22
elaborate on why the Agency was reluctant as
23
you say to abandon as you say the winter
24
daily max?
7
1
MR. TWAIT: Well, we just didn't want
2
to write the rule in such a way that it looks
3
that if the temperature in a receiving stream
4
could go up to 150 degrees and still meet the
5
average somehow. I don't think that could
6
possibly happen, but we just wanted to
7
eliminate the concerns that people would have
8
if we didn't have a daily maximum.
9
MS. FRANZETTI: Actually based on that
10
answer, is the period average during the
11
winter months really going to drive the
12
dischargers compliance efforts?
13
MR. TWAIT: I believe it will.
14
MS. FRANZETTI: Is that in part
15
because there is a significant difference
16
between the period average value and the
17
daily max value, correct?
18
MR. TWAIT: Yes.
19
MS. FRANZETTI: Moving on to question
20
2. Why is it necessary to have period
21
averages -- did I just ask that question?
22
MR. TWAIT: You just asked C.
23
MS. FRANZETTI: Sorry, this doesn't
24
bode well for the day. It's only the first
8
1
fifteen minutes.
2
Why is it necessary to have period
3
averages during the nonsummer months when the
4
summer daily maximum temperature is to be
5
maintained in the winter months as well?
6
MR. TWAIT: The Agency has relaxed the
7
nonsummer maximum daily temperatures for the
8
previous stated reasons, and the Agency
9
believes that the nonsummer period average
10
will accomplish the desired effect of
11
maintaining season norms.
12
MS. FRANZETTI: So once again, it
13
really all comes down to this perceived need
14
to maintain seasonal norms?
15
MR. TWAIT: Yes.
16
MS. FRANZETTI: Moving onto question
17
13 at page 14 of the Twait pre-filed
18
testimony it is stated that, "The chronic or
19
sublethal impacts are protected through the
20
period average." Identify the chronic
21
impacts data upon which the period average
22
limits for the nonsummer months are based?
23
MR. TWAIT: That can be found on page
24
15 of the MBI report, which is Exhibit 15,
9
1
and it would be gametogenesis and growth.
2
MS. FRANZETTI: Mr. Twait, are you
3
referring to the paragraph that's captioned
4
"Seasonal Temperature Criteria" on page 15 of
5
Exhibit 15?
6
MR. TWAIT: Yes.
7
MS. FRANZETTI: And specifically the
8
part that reads, "Nonsummer season criteria
9
are derived to maintain seasonal norms and
10
cycles of increasing and decreasing
11
temperatures. Important physiological
12
functions such gametogenesis, spawning and
13
growth should be assured, since these are
14
products of each species long-term adaptation
15
to natural climatic and regional influences
16
of which temperature is one controlling
17
factor." Did I cover the relevant part?
18
MR. TWAIT: Yes.
19
MS. FRANZETTI: I understand that that
20
is generally explaining what the thinking is
21
behind this perceived need for the nonsummer
22
period average limits, but with respect to
23
the particular resident species on which
24
these thermal or proposed thermal standards
10
1
have been based, is there any chronic data
2
from testing, studying them indicating that
3
the period average temperature values that
4
have been proposed are what is necessary to
5
achieve these purposes that are described in
6
that paragraph in Exhibit 15?
7
MR. TWAIT: The Agency did not look at
8
any such data. We're relying on Chris
9
Yoder's expertise.
10
MS. FRANZETTI: Here is the thing
11
though is, you actually didn't follow
12
Mr. Yoder's recommended approach for
13
addressing these types of issues. The agency
14
used a different approach. So in that
15
regard, there seems to be a bit of a
16
disconnect.
17
MR. TWAIT: I think I understand the
18
question. The Agency in some respects
19
followed Chris Yoder's methodology and his
20
document, his temperature criteria options,
21
and we chose some less stringent options
22
along the way.
23
MS. FRANZETTI: Do you know whether
24
there are any CAWS fish that spawn in the
11
1
fall or winter?
2
MR. TWAIT: Can you answer that?
3
MR. SMOGOR: Fall or winter, not that
4
I can think of.
5
MS. FRANZETTI: Do you know whether
6
growth takes place during the winter months?
7
8
MR. SMOGOR: Some growth takes place.
9
MS. FRANZETTI: Of any significance?
10
MR. SMOGOR: I don't know what that
11
means, "significant." When temperatures get
12
colder, fish growth slows down.
13
CHAIRMAN TIPSORD: Mr. Safley, did you
14
have a follow-up?
15
MR. SAFLEY: Before we leave that
16
paragraph -- Tom Safley on behalf of Corn
17
Products.
18
Mr. Twait, we discussed yesterday
19
the reasons for the Agency wanting to
20
maintain seasonal norms, and my recollection
21
of the testimony yesterday was that the sole
22
concern with seasonal norms as far as the
23
Agency knew was gametogenesis. However, when
24
I read this paragraph that Ms. Franzetti has
12
1
pointed you to talking about seasonal
2
temperature criteria, the last full sentence
3
on page 15 reads, "Important physiological
4
functions such as gametogenesis, spawning and
5
growth should be assured since these are
6
products of each species' long-term
7
adaptation to natural climatic and regional
8
influences of which temperature is one
9
controlling factor." I read that as saying
10
that one of the reasons for seasonal norms is
11
to, in Mr. Yoder's view at least, to take
12
into account needs of spawning and growth,
13
which seems to me to be different than the
14
testimony we had yesterday, that the Agency's
15
understanding the only reason for seasonal
16
norms was gametogenesis. So I want to make
17
sure I know what the answer is because I'm
18
reading Mr. Yoder saying one thing and the
19
testimony yesterday saying something else.
20
MR. TWAIT: I think we mentioned
21
reproduction yesterday which would include
22
spawning; however, the spawning for the CAWS
23
use B waters, we don't think we're going --
24
we're not protecting it for the CAWS B
13
1
waters. We're protecting it so they can
2
leave those waters and spawn, and if I didn't
3
mention growth yesterday, which I don't think
4
that I did, I probably should have.
5
MR. SAFLEY: And then just to wrap
6
that up then, with regard to the Caws B
7
Waters where the Agency does not think it's
8
appropriate to protect for early life stages
9
or spawning, am I correct the only reason the
10
Agency might want to take into account
11
seasonal changes in the Use B Waters is for
12
gametogenesis, and spawning at least for Use
13
B waters for spawning and growth purposes,
14
seasonal changes are irrelevant, or at least
15
growth in early life stages?
16
MR. TWAIT: After reading the
17
sentence, I think it's gametogenesis and
18
growth that we're protecting by using the
19
seasonal norms.
20
MR. SAFLEY: I'm sorry, specifically
21
to the Use B Waters?
22
MR. TWAIT: Yes.
23
MR. SAFLEY: But the Agency is not
24
trying to protect spawning in the Use B
14
1
Waters?
2
MR. TWAIT: We are not protecting
3
early life stages, and that would include
4
spawning.
5
MR. SAFLEY: And that would include
6
spawning and growth during early life stages?
7
MR. TWAIT: Correct.
8
CHAIRMAN TIPSORD: Mr. Fort?
9
MR. FORT: Yes, Jeff Fort on behalf of
10
Citgo.
11
So with respect to the questions
12
that Mr. Safley just asked you about Use B
13
Waters, the same would be true even for the
14
subset of the Use B Waters such as the lower
15
Chicago Sanitary and Ship Canal?
16
MR. TWAIT: The Use B Waters, it would
17
be all of the Use B Waters. Yes, it would be
18
for all the Use B Waters.
19
MR. FORT: Not making any distinction
20
amongst them as to habitat?
21
MR. SULSKI: That's how they were
22
classified.
23
MR. FORT: I think that the underlying
24
data that you have has differences saying
15
1
different things that you put into the Use B
2
Water category, such as the lower north
3
branch and the north branch turning basin of
4
the Chicago River and so on down to the lower
5
Des Plaines Brandon pool.
6
MS. WILLIAMS: Was there a question?
7
Can you repeat the question or was there a
8
question? Maybe there wasn't a question.
9
MR. FORT: I'm asking if there's
10
differences in the habitat? I believe the
11
testimony --
12
MS. WILLIAMS: Within the Use B
13
Waters?
14
MR. FORT: Within the Use B Waters.
15
MR. SMOGOR: Well, there's probably
16
some differences, but as a whole we're
17
treating the Use B Waters as one group in
18
terms of proposing uses, the aquatic life use
19
for those waters. So as a whole, the habitat
20
in Use B Waters is considered different
21
enough from that of Use A Waters to treat it
22
and give it a different proposed use.
23
MR. FORT: Within that broader general
24
category, although there are differences
16
1
within the Use B Waters themselves?
2
MR. SMOGOR: There may be habitat
3
differences from place to place within Use B
4
Waters, but as a whole we're judging it as
5
the biological potential of Use B Water as a
6
whole is lower than the biological potential
7
of the Use A Waters.
8
MR. FORT: You are not making any
9
further distinction below Use B in terms of
10
aquatic potential.
11
CHAIRMAN TIPSORD: Mr. Ettinger?
12
MR. ETTINGER: I'm Albert Ettinger. I
13
represent Environmental Law and Policy
14
Center, Prairie Rivers Network and some other
15
environmental organizations.
16
My question was, do you know whether
17
any spawning is in fact now occurring in the
18
waters that are to be classified as B waters
19
under this proposal?
20
MR. SMOGOR: I think there may be
21
because once again inferred from sizes of
22
fish from the MWRD data that was, that we
23
attempted to add to the record, but that we
24
still have to supplement with pieces -- I'm
17
1
trying to recall what Exhibit that was. That
2
was Exhibit 28 I believe -- and based on
3
looking at fish sizes, one can infer that
4
some spawning may be taking place in those
5
waters.
6
CHAIRMAN TIPSORD: Then I think we are
7
back to Ms. Franzetti.
8
MS. FRANZETTI: But if I understand
9
correctly, that's based solely on observed
10
size of the fish?
11
MR. SMOGOR: Can you excuse me for a
12
second, please.
13
MS. FRANZETTI: Absolutely.
14
MR. SMOGOR: Sorry, thank you.
15
MS. FRANZETTI: That inference that
16
there may be spawning in some parts of the
17
Use B Waters that you just mentioned, is
18
based solely on the observed size of the
19
fish?
20
MR. SMOGOR: I have not done a
21
complete examination of that data. A very
22
cursory look at those data and some of the
23
sizes that are available for the species, a
24
quick look as I recall, looked like some of
18
1
the tolerant -- and pretty much right now
2
there is a tolerant species living in
3
there -- it looked like some of the species
4
based on the sizes only of some of some
5
individuals reported that one would infer
6
that they are being created in those waters
7
and they are not -- they are subadult sizes.
8
MS. FRANZETTI: Is it also a possible
9
inference from that data that they were
10
created outside of Use B Waters and have
11
migrated into it?
12
MR. SMOGOR: Yes.
13
MS. FRANZETTI: So you really can't
14
discern?
15
MR. SMOGOR: That's possible, no, I
16
really can't discern for sure.
17
MS. FRANZETTI: Staying with the issue
18
of growth. Would growth during the winter
19
months be higher if you had warmer water
20
temperatures, if that were allowed?
21
MR. SMOGOR: Because you weren't
22
looking at me, I was off in la-la land.
23
Could you repeat the question, please.
24
MS. FRANZETTI: Sure. Would growth
19
1
during the winter months be higher if higher
2
winter water temperatures were allowed?
3
MR. SMOGOR: It's possible. Growth of
4
a fish is not solely based on temperature.
5
It is a function of temperature. So all the
6
other needs of the fish would have to be met
7
as well.
8
MS. WILLIAMS: May I ask a follow-up
9
here real quick, not necessarily on that
10
question, but maybe on Mr. Ettinger's
11
question while I'm thinking about it. I
12
guess I'm even confused now at this point if
13
there is some spawning that occurs in the Use
14
B Waters. Can you explain then what sets
15
them apart from the Use A Waters, as far as
16
the existing aquatic life situation?
17
MR. SMOGOR: Well, biological
18
potential is not solely based on particular
19
species' ability to spawn, and spawning can
20
occur in different degrees as well. Just
21
because you have evidence or potential
22
evidence of spawning, doesn't necessarily
23
mean that the fish is spawning, doing as well
24
as it can do. Does that get it.
20
1
MS. WILLIAMS: I don't know. Is there
2
any difference in the types of fish that you
3
found that you think may be spawning?
4
MR. SMOGOR: Yes, I think again a
5
cursory look, it appears that some of the
6
tolerant species, the tolerant species that
7
are in there are the ones that I noted had
8
subadult individuals reported.
9
MR. SAFLEY: Again, Tom Safley. If I
10
could follow-up on that.
11
Despite your observations,
12
however, is it correct that at least for the
13
Chicago Sanitary and Ship Canal, the Agency
14
does not view that area as having the habitat
15
that would be conducive to spawning?
16
MR. SMOGOR: That's correct. You
17
could never be absolute. When you say we're
18
not going to support a water for spawning,
19
you are making a call on -- you are not
20
saying that there's no spawning whatsoever
21
can occur here. But you are making a call,
22
you are making a general determination on how
23
suitable is this water for spawning. The
24
typical fish, the fish that need to be there
21
1
to achieve the biological potential that
2
you've set for the waters, and we've pretty
3
much set or actually the biological potential
4
higher for that water, for instance CAWS A.
5
So we are talking about the difference in
6
biological potential between, for instance,
7
CAWS A and CAWS B, and what we believe the
8
spawning habitat, to achieve anything higher
9
than what we've set for CAWS B is just not
10
there.
11
MR. SAFLEY: Thank you.
12
MS. FRANZETTI: Moving on to
13
question 4. What is the justification for
14
proposing a period average thermal standard
15
that covers a period of 15 days during parts
16
of the year and 30 days during other parts of
17
the year?
18
MR. TWAIT: The Agency used the same
19
periods that Chris Yoder did and with the
20
period is a 15 days, that's when waterways
21
are usually changing the most in the spring
22
and fall.
23
MS. FRANZETTI: Mr. Twait, as you said
24
spring and fall are when waterways are
22
1
typically changing the most, but is that
2
typical of this waterway which we've had a
3
lot of testimony about is very different from
4
most waterways?
5
MR. TWAIT: I'd have to take a look at
6
our proposal and see.
7
MS. FRANZETTI: I'm talking about what
8
actually goes on in this waterway, not really
9
what you've proposed in the standard, but
10
what actually occurs given the effluent
11
dominant nature of this waterway, and I'm
12
talking about the Chicago Sanitary and Ship
13
Canal up into the upper-Des Plaines island
14
pool.
15
MR. TWAIT: I am looking at Exhibit 15
16
once again, and Chris Yoder's thermal report,
17
Appendix table 2, using the Route 83 CSSC
18
Channel, Chicago Sanitary and Ship Canal, and
19
I looked at the mean temperatures real quick.
20
The change from January to February was 30
21
degrees, from February to March was four
22
degrees, from March to April was four degrees
23
and from April to May was 8 degrees, and May
24
to June was 7 degrees, and then -- well, from
23
1
July to August was two degrees, August to
2
September was four degrees, September to
3
October was nine degrees, and from October to
4
November was 7 degrees, and November to
5
December was 7 degrees. So I believe it does
6
change the most in the spring and fall.
7
MS. FRANZETTI: And which column
8
heading were you using on Appendix 2?
9
MR. TWAIT: I was using the Mean
10
temperature.
11
MS. FRANZETTI: The first "mean" with
12
the little footnote 1 above it?
13
MR. TWAIT: Yes. And I'm sure you
14
could use several of those columns to --
15
MS. FRANZETTI: Evaluate that issue?
16
MR. TWAIT: -- to evaluate that issue.
17
MS. FRANZETTI: Okay. Now turning
18
to --
19
CHAIRMAN TIPSORD: I'm sorry,
20
Mr. Safley?
21
MR. SAFLEY: I have some follow-up on
22
that question. I'll wait for you.
23
MS. FRANZETTI: No, go ahead.
24
MR. SAFLEY: Mr. Twait, you stated in
24
1
response to Ms. Franzetti's question that you
2
used the same periods that Mr. Yoder had
3
provided in his options; is that correct?
4
MR. TWAIT: Yes.
5
MR. SAFLEY: Did you have any
6
discussions with Mr. Yoder regarding whether
7
those periods were appropriate or the reasons
8
why he had chosen them?
9
MS. WILLIAMS: I think we talked about
10
that when he was here. You asked him about
11
whether they were appropriate or why he chose
12
them. It's on the record.
13
MR. SAFLEY: I didn't ask what
14
Mr. Yoder said. I asked what conversations
15
the Agency had had with Mr. Yoder about the
16
issue.
17
MR. TWAIT: I did not have any
18
additional conversations with him
19
specifically about changing those.
20
MR. SAFLEY: Did the Agency conduct
21
any other independent evaluations about
22
whether or not those time periods were
23
appropriate for setting changing seasonal
24
temperatures?
25
1
MR. TWAIT: The Agency didn't conduct
2
any particular study. I was part of the
3
ORSANCO Work Group, O-R-S-A-N-C-O, and they
4
had looked at changing to go to a complete
5
month rather than the two week period. And
6
what they found was during the summer -- or I
7
mean during the spring and fall months
8
because there was so much variation there,
9
when they chose their number based on the
10
75 percentile, that early in the month they
11
were having either high or low values, and at
12
the end of the month they were having just
13
the opposite as temperatures were changing,
14
and so they felt that it was, that Chris
15
Yoder's periods were appropriate.
16
MR. SAFLEY: I noticed obviously in
17
your testimony and in the data that's in the
18
Exhibit to Mr. Yoder's testimony that we
19
talked about and in the standard itself,
20
everything is based on months or half months.
21
Is there a reason that the temperature
22
changes happen to line up with the 1st and
23
31st or 30th or 28th of each month other than
24
that's kind of normal record keeping period?
26
1
Is there a biological reason that on January
2
31st things change?
3
MR. TWAIT: No.
4
MR. SAFLEY: So that your
5
understanding is that comes out of, those are
6
the kind of records that people normally keep
7
on a monthly or weekly basis?
8
MR. TWAIT: I don't know the reason
9
for Chris choosing the dates that he did.
10
However I do note that it is, when you go
11
from the 1st of the month to the 30th of the
12
month and then divide that in half, that
13
would correspond to the Agency's DMR,
14
Discharge Monitoring Reports, but I don't
15
think that was Chris' or our intention. I
16
don't know what Chris was thinking.
17
MR. SAFLEY: And my reason for asking
18
the question -- I guess I'll ask you another
19
question -- am I correct that you would agree
20
that the changes in temperature don't pay
21
attention to the calendar and whether or not
22
it's the 31st of the month or the 1st of the
23
next month?
24
MR. TWAIT: That is correct.
27
1
MR. SAFLEY: Is it the Agency's
2
position that if someone, that the schedule
3
that Chris Yoder provided in his options and
4
the schedule that the Agency has thus
5
incorporated in the Rule is the only possible
6
schedule that will be protective of the uses
7
in these water bodies?
8
MR. TWAIT: No, I think you could do
9
one week period if you so chose.
10
MR. SAFLEY: So the Agency hasn't
11
conducted any kind of evaluation to say, this
12
is the only way it could be divided up and
13
the only way the temperatures could take
14
place. If we don't have a two week average
15
for the two weeks in April, then that's going
16
to have some kind of adverse impact on the
17
aquatic life, the Agency hasn't done that?
18
MR. TWAIT: No, not at all.
19
MR. SAFLEY: Keeping in mind the
20
seasonal changes, is that answer the same
21
with regard to the time periods that were
22
used, and also I guess the shape of the curve
23
I'll say keeping in mind that the Agency
24
wants to have a curve of higher temperatures
28
1
in the summer and lower temperatures in the
2
winter, is it correct that the Agency has not
3
conducted any evaluation to say the shape of
4
the curve that we've proposed with the
5
temperature changes taking place in the exact
6
way that we've proposed them here is the only
7
curve that's protective of the aquatic life?
8
MR. TWAIT: The shape of that curve is
9
based upon the quote-unquote background
10
temperature that we chose. So if you
11
shifted, if you wanted to go from the 20th of
12
one month to the 20th of another month, I
13
believe the same shape of the curve would
14
happen but you'd get slightly different
15
numbers.
16
MR. SAFLEY: But the Agency hasn't
17
concluded at this point that the schedule of
18
changes that it has proposed is the only one
19
that could possibly be protective of the
20
aquatic life?
21
MR. TWAIT: No.
22
CHAIRMAN TIPSORD: Just a point for
23
the record too, we talked yesterday about
24
Appendix Table 2, as well as from Exhibit 15.
29
1
Because there are a lot of appendices and
2
they are all mixed in, there's 2E and 2G, I
3
want to be clear that Appendix Table 2 that
4
we are talking about is the one that's in
5
Appendix B of Exhibit 15, correct?
6
MR. TWAIT: Yes, I believe that is
7
correct. Yes.
8
CHAIRMAN TIPSORD: Thank you.
9
MS. FRANZETTI: Moving on to question
10
5, and now I'm turning to the question on the
11
actual implementation of these proposed
12
thermal standards and how dischargers
13
compliance with them will be determined. So
14
that's the background on this question.
15
How will compliance with the
16
period average standard be determined? In
17
other words, will it be the average
18
temperature determined from all samples taken
19
during the subject period? And if so, how
20
many samples at a minimum will be required?
21
MR. TWAIT: The Agency hasn't
22
determined that. The number of samples --
23
the Agency hasn't determined the number of
24
samples that would be required, but those
30
1
samples would have to be representative of
2
the entire period. So if the period was one
3
month long, you couldn't wait for the last
4
week of that month to take your samples. It
5
would show a violation.
6
MS. FRANZETTI: What type of samples
7
will need to be taken for thermal -- you
8
know, we talk about samples. What are we
9
dealing with?
10
MR. TWAIT: I don't know the answer to
11
that. We haven't -- that hasn't been
12
determined. I don't think it would be any
13
different than what we consider for general
14
use, but I don't know that we have a real
15
good methodology.
16
MS. FRANZETTI: What do you currently
17
use for general use?
18
MR. TWAIT: I would have to ask
19
someone from the permit section.
20
MS. FRANZETTI: Does anyone on the
21
panel know?
22
MR. SULSKI: Just generally when a
23
permit is issued, the Agency says the sample
24
shall be representative and they leave it at
31
1
that. And in some cases they will say 24
2
hour composite on an estimate, for example,
3
but there's always that underlying condition
4
that the data you submit has to be
5
representative. So that can be worked out in
6
the permit-permittee negotiations on what
7
they think is representative or not.
8
MS. FRANZETTI: Well, I'm trying to
9
understand for period average, what type of
10
samples am I averaging the temperatures from?
11
Does that make sense to you? I think it
12
makes a difference whether it can be a grab
13
or does it have to be some sort of 24 hour or
14
continuous sampling, and how then does one,
15
if the ladder, how does one average?
16
MR. SULSKI: What a permit writer does
17
is they suggest in a draft permit what they
18
think is going to be representative sampling.
19
At that point the permittee can come back and
20
say, well, we don't agree with that and here
21
is what we think and here is the data that
22
supports that that wouldn't be representative
23
and here is our alternative for what you've
24
proposed in the permit. It gets worked out
32
1
on a case by case basis.
2
MEMBER RAO: May I ask a clarifying
3
question? Are we talking about a discharger
4
monitoring instream or just effluent
5
monitoring that you are talking about when
6
you talk about compliance?
7
MR. TWAIT: I think the question was
8
more towards sampling in the stream if I'm
9
not incorrect.
10
MS. FRANZETTI: Actually not. I was
11
really seeking information so that the
12
potentially effected dischargers of this
13
proposed rule can take your answers and start
14
applying them to their current effluent and
15
see whether or not they are going to be able
16
to comply with these proposed standards, and
17
it's somewhat impossible to do that without
18
having input on how are these, how is
19
compliance with these proposed period
20
averages going to be determined because I
21
think you would agree it's a new concept.
22
MR. TWAIT: Yes. And the period
23
average would have to be representative of
24
what the stream is seeing out of your mixing
33
1
zone and whether it's continuous data that's
2
averaged or if it's grab samples once a day
3
that's averaged or if you think weekly
4
samples that's averaged, just as long as it's
5
representative. And I think that the permit
6
section will have to work out how they want
7
the discharger to come up with that data.
8
MS. FRANZETTI: What you are saying
9
is, it's up to each effected discharger in
10
looking at these proposed rules to basically
11
decide what is a representative sampling
12
regime for their particular effluent.
13
MR. TWAIT: I think it will be up to
14
the discharger to make the argument to the
15
permit section, yes.
16
MS. FRANZETTI: And ultimately take
17
that to the permit section and keep their
18
fingers crossed that they agree.
19
MR. TWAIT: Yes.
20
CHAIRMAN TIPSORD: Mr. Safley had his
21
hand up first.
22
MR. SAFLEY: If I could follow-up on
23
that, Mr. Twait. As I understand your
24
answers, if one of my clients who is
34
1
discharging to one of these water bodies,
2
wants to take your rule and evaluate whether
3
they can comply with it as written, they've
4
got to come up with what they think the
5
permit section will accept, go out and take
6
measurements, and then hope that they are
7
right about what the permit section works
8
out; they are making their judgments on how
9
important this rule making is to their
10
facility based on an assumption that the
11
permit section is going to accept their
12
sampling methodology; is that correct?
13
MS. WILLHITE: Marsha Willhite. Can I
14
respond to that one? I would in that
15
situation encourage some conversation with
16
the permit section before they went about
17
doing that type of study.
18
MR. SAFLEY: Is the permit section
19
prepared right now to have those kind of
20
conversations while this rule making is going
21
on?
22
MS. WILLHITE: Because what you are
23
suggesting is essentially a study to
24
determine, and you know it's not regulatory
35
1
compliance based information, I don't see why
2
they wouldn't.
3
MR. SAFLEY: That's fine. What I'm
4
trying to get to is, I think everybody, all
5
the dischargers in this room are trying to
6
understand how this rule making is going to
7
effect them and to do that as Ms. Franzetti
8
has pointed out, the way in which samples has
9
to be taken is very important. And if that's
10
not something that we can figure out until we
11
walk into the door with a proposed NPDS
12
permit and we find out that, oh, you were all
13
wrong, that's not what we are going to accept
14
and what we thought we were going to be fine
15
with, you are not at all fine with. And it's
16
going to cost you whatever money.
