)
OCT13
2009
R09-21
STATE
OF
ILLINOIS
(Rulemakin
iPArpI
Board
)
)
)
7
8
Proceedings
held
on September
29, 2009,
at
8:36
a.m.,
at
the
Crawford
County
Courthouse
Annex,
100
Douglas
Street,
9
Robinson,
Illinois,
before
Timothy
J. Fox,
Hearing
Officer.
10
11
12
13
Reported
By:
Karen
Waugh,
CSR,
RPR
CSR
License
No:
084-003688
KEEFE
REPORTING
COMPPNY
11 North
44th
Street
Belleville,
IL
62226
(618)
277—0190
17
18
19
20
21
22
23
24
1
BEFORE
THE ILLINOIS
POLLUTION
CONTROL
BOARD
2
3
IN
THE
MATTER
OF:
4
PNEREN
ASH POND
CLOSURE
RULES
(HUTSONVILLE
POWER
5
STATION):
PROPOSED
35
ILL.
ADM.
CODE
840.101
6
THROUGH
840.144
14
15
16
Keefe
Reporting
Company
1
APPEARPNCES
2
3
Board
Members
present:
4
Board
Member
Andrea
S. Moore
Board
Member
Thomas E.
Johnson
5
6
Board Staff
Members
present:
7
Anand
Rao
8
9
10
ILLINOIS
ENVIRONMENTAL
PROTECTION AGENCY
BY:
Mr. H.
Mark
Wight
11
Assistant
Counsel
Division
of
Legal
Counsel
12
1021 North
Grand
Avenue
East
Springfield,
Illinois
62794-9276
13
On
behalf
of
the Illinois
EPA
14
15
SCHIFF
HARDIN
LLP
BY:
Mr.
Joshua
R. More
16
Attorney
at Law
6600 Sears
Tower
17
Chicago,
Illinois
60606
On behalf
of Ameren
Energy
18
19
20
21
22
23
24
2
Keefe Reporting
Company
1
EXHIBITS
2
NUMBER
PAGE
INTRODUCED
PAGE
ENTERED
3
Hearing
Exhibit
No. 1
17
18
Hearing
Exhibit
No. 2
19
20
4
Hearing
Exhibit No.
3
19
20
Hearing Exhibit
No.
4
19
20
5
Hearing
Exhibit
No.
5
19
20
Hearing Exhibit
No.
6
19
20
6
Hearing
Exhibit
No. 7
20
20
Hearing Exhibit
No.
8
20
20
7
8
9
10
11
12
13
14
15
16
17
18
19
20
21
22
23
24
3
Keefe
Reporting
Company
1
PROCEEDINGS
2
(September
29, 2009;
8:36
a.m.)
3
HEARING
OFFICER
FOX:
Good morning,
4
everyone,
and welcome
to
this
Illinois
Pollution
Control
5
Board
hearing.
I appreciate
your timeliness
in arriving
6
and
being
prepared
so
that
we may
begin
at
the
time
of
7
8:30.
My
name
is
Tim
Fox,
and I’m
the
hearing
officer
8
for
this
rulemaking
proceeding,
which
is entitled
“Aaueren
9
Ash Pond
Closure
Rules,
paren,
Hutsonville Power
Station,
10
closed
paren,
Proposed
35
Illinois
Administrative
Code
11
Sections
840.101
through
840.144.”
12
I
certainly
want
to
introduce
--
present
today
13
also from
the Board
at my
immediate
right
is
Board
Member
14
Andrea
S.
Moore,
who is
the lead
board
member
in this
15
rulemaking. At
my
far left
is
Board
Member
Thomas
E.
16
Johnson,
and also
present
at
my
immediate
left is
Anand
17
Rao
of the
Board’s
technical
staff.
18
The
board
docket
number
for
this rulemaking
is
19
R09-21.
To
review
very briefly
the
procedural
history,
20
Ameren
Energy
Generating
Company
filed
the
original
21
rulemaking
proposal
on
May 9
of 2009,
and
in
an order
22
dated
June
18,
2009,
the
Board
accepted
the
proposal
for
23
hearing,
granted
Ameren’s
request
for
a waiver
of
24
specified
filing
requirements
but
denied
Ameren’s
motion
4
Keefe
Reporting
Company
1
for expedited
review.
In
a
hearing
officer
order
dated
2
June
30
of 2009,
this
hearing
was
scheduled,
and
it is
3
the
one now
scheduled
to take
place
in this
docket.
4
For
the
hearing
today,
the Board
on
August
18,
5
2009,
received
prefiled
testimony
on
behalf
of
meren
by
6
Mr.
Michael
Bollinger,
who
is present
here today.
Also
7
on August
18,
the same
date,
the
Board
received
from
the
8
Illinois
Environmental
Protection
Agency
prefiled
9
amendments
to Ameren’s
original
language
and prefiled
10
testimony
in
support
of
those amendments
from
the
11
following
persons:
Mr. William
Buscher,
Mr.
Lynn
12
Dunaway,
Mr. Richard
Cobb,
Mr.
Christian
Liebman
and
13
Mr.
Stephen
Nightingale,
all of
whom
are present
here
14
with
Mr.
Wight
as
the Agency’s
counsel.
15
On September
1, then,
of
2009,
the
Board
received
16
prefiled
questions
directed
in
part
to Ameren
and
in
part
17
to the
Agency
by
Ms.
Traci
Barkley
on
behalf
of
Prairie
18
Rivers
Network,
and
Ms. Barkley
is
present
here
as well
19
this morning.
On June
—— excuse
me.
On
September
22
of
20
2009, then,
the
Board
received
a
joint
statement
by
both
21
Ameren
and
the Agency
in
support
of
proposed
revisions
22
they
had agreed
upon
which
were
based
on the
Agency’s
23
language
filed
on August
18. On
the same
date,
both
24
Ameren
and the
Agency
filed
written
responses
to
the
5
Keefe
Reporting
Company
C
1
questions
that had
been prefiled
by
Ms. Barkley
on
behalf
2
of Prairie
Rivers
Network.
Other
than
as I have just
3
mentioned,
no other
participant
has prefiled
testimony,
4
questions
based
upon it or answers
to them,
and
those
5
will form
the heart
of our procedure
here this
morning.
6
The proceeding
is
governed
by
the
Board’s
7
procedural
rules,
and under
Section
102.426
of
those
8
rules,
all
information
that
is
relevant
and that is
not
9
repetitious
or
privileged will
be
admitted
into the
10
record. Please
note
that any questions
that
are posed
11
today either
by the
board
members
or
by the Board’s
staff
12
are
intended
only
to assist
the Board in
developing
a
13
clear
and
complete
record and
are
—— for
the Board’s
14
decision and
do
not
reflect
any
sort
of prejudgment
or
15
predetermination
of
the
proposal.
16
In
speaking
off
the
record before
our hearing
17
began
with
the participants
on
procedural issues
relating
18
to
the order
of hearing,
we will begin
with the
prefiled
19
joint
proposal
that I referred
to
from both
Ameren
and
20
the Agency.
If
either Ameren
or
the
Agency has
a brief
21
summary or
introduction
that they
would like
to offer
in
22
support of that
joint
proposal,
we
may
certainly
do
that
23
at
the top of
the hearing.
I should
note
also
that
under
24
the
Board’s
procedural
rules,
that
proposal
and
all of
6
Keefe Reporting
Company
1
the
other
prefiled
testimony,
questions
and answers
will
2
be admitted
as
if
read.
3
Once
we’ve
received
any summary
that
either
4
meren
or
the
Agency
wishes
to
offer,
we
can proceed
to
5
Ms.
Barkley,
who
has
indicated
that
she
may
have
some
6
follow—up
questions
based
on
the
prefiled
answers
that
7
she
has
received
from
either
aueren
or
the
Agency.
Then
8
we
will
turn
to
questions
that
--
regarding
the
joint
9
proposal
from
any
participant
who
did
not
prefile
them.
10
I
should
note
at
this
point
that
right
inside
the
door
11
there
is
a
sheet
and
a
pen
so
that
anyone
who
does
wish
12
to
offer
testimony
this
morning
and
who
has
not
prefiled
13
it
may
indicate
that
they
would
like
to
do so.
Once
we
14
have
finished
with
any
follow-up
questions
based
on
the
15
joint
proposal,
we
can
turn
to
any
witness
who
did
not
16
prefile
but
would
like
to
testify
today,
and
then
the
17
Board
does
have
some
questions
on
the
proposal,
the
joint
18
proposal,
after
which,
as
time
allows,
we
can receive
any
19
public
comments
that
anyone
would
wish
to
offer.
20
Although
many
of you
have
participated
in
a
21
number
of these
proceedings,
I know
it
will
help
our
22
court
reporter
if
you
speak
as
loudly
and
as
clearly
as
23
possible.
I
don’t
think
our acoustics
are
bad
here
today
24
or
that
we’ll
have
much
difficulty
hearing
one
another,
7
Keefe
Reporting
Company
1
but
if
you
would
avoid
speaking
at
the
same
time
as
any
2
other
person,
I’m
sure
that
her
task
will
be
much
easier.
3
Any
questions
procedurally
before
we
get
4
underway?
Very
good.
As
I
indicated,
Mr. Wight
on
5
behalf
of
the
Agency
and
Mr.
More
on
behalf
of
Ameren,
if
6
you
wish
to
offer
a
brief
summary
or
statement,
it
7
certainly
is
in
order
to do
so,
and
we
could
defer
to
the
8
two
of
you
on any
order
you
might
like
to
follow.
9
MR.
MORE:
Thank
you,
Hearing
Officer
Fox,
10
Board
Member
Moore,
Board
Member
Johnson
and
Mr.
Rao.
My
11
name
is
Josh
More.
I’m
here
on
behalf
of
meren
Energy
12
Generating
Company.
Also
on
behalf
of
Ameren
is
Michael
13
Bollinger,
principal
environmental
scientist
in
the
14
environmental
services
department
of
Ameren
Services
15
company.
We
appreciate
the opportunity
to
be
here
and
16
appreciate
the
time
the Board
has
taken
to
hold
this
17
hearing
in
Crawford
County.
We
also
thank
the
Agency
for
18
being
here
and
for
working
with
meren
so
closely
on
this
19
proposal
to
resolve
outstanding
issues
and
arrive
at
20
language
agreeable
to
both
parties.
21
Aineren’s
initial
proposal
grew
out
of
the
need
to
22
have
some
regulatory
certainty
regarding
the
in-place
23
closure
of
ash
pond
D
at
the
Hutsonville
Power
Station.
24
While
in
operation,
ash
pond
D
was
permitted
by
the
8
Keefe
Reporting
Company
1
Bureau
of
Water
as
a
pollution
control
facility.
The
2
operating
permit
and
the current
landfill
regulations,
3
however,
do not
address
closure
of
the
ash
pond.
4
Therefore,
meren
at
the
direction
of the
Board
filed
a
5
site—specific
rule
to
govern
the closure
of
ash pond
D.
6
The current
rule
before
the
Board
is
a joint
7
proposal
drafted
by meren
and
the Agency.
On
May
19,
8
2009,
Ameren
filed
a proposal
for
site-specific
rule.
On
9
August
18,
2009,
the
Agency
filed
proposed
revisions
to
10
Ameren’s
proposal,
along
with
prefiled
testimony
of
11
several
agency
staff from
the Bureaus
of Water
and
Land
12
in support
of
the Agency’s
proposed
revisions. The
13
Agency’s
revisions
endorsed
the closure
approach
proposed
14
by Ameren
but
revised
the
rule
to conform
to
the Agency’s
15
procedural
and
reporting
requirements
and
preferred
16
mechanism
for
defining
applicable
groundwater
quality
17
standards
both
on and
off-site.
18
Following
the filing
of
the Agency’s
proposed
19
amendments,
Ameren
reached
out to
the Agency
and
20
initiated
contact
and
a
series
of
discussions
were
held
21
to
determine
if
the
outstanding
differences
could
be
22
reduced.
As
a
result,
the
parties
have
reached
a
23
resolution
on a
conceptual
framework
for
closing
ash
pond
24
D and
have
filed proposed
regulatory
language
reflecting
9
Keefe
Reporting
Company
(
1
that joint
agreement.
While
the
proposal
has
changed
2
since
the
initial
filing,
the
concepts
and the
general
3
approach
have
not.
Therefore,
the
TSD
filed
by Ameren
4
supports
the joint
proposal.
5
The
proposal
creates
a
new
Subpart
j
specific
to
6
surface
impoundments
not
only
at
the suggestion
of
the
7
Board,
but
also
because
the
landfill
regulations
in
8
Subpart
i
specifically
exclude
surface
impoundments.
9
Unlike
coal
conibustion
waste
landfills,
ash ponds
were
10
designed,
constructed
and
operated
as water
pollution
11
control
facilities,
not
as
landfills.
12
The
record
demonstrates
that the
proposed
rule
13
language
as amended
by the
parties
is protective
of
human
14
health
and
the
environment.
The
proposed
rule
sets
fixed
15
deadlines
by
which
Aineren
must
proceed
through
closure
16
activities
and
strict
design
and
construction
standards
17
for implementation
of the
final
closure
and groundwater
18
management
systems.
The
rule
sets
comprehensive
19
requirements
for groundwater
monitoring
and
data
analysis
20
throughout
the
post—closure
care
period.
Moreover,
all
21
plans
and
reports
are
subject
to
IEPA review
and
22
approval.
Overall,
the
selected
closure
system
is
the
23
most
protective
combination
of closure
alternatives
24
investigated
that
is
economically
reasonable
and
Keefe
Reporting
Company
(
1
technically
feasible
for
Ameren
to
implement
in closing
2
ashpondD.
3
With
that,
Mr.
Bollinger
is
here today
to
answer
4
any
questions
the
Board
may
have
or
the public
may
have,
5
and
at
the appropriate
time,
we
ask that
you
swear
him
6
in.
7
HEARING
OFFICER
FOX:
Very
good.
Thank
you,
8
Mr.
More.
Mr.
Wight,
did you
have
any
summary
or
9
introduction
to offer?
10
MR. WIGHT:
Yes, just
briefly.
11
HEARING
OFFICER
FOX:
Please
go
ahead.
12
MR.
WIGHT:
Okay.
Good
morning.
My
name
is
13
Mark
Wight.
The
last name
is
spelled
W-I-G-H-T.
I’m
an
14
assistant
counsel
with
the
Illinois
EPA.
I’ve
been
with
15
the EPA
for a little
over
17
years,
mostly
with
the
16
Bureau
of
Land.
Also here
today
on
behalf
of the
Agency
17
are
five
witnesses.
All
the witnesses
have
prefiled
18
written
testimony
and
will
be involved
in some
way in
the
19
implementation
of
Subpart
A
of Part
840.
The Agency
20
witnesses
are, on
my immediate
left,
Rick Cobb,
who is
21
deputy
manager
of
the division
of
public
water
supplies
22
in the
Bureau
of
Water;
on
my far
right,
Steve
23
Nightingale.
Steve
is the
manager
of
the
permit
section
24
in the
Bureau
of Land.
Next
to
Steve is
Chris
Liebman.
11
Keefe Reporting
Company
(
1
Chris
is
the
manager
of the
permit
section/solid
waste
2
unit
in
the Bureau
of Land.
On my
immediate
right
is
3
Bill
Buscher.
Bill
is
the
manager
of the
hydrogeology
4
and compliance
unit
in the
groundwater
section
of
the
5
division
of public
water
supplies
in
the Bureau
of
Water.
6
And to
Bill’
s right
is
Lynn
Dunaway.
Lynn is
an
7
environmental
protection
specialist
in
the
hydrogeology
8
and
compliance
unit
of the
groundwater
section
of
the
9
division
of public
water supplies.
10
Just
a housekeeping
measure
here.
I’d like
to
11
point
out
to any participants
that
we
have brought
hard
12
copies
of documents
filed
by
the Agency.
Those
are
13
placed
on
a table
in
the back.
They
include
the
Agency’s
14
proposed
amendments
to
Arneren’s
original
proposal,
the
15
prefiled
testimony
of
each
of the
Agency’s
witnesses,
the
16
Agency’s
responses
to
the
prefiled
questions
of
Prairie
17
Rivers Network,
the joint
statement
in
support
of
18
proposed
revisions
filed
by
Arneren
and
the
Agency
on
19
September
22
and
the
proposed
revisions
to
the
Agency’s
20
proposed
amendments
filed
jointly
by Arneren
and
the
21
Agency.
Copies
of
all
those
are
available
at the
back.
22
It looks
like
we’ll
have
plenty,
but
if
we
should
run
out
23
for
any
reason,
feel free
to contact
me
and
I
can
provide
24
copies,
or
you can
download
them
at
the Board’s
web
site.
12
Keefe
Reporting
Company
1
The
proposed
revisions
filed
jointly
by
meren
2
and
the Agency
were
described
in
the
joint
statement
3
accompanying
the
filing
and
to some
extent
in
?meren’s
4
opening
remarks.
The Agency
briefly
notes
that
while
5
there
are
some
substantive
changes
from
the
Agency’s
6
proposed
amendments
to
Ameren’s
original
proposal,
the
7
majority
of
the
changes
were
for
clarification
and/or
8
consolidation
of
the Agency’s
proposed
amendments
filed
9
on August
18.
Substantive
changes
from
the
Agency’
s
10
proposed
amendments
include
the
following:
11
Section
840.116
(a) (3),
where
the
on-site
institutional
12
control
provision
was revised
to
provide
flexibility
for
13
the use
of
instruments
that
may
be
developed
in
the
14
future,
and
there
is
also
an acknowledgment
that
Aineren
15
may
continue
to
use
on—site
wells
for
potable
water
as
16
long
as
the
wells
remain
fit
for
human
consumption
in
17
accordance
with
accepted
water
supply
principles.
This
18
language
parallels
the
definition
of
potable
in
the
19
Environmental
Protection
Act
at
Section
3.340.
20
There’s
also
a
substantive
change
in
21
Section
840.118
(a) (2)
(A)
(ii),
which
now
provides
that
22
compliance with
the
off-site
groundwater
quality
standard
23
for
the
lower
zone
of
the
underlying
aquifer
requires
in
24
part
a
demonstration
of
no
increasing
trend
rather
than
a
13
Keefe
Reporting
Company
C
1
demonstration
of decreasing
trend.
A
small
change
in
2
Section
840.120,
which
now
provides
that
meren
will
3
conduct
an additional
four
quarters
of
confirmatory
4
sampling
and
analysis
once it
achieves
compliance
with
5
the off-site
groundwater
quality
standards
and
6
discontinues
operation
of the
groundwater
collection
7
trench.
8
Section
840.124(d)
(3) has
a change
in
which
the
9
maximum
final
slope
constructed
with coal
ash is
revised
10
from
3
percent
to
5
percent;
and
finally,
11
Section
840.152,
the RCRA
provision,
which
is revised
12
from
a
provision
that
works
by operation
of
the
law
to
a
13
conflict
of laws
provision
in
providing
guidance
to
the
14
Board
or
courts
in certain
contested
cases.
In addition,
15
this
RCRA
provision
also
provides
a basis
for
the Agency
16
to argue
in an
application
to the
federal
government
for
17
delegation
or
approval
that
nothing
in Subpart
A
directly
18
conflicts
with
applicable
federal
rules.
19
Notwithstanding
these changes,
the
bulk
of
the
20
Agency’s
prefiled
testimony
remains
accurate,
although
in
21
some instances
specific
citations
may have
changed
22
because
of
reorganization
of the
proposal.
Where
the
23
substance
of
the
proposal
has
changed
from the
Agency’s
24
proposed
amendments
of August
18,
the
joint
statement
and
14
Keefe
Reporting
Company
1
the
agreed
revisions
are
intended
to
be
the guides
to
2
these
changes.
With
these
provisions,
any
3
inconsistencies
with
the
Agency’s
prefiled
testimony
are
4
superseded
by
the agreed
proposal
itself
and the
5
descriptions
of
the
changes
contained
in the
joint
6
statement.
7
Last
but
not
least,
.meren
and
the Agency
were
8
able
to
reach
agreement
on
the
proposal
following
a
9
series
of
discussions
initiated
by
meren
after
the
10
Agency
filed
its
proposed
amendments
on
August
18.
As
a
11
starting
place
for
discussions,
Ameren
accepted
key
12
elements
of
the
Agency’s
proposed
amendments,
including
13
direct
administrative
oversight
and
on-site
or
14
off-site
--
on-site
and
off-site
groundwater
quality
15
standards
based
or
referencing
the
Board’s
groundwater
16
quality
standard
rules
at
35
Illinois
Administrative
Code
17
620.
From
there,
several
related
details
were
negotiated
18
to
the
resolution
found
in
the
agreed
proposal
for
——
19
filed
jointly.
The
Agency
acknowledges
and appreciates
20
the
spirit
of
cooperation
in
which
meren
approached
the
21
task,
and
in
particular
we’d
like
to thank
Susan
Knowles
22
and
Mike
Bollinger
of
Ameren
and outside
counsel
Josh
23
More.
With
that,
we’re
ready
to proceed
as
well.
24
HEARING
OFFICER
FOX:
Thank
you
very
much,
15
Keefe
Reporting
Company
C
1
Mr. Wight.
Why
don’t
we
-- You
used
the
term
2
housekeeping,
which
seems
apt.
Why don’t
we
have
our
3
court
reporter
swear
in as
a panel
Mr.
Bollinger
on
4
behalf
of
iueren
and
Mr. Cobb,
Mr.
Buscher,
Mr.
Dunaway,
5
Mr.
Liebman
and
Mr.
Nightingale
so that
when we
are
6
absolutely
ready
to
do so,
we
can
proceed
to
the
7
follow—up
questions
or
any
other
questions.
Is the
court
8
reporter
ready
to
do that?
Very
good.
Please
go ahead.
9
(Witnesses
sworn.)
10
HEARING
OFFICER
FOX:
Thank
you
very
much.
11
Mr.
Wight,
you
had
referred
to
a number
of
documents
that
12
you had
brought
copies
of.
In
the interest
of
a
complete
13
hearing
record,
are
those documents
copies
of which
you
14
would
wish
to move
into
the record
as hearing
exhibits?
15
MR. WIGHT:
Yes, we
certainly
could.
I
16
noticed
that
the joint
statement
and proposal
were
17
entered
into the
record
as
public
comments,
and
it
18
probably
would be
a
good
idea
to go
ahead
and admit
them
19
as
exhibits,
and we’re
also
prepared
to introduce
our
20
testimony
as exhibits
with
foundation
if that’s
required
21
by the
rules.
22
HEARING
OFFICER
FOX:
Why don’t
we
do
this.
23
We
could
entertain
a motion
to
admit
those
as hearing
24
exhibits,
and certainly
the foundation
is included,
the
16
Keefe
Reporting
Company
(
1
CVs,
resumes and
other
data
that
ought to provide
that,
2
and
certainly those
have been
filed
with
the Board and
3
posted
to its web
site and is
capable of public
review
4
for
some time now.
If
you
have copies
that
you can
5
submit
and have me
mark, we can
certainly
entertain
a
6
motion, and,
Mr.
More,
I don’t mean
to
look
over
your
7
shoulder,
so to speak,
but it appears
you have some
8
companion
documents that
you might
wish
to make the
9
subject
of
a
motion as well
for a complete
record.
10
MR. MORE:
Yes, and
I
would
just
note in
11
your opening
you
commented
that
all
the
testimony
was
12
going to be admitted
as
if
read.
13
HEARING
OFFICER FOX:
As if read,
and
that’s
14
by
operation
of the
Board’s
procedural
rules,
and
this
is
15
intended, as
I said, simpiy
to
provide
a
complete
record
16
for
the hearing
in the form of
exhibits.
17
MR. MORE:
That’s fine.
18
HEARING
OFFICER FOX:
If
you have documents,
19
I’d
certainly
entertain
a motion, Mr. More,
and mark
20
those
with appropriate
numbers.
21
MR. MORE:
I move
to have admitted
as
22
Exhibit
1
prefiled
testimony of Michael
Bollinger.
23
HEARING
OFFICER FOX:
And
did you have
any
24
additional
documents that
you wish
to make
subject
to the
17
Keefe
Reporting
Company
1
motion?
2
MR.
MORE:
I
don’t.
3
HEARING
OFFICER
FOX:
Very
good.
Thank
you
4
for
providing
a copy.
The
motion
before
the
Board
by
5
Mr. More
on behalf
of
Ameren
is to
admit
as
Hearing
6
Exhibit
No. 1
the prefiled
testimony
of Michael
7
Bollinger,
which
was filed
with
the Board
on
August
18.
8
Is
there
any
objection
to
the motion
to admit
it as
9
Exhibit
No.
1? Neither
seeing
nor
hearing
any,
the
10
motion
is
granted,
Mr.
More,
and this
will
be
admitted
as
11
Hearing
Exhibit
No.
1.
And,
Mr.
Wight,
without
meaning
12
to
rush
you,
we would
be
ready
for
any
motion
you
might
13
wish
to
bring
before
the Board.
14
MR.
WIGHT:
I am
ready.
15
HEARING
OFFICER
FOX:
Very
good.
16
MR. WIGHT:
Must
we
do these
individually
or
17
may
we
do
them
jointly,
the
testimony?
18
HEARING
OFFICER
FOX:
Individually
would
be
19
the
clearest,
although
slower,
so
we would
have
unique
20
nuitibers,
of
course,
for each
of the
separate
documents.
21
MR.
WIGHT:
Okay.
First
of
all,
I’d
move
22
that the
testimony
of
Richard
P.
Cobb be
admitted
to
the
23
record
as
if read
and marked
as
an exhibit.
24
HEARING
OFFICER
FOX:
And
that
would
be
18
Keefe
Reporting
Company
(
1
Exhibit
No.
2?
2
MR.
WIGHT:
Yes.
3
HEARING
OFFICER
FOX:
Very
good.
4
MR. WIGHT:
I’d
also
move
that the
testimony
5
of
Stephen
F.
Nightingale
be
marked
as
Exhibit
3 and
6
admitted
to the
record
as
if
read.
7
HEARING
OFFICER
FOX:
Very
good.
Mr.
Wight,
8
thank you
very
much.
9
MR.
WIGHT:
I
move
that
the
testimony
of
10
Christian
J.
Liebman
be
marked
as
Exhibit
4
and
admitted
11
to
the
record as
if read.
12
HEARING
OFFICER
FOX:
Thank
you,
Mr.
Wight.
13
MR.
WIGHT:
I move
that
the
testimony
of
14
William
E.
Buscher
be marked
as Exhibit
5
and admitted
to
15
the
record
as if
read.
16
HEARING
OFFICER
FOX:
Very
good.
17
MR. WIGHT:
And
I’d
also
move
that
the
18
testimony
of Lynn
E.
Dunaway
be marked
as
Exhibit
6 and
19
entered
into
the
record
as
if
read.
20
HEARING
OFFICER
FOX:
Very
good.
21
MR.
WIGHT:
I
also
have
copies
of
the
joint
22
statement.
I’ll
give
Mr.
More
an
opportunity
to
observe
23
it. Okay.
I’d
like
to move
that the
joint
statement
in
24
support
of proposed
revisions
filed
by Ameren
and
the
19
Keefe
Reporting
Company
(
1
Agency
be
marked
as Exhibit
7 --
2
HEARING
OFFICER
FOX:
Very
good.
Thank
you.
3
MR.
WIGHT:
-- and
moved
into
the
record.
4
And
finally,
I’d also
move
that the
joint
proposal
of
5
Ameren
and the
Agency
also
filed
on September
22
be
6
marked
as
Exhibit
8
and moved
into
the record.
7
HEARING
OFFICER
FOX:
Mr.
Wight,
thank
you
8
very much.
9
MR. WIGHT:
Sure.
10
HEARING
OFFICER
FOX:
The
motion of
course
11
as
made
by
Mr.
Wight is
to
introduce
as
Exhibit
No. 2
12
Mr.
Cobb’s
prefiled
testimony;
as Exhibit
No. 3
13
Mr.
Nightingale’s
prefiled
testimony;
as
Exhibit
No.
4
14
Mr. Liebinan’s
prefiled
testimony;
as Exhibit
5
15
Mr.
Buscher’s
prefiled
testimony;
as
Exhibit
6
16
Mr.
Dunaway’s
prefiled
testimony;
as
No. 7
the
joint
17
statement
by
Arneren
and the
Agency
in support
of
their
18
joint
proposal;
and
as No. 8
the joint
proposal
itself.
19
Is
there
any
objection
to the
motion
to
admit
those
seven
20
documents
as
described
and
numbered?
Neither
seeing
nor
21
hearing
any,
the motion
is
granted.
Mr.
Wight,
again,
I
22
thank
you
for your
help
in
preparing
and
submitting
23
those
--
24
MR.
WIGHT:
Sure.
20
Keefe
Reporting
Company
(
1
HEARING
OFFICER
FOX:
--
and they
will
be
2
marked
and admitted
according
to the
numbers
that
I have
3
just
recited.
We
now have
our witnesses
sworn
in and
our
4
housekeeping
settled,
with
which
I appreciate
your
5
patience.
Mr.
Wight
and
Mr. More,
would
we
be
ready
to
6
proceed
with any
follow-up
questions
that
Ms.
Barkley
may
7
have?
8
MR.
WIGHT:
We’re
ready.
9
HEARING
OFFICER
FOX:
Very
good.
10
MR. MOPE:
We
are
as
well.
11
HEARING
OFFICER
FOX:
Ms. Barkley,
I
might
12
suggest
this
in
the interest
of
the
most effective
13
questions.
If
there
-- If
you would
not object
to
having
14
a chair
perhaps
to my
right
here,
I think
you would
be
15
able
to face
people
and
be
most
audible
to
the folks
that
16
you
may
wish
to pose
questions
to and
most audible
to the
17
court
reporter
as well,
so
I’m sorry
to
disrupt
you,
but
18
that
might
work
out
well in
the long
run.
19
MR. MOPE:
Right
here?
20
HEARING
OFFICER
FOX:
Or
even
further
back.
21
I appreciate
your help,
Mr.
More.
Ms.
Barkley,
you
had
22
filed --
and I
need
to flip
through
the
end to
see
23
precisely
the number
-- 15 questions,
each
of which
was
24
directed
either
generally
to
Ameren
or the
Agency
or
21
Keefe
Reporting
Company
1
specifically
to I
believe
Mr.
Bollinger on
behalf
of
2
Ameren
or Mr.
Nightingale
on
behalf
of
the Agency. Does
3
it
make the
most sense
simply
to begin with
question
4
number 1
and see if
you have any
follow-ups
for the
5
person ——
6
MS.
BARKLEY:
Sure.
7
HEARING
OFFICER
FOX:
-- to whom you
posed
8
those
questions?
Very
good. Question
number 1 was
9
directed
to Ameren
on the
basis of its
statement of
10
reasons, and
if
you
have any
follow—up or
clarification,
11
Ms.
Barkley,
please
go
ahead.
12
MS.
BARKLEY:
Actually, I
don’t. This
is --
13
I
think their
responses
given
is complete
and
acceptable,
14
so——
15
HEARING
OFFICER
FOX: Very
good.
Let’s
16
proceed
to number
2, which
was likewise
posed to Ameren
17
on
the basis
of its
statement
of reasons.
18
MS. BARKLEY:
And
the
information
I asked
19
for
in this
question
is provided
as
part
of the
technical
20
support
document.
21
HEARING
OFFICER
FOX:
And
it
sounds as
if
22
that’s a satisfactory
--
23
MS.
BARKLEY:
That’s
acceptable,
yes.
24
HEARING
OFFICER FOX: Very
good.
If that’s
22
Keefe Reporting
Company
(
1
satisfactory,
let’s proceed
to
number 3, which
pertains
2
to the City
of
Hutsonville’s
public
water supply
wells,
3
Ms.
Barkley.
4
MS. BARKLEY:
Okay.
So
question 3,
I
guess
5
I
had one clarifying
question about
the temporary
wells
6
that
were installed
in Indiana.
I wondered
how
deep
7
those
wells were.
8
MR.
BOLLINGER:
I
do
not have that
off
the
9
top of my
head,
but
I can certainly
get that information.
10
MS. BARKLEY:
Okay.
11
MR.
BOLLINGER:
I believe
the boring logs
12
for those
wells are
in the
technical
support
document.
13
think we can
find
them
or we
can
just
follow
up.
14
MR.
MORE:
We’ll follow up
with
a
written
15
comment.
16
HEARING
OFFICER
FOX:
Very good.
If,
17
Mr.
More,
you could supply
either
a
citation
to
the
-- by
18
page
number in
the technical
support
document
or submit
19
them, that
would
be very helpful.
20
MR. MORE:
We will
do
so.
21
MS. BARKLEY:
And I also
-- the response
22
that
was given
to question
3
really doesn’t
answer
the
23
question.
I understand
that
class
I
groundwater
quality
24
standards
are being
met,
but the question
was whether
23
Keefe
Reporting
Company
1
there
is
any impact,
because
I’m looking
for
trend
2
data
--
we talked
about
that
on the
phone
-- and
I’m
3
not ——
I
guess
I’d be
looking
for,
you
know,
over
time
4
how the
quality
of the
groundwater
has
changed
during
the
5
time
period
that
ash
pond D
has
been
in
operation,
not
6
just
from
the temporary
wells,
because
that
to me shows
a
7
snapshot
of
where we’re
at
right
now,
but
it
doesn’t
show
8
what the
impact
of
ash pond
D has
been
in adjacent
9
groundwater.
10
MR.
MORE:
Can
I
-- Let
me ask
a question.
11
Are
you
looking
for
trending
analysis
on
Hutsonville
12
drinking
water
supply
well
data?
13
MS.
BARKLEY:
I
think
most --
the wells
have
14
been
installed
to
determine,
you
know,
anything
15
downgradient
towards
the river
or
across
the
river,
16
downgradient
towards
the City
of Hutsonville’s
drinking
17
water
supply.
I
understand
the
snapshot
right
now
of
18
kind
of
where
they’re
at,
but
that
doesn’t
really
paint
19
the picture
of
the impact
that
ash
pond
D has had
on
20
groundwater
over
time.
21
MR.
BOLLINGER:
We
can
certainly
calculate
22
that.
We
have done
and looked
at trends
in
specific
23
wells
for specific
purposes,
and
of course
the
proposed
24
rule
would
have
us
do the
annual
trend
analysis
on
all
24
Keefe
Reporting
Company
1
the
monitoring
wells
included
in
the
monitoring
package
2
that
will
be
su.bmitted
as
part
of
the
closure
plan.
We
3
could
do
something
in
advance
if
that’s
helpful,
but
that
4
trend
analysis
is
embodied
in
the
monitoring
plan
and
the
5
compliance
plan
that
will
be
incorporated
in
the
closure
6
plan.
