ILLINOIS POLLUTION
CONTROL BOARD
October
 14,
 1982
IN
 THE
MATTER OF~
CITY OF ROCHELLE~:
 )
 R78—15
SITE
 SPECIFIC
 LIMJtTRTION FOR
TOTAL
 SUSPENDED
 PARTICULATE MATTER
Proposed
 Rule~
 First
 Notice
PROPOSED
 OPINION AND ORDER OF THE BOARD
 (by I~
Goodman):
On November
13
 1978 the City of Rochelle
 (Rochelle)
 filed
a petition to
amend
Rule
203(g~(1)
of Chapter
 2:
 Air Pollution
to include a
 part::culate emission
limitation
 for the emissions
exhausted
 from
the stack at
its
Municipal
Steam Power Plant,
located on
 South
Main
Street.~
 Specifically, Rocheile requested
a limitation
of 0~
 6
pounds
per
million British thermal units
(lbs/mBtu)
 of
actual
heat input.
When Rochelie
 proposed
 amending Rule 203(g)(1),
 adoption
of the same
had been
vacated
along
 with Rule 204(c)(1)
 (Common
wealth Edison
v~PCB,
 62 IiL2d
 494,
 343 N,E.2d
549 and Ashland
Chemical v~
PCB~ 64 IlL
App~3d
169,
 381 N~E~,2d56)~ Therefore,
once docketed
 this proposal
was
consolidated for hearing with
R78—16,
 a
 Board
 inquiry reviewing
the
rules
 on total
 suspended
particulates
 (TSP)~
 On August
 21,
 1980 R78—16 was dismissed.
Other
 than
 this
 proposal
 by
Rochelle,
 no
 steps
 were
 taken
 to
adopt
 particulate
 limitations
 for
 fuel
 combustion
 sources
 until
R82-1
 was
 instituted by :~bCEoard~ Since
further
 action
 in
 R82—1
awaits
 receipt
 of
an economic impact study,
 Rochelle’s
 source
 is
not currently
subject to a specific TSP emission
limitation.
Consolidated
 with R77~15,
R78-~14,R78—16 and R78—17 for
hearing,
 R78~15
was discussed
 on
 January
 24,
 1979
 in Springfield,
January
 30,
 1979 in Chicago,
February
 7,
 1979
 in Peoria and
April
 17,
 1979
 in
 Chicago~
 After
receiving
 the economic impact
study
 from the
 Department of
Energy
 and
 Natural
 Resources
entitled
 “Economic
 Impact
 of
 Sulfur
 Dioxide
and
 Particulate
Matter
 Regulations
 in
 :E:Llinois,
 R77~i5~,Doc~No~
79/22,
 hearings
were held
on January 29,
 1980 in
Chicago,
January 30,
1980 in
Peoria and
 February
 13.
 1980
 in Chicago~.
 The
record closed on
March 17, 1980~
Rochelle
 proposed
this site—specific
regulation primarily
due to the
 Illinois Environmental
Protection
Agency (Agency)
permitting
policy in Light
 of the Illinois
Supreme Court decision
49~~
 185
2
vacating
 Rule 203(g)(1)~
 This policy,
as set
out
 in “Guidelines
for
 the
Performance of Air
Quality Impact Analyses
 to
 be
 Used
 in
Support
 of
 Permit
 Applications,” was to grant permits
 if sources
demonstrated
either
compliance with the terms of
 vacated Rule
203(g)(1)
 or
 compliance
 with
 ambient
air quality
standards
(Petition,
 p,
 2)~
 This policy led Rochelle to
 conduct
 stack
tests
 to determine compliance with vacated Rule 203(g)(1)(B)
and
 modeling studies to determine its contribution
 to
 ambient
air
 concentration levels of particulate matter.
 The
 stack
 test
report,
 dated
 October,
 1977, showed Rochell&s
 contribution to
be
 an average emission rate of 0.418 lbs/mBtu or
 less.
