BEFORE THE ILLINOIS POLLUTION CONTROL 
BOARD
IA
3o
2Uüg
SE
°,LLINOIs
N THE 
MATTER OF:
)
Board
)
ASO7-06
PETITION OF CABOT CORPORATION
)
(Adjusted Standard)
FOR AN 
ADJUSTED STANDARD FROM
)
35 Ill. Adm. 
Code 
Part 
738, 
Subpart B
)
NOTICE 
OF 
FILING
TO:  
SEE ATTACHED SERVICE LIST
PLEASE 
TAKE 
NOTICE that 
I 
have 
today 
filed 
with the Office of the Clerk of the
Pollution 
Control Board Cabot Corporation’s Motion to Extend Stay of Proceedings 
on 
Cabot
Corporation’s Petition for Reissuance of 
Adjusted 
Standard.
DATED: 
January 30, 2009              
CABOT 
CORPORATION
By:       
C
One of 
Its 
Attorneys
Eric E. Boyd (6194309)
SEYFARTH SHAW LLP
131 South Dearborn Street
Chicago, Illinois 
60603
Tel. 
(312) 460-5000
Fax: (312) 460-7000
Printed on Recycled Paper
CHI 11519491.2
BEFORE 
THE 
ILLINOIS 
POLLUTION 
CONTROL
BOARlEcvED
CLERK’S
OFFICE
JAN
302009
PETITION
IN 
THE 
MATTER
OF 
CABOT
OF:
CORPORATION
)
STATE
oUution
OF
Control
ILLINOIS
Boar
FOR 
AN 
ADJUSTED 
STANDARD 
FROM
)
35 
Ill. Adm. 
Code 
Part 
738, 
Subpart 
B
)
MOTION 
TO EXTEND 
STAY 
OF 
PROCEEDINGS 
ON 
CABOT 
CORPORATION’S
PETITION 
FOR 
REISSUANCE 
OF 
ADJUSTED 
STANDARD
Cabot 
Corporation 
(“Cabot”), through 
its 
attorneys, 
Seyfarth 
Shaw 
LLP, 
and 
pursuant 
to
35 
Ill. 
Admin. 
Code
§
101.500 
and 
100.5 
14, 
moves 
to 
stay 
proceedings 
on 
its May 
29, 
2007
Petition 
for 
Reissuance 
of Adjusted 
Standard 
(“May 
29, 
2007 
Petition”). 
In 
support 
of this
motion,
Cabot 
states:
1.      
Cabot 
filed 
the 
May 
29, 
2007 
Petition 
seeking 
reissuance 
of 
its 
adjusted 
standard 
from
the 
Illinois 
state 
underground 
injection 
control 
(“UIC”) 
regulations for 
Wells 
Nos. 
2 
and 
3 at 
its
Tuscola, 
Illinois 
facility 
(“Facility”).
2.     
Also 
on 
May 
29, 
2007, 
Cabot 
filed 
a 
Motion 
to 
Stay 
Proceedings. 
The 
Motion 
to 
Stay
requested 
that 
the 
Board 
stay 
further 
action 
on 
the 
Petition 
until 
the U.S. 
EPA 
takes 
final 
action
on 
a 
similar 
petition 
Cabot 
filed 
with 
the 
U.S. 
EPA. 
The 
motion 
explained 
that 
staying 
the
proceeding until 
the 
U.S. 
EPA 
takes 
action, “will 
assist 
the 
Board 
in 
making 
the 
appropriate
determination 
and 
ensure 
that 
the 
Board 
does 
not 
apply 
more 
stringent 
law 
to 
Cabot 
than 
is
warranted 
under 
the 
circumstances.” 
May 
29, 
2007 
Motion 
to 
Stay, 
at 
Par. 
9.
Printed 
on 
Recycled 
Paper
)
AS 
07-06
)
(Adjusted 
Standard)
CH1 
11519501.2
3.     
On August 
9, 
2007, 
the 
Board 
entered 
an 
order 
staying 
this 
proceeding 
until 
February 
9,
2008. 
The 
August 
9, 2007 
Order 
explained 
that 
the 
parties 
may 
request 
an 
extension 
of 
the
initial 
stay 
and 
the 
time 
for the 
Agency 
to 
file 
its 
recommendation 
by 
asking 
the Hearing 
Officer.
4.     
On February 
7, 
2008, 
the 
Hearing 
Officer 
granted 
a motion 
to 
extend 
the 
stay. 
The
Hearing 
Officer 
Order 
extended 
the stay 
until 
August 
9, 
2008, 
and 
the deadline 
for 
the 
Agency’s
recommendation 
until 
September 
23, 2008.
5.     
On 
July 22, 
2008, 
the 
Hearing 
Officer 
granted 
another 
motion 
to extend 
the 
stay. 