I
can
certainly
add
that
we
have
no
indications
7
whatsoever
that
the
deep
wells
have
been
impacted
and
are
8
trending
upward.
We
are
——
We
have
reviewed
that
9
earlier,
that
there’s
not
an
upward
trend
in
these
wells.
10
MS.
BARKLEY:
Okay.
Over
what
time
period?
11
NR.
BOLLINGER:
I
would
have
to
go
back
to
12
the
analysis
we’ve
conducted
and
look
at
the
precise
13
monitoring
dates.
I
can’t
say
off
the
top
of
my
head.
14
MS.
BARKLEY:
Okay.
Yeah,
I
--
and
this
is
15
something
that
I
think
we’ll
ask
for
in
our
final
16
comments,
but
I
think
that’s
something
that
in
terms
of
17
looking
at
degradation
that
may
have
occurred
because
of
18
the
operation
of
ash
pond
D,
I
think
it’s
important
to
19
show
what
data
is
availaiDle
closer
to
the
beginning
of
20
the
operation
of
ash
pond
D
at
some
sort
of
regular
21
interval
to
now,
because
many
of
the
constituents
are
22
naturally
based
and
some
of
them
could
be
arising
from
23
the
local
geology,
but
I
think
it’s
important
to
24
characterize
fully
what’s
happened
over
the
time
of
the
25
Keefe
Reporting
Company
C
1
operation
of
ash pond
D.
2
NR.
BOLLINGER:
I would
just
note for
the
3
record,
though,
that
the groundwater
monitoring
did
not
4
begin
until
some
number
of
years
well
after
operation
of
5
pond
D, so
we do
not have
groundwater
information
that
6
predates
or
even during
the
first
many
years
of
7
operation.
Pond D
went
into
service
in
the
I
believe
mid
8
1960s,
‘68 or
—— to
my
recollection,
and
monitoring
——
9
groundwater
monitoring
was
not
initiated
on
the
site
10
until
1984,
so there’s
a
number
of
years
where
we
would
11
not
have data
with
which
to
trend
from
pre-operational
12
conditions
or
early
operation.
13
MS.
BARKLEY:
Okay.
Let’s
move
on to
14
question
4.
15
HEARING
OFFICER
FOX:
Please
go
ahead,
16
Ms.
Barkley,
if
you’re
ready.
17
MS. BARKLEY:
Let’s
see.
My concern
with
18
the response
to
question
4
was
eight lines
down,
the
19
discussion
about
coal
combustion
material
being
used for
20
helping
to build
up the
final
slope
and grade
of
the
21
impoundments,
and
the ——
one of
the
statements
in
the
22
response
was
if such
material
is
used,
it
would
be
placed
23
well
above the
water
table,
covered
with
a synthetic
24
capping
material
and
isolated
from
precipitation
or
26
Keefe
Reporting
Company
1
groundwater,
and
I can
understand
with
the
cap how
you’d
2
be
isolating
from
precipitation,
but
with
groundwater,
3
can
you
explain
exactly
what will
be
in place
to make
4
sure
the groundwater
won’t
come
in contact
with
these
5
materials?
6
MR. BOLLINGER:
I think
the
-- what
we
are
7
addressing
there
is
the fact
that
the
existing
materials
8
are
at
depth,
and
since
the
additional
materials
would
be
9
used to
establish
that
final
contour
of
the
top
of the
10
pond,
that that
would
be
well
above
the
materials
that
11
may be
subject
to groundwater
impact
or
groundwater
12
infiltration.
Groundwater
depth
below
ash
pond
0 is
13
dependent
upon
river
stage,
but
the materials
that
we’d
14
be
placing
as
part
of this
final
contour
will be
the
15
uppermost
layers.
It
would be
well
above
that.
16
MS.
BARKLEY:
And
I
guess
a
follow-up
within
17
this
discussion
of
this question,
are
you
still
adding
18
coal combustion
material
to
ash pond
0?
19
MR.
BOLLINGER:
Not currently.
Since
the
20
pond
was closed,
then
essentially
wastewater
was
diverted
21
around
pond
D when
two
new ponds
were
constructed
in
the
22
early
2000s,
and since
that
time
we have
not
sent
any
23
wastewater
there
for
treatment,
but
twice
since
that
24
occurred
we
sought
approval
from
the water
program
in
27
Keefe Reporting
Company
1
accordance
with
our
permit
conditions
to
allow
us
to
2
transfer
ash
from pond
A to pond
D in
anticipation
of
3
closure
similar
to
what we
are asking
for or
asked
for
as
4
part
of
this rulemaking.
Both of
those
were
approved,
so
5
materials
have
been
moved
over
there
in
two
different
6
transfers
since
2000.
7
MS.
BARKLEY:
And
who
approved
moving
that
8
material
to
ash
pond D?
9
MR.
BOLLINGER:
The
wastewater
permitting
10
program.
11
MS.
BARKLEY:
Through
NPDES
permitting?
12
MR.
BOLLINGER:
Yes.
Well, there
are
two
13
permits
-- two
different
permitting
regimes
that are
14
subject
to -- that
Hutsonville
is
subject
to
for
15
wastewater,
one
which
I
will refer
to as
a
Subpart
B
16
permit
for
ponds that
do
not have
a
direct discharge
to
17
the river
-- that
would
include
pond
A,
B and
C
--
and
18
then the
actual
wastewater
discharge
permit
under
the
19
NPDES
program
is
also
from
pond
B, and
so
we’ve
actually
20
worked
with
the
same division
of
the water
program
that
21
manages
both
those
permits.
22
MS.
BAPKLEY:
So Subpart
B covers
ponds
A, B
23
and
C,
and
through
the
NPDES
program,
that
covers
--
24
MR.
BOLLINGER:
The
discharge
from
pond
B
as
28
Keefe
Reporting
Company
1
well
as
other
outfalls
from
the
power
plant
itself.
2
MS.
BA:RKLEY:
Do
you have
any permit
that
3
covers
pond
D?
4
MR.
BOLLINGER:
Pond
D
is currently
not
5
subject
to permitting.
That’s
why we
are trying
to
close
6 it.
7
MS.
BAKLEY:
Okay.
I’m not
sure if
this
is
8
a question
for
the Agency
or
if this
is
a
question
for
9
meren,
but
I understand
that
a third
of
the
material
10
lies
below the
water
table
and
I understand
that
11
groundwater
moves
extremely
slowly,
but
I wonder
if with
12
the pond
or the
pile being
kept
and
a third
of
it
being
13
under
the
water
table if
—— as
groundwater
flows
through
14
the
material
that’s
under
the
water
table,
if
that will
15
cause
settling
of the
material
above
the
water table
so
16
that
over
time you’re
essentially
--
that
water
would
be
17
processing
and carrying
pollutant
from
the
entire
million
18
cubic
yards?
19
MR.
BOLLINGER:
Who would
like
-- I mean,
20
I —— we
will
conduct
as
part
of the
final closure
plans
a
21
stability
analysis
of the
berms,
and it
would
be my
22
expectation
that
the
settling
that
has
occurred
during
30
23
plus
years of
operation
would
not
be
exacerbated
by
24
additional
cap
and cover
materials.
There
will
be some
29
Keefe Reporting
Company
C
1
additional
loads on
top of
the basin because
of the
2
actual
cap itself
and the three
foot
of soil
cover.
We
3
will evaluate
that
as
part
of the
final
closure
plan,
but
4
I
would
not anticipate
that that
would change
the
5
consolidation
of
ash
at depth in
the
pond because
of the
6
duration that
it’s
been
there.
I
don’t
know if
anybody
7
would
like
to --
8
MR.
LIEBMAN:
Yeah,
we
would
have
the
same
9
expectation.
There
would —— We
would not expect
much,
if
10
any,
settlement
due
to the groundwater
flowing
through
11
the lower ash.
12
MS.
BARKLEY:
So when you
characterized
what
13
will
be
coming
off
of the site
over
time, did
you just
14
look at that
material
that’s -- that
would
be
under
15
the
-- below the
water
table?
16
MR. LIEBMAN:
Could you
repeat --
17
MS. BARKLEY:
I
guess
I
should
ask, has
18
modeling
been
done to look
at the
quality
of the
water
19
that
will be coming
from the
waste material
that’s
in
ash
20
pond D?
I guess that’s
the first
question.
Has
modeling
21
been completed?
22
MR. BOLLINGER:
He
can
speak
to
that
23
additionally,
but the modeling
work
that
our contractors
24
did
on our
behalf
looked
at
essentially
two components
of
30
Keefe
Reporting
Company
1
leaching
that
could
occur.
One
is
a
vertical
migration
2
of
water
both
contained
within
the
pond
when
it
was
3
operational
and
as
might
collect
there
from
precipitation
4
before
it’s
closed.
That
would
be
the
vertical
component
5
where
water
would
be
migrating
downward
through
the
ash,
6
and
then
we
also
looked
at
the
horizontal
component
of
7
groundwater
moving
through
a
portion
of
ash
that
is
below
8
the
water
table.
The
closure
plan
and
closure
9
alternatives
that
we
evaluated
——
excuse
me.
Not
the
10
closure
plan,
but
the
alternatives
that
we
evaluated
as
11
part
of
our
consideration
of
options
looked
at
12
substantial
reductions
in
the
vertical
migration
and
did
13
not
assume
any
significant
change
in
the
horizontal
14
migration.
15
MR.
COBB:
Rick
Cobb.
I
iust
had
an
add-on.
16
The
vertical-component
model
that
they
use
is
called
a
17
HELP
model,
which
is
used
in
every
kind
of
landfill
type
18
setting,
and
the
contaminant
transport
model
was
MT3D,
19
and
on
page
20
of
my
prefiled
testimony,
attachment
IV
is
20
the
result
of
the
modeling
that’s
conducted
after
the
21
interceptor
trench
runs
for
a
period
of
years.
That’s
22
another
component
of
the
——
obviously
the
groundwater
23
flow
here
and
capturing
any
contaminated
groundwater
24
before
it
moves
off-site
and
pulling
back
groundwater
31
Keefe
Reporting
Company
C
1
that’s
moved
off-site.
So,
Traci,
that’s
on
-- did
I
2
state my
name,
Richard
Cobb?
It’s on
page
20
of
my
3
prefiled
testimony
and
it’s
in
page
534 of
the --
4
.meren’s
technical
support
document.
5
MS.
BARKLEY:
And
can
you just
remind
me how
6
deep
the
groundwater
trench
will
be?
7
MR. COBB:
Pardon
me?
8
MS. BARKLEY:
How
deep
the
groundwater
9
trench
will
be?
10
MR.
BOLLINGER:
I
think
it
ranges
--
it --
11
to
the
east
-- excuse
me
-- to the
west
is
about
eight
12
feet
deep,
is my
recollection,
and
it
goes
to a
depth
of
13
about
twenty.
I
would
have
to
confirm
those
numbers,
but
14
approximately
twenty
feet.
As it
proceeds
eastward,
it
15
gets
deeper.
16
MS.
BARKLEY:
I
guess
to
follow
up on
an
17
earlier
question,
if
you
—— does
meren
have
any plans
to
18
add
any
additional
material
except
for
the waste
that
19
will
be
used
for final
grading
of
the slope?
Do
you
plan
20
on storing
--
21
MR.
BOLLINGER:
Additional
material?
22
MS. BARKLEY:
Do
you plan
on
storing
any
23
additional
waste
before
the
final
cap
is put
in
place?
24
MR.
BOLLINGER:
No.
At this
point,
any
32
Keefe
Reporting
Company
1
additional
ash
that
would
be
transferred
would
be
2
transferred
as
part
of
a
final
closure
activity.
There
3
will
be
additional
materials
insofar
as
soils
placed
4
above
the
synthetic
line.
5
MS.
BARKLEY:
Okay.
Question
5
was about
6
landfill
regs
and
how
they
don’t
apply
--
asking
why
they
7
don’t
apply
to
the
situation,
and
I
guess
I
just
--
I’m
8
not ——
I don’t
fully
understand
the
answer,
because
it
9
seems
to me
that
even
though
this
wasn’t
designed
as
a
10
landfill
and
it
wasn’t
permitted
as
a
landfill,
that
now
11
that
the waste
material
has
been
deposited
there
and
it’s
12
been
dewatered,
it
seems
like
effectively
in
practice
now
13
it
is
very
similar
to a
landfill.
14
NR.
MORE:
Let
me
just
--
I
think
the
15
question
really
is
kind
of
like
a
legal
conclusion,
so
16
let
me
——
if
you
don’t
mind,
I
would
reference
the
17
approach
that
it
might
fall
under
the
landfill
18
regulations
was
the
approach
that
meren
initially
took,
19
and then
as
you
noted,
it’s
similar
but
it’s
not
exact,
20
and
therefore
we
asked
for
an
adjusted
standard
—— yes
——
21
of
the
existing
landfill
regulations
--
in essence,
a
22
modification of
those
regulations
to
make
it
fit
this
23
scenario
-—
and
the
Agency
submitted
comments
to
that,
24
then
the Board
came
back
and
said,
you
know,
we
see
where
33
Keefe
Reporting
Company
(
1
you’re
going,
but this
seems
so
dissimilar
given
all
of
2
these deviations
from
the
landfill
regulations
that
will
3
be
necessary,
come
forward
with
a unique
site—specific
4
rule, and
so that’s
the
approach
we’ve taken.
5
MS.
B.ARKLEY:
And
what’s
-- from
the
joint
6
proposal
and
the way
it’s
laid
out,
it looks
like
the
7
Agency’s
preparing
for
possibly
additional
site
closures
8
of
ash
ponds,
which
I know
there
are several
that
are
9
being looked
at
for
closure,
and
Subpart
A
would
be
10
Hutsonville.
I
mean,
I don’t
know
if we want
to
get into
11
this
now or
if we
should
save
this for
later,
but I
guess
12
I’d
be
interested
in
what
the Agency
sees
--
or maybe
13
even
within
Ameren
and
the ash
ponds
that
you have,
are
14
you
preparing
or are
you
considering
using similar
15
language
for
additional
ash
impoundment
for closure
in
16
the
near
term?
17
NR.
BOLLINGER:
Certainly
within
meren’s
18
system
we
have
a
number
of ponds,
but
the design
and
19
construction
of those
vary
depending
on
the
circumstances
20
of the
-- those
sites
and
also
to
a range
that
-- the
21
timing
with
which
those
ponds
were
constructed.
We have
22
two
other facilities
that
have
wastewater
treatment
ponds
23
that
are
unlined
that we
are ——
we would
like
to
close,
24
we
hope to
close
in
the near
future.
Both of
those
34
Keefe
Reporting
Company
C
1
facilities --
There
are
actually
two ponds at
two
2
different
facilities that
we hope
to
close in
probably
3
the
next 12
to 18 months
or at least
initiate
the
4
process,
as we
are
doing
here.
Both
of
those
locations,
5
those
basins have
been
—— other facilities
have
been
6
built,
constructed,
in order
to manage
the wastewater
7
that
would
otherwise
have
been
sent to these
facilities,
8
and both of
those operate
under
permits that
will
expire
9
next
year. At
one site
permits will
expire
at the end
of
10
January,
at another
location
they
will
expire
at the
end
11
of June,
and
so
we are working
to develop
closure ——
12
along these
lines,
we are working
to
develop
a proposal
13
for
a
closure
and
a site—specific
rule
at
both
of those
14
sites.
15
MS.
BARKLEY:
Okay.
Thank
you.
16
MR.
RAO:
I have
just a
follow-up
question.
17
Mr.
Bollinger,
you just
mentioned that
you are
in the
18
process
of preparing
site—specific
rules
for
these
other
19
ponds.
Do
you see this
site-specific
rule
to be
20
significantly
different
from
what
you have proposed
here
21
in
the
joint
proposal?
22
MR.
BOLLINGER:
Let me just
clarify
that
we
23
are
working
towards
development
of site—specific
rules.
24
I
don’t
believe
-- We’ve just
begun to
draft for
one of
35
Keefe
Reporting
Company
1
those
sites
the
actual
text
of
a
rule.
We
have
not
got
2
that
far
on
the
other
site.
I
think
both
of
the
other
3
locations
have
certain
similarities
with
Hutsonville,
but
4
they
have
some
unique
geologic
circumstances,
and
so
5
there
will
be
differences,
although
the
framework
I think
6
will
be
similar
insofar
as
we would
attempt
to
set
up
a
7
rulemaking
that
would
allow
us to
develop
closure
plans
8
for
submittal
to
the
Agency
for
review
and
approval
prior
9
to
implementation
of
those
strategies.
10
MR.
MORE:
And
we would
reach
out,
as
we
did
11
in
this
instance,
to the
Agency,
and we’re
not
at
that
12
stage
yet.
13
MR.
RAO:
The
reason
I
asked
that
question
14
is
the
joint
proposal
is
drafted
in
such
a way
that
a
lot
15
of evaluation
and the
Agency
input
happens
after
the
16
closure
plan
is
submitted,
so
the
rule
is
fairly
broad
in
17
general,
so
I
was
just
wondering
——
you know,
it
almost
18
seems
like
the
framework
is
set
up
in
this
proposal
and
19
any
site-specific
issue
would
be
handled
as
part
of
the
20
closure
plan.
It
almost
seems
like
this
proposal
is
a
21
general
rule
that
may
apply
to
closing
other
22
impoundments.
23
MR.
COBB:
Rick
Cobb
responding
to
that.
We
24
really
--
You
know,
we
are looking
at
the hydrogeology
of
36
Keefe
Reporting
Company
1
each
of
these
difference
sites,
and
we
specifically
kind
2
of
went
a
different
direction
on
that.
We
wanted
this
to
3
be
ash
pond
D,
and
then,
you
know,
we
may
certainly
learn
4
certain
things
from
this
and
--
obviously
capping
and
5
groundwater
monitoring
and
corrective
action,
but
there
6
may
be
different
circumstances
that
would,
you
know,
7
require
some
deviation,
so
we
specifically
want
——
you
8
know,
I
assume
Ameren
did
too,
but
that
was
our
9
philosophy,
so
--
10
MR.
BOLLINGER:
I
would
certainly
just
add,
11
an
example,
for
instance,
would
be
this
rulemaking
for
12
Hutsonville
clearly
envisions
the
use
of
this
interceptor
13
drain
trench,
and
that
technology
may
not
be
appropriate
14
for
either
of
these
other
locations,
so
it’s
those
15
evaluations
that
we
are
still
in
the
process
of
16
developing.
17
MR.
RAO:
Okay.
And
maybe
--
I
had
this
18
question,
so
I’ll
ask
it
since
it’s
related.
It
looks
19
like
some
general
requirements
may
apply
to
--
apply
20
generally
to
closure
of
ash
ponds,
but
there
are
other
21
requirements
proposed
not
really
specific
to
ash
pond
D,
22
and
the
way
you
proposed
it
as
ash
pond
D
comes
under
23
Subpart
A
of
this
Part
840.
I
was
wondering
if
it
would
24
be
possible
to
put
in
some
general
requirements,
like
37
Keefe
Reporting
Company
1
definitions,
incorporations
by
reference
under
Subpart
A
2
and
have
ash
pond
D
under
Subpart
B
like
we
have
for
the
3
Board’s
——
I
think
the
groundwater
rules
for
certain
4
site—specific,
we
have
general
requirements
and
then
we
5
have,
you
know,
specifics
in
the
other
subpart.
Is
that
6
going
to
be
too
much
work
for
you?
You
know,
I
know
7
you’re
——
8
MR.
MORE:
I
would
note
some
of
those
9
definitions
might
be
general,
but
some
might
be
10
site—specific.
It’s
something
we
can
discuss.
11
MR.
RAO:
Yeah,
just
think
about
it,
if
you
12
think
that’s
doable.
13
MR.
WIGHT:
Excuse
me.
14
MR.
RAO:
Yeah.
15
MR.
WIGHT:
I
might
add
that
if
anyone
has
16
had
a
chance
to
read
through
all
of
the
filings
that
have
17
led
up
to
this,
including
the
motion
for
expedited
review
18
and
the
response
to
that
motion,
there’s
another
subtext
19
here,
which
is
what’s
happening
at
the
federal
level,
and
20
at
some
point,
although
we
don’t
expect
that
to
move
21
rapidly,
but
I
think
we
do
expect
a
proposal
to
be
22
published
in
the
Federal
Register
at
some
point
this
23
f
all,
so
perhaps
by
the
end
of
the
year
we’ll
at
least
24
see
what
direction
they’re
going,
but
the
shadow
of
that
38
Keefe
Reporting
Company
1
sort
of
falls
over
everything
we’re
doing
here
to
some
2
extent,
and
then
the
resource
questions,
which
the
Agency
3
has
highlighted
more
than
once,
we’re
still
at
the
policy
4
level,
the
last
I
knew,
still
struggling
with
how
to
5
approach
this
entire
situation
we
know,
and
there
may
be
6
some
differences
to
the count
of
ash
ponds
that
may
need
7
closure
at
some
point
in
the
future,
but
from
our
8
perspective,
it’s
not
about
the
actual
number.
It’s
9
about
the
resources
required
to
do
it
on
a site—specific
10
basis.
So
we
have
the
federal
rule;
we
have
the
question
11
of
whether
we
should
proceed
with
a
more
general
rule
12
rather
than
a
site-specific
approach.
You’re
very
right
13
about
some
of
the things
that
are
in
proposed
Subpart
A
14
probably
could
apply
across
the
board,
would
be
15
applicable
to
most.
We haven’t
come
to grips
with
the
16
site—specific
aspect,
but these
discussions
are
17
continuing
within
the
Agency
about
what
is
the
best
18
approach
and
where
to
allocate
the
resources.
19
Specifically
to
your
question
about
separating
20
out
definitions,
I
guess
that
could
be
done,
especially
21
in
the
context
if
it
looked
like
we
were
going
to use
22
this
process
going
forward,
but
since
even
that
is
23
uncertain,
I
sort
of
like
the
idea
of
it
remaining
24
self—contained
for
now,
and
possibly
then
if
a
second
one
39
Keefe
Reporting
Company
1
were
to come
along,
that
we
might
maybe
propose
more
2
general
amendments
to
the
part
that
would
break
some
of
3
that
stuff
out and
create
an
initial
subpart
that
was
4
more
general
in
nature
and
apply
it
to
subparts,
but
5
right
now
I
like
--
I
just
like
the
self-contained
nature
6
of
it,
and
as
was
pointed
out,
some
of
the
definitions
do
7
apply
specifically
to
ash
pond
D,
so in
that
sense
we’d
8
still
need
a
small
definitional
section.
9
MR.
RAO:
I
appreciate
that,
yeah,
and
you
10
also
kind
of
answered
-— you
know,
my other
question
was
11
about
the
federal
rulemaking
and
if
you
had
any
updates
12
about
whether
you
think
there
will
be
a proposal
by
the
13
end
of
the year
or not.
14
MR.
WIGHT:
I
believe
that’s
what
we’re
15
anticipating,
but
that’s
simply
from
published
sources.
16
We
have
no
inside
information,
and
unless
anybody
has
17
heard
anything
new
—-
believe
me, we’ve
been
trying
to
18
get
some
hints,
but
it’s
very
close-lipped
at
the
federal
19
level.
We
haven’t
been
able
to
find
out much
at
all.
20
MR.
MORE:
And
while
we
appreciate the
21
resource
issues
that
the Agency’s
facing
and
the
concern
22
over
a
federal
proposal,
we
don’t
necessarily
share
the
23
optimism
that
such
a
proposal
will
be
enacted
and
become
24
effective
in
the
near
future.
While
we are
hearing
40
Keefe
Reporting
Company
(
1
discussions
of
a proposal
coming
down,
as you
all know,
2
rules take
a
long
time
to
develop,
and
this
rule
3
probably
-- any
federal
proposal
will
probably
undergo
4
tremendous
scrutiny
both
from
environmentalists
and
from
5
the
stakeholders,
and I
suspect
we
would have
appeals
and
6
detailed
discussion.
So
with
that in
mind
-- and
we
7
don’t
even know
the
scope
of
it,
so I
would ask
that
we
8
not allow
that
to kind
of
cloud
over the
objective
here,
9
which is
to close
an
unregulated
site that
is not
subject
10
to
a permit
that
does
need to
be closed,
and
we have
a
11
joint
proposal
here
that
is
protective
of the
environment
12
and
it’s
economically
reasonable
and
technically
13
feasible.
14
BOARD
NENBER
JOHNSON:
And
at
this
juncture
15
you’re
not
intending
to make
this
a template
for
future
16
closures.
17
MR. MORE:
Well,
we wouldn’t
object
to
that.
18
We think
that’s
--
Personally,
we think
that’s
an
19
efficient
way
from our
perspective
of moving
forward
if
20
that were
to work,
and
I
agree
with
Mark.
If this
21
process
turns
out
to
be the
appropriate
way,
if
the
22
Agency
does
come to
that
conclusion
as
well
and
we can
23
move
forward
with the
joint
proposal
and
subsequent
24
amendment,
if
that
is more
agreeable,
we can
always
do
41
Keefe
Reporting
Company
(
1
what
you
were
suggesting,
amend
Subpart
A
to
put
in
a
2
general
and then
get
some
general
definitions
and
move
3
from
there.
We’re
——
We have
no
objection
to
looking
at
4
that,
you
know,
concept,
and
we would
hope
that
this
5
could
be
a process
to
allow
for
formal
closure
of
sites
6
that
are
sitting
idle
right
now.
7
MR.
RAO:
Thank
you.
8
BOARD
MEMBER
MOORE:
Do
we
have
an idea
of
9
just
exactly
how many
of
these
kinds
of
ash ponds
exist
10
in
Illinois
and
are
looking
to be
--
looking
forward
to
11
be
--
for
closure?
12
MR.
MORE:
Well,
one
thing
I would
point
out
13
is
while
many
facilities
have
large
number
of
ash
ponds,
14
many
of
those
ash
ponds
are
designed
and
operated
such
15
that
they
don’t
--
there’s
no
intention
of
closing
them
16
during
the
life
of
the
permit,
during
the
life
of the
17
plant.
18
BOARD
MEMBER
MOORE:
They
are permitted,
19
you’re
saying?
20
MR.
MORE:
They’re
permitted,
uh-huh.
For
21
the ?meren
system,
I
can’t
speak
as to
how
many
are
in
22
this
system
that
he
suspects
will
undergo
closure
in
the
23
near
term.
24
BOARD
MEMBER
MOORE:
Right.
42
Keefe
Reporting
Company
1
MR.
BOLLINGER:
In
the
--
There’s
--
in
--
2
testimony
on
behalf
of
IEPA
that
identified
a
nuitiber
of
3
ponds
throughout
Illinois.
Depending
how
one
does
the
4
counting
that’s
—— approximately
there
are
-— twenty—six
5
or
twenty-eight
ponds
were
identified
per
meren.
As
I
6
mentioned,
there
are
a
total
of
four
ponds
at
two
sites
7
that
we
would
hope
to
close
in
the
next
twelve
to
8
eighteen
months
or
begin
the
process
of
closing
in
that
9
period
because
permits
are expiring.
Beyond
that,
I’m
10
aware
of
another
pond,
a
single
pond
at
a
site
that’s
11
probably
about
two years
out,
and beyond
that,
I’m
not
12
aware
that
——
the
remainder
of
those
ponds
when
the
13
closure
would
really
be
anticipated.
As
Josh
said,
we
14
have
ponds
that
are
functioning
and
intend
‘to
function
15
throughout
the
entire
life
of a
number
of
plants.
We
16
have
built
and
in
just
the
last
few years
we are
17
currently
building
some
basins
that
will
be
regulated
as
18
ponds.
They
are
of course
in
a
much
more
current
design
19
than
these
older
facilities
that
we’re
currently
trying
20
to close.
21
BOARD
MEMBER
MOORE:
Does
the
Agency
have
22
any
idea?
23
MR.
COBB:
We’re
working
from
the
same
list,
24
and
--
Rick
Cobb
--
and,
Bill,
if
you
were
getting
ready
43
Keefe
Reporting
Company
1
to
say
something,
but
--
oh,
Steve,
did
you
want
to
--
2
MR.
NIGHTINGALE:
Yeah.
Well,
we
3
basically
--
we’re
working
off
a
list
that
the
Bureau
of
4
Water
came
up
with,
and
they
identified
24
facilities
--
5
power
facilities
in
Illinois,
and
of
those
24
facilities,
6
there
were
70
ash
ponds
that
were
identified
in
there,
7
so---
8
BOARD
MEMBER
MOORE:
That’s
where
I
got
that
9
number.
10
MR.
NIGHTINGALE:
--
I
think
those
are
the
11
numbers.
It’s
a
conservative
number
that
we’re
looking
12
at,
and
so
it’s
a
potential
amount
of
facilities
that
13
could
come
in
to
the
Agency
to
ask
for
a
site-specific
14
rule,
so
——
and
that’s
what
concerns
us
at
this
point.
15
MR.
COBB:
I
just
--
Rick
Cobb.
I
just
16
wanted
to
follow
up.
The
reason
we
put
the
list
together
17
is
that
we’re
working
actively
with
each
of
those
18
facilities
on
their
groundwater
monitoring
systems,
their
19
statistical—based
monitoring
programs
and
corrective
20
actions
that
may
be
necessary
or
not.
We’re
taking
a
21
pretty
aggressive
approach
and
working
with
those
22
existing
impoundments,
so
--
if
you
have
anything
further
23
to
add,
Bill,
or
--
24
MR.
MORE:
I
would
like
to
add
some
context
44
Keefe
Reporting
Company
1
to
what
Mr.
Nightingale
said
when
he
talked
about
70
2
facilities
and
the
information
coming
from
the
Bureau
of
3
Water.
The
information
that
Ameren
submitted
in response
4
to
that
request
contained
a
listing
of
not
just
ash
ponds
5
but of
ponds
that
are
being
constructed
to
manage
6
scrubber
waste,
for
example
——
7
MS.
GALLAGHER:
Stormwater.
8
MR.
MORE:
--
stormwater
--
thank
you
--
9
recycling
ponds,
so
water
that’s
used
for
--
during
the
10
processing
that
are
really
not
just
stored
in
an
ash
11
pond,
and
as
Mr.
Bollinger
has
testified,
out
of
--
12
there’s
probably
fifteen
ponds
or so
that
Ameren
13
identified
in
that
list.
There’s
only
a hand
--
not
even
14
a
handful
--
there’s
really
two
that
they’re
considering
15
closing
within
the
next
eighteen
months,
and
maybe
a
16
third
and
fourth,
you
know,
in
two
years
or three
years.
17
The
remaining
ponds,
as
I’ve
initially
indicated,
are
18
designed
and
intended
to
be
operated
for
a much
longer
19
period
of
time.
20
HEARING
OFFICER
FOX:
And,
Mr.
Nightingale,
21
if
I
may
clarify,
I
believe
you
had
referred
to
24
sites
22
and
approximately
70
ponds.
Is
that
the
attachment
1
to
23
your
prefiJ.ed
testimony
at
page
7,
the
document
that
24
lists
--
45
Keefe
Reporting
Company
1
MR.
NIGHTINGALE:
That’s
correct.
2
HEARING
OFFICER
FOX:
Very
good.
Thank
you
3
for
clarifying,
and forgive
me
for
interrupting.
4
MR.
RAO:
Just
a
question
based
on
what
you
5
were
saying
and
Mr.
Cobb
was
saying
&bout
the
Agency’s
6
oversight
and
--
in
regulating
these
ponds.
Has
the
7
Agency
had
a
chance
to
as
part
of
your
objective
check
8
with
these
owners
or
operators
of
these
ponds
to see
how
9
many
of
these
ponds
are
going
to close
in
the
maybe
next
10
five
years
or
so or
——
11
MR.
COBB:
No.
Our
focus
has
been
to
get
a
12
handle
on
the
groundwater
monitoring
system
and
if
13
they
--
and
this
was
our beginning
list,
and,
you
know,
I
14
would
agree,
as
we’re
digging
more
into
—— you
know,
we
15
wanted
to put
that
letter
--
that
strategy
together
16
quickly
and
move
aggressively,
so
indeed,
you
know,
we
17
may have
different
types
of
waste
streams
in
some
of
18
those
and they
may
or may
not
be,
but
that
still
doesn’t
19
change
our
objective
in
getting
a
handle
on
the
20
monitoring well
system
and
what’s
going
on there
with
the
21
groundwater.
So,
no, we’re
not
—— you
know,
we’re
more
22
what’s
going
on
with
the
activity
right
now,
what’s
the
23
status
of
the
groundwater,
you
know,
what
impacts
are
24
there.
46
Keefe
Reporting
Company
1
MR.
RAO:
The reason
I
asked
is as
part
of
2
your
testimony,
there was
also
an issue
of
placing
a
3
moratorium
on closure
of these
ponds
and
to get
an angle
4
in
the
record
about
what
are we
talking
about,
how
many
5
ponds,
you know,
that are
getting
close
to closure
or
6
things
like
that,
so
any information
that
you
may have
7
would
be
helpful
to
the Board.
8
MR.
NIGHTINGALE:
I
guess the
point
that
I’d
9
like
to
make
is
that whether
you end
up with
15 or
we
10
have
50
or 70
ponds,
the
Agency
has
a real concern
about
11
trying
to
deal
with
these
as a
site-specific
rule.
We
12
also
have
a concern
about
trying
to
deal with
them
under
13
a general
rule.
It’s extremely
work
intensive
for
us
and
14
we pretty
much
—— we
have
to
deal
with
a board
rule
15
rather
than
our
regular
day-to-day
administrative
16
procedures,
you
know,
of issuing
permits,
and
with
the
17
reduced
agency
staff
and
the potential
for additional
18
reductions,
we
have
a real
concern
—— even
if we
ended
up
19
getting,
you know,
five
of
these
in the next
two
years,
20
it
would
really
be
a
difficult
issue
to deal
with
within
21
the
Agency.
So again,
you
know,
whether
we
have 70
or
22
the number
is
15,
you
know,
that
do come
in under
23
closure,
we have
a
real
concern
about
trying
to deal
with
24
those.
47
Keefe
Reporting
Company
1
MR.
RAO:
Thank
you.
2
MR.
MORE:
We’ll
be
more
than
happy
to
3
provide
you
with
the
table
that
we
had
submitted
to
the
4
Illinois
EPA
explaining
the
types
of
ponds,
the
5
facilities,
their
status.
These
would
be
when
we
6
anticipate
closure
of
those
ponds.
7
MR.
RAO:
Thanks.
That
would
be
helpful.
8
Ms.
Barkley,
thank
you
for
allowing
us
to
go
off
track.
9
MS.
BARKLEY:
Sure.
10
BOARD
MEMBER
MOORE:
Save
some
questions
for
11
later.
12
MS.
BARKLEY:
I
will.
13
HEARING
OFFICER
FOX:
And,
Ms.