17
MS. WILLHITE: If one of your clients
18
would want to be doing a study to look at
19
potential approaches to representative
20
sampling, then I would be willing for folks
21
to consult and come up with an approach.
22
MR. SULSKI: Can I just add something
23
to that? I think you would be putting the
24
cart before the horse. Generally how the
36
1
permits get written is, the permit writer
2
looks at the regulations, look at the
3
circumstances and suggests a monitoring
4
scheme that will satisfy the Agency in terms
5
of whether this discharge will comply with
6
the regulations, and they put that in an
7
internal notice permit which the permittee
8
gets. At that point then there is a
9
negotiation period whereby, you know, the
10
permittee can say, well, I don't agree with
11
you and here is why.
12
MS. WILLIAMS: Let me jump in because
13
I think Rob is also putting another cart
14
before the horse. We are setting the reg
15
here, so this is all about after the reg is
16
set. I have at least discovered in this
17
process that there may be information out
18
there about impacts on dischargers that we
19
did not know or consider were going to be
20
effected. So if there's information out
21
there now that can be submitted to us now
22
that we can take into account now in
23
evaluating what the range should be, we would
24
like to see that information now -- not now,
37
1
but tomorrow.
2
MS. FRANZETTI: If I can, just
3
following up on that. I think what would be
4
helpful is for the Agency to think about,
5
based on the more typical situations -- and
6
bear with me. This will become a point
7
hopefully -- but as I sit here, a lot of
8
plants operate for a certain number of hours
9
in the day and then may shut down. Those
10
that are not going 24 hours. And certainly
11
when they shut down, their effluent
12
temperature may get cooler, because they are
13
not using the water for cooling purposes in
14
their manufacturing operation, and this is a
15
period average value. Now so while typically
16
a representative sample when you are dealing
17
with a metal standard, I don't think one
18
would say that is representative to be taking
19
the samples when the facility is not
20
operating. But this is a thermal period
21
average and part of that whole averaging is
22
you have some times of the day when there is
23
a higher heated effluent going into the river
24
but other parts where there's not and that
38
1
does average out in the river. Or am I not
2
understanding this correctly?
3
MR. TWAIT: I understand that, and
4
yes, that would be my understanding is we are
5
looking at a period average over sometimes
6
two weeks and sometimes a month. So if you
7
are, if a plant was to run full board for two
8
weeks and then shut down for the last two
9
weeks, somehow you would want to build that
10
into your period average. I mean, because
11
that's the temperature that the fish are
12
seeing. Now, if -- the other thing that
13
occurred to me is, if you are asking me how
14
you have to do that, I could just say take a
15
grab at noon on every day outside your mixing
16
zone, but that wouldn't necessarily be an
17
appropriate way to do it, and I'm sure that
18
the dischargers know when they are operating,
19
when they are shutting down and how to come
20
up with a representative temperature outside
21
their mixing zone. They would know much more
22
than I would.
23
MS. FRANZETTI: I understand what you
24
are saying. I just wanted to establish that
39
1
the fact that a plant is not running does not
2
make that nonrunning period unrepresentative
3
necessarily based on what this period average
4
standard is attempting to regulate; correct?
5
MR. TWAIT: The period average is what
6
the fish are seeing in the stream so, yes,
7
that is correct. If your plant was operating
8
eight hours of the day and you only wanted
9
the sample or only wanted to figure out the
10
temperature at that time, and that's when you
11
took your samples, that's what would be
12
representative. But on the other hand, if
13
you're taking samples throughout the day,
14
that would probably be more appropriate and
15
representative of what the fish are seeing.
16
MS. FRANZETTI: Okay. I take it that
17
a potential alternative -- again, just to
18
understand the Agency's thinking in response
19
to your invitation for people to come forward
20
to you with ideas -- another possible
21
alternative for a discharger would be to put
22
an instream monitoring station in, in the
23
vicinity downstream of their discharge?
24
MR. TWAIT: Outside of their mixing
40
1
zone, I think that would be appropriate.
2
MS. FRANZETTI: I don't know how
3
feasible that is. I'm just exploring
4
alternatives here.
5
CHAIRMAN TIPSORD: Mr. Ettinger and
6
then Mr. Diamond.
7
MR. ETTINGER: Is there anyone at this
8
table who is involved in writing permits?
9
MS. WILLIAMS: No.
10
MR. ETTINGER: Have any of you seen --
11
MR. SULSKI: Let me qualify that. I
12
am involved.
13
MR. ETTINGER: Have any of you seen
14
the NPDS permit for Midwest Generation's
15
Joliet plant?
16
MS. WILLIAMS: Yes.
17
MR. ETTINGER: Have you seen how
18
temperatures are handled in that permit
19
regarding monitoring?
20
MR. TWAIT: Currently, yes.
21
MR. ETTINGER: Do you imagine that any
22
of these principles that are established for
23
that permit would apply in the case of this
24
permit or permits written under the new
41
1
regulation?
2
MS. WILLIAMS: Can you explain?
3
MR. ETTINGER: No, I probably can't.
4
MS. WILLIAMS: Can you flush it out?
5
MS. FRANZETTI: Maybe I can help. Is
6
there any average temperature standard like
7
this period average applicable currently to
8
the Midwest Gen Joliet plant?
9
MR. TWAIT: I don't believe so.
10
MS. FRANZETTI: Right. So is there
11
anything in the Midwest Gen Joliet permit
12
today that involves compliance monitoring for
13
an average thermal standard?
14
MR. TWAIT: No.
15
MS. FRANZETTI: Thank you.
16
MR. ETTINGER: I guess it's a matter
17
of what like is.
18
Are you aware of provisions in the
19
current Joliet permit that calls for not
20
allowing any excursion over a percentage
21
period at the I-55 bridge?
22
MR. TWAIT: Yes.
23
CHAIRMAN TIPSORD: Mr. Diamond?
24
MR. DIMOND: Mr. Twait, in several of
42
1
your answers you've been referring to mixing
2
zones, but didn't you testify back in Chicago
3
that it's likely that most dischargers will
4
not be eligible for a mixing zone because of
5
the background ambient temperature of the
6
river?
7
MR. TWAIT: I think if the background
8
temperature is elevated above the water
9
quality standard, then, no, they would not be
10
eligible for a mixing zone. However, I think
11
that what would be reasonable is to expect
12
that at some point the upstream facilities
13
will be meeting the water quality standard.
14
MR. DIMOND: Then a second question
15
is, regardless of how dischargers will
16
measure the compliance of their effluent with
17
whatever their permit conditions are, how
18
will the Agency or what data will the Agency
19
use to determine compliance with the water
20
quality standard that might be set in this
21
proceeding?
22
MR. ESSIG: It would be based on
23
ambient sampling, whatever ambient sampling
24
is occurring in those effected regions or
43
1
segments of those streams.
2
CHAIRMAN TIPSORD: Mr. Essig, remember
3
to keep your voice up.
4
MR. DIMOND: How often is that ambient
5
sampling conducted?
6
MR. ESSIG: Currently I know MWRD
7
does, they do monthly sampling at most of
8
their ambient stations. Illinois EPA usually
9
does it nine times a year. There are various
10
organizations that are doing continuous
11
monitoring. We do some of that ourselves,
12
but on a limited basis. Whatever data is
13
available we will try to use it.
14
MR. DIMOND: And for the upper Dresden
15
island pool, how many sampling stations are
16
there in that region?
17
MR. ESSIG: As far as ambient stations
18
go, there are none.
19
MR. DIMOND: I thought there was one
20
at the I-55 bridge. Is that technically
21
outside?
22
MR. ESSIG: Well, Midwest Gen has a
23
sampling location on I-55, but MWRD no longer
24
has any ambient stations in that pool. IEPA
44
1
hasn't had any in that pool. You had one
2
upstream in the Braden pool, but not
3
downstream of the Brandon damn.
4
MR. DIMOND: So if you had multiple
5
ambient stations, I understand you don't, but
6
if you had multiple ambient stations within a
7
particular reach, would you average all of
8
those together for sampling at a particular
9
time to determine compliance with the water
10
quality standards?
11
MR. ESSIG: No, we would probably use
12
each individual station separately, but we'd
13
have to look at that.
14
CHAIRMAN TIPSORD: Mr. Fort?
15
MR. FORT: Going back to a comment
16
Mr. Twait made a short while ago about what
17
happens if there is no mixing zone because
18
upstream sources had elevated temperatures,
19
and I thought I heard you say that those
20
negatively impacted sources could expect in
21
some period of time that the upstream sources
22
would be meeting the thermal water quality
23
standard. Did I basically characterize your
24
testimony?
45
1
MR. TWAIT: I think that's
2
appropriate.
3
MR. FORT: Do you have any sense of
4
how long that might be for corrective
5
measures or compliance measures to occur?
6
MR. TWAIT: We did not write anything
7
into the proposal simply because no one
8
suggested a time period was needed, and we
9
did not want to assume that that would be one
10
year, two years, ten years or a hundred
11
years. I think that it would be fair to say
12
that the Agency understands that at some
13
point in time it would be appropriate to have
14
the standard met.
15
MR. FORT: I'm going shift to gears a
16
little bit, but I think it still follows onto
17
this point. The period average values that
18
have been proposed for temperature, and they
19
are almost identical for all the stream
20
categories, slight difference for the Use B
21
Waters, are those all based upon the 75th
22
percentile of the Metropolitan Water
23
Reclamation District values on a monthly
24
basis?
46
1
MR. TWAIT: No.
2
MR. FORT: Which are not?
3
MR. TWAIT: The summer months, June
4
16th through September 15th, are based on
5
Chris Yoder's methodology which can be found
6
in Exhibit 15. And as I have testified
7
previously, some of those months or periods
8
are based upon the ambient station at the
9
Route 83 bridge on the Chicago Sanitary and
10
Ship Canal.
11
MR. FORT: So this again goes back to
12
the background, that 75th percentile, that
13
background at the Route 83 bridge is what is
14
coming through the stream?
15
MR. TWAIT: Yes. All of the nonsummer
16
months are based upon 75th percentile of the
17
background.
18
MR. FORT: So in those other 25
19
percent where it's above background, you have
20
a violation occurring in the stream that any
21
discharger might be facing?
22
MR. TWAIT: No.
23
MR. FORT: Why not?
24
CHAIRMAN TIPSORD: Excuse me, but we
47
1
covered this extensively yesterday afternoon
2
about what the 75th percentile meant and what
3
the 25th meant. I'm happy to go into it a
4
little bit, but we spent a lot of time
5
talking about math yesterday afternoon.
6
MR. FORT: I'm trying to do the mixing
7
zone concept as opposed to the 75th
8
percentile.
9
CHAIRMAN TIPSORD: That's fine. I
10
think the bottom line is with averaging
11
because the 75th percentile encourages the
12
averaging, it does not mean 25 percent of the
13
time people out are out of compliance.
14
MR. TWAIT: The 75th percentile is
15
based upon all of the individual temperatures
16
measured during that period, and we're taking
17
the 75th percentile and using it as what's
18
going to become an average.
19
MR. FORT: I understand.
20
MR. TWAIT: Okay.
21
CHAIRMAN TIPSORD: Go ahead.
22
MR. FORT: I'm going back to the
23
mixing zone concept. We've already got some
24
possibility -- we can argue the numbers --
48
1
but some possibility of the background here
2
being higher than the period average, that
3
would then seem to throw anybody downstream
4
into no mixing zone conditions?
5
MS. WILLIAMS: I have to object
6
because I think yesterday the testimony
7
clearly was Scott did not think that that was
8
a realistic possibility that would happen,
9
what he just said.
10
MR. FORT: If that's his opinion,
11
that's fine, but I'm asking for his opinion
12
not yours so.
13
MS. WILLIAMS: Well, it was part of
14
your question, I guess. Maybe you can
15
rephrase the question.
16
MR. FORT: I was trying to ask the
17
question differently.
18
CHAIRMAN TIPSORD: Let me try this,
19
and correct me if I'm wrong. Mr. Twait, is
20
it your opinion that the background levels
21
will not -- I can't even get there. That the
22
ambient temperature will not exceed the 75th
23
percentile at the Route 83 bridge?
24
MR. TWAIT: The ambience data will not
49
1
exceed the -- the average of the data will
2
not exceed the 75th percentile at that
3
bridge.
4
CHAIRMAN TIPSORD: So there might be
5
occasionally, like day one at 9:00 a.m. there
6
might be exceedance, day two it would be low
7
enough so that when you average those two
8
together, there would not be an exceedance
9
based on the average when you do the numbers
10
that you came up with, that would be the 75th
11
percentile that we talked about?
12
MR. TWAIT: I believe that would be
13
correct.
14
MR. FORT: I am not sure I agree with
15
that. That's his testimony, that's all I'm
16
asking for.
17
MR. SAFLEY: If I could briefly
18
follow-up on that.
19
Mr. Twait, we talked about this
20
Appendix Table 2, and the fact that the
21
numbers in there are averages based on seven
22
year's worth of data, and I thought you said
23
yesterday that in answer to Ms. Tipsord's
24
question, for any one particular biweekly or
50
1
monthly period you would have to look at one
2
year data; did I understand that correctly
3
yesterday because I am hearing something
4
differently from you now?
5
MR. TWAIT: Yes. The Agency believes
6
that by taking the 75 percentile of all the
7
individual data, that the average will be
8
met.
9
MR. SAFLEY: And the Agency bases this
10
decision on this Appendix Table 2 which
11
includes seven year's worth of data.
12
MR. TWAIT: I did not break out the
13
data into individual years.
14
MR. SAFLEY: So in order to evaluate
15
over this seven-year period whether or not
16
the period average had been violated, you
17
would have to break that out?
18
MR. TWAIT: You would have to break
19
that out into the periods and into the years.
20
However, I don't know that the data will be
21
sufficient to -- I don't know that there's
22
enough data in each individual month of the
23
data base to come up with a representative
24
average.
51
1
MR. SAFLEY: Then how can you make the
2
statement that it's the Agency's conclusion
3
that there won't be a violation?
4
MR. TWAIT: Because we using the 75th
5
percentile to set the average.
6
MEMBER RAO: Mr. Twait, you just now
7
said that Agency does not have representative
8
data right now to show compliance with the
9
period averages. In the future if these
10
rules are adopted, is the Agency going to
11
change its ambient monitoring in CAWS to make
12
sure you generate that kind of data or is
13
current data acquisition sufficient?
14
MR. ESSIG: At this point I don't
15
think that will happen. It may. But right
16
now we are cutting back our ambient program.
17
MEMBER RAO: So how would you go about
18
getting compliance with this?
19
MS. WILLIAMS: I guess what I was
20
going to say, very often once we know what
21
the standard is going to be, then we look to
22
see whether there's additional information
23
that needs to be collected in order to help
24
us use it. That comes along with we're in
52
1
the process, Howard mentioned that we're in
2
the process of redefining our ambient
3
monitoring network, and certainly if the
4
timing is right, we would take into
5
consideration what we end up with standards
6
in this rule making.
7
CHAIRMAN TIPSORD: I think we are back
8
to Ms. Franzetti.
9
MS. FRANZETTI: Moving on to question
10
6, and this deals with, again, Section
11
302.408 in the proposed rules which sets
12
forth three different charts in subparts B, C
13
and D, setting forth the specific numerical
14
values for the proposed thermal standards.
15
And if one looks at what we are terming the
16
nonsummer months, which is everything outside
17
of this June 16th through September 15th time
18
period, as between the proposed use
19
classification, A, aquatic life A, aquatic
20
life B and Upper Dresden island pool, the
21
nonsummer period average proposed thermal
22
standards are identical across all three use
23
designations when it seems the basis of the
24
proposed thermal standards for, at least for
53
1
the summer months, is to protect the species
2
that are there or are expected to be there.
3
So can you explain how it is rational,
4
justified to have the exact same nonsummer
5
month thermal standards as you go from
6
aquatic life A to aquatic life B, and then
7
obviously up the use rung of the ladder to
8
upper Dresden pool, which is a proposed
9
higher use than even aquatic life use A?
10
MR. TWAIT: Sure. The Agency looked
11
at what it would consider a background
12
temperature, and when we were looking for
13
that background temperature, we were trying
14
not to put it to get our background
15
temperature that's influenced by either Lake
16
Michigan, a heated effluent or MWRD's
17
facility, and this was one of the only
18
stations that we felt appropriate and to
19
represent the system because other stations
20
that we had available to us were directly
21
influenced by something else.
22
MS. FRANZETTI: Assuming it's possible
23
to do this, would the Agency be open to
24
nonsummer month period average values that
54
1
are shown to be protective of the expected
2
level of aquatic life?
3
MR. TWAIT: I don't see why not.
4
That's our whole goal here is to protect
5
aquatic life.
6
MS. FRANZETTI: Okay. Moving on to
7
question 7. Why is the January period
8
average 54.6 degrees Farenheit so much lower
9
than the December period average of 59.9
10
degrees Farenheit?
11
MR. TWAIT: I don't know the answer to
12
that. They are both based on effluent data
13
that was provided by MWRD.
14
MS. FRANZETTI: Moving on to question
15
8. Was the period average concept presented
16
and discussed within the various UAA
17
stakeholder group meetings?
18
MR. TWAIT: Only at the March 2007 --
19
MS. FRANZETTI: Public hearing?
20
MR. TWAIT: -- public hearing --
21
public meeting, sorry.
22
MS. FRANZETTI: Meeting, I'm sorry.
23
Moving on to question 9.
24
Is the proposed daily maximum
55
1
thermal standard an instantaneous limit or a
2
daily average limit?
3
MR. TWAIT: As it's written now, it's
4
an instantaneous limit.
5
MS. FRANZETTI: Is the Agency open to
6
considering instead the alternative of a
7
daily average maximum limit?
8
MR. TWAIT: I don't know that I could
9
honestly say that we wouldn't be open to
10
anything.
11
MS. FRANZETTI: Okay. Sounds like we
12
should talk.
13
Moving on to question 10. If the
14
proposed daily maximum thermal standard is an
15
instantaneous limit, which you said is
16
proposed and currently is, how is the
17
discharger supposed to calculate the two
18
percent excursion hours proposed in the
19
thermal quality water standards?
20
MR. TWAIT: I think that would be how
21
it's done currently. I know that Midwest
22
Generation's permit has excursion hours for
23
the data that's generated at the I-55 bridge,
24
so I don't think it would be any different
56
1
than it's done now based on hourly
2
excursions.
3
MS. FRANZETTI: Moving on to --
4
MR. ETTINGER: Could I just ask a
5
little more about that?
6
CHAIRMAN TIPSORD: Yes.
7
MR. ETTINGER: You say it's an
8
instantaneous limit, but could you explain
9
how the excursion works?
10
MR. TWAIT: It's an instantaneous
11
limit. Let's just say, pull out a number and
12
say 91 degrees, any period of time that they
13
go above 91 degrees, they would have to start
14
including excursion hours, and I'm not sure
15
if they calculate that in 15 minute
16
increments or in hour increments, but there's
17
only so much time that they can be above that
18
91 degrees.
19
MR. ETTINGER: But basically they can
20
use up their two percent allowance, and then
21
after they use that up, then the next time
22
they go over it, that would be a violation?
23
MR. TWAIT: Yes.
24
MS. BARKLEY: Tracy Barkley,
57
1
B-A-R-K-L-E-Y with Prairie Rivers Network.
2
And I had a similar question, but I'm
3
interested in the data that's used to
4
calculate compliance with thermal water
5
quality standards or what is it continuous
6
temperature monitoring or at what intervals
7
are those data points collected?
8
MR. TWAIT: That would be based upon
9
what the discharger determines to do. If
10
they take samples once per day, then if they
11
go over their temperature, that would incur
12
for the whole day. If they are taking
13
samples every 15 minutes and they were only
14
over for 15 minutes, that 15 minutes would
15
apply for their excursion hours. So it's
16
based upon how often the discharger is
17
evaluating the data.
18
MS. BARKLEY: Are you saying then that
19
you don't know how often they are collecting
20
the thermal temperature data?
21
MS. WILLIAMS: Who?
22
MS. BARKLEY: Midwest Generations?
23
MR. TWAIT: If it's specific to
24
Midwest Generation, at the I-55 bridge it's
58
1
my understanding it's continuous data, and
2
I'm not exactly sure how excursion hours are
3
handled when they have -- when they note -- I
4
would imagine it's based upon the time that
5
they are above that value, whether it's per
6
one minute, five minutes or ten minutes,
7
since they are taking it on continuous data.
8
MS. BARKLEY: Okay, thank you.
9
MS. FRANZETTI: Moving on to
10
Section E. This is proposed section
11
302.408(a), which deals with the two percent
12
excursion hours and two degree Celsius
13
excursion provisions. Question 1, what is
14
the basis for the selection of a two percent
15
excursion hours provision in the thermal
16
water quality standards versus the existing 5
17
percent excursion hours provision,
18
particularly for the proposed lower use
19
classification waters, such as aquatic life
20
B?
21
MR. TWAIT: The Agency chose 2
22
percent --
23
MR. ETTINGER: I want to object. Five
24
percent is to what?
59
1
MR. TWAIT: Secondary contact.
2
MR. ETTINGER: That's the secondary
3
contact standard?
4
MR. TWAIT: The Agency chose 2
5
percent. It's between the 1 percent for
6
general use and the 5 percent for secondary
7
contact, and it's the same as the site
8
specific standard at the I-55 bridge.
9
MS. FRANZETTI: And by the site
10
specific standard, you are referring to the
11
Midwest Gen adjusted standard terms?
12
MR. TWAIT: Yes.
13
MS. WILLIAMS: AS96-10 for the record.
14
MS. FRANZETTI: So in terms of the
15
underlying rationale, I mean I recognize that
16
2 percent excursion hours is a stricter
17
provision than the existing secondary contact
18
5 percent, not quite as strict as the
19
existing 1 percent excursion hours allowed
20
under the general use thermal standard, but
21
I'm not quite sure why 2 percent as
22
between -- I mean, why not 3, 3-1/2? Just
23
trying to get in between them or -- I mean,
24
can you elaborate on what the thinking was
60
1
for why 2 percent was selected?
2
MR. TWAIT: I think it was an
3
arbitrary number. I don't know that there's
4
any scientific rationale behind the 2
5
percent, and there's no biological reason
6
behind the 2 percent that I know of.
7
MS. FRANZETTI: I think question 2
8
maybe we have covered with the various
9
follow-up. It's, "How does one compute the
10
2 percent excursion hours allotment is
11
applied to the period average water quality
12
standard?" I think we've covered it unless
13
anybody disagrees.
14
Moving on to No. 3. Same question
15
now with respect to, Mr. Twait, the two
16
degrees Celsius limit on the degree of
17
excursion over the thermal water quality
18
standards. What was the Agency's basis for
19
proposing that requirement in the thermal
20
water quality standards?
21
MR. TWAIT: The two degrees Celsius is
22
greater than the three degrees Farenheit for
23
the general use, and it's less than the seven
24
degrees Farenheit for secondary contact.
61
1
Once again, I don't believe that it had a
2
scientific reason for choosing the two
3
degrees Celsius. I will note that the two
4
degrees Celsius was equal to the safety
5
factor that was applied in the model.
6
However, I don't necessarily know that
7
there's any significance to that.
8
MS. FRANZETTI: And by the model that
9
you just referred to, that is once again you
10
are referring to what Mr. Yoder calls his
11
fish temperature model, correct?
12
MR. TWAIT: Yes.
13
Moving on to question 4. Does the two
14
degree Celsius limit on the degree of
15
excursion over the thermal water quality
16
standard apply to both the period average and
17
the daily maximum?
18
MR. TWAIT: As the standard is
19
proposed, the two degree Celsius applies to
20
the daily maximum only.
21
MS. FRANZETTI: Can you explain why
22
it's limited to, in it's applicability, to
23
the daily max?
24
MR. TWAIT: Do you want why it was
62
1
written the way it was or do you want the
2
rationale behind it?
3
MS. FRANZETTI: The rationale for why
4
it should not apply to the period average and
5
only to the daily maximum standard.
6
MR. TWAIT: It was written to apply to
7
the daily maximum simply because of excursion
8
hours that we're applying. The period
9
average, we couldn't come up with an
10
excursion hour because those are -- I mean,
11
we could come up with an excursion hour, but
12
we couldn't come up with something that we
13
felt comfortable with for excursion hours for
14
the period average because that's based on an
15
entire month in some cases.
16
MS. FRANZETTI: Moving on to F.
17
Comparison of proposed thermal water quality
18
standards to existing general use thermal
19
water quality standards. On page 36 of the
20
statement of reasons and page 14 of the Twait
21
pre-filed testimony it is stated that "The
22
proposed thermal water quality standards are
23
more stringent than the current general use
24
standards for the months April through
63
1
November, especially when considering the
2
period average." If the proposed use
3
designation for the upper Dresden pool is
4
lower than the general use designation, what
5
is the rational for proposing thermal
6
standards for the upper Dresden pool that are
7
more restrictive than the current general use
8
thermal standards?
9
MR. TWAIT: That would simply be based
10
on the protection of aquatic life. The
11
general use standard has not been updated for
12
over 30-some years.
13
MS. FRANZETTI: Which leads kind of
14
into question 2. Does the Agency believe
15
that the current general use thermal water
16
standards are not adequately protective of
17
full aquatic life use?
18
MR. TWAIT: Quite possibly, however we
19
have not evaluated the general use waters at
20
this time.
21
MS. FRANZETTI: So would that answer
22
amount to that the Agency does not know?
23
MR. TWAIT: Correct.
24
MR. ETTINGER: Just to ask, in
64
1
answering those questions, were you keeping
2
in mind the five degree above natural
3
restriction in the general use standards
4
currently?
5
MR. TWAIT: I was only comparing the
6
numeric values between the two.
7
MR. ETTINGER: But the five degree
8
above natural is in the general use standard
9
and it's not in this proposal?
10
MR. TWAIT: Correct.
11
MS. FRANZETTI: Mr. Twait, if you do
12
consider the five degree above natural
13
restriction in the general use thermal
14
standard, is your answer any different with
15
respect to the adequacy of the protectiveness
16
of the existing general use thermal standard?
