ILLINOIS POLLUTION CONTROL BOARD
    December 6, 1973
    )
    COMMONWEALTH EDT SON COMPANY
    )
    )
    )
    v.
    )
    PCB 73-295
    )
    )
    ENVIRONMENTAL PROTE CTTON AGENCY
    )
    )
    MR. RICHARD E. POWELL and CHARLES E. WHALEN,
    Isham, Lincoln and
    Beale, appeared on behalf of Commonwealth Edison
    MR. DELBERT
    I). HASCHEMEYER, Assistant Attorney General, appeared
    on
    behalf of the Environmental Protection Agency
    OPINION AND ORDER OF THE
    BOARD (by Mr. Dumelle):
    Edison filed a Petition for Variance on July 16, 1973 which
    sought an extension of the variance originally granted on October 14,
    1971, in PCB 71-129 and extended by operation of law in PCB 72-295
    on December 31, 1972 when the Board lacked a quorum. On August 23,
    1973, the Agency filed its Recommendation to deny the variance
    petition. Three days of hearings were held on August 27, September
    13 and September 14, 1973. On October 9, 1973, Edison filed a
    Motion for Additional Time in order to file post hearing briefs,
    sought an Interim Variance until November 19, 1973, and filed a
    waiver until that date. The Board granted Edison’s motion on
    October 11, 1973, and Edison’s and the Agency’s briefs were received
    on October
    ‘73
    and October 24, 1973. On November 8, 1973, the
    Board ordered that Edison provide limited information clarifying
    the current status of Z:ion Unit #1, which was not evident from the
    record. Edison filed a Motion seeking an additional three weeks
    to reply to this Board order and filed a Waiver until December 7, 1973.
    The Board granted Edison an Interim Variance until December 7, 1973,
    to allow Edison time to comply with its Interim Order.
    On November 27, 1973, Edison filed a Petition for Modification
    of Powerton Units 1-4 Operating Restrictions, a Motion for an Interini
    Variance, and a waiver. Edison filed an Information in Response to
    Board Order on November 30, 1973, which was requested by November 8,
    1973 Order requesting additional information concerning Zion Unit 1.

    -2-
    The Board denies the Motion for interim variance because the
    Board has decided to rule on the original variance petition.
    Edison’s request for a modification of the Powerton Units 1-4
    operating restrictions is granted because the Board’s ruling on
    November 29, 1973, modifying its original order in PCB 73-40,
    72-441, and 72-492, altered the operating sequence to allow Edison
    to utilize all of its coal-fired capacity prior to utilizing
    its peaking units. The Board has incorporated this operating
    sequence in the present order which modifies the original variance
    granted in PCB 71-129 to reflect the operational sequence
    found in PCB 73-40.
    Edison operates an electric power generating station, known
    as the Powerton Station, located near Pekin, in Tazewell County,
    Illinois. The Powerton Station contains five steam-electric
    generators with a sixth under construction and scheduled for operation
    in 1975. The units which are the subject of this variance request
    are Units 1-4 with an aggregate winter capacity of 350 mw. from
    twleve coal-fired steam generators without pollution control
    equipment to limit emissions. Unit 5, which is not subject to
    this variance proceeding, is an 850 mw. unit and is the largest
    coal-fired unit in Illinois.
    The variance (PCB 72-295 and PCB 71-129), which Edison seeks
    to be extended, is subject to the following conditions:
    (a) Powerton shall be the last unit on the Edison system
    committed to service and the first taken off after the
    daily peak period is passed. Powerton shall be
    committed only with sufficient lead time to insure that
    unit’s availability for the peak period. When
    Powerton’s capacity is required to meet a predicted
    daily load plus the operating reserve, the station
    will be initially loaded to approximately 50 capacity.
    Before the remaining capability of the Powerton units
    will be utilized, all other units on the Edison system--
    including the fast start peaking units--will be
    brought to full operating load, exclusive of emergency
    capability.
    (b) The above shall not apply if weather conditions, which
    may cause icing on transmission lines exist, or if
    Edison’s projected daily peak load equals or exceeds
    70 of the projected annual peak load.