Barkley,
it
14
was
very
gracious
of
you
to
let
us
address
some
of
those
15
legal
and
policy
questions.
Those
had
arisen
under
your
16
question
number
5
in
effect
about
the
nature
of
the
17
surface
impoundments
in
the
scheme
of
land
and
water
18
regulations.
Did
you
have
any
further
follow—ups
19
relating
specifically
to
question
number
5?
20
MS.
BAP.KLEY:
I
don’t.
21
HEARING
OFFICER
FOX:
Why
don’t
we
move
on,
22
then,
if
you
don’t
object,
to
number
6,
which
also
23
addresses
landfill
regulations
generally.
24
MS.
BARKLEY:
Actually,
I
have
a
few
--
just
48
Keefe
Reporting
Company
C
1
a few
follow-up
questions,
this
last
discussion.
2
HE.ARING
OFFICER
FOX:
Sure,
sure.
3
MS.
BARKLEY:
I
wondered
about
the
closure
4
plan,
if
that
will
be up
for
public
notice
and
comment
5
when
it’s
submitted
to
the
Agency.
6
MR.
NIGHTINGALE:
The
closure
plan
would
not
7
be
subject
to public
notice
and
opportunity
for
that.
8
MS.
BARKLEY:
So
the
public’s
opportunity
to
9
review
anything
proposed
as
part
of
an
ash
pond
closure
10
would
be in
a
setting
like
this
for
a
site-specific?
11
MR.
NIGHTINGALE:
That’s
correct.
12
MS.
BARKLEY:
Okay.
13
MR.
RAO:
Would
the closure
plan
be
part
of
14
a
permit
amendment,
like
an NPDES
permit?
15
MR.
NIGHTINGALE:
Well,
that
--
at
this
16
point
it
would
be
done
just
through
--
the
regulation
17
requires
that
it
be
submitted
and
approved
by
the
Agency,
18
so
it
would
not
be
a
part
of
a
permit.
19
MR.
MORE:
Currently
the
NPDES
permits
or
20
state
operating
permits
don’t
address
closure,
so
we’re
21
in
this
kind
of
regulatory
uncertainty,
and
I
think
this
22
gets
to
Mr.
Nightingale’s
concern
about
resources.
From
23
the
stakeholders’
perspective,
our
concern
is
what
do
we
24
do,
you
know,
and
so
we
need
to
take
steps
to
address
49
Keefe
Reporting
Company
1
these
to be protective
of
the
environment.
That’s the
2
position
we’re taking
and that’s
why
we’re
here
today.
3
MR. RAO:
So in
effect,
in terms
of, you
4
know,
what
Ms. Barkley
was
asking about, opportunities
5
for public
to evaluate
the information,
and
for ash
pond
6
D,
this hearing
and
this rulemaking
is the venue
for
7
doing it, and
I had
a
question
based
on this,
you
know,
8
whether
the Agency
has completely
evaluated
the
adequacy
9
of
Ameren’s
technical
support
document to
kind of
support
10
their contention
that
the proposal
is
protective
of human
11
health and
environment.
12
MR. COBB:
bsolutely.
You know,
one
of
the
13
key
things
that
we did, sort of
working cooperatively,
14
was to look
at
a tight
integration
with the Board’s
15
groundwater quality
standards
and
—— under
the central
16
tenet
that
the board
regulations
and
the
Environmental
17
Protection
Act
treat
groundwater
as
a resource,
and in
18
looking at the
monitoring
trend analysis
-- which
if
you
19
go
to pages
50
through
52
of Ameren’s TSD
document,
there
20
are
trend analyses
for each
of the monitoring
wells
that
21
range from
the
year
2000 to 2008.
They’re sununarized
in
22
the form of
statistical
box plots,
and that --
all
that
23
does
is it
-- the box
plot
just
simply
takes the
summary
24
statistics
and shows
you
in graphical format,
you
know,
50
Keefe
Reporting
Company
(
1
the
top
of it
is
at
95 percent,
the
bottom
is
the lower
2
25 percentile,
the mid
point
is
the median,
and
then
3
there’s
a
whisker
on
—— I
often refer
to it as
box and
4
whisker
plots.
The
whisker
then
shows
outliers
beyond
5
the 95th
percentile.
So
that
information
combined
with
6
the
hydrogeologic
analysis
that
was
done
and
the
detailed
7
groundwater
flow modeling,
the
predictive
modeling
and
8
contaminant
transport
modeling,
the
capping
and
the
9
interceptor
trench,
are,
you
know,
extremely
effective
in
10
remediating
this
groundwater
on-site
and
off-site
and
11
protecting
the
two
different
zones
in the
aquifer,
so
12
we’ve
—— we,
you know,
thank
.meren’s
team
for
working
13
cooperatively
with
us on that,
because
we
feel that
that
14
is
going
to achieve
our
objectives,
which
are ——
is
to
15
treat
the
groundwater
as a
resource
and be in
compliance
16
with
the
Board’s
regulations,
the
groundwater
quality
17
standards,
so
yes.
18
MR. RAO:
The
reason
I
asked the
question
is
19
the way
the
rules are
drafted,
you know,
number
of
items
20
in this
rule,
like the
hydrogeologic
site
investigation
21
and groundwater
modeling
and
all
the,
you
know,
things
22
that
would
have
to be
done
and
submitted
as
part
of the
23
closure
plan
for
your
approval,
so I
was
just
wondering
24
whether
—— it
may
have been
the
rules
were
adopted
before
51
Keefe
Reporting
Company
1
you
reviewed
them
or
——
2
MR.
COBB:
We
had
many
discussions
about
3
that.
In
essence,
you
know,
we’re
working
off
of
a
4
site-specific
rule
and
you
have
to
draft
certain
things,
5
but
much
of
what
you’re
talking
about
that
would
come
in
6
the
post
of
--
after
the
post
effective
date
of
the
rule
7
has
already
been
completed
prior
to
the
rule
being
8
drafted,
so
in
essence,
we
know
the
answer.
We’re
in
a
9
very
good
position
of
knowing
what’s
——
you
know,
the
10
HELP
model
showed
what
the
infiltration’s
going
to
be
11
with
the
cap,
the
groundwater
flow
model
showed
us
what’s
12
going
to
happen
with
the
--
so
in essence,
all
of
this
13
has
already
been
done
prior
to
the
effective
date,
so
14
that’s
why
we
feel
very,
very
confident
ahead
of time,
15
and
we’ll
just
simply
be
maybe
calibrating
or tweaking
16
what
we think
is
going
to
happen
based
on review
of
the
17
technical
information
that
we have
in
hand.
18
MR.
RAO:
Okay.
Yeah,
that’s
why
I
19
wanted
--
20
MR. COBB:
Yes.
21
MR.
RAO:
--
to
have
that
on
the
record,
22
because
——
23
MR.
COBB:
Yes.
24
MR.
RAO:
--
what
we
have
looked
at
now
in
52
Keefe
Reporting
Company
C
1
the
proposal
is
pretty much
what you
evaluated
and
you
2
feel
comfortable with
the information.
3
MR.
COBB:
Exactly.
4
MR. RAO:
Thank
you.
5
MS. BARKLEY:
I
just
want to follow
up.
The
6
trend analysis
covers
eight years,
but you stated
7
earlier, Mr.
Bollinger,
that if -- groundwater
monitoring
8
data
from 1984,
which
if
that
data
were
used
9
through
2008, that
would triple
the number
of years
and
10
the amount
of
data
——
and I don’t
know how much
data
was
11
taken, but
it seems like
you would
have
twenty—six
years’
12
worth
of
data
from which
you could
then predict
future
13
trends
as opposed
to eight years.
14
MR. BOLLINGER:
The
clarification
is
that
15
the groundwater
monitoring
that was
initiated
in 1984
was
16
a
very limited
set of five
wells, and
it was
targeted
at
17
pond
A
at the site
and it was
part
of the
construction
18
permit for pond
A, and
what’s referred
to and is
included
19
in
these box and
whisker
plots have to
do with
a much
20
larger
set of wells
that was
predominantly
installed
in
21
‘99 and
later
as
part of the efforts
to close
pond 0
22
specifically.
23
MR.
COBB:
Statistically,
you
have
an
24
accurate picture
here.
In
my prefiled
testimony,
53
Keefe
Reporting
Company
1
attachment
I
really
gives
the
current
extent
of
the
2
plume,
so,
I
mean,
that’s
——
that
is
reflective
of
what’s
3
been
happening
since
the
ash
impoundment
was
there.
I
4
mean,
that
is
the
cumulative
effect,
and
the
monitoring
5
data
that’s
there
is
statistically
reflective
of the
6
conditions
in the
upper
zone
and
the
lower
zone,
so
I
7
don’t
--
those
--
in
my
opinion,
I
don’t
think
those
8
would
change
even
if
you
had
——
those
would
just
be
9
averaged
into
the
plot,
and
then
in
fact
they
are
10
represented
in
attachment
I of
my
prefiled
testimony,
and
11
then
the
statistical
information
is
in
attachment
II
and
12
III
of
my
prefiled
testimony.
13
MS.
BARKLEY:
Okay.
Thank
you.
And I
guess
14
another
question
about
--
you
were
talking
about
the
time
15
line
of
possible
federal
--
changes
to the
federal
regs
16
and
what’s
going
on with
the
site-specific
change.
I
17
wondered
if
?meren
could
speak
a
little
bit
about
the
18
inunediacy,
your
sense
of
why
this
needs
to
be
done
in
the
19
short—term,
and
I
understand
that,
you
know,
there’s
some
20
concern
about
how
long
the process
could
take
and
it
21
might
not
--
it
would
take
a while
to
get
it
enacted,
but
22
I
wonder
if
there
are
things
that
.aneren’s
anticipating
23
in
the
future
that
would
require
this
to be
handled
24
within
the
next
12
months.
54
Keefe
Reporting
Company
C
1
MR.
BOLLINGER:
Well,
again,
for
Hutsonville
2
pond D,
when
——
this
pond
has
been
excluded
from
coverage
3
under
wastewater
treatment
regulations
since
2000,
and
so
4
we have
been
working
since
then
to
try and
close
it.
At
5
the
two
other
sites
that
I
mentioned,
we have
wastewater
6
permits
that
will
expire,
and
through
discussions
with
7
the
IEPA’s wastewater
programs,
they
do
not intend
--
8
they have
told
us that
those
permits
will
be
terminated,
9
so they
are not
--
to date
they
have
not
been at
all
10
willing
to
extend
those
permits,
and
I
-- as
I had
11
mentioned,
the
actual
operations
that
previously
utilized
12
those ponds
are
no
longer
routing
any wastewater
to
those
13
ponds,
so
in our
opinion,
we
have both
the
—— we’re
going
14
to
—— the
permits
are
going to
expire
and therefore
leave
15
those
in
this
kind
of regulatory
uncertainty
area
and
16
they
were
no longer
serving
a function
as an ongoing
17
wastewater
treatment
operation.
It
just
seems
prudent
to
18
close
them expeditiously.
19
MS. BARKLEY:
I
think
it was
in IEPA’s
20
response
to my
prefiled
questions
that there
was
--
that
21
meren
has
stated
a desire
to
sell
the facility?
Is
22
that
--
23
MR. MORE:
At
one
point that
was
the
case,
24
yes.
55
Keefe
Reporting
Company
1
MR.
BOLLINGER:
For
Hutsonville.
2
MR.
MORE:
For
Hutsonville.
3
MS.
BARKLEY:
Is
that
no
longer
the
case?
4
MR.
MORE:
It’s
no longer
for
sale.
5
MS.
BARKLEY:
Question
7
--
6
HEARING
OFFICER
FOX:
Ms.
Barkley,
if
you’re
7
moving
ahead
to
number
7,
number
6,
you
had
——
8
MS.
BARKLEY:
Number
6,
I
--
9
HEARING
OFFICER
FOX:
Those
are
all
the
10
follow-ups
that
you
were
anticipating?
11
MS.
BARKLEY:
Yes.
12
HEARING
OFFICER
FOX:
Very
good.
Surely.
13
MS.
BARKLEY:
Okay.
And
actually,
number
7
14
I
think
we’ve
already
covered,
and
that
concerns
15
compliance
with
class
I groundwater
quality
standards
16
instead
of
looking
at
degradation
over
time.
Question
8,
17
this
was
about
removing
material
and
placing
it
in
other
18
sites
with
controls,
and
one
--
I
guess
I
would
like
to
19
ask
about
what
sort
of
—— you
know,
if
there’s
been
an
20
affordability
analysis
or
an
economic
analysis,
the
21
affordability
of
an
option
of
dredging
up
material
and
22
moving
it
to
a
lined
facility,
and I
understand
that
it’s
23
considered
economically
unreasonable,
but
I
wonder
if
you
24
have
anything
supporting
that.
56
Keefe
Reporting
Company
1
MR.
BOLLINGER:
The
cost
estimates
were
2
developed
as
part
of
the
alternatives
analysis,
and
I
can
3
cite
the
section
of
that.
It’s
in
spreadsheet
--
looking
4
for
the
technical
support
document.
Page
73.
It’s
Table
5
3—1,
Closure
Alternatives
Screening
Summary,
and
we
have
6
cost
estimates
for
——
for
instance,
you
mentioned
7
actually
removing
it,
taking
it
to
an
off-site
facility,
8
and
those
ranged
from
23
to
34
million
dollars
depending
9
on
the
evaluation
or
the
——
excuse
me
——
the
assumptions
10
you
make
of
whether
are
you
going
to
dig
it
up
and
be
11
able
to
utilize
it
in
some
capacity
or
recycle
it
or
12
whether
you’re
actually
transporting
it
off-site
to
a
13
disposal
facility,
and
those
costs
were
just
compared
in
14
contrast
to
the
other
alternatives
presented.
15
MS.
BARKLEY:
Okay.
Other
than
comparing
16
and
contrasting,
have
you
done
any
——
looked
at
and
17
compared
to
other
operating
expenses
on—site
or
over
a
18
period
of
time
how
ash
waste
being
created
right
now
--
19
what
the
cost
over
time
of
that
is?
I
think
it
would
20
provide
some
context
if
you
could
-—
instead
of
just
21
showing
cost
estimates
of
different
options
and,
you
22
know,
which
one
is
the
least
expensive
or
most
expensive,
23
if
there
was
an
affordability
analysis
and
if
it
was
24
looked
at
and
compared
to
what
you’re
spending
right
now
57
KGefe
Reporting
Company
(
1
on
waste
disposal
and
treatment.
2
MR.
MORE:
Well,
there
is
no waste
disposal
3
going
on
at
this
point
at
ash
pond
D.
4
MS.
BARKLEY:
Not
at
that
pond
D.
Great.
5
MR.
MORE:
So
since
that’s
the
case,
we
6
compared
closure
to closure
in
essence.
One
way
of
7
closing
ash
pond
D was
as proposed,
a cap,
trench;
8
another
way
of
closing
ash pond
D
would
be
digging
up the
9
material
and disposing of
it
off-site.
So
we
didn’t
look
10
at
an
affordability
analysis
because
there
is
no
really
11
ongoing
disposal
cost
or maintenance
cost
associated
with
12
the pond.
13
MR.
BOLLINGER:
The
cost
to
manage
--
14
MR.
MORE:
Operating
cost.
15
MR.
BOLLINGER:
--
ash as
it’s
being
16
generated
now
and
into
the
future
would
really
not
be
a
17
comparable
cost
because
this
ash
is
already
in
situ
or
in
18
place,
unlike
an
analysis
one
might
conduct
for
a
19
long—term
ash
management plan.
We
have
a
division
within
20
our company
that
does
look
at
long—range
ash
management
21
plans
for
each
facility
and
evaluates
the
cost
and
22
feasibility
of
alternatives,
and
we
certainly
have
built
23
landfills
at
some
locations
and
are
continuing
to
do so,
24
but
that’s
a
case—by—case
evaluation
and
analysis,
and
58
Keefe
Reporting
Company
C
1
again,
that’s
a forward
-— and
that’s
for
ash we
are
2
generating
today
in
the predicted
life
of
the plant
3
versus
a
circumstance
such
as
pond
D where
we’re
really
4
trying
to
address
the cumulative
assemblage
of ash
from
5
that
operation
for
‘68
through
2000.
6
MS.
BARKLEY:
I’m
not an
economist,
but I --
7
it
seems to
me
that
that’s
a cost
of
doing
business
that
8
should
be
looked
at
not just
as a
sum
at the
end
of
the
9
life of
that
ash pond
but
really
looked
at
over the
years
10
of
service
that it’s
provided,
so to
just
give
a number
11
of,
you
know,
X number
of
million
dollars
really
looks
12
like
-- I
know
you’d
be
paying
it in
this
time
period,
13
but
if
you
look
at it
over time
of
generation
of
that
14
waste
material,
it
might
look like
a more
reasonable
15
option
or
it
might help
paint
the
picture
differently
16
when you’re
looking
at this
chosen
alternative
as
opposed
17
to
others.
18
NR. BOLLINGER:
I’m
not
an
economist
either.
19
I was
just
trying
to
distinguish
between
ongoing
planning
20
for ash
as
it’s
generated
today
or
tomorrow
versus
the
21
historic
backlog
of ash
that
is present
in
pond
D.
I
22
mean,
that
was
my
point,
but I
can’t
speak
to
what
would
23
be
an appropriate
economic
analysis.
24
MS. BARKLEY:
One of
the
other things
I’d
59
Keefe
Reporting
Company
1
like
to
raise
is
folks
I
work
with
over
in
Indiana
--
and
2
I
will
--
I
don’t
have
any
documentations
right
now,
but
3
I’d
like
to
put
it
in
the
record
as
part
of
my
final
4
comments.
I
understand
that
there
are
power
generating
5
facilities,
cogen
power
generating
facilities
in
Indiana
6
that
regularly
dredge
material
out
of
ash
impoundments
7
and
move
it
to
other
disposal
sites.
The
reason
I
know
8
about
this
is
because
our
counterpart
in
Indiana
has
9
opposed
this
practice
because
the
waste
that’s
generated
10
has
been
put
in
abandoned
mines
without
any
controls,
so
11
I
guess
I’d
just
say
that’s
not
what
I
would
offer
as
an
12
alternative,
but
it
seems
like
if
that’s
a
practice
13
that’s
happening
in
Indiana,
that
shows
that
it
is
14
technically
feasible
and
it’s
economically
reasonable
to
15
use
large
equipment
to
remove
ash
waste
and
dispose
of
it
16
at
another
site,
which
then
I
would
offer
should
be
in
a
17
lined
facility
like
anything
you’re
building
right
now.
18
So
I
guess
I
would
like
to
see
it
flushed
out
19
as
——
you
know,
I
know
it
——
your
response
makes
it
seem
20
like
it’s,
you
know,
the
unconventional
excavation
21
techniques
and,
you
know,
the
expense,
moving
such
a
22
large
volume
of
material
is
too
expensive
and
23
economically
infeasible,
but
I’m
not
sure
there’s
any
——
24
I
guess
I
haven’t
seen
anything
to
show
that
that
is
the
60
Keefe
Reporting
Company
C
1
case.
2
MR.
MORE:
Well,
I’d
ask
that
you
consider
3
that
when
this
is
closed,
you’re
looking
at
a
million
4
tons
of
ash
at
once,
saturated
ash.
5
MR.
BOLLINGER:
At
other
Ameren
facilities,
6
we
do
remove
ash
from
existing
basins,
whether
that’s
for
7
utilization
or
for
disposal
at
some
locations
at
8
landfills,
but
the
feasibility
of
that
is
very
much
9
dependent
upon
the
physical
configuration
of
the
pond,
10
and
at
pond
D,
the
challenge
is
in
order
to
get
all
the
11
material,
including
this
approximately
one-third
that
is
12
down
and
mixes
with
the
water
table,
would
require
13
substantial
materials
handling
that
would
include
14
dewatering
that
at
some
location
or
at
some
facility,
and
15
the
site
itself
at
Hutsonville
is
very
limited.
You
16
would
have
to
construct
those
facilities
or
bring
in
a
17
temporary
dewatering
infrastructure
in
order
to
make
that
18
happen,
and
that’s
part
of
what
makes
this
cost
so
19
extraordinary.
At
other
locations,
part
of
even
a
very
20
modern
pond
that’s
fully
lined
that’s
utilized
for
wet
21
sluicing
of
ash,
part
of
the
economy
that
is
evaluated
if
22
those
impacts
are
evaluated
is
that
a
pond’s
usable
23
capacity
is
consumed
and
the
pond
serves
a
purpose
of
24
settling
ash
from
the
water,
and
as
that
ash
builds
up,
I
61
Keefe
Reporting
Company
C
1
mean,
we
do
in
some
locations
remove
that
ash
for
any
2
number
of
either
beneficial
uses
or
other
disposal
3
alternatives,
but
that
is
very
much
dependent
upon
4
evaluating
a
facility
and
its
usable
capacity
and
5
ensuring
that
you
continue
to
maintain
compliance
with
6
water
quality
limitations
that
affect
the
actual
7
operation
of
the
pond,
and
again,
what
I’m
suggesting
is
8
that’s
a very
different
scenario
and
a very
different
9
evaluation
than
managing
the
cumulative
materials
in
a
10
pond
that’s
fully
out of
service,
so
--
11
MS.
BARKLEY:
Has
there
been
at
any
time
12
removal
of ash
material
for
beneficial
use
from
pond
D?
13
MR.
BOLLINGER:
I’m
not aware
that
we
14
have
——
I’m
not
aware
of
any
significant
project
where
15
that
has
occurred
in pond
D.
The company
has
a
fairly
16
good
——
I
believe
there’s
a
good
track
record
of ash
17
utilization,
but
that
depends
on
the
facility.
At
the
18
Hutsonville
site,
there
is
not
a
market
that
there
is
19
elsewhere.
In
order
to
utilize
large
quantities
of ash
20
at
many
locations,
the
company
has
invested
in
dry
ash
21
handling
systems
that
facilitate
the
transport
of
dry
ash
22
and
the
utilization
in other
products,
but
again,
23
that’s
--
there’s
not
a ——
we
have
not found
a
market
nor
24
beneficial
use
options
for
Hutsonville,
and
again,
that’s
62
Keefe
Reporting
Company
1
not something
that
we
deal
with
in
environmental
2
services,
but
there
is
a
department
within
the
company
3
that
works
with
fuels
and
evaluates
beneficial
use
4
opportunities.
5
MS.
BARKLEY:
I’d
like
to
follow
up
on
that
6
just
a
little
bit.
I
asked
about
beneficial
reuse
from
7
pond
D.
Is
there
any
beneficial
reuse
from
ponds
A, B
or
8
C?
9
NR.
BOLLINGER:
None
that
I
would
state
of
10
any
significance.
The
other
pond
that
you
didn’t
mention
11
in
that
was we
have
a
bottom
ash
pond
at
Hutsonville,
and
12
we do
essentially
consider
all
of
the
bottom
ash
13
generated
by
its
use
as
typically
for
icing
control
by
14
local
counties
and
municipalities,
so
bottom
ash
is
15
utilized
in
that
regard,
but
fly
ash,
I don’t
believe
16
there’s
been
any
significant
off-site
utilization
from
17
any
of
those
basins.
And
again,
I
think
I
stated
18
previously
that’s
because
we
haven’t
found
opportunities.
19
There’s
not
a market
available
that
our
fuel
group
has
20
been
able
to
identify
within
a
reasonable
transport
21
perimeter
around
the
plant.
I
mean,
part
of
the
economy
22
of
that
is
how
far
we’d
have
to
transport
something
to
23
make
it
available
to
someone
who’s
going
to
utilize
it,
24
and
some
of
those
challenges
simply
have
not allowed
us
63
Keefe
Reporting
Company
1
to
reutilize
ash
from
Hutsonville.
2
MS.
BARKLEY:
When
that
happens,
either
at
3
your
site
or
other
meren
facilities,
does
the
user
of
4
that
coal
waste
pay
meren
for
that
product
or
are
you
5
paying
for
them
to
haul
it
off-site?
6
MR.
BOLLINGER:
I
am not
--
Again,
I’m
not
7
personally
familiar
with
that
to
the
extent
to
state
that
8
with
certainty,
but
it
is
my
understanding
that
it
is
9
usually
at
no
cost
or
actually
is
subsidized,
but
I’m
10
not
--
I think
--
yeah,
again,
it
is
unique,
and
I
think
11
in
certain
circumstances
where
probably
my understanding
12
is
the
highest
use
would
be
for
a
fly
ash
that
is
of
13
adequate
quality
and
is
available
dry,
there
may
actually
14
be
a market
where
we
are
paid
for
that
——
for instance,
15
in cement
manufacturing
and
concrete
manufacturing
—— but
16
for
a
lot
of other
lower
quality
uses,
I
think
it
would
17
be
subsidized
or
provided
for
free,
but
again,
I’m
18
speculating
there.
I’m
just
not
familiar
with
the
19
economics
for
ash
utilization.
20
MS.
BARKLEY:
Could
Ameren
quantify
the
21
reports
on
the
record
of
instances
of
beneficial
reuse
22
from
any
of
the
ponds,
any
of
the
five
ponds,
I
guess?
23
MR.
BOLLINGER:
Hutsonville,
I
thought
--
24
MS.
GALLAGHER:
I
think
we
tried
that.
64
Keefe
Reporting
Company
C
1
MR.
BOLLINGER:
I
thought
we
tried to
do
2
that.
3
MS.
GALLAGHER:
I’m
Susan
Gallagher.
We
can
4
certainly
provide
you
with
those
numbers.
5
MS. BARKLEY:
Any
follow-up
response
after
6
the--
7
MS.
GALLAGHER:
I think
she
sent
you --
8
MR.
MORE:
I want
to
go
off
the
record.
9
MS.
GALLAGHER:
Sorry.
10
HEARING
OFFICER
FOX:
If
we
may
go off
the
11
record
just for
a moment.
12
(Discussion
held
off
the record.)
13
HEARING
OFFICER
FOX:
We
do
need
to
go
back
14
on the
record.
Thank
you
very much.
15
MS.
BARKLEY:
I
know
we have
a
joint
16
proposal
from
IEPA
and
Aineren,
but
I’m still
looking
for
17
alternatives,
and
it seems
like
one
alternative
that
18
maybe
hasn’t
been flushed
out is
recovering
materials
in
19
ash
pond
D,
at least
some of
them,
to reduce
the
burden
20
on
underlying
groundwater
supplies,
and that’s
where
I’m
21
going
with the
question,
is
if
there’s
--
if
there
is
a
22
market
out there,
if
it’s
possible
to
remove
some
of
23
those
materials,
or
if beneficial
reuse
from
ash ponds
A,
24
B or C
is
happening,
then it
could
be happening
from
pond
65
Keefe Reporting
Company
1
D.
That’s
--
2
MR. BOLLINGER:
Let
me
just
offer one
3
thought
in that
regard.
I
mean,
to try
and
remove
4
significant
quantities
of
ash
from
pond D
and then
close
5
the basin
doesn’t
have
a
gain
in terms
of
improving
6
groundwater
impact
unless
one’s
able
to get
all the
way
7
down
to
the
stuff
at depth,
so
my point
is
that
unless
8
you’re
successful
in
getting
all
the way
down
to what’s
9
deep,
then the
value
of that
exercise
is
not
significant,
10
and to
get
what’s
deep
is
what
the
cost figures
show
to
11
be most
challenging.
I
mean,
if
you
can envision
a
12
scenario
where
you
empty
the
top half
of the
pond
and
13
then
you
wanted
to bring
the
rest up
but
you’d
have
to
14
excavate
it
all,
face
the challenges
you
explained,
place
15
something
at
depth
and
then
place
some
materials
back
on
16
top,
so
it’s
a partial
cleanout
of
the
pond.
17
Particularly,
a
partial
cJ.eanout
that
would
be
the
18
surface
materials
would
not
be
a very
efficient
means
of
19
trying
to
reduce
the
potential
for
leachate
that
we’re
20
facing
with
the
ash
at depth.
21
MR. COBB:
Conceptually,
too,
I --
you know,
22
I don’t
have
an
exact
answer,
but in
theory,
I think
I
23
might
be a
little
bit concerned
with potentially
right
24
now we
have
somewhat
of
a
steady
——
in
groundwater
66
Keefe
Reporting
Company
1
terminology
a
steady
state
condition
in
terms
of
2
geochemistry
and
equilibrium
with
the
hydrology.
If
we
3
go
digging
up
that,
stirring
things
up
similar
to,
say,
4
sediments
in
Lake
Michigan,
we
may
actually
see
some
5
further
degradation
beyond
what
the
current
trends
have
6
shown.
So
I
don’t
have
an
exact
answer,
but
I
do
have
7
some
concerns
theoretically
on
using
that
approach
versus
8
leaving
things
in
a
steady
state
condition
and
not
9
further
stirring
up
the
pot,
so
to
speak,
and
possibly
10
releasing
more
contaminants
than
were
there
already
in
11
the
contamination
plume,
which
is
something
that
hasn’t
12
been
assessed
by
the
groundwater
flow
modeling
and
the
——
13
we
have
a
pretty
good
handle
on,
I
think,
what
the
14
dynamics
of
the
hydrology
are
right
now,
but
that
would
15
sort
of
potentially
upset
the
apple
cart.
16
HEARING
OFFICER
FOX:
Ms.
Barkley,
if
I
may
17
interrupt
you,
we
have
been
at
it
for
a
little
over
an
18
hour
and
a
half,
and
I
certainly
appreciate
everyone’s
19
diligence.
Why
don’t
we
take
a
break
and
come
back
at
20
10:15.
I’ll
note
that
we
are
in
the
middle
of
follow-ups
21
or
perhaps
at
the
end
of
follow—ups
on
question
number
8,
22
and
we
can
begin
by
checking
with
you
to
see
if
we
have
23
in
fact
wrapped
that
up.
24
MS.
BARXLEY:
Okay.
67
Keefe
Reporting
Company
1
HEARING
OFFICER
FOX:
If
so,
we
can move
on
2
to
number
9,
which
refers
to
the
final
grading
and
slope.
3
But
if
we
could
go
off
the record
and
come
back
at
--
did
4
I say
10:15?
10:15,
and
if
everyone
would
just
hold
on
5
just
for
a
short
announcement
about
procedures.
Thank
6
you very
much.
7
(Brief
recess
taken.)
8
HEARING
OFFICER
FOX:
I
wanted
to
make
one
9
minor
housekeeping
announcement.
As
I mentioned
at
the
10
top
of the
hearing,
at
the
entrance
to
this
room
with
a
11
pen
is
a
sheet
on
which
anyone
who
has
not
prefiled
12
testimony
may
indicate
that
they
would
like
to do
so
13
today.
I
noticed
that
that
was empty
at
or
near
the
14
conclusion
of
the break,
but
I want
to
be on
the
record
15
as
making
sure
that
that
opportunity
is
known
to
the
16
people
who
are
present
here.
Having
said
that,
17
Ms. Buckley,
we
were
--
Barkley
--
my
apologies
for
18
misstating
your
name
—— we
were
addressing
your
follow—up
19
questions
to
number
8
of your
prefiled
questions
and
we
20
had
left
it
that
if
you
had
additional
follow-ups,
we
21
could
turn
to
those.
If
you
did
not on
number
8, we
can
22
move
on to
question
number
9,
and
I
will
let
you
indicate
23
where
you
are.
24
MS.
BARKLEY:
Okay.
I think
I’m
done
with
68
Keefe
Reporting
Company
1
question
8.
2
HEARING
OFFICER
FOX:
Very
good.
Question
3
number
9
dealt
with
the
final
grading
and
slope.
Have
we
4
addressed
that
to
your
satisfaction
--
5
MS.
BARKLEY:
Yes.
6
HEARING
OFFICER
FOX:
--
or
do
you
have
some
7
follow-ups?
8
MS.
BARKLEY:
No,
that’
s
been
addressed.
9
HEARING
OFFICER
FOX:
Very
good.
Why
don’t
10
we
move
on
to
number
10.
11
MS.
BARKLEY:
Question
10
was
about
how
the
12
groundwater
quality
standards
and
non—degradation
13
standards
are
being
applied,
and
I
wondered
——
I
saw
the
14
joint
proposal
explanation
of
what
would
be
applied
to
15
the
upper
zone
and
what
would
be
applied
to
the
lower
16
zone,
but
I
wondered
if
the
Agency
could
respond
with
an
17
explanation
or
justification
for
how
those
are
being
18
applied,
and
then
you
can
reference
under
what
authority
19
or
in
what
regulation
that
would
be
applied.
20
NR.
COBB:
Sure.
I
--
You
know,
this
site,
21
although
it’s,
you
know,
not
the
most
complex,
it
22
certainly
does
kind
of
have
some
challenges
because
you
23
have
on-site
and
off-site
impacts;
you
have
two
different
24
zones
within
one
aquifer
and
you
have
two
different
69
Keefe
Reporting
Company
1
levels
of
impact.
So under
Section
840.116(a),
the
2
on-site
groundwater
quality
standards
follow
the
3
correct
——
following
the corrective
action
are
based
on
4
the
groundwater
management
zone
procedures
in
35 Illinois
5
Administrative
Code
Part 620.450(a)
(4),
and
under
6
Section
840.116(b),
the
off-site
groundwater
quality
7
standards
following
corrective
action
are
based on
the
8
numeric
standards
of Section
620.410
in the
upper zone
of
9
the underlying
aquifer,
and
on the
non-degradation
10
standard
of Section
620.401
and
Section
620.301(a)
in
the
11
lower
zone
of the
underlying
aquifer.
12
So however
regardless
of
the complexities,
both
13
the
on-site
and
the
off-site
compliance
can be
determined
14
at
the Hutsonville
property
boundary
downgradient
of
ash
15
pond
D using
wells
that
are screened
at
different
depths
16
to assess
the
upper
and the
lower
zones.
Earlier
I
had
17
referred
to some
attachments
in
my
prefiled
testimony,
18
and
the key
thing
that
we’re looking
at there
in
terms
of
19
monitoring
well
14,
which
is in
the
lower zone,
which
has
20
not
got
—— which
has
some
nominal
impacts
there,
but
——
21
some
degradation,
but
yet
below
the
numerical
standard,
22
we
-- in
looking
at the
modeling,
which is
going
to
pull
23
the
plume
back in
the
upper
zone,
that
is
also the
source
24
under
certain
conditions
for
some of
the nominal
70
Keefe
Reporting
Company
1
degradation
that
we’ve seen in
the
lower zone,
so
not
2
only
will that remediation
pull back
that
plume, it will
3
also
diminish
the
source,
so
we
feel that, you
know,
4
steady
state, no increasing
trends,
that we don’t
want
to
5
see
pollution
up
to the numerical
standard.
We feel
6
convinced
by
what’s
proposed here
that it’s going
to
do
7
that.
8
MS.
