ILLINOIS POLLUTION CONTROL BOARD
March
9,
1995
IN THE MATTER OF:
PETITION OF
TOMMY
HOUSE TIRE
)
AS
95-1
FOR AN ADJUSTED STANDARD FROM
)
(Adjusted Standard
-
Land)
35 ILL. ADM. CODE 848.202
)
ORDER OF THE BOARD
(by M. McFawn):
On January
9,
1995,
Tommy House Tire Company,
Inc.
(Tommy
House)
filed a petition for adjusted standard regarding its tire
retreading facility, located at 304
E. Main Street, Decatur,
Illinois.
Tommy House
is requesting an adjusted standard
from the tire and building separation requirements of 35 Iii.
Adm.
Code 842.202(b) (2)
and the 14-day storage limitation for
used and waste tires at 35 Iii. Adm. Code 842.202(b) (5).
The
Board received the required notice of publication on February 1,
1995.
The Agency response to the petition for adjusted standard
was filed on February
10,
1995.
Additionally, Tommy House filed
a reply to the Agency Response on February 23,
1995.’
The Board finds that Tommy House’s petition,
as presently
before us, does not yet meet the requirements of 35
Ill.
Adm.
Code 106 and Section 28.1 of the Act
(415 ILCS 5/28.1
(1992).)
In particular,
the petition does not meet the requirements of 35
Ill.
Adm. Code 106.705(e),
which requires that a petition for
adjusted standard include:
A description of the efforts which would be necessary if the
petitioner were to comply with the regulation of general
applicability.
All compliance alternatives, with the
corresponding costs for each alternative, shall be
discussed.
The discussion of costs shall include the
overall capital costs as well as the annualized capital and
operating costs.
Tommy House fails to provide this information for either the
tire and building separation requirements or the 14—day storage
requirements.
While Tommy House asserts in its reply that the
information required by Section 106.705(e)
is addressed in
Section
F of the petition, the Board finds this discussion
1
Pursuant to Section 102.241(c)
of the Board’s procedural
rules,
parties do not have the right to file a reply without
leave of the Board.
(35 Ill. Adm. Code 102.241(c).)
Petitioner
did not file a request for leave to file a reply;
in the
interests of judicial economy, however,
the Board will accept
petitioner’s reply.
2
insufficient.
The petition for adjusted standard does not
describe the efforts which would be necessary to achieve
compliance, and does not describe all available compliance
alternatives or provide corresponding cost information.
The
petition is therefore deficient.
Furthermore,
the petition does not satisfy the requirements
of 35 Ill.
Adm. Code 106.705(f), which requires the petitioner to
provide a narrative description of the proposed adjusted
standard,
as well as proposed language for a Board order.
Petitioner has not explained what standard it seeks
in lieu of
Section 848.202(b)(2).
Therefore, petitioner is directed to do
so and also to submit for the Board’s review the program plan it
anticipates developing to satisfy the Alternative Management
Standards set forth at Section 848.206(a) (3) and
(c) (3).
This
program plan should include proposed requirements for
petitioner’s site,
including,
but not limited to, tire storage
arrangements, aisle space,
access to fire fighting personnel and
equipment,
and mosquito inspection and control.
Finally,
as the Agency observed in its recommendation,
a
single reference to
35 Ill Adm. Code 848.201(b) (1)
on page one of
the petition created an ambiguity as to whether petitioner is
seeking an adjusted standard from that section or Section
848.202(b) (1).
In its reply, Tommy House cures that ambiguity by
clarifying that the relief sought is from Section 848.202(b) (1),
not Section 848.201(b) (1).
The Board directs petitioner to file an amended petition on
or before April
10,
1995, curing the identified deficiencies in
the petition.
Failure to file an amended petition by this date
will subject this matter to dismissal.
IT IS SO ORDERED.
I, Dorothy M. Gunn,
Clerk of the Illinois Pollution Control
Boa~d,hereby certif
that the above order was adopted on the
/‘~-‘
day of
__________________,
1995,
by a vote of
~
C
Dorothy M.
G,xtpn, Clerk
Illinois Po&Zution Control Board