    Edison has taken steps to lessen the environmental impact
    of operating Powerton Units 1-4, and alleges that the load factor,
    percent of the time that the Powerton units are in operation,
    has decreased from 42.3 in 1971 to 9.6 in 1972 to 6.5 in the
    first half of 1973 (R. 254). Edison alleged that by burning low
    10
    — 228

    sulfur
    coa’
    with
    a
    low
    ash content
    and
    higher heating value, they
    have instituted a 40 to 30 reduction in fly ash emissions per
    kw-hour (R. 255). Edison alleged that when this
    lower sulfur
    coal is combined with the reduction in load factor it results
    in an approxlmate 80 reduction in SO2 and particulate emissions
    from the Powerton Units 1-4 (R. 255). While SO2 emissions are
    not the actual subject of this variance request, SO2 emissions
    are important due to the nuisance aspects of Powerton Units 1-4
    operation and possible synergistic effects of SO2 and particulate
    emissi ons.
    The Agency presented information that showed Powerton Units 1-4
    to have a capacity factor of between 12.6 and 2.5 with an
    average of 7.5 for the first half of 1973 (EPA Ex. 13). The
    percent of the days
    that Edison operated
    any of Powerton Units 1-4 was
    shown to range between 23 and 81 of the days during the first
    half of 1973 (EPA Ex. 11). Thus while the capacity factor is
    low, Edison has felt it necessary to operate at least one of the
    Four units at some level on an average of half of the days.
    Citizen testimony presented at the hearing, graphically
    illustrates that even with the limitations in the operation,
    the continued operation of Powerton Units 1-4 produces a sub-
    stantial nuisance and hardship to the nearby citizens (R. 455-477).
    Mr. Billy Keen, who had testified in the prior hearing PCB 71-129,
    his wife, and Mrs. Monk testified that emissions from the Power-
    ton Station result in substantial interference with their right
    to enjoy backyard outside activities such as picnics and swimming
    in their swimming pools (R. 456, 468, 469, and 476) ; builds up
    on window sills (R. 456) ; results in the need to continuously
    clean
    the
    inside of their houses (R. 467) ; and soils and stains
    the outside of their residences (R. 71, 475). They further
    testified that the emission causes coughing and a burning in
    their throats (R. 464, 476). They all testified that the
    emissions are worse during the summer, and that during the month
    of July the emissions are at their Worst (R. 465, 468, and 477).
    Mr. Keen testified that the worst emissions were emitted from
    the shorter stacks (R. 459). He presented a photograph (EPA Ex~19)
    which shows emissions from the Powerton Station moving toward his
    residence.
    Edison presented data collected by the State, which shows
    that annual particulate averages exceed the allowable level, and
    that most of the time 24-hour standards are violated with
    some frequency (R. 318). The Agency calculated that a 5,300 mw.
    facility operating i~ithin the standards would produce the
    same amount of emissions as the 350 mw. produced by Powerton
    Units 1-4 while operating at the lower capacity factors from
    January to June 1973 (R. 385). The record clearly shows and
    the Board finds, that Powerton Units 1-4 result in air pollution
    when they are operated.
    10
    — 229

    -4-
    Edison, as
    in the original variance request, alleges that
    it
    needs
    160
    mw.
    of
    generating capability to provide “first
    contingency
    protection” For the Crawford sub-station serving
    downtown and mid-town ChLcago on the 69
    KV
    line (R.
    49).
    Edison
    defines “first contingency protection”
    as
    that generating capability
    necessary to tolerate the loss of (a)
    two
    major generating units,
    (b) one generating unit and one transmission line, or (c) one
    major transmission line (R. 29)
    .
    Edison further alleges that
    it needs the full generating capability of the Powerton Units
    1-4
    in order to provide power during necessary maintenance outages
    and to meet the expected 1974 summer peak (R. 86). Edison has
    been proceeding on schedule to make transmission system changes
    to obviate the need to retain Powerton Units 1-4 to provide first
    contingency protection, hut those changes will not be completed
    until May 15, 1974 (R. 30). Edison alleges that it needs to
    maintain the ability until mid August 1974 to utilize Powerton
    Units 1-4 as zone protection in the event of an occurrence of
    one of the above three mechanical breakdowns and a malfunction
    in the new equipment which is to be installed prior to May 1974.
    The Agency alleged that Edison does not need to provide first
    contingency protection through the use of Powerton Units 1-4
    (Recommendations, pp. 3-4) based upon the testimony of Dr.