BARKLEY:
I
guess
what
I was looking
at,
9
the
section on
determination
of compliance,
840.118,
10
within
the proposed
rule change,
I was
thinking
a
11
demonstration
of compliance
—— my
question
was going
to
12
be how long will
the Agency
allow before
compliance
is
13
reached,
but
I
guess you’re saying
that they
will be in
14
compliance
as long
as there’s no
increasing
trend
of
15
contamination.
Is that correct?
16
MR.
COBB: Well,
going
to my prefiled
17
testimony
again and
on
page
20, attachment
IV,
or if
you
18
go to
the
technical support
document,
in the Ameren
TSD
19
on page
534,
you see the
predictive modeling
of the
20
effects
of the
interceptor
trench, and those
are done
21
relative
to
time
scales, so for
example, on
—— in
22
figure 17C-D,
you
see the plume has
been pulled
on --
23
back on
site within 12
years, and then
in example
D,
24
figure D,
the time frame
within
25
years,
so
this has
71
Keefe Reporting
Company
C
1
been
bracketed
by a
time
frame,
but
during
this
process
2
we’ll
be
using
a
statistical
--
or
I
shouldn’t
say
we
--
3
the
--
meren
will
be
using
a
statistical
monitoring
4
approach, which
is
very
good
for
seeing,
you
know,
what
5
kind
of
trends
are
going
to
happen,
so
we’re
being
6
conservative
with
saying
no
increasing
trend
in the
lower
7
zone.
In
fact,
you
know,
it
may
decrease,
but
I
think
8
we
——
the
appropriate
approach
is
to
say no
increasing
9
trend
over
that
time
period
in
the
lower
zone,
whereas
in
10
the
upper
zone
we’re
going
to
see a
significant
decrease
11
over
time,
and
if
you look
at
those
figures
as
compared
12
to
figures
A
and
B
in the
technical
support
document,
13
you’ll
see
that
variation.
In
fact,
you
could
graph
that
14
if
——
those
concentrations
over
time,
to
show
a
decrease.
15
MS.
BARKLEY:
And
so
for
the
no
increasing
16
trend,
is
that
for
all
of
the
class
I groundwater
17
standards?
18
MR.
COBB:
That’s
the
lower
zone
as
it
moves
19
off-site.
20
MS.
BARKLEY:
That’s
--
okay.
21
MR.
COBB:
Downgradient
of
pond
A
at
the
22
Hutsonville
property
boundary.
I’m
sorry.
Strike
that.
23
Pond
D.
I
apologize.
We’ve
gone
through
naming
so
many
24
ponds
today
that
--
72
Keefe
Reporting
Company
1
MS.
BARM.EY:
For
the
lower
zone
2
downgradient
of
pond
D.
3
MR.
COBB:
Correct.
4
MS.
BARKLEY:
Okay.
5
MR.
RAO:
May I
ask
a follow-up
question?
6
Mr.
Cobb,
regarding
the
groundwater
quality
standards
for
7
the
lower
zone
off—site
——
8
MR. COBB:
Yes.
9
MR.
RAO:
-- in
Subsection
(b)
of
840.116,
10
it says
that
the
non-degradation
standard
under
620
11
applies.
12
MR.
COBB:
Correct.
13
MR.
RAO:
Will
there
be any
numerics
and
14
numbers
attached
to that
lower
zone?
15
MR.
COBB:
In
fact,
yes.
If you
go to
my
16
preflied
testimony
again and
turn
to attachment
II,
that
17
takes
us
back to
the
box and
whisker
plots.
18
MR. RAO:
Yeah.
19
MR. COBB:
And
so those
by
default
have
20
become
sort of
the new
background.
21
MR.
RAO:
Okay.
22
MR.
COBB:
And I’m
using
that
term loosely,
23
so
-- but
it becomes
the
condition
that
exists
right
now,
24
and we’re
seeing
that
as
——
in
a statistical
snapshot
73
Keefe
Reporting
Company
1
from
that
monitoring
that
was
done
from
2002
to
2008,
so
2
we
will
be
looking
at
ongoing
monitoring
--
3
MR.
RAO:
Yeah.
4
MR.
COBB:
--
at
monitoring
well
14
to
see
5
is
that
still
steady
state.
6
MR.
RAO:
Okay.
7
MR.
COBB:
So
that’s
--
they’ll
be
our
8
measurements
right
there.
9
MR.
RAO:
Okay.
And
along
the
same
line,
10
you
know,
for
the
on-site
groundwater
quality
standard
11
after
the
completion
of
closure,
I
think
the
rule
states
12
that
the
existing
concentrations
will
be
the
standard
13
on-site.
14
MR.
COBB:
Exactly,
and
that’s
very
15
consistent
with
the
groundwater
management
zone
—-
16
MR.
RAO:
Yeah.
17
MR.
COBB:
——
provisions.
In
essence,
as
18
that
corrective
action
is
going
on,
which
they’re
--
19
MR.
RAO:
Yeah.
20
MR.
COBB:
--
they’ll
be
actively
pulling
21
the
plume
back
--
22
MR.
RAO:
Yeah.
23
MR.
COBB:
--
you
know,
we
don’t
want
them
24
to
be
out
of
compliance
with
the
numerical
standards
as
74
Keefe
Reporting
Company
1
that
process
is
going
on, so
we
take
that
into
account
2
and
typically
look
at
the
existing
concentrations.
Now,
3
as you
look
on
--
back
at
attachment
IV
of my
prefiled
4
testimony,
you’ll
see what
we
think
the plume
5
diminishment
is
going
to
be,
so
there’s
actually
going
to
6
be
some
decreasing
trends
off—site,
and
as long
as
that
7
is
maintained
and
we
feel
after
this
period
with
a
cap
8
and
the
equilibrium
that
exists
there
that
it’s
going
to
9
pretty
well
keep
maintaining
this
position.
10
MR.
RAO:
And
will
there
be
numeric
11
standards
set
for
that
on-site
based
on
the
existing
12
concentration
at
some
point?
13
MR.
COBB:
Going
to
the
Board’s
groundwater
14
quality
standards,
we’re
using
the
alternative
15
groundwater
quality
standards
after
a
corrective
action
16
has
been
completed.
Let
me
find
that,
if
you
will,
here,
17
just
a
second.
That’s
in Section
620.450,
and
Subsection
18
(a)
(4),
so
--
(a)
(4)
(B),
and
maybe
it
would
help
if
I
19
read
that.
After
completion
of
a
corrective
action
as
20
described
in Section
620.250(a)
--
which
are
the
21
groundwater
management
zone
provisions
——
and
we
said
22
we’d
modeled
this
after
that
--
the
standard
for
such
23
released
chemical
constituent
is:
A
concentration
as
24
determined
by groundwater
monitoring,
if
such
75
Keefe
Reporting
Company
1
concentration
exceeds
the numerical
standards
in
the
2
appropriate
class
of groundwater
—-
and then
it lays
out
3
the
specifics,
in
this
case Section
620.410
-- would
4
apply,
and
to the
extent
practicable,
the
exceedance
has
5
been
minimized
and
beneficial
use as
appropriate
for
the
6
class
of groundwater
has
been
returned,
and any
threat
to
7
public
health
or the
environment
has been
minimized.
8
This
is
what we
-—
This was
our guidance
and why
we
9
applied
the
existing
concentrations,
and we
feel
that
10
given
what
we’ve
seen,
the
predictive
modeling,
the
11
monitoring,
that there
will
be no
problem
meeting
this
12
board
standard.
13
MR.
RAO:
Okay.
14
MR. COBB:
But
that
was the
basis.
15
MR. RAO:
Okay.
And
as drafted,
the
rule
16
allows
Ameren
to
seek
a
groundwater
management
zone.
17
MR.
COBB:
AbsoJ.utely.
18
MR.
RAO:
And
is
it
the Agency’s
expectation
19
they
are
going
to seek
a management
zone
and that
you’re
20
going
to
evaluate
it
under
620
to see
whether
they
21
qualify
for
it?
22
MR.
COBB:
It’s possible
they could
avail
23
themselves
of
that.
The
complication
with
the
24
groundwater
managements
——
and they
can
do
that
on—site.
76
Keefe
Reporting
Company
C
1
It
gets
more
complicated
off—site
because
we’ve
always,
2
you
know,
insisted
upon
obtaining
permission
from
the
3
off-site
landowner
to
extend
that,
but
they
certainly
4
could
avail
themselves
of
that
on-site.
5
MR. RAO:
I
had
a
question
about
this
agency
6
policy
about
getting
permission
from
off-site
owners.
Is
7
that
part
of
the
groundwater
management
zone
provisions
8
under
Part
620
or
is
it
agency
policy
that
it’s
required?
9
MR.
COBB:
That’s
more
of
a
legal
--
10
MR. WIGHT:
I
--
It’s
not
part
of
620.
It
11
doesn’t
provide
that.
It’s
an agency
policy.
If
you
12
have
to
conduct
certain
activities
as
part
of
that,
like
13
extend
your
monitoring
and
so on,
you’re
going
to
need
14
that
permission
to
do
those
things
off-site,
so
the
way
15
we’re
set
up
here
is
to
make
——
and
I
know
Ameren
has
had
16
contacts
with
a
lady
off-site,
which
--
well,
I
won’t
try
17
to
characterize
those,
but
it’s
not
clear
that
she
would
18
agree
to
a
groundwater
management
zone.
Let’s
just
leave
19
it
that
way.
And
they
may
want
to
attempt
that
again.
20
But
in
any
case,
it’s
set
up so
that
they
can demonstrate
21
compliance
at
the
property
boundary
for
that
reason,
and
22
the
standard
that
we
have
established
both
for
the
upper
23
and
lower
zone
for
the
off—site
contamination,
for
the
24
upper
zone,
it’s
a
return
to
the numeric
standards
of
410
77
Keefe
Reporting
Company
1
while
demonstrating
a
decreasing
trend,
then
the
lower
2
zone,
as Rick
just
explained,
is
the
non—degradation
3
concept,
but
those
can
be
demonstrated
to
property
4
boundary,
in
any
case
probably
would
have
to
be
5
demonstrated
to
the
property
boundary.
If
they
were
to
6
obtain
an
off-site
GMZ,
it
would
just
give
them
a
little
7
more
flexibility
with
regard
to
the
standard,
and
it
may
8
be
beneficial
to do
so,
but
if
they
can’t
get
that
9
agreement, what
we need
them
to do
can be
done
on—site.
10
MR.
RAO:
Okay.
So as
far
as
the
Agency’s
11
concerned,
in
terms
of
allowing
these
groundwater
12
management zones,
it’s
always
been
your
policy
to require
13
permission
from
off—site
owners.
14
MR.
COBB:
As
long
as
I’ve
been
involved
and
15
in any
way
that
I might
have
an
influence
on
16
administering,
that’s
been
my approach,
and
I think
that
17
the
Agency
overall
--
18
MR.
RAO:
The reason
I
ask,
the
Board
has
an
19
ongoing
groundwater
rulemaking.
You
know,
we
have
a -—
20
MR.
COBB:
Part
620,
the
amendment?
21
MR.
P.AO:
Yeah,
yeah.
22
MR.
COBB:
Correct.
23
MR.
RAO:
When
I
saw
the
Agency’s
policy
was
24
not in
the
GMZ
provisions,
just
want
to make
you
aware
78
Keefe
Reporting
Company
1
that
the
rulemaking
is
going
on.
2
MR.
COBB:
The
policy
is
formed
primarily,
3
in
my
——
I’m
not
a
lawyer,
but
it
becomes
——
flows
from
a
4
legal
rationale,
so
I
think
we’d
want
to
maintain
that
5
the
way
we’ve
always
done
it.
6
MR.
RAO:
All
right.
Thanks.
7
MR.
COBB:
But
thank
you.
8
MR.
RAO:
And
one
last
question
on
the
9
groundwater
quality
standards
was
regarding
demonstration
10
of
compliance
under
840.118.
In
response
to
Miss
11
Barkley’s
question,
you
were
talking
about
how
the
12
Agency’s
going
to
focus
on
the
trend
analysis
to
see
13
whether
ash
pond
D
is
in
compliance.
Under
14
840.118
(a)
(2)
(iii)
——
or
what
is
it
——
(a)
(2)
(A)
15
(a)
(2)
(A)
(iii),
this
provision
also
requires
that
the
16
concentration
of
constituents
monitored
in
accordance
17
with
840.114
should
also
be
at
or
below
the
applicable
18
groundwater
quality
standards
of
840.116(b),
so
is
it
19
just
the
trend
analysis
the
Agency’s
going
to
rely
on
or
20
are
you
going
to
focus
on
all
the
concentrations
of
the
21
constituents
that
are
being
monitored
to
see
whether
22
they’re
below
the
standards?
23
MR.
COBB:
Well,
typically,
as
you
would
24
do
——
you
would
do
a
trend
analysis
similar
to
what
was
79
Keefe
Reporting
Company
1
presented
in
the
box
and whisker
plots.
Instead
of
that
2
being
a
trend
line,
it
was
broken
down
into
a
box
plot,
3
but
you
could
pull
that
out
and
look
at
that,
and
on
the
4
same
graph,
you
just
show
—— for
example,
on
page
18
of
5
my
prefiled
testimony,
you
see
where
the
concentrations
6
are of
boron
in
monitoring
well
14 and
then
you
see
the
7
numerical
standard
up above
that,
so you’re
always
going
8
to
--
it’s
just
a simple
line
on the
graph
to
determine
9
where
you
are
with
respect
to
the numerical
standard,
and
10
then
you
have
to
tie
that
back,
then,
with
the
--
where
11
you’re
at
with
respect
to
the
remediation
and
the
12
corrective
action,
you
know,
in
certain
cases.
Not
13
necessarily
this
case,
because
they’re
pulling
a ——
14
pulling
it
all
the
way
back
on-site,
but
in
certain
cases
15
with
the
remediation,
you
may
reach
a
point
where
it’s
16
almost
asymptotic,
you
know,
you’re
not
getting
a change
17
so
you’re
not
going
to,
you
know,
bring
it
down
to
the
18
standard.
But
that’s
how
that
would
be
done.
19
MR.
RAO:
Okay.
20
MR.
COBB:
So
you’re
always
looking
at
both
21
things.
22
MR.
RAO:
All
of these
listed
under
23
(a) (2)
(A)
apply.
24
MR.
COBB:
Correct.
80
Keefe
Reporting
Company
1
MR.
RAO:
Yeah.
Thank
you.
Thank
you,
2
Miss
Barkley.
3
MS.
BARKLEY:
As
far
as
the
--
pulling
the
4
plume
back,
is
the
reasoning
behind
that
that
you’re
5
stopping
vertical
--
with
the
cap
that
you’re
preventing
6
rainfall
from
preventing
——
contributing
to
any
more
7
vertical
migration?
8
MR.
COBB:
Yeah.
The
--
With
the
cap
on
9
it
—— With
groundwater,
you’re
always
looking
at
what
we
10
call
head
elevations
or
from
a
higher
head
elevation
to
a
11
lower
head
elevation,
and
then
without
the
cap
you’re
12
always
adding
water
at
a
higher
elevation
than
the
lower
13
elevation
downgradient,
so
we’re
going
to
reduce
that
14
head,
and
then
the
water
that’s
there,
much
of
it
will
be
15
captured
by
the
interceptor
trench,
as
well
as
the
16
off-site
will
be
coming
back
on the
other
side
of the
17
interceptor
trench,
so
it’s
an
excellent
corrective
18
action,
and
the
volume
of water
they’re
taking
out,
I
19
mean,
you
see
the
results
from
the
modeling,
and
in
our
20
opinion,
the
modeling
was
done
sufficiently
and
done
well
21
to
——
so we
expect
that’s
going
to
be
pretty
successful.
22
MS.
BARKLEY:
Is
there
any
pumping
of
23
groundwater
either
from
shallow
wells
or
deep
wells
on
24
the
property,
and
if
so,
where
in
relation
to
the
plume?
81
Keefe
Reporting
Company
1
MR.
COBB:
There
is
a
non-community
public
2
well
on-site.
On-site,
though,
there
--
it
appears
from
3
the
data
that
we’ve
seen
that
it’s
under
a
semi—confined
4
condition
between
the
upper
and
the
lower.
Somewhere
5
between
there
on-site
and
off-site
we
see
that
they
6
appear
to
be
together,
because
we
had
asked
Ameren
—-
not
7
only
did
we
have
other
data
where
we
thought
that,
but
we
8
also
asked
them
to
do
some
tritium
analysis,
and
the
9
tritium
is
a
very
good
tracer
for
determining
when
you’re
10
getting
contemporary
recharge,
and
in
monitoring
well
14,
11
we
feel
that’s
relevant,
because
we
had
four
tritium
12
units,
which
means
that
we’re
getting
some
communication
13
from
the
surface,
whereas
other
parts
of
the
site,
the
14
tritium
could
actually
be
coming
in
from
the
river
into
15
the
——
because
of
the
changing
elevation
of
the
river
16
stage.
Monitoring
well
14,
at
least
it’s
our
opinion,
we
17
feel
that’s
far
enough
away
from
the
influence
of
the
18
river
that
we’re
actually
seeing
that
as
evidence
of
what
19
we
had
in
our
prefiled
testimony.
20
MS.
BARKLEY:
Did
Ameren
consider
pumping
21
contaminated
groundwater
as
a
corrective
action
to
22
further
pull
the
plume
back?
23
MR.
BOLLINGER:
We
did
look
at
that
in
a
24
prior
evaluation
of
alternatives.
We
believe
the
drain
82
KeQfe
Reporting
Company
1
interceptor
trench
is
more
effective
technology
for
the
2
circumstances
there.
In
particular,
as one
goes
3
eastward,
to
try
and
use
a pumping
mechanism
would
be
4
challenging in
that
particularly
when
you
get
in
the
5
deeper
zone,
the
aquifer
is
-—
would
take
a considerable
6
amount
of pumping
to
actually
draw
down
because
it’s
a
7
highly
permeable
aquifer
on
the
eastern
end
of
the
--
8
MS. BARKLEY:
It’s
closer
to
the
river?
9
MR.
BOLLINGER:
Right.
10
MS.
BARKLEY:
Okay.
11
MR.
RAO:
I
had
a
follow-up
question
12
regarding
the
tritium
analysis.
13
MR.
COBB:
Yes.
14
MR.
RAO:
It
1
s
just,
you know,
about
the
15
data.
Has
meren
performed
that
analysis
yet
or
--
16
MR.
BOLLINGER:
Yes.
17
MR.
COBB:
We received
the
results.
18
MR.
RAO:
Would
it
be
possible
for
you
to
19
enter
the
information
into
the
record?
20
MR.
BOLLINGER:
Yeah.
We
received
just
last
21
Friday
an
e—mail
version of
those
results,
and
we
22
forwarded
that
on to
IEPA
for
their
review.
We
have
not
23
received
the
formal
report
from
the
lab.
We
can
either
24
forward
the
e—mail
——
I mean,
the
e-mail
came
directly
83
Keefe
Reporting
Company
from
the
lab,
but
it’s
not
a formal
lab
report,
so
either
2
we can
forward
that
to
you ——
3
MR.
RAO:
A complete
lab
report
would
be
4
more
helpful.
MR.
BOLLINGER:
Then
we
will
wait
until
we
actually
receive
that
at
the
plant,
which
we
have
not
got
it
yet.
The
results
were
actually
completed
last
Thursday,
I
believe.
MR. RAO:
Thank
you.
MR.
BOLLINGER:
We’ll
forward
it.
MS.
BABXLEY:
Going
back
to
the
demonstration
of
compliance,
I
just
wondered
if
what’s
written
in
840.118
conflicts
at
all
with
what’s
in
the
groundwater
quality
standards
at
620.505.
MR.
COBB:
840
point
--
MS.
BARKLEY:
118.
MR.
COBB:
118.
MS.
BARKLEY:
Compared
to
--
MR.
COBB:
Oh,
the
whole
--
MS.
BARKLEY:
If
there’s
any
difference
between
what’s
needed
to
demonstrate
compliance
at
this
particular
site
versus,
you
know,
general
groundwater
quality
standards.
MR.
COBB:
No.
I
mean,
we
were
——
all
of ——
5
6
7
8
9
10
11
12
13
14
15
16
17
18
19
20
21
22
23
24
84
Keefe
Reporting
Company
1
everything
that
I
was
looking
at
in
terms
of
informing
2
how
I
responded
to
this
was
really
coining
from
my
3
experiences
with
Part
620,
so,
yeah,
like
I
said,
I
think
4
we
have
tight
integration
with
the
Board’s
groundwater
5
quality
standards,
including
the
non-degradation
6
provisions.
We
feel
very
comfortable
with
the
remedy.
7
Not
always
the
case.
8
MS.
BARKLEY:
Okay.
So
that’s
it
for
9
question
10.
10
HEARING
OFFICER
FOX:
Very
good.
Let
me,
if
11
I
may,
check
with
Mr.
Rao.
Did
you
have
any
further
12
follow-ups
on
Ms.
Barkley’s
question
10?
13
MR.
RAO:
No.
14
HEARING
OFFICER
FOX:
Very
well.
Your
15
question
number
11,
Ms.
Barkley,
was
directed
to
the
16
Agency
generally,
and
if
you
have
any
follow-ups,
please
17
go
ahead.
18
MS.
BARKLEY:
You’ll
probably
be
pleased
to
19
know
that
I
don’t
have
any
follow-ups
for
11,
12,
13
or
20
14.
21
HEARING
OFFICER
FOX:
Which
brings
us
to
22
your
final
question,
number
15,
which
was
directed
23
specifically
to
Mr.
Nightingale
and
--
regarding
some
24
potential
future
action
by
USEPA.
If
you
have
85
Keefe
Reporting
Company
C
1
follow-ups, please
go
ahead.
2
MS. BARKLEY:
I
don’t
have
any follow-ups
3
for
that
question
either,
but
I
do
have
some
additional
4
questions
beyond
the
scope
of
questions
I
prefiled.
5
HEARING
OFFICER
FOX:
Why
don’t
we
proceed
6
to
those
while
we’ve
taken
care
of
the
follow—ups
to
your
7
specific
written
questions.
8
MS.
BARKLEY:
Okay.
I
apologize
if
this
is
9
in the
technical
support
document
or
in
prefiled
10
testimony.
I
just
hadn’t
thought
about
this
when
I
was
11
going
through
the
materials,
but
in terms
of
surface
12
waters
in the
area
--
I’m
thinking
about
the
Wabash
River
13
and
then
across
the
Hutson
Creek
on
the
way
here
——
I
14
wondered
if
the
Agency
or
Ameren
looked
at
whether
those
15
surface
waters
are
being
impacted
at
all
during
low
flow
16
situations
when
they’d
be recharged
by
groundwater.
17
MR.
BOLLINGER:
We addressed
the
potential
18
impacts
on
the
Wabash
River
as
part
of
the
risk
19
assessment and
found
that
there
were
no
threat
——
no
20
adverse
impacts
on the
ecology.
That
was
the
overall
21
findings
of
that
risk
assessment.
We
did
look
22
specifically
at
the
flow
of
contaminants
to
the
Wabash
23
River
and
resulting
concentrations
that
the
public
or
the
24
environment
would
be
exposed
to.
That
was
all
embodied
86
Keefe
Reporting
Company
1
in
the
risk
assessment.
2
MS.
BALEY:
Was
that
done
within
the
3
context
of
both
Illinois
designated
uses
and
accompanying
4
standards
and
Indiana
designated
uses
and
standards?
5
MR.
BOLLINGER:
I
would
have
to
confirm
that
6
by
reviewing
information.
I’m
not
sure
that
—-
I’m
not
7
aware
that
there
are
higher
use
standards
in
Indiana
than
8
Illinois.
I
would
have
to
confirm
whether
the
Indiana
9
standards
differ
than
--
are
different
than
the
Illinois
10
and
whether
they
were
evaluated
as
part
of
the
risk
11
assessment.
12
HEARING
OFFICER
FOX:
And
for
the
sake
of
13
clarity,
Mr.
Bollinger,
the
risk
assessment
you’re
14
referring
to
is
Chapter
7
of
the
technical
support
15
document,
pages
331
to
492?
16
MR.
BOLLINGER:
That
is
correct.
17
HEARING
OFFICER
FOX:
Very
good.
Thank
you
18
for
clarifying.
19
MS.
BARKLEY:
And
was
Indiana
Department
of
20
Environmental
Protection
-—
or
Environmental
21
Management
--
IDEM,
Indiana
Department
of
Environmental
22
Management,
have
they
been
consulted
at
all?
23
MR.
BOLLINGER:
Not
to
my
knowledge.
24
MS.
BARKLEY:
And
what
about
--
I
would
ask
87
Keefe
Reporting
Company
(
1
the
same
question
for
other
surface
waters,
other
small
2
streams
other
than
the
Wabash.
3
MR.
BOLLINGER:
The
only
other
surface
water
4
that
I’m
aware
of
is
——
I
believe
it
is
Raccoon
Creek,
5
and
it
is
upstream
of
the
Hutsonville
Power
Plant
site.
6
MS.
BARKLEY:
Okay.
Then
I
wonder
if
Ameren
7
could
explain
the
arrangement
with
the
landowner
to
the
8
south
whose
groundwater
is
currently
contaminated
by
ash
9
pond
use.
10
MR.
BOLLINGER:
We
secured
an
agreement
with
11
the
landowner
that
she
agreed
not
to
utilize
shallow
12
groundwater
in
the
first
500
foot
south
of
the
property
13
boundary.
The
property
boundary’s
essentially
an
14
east—west
boundary,
and
based
on
modeling
results,
we
15
looked
at
a
zone
500
feet
to
the
south
and
secured
her
16
agreement
not
to
utilize
or
install
shallow
wells
in
the
17
first
--
50
feet?
I’ll
find
it.
I
think
it
might
be
the
18
first
25
feet
or
something.
Let
me
verify
that
number.
19
MR.
MORE:
It’s
Chapter
9
of
the
technical
20
support
document.
21
MR.
BOLLINGER:
And
it’s
the
first
25
feet.
22
MR.
WIGHT:
If
meren’s
finished
with
their
23
response,
I
might
offer
an
additional
comment.
We
had
24
looked
at
that
agreement.
We
have
questions
about
the
88
Keefe
Reporting
Company
1
enforceability
of
that
agreement.
I
think
we
would
2
question
the
efficacy
of
it.
However,
we
didn’t
pursue
3
it
as
part
of
the hearing
because the
--
it
ended
up
4
being
more
or
less
peripheral
to
the
set
of
standards
in
5
compliance
with
the
property
boundary
that
we
ended
up
6
with,
so
we
haven’t
really
pursued
the
issue
to
a
7
resolution
with
?meren
because
it
seemed
that
the
8
proposal went
a
different
direction,
so
I
just
wanted
to
9
mention
that
for
the
record.
If
it
does
become
an
issue
10
later,
we
would
probably
raise
those
same
objections.
11
MS.
BARKLEY:
I guess
that
was
--
that’s
my
12
concern,
is
the
legality
of
that
agreement.
I understand
13
the
groundwater
is
--
law
is
--
or
rights
are
tied
to
14
land
ownership,
but
knowing
that
that
groundwater
crosses
15
boundaries,
I
just
wonder
if
an
agreement
between
two
16
parties
for,
you
know,
use
on—site
can
be
supported
17
knowing
that
there
could
be
other
adjacent
water
users.
18
It
would
take
--
You
know,
it
would
take,
I
think,
a
19
large
user,
but
if
someone
was pumping
at
an
extremely
20
high
rate,
isn’t
it
possible
that
that
contaminated
21
groundwater
could
cross
that
landowner’s
boundaries,
22
opening
--
I
mean,
opening
up
——
Ameren
up
maybe
to
——
23
MR.
COBB:
There
currently
is
a
large
user
24
of
groundwater;
however,
it’s
very
transient
in nature,
89
Keefe
Reporting
Company
(
1
in the
lower
zone,
the
irrigation
well,
and
of course
in
2
my prefiled
testimony
I got into
that
a
little
bit.
I
3
believe
that
during
the
growing
season
and
up
to
the end
4
of it,
you
finally
see
an
effect,
but
it’s
not there
all
5
the
time,
and
I think
the
reason
for that
is
that lower
6
zone
is
highly
transmissive,
there’s
abundant
water,
and
7
you
really
don’t
see,
in
my
opinion,
an
effect
on
the
8
upper
water conditions
until
a full
--
after a
full
9
growing
season,
and then
it
flips
back
when
the
-- you
10
know,
the
irrigation
is
done.
So I think
currently,
11
right
now,
with
the
bounding
of
the property
that’s
to
12
the
downgradient
of
ash
pond
D,
there
is
some high-use
13
pumping
there
right
now
that certainly
appears
to
be
14
meeting
irrigation
needs,
so --
the interceptor
trench
is
15
also
taking
out a significant
amount
of groundwater.
16
I’ll
defer
to meren,
but I
thought
that was
around
1.9
17
million
gallons
per
day.
I
could
be
wrong.
18
NR. BOLLINGER:
I don’t
have
that number
off
19
the
top
of my
head.
20
NR.
COBB:
From
memory,
I
think
it’s
around
21
1.9
MGD,
but ——
so we did
assess
that,
and
once
again,
we
22
feel
that
the remedy
that’s
there
will
take
care
of
that.
23
It’s
a
pretty
strong
influence
where
you’re
pulling
the
24
plume
all
the
way
back, and
that’s
in the
upper
zone,
90
Keefe
Reporting
Company
1
remember.
If
they’re
going
to
put
in
wells,
it
would
be
2
my
opinion
that
they
would
put
it
in
the
more
highly
3
transmissive
lower
zone,
and
once
again,
if
they’re
using
4
it
for
a
private
drinking
water
system,
the
demand
from
5
that
well
would
be
minimal,
whereas
what
we
currently
6
have
is
a
high-capacity
irrigation
well,
but
yet
that’s
7
very
transient
in
nature
and
we
see
a
minimal
effect,
and
8
that’s
why
we’ve
seen
a
nominal
impact
to
the
lower
zone,
9
in
my
opinion,
because
of
that
transient
nature;
that
10
there’s
only
certain
times
under
certain
time
frames
11
where
the
flow
direction
is
switched
around
that
12
direction
and
you’re
able
to
——
so
I
think
we’ve
assessed
13
that.
14
MR.
WIGHT:
Just
to
address
your
other
issue
15
about
whether
property
owners
can
make
such
agreements
16
when
other
property
owners
may
be
affected
by
them,
we
17
have
at
the
Agency
about
a
12-year
history
of
using
the
18
institutional
control
concept
in
other
types
of
19
remediations,
and
of
course
they
have
to
establish
and
20
demonstrate
a
foundation
that
makes
that
acceptable,
but
21
in
fact
individual
property
owners
do
make
those
types
of
22
agreements
in
those
programs.
Part
of
the
remediation,
23
however,
is
that
the
Agency
project
managers
are
to
24
make
--
that
modeling
is
involved,
and
Agency
project
91
Keefe
Reporting
Company
(
1
managers
have
to
make
certain
assessments
in accordance
2
with
the
criteria
set
forth
in
the
Part
742
rules,
so
if
3
it
looks
like
contamination
will
be a
problem
on
multiple
4
properties,
then
all
properties
have
to
be
accounted
for,
5
and
--
but
there’s
still
a
series
of
individual
6
agreements
that
are
put
together
--
piggybacked,
if
you
7
will
--
to
cover
the
entire
nature
of
the
problem.
I
8
think
based
on
Rick’s
comment,
that’s
not
what
we’re
9
seeing
here,
at
least
under
current
circumstances,
and
10
it’s
clear
that
whether
the
agreement
is
enforceable
or
11
not,
the
off—site
property
owner
is
well
aware
of
the
12
circumstances,
so
—— and
the
other
point,
then,
is
in
13
addition
to
the
institutional
controls
used
under
the
14
TACO
rules,
we
now
have
a
statutory
institutional
15
control,
the
Uniform
Environmental
Covenant,
which
we
16
have
referenced
in
this
rule
as an
instrument
that
might
17
be
needed
on-site
at
the
close
of
the
remediation,
but
18
that’s
also
a
site—specific
instrument
and
would
require
19
multiple
property
owners
to
sign
on, but
it’s
--
it
would
20
be
done
on
that
individual
basis.
21
MS.
BAP.KLEY:
Okay.
Thank
you.
22
MR.
RAO:
I had
a
follow-up
question
23
regarding
the
institutional
control
under
new
Uniform
24
Environmental
Covenants
Act.
We
are not
familiar
with
92
Keefe
Reporting
Company
(
1
this
act
since
it
was
recently
enacted.
Could
you
2
explain
a
little
bit
briefly
for
the
record
what
are
the
3
requirements
for
getting
an
institutional
control
in
4
place
under
this
act?
5
MR.
WIGHT:
Well,
I
--
it’s
not
something
6
that
I’ve
worked
with,
so I
have
read
the
statute
a few
7
times.
We
do have
people
at
the
Agency
who
are
working
8
on
some
of
those
now,
but
I
don’t
happen
to
be
one
of
9
them,
so
I’d
be
reluctant
to
say
too
much
more
for
fear
10
that
I would
misguide
you.
11
MR.
RAO:
Okay.
That’s
fine.
And
if
you
12
can
take
a
look
at
it
and,
you
know,
even
if
you
address
13
it
in
your
comments,
that’s
fine,
but
the
specific
14
question
I had
was,
like
you,
I took
a
look
at
the
15
statute,
and
there’s
something
called
environmental
16
response
project,
which
is
defined,
to which
the
--
this
17
act
applies,
and
they
have
listed,
I
think,
a
bunch
of
18
different
environmental
response
projects
that
are
19
covered
in
this
act.
I
just
wanted
to
get
a
20
clarification
from
the
Agency
whether
the
remediation
21
that
Ameren
would
be
required
to
do under
this
closure
22
plan,
would
that
fall
under
any
of
those
response
23
projects?
24
MR.
WIGHT:
I
can
speak
to
that
briefly,
93
Keefe
Reporting
Company
(
1
because
we
did
take
a
look
at
that,
and
I believe
the
2
last
one
of
those
examples
of environmental
response
3
projects
is
a
reference
to board
or
court
orders,
and we
4
felt
that
because
this
is
a
site-specific
rule
and
there
5
will
be an
order
establishing
this
regulation,
that
that
6
could
fall
within
the
purview
of
that
last
example.
If
7
the
Board
reached
a
different
conclusion,
then
you
might
8
not
want
to
adopt
what
we’ve
proposed,
but
we
thought
9
that
it
was reasonable within
those
examples
that
this
10
would
be
a
board
order,
and
it
doesn’t
specify
that
it
11
has
to
be
an
order
arising
from
a
contested
case,
so
we
12
thought
it
would
be
appropriate
in
this
site-specific
13
rule.
14
MR.
RAO:
Okay.
