BEFORE THE ILLINOIS POLLUTION CONTROL BOARD
IN THE MATTER OF:
NITROGEN OXIDES EMISSIONS
FROM
VARIOUS SOURCE CATEGORIES:
AMENDMENTS
TO 35 ILL. ADM. CODE
PARTS
211 AND 217
)
)
)
)
)
)
R08-19
(Rulemaking
- Air)
POST-HEARING COMMENTS OF SAINT-GOBAIN CONTAINERS, INC.
Saint-Oobain Containers, Inc. ("SOCI") respectfully submits the following post-
heating comments in the above rulemaking proceeding (these comments supplement those filed
on February 14,2008):
SOCI owns and operates glass melting furnaces at its facility in Dolton, IIlinois.
With respect to the 5.0 lbs/ton emission limit in proposed Section 217.204, SOCI believes that a
narrow exception should be made to the May
1, 2010 compliance date for entities that enter into
an enforceable agreement with IEPA to install control technology that can achieve NO
x
emission
rates significantly below the 5.0 lbs/ton limit pursuant to an enforceable schedule extending
beyond 2010. SOCI is currently in the process of negotiating such an agreement with IEPA.
SOCI suggests the following addition to the Exemption provision in proposed Section 217.202:
Notwithstanding the compliance date set forth in Sections
217.155(b) and 217.204, a compliance date
ofDecelrlber 31,2014
shall apply when the owner or operator of a container glass
melting furnace subject
to Subpart F has executed a binding and
enforceable agreement by December
31,
2009 with the State of
Illinois that requires compliance with a NO
x
limit that is less than
30 percent
ofthe emission limit in Section 217.204.
Without a relief mechanism in these narrow circumstances, SOCI would
effectively be required to implement a much less effective control device, when substantially
greater reductions from the installation of alternative NOx control technology are currently being
discussed with the State
of IIlinois. SOCI cannot afford to install the technology required to
meet
an intetim limit of 5.0 lb/ton for the petiod between the compliance date under Section
217.204 and the anticipated schedule for installation of the alternative technology at the end
of
2014, and thus the opportunity for substantially greater long-term emission reductions may be
lost if a limited exemption from the May
1,2010 compliance date is not adopted. Additionally,
the Dolton facility has three furnaces, with two exhaust stacks on each furnace.
Early
installation
of CEMS would require six devices (rather than as few as one CEMs which may be
Saint-Gobain Containers
1509 Soulh Ivloceclonio Avenue. PO Box
~200.
lvIuncie
I~I ~7307-~200.
T("I
765-7~1-7000.
Fox
765-7~1-7012
Electronic Filing - Received, Clerk's Office, November 25, 2008
* * * * * PC #2 * * * * *
required for altemative technology), and would serve no compliance purpose. We therefore urge
the deletion of a requirement to install CEMS until the altemative technology is installed. Thank
you for the opportunity to comment on this important rulemaking.
Respectfully submitted,
A~::::::'--:::::=~
Steven B. Smith
;;;======--
V.P. Environmental Health
&
Safety
Saint-Gobain Containers, Inc
1509
S. Macedonia Avenue
Muncie,
In
47307
Dated: November 25,2008
cc: S. Segebarth, Esq.
-2-
Electronic Filing - Received, Clerk's Office, November 25, 2008
* * * * * PC #2 * * * * *