17
MR. TWAIT: I don't know that it does.
18
Talking to Chris Yoder, as far as he knows,
19
the five degrees Delta T has no scientific
20
basis, and he believes that by having a
21
period average, that that will protect the
22
aquatic life.
23
MS. FRANZETTI: Am I correct that with
24
respect to what the Agency intends to do in
65
1
the future with respect to any potential
2
revision to the general use thermal water
3
quality standards, that the answer is you
4
don't know; you have not made any decisions
5
as to whether you would follow the same
6
approach you did here to derive thermal water
7
quality standards?
8
MR. TWAIT: I think that would be
9
accurate.
10
MS. FRANZETTI: And I think we can
11
skip B and C and move on to No. 3.
12
On page three of the Sulski
13
pre-filed testimony there are references to
14
numerous stressors in the subject waterway,
15
including legacy contaminants, and it is
16
noted that the system must support other
17
critical functions, such as urban drainage,
18
flood control and navigation. On page 8
19
Mr. Sulski states that the Illinois EPA
20
recognized reduced biotic integrity due to
21
impoundment in the upper Dresden pool. Given
22
all of these constraints and stressors and
23
the lower use classification proposed for the
24
upper Dresden pool, why does the Illinois EPA
66
1
believe that thermal water quality standards
2
that are more restrictive than the current
3
general use standards is more appropriate for
4
the upper Dresden pool?
5
MR. SULSKI: Well, we recognize that
6
there's reduced biotic integrity in the upper
7
Dresden island pool, but not below the Clean
8
Water Act goal. And then I would defer to
9
Scott's answer that we haven't visited the
10
thermal standards for 30-some years and we
11
were compelled to in this proposal, so we
12
have. And we're applying what we believe is
13
the best thermal standard available to us at
14
this point, and so that then becomes what is
15
protective of the uses that we've defined.
16
MS. FRANZETTI: Moving on to the next
17
question. On page 86 of the Statement of
18
Reasons and page 14 of the Twait pre-filed
19
testimony, it is stated "That in comparing
20
the proposed thermal water quality standards
21
to the existing general use water quality
22
standards, that the proposed standard for the
23
December through March time period are
24
'approximately equivalent,' to the existing
67
1
general use thermal standards." However,
2
giving that the existing general use thermal
3
standards provide for a 60 degree Farenheit
4
standard versus the proposed standards
5
January and February 54.3 degrees and 53.6
6
degrees Farenheit standards respectively; is
7
it truly accurate to say that a difference of
8
of more than five degrees is approximately
9
equivalent?
10
MR. TWAIT: The answer to that is
11
maybe. The 60 degrees Farenheit as in the
12
general use is the daily maximum, and the
13
54.3 and the 53.6 degrees Farenheit is a
14
period average. So with the period average
15
values, you could go up to 60 or 61 degrees
16
as long as the period average came to be 54.3
17
or 53.6.
18
MS. FRANZETTI: So you would have to,
19
for an equal period, be approximately six
20
degrees below the period average down into
21
the high 40 degree Farenheit numbers to
22
achieve what you are talking about?
23
MR. TWAIT: Yes.
24
MS. FRANZETTI: Which in turn would be
68
1
more than ten degrees less than what you can
2
currently attain as a discharger in that time
3
period and remain in compliance, correct?
4
MR. TWAIT: Yes.
5
CHAIRMAN TIPSORD: Mr. Ettinger, did
6
you have --
7
MR. ETTINGER: Under your proposal,
8
leaving aside what these plants are capable
9
of generating, in theory you could have an 88
10
degree temperature in January, which would be
11
a whopping violation of the current general
12
standard?
13
MR. TWAIT: Yes. However, the chance
14
of meeting a period average at that point
15
would be small, but yes.
16
CHAIRMAN TIPSORD: This might be a
17
good time to take a ten minute break.
18
Mr. Harley, you have some
19
follow-up?
20
MR. HARLEY: Some materials were just
21
brought in that were accidently left here
22
overnight. They are back here in the corner
23
in case anybody is missing anything.
24
CHAIRMAN TIPSORD: Okay, thank you.
69
1
(Brief recess taken, after which
2
the following proceedings were
3
had:)
4
CHAIRMAN TIPSORD: Back on the record.
5
MS. FRANZETTI: We're now on Section G
6
of my pre-filed questions, Comparison of
7
Proposed Aquatic Life Use A Thermal Water
8
Quality Standards To Proposed Upper Dresden
9
Thermal Water Quality Standards." Question
10
1, at page 82 of the statement of Reasons the
11
Illinois EPA states that for aquatic life Use
12
A Waters, eight RAS, representative aquatic
13
species, plus White Sucker, were used to
14
determine the summer thermal standards; where
15
for the upper Dresden pool the option of 27
16
RAS, modified use species were used to derive
17
the thermal standards. However, even given
18
this significant difference in the number of
19
aquatic species used to derive these two
20
proposed sets of thermal standards, the
21
proposed thermal standards are identical for
22
these two different use designations.
23
Explain how this is scientifically justified
24
given the differences in the expected
70
1
presence of the aquatic life between these
2
two aquatic life use designations?
3
MR. TWAIT: As mentioned previously,
4
the background stations were the same so that
5
counts for the nonsummer months, and for the
6
summer months both RAS species had the most
7
sensitive -- had the same most sensitive
8
species which was the White Sucker and based
9
on the MBI methodology, the limits would be
10
the same.
11
MS. FRANZETTI: Please -- moving on to
12
B -- please explain how the resulting absence
13
of any difference in the thermal standards
14
derived for what is a limited use
15
classification versus a use that is described
16
as -- I'm going to change the question based
17
on the testimony -- versus a use that is
18
described as marginally meeting the full
19
aquatic life use?
20
MR. TWAIT: The Clean Water Act
21
supports the use of thermal water quality
22
standards for the CAWS and lower Des Plaines
23
waterways. Once again, that is just based on
24
the protection of the most sensitive species
71
1
in those two RAS lists which would be White
2
Sucker.
3
MS. FRANZETTI: If I might, just given
4
the obvious importance then of the reliance
5
of the White Sucker data, did the Agency do
6
any review of information available with
7
respect to the White Sucker species beyond
8
what Mr. Yoder used and on which he derived
9
his proposed values, thermal values, based on
10
White Sucker literature data?
11
MR. SMOGOR: Based on White Sucker
12
thermal tolerance?
13
MS. FRANZETTI: I'm basically asking,
14
I'm simplifying it down. Did you all look at
15
any White Sucker information outside of what
16
Mr. Yoder used and relied on to derive his
17
values based on White Sucker?
18
MR. SMOGOR: No, I did not.
19
MR. WILLIAMS: Can we follow-up and
20
ask him if he knows if there's any
21
information on White Sucker thermal tolerance
22
outside of what was cited in the reports?
23
MR. SMOGOR: I'm not aware of it if
24
there is.
72
1
MS. FRANZETTI: With respect to moving
2
to section H --
3
CHAIRMAN TIPSORD: Excuse me, I'm
4
sorry Mr. Fort.
5
MR. FORT: May I do a couple questions
6
in the same vain as these. My question is
7
really now that we've talked about a couple
8
of the Use A Waters, I want to go to the Use
9
B Waters and to the lower Chicago Sanitary
10
and Ship Canal. My question is, with respect
11
to the lower Chicago Sanitary and Ship Canal,
12
are the present thermal standards protective
13
of the recreation use which you've identified
14
in this proceeding, which is nonrecreation
15
for the lower Sanitary and Ship Canal?
16
MR. TWAIT: You are asking if the
17
current secondary standard is protective of
18
the recreation use?
19
MR. FORT: Yes.
20
MR. TWAIT: The thermal?
21
MS. WILLIAMS: So are you asking if
22
it's too hot to swim? I don't understand.
23
MR. FORT: Well, Counsel, I think your
24
testimony is that this is a nonrecreation use
73
1
here. So my question is, maybe it's obvious
2
but I thought it was a simple question -- do
3
you understand the question, Mr. Twait?
4
MR. TWAIT: Yes, I think so. Since
5
we're not -- I don't believe that it's too
6
warm based on the fact that we don't expect
7
people to be swimming in it.
8
MR. FORT: Now, with respect to the
9
same body of water, the lower Chicago
10
Sanitary and Ship Canal, with respect to the
11
aquatic conditions in that part of the stream
12
which the prior testimony said it was poor to
13
a very poor habitat, does the present thermal
14
standard protect that use of the, the
15
existing uses of the lower Chicago Sanitary
16
and Ship Canal?
17
MR. TWAIT: No, I do not believe it
18
does.
19
MR. FORT: And what's the basis for
20
that?
21
MR. TWAIT: Because the temperatures
22
are allowed to go up to a hundred degrees
23
Farenheit, which we do not believe is
24
protective of the aquatic environment.
74
1
MR. FORT: And what aquatic
2
environment is there in that reach?
3
MR. SULSKI: What aquatic environment?
4
Haven't we been through habitat description?
5
MS. WILLIAMS: Are you asking for what
6
species or what type of habitat?
7
MR. FORT: I'm looking for data from
8
the Chicago Sanitary and Ship Canal bridge.
9
MS. WILLIAMS: What kind of data?
10
MR. FORT: Biological data would be --
11
MR. ETTINGER: Would part of Exhibit
12
28 be --
13
MR. SULSKI: That's some species, but
14
in terms of overall what information went
15
into making the proposal, it's contained in
16
the CAWS attachment B report, and the lower
17
Des Plaines attachment A report, that gets
18
into the habitat in addition to what
19
testimony that we've provided.
20
MR. FORT: I realize that it gets into
21
that, but the data that is there says it's a
22
poor to very poor habitat. And I have yet to
23
see any data of any species on which the
24
thermal standard is purportedly based, any
75
1
species being taken from this reach of the
2
ship canal.
3
MR. ETTINGER: I'm not quite clear
4
what you mean by this reach of the ship
5
canal.
6
MR. FORT: The lower Chicago Sanitary
7
and Ship Canal.
8
Can you let him answer. Are you
9
objecting, Counsel?
10
MR. ETTINGER: I am objecting because
11
I'm not clear what reach you are talking
12
about.
13
MS. WILLIAMS: Now I'm lost. Can we
14
ask it again please or read it back.
15
CHAIRMAN TIPSORD: Can you read back
16
the question.
17
MR. SULSKI: Let me try and answer and
18
see --
19
MS. DIERS: I'm asking him not to
20
answer.
21
MR. SULSKI: I want to answer your
22
question.
23
CHAIRMAN TIPSORD: Are we now waiting
24
for the read back? Let me see if I can do
76
1
this. The question, Mr. Fort, is the
2
question what biological data you have on the
3
lower sanitary and ship canal that you've
4
used to come up with these, just what
5
biological data you have?
6
MR. FORT: Let me try it again here.
7
The testimony has been that you've used
8
either the 75 percentile from the Water
9
Reclamation District or the Species data to
10
propose the, to support the proposed
11
temperature standards, thermal standards. My
12
question is, what species do you know exists
13
that you sampled and located in the lower
14
Chicago sanitary and Ship Canal that fit into
15
any of these model protocols that Mr. Yoder
16
has talked about and Mr. Twait has talked
17
about?
18
MR. SULSKI: As an example, this is
19
just one example, on page 477 of Attachment
20
B, it tells you that a biological assessment
21
of the fish was performed at Willow Springs
22
Road and at the Lockport power house and
23
lock, and there are accompanying tables
24
shortly after that that provides that data.
77
1
MR. FORT: By species?
2
MR. SULSKI: Yes.
3
MR. FORT: But that data is not
4
referenced by Mr. Yoder when he is doing his
5
testimony that we spent so much time on,
6
correct?
7
MR. SMOGOR: Correct. Not
8
specifically that I'm aware of. The fish
9
data provided on the following page, 478 in
10
attachment 2, is a compiled list of the
11
species CAWS at several Chicago Sanitary and
12
Ship Canal sites that include the two sites
13
that Mr. Sulski just mentioned. There is
14
presence of White Sucker noted in that
15
compiled list of fish. And, again, given
16
that we were proposing the potential use for
17
those waters, we believed it was
18
reasonable -- well actually I'm going to
19
strike White Sucker, because White Sucker was
20
not included in the representative aquatic
21
species list for this CAWS B water, I
22
believe. So we believe that the list of fish
23
that was used for the representative aquatic
24
species list is consistent with the fish that
78
1
are known to occur in Chicago Sanitary and
2
Ship Canal, and we believe that our proposed
3
temperature standards are consistent with the
4
aquatic life potential that we've proposed
5
for the Chicago Sanitary and Ship Canal.
6
MR. FORT: I'm sorry, because I
7
thought the testimony you had in Chicago was
8
that for the Chicago Sanitary and Ship Canal
9
the habitat was poor to very poor, and you
10
were not expecting it to be better in the
11
future?
12
MR. SMOGOR: And we are proposing a
13
biological potential consistent with that.
14
MS. WILLIAMS: I think I can help.
15
Can I try a follow-up? I hope. Maybe. I
16
don't know if it will help or not. Do you
17
have in front of you, Mr. Smogor, Exhibit 15?
18
MR. SMOGOR: Yes.
19
MS. WILLIAMS: Could you turn to pages
20
9 and 10 of Exhibit 15.
21
MR. SMOGOR: Okay.
22
MS. WILLIAMS: And can you identify
23
where -- this is a table, correct?
24
MR. SMOGOR: Yes.
79
1
MS. WILLIAMS: Could you identify for
2
us where in the table we would look to
3
understand the RAS list that was used for the
4
Use B Waters?
5
MR. FORT: Counsel, my question is not
6
with the RAS list. It's connecting the
7
assumptions in the RAS list to the actual
8
sampling --
9
MR. WILLIAMS: I think I'll get there.
10
Is it okay if you give me a second to get
11
there.
12
MR. SMOGOR: With Mr. Twait's
13
verification, I believe it's the right most
14
column. If there is an X in the right-most
15
column, that represents -- if you walk that,
16
if you see what species each of those X's
17
refers to, I believe that was the set of
18
representative aquatic species that Mr. Twait
19
used.
20
MR. TWAIT: Yes.
21
MS. WILLIAMS: Now, with regard to the
22
existing conditions -- I'm not asking about
23
biological potential at this point, but just
24
with regard to the existing biological
80
1
conditions in the Use B Waters as you are
2
aware of it -- can you provide us any
3
testimony with regard to whether these
4
species on this list are found where you
5
would expect them to be found in those waters
6
as we sit here today?
7
CHAIRMAN TIPSORD: Which waters?
8
MS. WILLIAMS: The Use B Waters.
9
MR. FORT: Counsel, I'm not asking
10
about use B.
11
MS. WILLIAMS: Restricted to the lower
12
Sanitary and Ship Canal.
13
MR. FORT: Restrict it to the lower
14
Chicago Sanitary and Ship Canal, please.
15
That's what I've been looking at. And I see
16
use B referenced a lot, including in the
17
attachments you are talking about. I never
18
see anything on the Chicago sanitary and Ship
19
Canal. I asked Mr. Yoder that question in
20
Chicago, and he said, yes, I believe this
21
electro shocking testing that the District
22
has done has that information. I think we
23
established yesterday that he was in error,
24
that there was no data from the Chicago
81
1
Sanitary and Ship Canal in that data set
2
either.
3
MS. DIERS: Are you asking a question
4
now? It sounds like you are testifying. He
5
is testifying.
6
CHAIRMAN TIPSORD: He wants --
7
MS. WILLIAMS: Can you make objection.
8
CHAIRMAN TIPSORD: Can one of us speak
9
at a time. He is asking Ms. Williams to
10
limit her question to the Chicago Sanitary
11
and ship Canal and he is explaining why.
12
MS. WILLIAMS: Can I ask it as I asked
13
it?
14
CHAIRMAN TIPSORD: Go ahead ask it the
15
way you asked it, and then we'll ask it the
16
way Mr. Fort wants it asked.
17
MS. WILLIAMS: Do you understand the
18
way I asked it? I asked it generally with
19
regard to the Use B Waters. Can you try to
20
answer that first?
21
MR. SMOGOR: In general, with regard
22
to Use B Waters, I believe that the fish data
23
available shows that those eight species can
24
be expected to occur in Use B Waters.
82
1
MS. WILLIAMS: Then with regard to
2
Mr. Fort's question, are you able to be more
3
specific with regard to the lower Sanitary
4
and Ship Canal?
5
MR. SMOGOR: I can't specify to lower
6
Chicago Sanitary and Ship Canal because the
7
data that I've referenced at page 478,
8
Attachment 2, doesn't have the fish site by
9
site, but assuming that the sites mentioned
10
on page 477 -- and there are five sites --
11
assuming that fish can get from site to site
12
within the Chicago Sanitary and Ship Canal,
13
it looks like all eight of those species are
14
represented in that set of fish data on page
15
478.
16
CHAIRMAN TIPSORD: Of Attachment B?
17
MR. SMOGOR: Of Attachment B, thank
18
you.
19
MR. ETTINGER: For my benefit at
20
least, would you define what you are
21
referring to in these answers as the lower
22
sanitary ship canal?
23
MR. SMOGOR: I don't know what is
24
being referred to.
83
1
MR. FORT: I'm using whatever is on
2
your Exhibit 29, which has a category there.
3
I think it's a defined segment.
4
MS. WILLIAMS: So can you explain,
5
Rob.
6
MR. SULSKI: Lower sanitary ship canal
7
is on page 1 of Exhibit 29. It's the bottom
8
row. It begins at the Calumet Sag channel
9
and ends at the lower Des Plaines
10
River-Brandon pool.
11
MR. ETTINGER: So it includes this
12
portion of the Des Plaines above the Brandon
13
Road lock, the actual confluence area where
14
the Brandon Road lock and damn --
15
MR. SULSKI: It's not the lower
16
Des Plaines.
17
MR. ETTINGER: I'm sorry, the upper
18
Des Plaines. It's my understanding is the
19
upper Des Plaines merges with the Sanitary
20
and Ship Canal just above the Brandon Road
21
lock and damn, so the area that you are
22
defining as the lower Sanitary and Ship Canal
23
includes that confluence area?
24
MR. SULSKI: Yes.
84
1
MR. FORT: And this confluence area?
2
MR. SULSKI: No, sorry.
3
MR. TWAIT: The lower Sanitary and
4
Ship Canal that we're talking about I believe
5
ends at the Lockport lock and damn.
6
MR. SMOGOR: I noticed yesterday, and
7
I scratched my notes down, on Exhibit 29, if
8
that's the Exhibit that we have each of the
9
factors attributed to various sections, I
10
believe it would be more correct where Rob
11
mentions "lower Chicago Sanitary and Ship
12
Canal," I think that would be more correct to
13
say lower Chicago Sanitary and Ship Canal and
14
the uppermost portion of Brandon pool. It's
15
actually both those pieces because -- and
16
they are all CAWS B Waters, so that
17
distinction in the actual names of the water
18
body wasn't necessarily all that meaningful
19
in terms of they are all CAWS B waters.
20
Because all of Brandon pool is a CAWS B
21
water, and then upstream of Lockport, the
22
lock and damn in the Chicago Sanitary and
23
Ship Canal, that's also Use B Waters. Does
24
that help?
85
1
MR. FORT: Yes. Just so I make sure I
2
understand this, in terms of this category,
3
that is called on Exhibit 29, the lower
4
Chicago Sanitary and Ship Canal, you would
5
also include the Brandon Road pool?
6
MR. SMOGOR: Not all of the pool.
7
MR. FORT: The upper pool?
8
MR. SMOGOR: Just the uppermost part
9
of the pool that -- I'll be specific here --
10
that extends from the confluence with the
11
Des Plaines River upstream to the Lockport
12
lock and damn, that body of water on a map is
13
actually called the Chicago Sanitary and Ship
14
Canal. So there is part of the Chicago
15
Sanitary and Ship Canal that does extend
16
below the Lockport lock and damn to the
17
confluence of the Des Plaines River.
18
MS. WILLIAMS: But not as it's defined
19
in the regulations.
20
MR. SMOGOR: But in the regulations --
21
this is where it gets complicated, thank you
22
-- we are calling Brandon Pool, the uppermost
23
portion of Brandon pool in the regulation
24
only extending to the confluence of the
86
1
Des Plaines River with the Chicago Sanitary
2
and Ship Canal.
3
MR. FORT: So if I'm starting with the
4
confluence of the Des Plaines River that
5
you've talked about working upstream with the
6
ship canal; you have the Lockport locks,
7
correct?
8
MR. SMOGOR: Yes.
9
MR. FORT: Then we have this invasive
10
species barrier?
11
MR. SULSKI: Yes.
12
MR. FORT: Yes?
13
MR. SULSKI: Yes.
14
MR. FORT: Then we go upstream from
15
that, and this is still the lower Chicago
16
Sanitary and Ship Canal?
17
MR. SMOGOR: Yes.
18
MR. FORT: Thank you.
19
MS. FRANZETTI: At the risk of going
20
one more step, but just for those of us who
21
like the simple map on Exhibit 25, is that
22
cut-off point that you were referring to as
23
the upper portion of the Dresden pool, is
24
that right where you've got the color for the
87
1
Chicago Sanitary and Ship Canal, which one
2
might call a brown color, changing to green
3
on Exhibit 25, the Chicago Area Waterway
4
System, Des Plaines River, UAA Segment?
5
MR. SULSKI: Correct.
6
MS. FRANZETTI: Back to my pre-filed
7
questions. Section H, Thermal Rule
8
Development Process. No. 1, at page 15 of
9
the Twait pre-filed testimony it states,
10
"Development of the Agency's proposal to the
11
Board for thermal water quality standards was
12
one of the most challenging aspects of the
13
rule development process." Explain why this
14
was the case.
15
MR. TWAIT: I made this statement
16
because there's no U.S. EPA criteria document
17
that's recent, and there was so many opposing
18
views during the work group meetings with
19
seemingly no middle ground.
20
MS. FRANZETTI: Mr. Twait, when you
21
talk about so many opposing views during the
22
work group meetings, can you give us a brief
23
description of what you're recollecting were
24
the many opposing views?
88
1
MR. TWAIT: I believe our contractors
2
thought the secondary contact standard was
3
lethal. The environmental groups thought
4
they were not stringent enough, and according
5
to Midwest Generation's proposal at one time,
6
they thought the secondary contact standard
7
was appropriate. And that might still be the
8
case. I don't know.
9
MS. FRANZETTI: That was basically the
10
opposing views, was some thinking secondary
11
contact was appropriate and others thinking
12
those weren't strict enough?
13
MR. TWAIT: Yes.
14
MS. FRANZETTI: Actually, you made
15
reference just a few minutes ago to the fact
16
that the allowance under the secondary
17
contact thermal standards for a maximum
18
thermal level of hundred degrees Farenheit
19
was not protective. Do you recall generally
20
what I'm talking about?
21
MR. TWAIT: Yes.
22
MS. FRANZETTI: The secondary contact
23
standard also has the other piece of it, that
24
the water shall not exceed 93 degrees
89
1
Farenheit more than 5 percent of the time.
2
Are you as certain about that portion of the
3
secondary contact thermal standards being
4
nonprotected?
5
MR. TWAIT: I would say based upon
6
Chris Yoder's work that those numbers are not
7
necessarily protective, although our two
8
degrees centigrade excursion for 2 percent of
9
the time is somewhere around 93 degrees.
10
MS. FRANZETTI: When you say our, what
11
are you referring to?
12
MR. TWAIT: The proposal.
13
MS. FRANZETTI: So it is rather
14
similar in that regard, correct?
15
MR. TWAIT: It's similar only that
16
it's the same number. In our proposal that
17
number would be a maximum. In the secondary
18
contact standard it is -- it's not a maximum,
19
per se. It's the number that you shouldn't
20
exceed more than 5 percent of the time.
21
MS. FRANZETTI: Moving on to question
22
2 in Section H.
23
At page 15 of the Twait pre-filed
24
testimony it states, "There will likely be
90
1
additional information developed in the
2
record of this proceeding that the Board will
3
have to consider in making a final decision."
4
Explain the basis for this statement and
5
expectation for additional information.
6
MR. TWAIT: The additional -- well, I
7
made that statement because there was so
8
much -- since this was a contentious issue,
9
and like I said there was no middle ground
10
that we could find, the additional
11
information that I think could be generated
12
is Midwest Generation's proposal or
13
counterproposal that was mentioned
14
previously, also with the possibility of
15
economic data.
16
MS. FRANZETTI: And the Midwest Gen
17
proposal you were referring to, since there
18
was more than one, was the August 2007
19
proposal?
20
MR. TWAIT: That would be one that I
21
was specifically thinking about, but there's
22
nothing stopping Midwest Generation from it's
23
other proposal either.
24
MS. FRANZETTI: Moving on to Roman XI,
91
1
Technical Feasibility and Economic
2
Justification of Proposed Temperature Water
3
Quality Standards. Section A, Technical
4
Feasibility. Question 1, at page 99 of its
5
Statement of Reasons the Illinois EPA states
6
"With regard to the temperature water quality
7
standards, the proposed rule making will
8
require Midwest Generation to control the
9
temperature of their effluent by installing
10
cooling towers and by instituting closed
11
cycle cooling or some combination of open and
12
closed cycle cooling at five of their
13
facility, Crawford, Fisk, Will County and
14
both Joliet facilities. Cooling towers and
15
closed cycle cooling are also widely used and
16
accepted treatment technologies that are
17
clearly technologically feasible. Various
18
factors will impact which technology will be
19
more appropriate for each facility." And
20
there are similar factual statements
21
contained at page 19 of the Sulski pre-filed
22
testimony.
23
Question A, describe the technical
24
feasibility review that the Illinois EPA
92
1
conducted on the Midwest Generation
2
facilities, including the review of such
3
factors as available space, conflicts with
4
existing infrastructure, sensitivity of the
5
area to fogging and other facility and
6
environmental factors.
7
MR. TWAIT: No such analysis was done
8
by the Agency.
9
MS. FRANZETTI: Moving on to Question
10
B. Did the Illinois EPA conclude that it is
11
technically feasible for each of the Midwest
12
Generation facilities to comply with the
13
proposed temperature water quality standards?