Thank
you
for
the
15
clarification.
16
MR.
WIGHT:
Would
you
still
want
some
17
responsive
comments
about
-—
18
MR.
RAO:
No.
When
I
was going
through
19
those
list
of
projects,
I
was wondering
where
——
20
MR.
WIGHT:
Right.
21
MR.
RAO:
--
this
remediation
would
fall
22
under,
so
that’s
helpful
to know.
23
MR.
WIGHT:
Okay.
24
MR.
BAO:
And
I
think
in
your
joint
proposal
94
Keefe
Reporting
Company
(
1
now,
it
also
provides
additional
flexibility
to get
2
institutional
controls
under
different
programs
other
3
than
this
Uniform
Environmental
Covenants
Act?
4
MR.
WIGHT:
I’m
sorry.
5
MR.
RAO:
Under
the
revisions
proposed
in
6
the
joint
proposal,
it
allows
for
flexibility
for
meren
7
to
seek
institutional
controls
under
different
programs
8
other
than
this
new
act?
9
MR.
WIGHT:
Yes,
although
those
may
not
have
10
been
developed
yet.
I’m
not sure
that
the
TACO
11
institutional
controls
are
available
in
this
particular
12
situation,
and
that’s
why we
singled
out
the Uniform
13
Environmental
Covenant,
but
as
we’ve
had
testimony
14
already
this
morning,
this
would
be
a period
of
several
15
years
before
we
turn
to
compliance,
and
normally
the way
16
that
institutional
controls
get
applied
in
agency
17
programs
is
that
those
are
almost
always
established
at
18
the
end
of the
corrective
action,
so
if
that
were
the
19
case
here,
it’s
very
possible
that
other
environmental
20
institutional
controls
might
be
developed
over
the
21
duration
that
would
create
options
at
that
point
in
the
22
future
that
are
not
available
now,
and
we
just
wanted
to
23
leave
the
door
open
for
that
possibility.
24
MR.
RAO:
Thanks:
I’m
done.
95
Keefe
Reporting
Company
(
1
MS.
BARKLEY:
Okay.
I’m not
sure who
2
mentioned
it, but
there’s
——
it was
mentioned
there would
3
be up to
1.9
million
gallons
of
--
per day
of water
4
coming
through
the
groundwater
trench?
5
MR.
COBB:
Right.
6
MS. BABKLEY:
Is
that what
would
be
sent
to
7
pond B
and permitted
through
the
NPDES
permit?
8
MR.
BOLLINGER:
Yes.
9
MS.
BARKLEY:
So
what’s
being
proposed
for
10
closure
of
this
pond assumes
—— you’re
relying
on
the
11
NPDES
permit,
then,
to
be
able
to carry
that
--
12
MR. BOLLINGER:
Well,
we’re
relying
on
13
authorization
of
a wastewater
permit.
Right
now
we
14
believe
the
most
efficient
means
of doing
that
would
be
15
for transfer
through
pond
B
and
discharge
with
that
16
existing
outfall
in the
plant’s
NPDES
permit,
but
we
--
17
the
—— we
could
evaluate
a
separate
discharge
for
that
18
if
-- with
the
evaluation
of compliance
with
the water
19
quality
standards
for
the
Wabash River,
but
right
now
20
we
——
it
seems like
the most
efficient
means
would
be
to
21
go
through
pond
B where
we
have
an existing
outfall
and
22
existing
limitation
on boron
and
other
parameters.
23
MS. BARKLEY:
And where
does pond
B
24
discharge
to?
96
Keefe
Reporting
Company
1
MR. BOLLINGER:
I’m
sorry.
I
said
pond
B?
2
MS.
BARKLEY:
Pond
B.
3
MR. BOLLINGER:
And
that
is
to
the
Wabash
4
River.
5
MS.
BARKLEY:
To
the
Wabash.
Okay.
And
can
6
you
give
us
an
idea
of the
time
line
when
you’d
be
7
seeking
a
modified
NPDES
permit
to
handle
that
additional
8
waste
stream?
9
MR.
BOLLINGER:
I’d
have
to
check
on
the
10
timetable
in
the
rule
in
terms
of
how
quickly.
I’ll
let
11
Josh
dig
for
that
a
little
bit,
but
--
12
MR.
WIGHT:
840.132.
13
MR.
BOLLINGER:
Thank
you.
All
right.
So,
14
I
mean,
the
--
per
that
section,
within
180
days
of
the
15
effective
date
of
Subpart
A, we
must
submit
to
the
Agency
16
an
application
to
revise
the
state
operating
permit
or
17
the NPDES
permit.
18
MS.
BARKLEY:
Okay.
And
that
will
open
up
19
antideg
regulations
to
be
applied
on
that
new
waste
20
stream
going
to the
Wabash
River?
21
MR.
BOLLINGER:
I
assume
that
22
antidegradation
review
would
be
conducted
by
the
Agency
23
as
part
of
that
permit
review.
24
MR.
RAO:
May
I
ask
a
follow-up
question?
97
Keefe
Reporting
Company
C
1
Regarding
this
modification
of
the
NPDES
permit
--
2
MR.
BOLLINGER:
Yes.
3
MR.
RAO:
——
has
meren
had
any
——
you
know,
4
as
part
of
your
discussions
with
the
Agency,
have
you
had
5
any
discussion
specifically
related
to
this
NPDES
permit
6
modification
to
allow
the
discharge
from
the
groundwater
7
trench?
8
MR.
BOLLINGER:
I
don’t
believe
we’ve
had
9
specific
discussions
relative
to
the
modification
of
the
10
Hutsonville
permit.
On
the
other
hand,
our
calculations
11
show
that
we
should
be
comfortably
able
to
comply
with
12
the
existing
limitations
in
the
permit,
and
insofar
as
13
overall
impacts
relative
to
boron
as
the
indicated
14
parameter
to
the
Wabash
River,
we
have
looked
at
the
15
discharge
of
boron
through
the
ash
pond
system
and
the
16
ongoing
reduction
in
the
boron
loading
to
the
Wabash
17
River
that
would
be
associated
with
the
pond
closure,
so
18
we
have
looked
at
those
things.
We
believe
that
we
can
19
fully
comply
with
both
our
existing
permit
limits
and
20
with
the
water
quality
standards
for
the
Wabash
River,
21
but
we
have
not
engaged
in
specific
discussions
in
that
22
regard
with
the
wastewater
permitting
group.
23
MR.
RAO:
If
for
any
reasons
if
you
24
encounter
any
problems
in
getting
a
modification
of
your
98
Keefe
Reporting
Company
1
permit,
have
you
evaluated
any
other
options
for
managing
2
water
from
the
collection
trench?
3
MR.
BOLLINGER:
I
don’t
believe
we’ve
done
4
so
specifically
for
Hutsonville.
We
have
at
other
5
facilities
evaluated
the technologies
and
the
costs
6
associated
with
removal
of
boron
from
wastewater,
and
it
7
is
an
extremely
expensive
and
complicated
technology.
In
8
many
coal—fired
facilities,
boron
limits
have
been
9
established
based
on
water
quality
standards
that
allow
10
concentrations
at
or
above
the
limits
that
are
11
established
in
the
Hutsonville
permit,
and
so
we think,
12
again,
since
we
have
an
existing
permit
that
allows
——
13
that
has
limits
and we
believe
we can
stay
within
that,
14
that
we
have
reason
to
believe
that
it
will
be
perinitable
15
and
that
the
Agency
will
modify
to
incorporate
this
16
discharge.
17
MR.
RAO:
Thank
you.
18
MR.
COBB:
I had
just
a couple
follow-ups.
19
MR.
RAO:
Yeah.
20
MR.
COBB:
Internally,
we have
been
--
our
21
workgroup
has
been
interacting
with
the
division
of
water
22
pollution
control,
Sanjay
Sofat,
the
division
manager,
as
23
well
as Al
Keller,
the
permit
section
manager,
and
even
24
over
to Bob
Mosher
to
look
at
the
water
quality
section,
99
Keefe
Reporting
Company
1
anticipating
non-deg
questions
and
analysis,
and
2
furthermore,
in
terms
of
evaluation
of
the
different
3
alternatives,
that’s
something
that
is
required
under
the
4
NPDES
permit,
so
in
fact
we’re
--
we
kind
of
talked
about
5
that
and
felt
that
that
would
probably
have
to
be
done
6
anyway
under
that
versus
spelling
out
some
different
7
alternatives,
so
that’s
——
8
MR.
RAO:
Now,
I
was
--
9
MR.
COBB:
--
not
particularly
in
the
10
drafting
here
of
--
because
we
had
that
--
I
just
wanted
11
to
emphasize
we
had
that
conversation,
so
that’s
part
of
12
the
process
to
look
at
those
other
alternatives.
13
MR.
RAO:
Okay.
And
any
modification
of
the
14
NPDES
permit
is
--
goes
to
a
public
comment
also,
right?
15
Yes?
16
MR.
COBB:
I
believe
it
does.
17
MR.
WIGHT:
Yes.
18
MR.
NIGHTINGALE:
Yes,
it
would
be
subject
19
to
a
public
notice
and
opportunity
for
hearing.
20
MR.
RAO:
Thank
you.
21
MS.
BARKLEY:
Are
there
any
mixing
zones
22
currently
permitted
in
the
NPDES
permit
for
ash
pond
D?
23
MR.
BOLLINGER:
There
is
not
a
specified
24
mixing
zone
for
ash
pond
D.
100
Keefe
Reporting
Company
C
1
MS.
BARKLEY:
Is allowed
mixing
used under
2
the
NPDES
permit?
3
MR. BOLLINGER:
Let
me clarify
your
4
question.
In
some
circumstances
a mixing
zone
analysis
5
is
required
to
ensure
or
to
set
a limitation
in
a
permit,
6
and I’m
not aware
that
there
has
been
a
mixing
zone
7
analysis
conducted.
That
would
be
done
by
typically
--
8
unless
the
studies
required,
it
would
be
done
by the
9
wastewater
permitting
personnel,
and the
established
10
limits
in
the
NPDES
permit
are
long-standing,
and I’m
not
11
aware of
whether
there
was a
mixing
zone
analysis
12
conducted
by
the
Agency.
13
MS. BARKLEY:
Okay.
Thank
you.
I’m
sorry
14
to change
the order
of
the
record,
but I
did notice
when
15
I
was going
through
my
notes that
I
did have
a question
16
about
question
number
12
that was
directed
to
the Agency,
17
and I
think
that’J.l
be my
final
question.
18
HEARING
OFFICER
FOX:
Particularly
if
that’s
19
the
case,
why don’t
we
return
to that.
20
MS. BARKLEY:
Okay.
Question
12
had
to do
21
with the
criteria
that
establishes
that
coal
combustion
22
waste can
be used
beneficially
as
a
coal
combustion
23
by-product,
and
the
response
from the
Agency
states
that
24
coal
combustion
waste
can be
used
beneficially
without
101
Keefe
Reporting
Company
C
1
meeting
metals
standards
established
in
3.135(a-5)
(B)
if
2
the
applicant
demonstrates
to
the
Agency
that
three
3
criteria
will
be
met,
and
they
go on
and
list
the
three
4
criteria,
and
I
wondered
if
someone
from
the
Agency
could
5
explain
how
the
applicant
demonstrates
that
those
6
criteria
have
been
met.
7
MR.
LIEBMiN:
Sure.
We’ll
just
do
it
8
criteria
by
criteria?
9
MS.
BARKLEY:
Sure.
That’d
be
great.
10
MR.
LIEBMAN:
The
first
one
is
the use
of
11
the
CCW
will
not
cause,
threaten
or
allow
the
discharge
12
of any
contaminant
into
the
environment.
We
think
this
13
criteria
or
criterion
will
substantially
be
met by
a
14
combination
of
the
final
cover
system
and
the
groundwater
15
trench.
Do
you
have
any
follow—up
on
that
response?
16
MS.
BARKLEY:
Just
--
I guess
I’d
just
ask
17
that
if
the
material
was submitted in
support
of the
18
petition,
was
it
what
was
used
for
the
determination
or
19
was
it
something
specifically
prepared
by iueren
to
show
20
that
they’ve
demonstrated
that
criteria
number
one
has
21
been
met?
22
MR.
LIEBMAN:
No,
it
was
not
specifically
23
provided,
and
really,
part
of
it’s
not
done.
I think
24
part
of
it
would
be
——
part
of these
requirements
were
102
Keefe
Reporting
Company
1
satisfied
during
the
development
of the
regulations,
and
2
then
it
will
be
completely
satisfied
when
Ameren
provides
3
the
closure
and
post—closure
care
plan
and
we review
it
4
and
then
approve
it.
The
second
one,
the
use
will
5
otherwise
protect
human
health
and
safety.
Again,
6
that’s
--
you
know,
we
think
through
the
development
of
7
these
proposed
regulations
and
then
Ameren’s
drafting
the
8
closure
and
post—closure
care
plan,
our
review
of
it
and
9
approval
and
their
implementation
of
it
will
satisfy
this
10
criteria.
And
three,
the
use
constitutes
a
legitimate
11
use
of
CCW
as
a
raw
material
that
is
an
effective
12
substitute
for
analogous
raw
material.
Yes,
we
think
in
13
this
case
the CCW
would
be
a
substitute
for
clean
soil
or
14
perhaps
some
granular
material,
like
sand
or
gravel.
15
MS.
BARKLEY:
And
just
to
be
clear,
is
the
16
only
way
that
CCW
will
be used
beneficially
on—site
is
17
for
the
final
grading
and
sloping
of the
ash
impoundment
18
before
the
cap
is
placed
on
top?
Is
that
the
only
thing
19
that
the
Agency
has
been
--
has reviewed
in terms
of
a
20
beneficial
reuse
of
coal
combustion
waste?
21
NR.
LIEBMAN:
As
part
of
developing
these
22
regulations,
yes.
23
MS.
BARKLEY:
Okay.
That’s
all
of
my
24
questions.
Thank
you.
103
Keefe
Reporting
Company
1
HEARING
OFFICER
FOX:
Very
good.
Thank
2
you--
3
MS. BARKLEY:
Thank
you.
4
HEARING
OFFICER
FOX:
--
Ms.
Barkley.
5
MS.
BARKLEY:
Thank
you.
6
HEARING
OFFICER
FOX:
Very
good.
We’ve
got
7
some
time
before
we need
to
break,
and Mr.
Rao has
8
indicated
that
he
has
some
questions,
and why
don’t
we
9
turn
to those
at this
point.
10
MR.
RAO:
Okay.
Well,
most
of
my
questions
11
have
already
been
answered.
I just
had a
few
I will
go
12
through.
I
had
these questions
set
up in
order
with
the
13
section
numbers
of the
rule,
so
my first
question
is
14
under the
definitions,
and the
Agency
had
proposed
to
15
delete
the
definition
of
“surface
impoundment”
which
was
16
proposed
initially
by Ameren
in
the rules.
This
term
is
17
used
in
the definition
of
ash
pond
D.
Could
you
clarify
18
whether
we
need
the
term
to
be
defined
--
the term
19
“surface
impoundment”
to be
defined
in these
rules?
20
MR. COBB:
No.
21
MR.
RAO:
Do we
have
the definition
22
elsewhere
or ——
because
there’s
been
much
discussion
23
about
what’s
a landfill
and
what’s
a surface
impoundment,
24
so
would it
be clearer
to
have
a definition
in the
rule?
104
Keefe
Reporting
Company
1
MR.
COBB:
Our
thinking
was
that
throughout,
2
not
only
did
--
not
only
is
it
implicit
that
it’s
--
in
3
this
particular
rule
that
it’s
applied
to
ash
pond
D,
but
4
it’s
explicit,
and
where
it
wasn’t,
Josh
made
sure
it
5
was.
Where
we
think
that
might
make
some
sense
is
6
potentially
down
the
road
if
we
get
some
more
and
expand,
7
but
we
think
it’s
very
clear
at
this
point
that
this
8
applies
to
ash
pond
D.
9
MR.
RAO:
All
right.
10
MR.
COBB:
So
that
was
my
basis
for
the
no
11
response.
12
MR.
RAO:
Okay.
13
HEARING
OFFICER
FOX:
No,
that
it
should
not
14
be
restored.
15
MR.
COBB:
No,
that
it
should
not.
16
HEARING
OFFICER
FOX:
Sorry
to
interrupt
--
17
MR.
COBB:
That’s
okay.
18
HEARING
OFFICER
FOX:
--
but
I
wanted
to
19
make
sure
that
was
clear.
20
MR.
COBB:
No
problem.
21
MR.
RAO:
Moving
on
to
840.112,
the
22
groundwater
monitoring
system,
in
Subsection
(a)
(2),
the
23
Agency
proposed
a
change
that
requires
wells
must
be
24
screened
to
allow
sampling
at
specified
interval
instead
105
Keefe
Reporting
Company
1
of
the
language
Ameren
had I
think
that
proposed
desired
2
intervals,
so
is
the
Agency
going
to
specify
the
3
intervals
in the
closure
plan?
4
MR.
COBB:
Well,
we’ll
certainly
be
5
reviewing
those.
In
fact,
in
this
case
we’re
blessed
6
with
already
knowing.
This
is
here
primarily
in
case
7
there’s
something
we haven’t
——
something
comes
up
that
8
we haven’t already
——
hasn’t
already
been
addressed
by
9
the work
that’s
already
been
done
by
Ameren.
We think,
10
you
know,
it’s
a
quality
job
that’s
already
been
done.
11
MR.
RAO:
Okay.
And
in
the
same
section,
12
under
Subsection
(d),
the
Agency
requires
the
groundwater
13
monitoring
system
to
include
a maintenance
plan.
Should
14
this
maintenance
plan
be
submitted
along
with
the
closure
15
plan
or
is
that
something
that’s
outside
of
the closure
16
plan?
17
MR.
DUNAWAY:
That
is
what
we would
18
anticipate,
that
it
would
be
--
as
part
of the
monitoring
19
plan,
it
would
be
submitted
with
the
closure
plan.
20
MR.
RAO:
Okay.
You
have
spelled
out
all
21
the
information
that
should
be
submitted
in
the
closure
22
plan
under
the
closure
plan
section,
I
think.
23
MR. WIGHT:
It’s
840.130.
24
MR.
PAO:
Yeah.
Can
you
take
a
look
at
it
106
Keefe
Reporting
Company
(
1
to make
sure
that
the
maintenance
plan
is
part of
the
2
closure
plan?
3
MR.
DUNAWAY:
Yes.
4
MR.
RAO:
Thank you.
And
my
next question
5
deals
with
840.114,
the groundwater
monitoring
program.
6
840.114(a)
requires
the
owner
or
operator
to
monitor
7
groundwater
for
inorganic
constituents
and pH
listed
8
under Part
620,
and I
know
you have
quite
a
few
years’
9
worth
of
groundwater
monitoring
data.
Was
there
any
10
monitoring
done for
organic
chemicals
to
see
if there’s
11
any concern
for
organics
in
this
—— ——
12
MR.
BOLLINGER:
Not that
I’m
aware
of. We
13
have
no
reason
to suspect
that
there
would be
organic
14
contaminants
present
in pond
D.
15
MR. RAO:
And there’s
been
no issues
16
involving
organics
in
the Wabash
River?
17
MR.
COBB:
(Shakes
head
back
and forth.)
18
MR. MORE:
I’m
sorry.
Can
we
maybe
get
a
19
verbal,
Your Honor?
20
MR.
COBB:
Sorry
about
that.
No, not
that
21
we’re
aware
of.
22
HEARING
OFFICER
FOX:
Thank
you
for
keeping
23
me
honest.
24
MR. RAO:
My
next
question
is under
840.120.
107
Keefe
Reporting
Company
1
That’s
the
groundwater
collection
trench.
This
is
just
a
2
question
to
deal
--
it
deals
with
the
drafting
of the
3
rule.
The
requirements
for
groundwater
collection
trench
4
is
proposed
as
one big
paragraph,
and
the
same
thing
with
5
groundwater
discharge
system.
Would
it
be
possible
for
6
you
to
take
a look
at
it
and see
if
it
could
be
broken
7
down
into
subsections?
It
would
easier
to
refer
to those
8
provisions.
9
MR.
MORE:
Sure,
we’ll
look
at
that.
10
MR.
RAO:
Okay.
Next
question
is
under
11
840.124,
the
final
cover
system.
Subsection
(a)
(1)
12
requires
a
geomeznbrane
thickness
of
at
least
40 mil.
13
Could
you
please
comment
on whether
this
proposed
minimum
14
thickness
is
what’s
typically
required
for
cover
systems
15
for
landfills
or surface
impoundments?
16
MR.
LIEBMAN:
Yes.
On
solid
waste
17
landfills,
we commonly
see
now
the
hydraulic
barrier
18
being
a
40-mil
thickness
of
some
type
of
geosynthetic.
19
MR.
RAO:
Thank
you.
And
my
last
question
20
is
regarding compliance
costs,
and
in
this
regard,
the
21
technical
support
document
provides
a preliminary
22
projected
30-year
cost
estimate
of
around
6
million
23
dollars
for
the
closure
alternative
proposed
by
meren.
24
Has
meren
made
any
cost
estimates
that
address
the
108
Keefe
Reporting
Company
1
installation
of
any
additional
monitoring
wells
and
also
2
for post—closure
care?
3
MR.
BOLLINGER:
I don’t
believe
we’ve
4
projected
post—closure
care
costs
as yet,
and it
is our
5
expectation
that
the existing
monitoring
well network
6
will
be
adequate
to
address
compliance
end
points
7
identified
in the
regulation.
8
MR. RAO:
Thank you.
That’s
all
I have.
9
HEARING
OFFICER
FOX:
Were
there any
10
questions
on the
part
of
either
of
the board
members
11
present
today?
Very
good.
And
we
do have
at least
one
12
gentleman
in
the audience.
Sir,
did
you wish
to pose
any
13
questions
on the
basis
of
the joint
proposal?
14
AUDIENCE
MEMBER:
No,
I
do
not.
15
HEARING
OFFICER
FOX:
Very
good.
We
-- That
16
brings
us to
the conclusion
of the
testimony,
the
17
follow—up
questions
and
responses
that
are
based
upon
the
18
joint
proposal
filed recently
by Ameren
and
the Agency.
19
A
short
time
ago
I retrieved
the
sheet
on
which
those
who
20
had
not
prefiled
might
indicate
that they
wish
to
do
so,
21
and that
sheet
is
blank,
indicating
that
no
additional
22
participant
wishes
to
offer
testimony
today,
and I
23
believe,
for
the
record,
Ms.
Barkley,
you
had
indicated
24
that
you
had wrapped
up
your --
109
Keefe
Reporting
Company
1
MS.
BAP.KLEY:
Yes.
2
HEARING
OFFICER
FOX:
--
follow-up
questions
3
and
concluded
those?
4
MS.
BARKLEY:
Yes.
Thank
you.
5
HEARING
OFFICER
FOX:
Thank
you
very
much.
6
That
would
bring
us
to,
in
the
absence
of
any
further
7
testimony
or
questions,
a
brief
moment
to
address
the
8
economic
impact
study
issue.
Since
1998,
Section
27(b)
9
of
the
Environmental
Protection
Act
has
required
the
10
Board
to
request
that
the
department
now
known
as
the
11
Department
of
Commerce
and
Economic
Opportunity
conduct
12
an
economic
impact
study
of
proposed
rules.
The
Board
13
must
then
either
make
the
study
or
the
Department’s
14
explanation
for
not
conducting
one
available
to
the
15
public.
In
a
letter
dated
June
30,
2009
--
and
it
is
a
16
part
of
the
record
in
this
proceeding
and
viewable
from
17
the
Board’s
web
site
--
the
Board
did
request
that
the
18
Department
of
Commerce
and
Economic
Opportunity
conduct
19
an
economic
impact
study
on
this
proposal,
and
to
date,
20
the
Board
has
received
nothing
from
the
Department
21
responding
to
that
request.
22
Is
there
anyone
who
would
like
to
testify
or
23
offer
comment
on
the
request
made
by
the
Board
to
the
24
Department
of
Commerce
and
Economic
Opportunity?
Neither
110
Keefe
Reporting
Company
1
seeing
nor
hearing
any
indication
that
there
is
any
2
interest
in doing
that,
why
don’t
we
go
off
the
record
3
for
a
moment
just
to discuss
a procedural
issue
or two.
4
(Discussion
held
off
the record.)
5
HEARING
OFFICER
FOX:
In going
off
the
6
record,
the
participants
discussed
the
procedural
issue
7
of
filing
post-hearing
conunents.
Section
102.108(b)
of
8
the
Board’s
procedural
rules
allows
persons
to
file
9
written
comments
within
14
days
after
the
Board
receives
10
the
transcript
unless
a
hearing
officer
orders
otherwise.
11
Based
upon
off—the—record
conversations
we
have
had
on
12
that
procedural
issue,
before
it
takes
action
on
this
13
joint
proposal,
the
Board
had
will
hold
open
a
period
for
14
post-hearing
comments
of
21
days,
and
with
the
transcript
15
expected
to
be
available
on
Friday,
October
9,
it
is
16
expected
that
that
21-day
comment
period
would
expire
on
17
Friday,
October
30.
18
As
I
mentioned,
a
copy
of the
transcript
should
19
be
availa.ble
by
approximately
Friday,
October
9, and
the
20
Board
will
waste
no
time
after
receiving
it
in
posting
it
21
to
its
web
site
at
www.ipcb.state.il.us.
You
would
need
22
to use
this
docket
number,
9-21,
to
call
that
up,
and
as
23
I
mentioned
before,
I
will
issue
a
hearing
officer
order
24
very
quickly
after
we
receive
that
transcript
so
that
the
ill
Keefe
Reporting
Company
1
participants
are
clear
on
the
actual
duration
of
the
2
comment
period.
In
addition,
the
comments,
I
should
3
note,
may
be
made
electronically
through
the
Board’s
web
4
site
through
the
Clerk’s
Office
On-Line,
although
I
ask
5
that
those
comments,
as
required
by
the
Board’s
6
procedural
rules,
to
be
filed
with
those
participants
who
7
are
on
the
service
list
in
this
proceeding,
and
if
you
8
would
do
so,
please
check
through
COOL
to
make
sure
that
9
you
have
the
most
current
and
up—to—date
version
of
that
10
service
list.
11
Does
anyone
have
any
questions
at
all
before
we
12
proceed
to
adjourn?
Neither
seeing
nor
hearing
any,
I
13
thank
you
for
your
diligence,
for
all
of
your
work
on
14
this
proposal,
and
naturally
we
look
forward
to
hearing
15
your
post—hearing
comments,
and
you’ll
be
hearing
from
us
16
shortly
on
the
deadline
for
filing
those.
Once
again,
17
thank
you
for
all
of
your
labors
and
your
efforts
on
this
18
project,
and
we
are
adjourned.
Thanks.
19
(Hearing
adjourned.)
20
21
22
23
24
112
Keefe
Reporting
Company
1
STATE OF
ILLINOIS
)
SS
2
COUNTY
OF BOND
)
3
4
I,
KAREN
WAUGH,
a
Notary
Public
and
Certified
5
Shorthand
Reporter
in
and
for
the
County
of
Bond,
State
6
of
Illinois,
DO
HEREBY
CERTIFY
that
I
was
present
at
the
7
Crawford
County
Courthouse
Annex,
Robinson,
Illinois,
on
8
September
29,
2009,
and
did
record
the
aforesaid
Hearing;
9
that
same
was
taken
down
in
shorthand
by
me
and
10
afterwards
transcribed,
and
that
the
above
and
foregoing
11
is
a
true
and
correct
transcript
of
said
Hearing.
12
IN
WITNESS
WHEREOF
I
have
hereunto
set
my
hand
13
and
affixed
my
Notaria].
Seal
this
9th
day
of
October,
14
2009.