    VanNess, an Agency witness, in PCB 72-295, that it would be
    possible to prevent overloads on the 69 KV system by switching
    power from another source, through the Powerton Station and
    then to the 69 KV system (R. 262, PCB 72-295). The Board
    finds that the Agency did not rebut Edison’s testimony that
    only 70 mw. could be transferred through the Powerton Station
    (R. 184) and that 160 mw. was needed to provide the necessary
    protection (R. 159, 160). The Board recognizes that Edison will
    have to utilize Powerton Units 1-4 to provide first contingency
    protection. For this reason, the Board grants Edison an extension
    of the variance to operate Powerton Units 1-4 up to 160 mw. in order
    to provide first contingency protection for the
    69 KV system
    until such time as the modifications to the transmission system
    are completed in mid-May 1974, and the need for first contingency
    protection has passed.
    The Board also grants Edison a variance
    to allow it to maintain Powerton Units 1-4 in order to provide
    additional protection against the overload 0:1 the 69 KV system
    from May 1974 until August 15, 1974.
    This additional insurance,
    in the event of a system breakdown and
    a malfunction in the new
    equipment, should be an extremely unl:ikely occurrence (R. 134).
    Because the Board has recognized Edison’s need to operate
    Powerton Units 1-4 in order to provide first contingency protection
    this winter, Edison must be allowed to
    operate Powerton Units 1-4
    for dc-icing purposes to ensure that the necessary transmission
    lines remain in service. Consequently, the Board grants
    Edison a variance to operate Powerton Units 1-4 in order to
    dc-ice the
    transmission lines between Powerton and Crawford
    Stations.
    10 —230

    -~-
    The Board agrees with the Agency that the failure to
    present evidence
    concerning the computer study of the probability
    of two units
    being
    out at the same time is a major oversight
    by
    Edison,
    however, the Board does not think it warrants denial
    of the variance. The Board’s granting of the variance should
    not be taken as an approval of Edison’s decision not to use
    overtime labor in complying with the previous Board order.
    Ilowever, little would now be gained by ordering overtime labor
    in the light of the testimony that equipment delays are the
    controlling time factor at the present time (R. 46).
    The Board is next Faced with the question of whether or
    not to extend the variance in order to allow Edison to utilize
    Powerton Units 1-4 to meet system demands during maintenance
    and summer peak load periods. Edison has alleged that they need
    Powerton Units 1-4 until October 15, 1974, when the four units
    will be retired from coal-fired service (R. 99). The Agency
    alleges that Edison has failed to meet its burden to show that
    it in Fact needs Powerton Units 1-4 to meet system demands
    during both maintenance and peak periods. When deciding
    whether or not to grant an extension of the present variance,
    the Board must weigh the environmental degradation resulting
    from such operations versus the hardship placed upon Edison by
    the denial of the variance petition. An integral part of Edison’s
    hardship is that hardship that would be placed upon Edison’s
    customers in
    the event that Edison could not meet the demand
    for power.
    Edison and the Agency have conducted monitoring studies
    in order to estimate the environmental impact in the surrounding
    area which would be caused by operating Powerton Units 1-4.
    Edison
    retained Argonne National Laboratory to perform modeling
    studies (Air Quality Display Model .(AQDM)) to estimate the effects
    of the emission from Powerton Units 1-4 on long-term or annual
    ambient air quality. The model included a recently-updated
    inventory of all major emission sources (202 in number) in the
    Peoria area and an estimate of the total emissions from all the
    smaller sources in the region (R. 198). Edison alleged Argonne’s
    AQDM model was used extensively by the Agency and by the Board
    in considering the recently adopted emission regulations (R. 195,
    96, 200). Edison presented evidence concerning two sets of
    predictions: Impact on annual ambient air quality in the area
    and short term impact (24-hrs. or less) (Edison Ex. 8 and 9).
