tdE4
    Illinois
    Manufacturers’
    Association
    www.ima-net.org
    1211
    West
    22nd
    Street
    Suite
    620
    e
    Oak
    Brook,
    Illinois
    60523
    630-368-5300
    Fax:
    630-21
    8-7467
    August
    11,2009
    220
    East
    Adams
    Streets
    Springfield,
    Illinois
    62701
    217-522-1240
    Fax:
    217-522-2367
    Email:
    ima@ima-net.org
    Mr.
    Timothy
    Fox,
    Hearing
    Officer
    Illinois
    Pollution
    Control
    Board
    James
    R.
    Thompson
    Center
    100
    W.
    Randolph
    Suite
    11-500
    Chicago,
    Illinois
    60601
    RE:
    Rulemaking
    R2006-22,
    In
    the
    Matter
    of:
    NOx
    Trading
    Program:
    Amendments
    to
    35
    ilL
    Adm.
    Code
    Part
    217;
    Response
    to
    Motions
    by
    the
    Illinois
    Environmentol
    Regulatory
    Group
    Mr.
    Fox:
    -
    On
    behalf
    of
    the
    Illinois
    Manufacturers’
    Association
    (IMA),
    I
    respectfully
    urge
    the
    Illinois
    Pollution
    Control
    Board
    to
    act
    on
    pending
    motions
    for
    expedited
    action
    as
    it
    relates
    to
    distributing
    NOx
    allowances
    for
    the
    2009
    ozone
    season,
    as
    well
    as
    subsequent
    control
    periods.
    The
    Illinois
    Manufacturers’
    Association
    is
    a
    statewide
    business
    trade
    group
    representing
    nearly
    4,000
    member
    companies
    and
    nearly
    600,000
    employees.
    This
    action
    is
    necessary
    because
    the
    Illinois
    General
    Assembly
    required
    the
    adoption
    of
    implementation
    of
    a
    Nitrogen
    Oxide
    (NOx)
    State
    Implementation
    Plan
    pursuant
    to
    Section
    9.9
    of
    the
    Act,
    415
    ILCS
    5/9.9
    and
    Trading
    Program
    for
    Specified
    NOx
    Generating
    Units
    (35
    Ill.
    Admin.
    Code
    Part
    217,
    Subpart
    U.
    This
    is
    still
    a
    valid
    regulation
    in
    Illinois
    despite
    the
    fact
    that
    the
    USEPA
    stated
    it
    will
    no
    longer
    issue
    NOX
    SIP
    call
    allowances
    after
    the
    2008
    ozone
    season.
    At
    this
    point,
    the
    Illinois
    EPA
    has
    failed
    to
    take
    any
    action
    to
    establish
    a
    new
    regulatory
    mechanism
    for
    issuing
    these
    allowances
    for
    sources
    subject
    to
    Subpart
    U
    for
    the
    2009
    ozone
    season.
    The
    IMA
    supports
    action
    on
    these
    pending
    motions
    for
    the
    following
    reasons:
    1.
    Many
    of
    our
    member
    companies
    own
    or
    operate
    budget
    units
    and
    are
    therefore
    subject
    to
    Subpart
    U.
    2.
    The
    Illinois
    EPA
    has
    yet
    to
    issue
    any
    NOx
    allocation
    for
    the
    2009
    ozone
    season
    or
    subsequent
    years
    despite
    the
    fact
    that
    it
    is
    a
    valid
    and
    enforceable
    lllinois
    regulation.
    3.
    Failure
    by
    the
    IL
    EPA
    to
    issue
    the
    NOx
    allowances
    could
    place
    manufacturing
    companies
    in
    jeopardy
    of
    violating
    the
    regulation
    that
    require
    subject
    sources
    to
    hold
    allowances
    by
    November30
    for
    each
    ton
    of
    NOx
    emitted
    during
    the
    ozone
    season.
    4.
    It
    is
    our
    understanding
    that
    the
    USEPA
    is
    no
    longer
    issuing
    allowances
    for
    the
    NOx
    Budget
    Trading
    Program,
    as
    would
    be
    required
    to
    satisfy
    the
    above
    described
    requirement.
    Celebrating
    115
    yeats
    of
    service
    to
    Illinois
    rnanufacture,s
    1893
    -2008
    Electronic Filing - Received, Clerk's Office, August 7, 2009

    5.
    The
    IMA understands
    that NOx
    allowances
    could
    potentially
    be obtained
    through
    the
    purchase
    of
    Clean
    Air
    Interstate
    Rule
    (“CAIR”) NOx allowances,
    although
    we are
    uncertain
    whether
    those
    allowanceswould
    be
    legallysufficienttosatisfytbe
    Subpart
    U requirementto
    hold
    NOxSIPCaII
    allowances.
    Nor,
    even
    if
    sufficient,
    could
    our members
    demonstrate
    compliance with the
    requirement,
    due
    to
    their
    inability
    to obtain
    CAIR
    compliance
    accounts
    from the
    USEPA
    Clean
    Air
    Markets
    Division
    (“CAMD”),
    absent
    a
    federally
    approved
    trading
    program
    in
    Illinois.
    6. The
    IMA is
    concerned
    that
    our member
    companies,
    through
    no
    fault
    of
    their
    own,
    may
    be in
    violation
    of
    both
    the
    law
    and
    their
    Clean
    Air Act
    Permit
    Program
    (“CAAPP”)
    permits,
    if
    immediate
    action
    is
    not
    taken
    to
    remedy
    the
    above
    described
    circumstances.
    The
    potential
    for
    violation
    of
    an applicable
    regulation
    and/or
    CAAPP
    permit
    condition
    could
    subject
    them
    to
    federal,
    state,
    or third-party
    enforcement
    actions,
    in addition
    to
    being
    required
    to
    disclose
    the
    potential
    liability
    on
    Securities
    and Exchange
    Commission
    filings.
    In
    light
    of
    the
    above,
    the
    IMA
    requests
    that
    the Board
    grant
    Motion
    for
    Emergency
    Rule
    in
    order
    to
    require
    that
    2009
    NOx
    allowances
    be distributed
    to
    impacted
    sources,
    and
    grant
    the
    Motion
    for
    Expedited
    Action
    on
    the
    Alternative
    Proposal
    in order
    to
    bring
    NOx
    SIP
    Call
    budget
    units
    into
    the
    CAIR
    NOx
    Ozone
    Season
    Trading
    Program
    for
    the
    2010
    control
    period
    and
    beyond.
    Thank
    you
    for your
    consideration.
    Mark
    Denzler
    Vice
    President
    Government
    Affairs
    &
    Membership
    Illinois
    Manufacturers’
    Association
    220
    E.
    Adams
    Springfield
    IL
    62701
    (217)
    522-1240
    Electronic Filing - Received, Clerk's Office, August 12, 2009 PC#6

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