14
MR. TWAIT: The Agency did not do a
15
technical feasibility analysis for the
16
Midwest Generation facility.
17
MS. FRANZETTI: So no such conclusion
18
was reached by the Agency as to the technical
19
feasibility of compliance for each of the
20
Midwest Generation facilities with the
21
proposed temperature water quality standards?
22
MR. TWAIT: Correct.
23
MS. FRANZETTI: Question, C, what are
24
the various factors referenced by the
93
1
Illinois EPA that will impact which
2
technology will be more appropriate for each
3
Midwest Generation facility?
4
MR. SMOGOR: Well, I think that it was
5
beyond the various factors. We also said
6
that this would be better known to Midwest
7
Generation, and that's the type of
8
information that we sought all along.
9
MS. FRANZETTI: So that was just a
10
general reference that there are various
11
factors that will probably implement this,
12
but are not known to the Agency, they should
13
be known to Midwest Generation?
14
MR. SMOGOR: Correct.
15
MR. ETTINGER: To follow-up. Do you
16
know whether Midwest Generation supplied any
17
of this information to you in the course of
18
the -- do you know if Midwest Gen supplied
19
any of this information to you in the course
20
of the stakeholder process?
21
MR. SMOGOR: Yes, they did supply us
22
with information. I think as we get through,
23
we're going to cover some of that.
24
MS. FRANZETTI: Moving on to question
94
1
2. In assessing technical feasibility, to
2
what extent has the Illinois EPA relied upon
3
the statements made in Attachment A at page
4
1-22 which states "In the early 1970's
5
cooling towers were not common and were
6
expensive. Today cooling technology using
7
forced and natural draft is commonly used by
8
and mandatory for many power plants on rivers
9
that have a similar size as those located on
10
the Des Plaines River, e.g. plants operated
11
by the Tennessee Valley Authority or by
12
Wisconsin Energies on the Wisconsin River in
13
Kenosha, Wisconsin?
14
MR. TWAIT: The Agency did not rely on
15
that statement.
16
MS. FRANZETTI: Okay. Did the Agency
17
have some -- did the Agency not rely on it
18
because the Agency had some questions as to
19
the accuracy and reliability of that
20
statement?
21
MR. TWAIT: I think the Agency didn't
22
rely on that simply because we know that
23
cooling towers can be added to an existing
24
power plant if there's space available.
95
1
MS. FRANZETTI: And what is that
2
knowledge based on, Mr. Twait?
3
MR. TWAIT: Offhand I would have to
4
say the construction of cooling towers at one
5
of the Joliet facilities. So we know they
6
can be added. We didn't meet the
7
statement --
8
MS. FRANZETTI: Do you have any such
9
knowledge with respect to turning a
10
once-through cooling plant into a closed
11
cycle cooling facility?
12
MR. TWAIT: I know of no place that
13
that's been done.
14
MS. FRANZETTI: Moving on to question
15
3. At page 99 of its Statement of Reasons
16
the Illinois EPA states, "In particular
17
Midwest Generation will have to study the
18
best way to provide cooling at its smaller,
19
older facilities where the availability of
20
additional land may determine how much
21
cooling capacity can be installed." Question
22
A, which Midwest Generation facilities is the
23
Illinois EPA referring to as the smaller,
24
older Midwest Generation facilities?
96
1
MR. TWAIT: This statement should not
2
have listed any particular facility. It
3
should have included all of the facilities
4
where Midwest Generation will have to look
5
whether cooling can be installed. There's no
6
reason for it to be for any of the smaller,
7
older facilities. It should be for all the
8
facilities.
9
MS. FRANZETTI: We'll consider that at
10
the older smaller facilities deleted.
11
Moving on to B, has the Illinois
12
EPA made any determination as to whether it
13
is technically feasible for Midwest
14
Generation to install sufficient cooling
15
capacity -- well, I think actually now that
16
you've changed it, you've already answered
17
that question earlier that, no, you have not.
18
Moving on to question 4. At page
19
99 of its Statement of Reasons the Illinois
20
EPA states, "As the Board is already aware,
21
Midwest Gen is currently considering whether
22
to close its will County, Crawford and Fisk
23
facilities. See attachment RR." What facts
24
is this statement based on?
97
1
MS. WILLIAMS: The information
2
contained in Attachment RR which is a
3
memorandum of understanding between Midwest
4
Generation and the Agency.
5
MS. FRANZETTI: Okay. And nothing
6
else?
7
MS. WILLIAMS: Nothing else.
8
MS. FRANZETTI: Well, then let me ask
9
a few follow-up questions. Is the Agency
10
aware that Midwest Gen has four units at the
11
Will County plant and only two of those four
12
units may or may not be shut down in 2010
13
under the Mercury Emission Regulations?
14
MS. WILLIAMS: Someone at the Agency
15
probably is. I don't know that I am, but
16
I'll accept that if that's your --
17
MS. FRANZETTI: We believe that that
18
is true.
19
MS. WILLIAMS: I would believe that is
20
true if that's what you are telling me is
21
true, I believe that.
22
MS. FRANZETTI: So would you agree,
23
assuming that is accurate that under the
24
Mercury Emissions Regulations it's only two
98
1
of the four units at Will County that may or
2
may not be shut down, would you agree then
3
it's not accurate to state that Midwest Gen
4
is considering closing the Will County plant?
5
MS. WILLIAMS: Absolutely.
6
MS. FRANZETTI: With respect to
7
Crawford and Fisk facilities, Midwest Gen may
8
decide to install the applicable Mercury
9
Emissions control technology rather than
10
close those plants; would you agree that that
11
is accurate?
12
MS. WILLIAMS: Yes.
13
MS. FRANZETTI: And even if Midwest
14
Gen were to decide to close the Fisk and
15
Crawford plants, those decisions would not be
16
made until 2015 and 2018 respectively; isn't
17
that correct?
18
MS. WILLIAMS: That is what the
19
agreement provides for.
20
MS. FRANZETTI: And that agreement
21
being Attachment RR which is what the Agency
22
relied on?
23
MS. WILLIAMS: Right, I would assume
24
that Midwest Generation could make that
99
1
decision earlier if they wanted to, but
2
that's all they are required to do under the
3
agreement.
4
MS. FRANZETTI: So moving on to
5
question B, please explain the Agency's
6
intent in including this statement that as
7
the Board is already aware Midwest Generation
8
is currently considering whether to close its
9
Will County, Crawford and Fisk facilities,
10
how is that relevant to the issue of the
11
technical feasibility of these proposed
12
rules?
13
MS. WILLIAMS: I would agree that it's
14
not relevant to that issue. If it's
15
relevant, it would only be relevant to the
16
issue of a cost analysis possibly. I mean,
17
our only intent was to provide the Board any
18
information that seemed relevant, and the
19
only way it would be relevant is if there was
20
an argument to the value of investing money
21
to comply with these standards in a facility
22
that was going to close.
23
MS. FRANZETTI: Was the agency
24
considering in making this statement that it
100
1
might be open to deferring any change in the
2
thermal standards that are proposed here
3
until after these deadlines in 2015 and 2018?
4
MS. WILLIAMS: No.
5
MS. FRANZETTI: At page 99 of its
6
Statement of Reasons the Illinois EPA states,
7
"Ultimately if these studies leave Midwest
8
Generation to conclude that it is technically
9
infeasible or economically unreasonable to
10
install additional cooling capacity at these
11
facilities, Section 316 of the Clean Water
12
Act allows Midwest Generation to petition for
13
relief from these requirements."
14
Subpart A, question, is it
15
Illinois EPA's position as this statement
16
suggests that section 316(a) authorizes a
17
variance from otherwise applicable water
18
quality standards where the state determines
19
that achieving these standards is technically
20
infeasible or economically unreasonable?
21
MS. WILLIAMS: No.
22
MS. FRANZETTI: What is the Agency's
23
position based on this statement?
24
MS. WILLIAMS: Well, I would say our
101
1
position with regard to 316(a) is that it
2
seems to indicate an opportunity would be
3
available for establishing alternative
4
effluent limitations for thermal discharges
5
so long as the Clean Water goals for aquatic
6
life would be protected. It does not appear
7
that technical feasibility and economic
8
reasonableness are an explicit component of
9
that provision in the statute.
10
Did that answer your question?
11
MS. FRANZETTI: Well, I think it
12
answers this statement that is in your
13
Statement of Reasons you're revising, aren't
14
you?
15
MS. WILLIAMS: Yes, I would think it
16
needs clarification.
17
MS. FRANZETTI: That as you said you
18
are not saying that the requirements of
19
316(a) are that you show technical
20
infeasibility or economic unreasonableness;
21
that's not your understanding of 316?
22
MS. WILLIAMS: That's not my
23
understanding.
24
MS. FRANZETTI: I'm going to skip over
102
1
B. Given that answer, I don't think B is
2
relevant or an applicable question.
3
Do you know with respect to
4
question C, if Midwest Generation were to
5
seek a variance pursuant to Section 316(a),
6
what standard would apply?
7
MS. WILLIAMS: I think Midwest
8
Generation would have to show that the
9
requested effluent limitation would ensure
10
the protection propagation of a balanced
11
indigenous population of shell fish, fish and
12
wildlife in and on the receiving stream.
13
That's my understanding of the standard.
14
MS. FRANZETTI: Do you also have an
15
understanding of how that standard differs or
16
does not differ from the standard Illinois
17
EPA applied in developing the proposed
18
aquatic life uses and standards?
19
MS. WILLIAMS: Not specifically. So
20
was the question with regard to the upper
21
Dresden island pool in particular or the
22
whole system?
23
MS. FRANZETTI: Well, it basically
24
would apply to any parts of the system to
103
1
which our five plants discharge. So it's not
2
just to upper Dresden pool. It's all the
3
Sanitary and Ship Canal.
4
MR. ETTINGER: Is the answer the same
5
to each of those areas?
6
MR. TWAIT: I don't know the answer is
7
the same to each of those areas because the
8
Agency is not proposing, A, to protect -- the
9
protection and propagation of a balanced
10
indigenous population of shell fish, fish and
11
wildlife for the CAWS B Waters.
12
MS. FRANZETTI: With regard to that,
13
Mr. Twait, has there been any discussion
14
between Illinois EPA and U.S. EPA, Region 5,
15
as to how 316(a) of the Clean Water Act would
16
be applied to a water body like a CAWS B or
17
aquatic life Use B Water body that has
18
thermal standards that were not based on
19
trying to maintain a balanced indigenous
20
population?
21
MR. TWAIT: Not that I am aware of.
22
MS. FRANZETTI: Does the Agency know
23
what new information would Midwest Generation
24
have to collect and supply, if any, to seek a
104
1
variance pursuant to Section 316(a)?
2
MS. WILLIAMS: No.
3
MS. FRANZETTI: Does the Agency know
4
what additional proceedings would be
5
required, how long they would take and what
6
administrative burden they would impose on
7
the Agency, the Board and Midwest Generation?
8
MS. WILLIAMS: 316(a) requires
9
opportunity for a public hearing. That's the
10
only specific requirement I'm aware of.
11
MS. FRANZETTI: While any variance
12
request is pending, what requirements would
13
apply to Midwest Generation and what costs or
14
other burdens would those impose?
15
MS. WILLIAMS: It would be our
16
assumption that if Midwest Generation or any
17
other discharger were to seek some type of
18
site specific relief from any part of this
19
proposal, whether it be through something
20
under 316(a) or any other mechanism available
21
under the Board's rules, we would assume that
22
would occur during the compliance period
23
established within the permits that are
24
issued.
105
1
MS. FRANZETTI: So are you saying the
2
Agency would be open to providing, a,
3
compliance period to cover the time
4
necessary, reasonably necessary to obtain a
5
316(a) variance or other similar or
6
appropriate relief?
7
MS. WILLIAMS: If appropriate I am
8
sure we would be open to that.
9
CHAIRMAN TIPSORD: Mr. Dimond?
10
MR. Dimond: Let her finish up with
11
this line of questioning.
12
MS. FRANZETTI: You know, I'm going to
13
No. 6.
14
MR. Dimond: The 316(a) procedure,
15
does that apply to any facilities other than
16
electric generating units?
17
MS. WILLIAMS: No I don't think so --
18
well, I don't think so. I think that's
19
right.
20
MR. Dimond: So a chemical plant or an
21
oil refinery wouldn't be able to take
22
advantage of that?
23
MS. WILLIAMS: Correct.
24
MR. Dimond: Is it the Agency's
106
1
position that a normal Illinois variance or
2
site specific for adjusted standard
3
proceeding can't be pursued because of the
4
Clean Water Act?
5
MS. WILLIAMS: No.
6
MS. FRANZETTI: Question 6, is it
7
correct that nonpoint sources of temperature
8
increases, such as urban run-off, will not be
9
regulated under these proposed rules?
10
MR. ETTINGER: I want to the object to
11
the statement that urban run-off is a
12
nonpoint source.
13
MS. FRANZETTI: I'll strike that part
14
of the question. I don't have a problem with
15
that.
16
Is it correct that nonpoint
17
temperature increases will not be regulated
18
under these proposed rules?
19
MR. SULSKI: Any source can be
20
regulated.
21
MS. FRANZETTI: Do you regulate
22
nonpoint sources?
23
MR. SULSKI: Yes -- well, we do
24
regulate nonpoint sources in the nonpoint
107
1
source elements of our NPS permit programs,
2
storm water.
3
MS. FRANZETTI: Other than storm
4
water -- well, let me strike that.
5
Mr. Sulski, doesn't the storm
6
water have to come out of a point source in
7
order for you to regulate it?
8
MS. WILLIAMS: Under NPDS the storm
9
water that's regulated there is considered a
10
point source construction and industrial.
11
MS. FRANZETTI: Are you currently
12
regulating urban run-off that is not covered
13
by your storm water program?
14
MS. WILLIAMS: I think the answer is
15
no.
16
MS. FRANZETTI: That's what I think.
17
No. 7, in the Illinois EPA's Statement of
18
Reasons discussion of the technical
19
feasibility of temperature water quality
20
standards it identifies only the Midwest
21
Generation facilities. Did the Illinois EPA
22
conclude that no other dischargers would be
23
required to control the temperature of their
24
effluent in order to comply with the proposed
108
1
temperature standards, and if so what was the
2
basis of this conclusion?
3
MR. TWAIT: The answer to your first
4
question is, no, other dischargers may have
5
to install cooling in order to meet the water
6
quality standard. It would depend upon the
7
size of their discharge and the temperature
8
of their discharge and whether or not mixing
9
is available.
10
MS. FRANZETTI: Moving on to Economic
11
Justification B. At section Roman V, C, of
12
the Statement of Reasons, page 99, the
13
Illinois EPA states, "Regarding the cost of
14
technology required to comply with the
15
temperature standards of this proposed rule
16
making, Midwest Generation has provided the
17
Agency with only one statement of the
18
estimated cost of the technology needed to
19
control the temperature of their effluent at
20
all five of their facilities in the effected
21
waterways; Crawford, Fisk, Will County and
22
Joliet 9 and 29 facilities." With respect to
23
the "only one Midwest Gen statement of
24
estimated costs submitted to the Illinois
109
1
EPA," is the Agency referring to, one, the
2
April 26, 2004 thermal compliance cost study
3
report for the lower Des Plaines River that
4
Midwest Generation submitted to the Agency,
5
or two, the economic impact analysis for
6
Midwest Gen's Chicago area waterway power
7
generating stations provided to the Agency on
8
January 3, 2005, or three, the economic
9
information presented by Midwest Gen in it's
10
power point presentation during the public
11
meetings on March 20th and 22nd and 2007?
12
MR. TWAIT: The answer to that
13
question would be the third option there.
14
The economic information presented by Midwest
15
Generation in its power point presentation
16
during the public meetings on March 20th and
17
22nd of last year.
18
MS. WILLIAMS: Which is attachment SS
19
to the Agency's proposal.
20
MS. FRANZETTI: Can someone explain to
21
me why the Agency represented to the Board
22
that only one economic statement was
23
presented by Midwest Generation and deemed
24
the April 26, 2004 and the January 3, 2005
110
1
submissions not to be economic impact
2
information submitted by Midwest Gen?
3
MR. SULSKI: I have the January 3rd
4
submission.
5
MS. FRANZETTI: I'm glad you have it.
6
My question is whether or not the Agency
7
disagrees or contends that the two submittals
8
that we made in addition to prior and prior
9
to, well prior to, the presentations made at
10
the March 2007 public meetings did not
11
constitute economic impact information. Or
12
did you just make a mistake and not take it
13
--
14
MR. TWAIT: Let me start out here.
15
After reading these, one of my jobs was to
16
find the first study, and I have to apologize
17
because my wife delivered early I was not
18
able to find that particular study. And
19
hopefully I'll be able to find it before next
20
time. The II that you have here and part A
21
does not have a dollar figure involved
22
anywhere in here.
23
CHAIRMAN TIPSORD: You are speaking
24
about the January 3, 2005 information?
111
1
MR. TWAIT: Yes. That does not have a
2
cost to Midwest Generation. They do talk
3
about some of the economic ramifications but
4
there is no cost included, and it's my
5
understanding that the April 26, 2004 did
6
have some costs included, just based on my
7
recollection, and like I said, I will try to
8
find that for the next time. And so when we
9
said the only one, that was incorrect.
10
MS. FRANZETTI: So if I understand
11
correctly --
12
MR. TWAIT: I believe it was
13
incorrect. Like I said, I will go back and
14
try to find that particular study.
15
MS. FRANZETTI: Okay.
16
MS. WILLIAMS: Do you have it here? I
17
mean, if we have it here, we can review it
18
over lunch.
19
MS. FRANZETTI: Well, I think you are
20
going to need a little longer than over lunch
21
to review that study, but we do have it. We
22
will provide you with a copy. We were not
23
aware until today that the Agency can't find
24
it. Would have appreciated perhaps you
112
1
mentioning that to us a bit earlier.
2
However, now that you have, we will provide
3
you with additional copies, but let me
4
explore this a little bit further.
5
CHAIRMAN TIPSORD: Excuse me,
6
Ms. Franzetti, before you do that, the Board
7
needs copies. If you have the January
8
document, do you have only one copy?
9
MS. WILLIAMS: Yes.
10
MS. FRANZETTI: Madam Hearing Officer,
11
if you want, we have no problem with
12
supplying, submitting these to be filed with
13
the Board just as the Agency has done some
14
filings after each, after the last set of
15
hearings. We'll do the same on these.
16
CHAIRMAN TIPSORD: Okay, that's fine.
17
MS. FRANZETTI: Given that the Agency
18
has other assignments to do, we'll take this
19
one since it is our documentation.
20
MS. WILLIAMS: I think Mr. Sulski --
21
Scott said he'd start out, I think Mr. Sulski
22
would like to complete that answer.
23
MS. FRANZETTI: I am not sure what
24
question is pending that you are answering.
113
1
MR. SULSKI: I wanted to augment
2
Scott's answer with respect to the January 3,
3
2005, and you don't have to have it in your
4
hand yet, you'll get it. This was the
5
response to a wide request to what we thought
6
were the most effected facilities, Midwest
7
Generation and Metropolitan Water Reclamation
8
District to start generating some cost
9
numbers for what it would cost to meet at
10
that time the request was to meet general use
11
standards. Because that's what all the
12
assessments were done against general use
13
standards.
14
MS. FRANZETTI: I'm sorry, Mr. Sulski,
15
just so we are clear is what you are saying
16
that the Midwest Generation, January 3, 2005,
17
submission was a response to a request by the
18
Agency for economic impact information using
19
the general use thermal standards as a basis?
20
MR. SULSKI: Correct.
21
MS. FRANZETTI: Okay.
22
MR. SULSKI: And this is what we got,
23
and it didn't include any cost numbers. We
24
specifically asked for costs of meeting those
114
1
standards, general use standards. That was
2
done in a meeting. There was follow-up back
3
and forth in e-mails, and we were given the
4
document when I requested an electronic copy
5
of the document with the hopes of
6
distributing it to the stakeholders, I was
7
told that this was not to be distributed to
8
the stakeholders. I would not be able to get
9
an electronic copy. I should use the hard
10
copy to distribute internally within the
11
Illinois EPA.
12
MS. FRANZETTI: Were you told anything
13
as to why the information in that document
14
should not be distributed outside of the
15
Agency or just don't distribute it?
16
MR. SULSKI: I was told maybe there
17
were some trade secrets or I don't remember
18
exactly how --
19
MS. FRANZETTI: You think maybe
20
Midwest Gen may be concerned that it
21
contained confidential business information,
22
Mr. Sulski?
23
MR. SULSKI: That's what it said,
24
protected as confidential business
115
1
information.
2
MS. FRANZETTI: Did the Agency review
3
it and come to any decision that it did not
4
contain such information and raise that with
5
Midwest Gen?
6
MR. SULSKI: No, we reviewed it for
7
some cost numbers that we hoped to get so we
8
could move along on getting a better handle
9
on the economic ramifications.
10
MS. FRANZETTI: And, Mr. Sulski, you
11
are making all these statements not having
12
reviewed the April 26, 2004 Midwest
13
Generation submission, just so that's clear,
14
correct?
15
MR. SULSKI: I don't know. I don't
16
remember what was contained in that document.
17
MS. FRANZETTI: You saw it at one
18
point?
19
MR. SULSKI: I don't remember whether
20
I reviewed the April 26th document.
21
MS. FRANZETTI: Okay. But that's my
22
point. You are making all these statements
23
about no cost information being included in
24
the January 3, 2005 submission without having
116
1
reviewed the April 26, 2004 submission,
2
correct?
3
MR. SULSKI: I'm taking the document
4
at its face value and with the contents
5
therein.
6
MR. ETTINGER: Could we identify the
7
individual at Midwest Generation who gave you
8
this report and told you to keep it
9
confidential; could we do that?
10
MR. SULSKI: Sure.
11
MR. ETTINGER: It was a human being I
12
assume.
13
MR. SULSKI: Julia Wozniak. The
14
submission came under the signature of
15
Mr. Constantelos (phonetic).
16
MS. FRANZETTI: Moving on to question
17
No. 2 --
18
CHAIRMAN TIPSORD: Excuse me,
19
Mr. Harley has a follow-up.
20
MR. HARLEY: The statement that is
21
referenced in the question from the Statement
22
of Reasons specifically states, "Cost of
23
technology required to comply with the
24
temperature standards of this proposed rule
117
1
making," is it fair to say that the
2
presentation that was made in 2007 was more
3
related to this proposed rule making than the
4
submission in 2005 that addressed a general
5
use approach?
6
MR. SULSKI: I don't know. I would
7
have to review the presentation more closely.
8
MR. HARLEY: Is it possible that the
9
reason why the April 26, 2004 cost study
10
report was not referenced in this Statement
11
of Reasons was because it was not directly
12
related to the temperature standards of this
13
proposed rule making but was part of a
14
preliminary process?
15
MR. TWAIT: It's possible.
16
MS. FRANZETTI: Well, I'll stipulate
17
to that because it was submitted about two,
18
three years before this proposal, so how
19
could we have looked into our crystal ball
20
and seen what this proposal was going to be.
21
MR. HARLEY: As long as we are drawing
22
conclusions, it seems to me that the
23
statement in the Statement of Reasons could
24
be accurate.
118
1
MS. FRANZETTI: Well, if the Agency
2
would like to clarify that they were simply
3
making a statement that a proposal on thermal
4
standards that nobody had seen before it was
5
filed with this Board, Midwest Gen had not
6
previously evaluated what the economic
7
impacts would be of an unknown proposal, I
8
will accept that clarification of that
9
statement.
10
MR. TWAIT: I think the point of the
11
statement is, we gave the Board everything we
12
thought was relevant, and we will continue to
13
give what we think is relevant to the Board.
14
MS. FRANZETTI: Is it correct --
15
moving on to question No. 2. At least with
16
respect to the April 26, 2004 submission, and
17
the January 3, 2005 submission to the Agency
18
by Midwest Generation, is it correct to state
19
that the Illinois EPA requested that Midwest
20
Gen submit these economic reports, and that
21
the Agency did not provide Midwest Gen with
22
any proposed thermal standards like those in
23
this proceeding on which to base its economic
24
information?
119
1
MR. TWAIT: I believe that would be
2
correct.
3
MR. SULSKI: It says any proposed
4
thermal standards.
5
MS. FRANZETTI: I'm revising the
6
question somewhat.
7
MR. SULSKI: I see.
8
MS. WILLIAMS: To the extent then that
9
the revised question refers specifically to
10
the April 2004, can we limit it to the one
11
that we know what we are talking about? I
12
don't think we know for sure.
13
MS. FRANZETTI: That's partly why I
14
changed it. I think you've already stated
15
that as to the January 2005 submission I
16
believe you asked Midwest Gen to base it on
17
general thermal standards. Now given the
18
fact that none of you is aware of and cannot
19
find the April 26, 2004 submission, I think
20
I'm correctly assuming you don't know what
21
anyone asked us to base that proposal on; is
22
that correct?
23
MR. TWAIT: It could not have been
24
this proposal.
120
1
MS. FRANZETTI: Yes, I understand
2
that. But none of you as you sit here know
3
whether with respect to the April 2004
4
submission we were asked to base it on
5
general use or something else?
6
MR. TWAIT: I could take a guess, but
7
yes, I would agree that since we don't have
8
did in our hands, we can't tell you.
9
MS. FRANZETTI: And, Mr. Twait, I
10
don't want you to guess, is also a part of
11
the problem here that this request to Midwest
12
Gen to submit economic information was
13
primarily handled by Toby Frevert?
14
MR. TWAIT: Yes, it was.
15
MS. FRANZETTI: And the rest of you
16
who are sitting here really didn't have any
17
involvement in those discussions between Mr.
18
Frevert and Midwest Generation?
19
MR. TWAIT: That is true on some
20
instances, but not all instances.
21
MR. SULSKI: I'd like to add that for
22
so many years Midwest Gen has been a very
23
excellent and worthwhile participator in all
24
these stakeholder meetings and we've
121
1
appreciated it. Through this process
2
assessments were done and stressors were
3
being identified and the stressors kept going
4
down to temperatures and DO's as primary
5
stressors, the business of economics and
6
costs came up in these stakeholder meetings.