    Edison Exhibit 8 shows the result of the computer modeling
    program to predict the annual particulate and sulfur dioxide
    ambient concentrations in the Peoria Major Metropolitan Area as
    predicted by the AQDM. Edison Exhibit 8 is based upon the
    result of Edison Exhibits 12-A thru 12-B; which are computer
    10 —231

    -6-
    determ:inations For all emissions in the Peoria reg:i.on
    excluding Powerton Station, and a senarate determination
    for each emission from the four individual stacks at the
    Powerton Station (Edison Ex. 12 A-B). The AQUM was based
    upon 1970 Peoria meteorological data (R. 201). The
    model predicted SO2 and particulate levels for some 237 grid
    point locations (R. 207) based upon a seven kilometer grid
    system (R. 311). The results of the AQDM, presented in Edison
    Exhibit 8, purport to show that at the grid point of maximum
    ambient concentration resulting from emissions from all other
    sources that the SO2 level would be as follows:
    Excluding
    Including
    Powerton
    Period
    Powerton 1-4
    Powerton 1-4
    Contribution
    8/70
    -
    7/71
    135.48 pg/m3
    139.00 pg/rn3
    2.5
    8/71
    -
    7/72
    135.85 ~g/m3
    137.48 pg/rn3
    1.2
    8/72
    -
    7/73
    136.96 ~ig/m3
    137.34 pg/m3
    0.2
    Edison Exhibit 8 also shows that at the point of maximum
    Powerton Contribution, the ambient SO2 concentration would be:
    Excluding
    Including
    Powerton
    Period
    Powerton 1-4
    Powerton 1-4
    Contribution
    8/70
    -
    7/71
    51.48 pg/m
    66.34 pg/m3
    22.6
    8/71
    -
    7/72
    52.53 ~g/rn3
    57.55 pg/m3
    9.7
    8/72
    -
    7/73
    55.74 ~g/m3
    57.55 pg/m3
    3.1
    Edison Exhibit No. 8 also shows the maximum particulate
    matter levels predicted by the AQDM as follows:
    Excluding
    Including
    Powerton
    Period
    Powerton 1-4
    Powerton
    1-4
    Contribution
    8/70
    -
    7/71
    162.94 pg/rn3
    166.43 pg/rn3
    2.10
    33
    8/71
    -
    7/72
    162.94 fig/rn
    163.66 pg/m~
    0.40
    8/72
    -
    7/73
    162.95 pg/rn3
    163.36 pg/rn3
    0.25
    Edison Exhibit No. 8 shows also that at the point of maximum Powerton
    Contribution, the particulate levels would be
    Excluding
    Including
    Powerton
    Period
    Powerton 1-4
    Powerton 1-4
    Contribution
    8/70
    -
    7/71
    79.43 ~g/rn3
    101.29 pg/rn3
    21.6
    10
    232

    -7-
    Excluding
    Including
    Powerton
    Period
    Powerton 1-4
    Powerton 1-4
    Contribution
    8/71
    -
    7/72 79.44 ug/m3
    84.5 ug/m3
    6.0
    8/72
    -
    7/73 79.47 ug/m3
    81.85 ug/m3
    2.9
    Edison Exhibit 9 is a listing of the three points within
    the Peoria-Pekin vicinity that had the highest reported particulate
    level concentrations from 1967 thru 1971. At all three points, for
    all five years, the annual geographic mean value has exceeded
    the pri1~aryannual ambient air quality particulate st~ndards of
    75 ug/m
    .
    The 1971 values ranged from 93 to 101 ug/m3, and the
    maximum values ranged from 256 to 398 micrograms per cubic meter.
    The maximum 24-hr. concentrations, which is not to be exceeded
    more than once per year, is 260 micrograms per cubic meter.
    Edison Exhibit No. 9 clearly shows,and the Board so finds, that
    the ambient air quality in the Peoria-Pekin vicinity exceeds
    the primary air quality standard for both the annual geographic
    mean and the maximum 24-hr. concentration. Edison’s monitoring
    sites included high-vol samplers for particulate monitoring
    and 14 lead candle and 2 continuous SO2 monitoring devices (R. 209).
    The Agency alleged Edison’s systems did not include a
    value for the terrain of the vicinity (R. 209) and did not
    consider short-run effects (R.2l0). The Agency also pointed
    out that Edison’s values are based upon grid location points
    which do not necessarily coincide with the point at which the
    maximum level of the pollutant would occur and therefore does
    not include the worst 24-hr. period’or the greatest annual value
    (R. 276). The Agency further alleged that Edison’s modeling
    did not include a frequency factor for the occurrence of
    adverse meteorological conditions (R. 305) and did not calculate
    values for an inversion (R. 322). Edison alleges that Exhibit 8
    and 9 show that emissions from Powerton Units 1-4 have had
    little impact on annual ambient air quality in the Peoria-Pekin
    area (P. 14 of Edison’s brief).
    Edison also modeled the short-term (24-hr. or less) effect
    of the operation of Powerton Unit 1-4 upon ambient air quality
    in the area (R. 258)
    .