 Since
the
 maximum rate allowable based on Rule 203(g)(1)(B)
 is
 0.18
lbs/mBtu,
 Rocheile
 is
 petitioning
 for a site—specific
 rate
 of
0.60
 lbs/mBtu~
The city~splant produces electric power
 for
 its
 12,000
consumers
 and produces process steam for a Swift
 and
 Company
facility.
 Its two steam boilers vent to a common
 stack
 and
have
 maximum rated capacities of 100,000 lbs/hour
 at 100 million
Btu of
 heat input
 CR.
 376)~ Particulate matter
 emissions are
presently
 controlled through the use of mechanical
 collectors
(multiclones)
 having
 90
 efficiency, taken together,
 when
 the
l~oilers
are
 operating at full loads
 CR.
 377,
 393,
 398, 405).
Initially, Rochelle conducted six stack tests
 to determine
compliance
 with the 0.18 lbs/mBtu limitation.
 All
 resulted
 in
violations
 of
 that limit
 (Exhibit 5).
 The stack
 tests
 were
 then
averaged
 to provide a basis
 for modeling.
 Unfortunately,
 the
stack
 tests had not been conducted with the boilers
 operating
at
 full
 capacity, contrary to standard testing
 procedures.
Therefore
 the actual results were ratioed
 “up”
 in
 an
 effort
 to
characterize
 full load results.
 This was apparently
 done
 on
the
 assumption
 that
 a
 given
 increase
 in
 heat
 input
 produces
another
 given increase in steam and a corresponding
 increase
in
 emission
 rates~
 The record reflects contrary
 opinions as
to the
 validity of such extrapolation
 CR. 400—405,
 415—416).
Using
 the Point Source Diffusion Model
 (PSDM)
 Rochelle
further
 determined the magnitude and maximum
 concentrations of
TSP
 contributed to the ambient air solely by its
 source.
 Worst
case
 emission rates were utilized to predict
 conservative ground
level
 TSP
 concentrations,
 Sequential calculations
 were made for
256 receptors
 located at various points ranging from
 0.5 to 25.0
kilometers
 from the stack
 CR.
387—388),
 This
modeling
 indicated
that
 maximum TSP for the 24-hoar standard contributed
 by the
Rochelle
 facility is 1~.6ug/m
,
 less than 11
 of the
 secondary
standard
 of 150.0 ug/m
 This impact was predicted
 to occur
within
 1.5 kilometers southwest of the plant.
 The
 maximum
 3
calculated
 annual contribution of the Rochelle plant
 is
 2.3 9/m
,
which is
 about
 4
 of the secondary annual standard of
 60 ug/m
This
 impact was predicted to occur within 1,5 kilometers
 north
of the
 plant
 CR.
 388~389),
49~186
3
To
 further qualify the
 modeling
 results, Rochelle
 conducted
a monitoring
 program,
 intended primarily
 to
 determine background
values in
 the plant impact
 area.
 Monitoring
 at the
 modeled
northern
 impact point
 resulted in no
 violations of the
 annual
ambient air
 quality standards
 for TSP,
 arid only one
 violation
of the 24 hour
 standard,
 The latter
 was attributed
 to nearby
road
 construction,
Rochelle
 conceded that
 control
 technology, either
 electro-
static
 precipitors
 (ESP) or baghouses, were available
 and that
installation
 would facilitate compliance with the 0.18
 lbs/mBtu
limitation.
 Installation of baghouses was not
 considered
 by
Rochelle as a
 means
 to comply with the limit
 (R.
 394—5);
 instal-
lation of
 ESPs was considered,
 not
 as
 a
 substitute
 control mecha-
nism, but
 instead as
 a means of further controlling
 Petitioner’s
existing
 cyclones
 (R.
 421).
 The capital
 cost to
 install ESPs was
estimated at
 $1.4 million in 1977 dollars, or at
 a minimum average
cost of $100
 per customer,
 These figures
 do
 not
 appear to be off—
set by monetary
 contribution by Swift and Company as
 the primary
industrial
 user in the area,
Ogle County
 is designated attainment for TSP
 at
 40 CFR
81.314.