7
Midwest Generation and Metropolitan Water
8
Reclamation District was aware of these
9
discussions. Metropolitan Water Reclamation
10
District started to generate costs. They
11
knew. They saw the writing on the wall.
12
Midwest Generation didn't offer any costs in
13
the stakeholder process early on, and at
14
least for this document they were requested
15
to. And it was also known that the general
16
use standards were what things were being
17
compared against.
18
MS. FRANZETTI: And, Mr. Sulski, I
19
hope you will stick to that answer once you
20
review the 2004 submission.
21
MR. ETTINGER: May I inquire whether
22
the 2004 submission was filed as CBI or
23
confidential?
24
MS. WILLIAMS: We don't know. I can
122
1
tell you that there's no markings on the 2005
2
one that we have found. I don't see any
3
markings of that.
4
CHAIRMAN TIPSORD: And Ms. Franzetti
5
has indicated that they will provide us with
6
those. I'm assuming she'll know if any of
7
that was confidential.
8
MS. FRANZETTI: I think that there may
9
be portions that are CBI. I can't sit here
10
and say the whole thing, portions -- I don't
11
think that none is accurate.
12
MR. ETTINGER: Well, I would just note
13
on the record that we would object to any
14
portion of the Agency's burden to meet a --
15
CHAIRMAN TIPSORD: I can't hear you.
16
MR. ETTINGER: I would note our
17
objection to any portion of the Agency's
18
burden to show the appropriateness of a
19
subfishable-swimmable designation for any
20
water being based on information which is not
21
provided to the public in this hearing.
22
MS. FRANZETTI: Moving on to question
23
3. Please clarify whether Illinois EPA
24
contends that it requested economic
123
1
information from Midwest Generation that was
2
not provided to it?
3
MR. SULSKI: With respect to the
4
January 4th submission, it did not address --
5
well, it did not provide costs for meeting
6
general use standards, which is what the
7
request was.
8
MS. FRANZETTI: Moving on to question
9
4. Did the Illinois EPA provide any comments
10
or suggest Midwest Generation provide
11
additional information to supplement the
12
economic statement it submitted?
13
MR. TWAIT: I'm not aware of any.
14
MS. FRANZETTI: Moving on to question
15
5. Did the Illinois EPA review the Midwest
16
Generation Economic reports submitted to the
17
Agency, and if so, what if anything did it
18
conclude regarding the economic
19
reasonableness of the cost of compliance by
20
Midwest Gen with the proposed temperature
21
water quality standards?
22
MS. WILLIAMS: So we are talking about
23
the two reports that are referenced here?
24
CHAIRMAN TIPSORD: We're asking about
124
1
all three, aren't we?
2
MS. FRANZETTI: We're asking about all
3
three, although I have to concede based on
4
the answers today that I don't know whether
5
the Agency reviewed the first one.
6
MR. SULSKI: Well, I could speak to
7
the second one.
8
MS. WILLIAMS: I wasn't thinking of
9
identifying of the power point presentation
10
as a report. Are we considering that a
11
report for the purposes of this question?
12
MS. FRANZETTI: No, I would not call
13
that a report. I would call it a power point
14
presentation.
15
MR. SULSKI: I will respond to 5.
16
This references the proposed temperature
17
standards which are here. This report was
18
generated in response to a request to look at
19
general use standards at the time.
20
MS. FRANZETTI: Am I correct that the
21
Illinois EPA did not make any conclusions
22
regarding the economic reasonableness of the
23
cost of compliance by Midwest Generation with
24
the proposed temperature water quality
125
1
standards?
2
MR. SULSKI: Since it doesn't make any
3
costs, it was -- since it didn't involve any
4
costs, it was fairly difficult to make a
5
decision on costs.
6
MS. FRANZETTI: Okay, Mr. Sulski, I
7
understand that's your position on the
8
January 2005 submission. What about the
9
power point presentation then during the
10
meetings in March which the Agency does seem
11
to be aware of, is it also your position that
12
did not contain any costs of compliance?
13
MR. SULSKI: I would need to look at
14
the power point presentation.
15
MS. FRANZETTI: Which you haven't done
16
before today?
17
MR. SULSKI: I attended the
18
presentation.
19
MS. FRANZETTI: But you didn't really
20
review the information, the cost information
21
we've presented at the March public hearings?
22
MR. SULSKI: I didn't to the extent
23
that I can kick it out right now.
24
MS. FRANZETTI: Well, Mr. Sulski, the
126
1
whole point of this question is not to have
2
you do your review and draw your conclusions
3
today as you sit here; it's whether before
4
the Agency proposed these standards it
5
conducted any review of the economic cost
6
information Midwest Gen had submitted to it
7
and had drawn any conclusions regarding the
8
economic reasonableness of the cost of
9
compliance by Midwest Generation. Was that
10
done before these rules were filed with the
11
Board?
12
MR. TWAIT: We did include the
13
information from the power point into the
14
Statement of Reasons.
15
MS. FRANZETTI: I understand you
16
included it. I am not blind. I see it. But
17
that's not my question, People. I'm simply
18
asking, did you or did you not conduct any
19
review of the economic information we
20
submitted to you prior to the filing of these
21
proposed rules for purposes of evaluating the
22
economic reasonableness of compliance by
23
Midwest Gen? It can be no. You know, the
24
answer can be no, but we just want to
127
1
establish on the record whether or not you
2
conducted any such review.
3
MR. SULSKI: Reviews -- we attended
4
the presentation. We received a January 4th
5
response. I personally -- let me finish my.
6
MS. FRANZETTI: Well, you are not
7
answering my question, Mr. Sulski, so you are
8
really wasting all our time. With all due
9
respect, I don't want to waste anybody's
10
time.
11
CHAIRMAN TIPSORD: Let's go off the
12
record for a second.
13
(Brief recess taken.)
14
MR. SULSKI: The answer is, yes, we
15
reviewed it.
16
MS. FRANZETTI: What did you conclude?
17
MR. SULSKI: I concluded that the
18
information did not fall in line with the
19
affordability guidance in the Clean Water Act
20
criteria.
21
MS. FRANZETTI: And is based solely on
22
your review of the January 3, 2005
23
submission, correct?
24
MR. SULSKI: I reviewed the
128
1
presentation as well, so it would apply to
2
the presentation material as well.
3
MS. FRANZETTI: So now you do remember
4
reviewing all that and drawing these
5
conclusions, correct?
6
MS. SULSKI: Yes.
7
CHAIRMAN TIPSORD: Mr. Harley, you
8
have a follow-up?
9
MR. HARLEY: In the course of
10
answering your questions, you refer to the
11
fact that there are other people at the
12
Agency who participated in the preparation of
13
this rule making package; is that correct?
14
MR. SULSKI: Yes.
15
MR. HARLEY: You've referred to Toby.
16
Who is Toby?
17
CHAIRMAN TIPSORD: That's been asked
18
and answered and that's on the record from
19
the prior hearings.
20
MR. HARLEY: Is it possible that Toby
21
was one of the people who reviewed the
22
information, although he is not here to
23
testify today?
24
MR. SULSKI: Yes.
129
1
MS. FRANZETTI: Let's ask about that.
2
Mr. Twait, did Mr. Frevert give you our
3
economic impact submission that we made on or
4
about April 26, 2004 or do you recall?
5
MR. TWAIT: I believe that I received
6
it and I do believe that I read it. However,
7
as I mentioned before, I was not able to look
8
for it.
9
MS. FRANZETTI: I understand. Did you
10
ever discuss it with Mr. Frevert?
11
MR. TWAIT: If I discussed it with
12
him, it would have been in 2004. I do not
13
recall that discussion.
14
MS. FRANZETTI: You don't recall
15
having any discussion about our submission in
16
2004 with him?
17
MR. TWAIT: Not that I'd like to enter
18
into testimony. I just don't remember.
19
MS. FRANZETTI: That's fine, if you
20
don't remember. Does anybody else on this
21
panel recall having any discussion with
22
Mr. Frevert concerning the economic impact
23
information submitted by Midwest Generation?
24
MS. WILLIAMS: In April of 2004?
130
1
MS. FRANZETTI: At any time.
2
MR. SULSKI: I don't remember any
3
details of discussions. They may have taken
4
place.
5
CHAIRMAN TIPSORD: Mr. Ettinger, you
6
have a follow-up?
7
MR. ETTINGER: We've gone for a while
8
on this. I fail to see the relevance
9
involving internal discussions of the
10
drafting of the petition here. The petition
11
rises or falls based on the petition itself
12
and evidence offered in front of it.
13
CHAIRMAN TIPSORD: I respectfully
14
disagree. I think what we are trying to
15
establish here is a record about the economic
16
considerations by the Agency, and one of the
17
things the Board has to decide is the
18
economic reasonableness, and the Board can
19
take it for what it's worth. But I do think
20
it is relevant because it is what the
21
economic considerations were that the Agency
22
considered in developing its proposal and how
23
they came to their conclusions. So with all
24
due respect, I do think it's relevant.
131
1
MS. WILLIAMS: So then to respond
2
to -- I mean, are we done? To respond to --
3
I think we already did put on the record but
4
maybe to reiterate to close this loop -- I
5
think that we all felt that it was Toby's
6
position that he communicated at the
7
stakeholder's meetings that we did not have
8
enough economic information available and we
9
would hope that in these proceedings more
10
information would be brought forward that
11
would help the Board in making its decision.
12
That was his opinion. That's what I recall
13
as his opinion.
14
MS. FRANZETTI: Okay, wait a minute.
15
I have got to ask you a couple questions on
16
that to make sure I understand it. Are you
17
saying that Toby Frevert told you that he had
18
said at the stakeholder meetings, he had told
19
the stakeholders that they hadn't submitted
20
adequate economic impact information?
21
MS. WILLIAMS: I'm not saying that he
22
told me that. I felt that that was
23
communicated publicly by him, and I heard it,
24
but I guess -- I can't quote him. I mean, do
132
1
you guys agree?
2
MR. SULSKI: The request for economic
3
information was put forth in the stakeholder
4
meetings in the stakeholder process. We need
5
dollars and cents on these now stressor
6
remedies that we've been discussing. That's
7
generally.
8
MS. FRANZETTI: And, Mr. Sulski, you
9
are referring to the CAWS, UAA stakeholder
10
meetings, correct?
11
MR. SULSKI: I am, yes.
12
MS. FRANZETTI: You didn't attend the
13
lower Des Plaines River?
14
MR. SULSKI: Just one perhaps.
15
MS. FRANZETTI: Yes, okay. I'll move
16
on.
17
I'm going to skip question 7.
18
Moving on to 8. Does the information, and
19
I'm going change this based on the testimony,
20
does the information contained in the January
21
3, 2005 Midwest Generation submission and the
22
March 2007 power point presentation
23
constitute the only economic information
24
concerning the estimated costs of technology
133
1
to control effluent temperatures that the
2
Illinois EPA obtained or reviewed in
3
connection with its preparation of the
4
proposed rules?
5
MR. TWAIT: Not that I'm aware of.
6
MS. FRANZETTI: You know, Mr. Twait, I
7
don't understand the answer. Is the Midwest
8
Gen economic information basically all the
9
Agency got or had? That's what I'm trying to
10
understand. Did you have other economic
11
information?
12
MR. TWAIT: Yes, I believe the only
13
economic information for thermal was from
14
Midwest Generation.
15
MS. FRANZETTI: Okay. Moving on to
16
Roman XII.
17
CHAIRMAN TIPSORD: Let's go ahead and
18
take a lunch break at this point. We'll come
19
back and finish up with Ms. Franzetti and
20
move on.
21
(At which point a lunch recess was
22
taken, after which the following
23
proceedings were had:)
24
134
1
CHAIRMAN TIPSORD: Back on the record.
2
MS. FRANZETTI: XII, Midwest
3
Alternative Standards. I'm going to propose
4
that questions 1 and 2 cannot be answered at
5
this time by the Agency because they are
6
based on the Agency having reviewed the
7
August 2007 Midwest Generation submission of
8
an alternative thermal standards proposal,
9
and I believe earlier today it was stated
10
that while that was received and while
11
Mr. Twait may have I think reviewed it, read
12
it, it came in too late to really be
13
considered by the Agency. Is that an
14
accurate summation of what the prior
15
testimony was?
16
MR. TWAIT: Yes.
17
MS. FRANZETTI: So let's jump to
18
No. 3. Please explain the Illinois EPA's
19
justification for encouraging biological
20
monitoring of water bodies effected by
21
anthropogenic discharges if the field data
22
are not accepted for use in establishing
23
water temperature criteria and standards.
24
ROY: When you refer to field data not
135
1
accepted, can I ask you to clarify that?
2
MR. ETTINGER: I guess there are a lot
3
of presumptions in here. Did they appear
4
somewhere? Did they encourage or where did
5
they not accept it?
6
MS. FRANZETTI: Let me break it down
7
and ask the Agency. Has the Agency in its
8
opinion encouraged by biological monitoring
9
of water bodies effected by anthropogenic
10
discharges?
11
MR. SMOGOR: Yes, we use and believe
12
that biological indicators are a useful
13
indicator when we are assessing attainment of
14
designated aquatic life uses throughout the
15
state.
16
MS. FRANZETTI: And then isn't it true
17
that the Agency did not use any of that field
18
data in establishing the proposed thermal
19
water quality standards that it has presented
20
to the Board?
21
MR. SMOGOR: I'd have to defer to
22
Scott. I don't think that was part of the
23
methodology that we chose, but I am not sure.
24
I'd have to defer to Scott.
136
1
MS. FRANZETTI: I agree, that's what I
2
think. Mr. Twait, any different answer to
3
that?
4
MR. TWAIT: If you are talking about
5
IBI scores, review of those -- are you
6
referring to that?
7
MS. FRANZETTI: How did you use the
8
IBI scores in developing the proposed thermal
9
standards?
10
MR. TWAIT: We've used that data to
11
determine whether fish are there or not, but
12
we have not used the IBI scores in this
13
proposal.
14
MS. FRANZETTI: Moving on to page
15
four. At page 156 Mr. Twait's pre-filed
16
testimony, it is acknowledged that "Fish can
17
tolerate short-term elevations in
18
temperature." Do the twenty or so years of
19
fish data collected in the upper Dresden pool
20
by ComEd and Midwest Gen support this
21
finding?
22
MR. TWAIT: I don't know that I can
23
say that it either supports or doesn't
24
support this data. I don't know that the
137
1
studies that you conducted were to determine
2
whether they were short-term or long-term
3
avoidance. I don't know the answer.
4
MS. FRANZETTI: And, Mr. Twait, is
5
that due to the fact that you haven't really
6
been able to study that twenty years or so of
7
data with respect to this issue?
8
MR. TWAIT: I'm not a biologist, so I
9
would have to defer.
10
MR. SULSKI: The data was reviewed,
11
all that we have, and I think it is in the
12
record in terms of attachments and that, and
13
the data was used to assess current
14
conditions in the waterways. That's what it
15
was used for.
16
MS. FRANZETTI: And not to evaluate
17
whether or not fish can tolerate short-term
18
elevations in temperature?
19
MR. SULSKI: No.
20
MS. FRANZETTI: That's fine.
21
How does the Illinois EPA's
22
approach to driving thermal water quality
23
standards recognize or incorporate this
24
principle that fish can tolerate short-term
138
1
elevations in temperature?
2
MR. TWAIT: The Agency's proposal has
3
an exceedance period that the temperature,
4
the maximum temperature can be exceeded by
5
two degrees Celsius two percent of the time.
6
MS. FRANZETTI: And I don't know if
7
you can answer B, Mr. Twait, based on your
8
review of the Midwest Gen 2007 methodology or
9
proposed methodology, but I will ask you.
10
Does the Illinois EPA agree that the
11
methodology proposed by Midwest Gen for
12
deriving thermal water quality standards does
13
take this principal into account because it
14
is based on fish data collected in the upper
15
Dresden pool?
16
MR. TWAIT: I don't know if you can
17
say that there's short-term avoidance and
18
also say that there's no long-term avoidance
19
with the approach.
20
MS. FRANZETTI: And I'm sorry, but if
21
I may go back to yesterday and the two
22
questions where the Agency was asking me to
23
cite to where Mr. Rankin's report contained
24
the language that I had quoted, and before
139
1
the lunch hour I did give the Agency the page
2
of the report that contains the two subject
3
references. Has the Agency had an
4
opportunity to look at that page of the
5
report?
6
MR. SULSKI: Page 13?
7
MS. FRANZETTI: Well, my copy didn't
8
have -- the copy that came from the January
9
hearings --
10
MR. SMOGOR: We found the place and
11
rank in the report that you are talking
12
about. I think at least for question 8
13
there's a quote in one of your question 8's.
14
MS. WILLIAMS: Page 24, is that where
15
the question came from?
16
CHAIRMAN TIPSORD: And Rankin's report
17
is?
18
MS. FRANZETTI: Attachment R.
19
"Mr. Reinke also states that,
20
'Physical patterns in these watersheds are
21
very strong and will have a predominant
22
influence on the type of assemblages one
23
might expect.' Does the Illinois EPA agree
24
with Mr. Rankin's statement"?
140
1
MR. SMOGOR: I think as a general
2
characterization, yes.
3
MS. FRANZETTI: And then although the
4
Agency answered the question, which is
5
question No. 4 of that same section, it was
6
professing it wasn't sure whether or not the
7
meaning of "isolation" that my question was
8
implying was consistent with the way you read
9
Mr. Rankin's language in the report, so I
10
just -- now that you've had the language in
11
its context of the report -- my question is,
12
is your answer still the same to question 4
13
regarding, and I'll read it with respect to
14
the Brandon tailwater area, Mr. Rankin also
15
states in his report, attachment R that, "The
16
isolation of this site (among impounded
17
reaches) could influence the potential of
18
that site." And I asked whether the Agency
19
agreed that the isolation of the Brandon
20
tailwater area reduces its potential as
21
available good habitat for aquatic life in
22
the upper Dresden pool?
23
MR. SULSKI: Well, his statement says
24
it could influence the potential. It doesn't
141
1
definitively say it will influence the
2
potential.
3
MR. SMOGOR: We're interpreting that
4
as a general observation being made by
5
Mr. Rankin given his level of knowledge of
6
the surrounding area. So we accept that as
7
kind of a general impression, his general
8
impressions of the area.
9
MS. FRANZETTI: Okay.
10
That is all the questions I have.
11
CHAIRMAN TIPSORD: Pre-filed?
12
MS. FRANZETTI: Pre-filed. And I
13
would generally, as has been done by others,
14
reserve the right based on more complete
15
review of the Agency's filings last week to
16
ask some additional questions.
17
CHAIRMAN TIPSORD: Absolutely. It
18
would be my intent that at the next hearing
19
when we finish with all the pre-filed
20
questions, we'll go back to anybody that has
21
questions on the materials more recently
22
filed. With that, we go to Flint Hills. Do
23
you want to exchange places?
24
MR. SAFLEY: Flint Hills' questions
142
1
are pretty short, at least in numbers. I'm
2
okay in staying where I am. I think whoever
3
is next after me has more questions, so I
4
don't know.
5
Tom Safley on behalf of Flint
6
Hills Resources, and as I stated we have a
7
limited number of questions.
8
In starting, on the first page of
9
our questions, Regulatory Background, that
10
question has been asked and answered.
11
At the top of the second page,
12
Study Methodology, that question has been
13
asked and answered.
14
So moving on to the third
15
question, which is in the middle of page two,
16
Mixing Zones, some of the dischargers
17
potentially effected by the proposed rule
18
making are located downstream from large
19
dischargers with established mixing zones per
20
regulations under 35IAC 302.102. Will the
21
Agency clarify if and how mixing zone
22
designations will be established for
23
dischargers who currently may be in the
24
footprint of another discharger's zone?
143
1
MR. TWAIT: I'm just looking for a
2
particular section here.
3
Basically this comes down to two
4
particular points under 302.102, and one
5
would be "No mixing zone can be larger than
6
26 acres." And that would be 302.102(b)(12)
7
in our regulations. And the other mixing
8
zone requirement under 302.102(b)(7) states
9
that, "The area and volume in which mixing
10
occurs alone or in combination with other
11
areas and volumes of mixing must not" --
12
that's not the one I want. It would be
13
302.102(b)(8) "The area and volume in which
14
mixing occurs alone or in combination of
15
other areas of volumes of mixing must not
16
contain 25 percent of the cross sectional
17
area or volume or flow of a stream, except
18
where those streams where the dilution ratio
19
is less than three to one."
20
So basically what that says is,
21
alone or in combination with the mixing zones
22
they can't use up more than 25 percent
23
received.
24
MR. SAFLEY: If you had -- and
144
1
obviously the regulation you just read
2
contemplates overlapping or commingled mixing
3
zones. Would compliance for purposes of both
4
dischargers in that circumstance then be
5
measured at the edge of the total mixing zone
6
each taking into account --
7
MR. TWAIT: Yes.
8
MR. SAFLEY: And the Agency doesn't
9
intend to change that approach with the new
10
rules at all?
11
MR. TWAIT: Not that I am aware of.
12
MR. SAFLEY: Moving on to our next
13
question, "Narrative Water Quality
14
Standards." Narrative standards exist in
15
35IlAd302.210(f) for general use waters. Is
16
it the Agency's intention to incorporate this
17
substantial set of narrative standards into
18
the proposed lower Des Plaines River
19
standards?
20
MR. TWAIT: The answer would be, yes,
21
the Agency included that in its proposal.
22
MR. SAFLEY: And can you point me to
23
the proposed regulatory provision that
24
includes that?
145
1
MR. TWAIT: It would be 302.410.
2
MR. SAFLEY: But the Agency is not
3
proposing any corresponding change in
4
302.210; is that correct?
5
MS. WILLIAMS: 302.210 is?
6
MR. SAFLEY: General use.
7
MS. WILLIAMS: General use?
8
MR. SAFLEY: So the Agency doesn't
9
feel that -- well, I guess I should maybe
10
phrase it a little bit differently. Strike
11
that last one. Let me flip here.
12
I think the base, the reason for
13
this question just to try to explain what the
14
concern was, the proposed 302.410 like
15
302.210 references provisions in subpart F of
16
part 302, procedures for determining water
17
quality criteria, but the Agency has not
18
proposed any changes to subpart F. And for
19
example, the first provision of subpart F
20
302.601 Scope and Applicability states, "This
21
subpart contains the procedures for
22
determining water quality criteria set in
23
302.210(A), (B) and (C) but the Agency did
24
not propose to revise that section. And,
146
1
again, we obviously can read the proposed
2
302.410, but in trying to follow all the
3
rules through and understand how they are all
4
going to apply and not seeing the
5
corresponding change in subpart F, I just
6
want to make sure we were understanding the
7
Agency's proposal.
8
MS. WILLIAMS: Right. It would
9
probably be most correct to also open that
10
section and cross reference this as well, but
11
we did not propose to do that.
12
MR. SAFLEY: So the Agency is
13
proposing to subpart F to these waters in the
14
same way subpart F currently applies to
15
general use waters?
16
MR. TWAIT: Yes, that was the intent.
17
MS. FRANZETTI: That includes aquatic
18
life Use B waters as well?
19
MR. TWAIT: Yes, I believe there's no
20
differentiation.
21
MR. FORT: And that includes even the
22
poor to very poor habitat waters within Use
23
B, correct?
24
MR. TWAIT: Yes.
147
1
MR. SAFLEY: The next question, and
2
still in this section that was pre-filed by
3
Flint Hills, did the Agency evaluate the
4
economic reasonableness and technical
5
feasibility while incorporating these
6
narrative standards into the proposed lower
7
Des Plaines River standards?
8
MR. TWAIT: No, the Agency did not
9
look at economical reasonableness and
10
technical feasibility. However, I will point
11
out that it is replacing a narrative standard
12
that's existing, and in some instances that
13
narrative standard is based upon one half of
14
a 96-hour median tolerance, 96 hours TLM for
15
native fish for essential fish food
16
organisms. And in some cases that is more
17
stringent than what we've proposed, although
18
not in all cases.
19
MR. SAFLEY: What was going to be my
20
next --
21
MR. TWAIT: What we have proposed is a
22
more up to date way to determine the toxic
23
effects to aquatic life.
24
MR. SAFLEY: And you've anticipated my
148
1
next question, which is, is the Agency's
2
understanding that its proposal to
3
incorporate subpart F is more or less
4
stringent than the provision that's being
5
replaced and perhaps you need to break that
6
down by parameter but --
7
MR. TWAIT: I do not have those in
8
front of me.
9
MR. SAFLEY: Okay. But it's your
10
understanding that in some cases it may be
11
more stringent and some cases it may be less
12
stringent?
13
MR. TWAIT: My recollection that is
14
true.
15
MR. SAFLEY: Moving on then to our
16
next question which is entitled
17
"Disinfection."
18
The proposed bacteria standard may
19
require dischargers to disinfect effluence.
20
Did the Agency evaluate the economic
21
reasonableness and technical feasibility of
22
incorporating the proposed disinfection
23
standard into the proposed lower Des Plaines
24
River standards?
149
1
MR. TWAIT: We have not proposed a
2
bacteria standard as a water quality
3
standard. We just went with an effluent
4
standard.
5
MR. SAFLEY: And that's a fair point.
6
The Agency is not proposing it to incorporate
7
it into the lower Des Plaines water quality
8
standards. So my question should have been
9
phrased differently. Did the Agency evaluate
10
the economic reasonableness or technical
11
feasibility of the application of the
12
proposed effluent standard to dischargers in
13
the lower Des Plaines?
14
MR. TWAIT: There are lots of
15
facilities throughout the state that
16
disinfect. The Agency did not do an economic
17
reasonableness and technical feasibility, but
18
we believe that it's technically feasible and
19
economically reasonable because it's done
20
throughout the state.
21
MR. SAFLEY: And we've discussed that
22
issue, Mr. Twait, to some extent in January,
23
and I don't want to make you go over that
24
again. But just so we're clear here, the
150
1
discussion that we had during the last set of
2
hearings on the Agency's view that certain
3
technologies exist and are used throughout
4
the state, that was the extent of the
5
Agency's review of technical feasibility and
6
economic reasonableness for the application
7
of the disinfection effluent standards to the
8
lower Des Plaines?
9
MR. TWAIT: Yes.