18
Notary
Public--CSR
19
#084—003688
20
21
Official
Seal
Karen
Waugh
22
Notary
Public
State
of
Illinois
23
My
Commission
Expires
10/28/2012
24
113
Keefe
Reporting
Company
A
abandoned
60:10
able 15:8
21:15
40:19 57:11
63:20
66:6
91:12
96:11
98:11
about 23:5 24:2
26:19
32:11,13
33:5
38:11 39:8,9
39:13,17,19
40:11
40:12 43:11
45:1
46:5 47:4,4,10,12
47:23 48:16
49:3
49:22 50:4
52:2,5
54:14,14,17,20
56:17,19
60:8 63:6
68:5 69:11
77:5,6
79:11 83:14
86:10
86:12 87:24
88:24
91:15,17
94:17
100:4
101:16
104:23
107:20
above 26:23
27:10
27:15 29:15
33:4
80:7
99:10
113:10
absence
110:6
absolutely
16:6
50:12
76:17
abundant
90:6
acceptable
22:13,23
91:20
accepted
4:22
13:17
15:11
accompanying
13:3
87:3
accordance
13:17
28:1 79:16
92:1
according
21:2
account 75:1
accounted
92:4
accurate
14:20
53:24
achieve
51:14
achieves 14:4
acknowledges
15:19
acknowledgment
13:14
acoustics
7:23
across 24:15
39:14
86:13
act
13:19 50:17
92:24
93:1,4,17,19
95:3,8
110:9
action
37:5
70:3,7
74:18 75:15,19
80:12 81:18
82:21
85:24 95:18
111:12
actions
44:2 0
actively
44:17 74:20
activities 10:16
77:12
activity 33:2
46:22
actual
28:18 30:2
36:1
39:8 55:11
62:6
112:1
actually
22:12 28:19
35:1 48:24
56:13
57:7,12
64:9,13
67:4 75:5 82:14,18
83:6 84:6,7
add 25:6
32:18
37:10
38:15 44:23
44:24
adding27:17
81:12
addition 14:14
92:13
112:2
additional
14:3
17:24
27:8 29:24
30:1 32:18,21,23
33:1,3 34:7,15
47:17
68:20
86:3
88:23
95:1 97:7
109:1,21
additionally
30:23
address
9:3
48:14
49:20,24
59:4
91:14
93:12
108:24 109:6
110:7
addressed
69:4,8
86:17
106:8
addresses
48:23
addressing
27:7
68:18
add-on
31:15
adeqLlacy
50:8
adequate 64:13
109:6
adjacent
24:8 89:17
adjourn
112:12
adjourned
112:18
112:19
adjusted
33:20
ADM
1:5
administering
78:16
administrative
4:10
15:13,16 47:15
70:5
admit
16:18,23 18:5
18:8 20:19
admitted 6:9
7:2
17:12,21 18:10,22
19:6,10,14
21:2
adopt
94:8
adopted
5
1:24
advance
25:3
adverse
86:20
affect 62:6
affected 91:16
affixed
113:13
affordability
56:20
56:21 57:23
58:10
aforesaid
113:8
after 7:18
15:9
26:4
31:20
36:15 52:6
65:5
74:11 75:7,15
75:19,22
90:8
111:9,20,24
afterwards
113:10
again
20:21
47:21
55:1 59:1 62:7,22
62:24
63:17 64:6
64:10,17
71:17
73:16 77:19
90:21
91:3 99:12
103:5
112:16
agency
2:10 5:8,17
5:21,24
6:20,20
7:4,7 8:5,17
9:7,9
9:11,19 11:16,19
12: 12,18,21
13:2,4
14:15
15:7,10,19
20:1,5,17
21:24
22:2
29:8
33:23
34:12
36:8,11,15
39:2,17
41:22
43:21 44:13
46:7
47:10,17,21
49:5
49:17 50:8
69:16
71:12
77:5,8,11
78:17
85:16 86:14
91:17,23,24
93:7
93:20 95:16
97:15
97:22
98:4 99:15
101:12,16,23
102:2,4 103:19
104:14 105:23
106:2,12
109:18
Agency’s
5:14,22
9:12,13,14,18
12:13,15,16,19
13:5,8,9 14:20,23
15:3,12
34:7 40:21
46:5
76:18 78:10
78:23 79:12,19
aggressive 44:21
aggressively
46:16
ago 109:19
agree 41:20
46:14
77:18
agreeable 8:20
41:24
agreed
5:22 15:1,4
15:18
88:11
agreement
10:1 15:8
78:9
88:10,16,24
89:1,12,15
92:10
agreements
91:15
91:22 92:6
ahead 11:11
16:8,18
22:11 26:15
52:14
56:7
85:17 86:1
A199:23
allocate
39:18
aLlow 28:1
36:741:8
42:5 71:12
98:6
99:9
102:11
105:24
allowed
63:24 101:1
allowing
48:8 78:11
allows
7:18 76:16
95:6
99:12 111:8
almost 36:17,20
80:16
95:17
along
9:10
35:12
40:1 74:9
106:14
already
52:7,13
56:14
58:17
67:10
95:14
104:11
106:6,8,8,9,10
alternative
59:16
60:12
65:17 75:14
108:23
alternatives
10:23
31:9,10 57:2,5,14
58:22
62:3 65:17
82:24
100:3,7,12
although
7:20
14:20
18:19 36:5
38:20
69:21
95:9 112:4
always
41:24
77:1
78:12 79:5
80:7,20
81:9,12 85:7
95:17
amend
42:1
amended
10:13
amendment4l:24
49:14 78:20
amendments
5:9,10
9:19
12:14,20
13:6
13:8,10
14:24
15:10,12
40:2
Ameren
1:4 2:17
4:8
4:20
5:5,16,21,24
6:19,20
7:4,7 8:5
8:11,12,14,18
9:4
9:7,8,14,19 10:3
10:15
11:1 12:18
12:20
13:1,14 14:2
15:7,9,11,20,22
16:4
18:5
19:24
20:5,17
21:24
22:2
22:9,16 29:9
32:17
33:18 34:13 37:8
42:21
43:5
45:3,12
54:17
55:21 61:5
64:3,4,20
65:16
71:18
72:3
76:16
77:15
82:6,20
83:15
86:14
88:6
89:7,22
90:16
93:21
95:6 98:3
102:19
103:2
104:16
106:1,9
108:23,24
109:18
Ameren’s
4:23,24
5:9 8:21
9:10
12:14 13:3,6
32:4
34:17
50:9,19
51:12
54:22
88:22
103:7
amount44:12
53:10
83:6
90:15
analogous
103:12
analyses
50:20
analysis
10:19 14:4
24:11,2425:4,12
29:21
50:18
51:6
53:6
56:20,20
57:2
57:23
58:10,18,24
59:23
79:12,19,24
82:8
83:12,15
100:1
101:4,7,11
Anand
2:7
4:16
Andrea 2:4
4:14
and/or
13:7
angle
47:3
Annex
1:8
113:7
announcement
68:5
68:9
annual
24:24
another
7:24 31:22
35:10
38:18 43:10
54:14
58:8 60:16
answer
11:3
23:22
33:8
52:8
66:22
67:6
answered
40:10
104:11
answers
6:4
7:1,6
anticipate
30:4 48:6
106:18
anticipated
43:13
anticipating
40:15
54:22
56:10
100:1
anticipation
28:2
antideg
97:19
antidegradation
97:22
anybody
30:6 40:16
anyone7:11,19
38:15
68:11
110:22
112:11
anything
24:14
40:17
44:22
49:9
56:24
60:17,24
anyway
100:6
apologies
68:17
apologize
72:23
86:8
1
Keefe
Reporting
Company
appeals4l:5
27:12,1828:2,8
averaged
54:9
8:12 11:16
16:4
15:15
17:14
38:3
appear82:6
30:5,11,1931:5,7
avoid8:1
18:522:1,230:24
50:1451:1675:13
APPEARANCES
33:1
34:8,13,15
aware
43:10,12
43:2
85:4
110:17
111:8
2:1
37:3,20,21,2238:2
62:13,1478:24
behind8l:4
112:3,5
appears
17:7
82:2
39:6
40:7
42:9,13
87:7 88:4
92:11
being
4:6 8:18
23:24
Bob
99:24
90:13
42:14
44:6
45:4,10
101:6,11
107:12
26:19
29:12,12
Bollinger5:6
8:13
apple
67:15
49:9
50:5
54:3
107:21
34:9
45:5 52:7
11:3
15:22
16:3
applicable
9:16
57:18
58:3,7,8,15
away 82:17
57:18
58:15
69:13
17:22
18:7 22:1
14:1839:1579:17
58:17,19,2059:1,4
a.ml:84:2
69:1772:579:21
23:8,1124:21
applicant 102:2,5
59:9,20,21
60:6,15
80:2 86:15
89:4
25:11
26:2
27:6,19
application 14:16
61:4,4,6,21,24,24
B
-
96:9
108:18
28:9,12,24
29:4,19
97:16
62:1,12,16,19,20
b28:15,17,19,22,22
believe22:1
23:11
30:22
32:10,21,24
applied
69:13,14,15
62:21
63:11,12,14
28:24
38:2
63:7
26:7
35:24
40:14
34:17
35:17,22
69:18,1976:9
63:15
64:1,12,19
65:2472:1273:9
40:1745:21
62:16
37:1043:1
45:11
95:16
97:19
105:3
65:19,23
66:4,20
75:18 96:7,15,21
63:15
82:24
84:8
53:7,14
55:1
56:1
applies73:11
93:17
70:1479:1388:8
96:23
97:1,2
88:490:394:1
57:1
58:13,15
105:8
90:12
98:15
back
12:13,21
21:20
96:14
98:8,18
99:3
59:18
61:5
62:13
apply
33:6,7
36:21
100:22,24
103:17
25:11
31:24
33:24
99:13,14
100:16
63:9
64:6,23
65:1
37:19,19
39:14
104:17
105:3,8
65:13
66:15
67:19
109:3,23
66:2
82:23
83:9,16
40:4,7
76:4 80:23
asked
22:18
28:3
68:3
70:23
71:2,23
Belleville
1:16
83:20
84:5,10
appreciate4:58:15
33:2036:1347:1
73:1774:21
75:3
below27:1229:10
86:1787:5,13,16
8:16
21:4,21
40:9
51:18
63:6
82:6,8
80:10,14
81:4,16
30:15
31:7
70:21
87:23
88:3,10,21
40:20
67:18
asking
28:3
33:6
82:22
84:11
90:9
79:17,22
90:18
96:8,12
97:1
appreciates
15:19
50:4
90:24
107:17
beneficial
62:2,12
97:3,9,13,21
98:2
approach
9:13
10:3
aspect
39:16
background
73:20
62:24
63:3,6,7
98:8 99:3
100:23
33:17,18
34:4
39:5
assemblage
59:4
backlog
59:21
64:21
65:23
76:5
101:3
107:12
39:12,18
44:21
assess
70:16 90:21
bad 7:23
78:8
103:20
109:3
67:7
72:4,8
78:16
assessed
67:12
91:12
Barkley’s
79:11
beneficially
101 :22
Bond
113:2,5
approached
15:20
assessment
86:19,21
85:12
101:24
103:16
boring
23:11
appropriate
11:5
87:1,11,13
barrier
108:17
bernis
29:21
boron
80:6
96:22
17:20
37:13
41:21
assessments92:1
based
5:22
6:4
7:6
best39:17
98:13,15,1699:6,8
59:23
72:8
76:2,5
assist
6:12
7:14
15:15
25:22
between
59:19
82:4
both
5:20,23
6:19
94:12
assistant2:11
11:14
46:4
50:7
52:16
82:5 84:21
89:15
8:20
9:17
28:4,21
approval
10:22
associated
58:11
70:3,7
75:1188:14
beyond
43:9,11
51:4
31:2
34:24
35:4,8
14:17
27:24
36:8
98:17
99:6
92:8
99:9
109:17
67:5
86:4
35:13
36:2
41:4
51:23
103:9
assume3l:1337:8
111:11
big 108:4
55:13
70:12
77:22
approve
103:4
97:21
basically
44:3
Bill
12:3,3
43:24
80:20
87:3
98:19
approved
28:4,7
assumes96:10
basin
30:1
66:5
44:23
bottom
51:1
63:11
49:17
assumptions57:9
basins35:5
43:17
Bill’s
12:6
63:12,14
approximately
asymptotic
80:16
61:6
63:17
bit
54:17
63:6
66:23
boundaries
89:15,21
32:14
43:4 45:22
attached
73:14
basis 14:15
22:9,17
90:2
93:2 97:11
boundary
70:14
61:11
111:19
attachment3l:19
39:10
76:14
92:20
blank
109:21
72:22
77:21
78:4,5
apt
16:2
45:22
54:1,10,11
105:10
109:13
blessed
106:5
88:13,14
89:5
aquifer
13:23
51:11
71:17
73:16
75:3
become40:23
73:20
board
1:1
2:3,4,4,6
boundary’s
88:13
69:24
70:9,11
83:5
attachments70:17
89:9
4:5,13,13,14,15,18
bounding90:11
83:7
attempt
36:6
77:19
becomes
73:23
79:3
4:22
5:4,7,15,20
box
50:22,23
51:3
area55:1586:12
Attorney2:16
beforel:1,96:16
6:11,127:178:10
53:1973:1780:1,2
argue
14:16
audible
21:15,16
8:3
9:6
18:4,13
8:10,16
9:4,6
10:7
bracketed
72:1
arisen48:15
audience
109:12,14
31:4,24
32:23
11:4
14:14
17:2
break40:2
67:19
arising25:22
94:11
August5:4,7,23
9:9
51:24
71:12
95:15
18:4,7,13
33:24
68:14
104:7
around
27:21
63:21
13:9
14:24
15:10
103:18
104:7
39:14
41:14
42:8
brief
6:20
8:6
68:7
90:16,20
91:11
18:7
111:12,23
112:11
42:18,24
43:21
110:7
108:22
authority
69:18
began
6:17
44:847:7,1448:10
briefly4:19
11:10
arrangement
88:7
authorization
96:13
begin
4:6 6:18
22:3
50:16
76:12
78:18
13:4
93:2,24
arrive8:19
avail76:2277:4
26:443:8
67:22
94:3,7,10
109:10
bring
18:13
61:16
arriving
4:5
available
12:21
beginning
25:19
110:10,12,17,20
66:13
80:17
110:6
ashl:44:98:23,24
25:19
63:19,23
46:13
110:23
111:9,13
brings8s:21
109:16
9:3,5,23
10:9
11:2
64:13
95:11,22
begun
35:24
111:20
broad
36:16
14:9
24:5,8,19
110:14
111:15,19
behalf
2:13,17
5:5
Board’s
4:17 6:6,11
broken
80:2
108:6
25:18,20
26:1
Avenue2:12
5:17
6:1
8:5,5,11
6:13,24
12:24
brought
12:11
16:12
2
Keefe
Reporting
Company
Buckley
68:17
certain
14:14
36:3
clarifying
23:5 46:3
77:9
78:14,20,22
completed
30:21
build
26:20
37:4
38:3
52:4
87:18
79:2,7,23
80:20,24
52:7
75:16
84:7
building43:17
64:11
70:2477:12
clarity87:13
81:882:1
83:13,17
completely5o:8
60:17
80:12,1491:10,10
class23:2356:15
84:15,17,19,24
103:2
builds
61:24
92:1
72:16
76:2,6
89:23
90:20
96:5
completion
74:11
built35:6
43:16
certainly4:12
6:22
clean
103:13
99:18,20
100:9,16
75:19
58:22
8:7
16:15,24
17:2
cleanout66:16,17
104:20
105:1,10
complex
69:21
bulk
14:19
17:5,1923:924:21
clear 6:13
77:17
105:15,17,20
complexities70:12
bunch
93:17
25:6
34:17
37:3,10
92:10 103:15
106:4
107:17,20
compliance
12:4,8
burden65:19
58:22 65:4
67:18
105:7,19
112:1
Cobb’s20:12
13:22
14:425:5
Bureau9:1
11:16,22
69:2277:390:13
clearerl04:24
Codel:54:1015:16
51:1556:1562:5
11:24
12:2,5
44:3
106:4
clearest
18:19
70:5
70:13
71:9,11,12
45:2
certainty
8:22
64:8
clearly
7:22 37:12
cogen 60:5
71:14
74:24
77:2 1
Bureaus
9:11
Certified
113:4
Clerk’s
112:4
collect
31:3
79:10,13
84:12,21
Buscher
5:1112:3
CERTIFY
113:6
close 29:5
34:23,24
collection
14:6
99:2
89:5 95:15
96:18
16:4
19:14
chair2l:14
35:241:943:7,20
108:1,3
108:20
109:6
Buscher’s
20:15
challenge
61:10
46:9
47:5
53:21
combination
10:23
complicated
77:1
business
59:7
challenges
63:24
55:4,18
66:4
92:17
102:14
99:7
by-product
101:23
66:14
69:22
closed 4:10
27:20
combined
51:5
complication
76:23
challenging66:11
31:4 41:10
61:3
combustion
10:9
comply98:11,19
83:4
closely8:18
26:1927:18
component3l:4,6
C
28:17,23
63:8
chance
38:16
46:7
closer
25:19
83:8
101:21,22,24
3
1:22
65:24
change
13:20
14:1,8
close-lipped
40:18
103:20
components
30:24
calculate
24:21
30:4
31:13
46:19
closing
9:23 11:1
come
27:4
34:3
comprehensive
calculations98:10
54:8,1671:10
36:2142:1543:8
39:1540:141:22
10:18
calibrating
52:15
80:16
101:14
45:15 58:7,8
44:13
47:22
52:5
concentration
75:12
call
81:10
111:22
105:23
closure
1:4 4:9
8:23
67:19
68:3
75:23
76:1
79:16
called
31:16
93:15
changed
10:1 14:21
9:3,5,13
10:15,17
comes
37:22
106:7
concentrations
came
33:24
44:4
14:23
24:4
10:22,23
25:2,5
comfortable
53:2
72:14
74:12
75:2
83:24
changes
13:5,7,9
28:3
29:20
30:3
85:6
76:9
79:20
80:5
cap
27:1 29:24
30:2
14:19
15:2,5
54:15
31:8,8,10
33:2
comfortably
98:11
86:23
99:10
32:23
52:11
58:7
changing
82:15
34:9,15
35:11,13
coming
30:13,19
concept
42:4
78:3
75:781:5,8,11
Chapter87:14
36:7,16,20
37:20
41:1
45:2
81:16
91:18
103:18
88:19
39:742:5,11,22
82:1485:296:4
conceptslo:2
capable
17:3
characterize
25:24
43:13
47:3,5,23
comment
23:15
49:4
conceptual
9:23
capacity
57:11
77:17
48:649:3,6,9,13
88:23
92:8 100:14
Conceptually
66:21
61:23
62:4
characterized
30:12
49:20 51:23
57:5
108:13
110:23
concern
26:17 40:21
capping
26:24
37:4
check
46:7
85:11
58:6,6
74:11
93:21
111:16
112:2
47:10,12,18,23
51:8
97:9
112:8
96:10
98:17
103:3
commented
17:11
49:22,23
54:20
captured
81:15
checking
67:22
103:8
106:3,14,15
comments7:19
89:12
107:11
capturing
31:23
chemical
75:23
106:19,21,22
16:17
25:16
33:23
concerned
66:23
care
10:20
86:6
chemicals
107:10
107:2 108:23
60:4
93:13
94:17
78:11
90:22
103:3,8
Chicago
2:17
closures
34:7
41:16
111:7,9,14
112:2,5
concerns44:14
109:2,4
chosen59:16
cloud4l:8
112:15
56:14
67:7
carry96:11
Chris
11:24
12:1
coal 10:9
14:9 26:19
Commercell0:11
concluded
110:3
carrying
29:17
Christian
5:12
27:18 64:4
101:21
110:18,24
conclusion
33:15
cart67:15
19:10
101:22,24103:20
commonlylo8:17
41:2268:1494:7
case
55:23
56:3 58:5
circumstance
59:3
coal-fired
99:8
communication
109:16
61:1
76:3
77:20
circumstances34:19
Cobb
5:12 11:20
82:12
concrete
64:15
78:4
80:13 85:7
36:4
37:6 64:11
16:4
18:22 31:15
companion
17:8
condition
67:1,8
94:11
95:19
83:2
92:9,12
101:4
31:15 32:2,7
36:23
company
1:15
4:20
73:23 82:4
101:19
103:13
citation
23:17
36:23 43:23,24
8:12,15
58:20
conditions
26:12
106:5,6
citations
14:21
44:15,15
46:5,11
62:15,20
63:2
28:1
54:6
70:24
cases
14:14 80:12,14
cite
57:3
50:12
52:2,20,23
comparable
58:17
90:8
case-by-case
58:24
City
23:2 24:16
53:3,23
66:21
compared
57:13,17
conduct
14:3
29:20
cause29:15102:11
clarification
13:7
69:2071:1672:18
57:24
58:6 72:11
58:18
77:12
CCW1O2:11
103:11
22:1053:1493:20
72:2173:3,6,8,12
84:18
110:11,18
103:13,16
94:15
73:15,19,2274:4,7
comparing57:15
conducted25:12
cement
64:15
clarify 35:22
45:21
74:14,17,20,23
complete
6:13
16:12
3
1:20
97:22 101:7
central50:15
101:3
104:17
75:13
76:14,17,22
17:9,15
22:13
84:3
101:12
3
Keefe
Reporting
Company
conducting
110:14
contractors
30:23
92:7
102:14
days 97:14
111:9,14
described
13:2
confident
52:14
contrast
57:14
108:11,14
day-to-day
47:15
20:20
75:20
configuration 61:9
contrasting
57:16
coverage
55:2
deadline
112:16
descriptions
15:5
confirm
32:13
87:5
contributing
81:6
covered
26:23
56:14
deadlines
10:15
design
10:16
34:18
87:8
controll:14:49:1
93:19
deal47:11,12,14,20
43:18
confirmatory
14:3
10:11
13:12 63:13
covers
28:22,23
29:3
47:23
63:1
108:2
designated
87:3,4
conflict
14:13
91:18 92:15,23
53:6
deals
107:5 108:2
designed
10:10
33:9
conflicts
14:18
93:3
99:22
Crawford
1:8
8:17
dealt
69:3
42:14 45:18
84:13
controls
56:18
60:10
113:7
decision
6:14
desire
55:21
conform
9:14
92:13
95:2,7,11,16
create 40:3
95:21
decrease
72:7,10,14
desired
106:1
conservative
44:11
95:20
created
57:18
decreasing
14:1
detailed
41:6
51:6
72:6
conversation
100:11
creates 10:5
75:6 78:1
details
15:17
consider
61:2
63:12
conversations
Creek
86:13
88:4
deep
23:6 25:7
32:6
determination
71:9
82:20
111:11
criteria92:2
101:21
32:8,1266:9,10
102:18
considerable
83:5
convinced
71:6
102:3,4,6,8,8,13
8 1:23
determine
9:21
consideration
31:11
COOL
112:8
102:20
103:10
deeper
32:15
83:5
24:14
80:8
considered
56:23
cooperation
15:20
criterion
102:13
default
73:19
determined
70:13
considering
34:14
cooperatively
50:13
cross
89:21
defer
8:7
90:16
75:24
45:14
51:13
crosses
89:14
defined
93:16
determining
82:9
consistent
74:15
copies
12:12,21,24
CSR1:13,14
113:18
104:18,19
develop
35:11,12
consolidation
13:8
16:12,13
17:4
cubic29:18
defining9:16
36:741:2
30:5
19:21
cumulative
54:4
definition
13:18
developed
13:13
constituent
75:23
copy
18:4
111:18
59:4 62:9
104:15,17,21,24
57:2
95:10,20
constituents
25:21
correct
46:1
49:11
current
9:2,6
43:18
definitional
40:8
developing
6:12
79:16,21
107:7
70:3
71:15
73:3,12
54:1
67:5 92:9
definitions38:1,9
37:16
103:21
constitutes
103:10
78:22
80:24
87:16
112:9
39:20 40:6
42:2
development
35:23
construct6l:16
113:11
currently27:19
104:14
103:1,6
constructed
10:10
corrective
37:5
29:4 43:17,19
degradation
25:17
deviation
37:7
14:9 27:21
34:21
44:19 70:3,7
74:18
49:19
88:8
89:23
56:16
67:5 70:21
deviations34:2
35:645:5
75:15,19
80:12
90:10
91:5 100:22
71:1
dewatered
33:12
construction
10:16
81:17
82:21
95:18
CVs
17:1
delegation
14:17
dewatering
61:14
34:1953:17
cost57:l,6,19,21
deletel04:15
61:17
consulted
87:22
58:11,11,13,14,17
P_
demand
91:4
differ
87:9
consumed
61:23
58:21
59:7
61:18
d
8:23,24 9:5,24
demonstrate
77:20
difference
37:1
consumption
13:16
64:9
66:10 108:22
11:2
24:5,8,19
84:21
91:20
84:20
contact
9:20 12:23
108:24
25:18,20
26:1,5,7
demonstrated
78:3
differences
9:21
27:4
costs
57:13
99:5
27:12,18,21
28:2,8
78:5
102:20
36:5 39:6
contacts
77:16
108:20
109:4
29:3,4
30:20 37:3
demonstrates
10:12
different
28:5,13
contained
15:531:2
counsel2:11,11
5:14
37:21,2238:240:7
102:2,5
35:2,2037:2,6
45:4
11:14 15:22
50:6
53:21
55:2
demonstrating78:1
46:17
51:11
57:21
contaminant
31:18
count
39:6
58:3,4,7,8
59:3,21
demonstration
62:8,8
69:23,24
51:8 102:12
counterpart60:8
61:1062:12,15
13:24 14:1
71:11
70:15
87:9
89:8
contaminants
67:10
counties
63:14
63:7
65:19
66:1,4
79:9
84:12
93:18
94:7
95:2,7
86:22
107:14
counting
43:4
70:15
71:23,24
denied
4:24
100:2,6
contaminated
31:23
County
1:8
8:17
72:23
73:2
79:13
department
8:14
differently
59:15
82:21
88:8
89:20
113:2,5,7
90:12 100:22,24
63:2 87:19,21
difficult47:20
contamination
couple
99:18
104:17 105:3,8
110:10,11,18,20
difficulty
7:24
67:11
71:15
77:23
course
18:2020:10
106:12
107:14
110:24
dig57:10
97:11
92:3
24:23
43:18 90:1
data
10:19 17:1
24:2
Department’s
digging46:14
58:8
contemporary
91:19
24:12
25:19 26:11
110:13
67:3
82:10
court
7:22 16:3,7
53:8,8,10,10,12
dependent
27:13
diligence
67:19
contention
50:10
21:17
94:3
54:5 82:3,7
83:15
61:9 62:3
112:13
contested
14:14
Courthouse
1:8
107:9
depending
34:19
diminish
71:3
94:11
113:7
date
5:7,23
52:6,13
43:3
57:8
diminishment75:5
context39:21
44:24
courts
14:14
55:9
97:15
110:19
depends62:17
direct
15:13
28:16
57:20
87:3
Covenant
92:15
dated
4:22 5:1
deposited
33:11
directed
5:16
21:24
continue
13:15 62:5
95:13
110:15
depth
27:8,12
30:5
22:9
85:15,22
continuing
39:17
Covenants
92:24
dates
25:13
32:12
66:7,15,20
101:16
58:23
95:3
day
90:17
96:3
depths
70:15
direction
9:4
37:2
contour
27:9,14
cover29:24
30:2
113:13
deputy
11:21
38:24
89:8
91:11
4
Keefe
Reporting
Company
91:12
61:1266:7,880:2
40:2451:952:6,13
87:20,20,2192:15
exceeds76:1
directly
14:17
83:24
80:17
83:6
105:6
83:1
97:15 103:11
92:24 93:15,18
excellent8l:17
discharge28:16,18
108:7
113:9
effectively33:12
94:295:3,13,19
except32:18
28:24 96:15,17,24
downgradient
24:15
effects
71:20
110:9
exclude
10:8
98:6,15
99:16
24:16 70:14
72:21
efficacy
89:2
environmentalists
excluded
55:2
102:11
108:5
73:2
81:13
90:12
efficient4l:19
66:18
41:4
excuse5:1931:9
discontinues
14:6
download
12:24
96:14,20
envision
66:11
32:11
38:13
57:9
discuss
38:10
111:3
downward
31:5
efforts
53:21
112:17
envisions
37:12
exercise
66:9
discussed
111:6
draft
35:24 52:4
eight 26:18
32:11
EPA
2:13
11:14,15
exhibit
3:3,3,4,4,5,5
discussion
26:19
drafted
9:7
36:14
53:6,13
48:4
3:6,6
17:22
18:6,9
27:17
41:6 49:1
51:19
52:8
76:15
eighteen43:8
45:15
equilibrium67:2
18:11,23
19:1,5,10
65:12
98:5
104:22
drafting
100:10
either6:11,207:3,7
75:8
19:14,1820:1,6,11
111:4
103:7108:2
21:2423:1737:14
equipment6o:15
20:12,13,14,15
discussions
9:20
drain
37:13
82:24
59:18
62:2
64:2
especially
39:20
exhibits
3:1 16:14
15:9,11
39:16 41:1
draw
83:6
81:23
83:23
84:1
essence
33:21
52:3,8
16:19,20,24
17:16
52:2
55:6
98:4,9
dredge
60:6
86:3
109: 10
52:12
58:6 74:17
exist42:9
98:21
dredging
56:21
110:13
essentially
27:20
existing
27:7
33:21
disposal
57:13
58:1
drinking
24:12,16
electronically
112:3
29:16
30:24
63:12
44:22
61:6 74:12
58:2,11
60:761:7
91:4
elements
15:12
88:13
75:2,11
76:9 96:16
62:2
dry62:20,21
64:13
elevation
81:10,11
establish27:9
91:19
96:21,2298:12,19
dispose
60:15
due
30:10
81:12,13
82:15
established
77:22
99:12
109:5
disposing
58:9
Dunaway
5:12
12:6
elevations
81:10
95:17
99:9,11
exists
73:23
75:8
disrupt2l:17
16:4 19:18
106:17
elsewhere62:19
101:9
102:1
expand
105:6
dissimilar
34:1
107:3
104:22
establishes
101:21
expect
30:9
38:20,21
distinguish
59:19
Dunaway’s
20:16
embodied
25:4
establishing
94:5
81:21
diverted
27:20
duration
30:6
95:21
86:24
estimate
108:22
expectation
29:22
division2:11
11:21
112:1
emphasize
100:11
estimates57:1,6,21
30:9
76:18
109:5
12:5,9
28:20
58:19
during24:426:6
empty66:12
68:13
108:24
expected
111:15,16
99:21,22
29:22
42:16,16
enacted
40:23
54:21
evaluate
30:3
50:5
expedited
5:1
38:17
doabLe
38:12
45:9
72:1
86:15
93:1
76:20
96:17
expeditiously
55:18
docket
4:18
5:3
90:3
103:1
encounter
98:24
evaluated
31:9,10
expense
60:21
111:22
dynamics67:14
end2l:22
35:9,10
50:8
53:1
61:21,22
expenses57:17
document22:20
38:23
40:13
47:9
87:10
99:1,5
expensive57:22,22
23:12,18
32:4
59:8
67:21 83:7
evaluates
58:21
63:3
60:22
99:7
45:23
50:9,19
57:4
E2:44:15
19:14,18
90:3 95:18
109:6
evaluating
62:4
experiences
85:3
71:18
72:12
86:9
each
12:15
18:20
ended47:1889:3,5
evaluation
36:15
expire35:8,9,10
87:15
88:20
21:23
37:1
44:17
endorsed9:13
57:9
58:24 62:9
55:6,14
111:16
108:21
50:20
58:21
Energy2:17
4:20
82:24
96:18 100:2
expiring43:9
documentations
earlier
25:9
32:17
8:11
evaluations
37:15
explain
27:3
88:7
60:2
53:7
70:16
enforceability
89:1
even2l:2026:633:9
93:2
102:5
documents
12:12
early
26:12
27:22
enforceable
92:10
34:13
39:22
41:7
explained
66:14
16:11,13
17:8,18
easier8:2
108:7
engaged98:21
45:13 47:18
54:8
78:2
17:24
18:20
20:20
east2:12
32:11
enough
82:17
61:1993:1299:23
explaining48:4
doing
35:4 39:1
50:7
eastern
83:7
ensure
101:5
every
31:17
explanation
69:14
59:7
96:14
111:2
eastward32:1483:3
ensuring62:5
everyone4:468:4
69:17
110:14
dollars
57:8
59:11
east-west
88:14
enter
83:19
everyone’s
67:18
explicit
105:4
108:23
ecology
86:20
entered
3:2 16:17
everything
39:1
exposed
86:24
done24:2230:18
economic56:20
19:19
85:1
extend55:1077:3
39:2049:1651:6
59:23
110:8,11,12
entertain
16:23
17:5
evidence82:18
77:13
51:2252:1354:18
110:18,19,24
17:19
exacerbated29:23
extentl3:339:2
57:16
68:24
71:20
economically
10:24
entire
29:17
39:5
exact
33:19 66:22
54:1
64:7
76:4
74:1 78:9
79:5
41:12
56:23
60:14
43:15
92:7
67:6
extraordinary
61:19
80:18 81:20,20
60:23
entitled
4:8
exactly
27:3 42:9
extremely29:11
87:2
90:10
92:20
economics64:19
entrance
68:10
53:3 74:14
47:13
51:9
89:19
95:24
99:3
100:5
economist
59:6,18
environment
10:14
example
37:11
45:6
99:7
101:7,8
102:23
economy6l:21
41:11 50:1,11
76:7
71:21,23
80:4
94:6
e-mail83:21,24,24
106:9,10
107:10
63:21
86:24
102:12
examples
94:2,9
-
door 7:10
95:23
effect48:16
50:3
environmental
2:10
excavate
66:14
Douglas
1:8
54:490:4,791:7
5:88:13,1412:7
excavation60:20
F 19:5
down26:1841:1
effective2l:12
13:1950:1663:1
exceedance76:4
face2l:1566:14
5
Keefe
Reporting
Company
C
facilitate
62:2
1
facilities
10:11
34:22
35:1,2,5,7
42:13 43:19
44:4,5
44:5,12,18
45:2
48:5 60:5,5
61:5
61:16 64:3
99:5,8
facility
9:1 55:21
56:22
57:7,13
58:21
60:17 61:14
62:4,17
facing
40:21
66:20
fact 27:7 54:9
67:23
72:7,13 73:15
91:21
100:4
106:5
fairly
36:16 62:15
fall 33:17
38:23
93:22 94:6,21
falls
39:1
familiar
64:7,18
92:24
far 4:15
11:22 36:2
63:22 78:10
81:3
82:17
fear
93:9
feasibility
58:22
61:8
feasible 11:1
41:13
60:14
federal
14:16,18
38:19,22
39:10
40:11,18,22
41:3
54:15,15
feel 12:23
51:13
52:14
53:2 71:3,5
75:7 76:9
82:11,17
85:6
90:22
feet
32:12,14 88:15
88:17,18,21
felt
94:4
100:5
few
43:16 48:24
49:1
93:6
104:11
107:8
fifteen 45:12
figure
71:22,24
figures
66:10 72:11
72:12
file 111:8
filed 4:20 5:23,24
9:4,8,9,24 10:3
12:12,18,20
13:1,8
15:10,19
17:2 18:7
19:24
20:5 21:22
109:18
112:6
filing
4:24
9:18 10:2
13:3 111:7
112:16
filings
38:16
final
10:17 14:9
25:15
26:20 27:9
27:14
29:20
30:3
32:19,23
33:2
60:3
68:2
69:3
85:22
101:17
102:14
103:17 108:11
finally
14:10 20:4
90:4
find 23:13
40:19
75:16
88:17
findings
86:2 1
fine 17:17
93:11,13
finished 7:14
88:22
first
18:21 26:6
30:20
88:12,17,18
88:21
102:10
104:13
fit
13:16
33:22
five 11:17
46:10
47:19 53:16
64:22
fixed
10:14
flexibility
13:12
78:7 95:1,6
flip 21:22
flips 90:9
flow
31:23 51:7
52:11
67:12 86:15
86:22
91:11
flowing
30:10
flows
29:13
79:3
flushed
60:18 65:18
fly 63:15 64:12
focus 46:11 79:12,20
folks
21:15 60:1
follow