 The
 surrounding
 counties, Lee
 and
 Boone
 are likewise
listed.
 However, the counties
 of DeKalb,
 Winnebago,
 specifically
Rockford Township,
 are
 listed as non-attainment for the secondary
standard,
 Rockford
 Township and all the
 townships
 in DeKalb,
except DeKalb
 and Mayfield
 Townships,
 have been
 proposed for
redesignation
 by the
 Agency in January
 1982.
 Since
 DeKaib town-
ship is twenty
 miles
 directly east of
 the Rochelle
 plant, its
non—attainment
 designation was questioned during this
 proceeding.
Petitioner
 stated that
 it is “obvious that
 if no
 violations are
predicted at
 10 kilometers.,.there would be no excursion
 for a
receptor 20
 kilometers away (Exhibit 35,
 Part 1~pg.
 2),
Additionally,
 the Illinois Environmental Protection
 Agency
(Agency)
 stated
 that
 it did not consider Rochell&s
 source to
 significantly
 contribute to ambient air concentrations,
 and that
the rural area
 of Ogle County is
 not
 bothered by an
 air quality
problem
 (R.
 424),
 In post
 hearing public
 comments the
 Agency
stated that the
 relaxed
 limitation “would
 not cause
 an air
quality problem.”
Over the
 course of the years two monitoring
 stations have
been operated
 in DeKaib Township,
 The monitoring
 results
 (Annual
Air Quality
 Reports 1977—1981) are set out in the chart
 below.
Annual Geometric
 Annual Statistics
Sam
 lea
 ~
 Sam les
 Mean
 Violations
~lS03
 2603
 75
 60
ug/m
 ug/m
 ug/m
 ug/m
Total
 (Primary)
 (Secondary)
 1
 2
 3
 4
 (Primary)
 (Secondary)
*1977
 43
 2
 1
 435
 17’)
 103
 91
 56
 0
 0
*1978
 34
 0
 168
 111
 111
 110
 +
*j979
 26
 0
 0
 133
 98
 96
 92
 +
 +
**1979
 14
 0
 0
 95
 93
 78
 66
 +
 +
**1980
 29
 0
 0
 92
 88
 84
 81
 +
 +
**1981
 54
 0
 0
 129
 125
 109
 98
 53
 0
 0
*
 200 S.
 4th
 St.
**
 650 N. 1st St.
+
 lns~fficientdata to
 determine
 annual geometric mean
49487
4
Unfortunately,
 the
 statistical data for three of the five years
is insufficient to establish a geometric mean for eight consecu-
tive quarters, which is necessary for DeKalb Township to be
proposed for redesignation.
 Nevertheless, the monitoring results
 indicate that this area has probably not experienced a TSP air
quality problem since 1977.
 Since the Rochelle facility has been
operating at or near the proposed emission limit and no violations
of the standards have been recorded, Petitioner statement that its
•source does not impact DeKalb appears valid.
The Rochelle stack is the only major
 fuel combustion emission
source in Ogle County emitting particulates
 (R.
 396).
 Keeping
in mind that the modeling performed was conservative and premised
on a limit of 0.6 lbs/mBtu, the combined data from the stack tests,
the PSDM and site—specific monitoring indicates that should the
limitation requested be granted, violations of the ambient air
quality standard
 will
 not result.
However, in receiving an emission limit more relaxed than
that presumably required by other such sources, the Petitioner
would consume a portion of the Prevention of Significant Deter-
minations
 (PSD) increments.
 Therefore, Rochelle was directed
by the hearing officer to submit its estimation of the amount
of PSD increments to be used up by this regulation
 (R. 411).
The estimation was to be based upon the emission rate used as
input in the PSDM rather than the facilities actual emission
rate.
 Since the Rochelle source can only impact Class
 II areas
and possibly the non—attainment area of DeKalb Township, only
those PSD limitations are applica~le.