The
Hearing 
Officer 
Order 
extended 
the 
stay 
until 
February 
9, 
2009, 
and 
the 
deadline 
for 
the
Agency’s 
recommendation 
until 
March 
26, 
2009.
6.     
On 
October 
9, 2008, 
Cabot 
filed 
a Motion 
to 
Amend 
the 
Petition 
to 
add 
information 
that
Cabot 
had 
previously 
submitted 
to 
the 
U.S. 
EPA 
in 
response 
to 
a 
Notice 
of 
Deficiency 
with
respect 
to 
the 
petition 
pending 
before 
the 
U.S. 
EPA. 
On 
November 
5, 
2008, 
the 
Board 
granted
the 
Motion 
to Amend 
and 
accepted 
the 
amended 
petition. The 
Board 
also 
reiterated 
that 
it would
take 
no 
action 
on 
the Petition 
until 
after 
the U.S. 
EPA 
acts 
and 
the 
stay is 
lifted.
7.     
To date, 
the 
U.S. 
EPA 
has 
taken 
no 
final 
action 
on 
Cabot’s 
no migration 
demonstration 
or
petition. 
U.S. 
EPA 
representatives 
have 
told 
Cabot 
representatives, 
however, 
that they 
expect 
to
take 
final 
action 
on the 
demonstration 
and 
the petition 
within 
the 
next 
six 
months.
8.     
As a 
result, 
Cabot 
requests 
that 
the 
stay 
be extended 
for 
an additional 
six 
months, 
or until
August 
9, 
2009. 
The 
time 
by 
which 
the Respondent’s 
recommendation 
needs 
to be 
submitted
should 
also 
be 
extended 
until 
45 
days 
after 
the 
expiration 
of 
the 
stay, 
or until 
September 
23,
2009.
9.     
The 
attorney 
for 
Cabot, 
Eric 
E. 
Boyd, 
spoke 
to 
the attorney 
for the 
TEPA, 
Kyle 
Nash
Davis, 
about 
this 
Motion. 
Mr. Davis 
indicated 
that 
the IEPA 
has 
no 
objection 
to 
this 
Motion.
Printed 
on 
Recycled 
Paper
2
CHI 
11519501.2
WHEREFORE, 
Cabot 
Corporation 
respectfully 
requests that 
the Board 
stay 
all proceedings 
on
the 
May 
29, 
2007 
Petition 
until 
August 
9, 
2009 
and 
extend 
the 
time 
by 
which 
the 
Agency 
must
file 
its 
recommendation 
until 
September 
23, 
2009.
DATED: 
January 
30, 
2009              
Respectfully 
submitted,
CABOT 
CORPORATION
By:______
One 
of Its 
Attorneys
Eric 
F. 
Boyd 
(6194309)
SEVFART 
SHAW 
LLP
131 
South 
Dearborn 
Street
Chicago, 
Illinois 
60603
Tel. 
(312) 
460-5000
Fax: 
(312) 
460-7000
Printed 
on 
Recycled 
Paper
3
CHI 
11519501.2
CERTIFICATE 
OF 
SERVICE
I, Eric 
E. Boyd, 
hereby 
certify 
that 
on 
January 
30, 2009, 
I caused 
a 
copy of 
Cabot
Corporation’s 
Motion 
to 
Extend 
Stay of Proceedings 
on 
Cabot 
Corporation’s 
Petition 
for
Reissuance 
of 
Adjusted 
Standard 
to 
be 
served 
upon 
the parties 
listed 
below via First 
Class
U.S. 
Mail:
Illinois 
Environmental 
Protection 
Agency
Division 
of Legal 
Counsel
Attention: 
Kyle 
Nash 
Davis, 
Esq.
1021 
North 
Grand 
Avenue East
P.O. 
Box 
19276
Springfield, 
Illinois 
62794-9276
Carol 
Webb
Hearing Officer
Illinois 
Pollution 
Control 
Board
1021 North 
Grand 
Avenue 
East
P.O. 
Box 
19274
Springfield, 
IL 62794-9274
C 
(O
Printed 
on Recycled 
Paper
3
CH1 11519491.2
SERVICE LIST
Illinois Pollution 
Control Board
Attention: 
Clerk
100 W. 
Randolph Street
James R. Thompson Center, 
Suite 
11-500
Chicago, 
Illinois 60601-3218
Illinois Environmental 
Protection 
Agency
Division of Legal Counsel
Attention: Kyle Nash 
Davis, 
Esq.
1021 
North Grand Avenue East
P.O. 
Box 19276
Springfield, Illinois 
62794-9276
Carol Webb
Hearing Officer
Illinois Pollution 
Control Board
1021 North Grand Avenue East
P.O. 
Box 
19274
Springfield, IL 62794-9274
Printed on Recycled Paper
2
CHI 
11519491.2