    Because of the restrictions that had been
    placed upon Edison’s operation of Powerton Units 1-4, Edison
    assumed as the “worst case” that the units would be operated for
    an extended period to prevent the formation of ice on the transmission
    lines (R. 258-59). Edison Exhibit No. 11 supports Edison’s
    choice of an operational level of 60 as being the worst
    case on record since the use restrictions, as it shows that during
    December, 1972, Edison operated Powerton Units 1-4 on a daily
    average 5,167 mw. hours. Operation at 100 capacity for a
    24-hr. period would equal 8400 mw. hours. Edison’s short term
    10—233

    -8-
    model was further based upon the wind blowing from the same
    direction and at the same speed during the entire 3 or 24-hr.
    averaging period (R. 261). Edison alleges that with the above
    “very conservative assumptions”, the operation of Powerton
    Units 1-4 would not result in violations of the short term
    primary or secondary air quality standard (R. 260, Edison
    Lx. 10)
    .
    Edison Exhibit 10 shows the estimations of
    the
    short
    term concentrations of particulate and SO levels for various
    unit loadings and stability classificatio~s as follows:
    Part i cu late
    Estimate of
    Maximum Ground
    Level
    Load
    Stability
    Time (hrs.)
    Concentration
    215215
    UnstableNeutral
    2424
    12390
    fig/rn~mg/rn~3
    3
    350
    Unstable
    3
    503 pg/rn
    Sulfur Dioxide
    Estimate of
    Maximum Ground
    Level
    Load
    Stability
    Time (.hrs.)
    Concentration
    215215
    NeutralUnstable
    2424
    145196 pg/rnpg/rn~3
    The350 primary
    Unstableand
    secondary ambient air3 quality standards are:808
    1ig/m3
    Time (hrs.)
    ~
    Secondary
    Particulate
    3
    3
    24
    260
    pg/m~
    130 pg/m
    SO
    -,
    3
    2
    24
    365
    pg/rn~
    260
    3
    1300 pg/rn3
    10
    234

    -9-
    Edison alleges that continuing operation of Powerton
    Units 1-4 under the current operating restrictions (see page
    2 of this opinion for a listing of the operating restrictions)
    will not have a significant affect on the air quality in the area
    (Edison Lx. 8, page 14 Edison’s Brief and Argument).
    The Agency calculated a particulate emission rate of
    4.83 lbs./M Btu’s for Units 2, 3, and 4 and 6.31 lbs./M Btu’s
    for Unit 1, and calculated a SO emission rate of 6.43 lbs./M Btu’s
    for all four units (EPA Ex. 8).2 The Agency emphasized, and it should
    be pointed out, that Powerton Units 1-4 are the only investor owned
    plant in Illinois without any particulate control equipment (EPA
    Ex. 7).
    The Agency characterized Edison’s Exhibit 8, which shows
    that Powerton Units 1-4 caused a 3.1 increase at the point of maxi-
    mum concentration in particulate levels for August 1972 thru
    July 1973, as occurring during intermittent low capacity
    operation. The Agency alleges that the only logical conclusion
    that can be drawn is that whefl Powerton Units 1-4 operate, they
    cause a much higher and truly significant impact on air quality
    (Page 5, Agency Post Hearing Brief). The Agency characterized
    Edison’s modeling as comparing a dispersion model to approximately
    25 selected monitor readings taken at specific locations.
    Stability class frequency distributions were not taken into
    consideration, nor were topographical feastures and certain
    meteorological conditions. The Agency also pointed out the
    relatively short stack heights at Powerton Units 1-4 of between
    300 and 350 feet (EPA Ex. 8).
    The Agency modeling evidence (EPA Ex. 21 thru 25) was refused
    by the Hearing Officer based upon Edispn’s objections that it
    assumed at a 24-hr.
    ,
    365 day operation; the Agency used the
    maximum sulfur content in the fuel rather than the average content;
    and that there was no foundation for the particulate level
    (R. 570, 571). However, Exhibit 21 thru 25 were accepted as
    pointing out the predicted location and direction of the point
    o:F maximum concentration (R. 583)
    The Board overturns the ruling of the Hearing Officer and admits
    Agency Exhibits 21 thru 23 into evidence without the qualification.
    The objections raised by Edison should go to the weight to be
    given the computer modeling, not to its admissibility. The Exhibits
    were discussed, offered into evidence, cross-examined, and should
    have been admitted.
    Mr. David Kolaz, testified concerning the results of Agency
    computer modeling studies using the air quality display model for
    (Iiffcyent combinations of the Powerton Units (R. 311). The
    Agency’s air quality display model is a derivative of the Federal
    government air quality display modell (R. 513)
    .
    The model allows
    10
    235

    -10-
    one to compute the annual average concentration of particulates
    and SO9 and uses a statistical analysis to compute short-term
    concentrations, based on the average annual concentration (R. 514).
