ILLINOIS POLLUTION CONTROL BOARD
February 15, 1979
ILLINOIS POWER COMPANY,
)
Petitioner,
v.
)
PCB 79-7
ENVIRONMENTAL PROTECTION AGENCY,
Respondent.
CONCURRING OPINION
(by Mr. Dumelie):
This proceeding evolved from R75-5 decided on December 14,
1978 with my concurring vote.
I had advocated
a 6.8 lbs./MBTU
emission standard
in lieu of the former 6.0 lbs./MBTU limit
enacted in 1972.
The 6.8 figure was a part of the Board’s first
draft of R75-5 but was dropped upon final enactment.
The instant Order holds Illinois Power
(at their request)
to 6.0 lbs./MBTU which is less than the 6.8 figure
I had advocated.
Thus
I have no problem with this emission limit.
What the Board must do
in this proceeding, however,
is
in essence to make a finding that a breach of the air quality
standards will not ever occur under foreseeable meteorological
conditions.
To do this, actual monitoring
data must be studied.
In addition,
since monitors are not always located at the “hot
spots,” modelling must be done.
Models are not absolutely accurate.
The model used
in
the Baldwin Study
is “state of the art”.
There are two trouble-
some points.
First, background concentrations were not taken
into consideration in the model.
The second point
is that the
Briggs plume rise equation, which was used,
tends to overpredict
plume rise from tall stacks,
(which Baldwin has) and thus under-
predicts ground—level concentrations.
The fact that the modelled
concentrations were lower than the monitored concentrations
points out the need to take background concentrations and a more
site specific plume—rise equation into account when determining
if a power plant such as Baldwin will violate air quality stan-
dards or PSD increments.
Since the modelling was only done to a distance of 20 km.
from the plant, Baldwin’s impact on the St. Louis metropolitan
area may not have been adequately considered.
Even though the
accuracy of a model
is unknown at distances greater than 20 km.
(especially for short averaging times), a “ball-park” estimate
of Baldwin’s annual average impact would have been useful.
32—569
—2—
Without this information it
is difficult to determine if Baldwin
could be contributing to air quality problems
in the Carondelet
or Wood River areas.
The Coalition
for the Environment discussed long range
transport and the conversion of sulfur dioxide to sulfates and
to “acid rain”.
No Federal health standard has yet been promul-
gated for sulfates and thus
it appears to me that the epidi-
meological and medical bases for one must be still under study.
A Midwest “acid rain” monitoring network was set up in 1978
and in a year or two should give valuable data on levels of
acidity and trends in Illinois.
Under the instant Order,
Illinois Power will have to apply
for a new operating permit not more than 21 months from today.
The ambient monitoring and dispersion modelling program results
will show then the accuracy of the model and of the assumptions
used.
Because of questions as to the accuracy of the meteorological
models,
I concur.
Jacob
D. Dumelle
I, Christan L. Moffett, Clerk of the Illinois Pollution
Control Board, hereb~certify the above Concurring Opinion was
filed on the
________________
day of
b~UaJLL~
,
1979.
C1W~\
at
mN~Q±*
I
Christan L. Moftett,
Clerk
Illinois Pollution Control Board
32—570