10
MR. SAFLEY: Thank you. To the top of
11
page three of our pre-filed questions titled
12
"Chloride."
13
Industrial storm water outfalls to
14
the subject waterways may include all site
15
areas where the discharger does not have
16
control over common activities that result in
17
the discharge of high concentrations of
18
Chloride. Such as application of road salt
19
that may impair the waterway for chloride.
20
Does the Agency intend to apply the proposed
21
chloride standard to dischargers of storm
22
water?
23
MR. TWAIT: I believe the answer to
24
that is no.
151
1
MR. SAFLEY: Is that made clear in the
2
regulatory language proposed by the Agency,
3
and if so, could you point me to that
4
statement?
5
MS. WILLIAMS: I guess I would say
6
generally the way that -- generally storm
7
water is regulated through best management
8
practices, not through specific numeric
9
effluent limits so that would be the answer
10
to our no there. Does that help?
11
MR. SAFLEY: Sure.
12
MS. WILLIAMS: So I wouldn't say
13
unregulated, but not regulated through a
14
numeric number which is not reflected
15
directly in this standard or any other
16
standard.
17
MR. SULSKI: Can I add that in some
18
cases there are effluent technology, effluent
19
limits for chloride that actually do apply to
20
storm waters from certain industrial
21
activities so that may apply. I don't know
22
where right at the moment, but I wanted to
23
let you know that.
24
MR. SAFLEY: Thank you. And I'm going
152
1
to strike the first half of the final
2
question here and just begin after the comma.
3
Did the Agency evaluate the economic
4
reasonableness and technical feasibility of
5
incorporating its proposed chloride standard
6
into the proposed lower Des Plaines River
7
standards?
8
MR. TWAIT: The answer to that would
9
be no --
10
MR. SAFLEY: Sorry, I didn't mean to
11
interrupt. Those are all our pre-filed
12
questions.
13
CHAIRMAN TIPSORD: We are ready to
14
move to Citgo.
15
MR. FORT: I am going to start with
16
our temperature questions because that at
17
least will get most of the temperature things
18
closer to Ms. Franzetti's questions. I think
19
I've taken out everything that has been asked
20
and answered, and I've tried to pair down to
21
things that I don't think have been covered,
22
but obviously if you think I'm beating
23
something a second time, let me know.
24
CHAIRMAN TIPSORD: Absolutely.
153
1
MR. FORT: I'm going to be cautiously
2
optimistic here that I'm going to finish all
3
of my questions before we're even close to
4
being done today.
5
CHAIRMAN TIPSORD: Cool. So you are
6
going to start on page 9 of your pre-filed
7
questions?
8
MR. FORT: Actually I'm going to start
9
with Roman IV, but the first question that I
10
think hasn't been asked is number three on
11
the top of page 10, so I'm going to start
12
there and I will skip down.
13
I have divided these by general
14
versus individual testimony, but I think
15
whichever is the right Agency witness is fine
16
with me.
17
First question, No. 3, has the
18
Agency --
19
MR. TWAIT: Could you hold on, please.
20
MR. FORT: Has the Agency considered
21
that biological treatment facilities even at
22
industrial waste water treatment plants need
23
to provide heat in the winter months to
24
achieve nitrification?
154
1
MR. TWAIT: When we made the proposal,
2
I don't think that the Agency even considered
3
that.
4
MR. FORT: Is the Agency proposing now
5
that such plants will need to have cooling
6
towers, particularly in the winter months or
7
nonsummer months?
8
MR. TWAIT: Whether or not they will
9
need cooling towers, I don't know, but they
10
will need to meet the water quality
11
standards.
12
MR. FORT: So if it entails cooling
13
towers to be used in the fall or in the
14
spring to get to down to your period average,
15
that's what the Agency is proposing?
16
MR. TWAIT: That would be the
17
proposal, yes.
18
MR. SULSKI: Can I add to that? Just
19
to clarify, I don't know any municipal waste
20
water treatment plant that heats up the water
21
to accomplish nitrification. They do it
22
through the winter.
23
MR. FORT: My client Citgo does do
24
nitrification and it does have to provide
155
1
heat and it includes some of the time periods
2
and your period average is actually going to
3
be a problem.
4
MS. WILLIAMS: I'm going to object. I
5
don't really feel -- this is the first I knew
6
of this. I don't think there's information
7
in the record about your client adding heat.
8
I guess I would --
9
CHAIRMAN TIPSORD: I assume you are
10
going to provide that information at a later
11
date?
12
MR. FORT: Oh, yes.
13
MR. SAFLEY: Same would apply to Exxon
14
Mobil.
15
MR. FORT: Some of your colleagues
16
know that, and it didn't get into this rule
17
making yet.
18
MR. SULSKI: I just needed to make
19
that clarification on municipal waste water
20
treatment plants, which is what we had been
21
getting information on.
22
MR. FORT: You didn't look at the
23
industrial sources that would be providing
24
nitrification pursuant to Illinois
156
1
regulations?
2
MR. SULSKI: You are asking me if I
3
did or didn't? I didn't receive any
4
information at the stakeholder's meetings
5
that that was an issue.
6
MR. FORT: And you did not investigate
7
it on your own?
8
MR. SULSKI: I didn't know it was an
9
item that needed investigation.
10
MR. FORT: In light of the uses of the
11
Chicago Sanitary and Ship Canal, what is the
12
basis and the technical feasibility and
13
economic reasonableness for including "period
14
average" temperature as a water quality
15
standard?
16
MR. TWAIT: That is based on the
17
methodology of the technical person that
18
wrote the MBI report.
19
MR. FORT: So that was a water quality
20
based approach. You did not consider
21
technical feasibility or economic
22
reasonableness in making that proposal.
23
MR. TWAIT: Other than the fact that
24
cooling towers are a technology that have
157
1
been used throughout the state.
2
MR. FORT: You did not look at any
3
particular costs or particular scenarios
4
other than the general notion there might,
5
that cooling towers might apply?
6
MR. TWAIT: That is correct.
7
MR. FORT: Well, in light of the poor
8
biological conditions such as we have talked
9
about the Chicago Sanitary and Ship Canal
10
what is the basis and technical feasibility
11
and economic reasonableness for including the
12
proposed temperature standards?
13
MR. TWAIT: To protect aquatic life.
14
MR. FORT: Assuming that aquatic life
15
is there.
16
MR. TWAIT: I think that we know that
17
aquatic life is there.
18
MR. FORT: Does the Agency have any
19
particular -- I'm jumping now to No. 11 --
20
does the Agency have any plan for achieving
21
the proposed temperature conditions other
22
than the possible shut down of the Midwest
23
Generation plant as suggested in the
24
Statement of Reasons?
158
1
MS. FRANZETTI: Just for the record,
2
Midwest Gen would object to the shut down of
3
its plants, less our silence be taken for
4
acquiescence.
5
MR. TWAIT: I think the plan would be
6
to achieve compliance with the proposed water
7
quality standards.
8
MR. FORT: So you don't have a
9
particular strategy on how to get to this
10
temperature standard you are proposing?
11
MR. TWAIT: No.
12
MR. FORT: It struck me and you
13
mentioned earlier, Mr. Twait, about a hundred
14
degrees being too hot for aquatic life. Do
15
you think that that the 93 degree temperature
16
standard presently for secondary contact to
17
be attained to be obtained 95 percent of the
18
time is also too hot?
19
MR. TWAIT: In respect that we've
20
proposed 90 degrees or 90.3 degrees for 98
21
percent of the time, then yes.
22
MR. FORT: What's the basis for doing
23
it 2 percent versus 5 percent?
24
MR. TWAIT: As I mentioned before, it
159
1
was a number that the Agency chose that was
2
somewhere between the general use of 1
3
percent and the secondary contact of
4
5 percent.
5
MR. FORT: In terms of the difference
6
between 93 degrees and 90.3 degrees for your
7
daily max, what fish species are impacted by
8
that difference in temperature, if any?
9
MR. FORT: I'm going to refer to page
10
11.
11
MR. SULSKI: Of what?
12
MR. TWAIT: I'm going to refer to page
13
11 of the pre-filed testimony of Chris Yoder.
14
In there he has the statement, "The long-term
15
survival values along with 50 percent of the
16
representative aquatic species on my
17
secondary contact RAS list would be protected
18
by a standard of 93 degrees Farenheit."
19
MR. FORT: So 50 percent of the
20
long-term criteria would be protected at 93
21
degrees?
22
MR. TWAIT: And that would be of the
23
eight species that we're using.
24
MR. FORT: Okay, thank you.
160
1
Mr. Twait, now I'm going to go back to how
2
much heat are you trying to get out of the
3
shipping canal. I don't know how to equate
4
heat into gallons or things like that. I'm
5
sure there is a physical way. But does the
6
Agency have factual information or some
7
general estimate of how many heat therms or
8
whatever the unit is, joules -- J-O-U-L-E-S,
9
I think it is -- are required to get out of
10
the Sanitary and Ship Canal or the lower
11
Des Plaines River for that matter in order to
12
meet this standard that you've proposed?
13
MR. TWAIT: No.
14
MR. FORT: It would seem to me that
15
the numbers is probably pretty big; would you
16
agree?
17
MR. TWAIT: Possibly.
18
MR. FORT: Well, to get down from 93
19
degrees just to 90.3, for example, 2.7
20
degrees Farenheit, multiply it and then times
21
the millions of gallons of water in the Ship
22
Canal so that would give you some notion of
23
how heat you've got to get out?
24
MR. ETTINGER: What do you mean, got
161
1
to out?
2
MR. FORT: To meet the standard.
3
MR. ETTINGER: In comparison with the
4
existing condition? The temperature is not
5
always 93 now.
6
MR. FORT: I accept that modification.
7
So theoretical first.
8
MR. TWAIT: The Agency has not
9
calculated that.
10
MR. FORT: How about the actual
11
conditions over the last several years say or
12
some period of time how much of a reduction
13
is going to be required?
14
MR. TWAIT: It would all depend on
15
where you are at.
16
MR. FORT: Can you elaborate on that?
17
MR. TWAIT: As I mentioned before, the
18
nonsummer periods were based on a background
19
of Route 83. So if you were right at Route
20
83, the nonsummer months, I believe you would
21
not need to remove any "heat" because they
22
are based on the background temperatures.
23
MR. FORT: We'll get into that, but
24
I'm not sure that's a safe assumption. We're
162
1
seeing higher levels which is why we're here
2
and we're certainly glad to share that with
3
the Agency. Thank you.
4
Going back to No. 12, are the
5
proposed temperature standards attainable
6
given the current uses of the Ship Canal and
7
Brandon pool?
8
MS. WILLIAMS: Can you clarify, are
9
you talking about aquatic life uses here or
10
industrial uses or recreational uses?
11
MR. FORT: Well, the use of the Ship
12
Canal and Brandon pool have been
13
well-documented by the Agency, so that's my
14
frame of reference here. Are they attainable
15
given the current uses?
16
CHAIRMAN TIPSORD: Mr. Fort, I think
17
for point of clarification, when you use
18
"uses" there are you referring to aquatic
19
life uses or you mean as it is "used for
20
effluent"?
21
MR. FORT: I had in mind the former,
22
more the technical as opposed to the
23
commonplace terminology.
24
CHAIRMAN TIPSORD: Thank you. I think
163
1
that was where the confusion was coming from.
2
MR. SULSKI: May I ask a question of
3
clarification. Is attainable in the sentence
4
misplaced too? Because when we talk about
5
attainable, we're talking about uses. Can we
6
move that? If we move that word over to
7
attainable uses?
8
MR. FORT: No, this is a regulatory
9
test of whether it's technically feasible and
10
economically reasonable, that's the content
11
of "attainable" as I intended.
12
CHAIRMAN TIPSORD: Are the temperature
13
standards attainable, the proposed
14
temperature standards attainable?
15
MR. TWAIT: I think they are
16
attainable with modifications to dischargers.
17
MR. FORT: And what are those
18
modifications for dischargers?
19
MR. TWAIT: Cooling towers would come
20
to mind.
21
MR. FORT: Okay. Anything else?
22
MR. TWAIT: Depending on the size of
23
the discharge, discharging into a cooling
24
pond.
164
1
MR. FORT: No. 13, what investigations
2
has the Agency done for the technical
3
feasibility for the concept of period average
4
for the nonsummer months?
5
MS. WILLIAMS: Are you referring to
6
how it would be measured or whether it can be
7
met again? Can you clarify that?
8
MR. FORT: I'm asking any
9
investigations. If you've done none, it's
10
okay. I just want to know what the answer
11
is.
12
MR. TWAIT: I am not sure if you are
13
talking about the technical feasibility. I
14
am not sure how concept of period average --
15
are you talking about technical feasibility
16
for measuring the period average?
17
MR. FORT: No, this is really more in
18
the context of is that attainable and usable
19
and can be done.
20
MR. TWAIT: I don't know that the
21
Agency has done any investigations.
22
MR. FORT: Thank you. No. 15, beyond
23
what the Agency has suggested for Midwest
24
Generation, what is the technical feasibility
165
1
and economic reasonableness for any
2
discharger to meet the proposed temperature
3
standards? Maybe you already answered that a
4
few minutes ago. If you think you already
5
answered that, I'm fine.
6
MR. TWAIT: Which one is that?
7
MR. FORT: I'm sorry, No. 15.
8
MR. TWAIT: Yes, I think we just
9
mentioned cooling towers and cooling ponds.
10
MR. FORT: No. 16, what is the basis
11
for selecting a temperature proposal which is
12
100 percent protective and then adding a
13
safety factor?
14
MR. TWAIT: The temperature proposal
15
is one hundred percent protective of the
16
eight species that we chose. It does not
17
necessarily mean that it is one hundred
18
percent protective of everything that might
19
be there. And as to adding a safety factor,
20
I would just have to cite back -- I mean,
21
that's how our contractor -- that's how Chris
22
Yoder did his methodology.
23
MR. FORT: If you took away the safety
24
factor, do you know what the number would be
166
1
for the summer months for secondary contact
2
or Use B waters?
3
MR. TWAIT: No, I am not sure offhand.
4
MR. FORT: Top of the next page,
5
No. 17. Does the Agency expect -- we've had
6
a lot of testimony so far or a lot of
7
questions any way about mixing zones -- does
8
the Agency presently expect any special rules
9
on mixing zones to deal with temperature
10
issues?
11
MR. TWAIT: Are you talking about
12
overlapping mixing zones?
13
MR. FORT: Yes.
14
MR. TWAIT: As I mentioned previously,
15
they can't incorporate more than 25 percent
16
of the flow in combination.
17
MR. FORT: Well --
18
MR. TWAIT: Could you repeat the
19
question? I don't think I've answered the
20
question.
21
MR. FORT: Well, you've talked before
22
about the existing regs on mixing zones and
23
you've gone through that. My question is,
24
and it's a little bit different than the one
167
1
I've asked here. Does the Agency have any
2
expectation of any special rules on mixing
3
zoning issues dealing with the thermal
4
standard that you've proposed?
5
MR. TWAIT: We have not proposed any.
6
MR. FORT: And you haven't considered
7
any of those so far?
8
MR. TWAIT: Correct. I don't think
9
any of them have been brought up, either in
10
these proceedings or elsewhere.
11
MR. FORT: That was good timing. I'm
12
ready to skip over to page 12.
13
MR. ETTINGER: Could I just ask one
14
clarification. When you responded to
15
Mr. Fort's question regarding a safety
16
factor, what specific provision were you
17
talking about there?
18
MR. TWAIT: Chris Yoder used in
19
Exhibit 15 a safety factor, and I know one of
20
the safety factors that he used -- well, let
21
me find it. One of the safety factors that
22
he used is located on page 5 of Exhibit 15.
23
It would be No. 3, when they use a critical
24
thermal maximum, the CTM, based on the fast
168
1
heating method 0.5 to 1 degree Celsius per
2
hour with an appropriate adjustment, IEA 2
3
degree safety factor to account for the
4
inherent overestimation of lethality.
5
MR. ETTINGER: Is that what you had in
6
mind in answering Mr. Fort's question?
7
MR. TWAIT: Yes. I'm thinking there
8
was another safety factor, but I'll see if I
9
can find it.
10
MR. FORT: Anyway, Mr. Twait, you are
11
relying upon the safety factors that
12
Mr. Yoder included in his report?
13
CHAIRMAN TIPSORD: Dr. Girard?
14
MEMBER GIRARD: Let me ask one final
15
clarifying question on the mixing zoning
16
issue. So if we have two adjacent
17
dischargers, and the discharger upstream has
18
a mixing zone, but that mixing zone extends
19
downstream past the outfall of the second
20
discharger and at that point it's taking up
21
about ten percent of the volume, that means
22
the second discharger mixing zone can take up
23
only 15 percent of the volume. So the
24
additive is 25 percent; is that what you are
169
1
saying?
2
MR. TWAIT: Yes, I think that would be
3
a good way to put it.
4
MEMBER GIRARD: So the second
5
discharger, the one downstream could not take
6
up 25 percent of the volume, so you have an
7
additive 35 percent?
8
MR. TWAIT: Correct.
9
MR. ETTINGER: Could I just request
10
after the break or something, I'm having a
11
hard time finding the safety factors here.
12
So if you could, if there is another one here
13
that you are referring to, maybe I could at
14
some point get you to add that. That's just
15
a request.
16
MR. FORT: At the risk of asking one
17
last question on the mixing zone --
18
MS. WILLIAMS: Let's see if we can
19
answer that one.
20
MR. TWAIT: I will look for the safety
21
factor to see if he mentions it anywhere else
22
in his report, but basically it's -- since I
23
can't find it offhand, I may just have to
24
read the whole report again or wait until I
170
1
get back to the office and do a search for
2
it.
3
MR. ETTINGER: Fine.
4
MR. FORT: Thank you. I have just one
5
other question, and this probably isn't an
6
overlapping mixing zone question, but if the
7
temperature in the stream, even if it does
8
not have a mixing zone that's overlapping and
9
even if there's not another thermal point
10
source -- and I am thinking of our facility
11
which is down gradient from Route 83 and
12
there are no other major thermal sources, the
13
temperature is still over the standard, that
14
means Citgo would not have a mixing zone,
15
correct, as the rules are proposed here?
16
MR. TWAIT: In reference to mixing
17
zones, that would be correct.
18
MR. FORT: Thank you. I think I
19
have -- I'm going to try to move on. I've
20
got one question maybe left on temperature,
21
but I think to expedite this, maybe I can get
22
through the rest of them and look at a break
23
and see if I have anything left.
24
CHAIRMAN TIPSORD: Excuse me,
171
1
Mr. Dimond has a follow-up question.
2
MR. Dimond: I have a follow-up on
3
Mr. Fort's last question. Let's use some
4
arbitrary numbers to help talk about it.
5
Suppose the water quality standard for a
6
particular body of water is 70, and the water
7
immediately upstream of the discharge point
8
is coming in pretty consistently at 75.
9
Yesterday you talked about a principle,
10
Mr. Twait, at least I thought you did, where
11
if somebody withdraws water from the stream,
12
they can discharge it back in and if they are
13
withdrawing 75 degree water, if they
14
discharge 75 degree water, they are deemed
15
not to be in noncompliance because even
16
though their discharge is greater than the
17
standard, they haven't added anything to it;
18
was that a correct summation of your
19
testimony?
20
MR. TWAIT: If you are withdrawing 75
21
degree water and not adding heat and then
22
turning around and discharging the same water
23
without a heat addition, then yes.
24
MR. Dimond: So assume the same
172
1
situation a standard of 70, the temperature
2
in the water body immediately upstream is 75,
3
but now you have a got a discharger who
4
doesn't withdraw from the stream, but let's
5
say they've got a ground water source that
6
they use for cooling water in their plant,
7
and they are going to -- but they discharge
8
to the stream, do they have to discharge at
9
70 or can they discharge at 75, which is the
10
ambient temperature in the stream?
11
MR. TWAIT: I think that in that case
12
they would have to discharge at 70 to meet
13
the water quality standard. The provisions
14
that I was talking about for facilities, for
15
somebody that's withdrawing water and not
16
adding heat to it and then discharging, there
17
are specific provisions in the NPDS permit
18
section that allow for that.
19
MR. Dimond: And are those in the
20
regulations or are they just sort of boiler
21
plate permit terms in the standard conditions
22
of the permit?
23
MR. TWAIT: I don't know the answer to
24
that.
173
1
MS. WILLIAMS: I believe it's in the
2
reg. I'm looking for the cite now.
3
MR. Dimond: That's all. Thank you.
4
MS. WILLIAMS: 304.103, Background
5
Concentrations.
6
MR. FORT: I'm going to move back to
7
some of the earlier questions that we had
8
pre-filed under our Roman II that goes to the
9
uses, but these got into specific water
10
quality materials, so therefore we haven't
11
asked them so far, or haven't asked some of
12
them so far. I'd like to start with question
13
4, but make some modification to it because
14
you've already answered the question about
15
the basis for proposing general use water
16
quality standards. And I'd like to rephrase
17
it to focus upon with respect to these
18
various parameters.
19
MR. TWAIT: Could you tell me where
20
you are at now?
21
MR. FORT: Page 4, question 4.
22
Mr. Twait, I'm going to modify the
23
question slightly because I think you've
24
answered this one. Since I know what the
174
1
answer is going to be there's no sense
2
wasting the time on that.
3
The question is this, in light of
4
the uses that you've established, and I'm
5
going to focus in on the Chicago Sanitary and
6
Ship Canal and lower Des Plaines River, the
7
Use B waters, probably just a subset of the
8
Use B waters but we'll leave it at Use B
9
waters for now. The question is, in light of
10
the uses of those waters to what extent are
11
the existing water quality standards for
12
secondary contact waters, not protecting
13
those Use B factors, and then I'd like to ask
14
you that question specifically about each of
15
the chemicals listed here?
16
MR. TWAIT: I'll start out by saying
17
that most of the secondary contact water
18
quality standards are based on effluent
19
standards, and they were never based on
20
protection of aquatic life. Arsenic is at
21
1 milligram per liter, which is not
22
protective of aquatic life.
23
MR. FORT: And that's based upon the
24
general water quality standards that need to
175
1
be done?
2
MR. TWAIT: No, that's based on the
3
national criteria document.
4
MR. FORT: Let me just short circuit
5
there because I'm confused when you say
6
something like that and then in the next
7
paragraph or next question, if you will, at
8
page 67 of the Statement of Reasons you have
9
the statement, "Toxic metals do not appear to
10
be a toxicity problem with the exception of
11
cadmium (just upstream of the Brandon Road
12
lock and damn depositional zone) page 67
13
Statement of Reasons."
14
MR. TWAIT: Yes.
15
MR. FORT: I'm having trouble
16
understanding how you made that statement
17
that toxic metals are not a problem from a
18
toxicity standpoint, yet you say that the
19
arsenic standard is not strong enough?
20
MR. TWAIT: Well, the difference there
21
is what is currently -- what concentrations
22
are currently in the water and what the water
23
quality standard is for that water. In this
24
case we've looked at data, and the data
176
1
indicates that if we adopt the national
2
criteria document which we've proposed, then
3
the waters as they exist now will meet the
4
national criteria document.
5
MR. FORT: The question was whether or
6
not the existing standards and the existing
7
conditions are protective of those same uses?
8
MR. TWAIT: I would say the existing
9
standard is not protective. However, the
10
existing conditions are protective.
11
MR. FORT: And that would be your
12
answer for the rest of these materials that
13
I've listed here? I know they are not all
14
metals but --
15
MR. TWAIT: Well, I think my answer is
16
correct. However, your question takes --
17
your restatement of -- your question was
18
referring to there not be a toxicity problem
19
with the exception of cadmium, and further on
20
in that statement it says, "In the 286-plus
21
mile deposition zone" or "286-plus just
22
upstream of the Brandon lock and damn
23
depositional zone." So that statement was
24
based on the sediment analysis that the
177
1
contractor did in attachment A on page 3-41.
2
MR. FORT: So your answer doesn't
3
change -- so your answer doesn't change for
4
these other chemicals that I listed here from
5
what you just testified to with respect to
6
arsenic?
7
MR. TWAIT: I believe that's accurate.
8
CHAIRMAN TIPSORD: For the record, I
9
know you are trying to save time, but the
10
pre-filed questions aren't in the record. So
11
I do think we need to point out it's arsenic,
12
cadmium, chromium, copper, cyanide, lead,
13
Mercury, Nickel, total residual chlorine,
14
Zinc, Benzene, Ethel Benzene, Tellurian and
15
Xylene.
16
MR. FORT: Thank you.
17
CHAIRMAN TIPSORD: As an undergrad I
18
couldn't have done that.
19
MR. FORT: If I can, I'd like to move
20
on to question No. 6, which is, "In light of
21
the fishing, from the lack of fishing from
22
the Chicago Sanitary and Ship Canal -- and
23
just stay with the Canal -- as reflected for
24
Use B findings, what is the basis for
178
1
limiting Mercury and Benzine based on "fish
2
consumption" and establishing the standard as
3
"exactly the same as existing general use
4
standards?" That's pages 72 and 73 of the
5
Statement of Reasons.
6
MS. WILLIAMS: I have this crossed
7
off.
8
CHAIRMAN TIPSORD: We initially
9
crossed it off, but we agreed we could come
10
back too it. I have it highlighted in pink
11
which indicates we'd come back to it.
12
MR. FORT: I think that's a question
13
that you said it was too specific so we'll
14
get back to that later.
15
CHAIRMAN TIPSORD: I think it was with
16
Mr. Yoder too and some of that stuff.
17
MR. TWAIT: We have Mercury and
18
Benzine that are based on fish consumption.
19
We believe that fish can migrate either
20
upstream or downstream to places where
21
fishing is practiced.
22
MR. FORT: Well, in terms of
23
downstream from the Chicago Sanitary and Ship
24
Canal segment that we've been talking about,
179
1
we have both the invasive species barrier and
2
the Lockport lock and damn.
3
MR. TWAIT: Fish can move through
4
locks, although I will grant that they should
5
not be able to go through fish barriers.
6
MR. FORT: Assuming that the fish
7
barrier is working, which we all hope it is,
8
then what's the basis then for applying this
9
regulatory criteria to the Chicago sanitary
10
and Ship Canal as a water quality standard?