    The Agency’s model also utilizes various meteorological conditions
    or classes, in the form of a percent frequency o:F occurrence
    for six wind speed classes, sixteen wind directions, and five
    stability classes (R. 514). The model is setup so as to allow
    the calculation of a
    concentration at every half a kilometer
    in a square grid pattern and 12 non-grid receptors (R. 515).
    The closest receptor to the Powerton station was located 1/2
    kilometer east and north of the Powerton station (R. 521).
    The Agency’s model was based upon particulate and SO2 emission
    rates contained in EPA Exhibit 8 (R. 523). Based upon the
    Agency’s modeling, the point of maximum particulate concen-
    tration would occur 7 kilometers north of the power station
    (R. 528). The Agency’s calculation of maximum concentrations
    for Powerton’s Units 1-4, including Powerton Unit 5, would be
    6 micrograms per cubic meter for particulates and 4 micrograms
    per cubic meter for SO2 excluding background levels
    (R. 529, EPA Ex. 21).
    As pointed out by Edison’s cross-
    examination of Mr. Kolaz the Agency’s modeling was based upon the
    assumption that Powerton Units 1-4 operated 24-hrs. a day seven
    days a
    week at 100 capacity (R. 532).
    Jack Coblenz, the Agency Manager of the Division of Air
    Pollution
    -
    Technical Services Section, testified that a down
    washing ef:Fect could occur at the Powerton station site (IL 544).
    This could result in higher than
    predicted levels since dispersion
    models assume a flat surface and assume no down-wash (IL 541)
    Mr. Coblenz Further testif:ied that dispersion modeling is accurate
    within 50 or that the numbers the Agency or that Edison calculated
    could be in error from one half to double the actual value (II. 545)
    Edison’s model showed that at the point of maximum concentra-
    tion Powerton would contribute 0.3 in 1971, 0.3 in 1972,
    and 0.2 in 1973 of the pollution level IR. 547, 548). The
    point Edison showed as the point of maximum concentration is
    located in the heart of Peoria where emissions :From other
    sources, closer in relationship than the Powertion station,
    would have had a very large affect (R. 547). In examining receptor
    #66 of the Edison data, Mr. Cobienz testified that there was
    in fact another contributor whose actual emissions were much less
    than Powerton, but were so close to the receptor that they had
    a greater effect than Powerton (II. 548)
    Because the Agency’s model contains some 196 grid points in
    the area represented as one grid in the Edison data, the Agency’s
    model should predict the theoretical point of maximum concentration
    with a greater degree of accuracy (R.
    549).
    Mr. Coblenz further
    testified that because Powerton Units are located in a river valley,
    10
    236

    -11-
    the effect would be that winds would tend to follow the valley
    so that the frequency of winds from the Powerton Station to Pekin
    and Peoria would be much greater than the wind frequency direction
    as given by a weather station located outside the valley (R. 552).
    Mr. Coblenz testified that wind direction from the south, south-
    east, and southwest occurred at a 40 frequency, but along the
    river valley would occur at a greater frequency so that instead
    of the plume dispersing east and west, the pollution would generally
    go up the valley summer and spring and in the winter time would
    go down the valley to the south (R. 553).
    Based upon the modeling evidence presented, the Board finds
    that Powerton Units 1-4 contribute a significant amount of
    particulate and SO~pollution to the Pekin-Peoria area. Such
    pollution must be ~eighed against any request for an extension
    to meet peak loads.
    Edison alleges that they need the power from Powerton Units
    1-4 in order to meet the 1974 summer and maintenance period
    peaks. Edison presented testimony that their planned reserve for
    1974 would be 2,839 megawatts which includes Zion Unit 1 at
    1,100 megawatts, Zion Unit 2 at 935 megawatts (85 capacity), Powerton
    Units 1-4 at 350 megawatts, and Waukegan and Sabrooke Units at
    1,092 megawatts (R. 75). Edison alleges that the loss of Powerton
    Units 1-4 would reduce their summer peak to 2,489 or l9~ (R. 77, 144).
    Edison further alleges that because they are burning low sulfur
    coal they have a 375 megawatt power peak reduction (R. 82). Edison
    has always stated that because of their great degree of inter-
    connection with other systems that they must maintain only a 14
    planned reserve (R. 145). They testifiod that they have an
    additional 1600 to 1800 megawatts available in the event of
    an emergency (R. 146). Edison has contracted to sell 410 megawatts
    during the summer of 1974 (R. 143). Edison~s“planned reserve”
    is a long-range planning concept which does not include the
    actual reserve that might exist on a given day. As Edison
    points out the actual daily reserve available at a given point
    and time determines whether or not Edison can meet a system demand.
