12— 7—04;
4:30pM
;
G3;#
FROM
:
Neighborhood Law Office
PHONE NO.
:
618 271 @835
DEC. @7 2884 @5:18PM P1
CLERK’S
OFFICE
DEC 07 2(J(J~
American Bottom Conservancy
STATE
OF
ILLINOIS
914
North
7th
st., ~
~ ~
~
Hution Con rol Board
(618) 875-9960,
Faz(618) 271-0835
December
6,
2004
illinoIs Pollution Control
Board
600
S. Second Street, Suite
402
Springfield,
1L 62704
via Fax
312-814-3669
Re: R2004-026 Interim
Phosphorus Effluent Standard
—~
Dear Chaninan Novak and
Members of the Board:
American Bottom
Conservancy
(ABC) is anot-for-profit
organization working
to protect the resources,
citizens and communities of the American Bottom
floodplain in Southwestern
Illinois.
ABC is a
member
of
the
Illinois Department of
Natural
Resources Ecosystem
Partnership, Conservation
Congress
and
the
Clean Water
Network. Most of
our
area
waters
are impaired-many covered with
green algal
slime-and
are
urgently
in need ofprotection.
We strongly support the proposal ofIllinois Environmental ProtectionAgency
(IEPA)
for an interim
monthly
average phosphorus effluent
limit
of 1.
rnglL for new
or increased
discharges. Not only
is it good
for
water
quality,
but
it is also consistent with
and required
under cunentlaws
andregulations.
The Clean Water
Act
and illinois law require that
NPJES
permits control
pollutants that
may cause or
contribute to
violations
of
water quality
standards and prohibit
allowing
new pollution thathas not been.
shown
to be
necessary.
Therefore, limits on the
discharge
of phosphorus
are
needed to
prevent
violations
of
Illinois waler quality standards
and comply with
anlidegradation requirements.
In
addition, controls
are needed to prevent
violations
ofthe water
quality standards regarding
offensive, conditions, pH
and
dissolved
oxygen.
The Agency’s proposal is
limited
to new or increased
discharges.
Such discharges
are
already subject to
antidegradation regulations, tinder the anlidegradation regulations. lowering ofwater quality should only
be allowed if it can be demonstrated
through a
consideration of alternatives
and
economic analysis that it
is necessazy to
accommodate miportant
economic or social
tleveloprnent
Not
only
is JEPA’s proposal good for water quality, it is
readily
achiciiable, as demonstrated by the
longstanding and successfiul
phosphorus limit oil
mgIL established
In the 197(Ys
for
any discharges to
streams
that
flow to the Oreat Lakes. We
urge
you to adopt IEPA’s proposed
interim
discharge standard
for phosphorus of I
mg/L.
Thank you for your consideration of
our comments
Sincerely,
Kathy
Andria
President
.