8:8 23:13,14
32:16
44:16 53:5
63:5 70:2
following 5:11
9:18
13:10
15:8 70:3,7
follow-up
7:6,14
16:7 21:6
22:10
27:16
35:16
49:1
65:5
68:18
73:5
83:11
92:22
97:24
102:15
109:17
110:2
follow-ups
22:4
48:18
56:10
67:20
67:21
68:20
69:7
85:12,16,19
86:1,2
86:6 99:18
foot
30:2 88:12
foregoing
113:10
forgive
46:3
form
6:5 17:16
50:22
formal
42:5
83:23
84:1
format
50:24
formed
79:2
forth 92:2
107:17
forward 34:3
39:22
41:19,23
42:10
59:1 83:24
84:2,10
112:14
forwarded
83:22
found
15:18
62:23
63:18 86:19
foundation
6:20,24
91:20
four 14:3
43:6 82:11
fourth 45:16
Fox
1:9 4:3,7
8:9
11:7,11 15:24
16: 10,22 17:13,18
17:23
18:3,15,18
18:24
19:3,7,12,16
19:20 20:2,7,10
21:1,9,11,2022:7
22:15,21,24 23:16
26:15
45:20
46:2
48:13,21
49:2
56:6
56:9,12
65:10,13
67:16 68:1,8
69:2
69:6,9 85:10,14,21
86:5
87:12,17
101:18
104:1,4,6
105:13,16,18
107:22 109:9,15
110:2,5
111:5
frame
71:24 72:1
frames9l:10
framework
9:23
36:5,18
free 12:23
64:17
Friday 83:21
111:15
111:17,19
from
4:13
5:7,10
6:19
7:7,9 9:11
13:5,9
14:10,12,23
15:17 24:6
25:22
26:11,24
27:2,24
28:2,19,24
29:1,17
30:19 31:3
34:2,5
35:20 37:4
39:7
40:15
41:4,4,19
42:3
43:23 45:2
49:22
50:21
53:8
53:12 55:2
57:8
59:4 61:6,24
62:12
63:6,7,16 64:1,22
65:16,23,24
66:4
74:1,1
77:2,6
78:13
79:3 81:6,10
81:19,23
82:2,13
82:14,17
83:23
84:1 85:2 90:20
91:4
93:20 94:11
98:6
99:2,6 101:23
102:4
110:16,20
112:15
fuel
63:19
fuels
63:3
full
90:8,8
fully 25:24
33:8
61:20 62:10
98:19
function
43:14
55:16
functioning
43:14
further
21:20
44:22
48:18
67:5,9 82:22
85:11 110:6
furthermore
100:2
future
13:14 34:24
39:7
40:24 41:15
53:12
54:23 58:16
85:24
95:22
G
gain
66:5
Gallagher
45:7
64:24 65:3,3,7,9
gallons 90:17
96:3
general
10:2 36:17
36:21
37:19,24
38:4,9
39:11
40:2
40:4
42:2,2 47:13
84:22
generally
21:24
37:20 48:23
85:16
generated 58:16
59:20 60:9 63:13
generating
4:20
8:12
59:2 60:4,5
generation
59:13
gentleman
109:12
geochemistry
67:2
geologic
36:4
geology 25:23
geomembrane
108:12
geosynthetic
108:18
gets 32:15
49:22
77:1
getting
43:24
46:19
47:5,19
66:8 77:6
80:16
82:10,12
93:3 98:24
give 19:22 59:10
78:6 97:6
given
22:13
23:22
34:1
76:10
gives 54:1
GMZ 78:6,24
go
11:11 16:8,18
22:11
25:11 26:15
48:8
50:19 65:8,10
65:13
67:3
68:3
71:18
73:15
85:17
86:1 96:21
102:3
104:11 111:2
goes
32:12 83:2
100:14
going 17:12
34:1
38:6,24
39:21,22
46:9,20,22
5
1:14
52:10,12,16
54:16
55:13,14
57:10
58:3
63:23
65:21
70:22
71:6,11,16
72:5,10
74:18
75:1
75:5,5,8,13
76:19
76:20 77:13
79:1
79:12,19,20
80:7
80:17
81:13,21
84:11
86:11
91:1
94:18
97:20
101:15
106:2
111:5
gone
72:23
good
4:3 8:4
11:7,12
16:8,18 18:3,15
19:3,7,16,20
20:2
21:9
22:8,15,24
23:16
46:2
52:9
56:12
62:16,16
67:13
69:2,9
72:4
82:9
85:10 87:17
104:1,6
109:11,15
govern
9:5
governed
6:6
government
14:16
gracious
48:14
grade
26:20
grading
32:19
68:2
69:3
103:17
Grand
2:12
granted
4:23
18:10
20:21
granular
103:14
graph
72:13
80:4,8
graphical
50:24
gravel
103:14
great
58:4
102:9
grew
8:21
grips
39:15
groundwater
9:16
10:17,19
12:4,8
13:22
14:5,6
15:14
15:15
23:23 24:4,9
24:20
26:3,5,9
27:1,2,4,11,11,12
29:11,13
30:10
3 1:7,22,23,24
32:6
32:8
37:5
38:3
44:18
46:12,21,23
50:15,17
51:7,10
51:15,16,21
52:11
53:7,15
56:15
65:20
66:6,24
67:12
69:12
70:2,4
70:6
72:16
73:6
6
Keefe
Reporting
Company
74:10,15
75:13,15
75:21,24
76:2,6,16
76:24
77:7,18
78:11,19
79:9,18
81:9,23
82:21
84:14,22
85:4
86:16
88:8,12
89:13,14,21,24
90:15
96:4
98:6
102:14
105:22
106:12
107:5,7,9
108:1,3,5
group
63:19
98:22
growing
90:3,9
guess
23:4
24:3
27:16
30:17,20
32:16
33:7
34:11
39:20
47:8 54:13
56:18
60:11,18,24
64:22
71:8,13
89:11
102:16
guidance
14:13
76:8
guides
15:1
H
112:10
half
66:12
67:18
hand
45:13
52:17
98:10
113:12
handful
45:14
handle
46:12,19
67:13 97:7
handled
36:19
54:23
handling
61:13
62:21
happen
52:12,16
61:18
72:5
93:8
happened
25:24
happening
38:19
54:3
60:13
65:24
65:24
happens
36:15
64:2
happy
48:2
hard
12:11
HARDIN
2:15
haul
64:5
having2l:13
68:16
head
23:9
25:13
81:10,10,11,14
90:19
107:17
health
10:14
50:11
76:7
103:5
heard
40:17
heart
6:5
held
1:8
9:20
65:12
111:4
help
7:21
20:22
21:21
31:17
52:10
59:15
75:18
helpful
23:19
25:3
47:7 48:7
84:4
94:22
helping
26:20
her
8:2 88:15
hereunto
113:12
high 89:20
higher
81:10,12
87:7
highest
64:12
highlighted
39:3
highly
83:7
90:6
91:2
high-capacity
91:6
high-use
90:12
him
11:5
hints40:18
historic
59:21
history
4:19
91:17
hold
8:16 68:4
111:13
honest
107:23
Honor
107:
19
hope
34:24
35:2
42:4
43:7
horizontal
3
1:6,13
hour
67:18
housekeeping
12:10
16:2
21:4
68:9
human
10:13
13:16
50:10
103:5
Hutson
86:13
Hutsonville
1:4 4:9
8:23
24:11
28:14
34:10
36:3
37:12
55:1 56:1,2
61:15
62:18,24
63:11
64:1,23
70:14
72:22
88:5
98:10
99:4,11
Hutsonville’s
23:2
24:16
hydraulic
108:17
hydrogeologic
51:6
51:20
hydrogeology 12:3
12:7
36:24
hydrology
67:2,14
I
icing
63:13
idea
16:18
39:23
42:8
43:22
97:6
IDEM
87:21
identified
43:2,5
44:4,6
45:13
109:7
identify
63:20
idle
42:6
IEPA
10:21
43:2
65:16
83:22
IEPA’s
55:7,19
1154:11
73:16
iii
54:12
79:15
IL 1:16
ILL 1:5
Illinois
1:1,9
2:10,12
2:13,17
4:4,10
5:8
11:14
15:16
42:10
43:3
44:5
48:4
70:4
87:3,8,9
113:1,6,7
immediacy
54:18
immediate4:13,16
11:20
12:2
impact
24:1,8,19
27:11
66:6 70:1
91:8
110:8,12,19
impacted
25:7
86:15
impacts
46:23
6 1:22
69:23
70:20
86:18
86:20
98:13
impLement
11:1
implementation
10:17
11:19
36:9
103:9
implicit
105:2
important
25:18,23
impoundment
34:15
54:3
103:17
104:15,19,23
impoundments
10:6
10:8
26:21
36:22
44:22
48:17
60:6
108:15
improving
66:5
include
12:13
13:10
28:17
61:13
106:13
included
16:24
25:1
53:18
including
15:12
38:17
61:11
85:5
inconsistencies
15:3
incorporate
99:15
incorporated
25:5
incorporations
38:1
increasing
13:24
71:4,14
72:6,8,15
indeed
46:16
Indiana
23:6
60:1,5
60:8,13
87:4,7,8
87:19,21
indicate
7:13
68:12
68:22
109:20
indicated
7:5
8:4
45:17
98:13
104:8
109:23
indicating
109:21
indication
111:1
indications
25:6
individual
91:21
92:5,20
individually
18:16
18:18
infeasible
60:23
infiltration
27:12
infiltration’s
52:10
influence
78:15
82:17
90:23
information
6:8
22:18
23:9
26:5
40:16
45:2,3
47:6
50:5
51:5
52:17
53:2
54:11
83:19
87:6
106:21
informing
85:1
infrastructure
61:17
initial
8:21
10:2
40:3
initially
33:18
45:17
104:16
initiate
35:3
initiated
9:20
15:9
26:9
53:15
inorganic
107:7
input
36:15
inside
7:10
40:16
insisted
77:2
insofar
33:3
36:6
98:12
install
88:16
installation
109:1
installed
23:6
24:14
53:20
instance
36:11
37:11
57:6
64:14
instances
14:2
1
64:21
instead
56:16
57:20
80:1
105:24
institutional
13:11
91:18
92:13,14,23
93:3
95:2,7,11,16
95:20
instrument
92:16,18
instruments
13:13
integration
50:14
85:4
intend
43:14
55:7
intended
6:12
15:1
17:15
45:18
intending
41:15
intensive
47:13
intention
42: 15
interacting
99:2
1
interceptor
31:21
37:12
51:9
71:20
81:15,17
83:1
90:14
interest
16:12
21:12
111:2
interested
34:12
Internally
99:20
interrupt
67:17
105:16
interrupting
46:3
interval
25:2
1
105:24
intervals
106:2,3
introduce
4:12
16:19
20:11
INTRODUCED
3:2
introduction
6:21
11:9
invested
62:20
investigated
10:24
investigation
51:20
involved
11:18
78:14
91:24
involving
107:16
in-place
8:22
irrigation
90:1,10
90:14
91:6
isolated
26:24
isolating
27:2
issue
36:19
47:2,20
89:6,9
91:14
110:8
111:3,6,12,23
issues
6:17
8:19
40:21
107:15
issuing
47:16
items
51:19
IV31:19
71:17
75:3
J
______
j
1:9 10:5
19:10
January
35:10
job
106:10
Johnson
2:4
4:16
8:10
41:14
joint
5:20
6:19,22
7:8,15,17
9:6
10:1
10:4
12:17
13:2
14:24
15:5
16:16
19:21,23
20:4,16
20:18,18
34:5
35:21
36:14
41:11
41:23
65:15
69:14
94:24
95:6
109:13
109:18
111:13
jointly
12:20
13:1
15:19
18:17
Josh
8:11
15:22
43:13
97:11
105:4
Joshua
2:15
juncture
41:14
June
4:22
5:2,19
35:11
110:15
just
6:2 11:10
12:10
17:10
21:3
23:13
7
Keefe
Reporting
Company
24:626:2
30:13
93:12
94:22
98:3
legal2:11
33:15
63:6 66:23
67:17
112:3
31:15 32:5
33:7,14
103:6
106:10
48:15
77:9
79:4
78:690:293:2
maintain62:579:4
35:16,17,22,24
107:8
legality89:12
97:11
maintained75:7
36:1737:1038:11
knowing52:9
89:14
legitimate
103:10
LLP2:15
maintaining75:9
40:5 42:9
43:16
89:17
106:6
less
89:4
loading98:16
maintenance58:11
44:15,1545:4,10
knowledge
87:23
1et24:1033:14,16
loads
30:1
106:13,14
107:1
46:4
48:24 49:16
Knowles
15:21
35:22
48:14 66:2
local
25:23
63:14
majority
13:7
50:2351:23
52:15
known68:15110:10
68:2275:1685:10
location35:1061:14
makel7:8,2422:3
53:5
54:8
55:17
88:18 97:10
101:3
locations
35:4
36:3
27:3
33:22
41:15
57:13,20
59:8,10
L
letter46:15
110:15
37:14
58:23
61:7
47:9
57:10
61:17
59:19 60:11
63:6
Lab 83:23
84:1,1,3
let’s22:15
23:1
61:19
62:1,20
63:23
68:8
77:15
64:1865:1166:2
laborsll2:17
26:13,1777:18
Logs23:11
78:2491:15,21,24
68:4,575:1777:18 lady77:16
level38:1939:4
long
13:16
21:18
92:1
105:5,19
78:2,6,24
79:19
laid
34:6
40:19
41:2 54:20
71:12
107:1
110:13
80:4,883:14,20
Lake67:4
levels70:1
71:1475:678:14
112:8
84:12 86:10
89:8
land 1:4
9:11
11:16
License
1:14
longer45:18
55:12
makes60:19
61:18
89:15
91:1493:19
11:24
12:248:17
Liebman5:12
11:24
55:1656:3,4
91:20
95:22
99:18
89:14
16:5
19:10
30:8,16
long-ranges8:20
making68:15
100:10
102:7,16
landfill
9:2
10:7
102:7,10,22
long-standing
manage
35:6 45:5
102:16
103:15
31:17
33:6,10,10
103:21
108:16
101:10
58:13
104:11108:1
33:13,17,21
34:2
Liebman’s
20:14
long-term
58:19
management
10:18
111:3
48:23
104:23
lies
29:10
look 17:6
25:12
58:19,2070:4
justification
69:17
landfills
10:9,11
life42:16,16
43:15
30:14,18
50:14
74:15
75:21
76:16
61:8
108:15
59:2,9
58:9,20
59:13,14
76:19
77:7,18
K
108:17
like
6:21
7:13,16
8:8
72:11 75:2,3
80:3
78:12 87:21,22
Karen
1:13 113:4
landowner
77:3
12:10,22
15:21
82:23
86:21
93:12
managements
76:24
KEEFE
1:15
88:7,11
19:23
29:19
30:7
93:14
94:1
99:24
manager
11:21,23
keep
75:9
landowner’s
89:21
33:12,15
34:6,23
100:12 106:24
12:1,3
99:22,23
keeping
107:22
language
5:9,23
36:18,20
37:19,24
108:6,9
112:14
managers
91:23
Keller
99:23
8:20
9:24 10:13
38:239:21,2340:5
looked24:22
30:24
92:1
kept
29:12
13:18
34:15
106:1
40:5
44:24
47:6,9
31:6,11
34:9 39:21
manages
28:21
key
15:11
50:13
Large
42:13
60:15,22
49:10,14
51:20
52:24 57:16,24
managing
62:9
99:1
70:18
62:19
89:19,23
53:11
56:18 59:12
59:8,9 86:14
88:15
manufacturing
kind24:1831:17
largers3:20
59:1460:1,3,12,17
88:2498:14,18
64:15,15
33:15
37:1 40:10
last 11:13
15:7
39:4
60:18,20
63:5
looking
24:1,3,11
many
7:20 25:21
41:8 49:21
50:9
43:1649:179:8
65:17
68:12
77:12
25:17 36:2442:3
26:642:9,13,14,21
55:15 69:22
72:5
83:20
84:7
94:2,6
85:3 92:3
93:14
42:10,10
44:11
46:9
47:4
52:2
100:4
108:19
96:20
103:14
50:18
56:16
57:3
62:20
72:23
99:8
kinds
42:9
later 34:11
48:11
110:22
59:16
61:3
65:16
mark2:10
11:13
knew39:4
53:21
89:10
likewise22:16
70:18,2271:874:2
17:5,1941:20
know 7:21
24:3,14
law
2:16
14:12
limitation
96:22
80:20
81:9
85:1
marked
18:23
19:5
30:6 33:24
34:8,10
89:13
101:5
looks
12:22 34:6
19:10,14,18
20:1,6
36:17,24
37:3,6,8
laws
14:13
limitations
62:6
37:18
59:11
92:3
21:2
38:5,6,639:5
lawyer79:3
98:12
loosely73:22
market62:18,23
40:1041:1,742:4
layers27:15
limited53:1661:15
lot36:1464:16
63:1964:1465:22
45:16
46:13,14,16
lays76:2
limits98:19
99:8,10
loudly7:22
material26:19,22
46:21,2347:5,16
Leachate66:19
99:13 101:10
low86:15
26:24
27:18
28:8
47:19,21,22
49:24
leaching3l:1
line33:454:1574:9
Lower
13:23 30:11
29:9,14,15
30:14
50:4,7,12,24
51:9
lead
4:14
80:2,8
97:6
51:1 54:6
64:16
30:19
32:18,21
51:12,19,21
52:3,8
learn37:3
lined56:22
60:17
69:15 70:11,16,19
33:11
56:17,21
52:953:1054:19
Ieastl5:735:338:23
61:20
71:172:6,9,18
58:959:1460:6,22
56:19 57:22
59:11
57:22
65:19
82:16
lines
26:18
35:12
73:1,7,14
77:23
61:11
62:12
59:12
60:7,19,19
92:9
108:12
list
43:23 44:3,16
78:1
81:11,12
82:4
102:17
103:11,12
60:20,21
65:15
109:11
45:13
46:13
94:19
90:1,5
91:3,8
103:14
66:21
69:20,21
leave 55:14
77:18
102:3
112:7,10
Lynn
5:11 12:6,6
materials
27:5,7,8
71:372:4,774:10
95:23
listed80:2293:17
19:18
27:10,1328:5
74:2377:2,15
leaving67:8
107:7
29:2433:361:13
78:1980:12,16,17
led38:17
listing45:4
62:965:18,23
83:14
84:22
85:19
left 4:15,16
11:20
lists
45:24
made 20:11
105:4
66:15,18
86:11
89:16,1890:10
68:20
littlell:1554:17
108:24110:23
i’L4TTER1:3
8
Keefe
Reporting
Company
maximuml4:9
66:23
78:15 88:17
17:17,19,21
18:2,5
N
110:20
may4:6,21
6:22 7:5
88:23 92:16
94:7
18:10 19:22
21:5
name4:7
8:11
11:12
notice49:4,7
100:19
7:139:711:4,4
95:20105:5
21:10,19,2123:14
11:1332:268:18
101:14
C
13:13,15
14:21
109:20
23:17,20 24:10
naming72:23
noticed
16:16
68:13
18:1721:6,16
migrating3l:5
33:1436:1038:8
naturally25:22
Notwithstanding
25:1727:1136:21
migration3l:1,12
39:3,1140:1,4,20
112:14
14:19
37:3,6,13,1939:5
31:14
81:7
41:17,2442:12,20
nature40:4,5
48:16
NPDES28:11,19,23
39:644:2045:21
Mike 15:22
43:1844:2445:8
89:2491:7,992:7
49:14,1996:7,11
46:17,18,1847:6
millO8:12
46:14,21
48:2,2
near
34:16,24
40:24
96:16
97:7,17
98:1
51:24
64:13
65:10
million
29:17 57:8
49:19 55:23
56:2,4
42:23
68:13
98:5
100:4,14,22
67:4,16
68:12 72:7
59:11 61:3
90:17
58:2,5,14
59:14
necessarily
40:22
101:2,10
73:5
77:19
78:7
96:3 108:22
61:2 65:8
67:10
80:13
number3:2
4:18
80:1585:1191:16
mind33:1641:6
77:1,978:781:6
necessary 34:3
7:21
16:11
21:23
95:9
97:24 112:3
niines60:10
83:1
84:4
88:19
44:20
22:4,8,1623:1,18
maybe34:12
37:17
minimal9l:5,7
89:491:293:9
need
8:21 21:22
26:4,10
34:18
39:8
40:1
45:15
46:9
rninirnized76:5,7
105:6
107:18
39:6 40:8
41:10
42:13
43:2,15
44:9
52:1565:1875:18
minimuml08:13
108:9
49:2465:1377:13
44:1147:2248:16
89:22
107:18
minor
68:9
Moreover
10:20
78:9
104:7,18
48:19,22
51:19
mean 17:6
29:19
misguide93:10
morning4:3
5:19
111:21
53:9
56:7,7,8,13
34:1054:2,4
59:22
Miss79:1081:2
6:5
7:12 11:12
needed
84:21 92:17
59:10,11
62:2
62:1
63:21
66:3,11
misstating68:18
95:14
needs54:18
90:14
67:21
68:2,19,21
81:19
83:24
84:24
mixes
61:12
Mosher 99:24
negotiated
15:17
68:22
69:3,10
89:22
97:14
mixing
100:21,24
mostl0:2321:12,15
Neither
18:920:20
85:15,22
88:18
meaning 18:11
101:1,4,6,11
21:16
22:3
24:13
110:24 112:12
90:18
101:16
means66:18
82:12
model3l:16,17,18
39:15 57:22
66:11
network5:18
6:2
102:20
111:22
96:14,20
52:10,11
69:21 96:14,20
12:17
109:5
numbered
20:20
measure 12:10
modeled 75:22
104:10 112:9
new 10:5
27:21
numbers
17:20
measurements
74:8
modeling
30:18,20
mostly
11:15
40:17 73:20
92:23
18:20
21:2
32:13
mechanism9:16
30:23
31:20
51:7,7
motion4:24
16:23
95:8 97:19
44:11
65:4 73:14
83:3
51:8,21
67:12
17:6,9,19
18:1,4,8
nextll:2435:3,9
104:13
median5l:2
70:2271:1976:10
18:10,1220:10,19
43:745:1546:9
numeric70:875:10
meeting76:1190:14
81:19,2088:14
20:2138:17,18
47:1954:24107:4
77:24
102:1
91:24
move
16:14 17:21
107:24108:10
numerical7O:21
member2:4,4
4:13
modern6l:20
18:21
19:4,9,13,17
Nightingale5:13
71:5
74:24 76:1
4:14,158:10,10
modification33:22
19:23 20:4 26:13
11:23 16:5
19:5
80:7,9
41:1442:8,18,24
98:1,6,9,24
100:13
38:2041:2342:2
22:244:2,1045:1
numerics73:13
43:21
44:8 48:10
modified97:7
46:16
48:21
60:7
45:20 46:1 47:8
109:14
niodify99:15
68:1,2269:10
49:6,11,1585:23
0
members2:3,6
6:11
moment65:11
110:7
moved2O:3,628:5
100:18
object2l:13
41:17
109:10
111:3
32:1
Nightingale’s20:13
48:22
memory
90:20
monitor
107:6
moves
29:11 31:24
49:22
objection
18:8 20:19
mention
63:10 89:9
monitored
79:16,21
72:18
nominal
70:20,24
42:3
mentioned6:3
35:17
monitoring
10:19
moving28:7
31:7
91:8
objections
89:10
43:655:5,11
57:6
25:1,1,4,1326:3,8
41:19 56:7,22
None63:9
objective4l:846:7
68:996:2,2111:18
26:937:544:18,19
60:21 105:21
non-community
46:19
111:23
46:12,2050:18,20
MT3D31:18
82:1
objectives5l:14
met
23:24 102:3,6
53:7,15
54:4 70:19
much 7:24
8:2 15:24
non-deg
100:1
observe
19:22
102:13,21
72:3
74:1,2,4
16:10 19:8
20:8
non-degradation
obtain
78:6
metals 102:1
75:24
76:11
77:13
30:9 38:6 40:19
69:12
70:9
73:10
obtaining
77:2
MGD 90:21
80:6 82:10,16
43:18 45:1847:14
78:2 85:5
obviously3l:22
Michael5:6
8:12
105:22
106:13,18
52:553:1,10,19
normally95:15
374
17:22
18:6
107:5,9,10
109:1,5
61:8
62:3 65:14
North
1:15
2:12
occur3l:1
Michigan
67:4
months
35:3 43:8
68:6 81:14
93:9
Notarial
113:13
occurred
25:17
mid26:751:2
45:1554:24
104:22 110:5
Notaryll3:4,18
27:2429:2262:15
middle67:20
Moore
2:4 4:14
8:10
rnultiple92:3,19
note 6:10,23
7:10
October
111:15,17
might8:8
17:8
42:8,18,24
43:21
municipalities
63:14
17:10
26:2
38:8
111:19
113:13
18:12
21:11,18
44:8
48:10
must
10:15 18:16
67:20
112:3
off
6:16
23:8 25:13
31:333:1738:9,9
rnoratorium47:3
97:15
105:23
noted33:19
30:1344:348:8
38:15
40:1 54:21
more
2:15 8:5,9,11
110:13
notes
13:4
101:15
52:3
65:8,10,12
58:18
59:14,15
11:8 15:23
17:6,10
nothing
14:17
68:3 90:18
111:2,4
9
Keefe
Reporting
Company
111:5
offer
6:21
7:4,12,19
8:6 11:9
60:11,16
66:2
88:23
109:22
110:23
Office
112:4
officer
1:9
4:3,7
5:1
8:9
11:7,11
15:24
16:10,22
17:13,18
17:23
18:3,15,18
18:24
19:3,7,12,16
19:20
20:2,7,10
21:1,9,11,20
22:7
22:15,21,24
23:16
26:15
45:20
46:2
48:13,21
49:2
56:6
56:9,12
65:10,13
67:16
68:1,8
69:2
69:6,9
85:10,14,21
86:5
87:12,17
101:18
104:1,4,6
105:13,16,18
107:22
109:9,15
110:2,5
111:5,10
111:23
off-site
9:17
13:22
14:5
15:14,14
31:24
32:1
51:10
57:7,12
58:9
63:16
64:5
69:23
70:6,13
72:19
73:7
75:6
77:1,3,6,14,16,23
78:6,13
81:16
82:5
92:11
off-the-record
111:11
often
51:3
oh
44:1
84:19
okay
11:12
18:21
19:23
23:4,10
25:10,14
26:13
29:7
33:5
35:15
37:17
49:12
52:18
54:13
56:13
57:15
67:24
68:24
72:20
73:4,21
74:6,9
76:13,15
78:10
80:19
83:10
85:8
86:8
88:6
92:21
93:11
94:14,23
96:1
97:5,18
100:13
101:13,20
103:23
104:10
105:12,17
106:11
106:20
108:10
older
43:19
once
7:3,13
14:4
39:3
61:4
90:21
91:3
112:16
one
5:3
7:24
23:5
26:21
28:15
31:1
35:9,24
39:24
42:12
43:3
50:12
55:23
56:18
57:22
58:6,18
59:24
65:17
66:2
68:8
69:24
79:8
83:2
93:8
94:2
102:10
102:20
103:4
108:4
109:11
110:14
one’s
66:6
one-third
61:11
ongoing
55:16
58:11
59:19
74:2
78:19
98:16
only
6:12
10:6
45:13
71:2
82:7
88:3
91:10
103:16,18
105:2,2
On-Line
112:4
on-site
13:11,15
15:13,14
51:10
57:17
69:23
70:2
70:13
74:10,13
75:11
76:24
77:4
78:9
80:14
82:2,2
82:5
89:16
92:17
103:16
open
95:23
97:18
111:13
opening
13:4
17:11
89:22,22
operate
35:8
operated
10:10
42:14
45:18
operating
9:2
49:20
57:17
58:14
97:16
operation
8:24
14:6
14:12
17:14
24:5
25:18,20
26:1,4,7
26:12
29:23
55:17
59:5
62:7
operational
31:3
operations
55:11
operator
107:6
operators
46:8
opinion
54:7
55:13
81:20
82:16
90:7
91:2,9
opportunities
50:4
63:4,18
opportunity
8:15
19:22
49:7,8
68:15
100:19
110:11,18
110:24
opposed
53:13
59:16
60:9
optimism
40:2
3
option
56:21
59:15
options3l:11
57:21
62:24
95:21
99:1
order
4:21
5:1
6:18
8:7,8
35:6
61:10
61:17
62:19
94:5
94:10,11 101:14
104:12
111:23
orders
94:3
111:10
organic
107:10,13
organics
107:11,16
originaL
4:20
5:9
12:14
13:6
other6:2,37:1
8:2
16:7
17:1
29:1
34:22
35:5,18
36:2
36:2,21
37:14,20
38:5
40:10
55:5
56:17
57:14,15,17
59:24
60:7
61:5,19
62:2,22
63:10
64:3
64:16
81:16
82:7
82:13
88:1,1,2,3
89:17
91:14,16,18
92:12
95:2,8,19
96:22
98:10
99:1,4
100:12
others
59:17
otherwise
35:7
103:5
111:10
ought
17:1
out
8:21
9:19
12:11
12:22
21:18
34:6
36:10
39:20
40:3,6
40:19
41:21
42:12
43:11
45:11
60:6
60:18
62:10
65:18
65:22
74:24
76:2
80:3
81:18
90:15
95:12
100:6
106:20
outfall
96:16,2
1
outfalls
29:1
outliers
51:4
outside
15:22
106:15
outstanding
8:19
9:21
over
11:15
17:6
24:3
24:20
25:10,24
28:5
29:16
30:13
39:1
40:22
41:8
56:16
57:17,19
59:9,13
60:1
67:17
72:9,11,14
95:20
99:24
overall
10:22
78:17
86:20
98:13
oversight
15:13
46:6
owner
92:11
107:6
owners
46:8
77:6
78:13
91:15,16,21
92:19
ownership
89:14
P
P 18:22
package
25:1
page
3:2,2
23:18
31:19
32:2,3
45:23
57:4
71:17,19
80:4
pages
50:19
87:15
paid
64:14
paint
24:18
59:15
panel
16:3
paragraph
108:4
parallels
13:18
parameter
98:14
parameters
96:22
Pardon
32:7
paren
4:9,10
part
5:16,16
11:19
13:24
22:19
25:2
27:14
28:4 29:20
30:3
31:11
33:2
36:19
37:23
40:2
46:7
47:1
49:9,13
49:18
51:22
53:17
53:2
1
57:2 60:3
61:18,19,21
63:21
70:5
77:7,8,10,12
78:20
85:3
86:18
87:10
89:3
91:22
92:2
97:23
98:4
100:11
102:23,24
102:24
103:21
106:18
107:1,8
109:10
110:16
partial
66:16,17
participant
6:3 7:9
109:22
participants
6:17
12:11
111:6
112:1
112:6
participated
7:20
particular
15:21
83:2
84:22
95:11
105:3
particularly
66:17
83:4
100:9
101:18
parties
8:20
9:22
10:13
89:16
parts
82:13
patience
21:5
pay
64:4
paying
59:12
64:5
pen
7:11
68:11
people
21:15
68:16
93:7
per
43:5
90:17
96:3
97:14
percent
14:10,10
51:1
percentile
51:2,5
performed
83:15
perhaps
21:14
38:23
67:21
103:14
perimeter
63:2
1
period
10:20
24:5
25:10
31:21
43:9
45:19
57:18
59:12
72:9
75:7
95:14
111:13,16
112:2
peripheral
89:4
permeable
83:7
permission
77:2,6
77:14
78:13
permit
9:2
11:23
12:1
28:1,16,18
29:2
41:10
42:16
49:14,14,18
53:18
96:7,11,13,1697:7
97:16,17,23
98:1,5
98:10,12,19
99:1
99:11,12,23
100:4
100:14,22
101:2,5
101:10
permitable
99:14
permits
28:13,21
35:8,9
43:9
47:16
49:19,20
55:6,8,10
55:14
permitted
8:24
33:10
42:18,20
96:7
100:22
permitting
28:9,11
28:13
29:5
98:22
101:9
person
8:2
22:5
personally
41:18
64:7
personnel
101:9
persons
5:11
111:8
perspective
39:8
41:19
49:23
pertains
23:1
petition
102:18
pH 107:7
philosophy
37:9
phone
24:2
physical
61:9
picture
24:19
53:24
59:15
piggybacked
92:6
pile
29:12
place
5:3 15:11
27:3
32:23
58:18
66:14
66:15
93:4
placed
12:13
26:22
33:3
103:18
placing
27:14
47:2
10
Keefe
Reporting
Company
56:17
61:23
62:7,10,12
predates
26:6
6:17,24
9:15
17:14
9:24
10:12,14
plan
25:2,4,5,6
30:3
62:15
63:7,10,11
predetermination
111:3,6,8,12
112:6
12:14,18,19,20
31:8,10
32:19,22
65:19,24
66:4,12
6:15
procedurally
8:3
13:1,6,8,10
14:24
36:16,2049:4,6,13
66:16
70:1572:21
prethct53:12
procedure6:5
15:10,12
19:24
51:23
58:19
93:22
72:23
73:2
79:13
predicted
59:2
procedures
47:16
24:23
35:20
37:21
103:3,8
106:3,13
88:990:1296:7,10
predictive5l:7
68:570:4
37:2239:1349:9
106:14,15,16,19
96:15,21,23
97:1,2
71:19
76:10
proceed
7:4
10:15
58:771:6,1094:8
106:19,22,22
98:15,17
100:22
predominantly
15:23
16:6
21:6
95:5
96:9
103:7
107:1,2
100:24104:17
53:20
22:1623:139:11
104:14,16105:23
planning
59:19
105:3,8 107:14
preferred
9:15
86:5
112:
12
106:1
108:4,13,23
plans
10:21
29:20
ponds
10:9
27:21
prefile7:9,16
proceeding
4:8
6:6
110:12
32:17
36:7
58:21
28:16,2234:8,13
prefiled5:5,8,9,16
110:16
112:7
protect
103:5
plant29:142:17
34:18,21,2235:1
6:1,3,187:1,6,12
proceedingsl:84:1
protecting5l:11
59:2
63:21
84:6
35:19
37:20
39:6
9:10
11:17
12:15
7:21
protection2:105:8
88:5
42:9,13,1443:3,5
12:16
14:20
15:3
proceeds
32:14
12:7
13:19
50:17
plants43:15
43:6,12,14,1844:6
17:22
18:6
20:12
process35:4,18
87:20
110:9
plant’s
96:16
45:4,5,9,12,17,22
20:13,14,15,16
37:15
39:22
41:21
protective
10:13,23
please6:10
11:11
46:6,8,947:3,5,10
31:19
32:3
45:23
42:5
43:8
54:20
41:11
50:1,10
16:8
22:11
26:15
48:4,655:12,13
53:24
54:10,12
72:1
75:1
100:12
provide
12:23
13:12
85:16
86:1
108:13
63:764:22,22
55:20
68:11,19
processing29:17
17:1,15
48:3
57:20
112:8
65:2372:24
70:1771:1673:16
45:10
65:477:11
pleased
85:18
pond’s
61:22
75:3
80:5 82:19
product
64:4
provided
22:19
plenty
12:22
portion
31:7
86:4,9
90:2
109:20
products
62:22
59:10
64:17
plot
50:23
54:9
80:2
pose
21:16
109:12
prejudgment
6:14
program
27:24
102:23
plots
50:22
51:4
posed
6:10
22:7,16
preliminary
108:21
28:10,19,20,23
provides
13:21
14:2
53:19
73:17
80:1
position
50:2
52:9
prepared
4:6
16:19
107:5
14:15
95:1
103:2
plume
54:2
67:11
75:9
102:19
programs
44:19
108:21
70:23
71:2,22
possibility
95:23
preparing
20:22
55:7
91:22
95:2,7
providing
14:13
74:21
75:4
8
1:4,24
possible
7:23
37:24
34:7,14
35:18
95:17
18:4
82:22
90:24
54:15
65:22
76:22
present
2:3,6
4:12
project
62:14
91:23
provision
13:12
plus29:23
83:1889:2095:19
4:165:6,13,18
91:2493:16
14:11,12,13,15
point
7:10
12:11
108:5
59:21
68:16
112:18
79:15
32:24
38:20,22
possibly
34:7
39:24
107:14
109:11
projected
108:22
provisions
15:2
39:7
42:12
44:14
67:9
113:6
109:4
74:17
75:21
77:7
47:8
49:16
51:2
post
52:6,6
presented
57:14
projects
93:18,23
78:24
85:6
108:8
55:23
58:3
59:22
posted
17:3
80:1
94:3,19
prudent
55:17
66:7
75:12
80:15
posting
111:20
pretty
44:21
47:14
properties
92:4,4
public
7:19
11:4,21
84:15
92:12
95:21
post-closure
10:20
53:1
67:13
75:9
property
70:14
12:5,9
16:17
17:3
104:9
105:7
103:3,8
109:2,4
81:21
90:23
72:22
77:21
78:3,5
23:2
49:4,7
50:5
pointed
40:6
post-hearing
111:7
preventing
81:5,6
81:24
88:12,13
76:7
82:1
86:23
points
109:6
111:14
112:15
previously55:11
89:5
90:11
91:15
100:14,19
110:15
policy39:348:15
pot67:9
63:18
91:16,2192:11,19
113:4,18