11
MR. TWAIT: Since the fish could move
12
upstream either into the Cal Sag Channel or
13
farther upstream.
14
MR. FORT: So it's really for the
15
fishing in the Cal Sag Channel and the
16
Chicago River upstream of the Chicago
17
Sanitary and Ship Canal?
18
MR. TWAIT: Yes.
19
MR. FORT: And how much fishing is
20
that?
21
MR. SULSKI: Wherever anybody wants to
22
fish, including the Des Plaines River.
23
MR. FORT: Well, the Des Plaines River
24
though is on the other side of the invasive
180
1
barrier, so we are back to that part. I'm
2
asking how this relates to, this
3
justification relates to the Chicago Sanitary
4
and Ship Canal?
5
MR. SULSKI: I'm sorry, I thought you
6
were talking about the lower Des Plaines
7
River Brandon pool and the Sanitary Ship
8
Canal.
9
MR. FORT: No, I'm keeping it up
10
gradient of the invasive species barrier.
11
MR. TWAIT: The answer to that is they
12
don't have to move. There's nothing stopping
13
people from fishing in the Sanitary and
14
Shipping Canal.
15
MR. FORT: Well, are we basing the
16
standards on what people might do or based
17
upon what the designated uses are?
18
MR. TWAIT: The designated uses are --
19
MR. FORT: Remember the designated
20
uses here from a recreational standpoint are
21
noncontact.
22
MR. ESSIG: I believe it protects the
23
fish statewide.
24
CHAIRMAN TIPSORD: I am sorry,
181
1
Mr. Essig, didn't hear you.
2
MR. ESSIG: I believe the fishing
3
consumption advisories that we have are
4
statewide and effect all the waters for human
5
health. I think that's why this is
6
applicable here, in addition to what Scott
7
said about the fish being able to migrate up
8
the Cal Sag.
9
MR. FORT: So the justification for
10
applying or proposing that the special rules
11
on Mercury and Benzine is that we do it every
12
place else in the state, and we're not really
13
paying attention to what the uses that we've
14
designated the Chicago Sanitary and Ship
15
Canal are for?
16
MR. SULSKI: Well, this question did
17
come up before, and I remember that there was
18
a follow-up question, and the follow-up
19
question was, do fish swim?
20
MR. FORT: And then my question is, do
21
they swim through the invasive species
22
barrier?
23
MR. SULSKI: Well, they are not
24
supposed to. He answered that question.
182
1
MR. FORT: Well, we are basing this on
2
what might happen, someday, somehow somebody
3
or is this based upon an orderly process of
4
saying here is the state resources, here is
5
how we're going to manage them, here is how
6
we are going to protect the environment.
7
MR. SULSKI: We also had the testimony
8
of the fatalities of having boats in the
9
wrong place in the Ship Canal or even in the
10
lower Des Plaines or the upper Brandon pool.
11
I think maybe I just should go on.
12
Number 9. In light of the Agency
13
recommendation to dissolve oxygen for the
14
Chicago Sanitary and Ship Canal waters allow
15
a daily minimum of 3.5 milligrams per liter
16
and a seven day mean of daily minimum of 4.0
17
milligrams per liter -- let me skip down --
18
will these DO levels have an effect on the
19
limited aquatic life in the Chicago Sanitary
20
and Ship Canal before any effect from the
21
other pollutants for which water quality
22
standards are proposed?
23
MR. SMOGOR: I don't know.
24
MR. ETTINGER: I guess I have a
183
1
follow-up question. These standards are set
2
so that the life there won't be effected; is
3
that correct?
4
MR. SULSKI: Correct.
5
MR. FORT: I thought that for the
6
dissolved oxygen, we were not protecting
7
early life stages with this dissolved oxygen
8
standard in the Chicago Sanitary and Ship
9
Canal?
10
MR. SMOGOR: My answer was based on --
11
I assumed you were asking will not meeting
12
these standards have an effect. Was that the
13
intent of your question? I may have
14
misunderstood your question.
15
MR. FORT: Let me go back and clarify.
16
MR. SMOGOR: Sorry.
17
MR. FORT: That's quite all right.
18
The question is, given the decisions to have
19
a dissolved oxygen standard of 3.5 milligrams
20
per liter, and I believe the testimony was
21
that's not protective of early life stages,
22
but the question is assuming you are still
23
within the 3.5 milligrams per liter of
24
dissolved oxygen, will that have an effect on
184
1
species that you are trying to protect with
2
the general chemical standards?
3
MR. SMOGOR: We believe that the
4
dissolved oxygen criteria that we set for
5
those waters will adequately protect for the
6
proposed aquatic life use for those waters.
7
MR. FORT: But you are not trying to
8
protect early life stages in that process?
9
MR. SMOGOR: The intent is not to
10
protect all the early life stages, right.
11
MR. FORT: And do you -- well, never
12
mind. Thank you.
13
I think the next one that we
14
haven't done is over on page 7, and this is
15
question No. 21.
16
MR. SULSKI: Page 7?
17
MR. FORT: Yes. Actually, I think we
18
just covered No. 21 now that I look at it.
19
Good clarification there, I guess.
20
CHAIRMAN TIPSORD: Good thinking
21
ahead.
22
MR. FORT: But No. 22 though, why
23
isn't the same consideration applied to other
24
parameters for which revised water quality
185
1
standards are being proposed for the Chicago
2
Sanitary and Ship Canal?
3
MR. TWAIT: When the Agency ran into a
4
parameter that we could remove sensitive life
5
species, the Agency did so. And in those
6
cases -- I can think of two cases where we
7
did -- and that was DO, ammonia. For the
8
other parameters, the national criteria do
9
not allow for or do not consider the
10
protection of early life stages for toxic
11
effects.
12
MR. FORT: What about the temperature
13
standard that you are proposing, did they
14
include early life stages as part of that
15
analysis?
16
MR. TWAIT: For the most part as Chris
17
Yoder testified, the adults are the most
18
sensitive, are more sensitive than the, I
19
believe they are called young of the year.
20
MR. FORT: But there are younger or
21
early life stages results included in the
22
data that you used to come up with the
23
proposed temperature standards, correct?
24
MS. WILLIAMS: Could you repeat that?
186
1
I don't think I heard it.
2
MR. FORT: Can you read it back?
3
(Record read.)
4
MS. WILLIAMS: Earlier than what? You
5
are saying older than young of year?
6
MR. FORT: I don't think it's that
7
difficult a question. Let's let the witness
8
answer it, and he can refine it if he needs
9
to.
10
MS. WILLIAMS: Do you understand?
11
MR. TWAIT: In Appendix Table Z1 of
12
Attachment 3 of Chris Yoder's pre-filed
13
testimony --
14
CHAIRMAN TIPSORD: Which is Exhibit
15
16.
16
17
MR. TWAIT: That data base does
18
include juveniles and young of the year data.
19
MR. FORT: Thank you.
20
MR. TWAIT: And egg and larva data
21
also.
22
MR. FORT: Thank you. Do you know if
23
all that of that data was included to come up
24
with the temperature standard or just a
187
1
subset of it?
2
MR. TWAIT: It was -- I think Chris
3
Yoder went through pretty well how he came up
4
with it. I believe for the most part because
5
adults were most sensitive, he ended up using
6
the data from the adults, but that does not
7
mean -- I am not going to try to say that he
8
didn't use data from young of the year or
9
larvae.
10
MR. FORT: Well, Mr. Yoder certainly
11
testified that he thought the juveniles were
12
less sensitive. I'm not sure everybody has
13
agreed with that, but that's not in the
14
record yet so I'll move on.
15
MR. ETTINGER: What? He testified,
16
but it's not in the record?
17
MR. FORT: No, no, the contrary view
18
is not in the record.
19
CHAIRMAN TIPSORD: The disagreement is
20
not in the record. Just for the record just
21
so everyone knows, the Board does not view
22
asides or statements made by attorneys, other
23
than Ms. Williams who has been sworn, as
24
sworn testimony or as evidence.
188
1
MR. FORT: Thank you. Moving on to
2
No. 26. With respect to the statement that
3
the U.S. EPA's national criteria documents
4
were significantly lacking for temperature
5
and bacteria, I believe this is Mr. Smogor's
6
testimony, page two, in lack of that, lack of
7
U.S. EPA guidance why did IEPA believe it was
8
necessary to propose new standards for
9
temperature?
10
MR. SMOGOR: Just for correction, I
11
don't think that was part of my testimony
12
because I don't think my testimony addressed
13
temperature and bacteria.
14
CHAIRMAN TIPSORD: It's under
15
Mr. Twait's testimony.
16
MR. FORT: It sounded like a Mr. Twait
17
statement but --
18
MR. SMOGOR: You were scaring me
19
there.
20
MR. TWAIT: I will first start out by
21
saying that no water quality standards for
22
bacteria are proposed. So that's an answer
23
to your question. And the reason that we
24
proposed temperature standards is because of
189
1
the thermal, the current thermal water
2
quality standards for secondary contact are
3
believed to be lethal.
4
MR. FORT: And you are talking about
5
the 100 degree part or are you also talking
6
about the 93.3, whatever that decimal point
7
is?
8
MR. TWAIT: I'll just say the current
9
standard.
10
MR. FORT: I think you testified that
11
earlier that Mr. Yoder concluded that 50
12
percent lethality at the existing secondary
13
contact water quality standard for 95 percent
14
of the time -- am I recalling your testimony
15
correctly?
16
MR. TWAIT: At 93 degrees, yes.
17
MR. FORT: Thank you. Moving on. I
18
hate to come back to a mixing zone question,
19
but No. 31 on the top of page 8.
20
Now the question deals with
21
excursions of the cad meum water quality
22
standard, and I believe you pointed out that
23
may be due to resuspension on of sediments or
24
something of that nature. Assuming that the
190
1
execution of the cadmium water quality
2
standard is due to resuspension of sediments,
3
does that mean that a discharger of cadmium
4
into that water body would not have a mixing
5
zone?
6
MR. TWAIT: Let me clear something up.
7
When we looked at cadmium the first time, the
8
first cut, we were using the national
9
criteria document, and the waterway could not
10
meet the national criteria document. And we
11
surmised it was because of sediment
12
resuspension. In our proposal we proposed to
13
base the cadmium standard on the general use
14
water quality standard. To my knowledge, the
15
cadmium standard that we've proposed which is
16
based on general use can be met in the
17
waterway.
18
MR. FORT: Well, indulge me then for a
19
hypothetical question. That due to
20
resuspension of sediments there is a
21
violation of cadmium standard even now as you
22
are proposing it. In that event, would that
23
mean that a discharger of cadmium into that
24
body of water not be eligible for a mixing
191
1
zone?
2
MR. TWAIT: If it was a one-time
3
event, then I don't believe the Agency would
4
look at that as problematic. If it got to
5
the point that it was happening for weeks out
6
of the year or that a lot of the monitoring,
7
then, yes, if the water quality standard was
8
not being met, we would not grant a mixing
9
zone.
10
MR. FORT: Okay, well let's move on to
11
chlorides then. And let's assume that
12
there's data that would say that a chloride
13
standard existing or as you've proposed is
14
exceeded for two weeks out of the year, and
15
it all happens to be associated with snow
16
melt. Is that a condition that the mixing
17
zone rule would prohibit a mixing zone
18
allowed for a discharger that has chlorides
19
in his discharge?
20
MS. WILLIAMS: Can you clarify whether
21
you've moved on to one of our pre-filed
22
questions under your next heading or are you
23
asking follow-up?
24
MR. FORT: This is a follow-up that
192
1
leads into the next question.
2
MR. TWAIT: At those times during the
3
snow melt when the water is being met for
4
chloride, I don't believe the Agency would
5
give a mixing zone for chloride.
6
MR. FORT: Limited to that period of
7
time?
8
MR. TWAIT: That is certainly
9
possible.
10
MR. FORT: And how will we know what
11
we should be planning or doing or managing if
12
it's an episode that isn't something that's
13
within a discharger's control?
14
MR. TWAIT: We could just determine
15
that that's for the winter season as a
16
possibility.
17
MR. FORT: So in other words, there
18
may be some room for negotiating and
19
discussion and coming up with something
20
that's practical?
21
MR. TWAIT: Yes.
22
MR. FORT: Okay, now I am moving on to
23
the questions for chlorides.
24
CHAIRMAN TIPSORD: You know what,
193
1
let's go ahead and take about a ten minute
2
break, and we'll come back about
3
3:00 o'clock.
4
(Brief recess taken, after which
5
the following proceedings were
6
had:)
7
CHAIRMAN TIPSORD: Back on the record.
8
MR. FORT: Thank you. I'm continuing
9
with the questions on chlorides. I'm on page
10
8 of our pre-filed questions, and let me just
11
start with No. 2 there. Was the Agency aware
12
that levels of chloride in the Chicago
13
Sanitary and Ship Canal already exceed 5
14
milligrams per liter during snow melt
15
conditions?
16
MR. TWAIT: Yes.
17
MR. FORT: And if so what's the
18
technical feasibility and economic
19
reasonableness to achieve the proposed
20
standard?
21
MR. TWAIT: The Agency plans to
22
continue to work with state and local
23
governments to mitigate the harm to aquatic
24
life from practices of road salt.
194
1
MR. FORT: Is there anything else that
2
the Agency has as a strategy on the chloride
3
issue?
4
MR. TWAIT: We are continuing to look
5
at the national criteria document and to see
6
if we have some room to make some adjustments
7
to our proposal.
8
MR. FORT: Are you aware of any
9
sources of chlorides in the Use B waters
10
other than snow melt run-off which would
11
cause chloride levels to exceed the proposed
12
500 milligrams per liter standard?
13
MR. TWAIT: When this rule making was
14
proposed, I was not aware of any. From my
15
understanding now, chlorides are discharged
16
by refineries in exceedance of 500 milligrams
17
per liter.
18
MR. FORT: But if any of those
19
discharges that you understand causing water
20
quality -- putting aside -- I'll withdraw the
21
question.
22
During times other than snow melt
23
run-off, are you aware of any other
24
exceedances of a proposed 500 milligram
195
1
standard for chlorides?
2
MR. TWAIT: I believe all the
3
exceedances that we've seen in our data can
4
be referenced back to snow melt.
5
MR. FORT: Thank you. What happens to
6
mixing zones of industrial discharges if the
7
500 milligram per liter standard for
8
chlorides were to be adopted in light of the
9
snow melt phenomenon and elevated chloride
10
levels?
11
MR. TWAIT: I think we've mentioned
12
this before, but mixing would not be allowed
13
during those times that the water quality
14
standards are exceeded.
15
MR. FORT: And do you have any ideas
16
on what kind of strategies might be able to
17
be employed to correlate exceedance due to
18
snow melt with regular industrial discharges?
19
MR. TWAIT: I believe Citgo was
20
looking at the feasibility of storing their
21
effluent for periods of time when the TDS in
22
the receiving stream was high, and their TDS
23
was high also. I don't know the feasibility
24
of that.
196
1
CHAIRMAN TIPSORD: TDS is total
2
dissolved solids?
3
MR. TWAIT: Yes.
4
MR. SULSKI: It's a major element and
5
chloride is a major element in TDS or it can
6
be.
7
MR. FORT: Well, we won't get into me
8
testifying about the feasibility of that, but
9
the Board has before it the feasibility that
10
talks about the difficulty in doing just
11
that.
12
Would there be any effect on zones
13
of initial dilution with respect to the 500
14
milligram per liter of chlorides?
15
MR. TWAIT: Chloride is a number one
16
standard, so the Agency applies mixing zones
17
to one number standards, and not zones of
18
initial dilution.
19
CHAIRMAN TIPSORD: Can I ask a
20
follow-up based on that, and this goes back
21
to a question Mr. Fort asked and maybe
22
perhaps I'm just not conceptualizing this.
23
It goes back to his question about the impact
24
of run-off on a mixing zone. If I have a
197
1
mixing zone and my effluent has 500
2
milligrams per liter of chloride and I have a
3
mixing zone that takes me under a bridge
4
that's been salted like it's been salted this
5
winter, are you saying that I lose that
6
mixing zone, if that salt results in the
7
water quality standard being above 500
8
milligrams per liter?
9
MR. TWAIT: I think there's one
10
misunderstanding here. You are saying that
11
your discharge is 500 milligrams per liter.
12
You don't need a mixing zone if you are
13
discharging 500 milligrams per liter.
14
However, if it was higher, 1000 milligrams
15
per liter, the Agency will look at the
16
receiving stream and if the receiving stream
17
is already violating the water quality
18
standard, we will not give a mixing zone.
19
CHAIRMAN TIPSORD: I understand that,
20
but my question is that -- so in other words,
21
if in March -- let's go to February -- you go
22
out and do tests and underneath that bridge
23
it's exceeding the water quality standard,
24
500 milligrams per liter, I can't have a
198
1
mixing zone?
2
MR. TWAIT: Generally, until this
3
chlorides and TDS issue came up, we would not
4
allow mixing zones at all for a receiving
5
stream that was exceeding the water quality
6
standard for copper or another parameter. If
7
we've got data that shows it's more than just
8
a once a year episode -- if it was happening
9
only once a year for a parameter to exceed
10
the water quality standard, the Agency would
11
probably not restrict your mixing zone. But
12
if it's something that is happening every
13
year for a period of time and we recognize
14
that, then we would not grant a mixing zone.
15
When the TDS and the chloride issue has come
16
forward, we are now looking at possibly just
17
allowing the mixing zone throughout the
18
remainder of the year and not have a mixing
19
zone when the water quality standard is
20
exceeded. That is not something that we've
21
normally done in the past.
22
CHAIRMAN TIPSORD: Okay, go ahead Mr.
23
Fort.
24
MR. FORT: Thank you. If the
199
1
levels -- instead of talking about the bridge
2
just down from the discharge -- let's talk
3
about the bridge above the discharge. And
4
let's say that the water intake, the levels
5
are above 500 hundred, and let's just say
6
it's 600 milligrams per liter, what is the
7
discharger allowed to discharge in that
8
scenario? I mean, is it 600 milligrams per
9
liter or is it 500 or do they get a mixing
10
zone because they didn't cause it in the
11
first place?
12
MR. TWAIT: Well, the way the Agency
13
currently does it, we would not give a mixing
14
zone. If a discharger was withdrawing water
15
out of the river and not adding chlorides and
16
then discharging it back into the river, then
17
it would be 600. If they were adding
18
chlorides, I believe they would have to
19
discharge at 500 milligrams per liter.
20
MR. FORT: And we are talking about
21
chlorides at any level, even if it were 100
22
milligrams per liter, almost literally table
23
salt quantity?
24
MR. TWAIT: I don't know the answer to
200
1
that.
2
MR. FORT: So there might be some de
3
minimus level that would make sense?
4
MR. TWAIT: I would have to refer back
5
to 304.103.
6
304.103, it does give a little bit
7
of room, and it states, "However, it is not
8
the intent of these regulations to require
9
users to clean up contamination caused
10
essentially by upstream sources or to require
11
treatment when only trace, when only traces
12
of contaminants are added to the background."
13
MR. FORT: In your experience do you
14
know what traces of contaminants means?
15
MR. TWAIT: I don't know that it's
16
defined in there.
17
MR. FORT: Any examples come to mind
18
of how the Agency has applied traces of
19
contaminants?
20
MR. TWAIT: The permitting section
21
would have to answer that question to know
22
how it's been applied.
23
MR. FORT: Moving on then, question
24
No. 6, let me restate it because I think
201
1
you've touched on this. It is technically
2
feasible to control chloride run-off from
3
snow melt and surface transportation?
4
MR. TWAIT: Yes. The Agency is
5
currently working with stakeholders on the
6
west branch of the DuPage River to control
7
chloride run-off from snow melt. Also there
8
is a product out there that I'm told is three
9
times more expensive than chloride, and it's
10
called CMA. However CMA would have a BOD
11
component to it. So it's not something that
12
could be used widely without studying the
13
effects of the BOD component.
14
MR. SULSKI: We worked with O'Hare
15
airport for many years on alternative
16
de-icing too.
17
MR. FORT: I think I've covered 10.
18
11, if the chloride levels exceed 500
19
milligrams per liter, what's the formula to
20
calculate sulfates? I don't think there is a
21
formula proposed.
22
MR. TWAIT: There is not.
23
MR. FORT: So is there going to be a
24
formula? Are you taking the general use
202
1
formula?
2
MR. TWAIT: As I mentioned before, the
3
Agency is looking at -- well, no, strike
4
that.
5
Currently there is no equation for
6
determining the chloride standard when --
7
there's no equation for determining the
8
sulfate standard when chloride exceeds 500.
9
The Agency would use section 302.410 to set
10
water quality standards for any substance or
11
combination of substances that are not
12
specifically mentioned in the water quality
13
standards. This would probably involve
14
requiring the discharger to develop some type
15
of data for sulfate toxicity when chloride
16
levels are above 500.
17
MR. FORT: So even though we are
18
proposing to delete sulfate or modify
19
sulfate, it's going to come back in as some
20
special calculation because we're going to
21
have a chloride issue potentially?
22
MR. TWAIT: We're planning to
23
eliminate TDS by putting in chloride and
24
sulfate.
203
1
MR. FORT: So the formula you are
2
talking about though using 302.210 on sulfate
3
will come in on the existing sulfate formulas
4
that you proposed?
5
MR. TWAIT: The sulfate formulas we
6
proposed does not have an equation for when
7
sulfate is above 500. When the sulfate
8
standard was proposed for general use
9
standards, they did not look at the toxicity
10
of sulfate when chloride exceeded the water
11
quality standard.
12
CHAIRMAN TIPSORD: The Agency?
13
MR. TWAIT: The Agency did not look at
14
it.
15
MR. FORT: Moving on to No. 12. Has
16
the Agency evaluated the cost and effect of
17
the proposed chloride standards on any
18
dischargers other than you've mentioned
19
working with municipalities and cities in an
20
effort to reduce chloride run-off?
21
MR. TWAIT: No, we have not. Until I
22
read the pre-filed questions, I was not aware
23
of the discharger that would be exceeding the
24
chloride standard and would need mixing
204
1
zones.
2
MR. FORT: Moving on to No. 13.
3
Chloride --
4
MS. WILLIAMS: Did you say 15?
5
MR. FORT: 13. We didn't see any
6
discussion about chlorides in the UAA and the
7
proposal doesn't address any effect on the
8
region. Will the adoption of a chloride
9
standard result in no new road construction
10
because of the impaired water designation
11
that may follow from a chloride standard?
12
MR. SULSKI: I don't think so.
13
MR. FORT: Can you explain that?
14
MR. SULSKI: Stopping road
15
construction? That's outside of our
16
jurisdiction.
17
MR. FORT: And at the present point
18
you are not permitting road construction or
19
having any direct control on that activity?
20
MR. TWAIT: Correct.
21
MR. FORT: No. 14, will the chloride
22
standard result in more traffic accidents or
23
fatalities in the region due to the
24
requirement to reduce salt usage in inclement
205
1
weather?
2
MR. TWAIT: I don't believe the Agency
3
is going to propose that municipalities stop
4
using road salt. I believe that we can work
5
with them to make sure that best management
6
practices are implemented.
7
MR. FORT: You are expecting that the
8
BMP's will enable the chloride standard to be
9
met?
10
MR. TWAIT: I'm hopeful.
11
MR. FORT: How confident are you?
12
MR. TWAIT: As I said before, we're
13
looking into the national criteria document
14
to see what type of wiggle room. I mean,
15
we're trying to attack this issue from a
16
couple perspectives.
17
MR. FORT: Let me direct you to
18
No. 17. I think we've touched on the other
19
ones in between, and this goes back to sort
20
of the practicality of looking at water
21
quality standards and being able to know in
22
real time or quickly that anything has to be
23
done. Has the Agency given any thought to
24
the practicality of some sort of a period of
206
1
time, seasonal use cessation of activities or
2
reduction in chloride discharges, beyond the
3
BMP idea that we've talked about?
4
MR. TWAIT: The Agency has also talked
5
about the idea of giving mixing zones during
6
the times of the year that snow melt would
7
not be an issue. Other than that, no.
8
MR. FORT: Will discharge of sulfates
9
need to monitor chloride levels every day
10
during periods of snow smelt to determine
11
compliance?
12
MR. TWAIT: No. The Agency when it
13
writes a permit for dischargers of sulfate
14
will use the chloride levels along with the
15
hardness levels to determine the NPDS permit
16
limit for sulfate and the discharger will
17
only be required to meet the NPDS permit.
18
MR. FORT: How did the IEPA decide
19
that the major water quality constraints are
20
temperature in dissolved oxygen but not
21
chlorides?
22
MR. SULSKI: Well, when the
23
contractors initially screened the waterways
24
and we looked at subsequent data and compared
207
1
it against general use, chloride didn't pop
2
out very often. If it did, it was quite
3
rare. And then we really started to get into
4
the issue when we had to revisit the national
5
criteria.
6
MR. FORT: And simply now, just in
7
terms of the major water quality issues
8
because of your sampling you concluded that
9
toxicity of heavy metals and other parameters
10
were not a major problem in the streams now
11
either?
12
MR. SULSKI: When we reviewed the
13
existing data against our proposed standard,
14
chloride came up, cadmium was another one
15
that was mentioned. Scott can fill in. Were
16
there any others that started to become an
17
issue?
18
MR. TWAIT: I think that's it -- oh,
19
I'm sorry. Human health from Mercury would
20
be an issue. But we have that same issue
21
throughout the state -- oh, and PH.
22
MR. FORT: Does the Agency expect to
23
do anything different with the overlapping
24
mixing zone issue when it comes to chlorides
208
1
than it has for -- we've already talked about
2
for temperature or any other parameter?
3
MR. TWAIT: I don't know that the
4
Agency would take a different approach. We
5
would still have to follow the mixing zone
6
regulations.
7
MR. FORT: Thank you. I think I'm
8
done with chlorides.
9
MR. Dimond: Could I ask one follow-up
10
on chlorides?
11
MR. FORT: Sure.
12
MR. Dimond: Mr. Twait, what I didn't
13
quite understand about your testimony, you
14
talked about giving dischargers a mixing zone
15
during non-snow melt periods.
16
MR. TWAIT: Yes.
