ILLINOIS
 POLLUTION CONTROL BOARD
July
 26,
 1983
IN THE MATTER OF:
PROPOSED
 AMENDMENT
 TO
35
 ILL.
 ADM.
 CODE 602.113(c)
 R83—9
TO ALL~ ALGICIDE PERMITS
GREATER
 DURATION
PROPOSED RULE.
 FIRST NOTICE.
PROPOSED OPINION
 AND ORDER OF THE BOARD
 (by N.
 J.
 Nega):
This matter comes
before the
 Board on the proposal filed
 on
April
 6,
 1983 by the
 Illinois
 Environmental Protection agency
(Agency)
 to amend 35
IlL Mm,
 Code
 602,113(c)
 to extend the
maximum allowable
duration
of algicide permits from
 1 year to
 5
years.
 On May
18,
 1983,
 the Board received a letter from Michael
D.
 Curry,
 P.E, in support of the proposed regulatory change.
 The
first hearing on
 the merits was held in Springfield, Illinois on
May 27,
 1983 and the second merit hearing was held in Chicago,
Illinois on May 31, 1983.
 No members of
the
public were present
at either
 hearing.
The Director of the
ILlinois Department of
 Energy and Natural
Resources
 (DENR)
has
advised the Board that the
 DENR has made a
finding that an
economic impact study on the regulatory
proposal
in R83—9 is not necessary
and
has issued a “negative declaration”
of economic impact.
 The Economic and Technical Advisory Committee
(ETAC) has concurred
 in the
DENR’S
finding.
 The public hearing
requirements
 of
 Section 27
of the
Illinois Environmental Protection
Act
 (Act) being satisfied,
 the Board will adopt the proposed rule
for first
 notice,
As
 justification
 for its initial proposal
 in
 P83—9,
 the
Agency
 indicated
 that
 the
 change
 in
 permit
 duration
 would
increase
 administrative
 efficiency
 by
 reducing
 the
 costs
 and
paperwork of all
parties
and by eliminating the
 repetitive
 information
found on each
successive yearly application
 without
loss to the
 information base needed to
properly protect the
environment.
53~iS7
—2—
Algae are aquatic
 nonvascular plants
 (such as seaweeds,
 pond
scums, and stoneworts) with chlorophyll often masked by a brown
or red pigment.
 Algicide permits
 are issued by the
 Agency for
copper sulfate treatment
 of waters in specific streams
 and
impoundments.
 According to
 the records of the Agencyts Division
of Public Water Supplies
 (DPWS),
 there are 81
 facilities that
apply for algicide
 permits.
 Most of the same facilities
 apply
year after year;
 identical information is repeated
 on each yearly
application;
 and
 the amounts and application rates of copper
sulfate
 (which
 are determined by the volume,
 area,
 and depth of
the reservoirs
 which have applied algicide, with
 some allowance
for
 siltation) are practically the same over the years.
 (See:
Attachments
 I,
 Ii,
 and
III),
 Thus,
 if
the
 maximum
 duration for
algicide permits
 is extended from
 1 year to
 5 years,
 the
permittees would not
 have
 to
 fill out redundant applications;
DPWS
 would not have
to
devote its limited resources
 to processing
such
 forms; and water quality would
 still
 be
 protected.
At
 the first
 merit hearing, Mr. Roger D, Selburg,
 P.E,,
Manager of the Permit Section of DPWS,
 testified that:
 (1)
public water supplies which use surface water reservoirs as
 a
source of raw water supply need to control
 algae,
 plankton,
bacteria, and fungi to avoid
 the
 clogging of sand filters and the
presence of objectionable tastes
 and
 odors
 in finished waters
used for domestic purposes;
 (2) the use of copper sulfate for
controlling algal growths
 in water supply reservoirs has been
practiced in Illinois for over
 80
 years;
 (3)
 copper
 sulfate is
applied by dragging a burlap
 sack
 containing crystals of copper
sulfate behind a boat
 or using a saturated copper
 sulfate
solution
 applied to the
water
 (by either using
 a
sprayer or a
venturi
 mounted
 near the
motor
prop,
with
 art
escape path being
left for any
 fish in the vicinity
 of
 the point of
 application);
(4) the amount
 of copper sulfate required
to
control
 algae
depends
 on the specific
t~peof
algae
and
the temperature,
alkalinity, and CO,
 content of the water;
 (5)
copper
 sulfate
applied at 1.0 mg/t
 (0,26 mg/i as
 Cu) has
 been
 found
 generally
effective in controlling
 most algae in Illinois
 surface waters;
(6) once an effective
 copper sulfate dosage has
 been ascertained,
the same dosage is
 used successfully in
 succeeding years;
 (7) the
frequency of copper
 sulfate application will vary with
 each
reservoir,
 but is ordinarily
on
a
 monthly basis from
 April to
November;
 (8)
 the amount and frequency of copper
 sulfate
application usually
 doesn~tchange with time;
 (9) there have been
no fish kills reported
 due to copper sulfate
 treatments;
 and
 (10)
the application of
 copper sulfate doesn~tappear to
 contribute to
violations of the
 water quality standards for
 copper in the river
basins of Illinois
 (see:
 Attachment IV).