    Edison’s estimated total peak load for the summer of 1974 is 14,170
    megawatts (R. 72). Edison’s planned reserve for the summer of
    1974 equals 22.1 (R. 73). Edison has testified that 14.0
    planned reserve is adequate to meet system-wide demands. Edison’s
    planned reserve of 14 is based upon a design that will allow
    Edison to meet the peak loads in the event of system-forced outages.
    Edison’s planned reserve figures assume that Zion Unit 1 will
    provide 1,100 mw. or 100 capacity (R. 75) and that Zion Unit 2
    will provide 935 mw. or 85 capacity (R. 75, 76). Zion Unit 1
    is currently licensed at 935 mw. (85) capacity by the Atomic
    Energy Commission; but it has not operated above 688 mw. due to
    mechanical operating restrictions (Edison Information in Response
    10
    237

    -12-
    To Board Order, November 30, 1973).
    Edison will shut down
    Zion Unit 1 before February 3,
    1974, to eliminate the mechanical
    operating restriction,
    and will return the Unit to service by
    April 28, 1974 (Edison Information, November 30, 1973).
    Once
    the modifications have been completed, Zion Unit 1 will be tested
    at 75 capacity (Edison Information, November 30, 1973). Once
    the 75
    testing
    has been completed in early June, 1974, Edison
    will operate Zion Unit 1
    at
    85
    or 935 mw. (Edison Information,
    November 30, 1973).
    Edison further assumed that Zion Unit 2
    will provide 935 mw. of capacity (85 of its
    design capacity)
    for the summer of 1974, but the record shows that construction
    of the unit will not be completed until I)ecernber, 1973 (R. 75, 76).
    Consequently, 2839 megawatts of the estimated reserve includes
    2,035
    mw. of capacity from two nuclear units that have not yet
    demonstrated their total reliability
    and 935 mw of that planned
    reserve are from a unit that is still being constructed. Edison
    points out that without 2,035 mw. from these units, Edison’s
    planned reserve would only be 804 mw., or 5.6,
    which
    is totally
    inadequate to protect against forced outages (II. 79, 80).
    The Board in its Order in PCB 73-40, as modified on
    November 30, 1973, issued a priority of operation order that
    requires Waukegan Station above 355 mw. be the last coal-fired
    facility in the Edison system to go on line. The Board thus
    changed its previous Order in PCB 71-129 which required that Power-
    ton Units 1-4 above 50 be the last coal-fired unit to go on line.
    The Board’s Order, as modified in PCB 73-40, also recognizes
    that, there existed a need to conserve oil and gas. The Board
    ordered that Waukegan above 355 mw. and the Powerton Units above
    50 capacity be operated prior to the fast-start peaking units.
    The change in operating sequence represents a substantial
    change in the Board’s position as to the operating sequence
    of Edison capacity. It would tend to change the figures presented
    in the record that show the daily load factor at the Powerton
    Units 1-4 as being substantially below 20. The Board points
    out, however, that the variance granted in the Waukegan case
    was a short-term six month variance that requires Edison to
    submit monitoring data before the variance will be extended
    (Order of the Board, PCB 73-40, October 4, 1973). The Board
    hopes that as a result of that monitoring data, Edison will be
    allowed to operate Waukegan ahead of Powerton Units 1-4. However,
    the Board finds that Edison and the Agency have failed to present
    substantial evidence to warrant the modification of the October 4,
    1974 Order. Testimony as to the adverse health effects of the com-
    puted Waukegan Power Plant emissions was the basis of the Board’s
    order ordering the priority schedule in Edison’s system. The
    Board notes, however, that this variance and the operational se-
    quence is subject to being changed pending the result of monitoring
    data,concerning the Waukegan emissions.
    10
    238

    -13-
    The Board examined the Monthly Load and Capacity Schedule
    (EPA Lx. 10) by subtracting the restricted output and outage
    of
    Z:ion Unit 1 (Edison Information, November 30, 1973); by
    subtracting the output of Waukegan above 355 mw. ; by subtracting
    Powerton Units 1-4 350
    mw. production; and
    by removing the
    1726 mw. of peak production. This series of mathematical
    calculations resulted in the following excess capacity over the
    monthly projected peak load estimates:
    Dec.
    Jan.
    Feb.
    Mar.