 The modeling predicted
a ma~imum24 average of 15.6 ug/m
 and an annual average of 2.3
ug/m
,
 whi~hare
 well
 w~thinthe corresponding Class II standards
of 37 ug/m3 and
 19 ug/rn
 .
 The standards
 for
 n9—attainment areas
are 5 ug/m
 for the 24~-houraverage, and
 1 ug/m
 for the annual
average.
 TSP concentrations pr~dicted
13
 kilometers east of the
sourse are between 1.3—2,2 ug/m
 for the 24—hour average and 0.1
ug/m
 for the annual average——again concentrations below the
allowable standards
 (Ex. 35).
 Furthermore, since no baseline
has been established for any areas affected by the Rochelle
source, PSD increment consumption is not sufficient reason to
deny Rochelle a relaxed site—specific limitation.
The Board
 finds the evidence provided by Rochelle’s modeling
and monitoring sufficient,
 despite the questionable practice of
extrapolating the stack tests results
 to
 full load capacity,
 to
demonstrate that this proposed regulation
 will
 not degrade the
attainment status of Ogle County,
 or other nearby attainment areas.
The economic evidence indicates that although the technology is
available,
 it is costly.
 The Board
 is swayed by evidence that the
air quality, and therefore the health or welfare of persons in the
immediate vicinity,
 is not jeopardized by the emission amount
Rochelle seeks, and so the limitation of 0.60 lbs/mBtu is granted.
49-188
5
ORDER
The
 following
 language
 is
 hereby
 proposed
 for
 adoption
 into
Chapter
 2:
 Air
 Pollution,
 Part
 II:
 Emission Standards and
Limitations for Stationary Sources~
RULE 203:
 Particulate Emission Standards and Limitations
(a)—(f)
 Unchanged.
(g)
 Fuel
 Combustion Emission Sources
(1)
 Using Solid Fuel Exclusively
(A)
 Existing Sources Located
 in
 the Chicago Major
Metropolitan Area——Reserved
(B)
 Existing Sources Located Outside the Chicago Major
Metropolitan Area——Reserved
(C)
 Exemptions for Existing Controlled Sources
Notwithstanding sub-paragraphs
 (A) and
 (B) of
this Rule 203(g)(1), any existing
 fuel combustion
emission source using solid fuel exclusively, and
meeting the following conditions, may emit up to,
but not exceed, the
 limits set out.
(i)
 As of April
 14,
 1972 the emission source has
an emission rate based on original design or
equipment performance test conditions, which-
ever is stricter, which is less than 0.2 lbs/
mBtu of actual heat input, and the emission
control of such source is not allowed to
degrade more than 0,05 lbs/mBtu from such
original design or acceptance performance test
conditions,
 the
 rate of emissions
 shall not
exceed 0.2 lbs/mBtu
 of actual
 heat input
 or
(ii)
 As of April
 14,
 1972 the
 source is
 in
 full
compliance with the
 terms
 and conditions of
a variance granted
 by the
 Board sufficient
to achieve an emission rate less than 0.2
lbs/mBtu, and construction has commenced on
equipment and modification prescribed under
that program;
 and emission control
 of such
sources
 is not allowed to degrade more than
0.05 lbs/mBtu from original design or equip-
ment performance test conditions whichever
is stricter, the rate of emission shall not
exceed 0.2 lbs/mBtu
 of actual
 heat input
 or
(iii)
 As of
 (the effective date of this Rule)
the rate of emissions from Boilers #1 and
 #2
located at the Rochelle Municipal Stream Power
Plant,
 South Main Street, City of Rochelle in
Ogle County,
 Illinois shall not exceed 0.6
lbs/mBtu of actual heat input.
49-189
6
IT IS SO ORDERED.
Board Chairman Dumelle and Board Member Werner concurred.
I, Christan
 L.
 Moffett, Clerk of the Illinois Pollution
Control board, hereb~er~~~that
 the above Order was adopt~don
the
 /‘/~
 day of
___________________
 ______
_____
 __________________
 1982 by a vote of
 ~
 ~
Christan L.
 Moffet’t
Illinois Pollution
 o trol Board
49-190