 (R.
 4—15),
Mr. Selburg
 also
 stated
 that,
 prior
 to
 the
 adoption of the
algicide permit
 program in R73—13 on
 January
 3,
 1975,
 it
53~
 188
—3—
was necessary for each public water supply that wanted to treat
its reservoirs with copper sulfate to individually apply to the
Board for a variance,
 Thus,
 the initial duration of
 1 year in
the algicide permit system was developed to parallel
 the common
variance time period,
 (R.
 10-11).
 In 1975,
 it was expected that
algicide application would probably only be a year-to-year project
and there would be
no
need to continue algicide application over
a multi—year time frame,
 but subsequent experience in this
developing program
 has demonstrated otherwise,
Once an
 effective
 copper
 sulfate
 dosage
 is
 determined, the
amount and frequency of copper sulfate
 application usually doesn~t
change with time~
 If new types of problem algae
 develop, Agency
laboratory personnel and water pollution biologists
 from various
state agencies
 often
 have
 the requisite expertise and experience
to help public
 water supply officials ascertain the
 appropriate
copper
 sulfate dosages to properly
 protect the aquatic environment.
If
 a public water
 supply needs
 to significantly modify its reservoir
treatment,
 it must
 first apply to the Agency for a
 new
 permit.
To handle the potential situation of a public water supply official
inadvertently failing to properly renew an algicide permit after
5 years, the DPWS has now developed a “reminder” system in which
a letter of notification and new application form will be sent
well in advance of the permit expiration date to each public
water supply holding an algicide permit.
At the first merit hearing, there was testimony indicating
that public water supplies should seek permit modification if
there is any major change, either in the operation of the public
water supply or
in
algae growth,
 which affects the
 use of copper
sulfate as outlined
 in the aigicide permit.
 (R.
 13;
 R,
 22—23).
The Board has noted that
 there is
 currently no rule which mandates
such permit modification
 and
 thus has
 amended
 Section 602.110
to clarify
 this
 situation.
In evaluating this
 regulatory
 proposal, the Board notes
 that
the identical
 level of
 environmental
 protection will be provided
with the
 5
 year
 algicide
 permit as
 it
 is
 with the
 1 year permit,
while substantial savings of time,
 effort,
 costs,
 and reduced
paperwork will be accorded
 both the
 permittees and the Agency.
Thus, the Board
 finds that
 the Agency~sproposal
 to extend
the maximum duration of algicide permits from 1 year to
 5 years
is an environmentally acceptable method to increase administrative
efficiency by reducing
 the
 costs and paperwork burdens on all
involved parties.
53-189
—4—
ORDER
Section 602.110
 Algicide Permits App e~4e~ø
a)
 All applications for algicide permits shall contain:
~
 1)
 the name and certificate number of the certified
operator supervising the application of the algicide,
1~+
 2)
 a statement describing the extent of the algae
problem, history of any past algae problems,
 and
algicide treatments,
 arid a description of any fish
kills which have resulted from treatments in the
past;
 and
e*
 3)
 adequate information to support exceeding the limits
as stated in 35
 Ill. Adm, Code 302:
 Water Quality
Standards,
b)
 After any algicide permit is issued,
 and before the
permit expires by its stated terms,
 if there is any
major change either in the operation of the public
water supply, or in algae growth,
 which affects the
use of copper sulfate as outlined in the permit,
 the
public water supply shall submit an application for
modification of its permit.
 This application shall
contain all of the information required by this sub-
section
 (b)
 and subsection
 (a) above.
(Source:
 Amended at
6
 Ill.
 Reg.
 11497,
 effective
 September
 14, 1982.)
Section 602.113
 Duration
a)
 Construction permits
-
 Construction permits for supply
facilities shall be valid for the start of construction
within one year from the date of issuance and ~naybe
renewed for additional one year periods at the discretion
of the Agency.
 Construction, once started, may continue
for four years without permit renewal and may be renewed
for periods specified by the Agency at its discretion
for each permit renewal,
b)
 Operation Permits
-
 Operation Permits shall be valid
until revoked unless otherwise stated in the permit.
c)
 Algicide Permits
 —
 Algicide permits shall be valid
for the period stated in the permit, but in no case
longer than one five years.
53~19O
—5—
IT IS SO ORDERED.
I, Christan L.
 Moffett,
 Clerk of the Illinois Pollution
Control Board, hereby c~tifythat the above Opinion and Order was
adopted on the ___________day of
_________________
 1983
by a vote of
_______________.
2 ~
Christan L. Moffett, G~erk
/
illinois Pollution Control Board
53-191.