    April
    May
    Excess
    Mw, 553
    113
    -555 -345
    255
    210
    Operation of Waukegan without any operating restrictions during
    the air quality testing program would supply an additional
    590 mw.
    which would offset the negative values for February and March.
    Thus, even if the Board grants Edison a variance to operate
    Powerton Units 1-4 to meet peak loads during December through
    May; Edison should not have to operate Powerton Units 1-4 (or
    Waukegan above 355 mw. when not conducting air monitoring studies)
    unless a mechanical malfunction occurs. Operation of Powerton
    Units 1-4 to provide “first contingency protection” and during dc-icing
    periods would tend to increase the
    excess capacity figures.
    The Board is faced with a decision as to whether or not to
    grant Powerton a variance to operate during
    peak periods. Edison’s
    own testimony that their planned reserve equals 2,839 mw. (22.1)
    would normally be
    sufficient as to deny the variance request to meet
    the summer peak period.
    However, in light of Edison’s inclusion
    of power from Zion Unit 2 and from Zion Unit 1 above the level
    at which it is currently operational, the Board has decided to
    grant Edison the right to use Powerton Units 1-4 to meet system
    demand both as to maintenance and peak period until October
    15, 1974 at which time Powerton Units 1-4 will be shut down.
    The
    Board notes
    that
    Edison has evidently contracted to sell
    410 megawatts in the summer of 1974 (R. 143). Because Edison
    has
    been granted variances to operate Powerton Units 1-4 and Waukegan
    above 355 mw. as the last coal-fired units to be placed on line
    before use of the peaking units, the sale of 410 mw. during the
    peak period would subject the citizens surrounding the two power
    plants to potentially dangerous pollution levels.
    Operation of
    pollution sources to provide energy to people outside Edison grid
    system may be unreasonable. It is one thing to subject the citizens
    to air pollution in order to protect fellow citizens on the same
    Edison system from blackouts; but, it is quite different to subject
    citizens to air pollution merely to satisfy a contractual obligation
    to deliver power outside the 3ystem.
    Edison has failed to provide
    any information regarding the ultimate consumption of that power or
    necessity of supplying the power. The present record is woefully
    10
    239

    -14-
    lacking of any information regarding the contract to to sell
    the 410 mw. at a time Edison is seeking variance to operate four
    units that lack any pollution abatement equipment. The Board
    does not make any ruling on the propriety o:F this contract in
    granting this variance request. However, the Board will again
    be faced with this question when ruling on any extension of the
    variance that Waukegan Station is currently operating under
    (including any system operation sequence changes). Edison has the
    burden of establishing
    the
    need to operate its units while supplying
    power (excess capacity) to systems outside Edison’s own grid.
    This Opinion constitutes
    the
    findings of fact and conclusions
    of law of the Board.
    ORDER
    The Board hereby grants to Commonwealth Edison a variance
    to emit particulate matter in excess of regulation limits
    until October 15, 1974, subject to
    the following conditions.
    1. Powerton Units 1-4 shall be the next to last coal-fired
    Units on the Edison system committed to service and the
    second coal-fired unit taken o:Ff after the daily peak
    period is passed. Powerton Units 1-4 shall be committed
    only with sufficient lead time to insure that unit’s
    availability
    for the peak period.
    When
    Powerton Unit 1-4
    capacity is required to meet a predicted daily load plus
    the operating reserve,
    the
    station will he initially
    loaded to approximately 50 capacity. Before the remaining
    capability of
    the Powerton Units 1-4 will he utilized, all
    other coal-fired units on the Edison system--except Waukegan
    above 355 mw.
    -
    -will be brought to Full operating load, exclusive
    of emergency capability. Coal- f:i red units shall be operated
    prior to the operation of fast-start peaking uni.ts.
    2. The above shall not apply if weather conditions, which
    may cause icing on transmission lines exist or if
    Edison’s projected daily peak load equals or exceeds
    70 of the projected annual peak load.
    3. This Order is subject to further Board Orders in the event
    that Edison or the Agency demonstrates to the Board that
    operation of Powerton Units 1-4 present a greater health
    risk than operation of Waukegan Station.
    IT IS SO ORDERED.
    I, Christan L. Mo:Ffett, Clerk of the I llinois Pollution Control
    Bo4rd, hereby certify the above Opinion and Order were adopted on the
    ~)_day of December, 1973 by a vote of ______________________________
    Christan L. Moflet ~/‘lerk
    I,—
    Illinois Pol1ution~bntroi Ooard
    10 —240

    Back to top