77:6,8,11
78:12,23
potable
13:15,18
pre-operational
proposal
4:21,22
public’s
49:8
79:2
potential
44:12
26:11
6:15,19,22,24
7:9
published
38:22
pollutant
29:17
47:17
66:19
85:24
primarily
79:2
7:15,17,18
8:19,21
40:15
pollution
1:14:49:1
86:17
106:6
9:7,8,10
10:1,4,5
pull70:2271:2
80:3
10:10
71:5
99:22
potentially
66:23
principaL
8:13
12:14
13:6
14:22
82:22
pond
1:4
4:9
8:23,24
67:15
105:6
principles
13:17
14:23
15:4,8,18
pulled
71:22
9:3,5,23
11:224:5
power
1:44:98:23
prior36:852:7,13
16:1620:4,18,18
pulling3l:2474:20
24:8,1925:18,20
29:1
44:5
60:4,5
82:24
34:635:12,21
80:13,14
81:3
26:1,5,727:10,12
88:5
private9l:4
36:14,18,20
38:21
90:23
27:18,20,21 28:2,2
practicable
76:4
privileged
6:9
40:12,22,23
41:1,3
pumping
81:22
28:8,17,19,2429:3
practice33:1260:9
probablyl6:1835:2
41:11,2350:10
82:2083:3,689:19
29:4,1230:5,20
60:12
39:14
41:3,3
43:11
53:1
65:16
69:14
90:13
31:237:3,21,22
Prairie
5:17
6:2
45:12
64:11
78:4
89:8
94:24
95:6
purpose
61:23
38:2
40:7
43:10,10
12:16
85:18
89:10
100:5
109:13,18
110:19
purposes24:23
45:11
49:9
50:5
precipitation
26:24
problem
76:11
92:3
111:13
112:14
pursue
89:2
53:17,18,21 55:2,2
27:2
31:3
92:7
105:20
propose
40:1
pursued
89:6
58:3,4,7,8,12 59:3
precise
25:12
problems
98:24
proposed
1:5
4:10
purview
94:6
59:9,21
61:9,10,20
precisely
21:23
procedural
4:19
6:7
5:21
9:9,12,13,18
put
32:23
37:24
42:1
11
Keefe
Reporting
Company
44:16
46:15
60:3
ranged
57:8
reasons
22:10,17
regularly
60:6
101:5,8
108:14
60:1091:1,292:6
ranges32:10
98:23
regulated43:17
110:9
112:5
Rao
2:7
4:17
8:10
receive
7:18
84:6
regulating
46:6
requirements
4:24
Q
35:16
36:13
37:17
111:24
regulation49:16
9:15
10:19
37:19
qualify76:21
38:11,1440:942:7
received5:5,7,15,20
69:19
94:5
109:7
37:21,2438:493:3
quality9:16
13:22
46:447:148:1,7
7:3,783:17,20,23
regulations9:2
10:7
102:24
108:3
14:5
15:14,16
49:13
50:3
51:18
110:20
33:18,21,2234:2
requires
13:23
23:2324:430:18
52:18,21,2453:4
receiveslll:9
48:18,2350:16
49:1779:15
50:15
51:16
56:15
73:5,9,13,18,21
receiving
111:20
51:16
55:3
97:19
105:23
106:12
62:664:13,16
74:3,6,9,16,19,22
recently
93:1
109:18
103:1,7,22
107:6
108:12
69:12
70:2,6
73:6
75:10
76:13,15,18
recess
68:7
regulatory
8:22
resolution
9:23
74:10
75:14,15
77:5
78:10,18,21
recharge
82:10
9:24
49:21
55:15
15:18
89:7
79:9,18
84:14,23
78:23
79:6,8
80:19
recharged
86:16
related
15:17
37:18
resolve
8:19
85:5
96:19
98:20
80:22
81:1
83:11
recited
21:3
98:5
resource
39:2
40:21
99:9,24
106:10
83:14,1884:3,9
recollection26:8
relating6:1748:19
50:17
51:15
quantify
64:20
85:11,13
92:22
32:12
relation
81:24
resources
39:9,18
quantities
62:19
93:11
94:14,18,21
record
6:10,13,16
relative7l:21
98:9
49:22
66:4
94:24
95:5,24
10:12
16:13,14,17
98:13
respect
80:9,11
quarters
14:3
97:24
98:3,23
17:9,15
18:23
19:6
released
75:23
respond
69:16
question
22:3,8,19
99:17,19
100:8,13
19:11,15,19
20:3,6
releasing
67:10
responded
85:2
23:4,5,22,23,24
100:20
104:7,10
26:3
47:4
52:21
relevant
6:8
82:11
responding
36:23
24:10
26:14,18
104:21
105:9,12
60:3
62:16
64:21
reluctant93:9
110:21
27:17
29:8,8
30:20
105:21
106:11,20
65:8,11,12,1468:3
rely79:19
response23:21
32:17
33:5,15
106:24
107:4,15
68:14
83:19
89:9
relying96:10,12
26:18,22
38:18
35:16
36:13
37:18
107:24
108:10,19
93:2
101:14
remain
13:16
45:3
55:20
60:19
39:10,19
40:10
109:8
109:23
110:16
remainder43:12
65:5
79:10
88:23
46:448:16,1950:7
rapidly38:21
111:2,4,6
113:8
remaining39:23
93:16,18,2294:2
51:18
54:14
56:5
rate89:20
recovering65:18
45:17
101:23
102:15
56:16
65:21
67:21
rather
13:24
39:12
recycle
57:11
remains
14:20
105:11
68:22
69:1,2,11
47:15
recycling
45:9
remarks
13:4
responses
5:24
71:11
73:5
77:5
rationale
79:4
reduce
65:19
66:19
remediating
51:10
12:16
22:13
79:8,11
83:11
85:9
rawlO3:11,12
81:13
remediation7l:2
109:17
85:12,15,22
86:3
RCRA14:11,15
reduced9:22
47:17
80:11,15
91:22
responsive94:17
88:1
89:2
92:22
reach
15:8
36:10
reduction98:16
92:1793:20
94:21
rest66:13
93:14
97:24
101:4
80:15
reductions
3
1:12
remediations
91:19
restored
105:14
101:15,16,17,20
reached
9:19,22
47:18
remedy
85:6
90:22
result
9:22
31:20
104:13
107:4,24
71:13
94:7
refer
28:15
51:3
remember9l:1
resulting
86:23
108:2,10,19
read
7:2
17:12,13
108:7
remind32:5
results8l:19
83:17
questions5:166:1,4
18:23
19:6,11,15
reference33:16
removal62:1299:6
83:21
84:7
88:14
6:10
7:1,6,8,14,17
19:19
38:16
75:19
38:1
69:18
94:3
remove60:15
61:6
resumes
17:1
8:3
11:4
12:16
93:6
referenced
92:16
62:1
65:22
66:3
retrieved
109:19
16:7,7
21:6,13,16
ready
15:23
16:6,8
referencing
15:15
removing
56:17
return
77:24
101:19
21:23
22:8
39:2
18:12,1421:5,8
referred6:19
16:11
57:7
returned76:6
48:10,15
49:1
26:16
43:24
45:21
53:18
70:17
reorganization
reuse
63:6,7
64:21
55:20
68:19,19
real47:10,18,23
referring
87:14
14:22
65:23
103:20
86:4,4,7
88:24
really
23:22
24:18
refers
68:2
repeat
30:16
reutilize
64:1
100:1
103:24
33:1536:2437:21
reflect6:14
repetitious6:9
review4:195:1
104:8,10,12
43:13
45:10,14
reflecting
9:24
report
83:23
84:1,3
10:21
17:3
36:8
109:10,13,17
47:20
54:1
58:10
reflective54:2,5
Reported
1:13
38:1749:9
52:16
110:2,7
112:11
58:16
59:3,9,11
regard
63:15
66:3
reporter
7:22
16:3,8
83:22
97:22,23
quickly46:16
97:10
85:289:690:7
78:798:22
108:20
21:17
113:5
103:3,8
111:24
102:23
regarding
7:8
8:22
reporting
1:15
9:15
reviewed
25:8
52:1
quite
107:8
reason
12:23
36:13
73:6
79:9
83:12
reports
10:21
64:21
103:19
—
44:16
47:1
51:18
85:23
92:23
98:1
represented
54:10
reviewing
87:6
60:7
77:21
78:18
108:20
request4:23
45:4
106:5
R2:15
90:5
99:14
107:13
regardless70:12
110:10,17,21,23
revise97:16
Raccoon
88:4
reasonable
10:24
regimes
28:13
require
37:7
54:23
revised
9:14
13:12
rainfall8l:6
41:1259:1460:14
Register38:22
61:1278:1292:18
14:9,11
raise
60:1
89:10
63:20
94:9
regs
33:6
54:15
required
16:20
39:9
revisions
5:21
9:9
range
34:20
50:21
reasoning
81:4
regular
25:20
47:15
77:8
93:21
100:3
9:12,13
12:18,19
12
Keefe
Reporting
Company
13:1
15:1
19:24
R09-21
1:44:19
46:860:1867:4,22
share40:22
situation33:739:5
95:5
71:5,19,2272:10
sheet7:1168:11
95:12
Richard5:12
18:22
S
72:13
74:4
75:4
109:19,21
situations86:16
32:2
S2:4
4:14
76:20
79:12,21
short68:5
109:19
slope
14:9
26:20
Rickll:2031:15
safetylo3:5
80:5,681:1982:5
shorthandll3:5,9
32:1968:269:3
36:2343:2444:15
sake87:12
90:4,791:7107:10
shortlyll2:16
slopingl03:17
78:2
sale
56:4
108:6,17
short-term
54:19
slower
18:19
Rick’s
92:8
same
5:7,23
8:1
seeing
18:9
20:20
shoulder
17:7
slowly
29:11
right4:13
7:10
28:20
30:8
43:23
72:4
73:24
82:18
show24:7
25:19
sluicing
61:21
11:22
12:2,6
21:14
74:9
80:4
88:1
92:9
111:1
112:12
60:24
66:10
72:14
small
14:1
40:8
88:1
21:1924:7,17
89:10106:11
seek76:16,1995:7
80:498:11
102:19
snapshot24:7,17
39:12
40:5
42:6,24
108:4
113:9
seeking
97:7
showed
52:10,11
73:24
46:22
57:18,24
sampling
14:4
seem
60:19
showing
57:21
Sofat
99:22
60:2,17
66:23
105:24
seemed
89:7
shown
67:6
soil
30:2
103:13
67:14
73:23
74:8
sand
103:14
seems
16:2
33:9,12
shows
24:6
50:24
soils
33:3
79:683:990:11,13
Sanjay99:22
34:1
36:18,20
51:4
60:13
solid
108:16
94:20
96:5,13,19
satisfaction
69:4
53:11
55:17
59:7
side8l:16
some7:5,17
8:22
97:13
100:14
satisfactory22:22
60:12
65:1796:20
sign92:19
11:18
13:3,5
14:21
105:9
23:1
seen
60:24
71:1
significance
63:10
17:4,7
25:20,22
rights
89:13
satisfied
103:1,2
76:10
82:3
91:8
significant3l:13
26:4
29:24
36:4
risk86:18,21
87:1
satisfy
103:9
sees34:12
62:14
63:16
66:4,9
37:7,19,2438:8,9
87:10,13
saturated6l:4
selectedl0:22
72:1090:15
38:20,2239:1,6,7
river
24:15,15
27:13
save
34:11
48:10
self-contained
39:24
significantly
35:20
39:13
40:2,6,18
28:17
82:14,15,18
saw69:13
78:23
40:5
similar28:3
33:13
42:2
43:17
44:24
83:886:12,18,23
saying42:1946:5,5
sell55:21
33:1934:1436:6
46:1748:10,14
96:19
97:4,20
71:13
72:6
semi-confined
82:3
67:3
79:24
54:19
57:11,20
98:14,17,20
says73:10
sense22:340:7
similarities36:3
58:23
61:7,14,14
107:16
scales
71:21
54:18
105:5
simple
80:8
62:1
63:24
65:19
Rivers
5:18
6:2
scenario
33:23
62:8
sent27:22
35:7
65:7
simply
17:15
22:3
65:22
66:15
67:4,7
12:17
66:12
96:6
40:15
50:23
52:15
69:6,22
70:17,20
road
105:6
scheduled
5:2,3
separate
18:20
63:24
70:21,24
75:6,12
Robinson
1:9
113:7
scheme48:17
96:17
since
10:2
27:8,19
82:8,12
85:23
86:3
room
68:10
SCHIFF
2:15
separating
39:19
27:22,23
28:6
90:12
93:8
94:16
routingss:12
scientist8:13
September
1:8
4:2
37:18
39:22
54:3
100:6
101:4
RPR1:13
scope4l:786:4
5:15,1912:1920:5
55:3,458:593:1
103:14104:7,8
rule
9:5,6,8,14 10:12
screened
70:15
113:8
99:12
110:8
105:5,6
108:18
10:14,18 24:24
105:24
series9:20
15:992:5
single43:10
someone63:23
34:435:13,1936:1
Screening57:5
serves6l:23
singled95:12
89:19
102:4
36:16,21
39:10,11
scrubber
45:6
service
26:7
59:10
Sir
109:12
something
25:3,15
41:244:1447:11
scrutiny4l:4
62:10112:7,10
sitel2:2417:326:9
25:1638:1044:1
47:13,14
51:20
Seal
113:13
services
8:14,14
30:13
34:7
35:9
63:1,22
66:15
52:4,6,7
71:10
Sears2:16
63:2
36:2
41:9
43:10
67:11
88:18
93:5
74:1176:1592:16
season90:3,9
serving55:16
51:2053:17
60:16
93:15
100:3
94:4,13
97:10
second39:2475:17
set36:6,1853:16,20
61:15
62:18
64:3
102:19
106:7,7,15
104:13,24
105:3
103:4
75:11
77:15,20
69:20
71:23
82:13
somewhat
66:24
108:3
section
6:7
11:23
89:4
92:2
101:5
84:22
88:5
110:17
Somewhere
82:4
rulemaking
1:44:8
12:4,8
13:11,19,21
104:12
113:12
111:21
112:4
sorry2l:1765:9
4:15,18,21
28:4
14:2,8,11
40:8
sets
10:14,18
sites
34:20
35:14
72:22
95:4
97:1
36:7
37:11
40:11
57:3
70:1,6,8,10
setting
31:18
49:10
36:1
37:1
42:5
101:13
105:16
50:678:1979:1
70:1071:975:17
settled2l:4
43:645:2155:5
107:18,20
rules
1:44:96:7,8
75:20
76:3
97:14
settlement30:10
56:18
60:7
sort
6:14
25:20
39:1
6:24
14:18
15:16
99:23,24
104:13
settling
29:15,22
site-specific
9:5,8
39:23
50:13
56:19
16:21
17:14
35:18
106:11,22
110:8
61:24
34:335:13,18,19
67:15
73:20
35:23
38:3
41:2
111:7
seven
20:19
35:23
36:19
38:4
sought
27:24
51:19,2492:2,14
Sections4:11
several
9:11
15:17
38:10
39:9,12,16
sounds22:21
104:16,19
110:12
section/solid
12:1
34:8
95:14
44:13
47:1149:10
source70:2371:3
111:8
112:6
secured
88:10,15
shadow
38:24
52:4
54:16
92:18
sources
40:15
run
12:22
21:18
sediments
67:4
Shakes
107:17
94:4,12
south
88:8,12,15
runs
3 1:21
see
21:22
22:4
26:17
shallow
8
1:23
88:11
sitting
42:6
speak
7:22
17:7
rush
18:12
33:24
35:19
38:24
88:16
situ
58:17
30:22
42:21
54:17
13
Keefe
Reporting
Company
59:22
67:9
93:24
statements26:21
subparts4o:4
sworn
16:921:3
testified45:11
speaking6:16
8:1
states74:11
101:23
Subsection73:9
synthetic26:23
33:4
testify7:16
110:22
specialist
12:7
Station
1:5
4:9
8:23
75:17
105:22
system
10:22
34:18
testimony
5:5,10
6:3
specific
10:5
14:21
statistical50:22
106:12
108:11
42:21,2246:12,20
7:1,12
9:10 11:18
24:22,23
37:21
54:11
72:2,3 73:24
subsections
108:7
91:4 98:15
102:14
12:15
14:20 15:3
86:7
93:13
98:9,21
statistically
53:23
subsequent4l:23
105:22 106:13
16:20
17:11,22
specifically
10:8
54:5
subsidized
64:9,17
108:5,11
18:6,17,22
19:4,9
22:1
37:1,7
39:19
statistical-based
substance
14:23
systems
10:18
44:18
19:13,18
20:12,13
40:7 48:19
53:22
44:19
substantial3l:12
62:21
108:14
20:14,15,16
31:19
85:23 86:22
98:5
statistics
50:24
61:13
32:3 43:2
45:23
99:4
102:19,22
status
46:23 48:5
substantially
102:13
47:2
53:24 54:10
specifics38:576:3
statute 93:6,15
substantive
13:5,9
table
12:13 26:23
54:12
68:12
70:17
specified4:24
statutory92:14
13:20
29:10,13,14,15
71:17
73:16
75:4
100:23
105:24
stay99:13
substitute
103:12,13
30:15
31:8 48:3
80:5
82:19
86:10
specify
94:10
106:2
steady
66:24
67:1,8
subtext
38:18
57:4 61:12
90:2
95:13
109:16
speculating
64:18
71:4
74:5
successful
66:8
TACO
92:14
95:10
109:22
110:7
spelled
11:13 106:20
Stephen
5:13
19:5
81:21
take
5:3
41:2
49:24
text36:1
spelling
100:6
steps
49:24
sufficiently
81:20
54:20,21
67:19
thank
8:9,17
11:7
spending
57:24
Steve
11:22,23,24
suggest2l:12
75:1
83:5 89:18,18
15:21,24
16:10
spirit 15:20
44:1
suggesting42:1
62:7
90:22 93:12
94:1
18:3
19:8,12
20:2
spreadsheet
57:3
still
27:17
37:15
suggestion
10:6
106:24 108:6
20:7,22
35:15
42:7
Springfield
2:12
39:3,4
40:8
46:18
sum59:8
taken
8:16 34:4
45:846:248:1,8
SS 113:1
65:16
74:5
92:5
summarized50:21
53:11
68:7
86:6
51:12 53:4
54:13
stability
29:21
94:16
summary
6:21
7:3
113:9
65:14
68:5 79:7
staff2:6
4:17
6:11
stirring
67:3,9
8:6
11:8 50:23
takes50:23
73:17
81:1,1
84:9
87:17
9:11
47:17
stopping
81:5
57:5
111:12
92:21
94:14
97:13
stage27:13
36:12
stored45:10
superseded
15:4
taking44:20
50:2
99:17
100:20
82:16
storing32:20,22
supplies
11:21
12:5
57:7
81:18 90:15
101:13
103:24
stakeholders
41:5
stormwater
45:7,8
12:9
65:20
talked
24:2
45:1
104:1,3,5
107:4,22
49:23
strategies
36:9
supply
13:17 23:2
100:4
108:19
109:8
standard
13:22
strategy
46:15
23:17 24:12,17
talking
47:4
52:5
110:4,5
112:13,17
15:16
33:20
70:10
stream97:8,20
supports:10,21
54:14
79:11
Thanks48:7
79:6
70:21
71:5
73:10
streams
46:17
88:2
6:22
9:12
12:17
targeted
53:16
95:24
112:18
74:10,12
75:22
Street
1:8,15
19:2420:1722:20
task8:2
15:21
That’d
102:9
76:1277:2278:7
strictl0:16
23:12,1832:450:9 team5l:12
their20:1722:13
80:7,9,18
Strike72:22
50:9
57:4
71:18
technical4:17
22:19
44:18,1848:5
standards
9:17
strong
90:23
72:12
86:9
87:14
23:12,18
32:4
50:9
50:10
83:22
88:22
10:16
14:5
15:15
struggling
39:4
88:20
102:17
52:17 57:4
71:18
103:9
23:24
50:15
51:17
studies
101:8
108:21
72:12
86:9
87:14
themselves76:23
56:15
69:12,13
study 110:8,12,13
supported
89:16
88:19
108:21
77:4
70:2,7,8
72:17
110:19
supporting
56:24
technically
11:1
theoretically
67:7
73:6
74:24
75:11
stuff
40:3 66:7
supports
10:4
41:12
60:14
theory
66:22
75:14,15
76:1
subject
10:21
17:9
sure 8:2
20:9,24
techniques
60:21
they’d
86:16
77:24
79:9,18,22
17:24 27:11
28:14
22:627:4
29:7
technologies
99:5
thickness
108:12,14
84:14,23
85:5
87:4
28:14
29:5
41:9
48:9 49:2,2
60:23
technology
37:13
108:18
87:4,7,9
89:4
49:7
100:18
68:15
69:20
87:6
83:1
99:7
thing42:12
70:18
96:1998:2099:9
submitl7:523:18
95:1096:1
102:7,9
template4l:15
103:18
108:4
102:1
97:15
105:4,19
107:1
temporary23:5
things
37:4 39:13
starting
15:11
submittal36:8
108:9 112:8
24:6
61:17
47:6
50:13 51:21
state 32:2
49:20
submitted
25:2
Surely
56:12
tenet
50:16
52:4
54:22
59:24
63:9
64:7
67:1,8
33:23 36:16
45:3
surface
10:6,8
48:17
term
16:1
34:16
67:3,8
77:14
80:21
71:474:597:16
48:349:5,1751:22
66:1882:1386:11
42:2373:22
98:18
113:1,5
102:17
106:14,19
86:15
88:1,3
104:16,18,18
think
7:23 21:14
stated53:655:21
106:21
104:15,19,23
tcrminated55:8
22:1323:1324:13
63:17
submitting
20:22
108:15
terminology
67:1
25:15,16,18,23
statement
5:20 8:6
subpart
10:5,8
Susan
15:21
65:3
terms
25:16 50:3
27:6
32:10
33:14
12:17
13:2
14:24
11:19
14:17
28:15
suspect
41:5
107:13
66:5
67:1 70:18
36:2,5
38:3,11,12
15:6 16:16
19:22
28:22 34:9
37:23
suspects42:22
78:11
85:1 86:11
38:21
40:12
41:18
19:23
20:17
22:9
38:1,2,5
39:13
swear
11:5 16:3
97:10
100:2
41:18
44:10
49:21
22:17
40:342:1
97:15
switched
91:11
103:19
52:16
54:7
55:19
14
Keefe
Reporting
Company
56:14
57:19
63:17
11:16
50:2
59:2,20
83:3
underway
8:4
venue
50:6
64:10,10,16,24
68:13
72:24
trying
29:5
40:17
Uniform
92:15,23
verbal
107:19
65:7
66:22
67:13
109:11,22
43:19
47:11,12,23
95:3,12
verify
88:18
68:24
72:7
74:11
together
44:16
59:4,19
66:19
unique
18:19
34:3
version
83:21
112:9
75:4
78:16
79:4
46:15
82:6
92:6
TSD
10:3
50:19
36:4
64:10
versus
59:3,20
67:7
85:3
88:17
89:1,18
told
55:8
71:18
unit 12:2,4,8
84:22
100:6
90:5,10,20 91:12
tomorrow59:20
turn7:8,15
68:21
units
82:12
vertical3l:1,4,12
92:8
93:17
94:24
tons6l:4
73:16
95:15
104:9
unless40:1666:6,7
81:5,7
99:11
101:17
top6:2323:925:13
turns4l:21
101:8
111:10
vertical-component
102:12,23
103:6
27:9
30:1
51:1
tweaking
52:15
unlike
10:9
58:18
31:16
103:12
105:5,7
66:12,16
68:10
twelve
43:7
unlined
34:23
very
4:19
8:4 11:7
106:1,9,22
90:19
103:18
twenty
32:13,14
unreasonable
56:23
15:24
16:8,10
18:3
thinking
71:10
total
43:6
twenty-eight
43:5
unregulated
41:9
18:15
19:3,7,8,16
86:12
105:1
towards24:15,16
twenty-s1x43:4
until26:4,1084:5
19:20
20:2,8
21:9
third29:9,1245:16
35:23
53:11
90:8
22:8,15,2423:16
Thomas2:4
4:15
Tower
2:16
twice
27:23
updates40:11
23:19
33:13
39:12
though
26:3
33:9
tracer
82:9
two 8:8
27:21
28:5
upper
54:6
69:15
40:18
46:2
48:14
82:2
Traci
5:17 32:1
28:12,13
30:24
70:8,16,23
72:10
52:9,14,14
53:16
thought
64:23
65:1
track48:8
62:16
34:22
35:1,1
43:6
77:22,24
82:490:8
56:12
61:8,15,19
66:3
82:7
86:10
transcribed
113:10
43:11
45:14,16
90:24
62:3,8,8
65:14
90:16
94:8,12
transcript
111:10
47:19
51:11
55:5
uppermost27:15
66:18
68:6
69:2,9
threat76:6
86:19
111:14,18,24
69:23,24
89:15
upset67:15
72:4
74:14
82:9
threatenl02:11
113:11
111:3
upstream88:5
85:6,10,1487:17
three
30:2
45:16
transfer28:2
96:15
type3l:17
108:18
upward
25:8,9
89:24
91:7
95:19
102:2,3
103:10
transferred
33:1,2
types
46:17
48:4
up-to-date
112:9
104:1,6
105:7
through
1:6
4:11
transfers
28:6
91:18,21
usable
61:22
62:4
109:11,15
110:5
10:1521:2228:11
transient89:2491:7
typically63:1375:2
usel3:13,1531:16
111:24
28:23
29:13
30:10
91:9
79:23
101:7
37:12
39:21
60:15
viewable
110:16
31:5,7
38:16
49:16
transmissive90:6
108:14
62:12,2463:3,13
volume60:22
81:18
50:19
53:9 55:6
91:3
64:12
76:5
83:3
59:5
72:23
86:11
transport
31:18
87:7
88:9
89:16
94:18
96:4,7,15,21
51:8
62:21
63:20
uh-huh
42:20
102:10
103:4,10
Wabash
86:12,18,22
98:15
101:15
63:22
uncertain39:23
103:11
111:22
88:2
96:19
97:3,5
103:6
104:12
transporting
57:12
uncertainty 49:21
used
16:1
26:19,22
97:20
98:14,16,20
112:3,4,8
treat50:1751:15
55:15
27:931:1732:19
107:16
throughout
10:20
treatment
27:23
unconventional
45:9
53:8
92:13
wait
84:5
43:3,15
105:1
34:2255:3,1758:1
60:20
101:1,22,24
waiver4:23
Thursday
84:8
tremendous4l:4
under
6:7,23
28:18
102:18
103:16
want4:12
34:10
tie80:10
trench
14:731:21
29:13,14
30:14
104:17
37:744:1
53:5
tied
89:13
32:6,9
37:13
51:9
33:17
35:8
37:22
USEPA
85:24
65:8
68:14 71:4
tight50:14
85:4
58:7 71:20
81:15
38:1,2
47:12,22
user64:3
89:19,23
74:23
77:19 78:24
Tim4:7
81:1783:190:14
48:1550:1555:3
users89:17
79:494:8,16
time4:6
7:18 8:1,16
96:498:799:2
69:18
70:1,5,24
uses62:264:1687:3
wanted
37:244:16
11:5
17:424:3,5
102:15
108:1,3
73:10
76:20
77:8
87:4
46:15
52:19
66:13
24:20
25:10,24
trend
13:24
14:1
79:10,13
80:22
using
34:14
67:7
68:8
89:8 93:19
27:2229:1630:13
24:1,2425:4,9
82:391:1092:9,13
70:1572:2,373:22
95:22100:10
41:245:1952:14
26:1150:18,20
92:2393:4,21,22
75:1491:3,17
105:18
54:14
56:16 57:18
53:6
71:14
72:6,9
94:22
95:2,5,7
usually
64:9
wasn’t
33:9,10
57:1959:12,13
72:1678:179:12
100:3,6101:1
utilization6l:7
105:4
62:11
71:21,24
79:19,2480:2
104:14106:12,22
62:17,22
63:16
wastel0:912:1
72:1,9,11,14
90:5
trending
24:11
25:8
107:8,24
108:10
64:19
30:19
32:18,23
91:10
97:6
104:7
trends
24:22
53:13
undergo4l:3
42:22
utilize
57:11
62:19
33:11
45:6
46:17
109:19
111:20
67:5
71:4
72:5
underlying
13:23
63:23
88:11,16
57:18
58:1,2
59:14
timeliness4:5
75:6
65:20
70:9,11
utilized55:11
61:20
60:9,15
64:4
97:8
times9l:l0
93:7
tried
64:24
65:1
understand23:23
63:15
97:19
101:22,24
timetable97:10
triple
53:9
24:17
27:1
29:9,10
103:20
108:16
timing34:21
tritium82:8,9,11,14
33:854:1956:22
__Y
-
111:20
Timothy
1:9
83:12
60:4
89:12
value
66:9
wastewater
27:20
today4:12
5:4,6
true
113:11
understanding64:8
variation72:13
27:23
28:9,15,18
6:11
7:16,23
11:3
try55:466:3
77:16
64:11
vary34:19
34:22
35:6
55:3,5
15
Keefe
Reporting
Company
55:7,12,17
96:13
98:22
99:6
101:9
water
9:1,11
10:10
11:21,22
12:5,5,9
13:15,17
23:2
24:12,17
26:23
27:24
28:20
29:10
29:13,14,15,16
30:15,18
31:2,5,8
44:4
45:3,9
48:17
61:12,24
62:6
81:12,14,18
88:3
89:17
90:6,8
91:4
96:3,18
98:20
99:2
99:9,21,24
waters
86:12,15
88:1
Waugh
1:13
113:4
way
11:18
34:6
36:14
37:22
41:19
41:21
51:19
58:6,8
66:6,8
77:14,19
78:15
79:5
80:14
86:13
90:24
95:15
103:16
web
12:24
17:3
110:17
111:21
112:3
welcome
4:4
well
5:18 15:23
17:9
21:10,17,18
24:12
26:4,23
27:10,15
28:12
29:1
41:17
41:22
42:12
44:2
46:20
49:15
55:1
58:2
61:2
70:19
71:16
74:4
75:9
77:16
79:23
80:6
81:15,20
82:2,10
82:16
85:14
90:1
91:5,6
92:11
93:5
96:12
99:23
104:10
106:4
109:5
wells
13:15,16
23:2
23:5,7,12
24:6,13
24:23
25:1,7,9
50:20
53:16,20
70:15
81:23,23
88:16
91:1
105:23
109:1
went
26:7
37:2 89:8
were
5:22 9:20
10:9
13:2,7
15:7,17
16:16
23:6,7
27:21
28:4
34:2
1 39:21
40:1
41:20
42:1
43:5,24
44:6,6
46:5
51:24
53:8
54:14
55:16
56:10
57:1,13
67:10
68:17,18
78:5
79:11
84:7,24
86:19
87:10
95:18
102:24
109:9
west
32:11
wet 61:20
we’ll
7:24
12:22
23:14
25:15
38:23
48:2
52:15
72:2
84:10
102:7
106:4
108:9
we’re
15:23
16:19
21:8
24:7
36:11
39:1,3
40:14
42:3
43:19,23
44:3,11
44:17,20
46:
14,21
46:2 1
49:20
50:2,2
52:3,8
55:13
59:3
66:19
70:18
72:5
72:10
73:24
75:14
77:15
81:13
82:12
82:18
92:8 96:12
100:4
106:5
107:21
we’ve
7:3 25:12
28:19
34:4
35:24
40:17
51:12
56:14
71:1
72:23
76:10
77:1
79:5
82:3
86:6 91:8,12
94:8
95:13
98:8
99:3
104:6
109:3
whatsoever
25:7
WHEREOF 113:12
while
8:24
10:1
13:4
40:20,24
42:13
54:21
78:1
86:6
whisker
5 1:3,4,4
53:19
73:17
80:1
whole
84:19
Wight
2:10
5:14
8:4
11:8,10,12,13
16:1
16:11,15
18:11,14
18:16,21
19:2,4,7
19:9,12,13,17,21
20:3,7,9,11,21,24
21:5,8
38:13,15
40:14
77:10
88:22
91:14
93:5,24
94:16,20,23
95:4,9
97:12
100:17
106:23
William
5:11
19:14
willing
55:10
wish
7:11,19
8:6
16:14
17:8,24
18:13
21:16
109:12,20
wishes
7:4 109:22
witness
7:15
113:12
witnesses
11:17,17
11:20
12:15
16:9
21:3
wonder
29:11
54:22
56:23
88:6
89:15
wondered
23:6
49:3
54:17
69:13,16
84:12
86:14
102:4
wondering
36:17
37:23
5
1:23
94:19
work
21:18
30:23
38:6
41:20
47:13
60:1
106:9
112:13
worked
28:20
93:6
workgroup
99:2 1
working
8:18
35:11
35:12,23
43:23
44:3,17,2
1 50:13
51:12
52:3
55:4
93:7
works
14:12
63:3
worth
53:12
107:9
wouldn’t
41:17
wrapped
67:23
109:24
written
5:24
11:18
23:14
84:13
86:7
111:9
wrong
90:17
www.ipcb.state.il.us
111:21
W-I-G-H-T
11:13
-
x
X59:11
Y
yards
29:18
yeah
25:14
30:8
38:11,14
40:9
44:2
52:18
64:10
73:18
74:3,16,19,22
78:21,21
81:1,8
83:20
85:3
99:19
106:24
year
35:9
38:23
40:13
50:21
years
11:15
26:4,6
26:10
29:23
31:21
43:11,16
45:16,16
46:10
47:19
53:6,9
53:11,13
59:9
71:23,24
95:15
107:8
z
zone
13:23
54:6,6
69:15,16
70:4.8,11
70:19,23
71:1
72:7
72:9,10,18
73:1,7
73:14
74:15
75:21
76:16,19
77:7,18
77:23,24
78:2
83:5
88:15
90:1,6,24
91:3,8
100:24
101:4,6,11
zones
51:11
69:24
70:16
78:12
100:21
#
#084-003688
113:19
0
084-003688
1:14
-
1
13:3 5:15
17:22
18:6,9,11
22:4,8
45:22
108:11
1.9
90:16,21
96:3
10
69:10,11
85:9,12
10:15
67:20
68:4,4
100
1:8
102.108(b)
111:7
102.426
6:7
1021
2:12
111:1585:15,19
118
84:16,17
1235:3
54:24
71:23
85:19
101:16,20
12-year
91:17
1385:19
1470:19
74:4
80:6
82:10,16
85:20
111:9
15
21:23
47:9,22
85:22
17
3:3
11:15
17C-D
71:22
18
3:3 4:22
5:4,7,23
9:9
13:9
14:24
15:10
18:7
35:3
80:4
180
97:14
19
3:3,4,4,5,5
9:7
1960s26:8
1984
26:10
53:8,15
1998 110:8
2
23:3 19:1
20:11
22:16
79:14,15
80:23
105:22
20
3:3,4,4,5,5,6,6,6
3:6
31:19
32:2
71:17
2000
28:6
50:2 1
55:3
59:5
2000s
27:22
2002
74:1
2008
50:2
1
53:9
74:1
2009
1:8
4:2,21,22
5:2,5,15,20
9:8,9
110:15
113:8,14
21111:14
21-day
111:16
22
5:19
12:19
20:5
23
57:8
2444:4,5
45:2
1
25
51:2
71:24
88:18
88:21
27(b)
110:8
277-0190
1:16
29
1:8 4:2
113:8
3
33:4
14:10
19:5
20:12
23:1,4,22
3-1 57:5
3.135(a-5)(B)
102:1
3.340
13:19
30
5:2 29:22
110:15
111:17
30-year
108:22
331
87:15
3457:8
351:54:10
15:16
70:4
4
43:4
19:10
20:13
26:14,18
75:18,18
40108:12
40-mu
108:18
410
77:24
44th
1:15
492
87:15
5
53:5
14:10
19:14
20:14
33:5
48:16
48:19
50
47:10
50:19
88:17
500
88:12,15
5250:19
534 32:3
71:19
6
63:5
19:18
20:15
48:22
56:7,8
108:22
60606
2:17
618
1:16
620
15:17
73:10
76:20
77:8,10
78:20
85:3
107:8
16
Keefe
Reporting
Company
620.250(a)
75:20
620.301(a)
70:10
620.401 70:10
620.41070:876:3
620.450
75:17
620.450(a)(4)
70:5
620.505
84:14
62226
1:16
62794-9276
2:12
6600 2:16
68
26:8
59:5
7
73:620:1,1645:23
56:5,7,13 87:14
7044:6
45:1,22
47:10,21
73 57:4
742
92:2
8
83:620:6,18
56:16
67:21 68:19,21
69:1
8:30 4:7
8:36
1:8
4:2
840
11:19
37:23
84:15
840.101
1:5 4:11
840.112 105:21
840.114
79:17
107:5
840.114(a)
107:6
840.116
73:9
840.116(a)
70:1
840.116(a)(3)
13:11
840.116(b)
70:6
79:18
840.118
71:9 79:10
84:13
840.118(a)(2)(A)(ii)
13:21
840.118(a)(2)(iii)
79:14
840.120
14:2
107:24
840.124
108:11
840.124(d)(3)
14:8
840.130
106:23
840.132 97:12
840.144
1:6 4:11
840.152
14:11
9
9 4:21
68:2,22
69:3
88:19
111:15,19
9th 113:13
9-21
111:22
95 51:1
95th 51:5
9953:21
17
Keefe Reporting
Company