17
MR. Dimond: What about the snow melt
18
times? I mean, those are the times when one
19
would expect the chlorides to be even higher?
20
MR. TWAIT: Well, I understand that.
21
But our mixing zone regulations do not allow
22
mixing zones when the water quality standard
23
is exceeded.
24
MR. FORT: Mr. Twait, I have one left
209
1
on thermal. I hate to go back to thermal.
2
But page 14, it's question No. 59.
3
MS. WILLIAMS: Which number again, I'm
4
sorry?
5
MR. FORT: It's the middle of the page
6
on 14. Do you have it there?
7
The question is, since the Agency
8
acknowledges that thermal water quality
9
standards were quite challenging, would it be
10
prudent to further investigate and model
11
before spending considerable amounts to
12
attempt to change thermal characteristics
13
which may or may not succeed and which may or
14
may not bring about the intended results.
15
MR. TWAIT: I think the Agency has
16
spent a considerable amount of time with
17
thermal issues, and we've got a proposal that
18
protects aquatic life. So, no, I don't know
19
that it would be prudent to continue to wait.
20
MR. FORT: But you haven't proposed a
21
specific schedule for meeting these water
22
quality standards as I understand it?
23
MR. TWAIT: Correct.
24
MR. FORT: Okay. I'm going to skip
210
1
bacteria. I'm sure others will cover that
2
very thoroughly. I'm going to move to page
3
15, Roman VI, consideration of Section 27A
4
Factors. I think these are Mr. Sulski's
5
questions, but obviously anybody can answer.
6
The final paragraph of the
7
testimony, page 20, in Mr. Sulski's pre-filed
8
testimony references the economic
9
reasonableness of rule making proposals.
10
There is no reference here that we could find
11
or any exhibit to the economic reasonableness
12
of any of the Agency's proposals that they
13
would apply to Citgo patrolling corporation,
14
and its Lemont Refinery. Is there any that
15
you can point out in the testimony?
16
MR. SULSKI: No, we don't mention
17
Citgo Petroleum or the Lemont Refinery in the
18
pre-filed testimony or the Statement of
19
Reasons.
20
MS. WILLIAMS: Can I ask why not?
21
MR. SULSKI: Why not? Well, we went
22
through the UAA and the standards proposal
23
exercises in what we have here. We didn't
24
know that it would get, that Citgo would have
211
1
a problem with any of these, any of this
2
proposal.
3
MR. FORT: Well, we can cover that
4
with our testimony. We thought we had.
5
Obviously something didn't get communicated
6
so -- and there's nothing then in the
7
pre-filed exhibits in support of the petition
8
on the economic reasonableness as applied to
9
Citgo either, correct?
10
MS. WILLIAMS: Do you think there are
11
some documents we didn't submit that should
12
have been submitted?
13
MR. FORT: Can you please answer my
14
question first?
15
(Record read.)
16
MR. FORT: Can you point to any
17
statements in the petition -- I mean in the
18
Statement of Reasons -- describing economic
19
reasonableness of the proposed rules in any
20
fashion as they may apply to Citgo?
21
MR. SULSKI: I can't.
22
MR. FORT: Are there any attachments
23
that were submitted with the Statement of
24
Reasons that would have information on
212
1
economic reasonableness as applied to Citgo?
2
MR. SULSKI: Not that I know of.
3
MR. FORT: Are there any exhibits in
4
this proceeding before the Board that would
5
have information on economic reasonableness
6
as applied to Citgo?
7
MR. SULSKI: Not that I am aware of.
8
MR. FORT: And you would agree that
9
none of the Agency pre-filed testimony also
10
did not address economic reasonableness as
11
applied to Citgo, correct?
12
MR. SULSKI: Not that I'm aware of,
13
correct.
14
MS. DIERS: Can I ask a follow-up?
15
I'd like to ask Mr. Laskowski and Mr. Schlade
16
if they know if Mr. Sulski was an advisor of
17
the Citgo advisory committee?
18
MR. FORT: I'm going to object. We're
19
not trying to say that we gave you something
20
that you didn't put in. I think you've -- I
21
don't think what we did in the participation
22
in the advisory committees or whatever it was
23
is relevant. It's still something to be
24
before the Board.
213
1
CHAIRMAN TIPSORD: Again, I have to
2
disagree. We are still talking about the
3
economic thought process of the Agency, so
4
I'll let them answer the question.
5
MR. TWAIT: Yes, they were part of the
6
work group.
7
MS. DIERS: For lower Des Plaines?
8
MR. TWAIT: Yes, they did participate
9
in the lower Des Plaines UAA.
10
MR. SULSKI: I see that Matthew
11
Glickman was listed, and Bridgette Postal are
12
listed as participators at one time or
13
another in the CAWS UAA.
14
MR. FORT: And you don't know what the
15
topics that were on the table were being
16
discussed at anyone of those proceedings, do
17
you?
18
MR. SULSKI: I would have to go back
19
to the notes and which ones they participated
20
in.
21
CHAIRMAN TIPSORD: For the record, you
22
are looking at Attachment G for that
23
information?
24
MS. DIERS: And attachment F.
214
1
CHAIRMAN TIPSORD: We have also in the
2
record the minutes from the CAWS UAA
3
stakeholder Advisory Committee?
4
MR. SULSKI: Yes.
5
CHAIRMAN TIPSORD: And that's the
6
March 4th filing?
7
MS. DIERS: Correct, the stakeholders
8
minutes.
9
CHAIRMAN TIPSORD: Let's go ahead
10
since what happened with those is becoming
11
part of this record. Let's enter those as an
12
Exhibit. And I did speak to John Therialt
13
(phonetic) today. He is double checking. He
14
thinks what happened is because some of this
15
is two-sided, he didn't get that all scanned.
16
So we'll get that corrected. And it will be
17
on as Exhibit 6 for both the minutes from
18
lower Des Plaines and the CAWS.
19
MR. FORT: Exhibit 6?
20
CHAIRMAN TIPSORD: 36. If there's no
21
objection? Seeing none, it's marked as
22
Exhibit 36.
23
MS. DIERS: So just to get into what
24
the Hearing Officer was referring to, which
215
1
is information that went into the Agency's
2
analysis with regard to the economic
3
reasonableness of the rules, does anyone on
4
the panel recall whether Citgo presented any
5
information regarding problems they would
6
have complying with any parts of the
7
proposal?
8
MR. SULSKI: I don't recall any.
9
MR. TWAIT: I do not recall any
10
either.
11
MS. DIERS: That's all.
12
MR. FORT: Well, I'm not sure how
13
relevant it is to this proceeding, but I
14
think guess we'll figure it out when
15
Ms. Franzetti complains that stuff she was
16
given, wasn't even read, and we thought we
17
made comments, but anyway. It's not the
18
Board proceeding so I don't think it could be
19
equated.
20
However, let me go on to No. 3.
21
The Agency claims that the lower Des Plaines
22
and the Chicago Sanitary and Ship Canal in
23
particular receive discharges from a large
24
number of significant industrial facilities."
216
1
Reference to Statement of Reasons, page 103.
2
Does the Agency have any information for
3
industrial sources other than Midwest
4
Generation on the technical feasibility and
5
economic reasonableness of the proposed
6
changes for those industrial sources? And I
7
will just say parenthetically, assuming
8
innuendo, that it is that kind of stuff for
9
Midwest Generation.
10
MR. SULSKI: I guess the answer is no.
11
MR. FORT: Thank you.
12
Other than some information that's
13
presented in the Statement of Reasons on
14
Midwest Generation and the Metropolitan Water
15
Reclamation District of Greater Chicago, has
16
the Agency developed any information relating
17
to technical feasibility or economic
18
reasonableness on any of the dischargers
19
listed on Exhibit TT?
20
CHAIRMAN TIPSORD: Exhibit TT to the
21
proposal.
22
MR. FORT: Attachment TT.
23
CHAIRMAN TIPSORD: Attachment TT.
24
MR. TWAIT: I don't believe that any
217
1
other technical feasibility or economic
2
reasonableness has come in from any
3
discharger.
4
MR. FORT: And the Agency hasn't
5
developed it on its own?
6
MR. TWAIT: No.
7
MR. FORT: How will the dischargers to
8
the Chicago Sanitary and Ship Channel, and I
9
am only talking about the Chicago Sanitary
10
and Ship Canal here, be effected by the
11
proposed water quality standards,
12
particularly rule 302.407 and 302.410?
13
MR. TWAIT: They will be effected in
14
as much that they discharge parameters above
15
the water quality standard. The Agency would
16
look at the data and determine if a mixing
17
zone was available and put permit limits in
18
the NPS permit as appropriate.
19
MR. FORT: Aren't they going to have
20
to do more, such as do some of the analyses
21
called for in those proposed rules?
22
MS. DIERS: Can you explain what
23
analyses you are referring to?
24
MR. FORT: Whatever proposed 302.407
218
1
and 302.410 require.
2
MR. TWAIT: Usually the NPDS permit
3
will require sampling based on the type of
4
discharger. I don't know that the proposed
5
water quality standard will have that much of
6
an impact on -- I don't know how much of an
7
impact it would have on which parameters
8
would need to be monitored.
9
MR. SULSKI: Other than the
10
information that's required in the NPDS
11
permit application, I mean that's what you
12
would be required to submit.
13
MR. FORT: Well, isn't the
14
requirements of 302.410 new in terms at least
15
of the detail that it requires?
16
MR. TWAIT: No. 302.410 is changing
17
how derived criteria are derived.
18
MR. FORT: So isn't that an additional
19
requirement?
20
MR. TWAIT: That is not an additional
21
requirement on the discharger. That's an
22
additional requirement for the Agency. The
23
Agency will look at whatever data is
24
generated from the discharger, and we will
219
1
apply 302.410 to determine if a parameter
2
needs to be limited in the permit.
3
MR. SULSKI: That's no different than
4
an evaluation of a TLM 96 number, which is
5
the original secondary contact number.
6
MR. FORT: Well, aren't your
7
requirements here a lot more significant and
8
extensive than a 96 hour TLM?
9
MR. SULSKI: I would agree with that.
10
MR. FORT: It is more extensive?
11
MR. TWAIT: The requirements for
12
deriving the criteria are more extensive.
13
However, the Agency derives those criteria
14
and will apply them into a permit. The
15
dischargers do not -- they can -- but
16
typically they do not try to develop the
17
criteria on their own.
18
MR. FORT: So we're talking about
19
developing a criteria and discussing a
20
criteria I guess for acute aquatic toxicity
21
criteria, correct?
22
MR. TWAIT: And chronic, yes.
23
MR. FORT: And then we also look at
24
wild and domestic animal protection criteria?
220
1
MR. TWAIT: Yes.
2
MR. FORT: And how many of those wild
3
and domestic animals do you think are in the
4
presence of the Chicago Sanitary and Ship
5
Canal?
6
MR. TWAIT: We've got birds and stuff,
7
and ducks. I don't think we've got cats and
8
dogs going down and getting into the Sanitary
9
and Ship Canal to drink.
10
MR. SULSKI: We have a significant
11
number of black crow.
12
MR. FORT: Of which?
13
MR. SULSKI: They are a state and
14
Illinois endangered species.
15
MR. FORT: In the Chicago Sanitary and
16
Ship Canal?
17
MR. SULSKI: One of the highest
18
concentrations in the state.
19
MR. FORT: Gee, it must be doing well.
20
They better keep it all the same.
21
CHAIRMAN TIPSORD: Mr. Harley, did you
22
have a follow-up?
23
MR. HARLEY: On your map.
24
CHAIRMAN TIPSORD: Which map?
221
1
MR. HARLEY: I was about to describe
2
it. On the map in which you describe the
3
different UAA segments which are subject to
4
this rule making. Many of the areas on the
5
map are, on all three maps that you presented
6
are designated in green. What do the green
7
areas indicate on these maps?
8
CHAIRMAN TIPSORD: Excuse me, Mr.
9
Harley, you are looking at Exhibit 25?
10
MR. HARLEY: 25.
11
MR. SULSKI: What are the green areas
12
indicating?
13
MR. HARLEY: Yes.
14
MR. SULSKI: One of the green areas is
15
the Calumet River. Another green area is the
16
--
17
MR. HARLEY: So I am referring to the
18
land area.
19
MR. FORT: Excuse me, is this
20
clarification on my question?
21
CHAIRMAN TIPSORD: Yes, it is,
22
Mr. Fort. Go ahead, Mr. Harley.
23
MR. SULSKI: These are Forest Preserve
24
District properties and in some case they may
222
1
be nature preserves.
2
MR. HARLEY: Is it safe to say that so
3
many of these Forest Preserves District
4
properties are immediately adjacent to the
5
Chicago Sanitary and Ship Canal?
6
MR. SULSKI: Yes.
7
MR. HARLEY: Thank you.
8
MR. FORT: I stand corrected. Thank
9
you.
10
CHAIRMAN TIPSORD: I had a feeling
11
where he was going.
12
MR. FORT: Continuing on with the few
13
questions here on 302.410 and what's in this
14
rule or proposed rule, who is going to answer
15
the questions that I have about subparagraph
16
E, "The Agency derived criteria may be
17
challenged as follows:
18
MS. WILLIAMS: Where are you looking?
19
MR. FORT: I'm not looking at my
20
questions. I'm looking at the proposed rule.
21
MS. WILLIAMS: So you are going to ask
22
about -- I guess we need to hear the question
23
first and then we can tell you who can
24
answer.
223
1
MR. FORT: I'm looking at 302.410 (E)
2
as proposed, and these are ways of
3
challenging the criteria that Mr. Twait has
4
said the Agency is going to calculate. The
5
first subsection says it can be challenged,
6
I'm looking at the third line, "Only at the
7
time such criterion is first applied in an
8
NPDS permit, or in an action under Title 8 of
9
the Act for violation of the Toxicity Water
10
quality Standard. And continuing on it says,
11
"Failure of a person to challenge the
12
validity of a criterion at that time of its
13
first application as a waiver of such
14
challenge in subsequent proceeding involving
15
application of criterion to that person." Do
16
you see that?
17
MS. WILLIAMS: Yes.
18
MR. FORT: I'm wondering what is the
19
technical justification for that?
20
MR. TWAIT: I believe the technical
21
justification is if the Agency puts that into
22
an NPDS permit, that the permittee can
23
challenge that. However, five years or ten
24
years later they can't come back and
224
1
challenge it.
2
MR. FORT: Well, I understand that's
3
rephrasing what it says. This strikes me as
4
a very unusual term to say you've waived if
5
you don't challenge it the first time.
6
MS. WILLIAMS: So I think, I mean just
7
from the drafting -- I know you asked the
8
technical, you said the technical
9
justification, but I'm not sure it's a
10
technical requirement. We took this language
11
directly from what's in the general use. I
12
believe there's some discussion in the Board
13
opinion adopting that language about it, but
14
I'm not an expert in how it's been
15
interpreted. I'm not aware that it's ever --
16
this provision has ever been used. So if you
17
want more detail, we'd probably have to get
18
back to you on that.
19
MR. FORT: And the similar
20
justification is for the notion that one must
21
do rule making to change the criterion?
22
MS. WILLIAMS: Which section are you
23
looking at now?
24
MR. FORT: Well, let me withdraw that.
225
1
I'm sorry, so you placed the burden of proof
2
on the petitioner in subparagraph two to
3
demonstrate the criteria is not necessary?
4
MS. WILLIAMS: Yes, I believe that the
5
language that's in caps there is taken
6
directly from the statute. That's why it's
7
all in caps, if that helps.
8
MR. FORT: Going back to the pre-filed
9
questions -- actually, I think we've covered
10
everything else here. I mean, I can ask the
11
question a little bit differently, but I
12
think we've covered the substance of it.
13
I think I've concluded my
14
pre-filed questions. I reserve the
15
opportunity to ask further questions for
16
clarification or more information if it's
17
submitted by the Agency.
18
CHAIRMAN TIPSORD: Thank you,
19
Mr. Fort.
20
Mr. Harley?
21
MR. HARLEY: I have a very quick
22
follow-up question, but I didn't want to
23
break the line of questioning Mr. Fort was on
24
regarding the sanitary Ship Canal.
226
1
I wanted to turn your attention to
2
question 19 on page 9 of Mr. Fort's pre-filed
3
questions where he asks about Illinois EPA's
4
decision that major water quality constraints
5
are temperature and DO, and then inquires
6
about chlorides as well. And he was focusing
7
your attention to the Sanitary and Ship
8
Canal. I wanted to ask you this question on
9
the issue of chloride specifically. Are
10
there chloride impairments that exist in the
11
Calumets, that is the Calumet River, Grand
12
Cal, Little Cal, the Cal Sag Channel?
13
MR. ESSIG: I currently do not know
14
because we don't assess those waters through
15
the general use standards, except for the
16
north shore channel upstream of the MWRD,
17
north side plant, the Chicago River and the
18
Calumet River which are general use. I don't
19
believe -- I'd have to take a look but I
20
don't recall there being any chloride
21
violations within those waters.
22
MR. HARLEY: Because there's previous
23
testimony there are not temperature issues in
24
the Calumets, there are only short lived DO
227
1
issues in the Calumets, and your testimony is
2
that the chloride issue may not be
3
significant where it is measured; is that
4
correct?
5
MR. ESSIG: As far as I know. I'd
6
have to double check.
7
MR. HARLEY: I think my question is at
8
what point in time did the Calumets become an
9
example of good environmental quality?
10
That's it. Strike that.
11
CHAIRMAN TIPSORD: Okay, I think we
12
move on to Corn Products.
13
MR. SAFLEY: Madam Hearing Officer, we
14
would prefer not to start our questions at
15
4:00 o'clock on the last day of these three
16
days of hearing. We'd like to hold off.
17
We've got at least 15 pages of questions to
18
ask.
19
CHAIRMAN TIPSORD: I knew you were
20
going to say that.
21
MR. SAFLEY: With a five week break,
22
we just feel like it will make for a better
23
transcript and better questioning than if we
24
say, well, remember five weeks ago when you
228
1
answered the last question.
2
CHAIRMAN TIPSORD: I have looked ahead
3
and saw that Corn Products does have
4
substantial number of questions, and I'm not
5
sure there's anyone left. Environmental Law
6
and Policy center you would probably be the
7
next fewest.
8
MR. ETTINGER: I've got a few, why
9
don't I do them.
10
CHAIRMAN TIPSORD: If no one has
11
objection to moving them ahead, so we can use
12
this time.
13
MR. ETTINGER: Mine are cute and
14
little. I'll take notes on them.
15
CHAIRMAN TIPSORD: I don't know if we
16
can handle any more cute today.
17
MR. ETTINGER: I've only got three
18
questions left, and I hardly filed any.
19
MS. FRANZETTI: Are you looking for a
20
gold star for that?
21
MR. ETTINGER: I think I could be
22
compared favorably to some. However, some of
23
this has been touched upon earlier by
24
Franzetti's questioning, but some of these
229
1
although they are repetitive to some extent
2
they have a slightly different twist on them
3
that I do think we need to explore.
4
With regard to our question No. 1,
5
it says, "Regarding page 13 of the pre-filed
6
Twait testimony, where the MWRDGC treatment
7
plant temperatures used to set nonsummer
8
average temperatures for the upper Dresden
9
pool, instead of the route 83 temperatures?
10
If so, why?
11
MR. TWAIT: Yes, they were, and it was
12
basically because we believed that MWRDGC was
13
the river.
14
MR. ETTINGER: Did you ever look at
15
temperatures in the upper Dresden pool as
16
opposed to the Sanitary and Ship Canal for
17
setting the background temperatures?
18
MR. TWAIT: I don't know that we had
19
any ambient stations that were not impacted
20
by a thermal source in the Dresden island
21
pool.
22
MR. ETTINGER: Well, did you, for
23
example, look at the intake temperatures at
24
the Joliet plants?
230
1
MR. TWAIT: No, I did not.
2
MR. ETTINGER: Going now to question
3
5. I think we've -- I'm going to ask the
4
beginning of the question, even though we've
5
covered that because it's necessary to set
6
the precedent for the second part of the
7
question, which I don't think we've covered.
8
No. 5, with regard to Twait testimony at page
9
15, "Was the biological justification for
10
allowing excursions up to two degrees
11
centigrade or -- well, it's wrong, 3.6
12
degrees Farenheit. Would this provision
13
allow temperatures above 93 degrees Farenheit
14
for seven straight days in the Dresden pool?"
15
It's only, it's the second part of that that
16
hasn't been answered. The first part has
17
been answered, but I needed to say that. So
18
could you just answer the second part here,
19
"Would this provision allow temperatures
20
above 93 degrees Farenheit for seven days
21
straight in the Dresden pool?"
22
MR. TWAIT: If all of the, 2 percent
23
of the hours were used all at one time, then
24
yes.
231
1
MR. ETTINGER: Going now to question
2
6. Were the temperatures that Chris Yoder
3
calculated as optimum growth, MWATT and
4
avoidance UAT used in any way in writing the
5
IEPA temperature proposals? If so how?
6
MR. TWAIT: I do not believe those
7
were used. We used short-term and long-term
8
survival.
9
MR. ETTINGER: I'm done.
10
CHAIRMAN TIPSORD: And I'm not sure
11
that anyone else had questions that we can
12
get finished in the next 40 minutes or so.
13
MS. WILLIAMS: Just so I'm clear, is
14
Exxon Mobil done?
15
CHAIRMAN TIPSORD: No, I do not
16
believe so.
17
MR. SAFLEY: We have some left, but I
18
prefer -- I think I'd be able to do it in a
19
lot more streamline basis if I had time to go
20
back over the transcripts, and I haven't been
21
able to do that in light of the questions
22
that were asked. There will still be some,
23
but --
24
CHAIRMAN TIPSORD: Just so we are
232
1
clear, we will start on April 23rd with Corn
2
Products International -- Chemical Industry
3
Counsel actually -- it was pre-filed? You
4
are done with your pre-file? I will take
5
Chemical 4 and District Counsel off then. We
6
will take Corn Products, then the District,
7
Stepan and Exxon Mobil is who we have left
8
with pre-filed questions. We will also go to
9
any questions of any of the materials that
10
were filed March 4th, and obviously any
11
additional follow-ups after you've had a
12
chance to look at transcripts and that sort
13
of thing. Dr. Girard and I have been
14
talking --
15
MS. FRANZETTI: Could I just, if this
16
is a good time for it, in going back through
17
the January hearing transcripts, there were
18
some items that Mr. Yoder was asked to
19
provide as to which he agreed to look for
20
them, and I think if he found them or could
21
figure it out, produce them, that have not
22
been produced.
23
CHAIRMAN TIPSORD: Okay.
24
MS. FRANZETTI: Could I just make a
233
1
note of the ones I believe he agreed to look
2
for, and haven't been produced yet through
3
the Agency. So that if per chance the Agency
4
could follow-up with Mr. Yoder between now
5
and the next set of hearings and see if there
6
is any more additional information available,
7
it would be appreciated.
8
MS. WILLIAMS: Well, I think we also
9
said we believe we have some stuff already at
10
the office in the first day that we hadn't
11
had time to prepare because it came in too
12
late.
13
MS. FRANZETTI: The first one I noted
14
were the field data sheets for the Attachment
15
S data. He had also agreed to produce the
16
field activities log, if it still existed.
17
He was going to look into whether a detailed
18
plan of study for the selection of the
19
sampling sites was prepared per the CLAP. He
20
was going to check whether he could find the
21
inputs to the computer program to resolve
22
issues regarding the totals on the QHEI
23
sheets that didn't seem to match the sum of
24
the individual category marks. This was in
234
1
response to Mr. Rao's questions. And then I
2
think that -- and then finally I'm not -- I
3
know he's produced the White Sucker article,
4
and that's been marked as an Exhibit. He had
5
also made mention about finding his notes and
6
calculations with regard to the White Sucker
7
values and what he ultimately used. So that
8
was -- and that's the last that I had of
9
outstanding information requests to
10
Mr. Yoder.
11
MS. DIERS: I think Suzanne had
12
everything on that list except maybe the
13
input I just forgot. He sent some things
14
right when we started.
15
MS. FRANZETTI: I thought it would be
16
helpful to list off of for you what I thought
17
was outstanding.
18
CHAIRMAN TIPSORD: And, Ms. Franzetti,
19
weren't you going to get us a copy of the
20
article?
21
MS. FRANZETTI: We're still trying to
22
get a clean copy of that article.
23
MR. ETTINGER: Off the record for a
24
second.
235
1
(Off the record.)
2
CHAIRMAN TIPSORD: Going back on the
3
record, I want to personally thank all of
4
you. I want to thank you for your
5
cooperation and professionalism. I know it's
6
been a long three days. We've gotten a lot
7
of stuff on the record, and I really
8
appreciate that. We will have our third
9
group of hearings starting April 23rd at
10
11:30 a.m. in Des Plaines, and we'll get the
11
address and all of that information. I'll do
12
a standard Hearing Officer Order that
13
includes the address and the time that we're
14
going to start and all of that information,
15
and I will also include that we're going to
16
have a prehearing meeting to discuss future
17
hearings at 11:00 a.m. for anyone who wants
18
to attend.
19
Again, I thank you very much. Dr.
20
Girard, anything else?
21
MEMBER GIRARD: No, thank you all for
22
your participation. It's been a great set of
23
hearings, and we look forward to April.
24
CHAIRMAN TIPSORD: We're adjourned.
236
1
2
3
4
5
6
7
8
9
10
11
12
13
14
15
16
17
18
19
20
21
22
23
24
237
1 STATE OF ILLINOIS )
) SS.
2 COUNTY OF C O O K )
3
4
5
DENISE ANDRAS, being first duly sworn, on
6 oath says that she is a Certified Shorthand Reporter
7 doing business in the City of Des Plaines, County of
8 Cook, and State of Illinois.
9
That she reported in shorthand the
10 proceedings had at the foregoing hearing of the
11 above-entitled cause.
12
And that the foregoing is a true and
13 correct transcript of her shorthand notes so taken
14 as aforesaid and contains all the proceedings had at
15 the said trial.
16
17
18
___________________________
19
DENISE ANDRAS, CSR
CSR NO. 084-003437
20
21 SUBSCRIBED AND SWORN TO
before me this ____ day
22 of _______, A.D., 2008.
23
_______________________
24
Notary Public