CLERK’S OFFICE
NOV 08 2004
Re: Proposed amendments to dissolved oxygen standard (R04-25)
STATE OF ILLINOIS
Dorothy.G~inn,Clerk
Pollution Controt Boaro
Illinois rollution Control Board
James RThompson Center
100 W~~R4dolphSt.
Suite l1-0Q
Chicago, U~6060l
DearMs. Gunn,
In April 2004, the Illinois Association of Wastewater Agencies (IAWA) submitted a proposal to the Illinois Pollution
Control Board proposing to lower the dissolved oxygen criteria from
5.0
mg/I to
3.5
mg/I during the months of July
through February.. I am writing you to ask that you reject IAWA’s request. The proposed reduction in dissolved
oxygen ctiI~eriawill not improve the cOndition of IllinOis streams such as the Fox River, rather it will have the
opposite effect by further degrading water quality and harming aquatic life. The current Illinois standard for
dissolved oxygen follows U.S. Environmental Protection Agency guidelines and past scientific studies do not
support a lower standard. Therefore, the Illinois Pollution Control Board should reject the proposal to lower
dissolved oçygen standards.
In 2002, theFox River was categorized as impaired by the Illinois Environmental Protection Agency. One of the
reasons for the river’s impairment is low dissolved oxygen. The effects of low dissolved oxygen in rivers such as
Fox are well documented. At extremely low oxygen levels, fish kills result. Low dissolved oxygen levels in the Fox
River will also negatively impact fish species that spawn in late summer, and sportfish such as smallmouth bass are
sensitive to low dissolved oxygen levels. Freshwater mussels and other aquatic macroinvertebrates are also
negatively affected by low dissolved oxygen. The aquatic fauna in the Fox River is already threatened by
deteriorating water quality with several species becoming extirpated from the watershed in recent decades. Lower
dissolved oxygen will only exacerbate the problems the Fox River faces.
Robert Sch~nzelmade the following comments on behalf of the Illinois Chapter of the American Fisheries Society
regarding the proposal: “The Illinois Chapter of the American Fisheries Society does not support relaxing Illinois’
existing dissolved oxygen standards because insufficient evidence is available that such action will not have serious
and irrevocable consequences for the state’s aquatic biota that is, the science does not support the proposed
changes.” Schanzel also states “To lower quality standards now, would not serve the best interests either of Illinois’
citizens or its aquatic resources~”
The condition of the Fox River is impacted by multiple stressors. As these stressors become intensified the
ecosystem deteriorates. The degradation of the Fox River has and will continue to affect the well being of its
residents. In February 2004, over 150,000 residents in Aurora were recommended to boil their. water Areport
prepared by Weston Solutions indicated that the majority of the blame for the boil order could be placed on the
deterioration of water quality in the Fox River. The proposed rule change by IAWA will not improve the condition
of the Fox River, but it has the potential to accelerate its declining condition. Thus, it should be rejected by the
Illinois Pollution Control Board.
Thank you very much for your time and consideration.
Sincerely,
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Dorothy Gunn, Clerk
Illinois Pollution Control Bo~CE~VED
ERK’$ OFF,C~
James R. Thompson Center
NOV
8
2004
100 W. Rardolph Street
STivrEo,.
ILLJNOIc
Suite
11-500
~~llUtIOnControi
Boa,
Chicago, IL 60601
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