ILLINOIS POLLUTION CONTROL BOARD
    June
    22,
    1979
    A & C COAL COMPANY,
    Petitioner,
    v.
    )
    PCB 79-40
    ENVIRONMENTAL PROTECTION AGENCY,
    Respondent.
    OPINION AND ORDER OF THE BOARD. (by Dr. Satchell):
    This matter comes
    before the
    Board upon a variance petition
    filed February
    26,
    1979 by A
    & G Coal Company
    (A & G
    )
    by L.
    Dean Goolsby, a partner,
    An amended petition setting forth
    more information was filed on March 23,
    1979, pursuant to Order
    of the Board of March
    1,
    1979.
    A
    & G operates a small strip
    mine near Harrisburg.
    It requests
    a variance for five years
    from the sulfate and TDS water quality standards of Board Rule
    203(f)
    of Chapter
    3:
    Water Pollution.
    The Environmental
    Protection Agency
    (Agency)
    filed
    a recommendation on May 9, 1979
    in which it recommended granting the variance with conditions.
    No hearing was held.
    A
    & G holds
    a Chapter
    4 permit issued by the Agency and an
    NPDES permit
    (Rec.
    1,
    2),
    The strip mine is located on five
    acres about one and one—half miles south of Harrisburg
    in Secs.
    22 and 27,
    T.
    9 S.,
    R.
    6 E.,
    3 PM, Saline County.
    Petitioner
    has also submitted an application for a permit to mine an
    additional 9.6 acres
    (Rec.
    2).
    A & G mines the No.
    6
    (Herrin)
    coal seam and has an estimated annual output of 15,000 to 20,000
    tons,
    A
    & G has five employees and
    is in its first year of
    operation.
    It discharges into an unnamed ditch about one mile
    upstream from Pankey Branch Creek, which
    is tributary to the
    Middle Fork of the Saline River.
    Pankey Branch has a seven-day,
    ten—year flow of zero near the point of confluence with the ditch.
    The Harrisburg STP discharges a three month average low flow of
    .7 MGD into Pankey Branch one and one-half miles downstream
    from
    the ditch
    (Rec.
    3).
    Sources of A
    & G~sdischarge include pit pumpage and surface
    runoff from disturbed areas.
    These are combined and pass through
    sedimentation ponds before discharge.
    Soda ash
    is added to
    neutralize the usually acid runoff
    (pH 5).
    The soda ash increases
    the TDS in the water.
    The sedimentation ponds do not reduce
    either the sulfate or TDS levels.
    A
    & G estimates
    its average
    discharge at no higher than 200 GPD
    (Pet.
    1).
    The Agency has
    requested that A & G be required to collect information on pumping
    ~3
    /4~79

    —2—
    rates and frequencies to better establish the low flow discharge
    (Rec.
    3).
    Apparently, most of A & G~sdischarge occurs during
    wet weather when surface water flows through the system.
    At this
    time there
    is ample dilution during discharge.
    Records
    of rain-
    fall would help clarify this.
    The Agency believes that during
    dry conditions
    a discharge of 200 GPD would evaporate or percolate
    into the stream bed
    (Rec,
    4),
    It could create a salt bed which
    would produce high TDS
    in the stream when flow resumed after a
    rain.
    The Agency does not discuss
    this problem.
    A & G has been
    unable to find a use for its waste water.
    Its haul road is short
    and it has no dust problem,
    It cannot find an industry to use
    the water.
    A
    & G indicates that it is seeking a source of fresh
    water to dilute its discharge.
    This
    is not generally
    an accept-
    able method of control under Rule 401(c)
    of Chapter
    3:
    Water
    Pollution.
    Petitioner presents the following data:
    Discharge
    Average
    Maximum
    Pankey Branch Creek
    Sulfate
    1796 mg/i
    1990 mg/i
    1150 mg/i
    TDS
    2688 mg/i
    2970 mg/i
    1672 mg/i
    The Agency conducted a biological stream survey
    in September,
    1978,
    Pankey Branch was classified as semipolluted above and
    below the ditch,
    Pankey Branch is limited to secondary contact
    usage between the ditch and the Harrisburg STP because of the
    nature of the intermittent stream and surrounding land uses.
    Below the STP,
    there will be little or no impact on water quality
    because of the small volume discharged and the large dilution.
    No community water supplies exist downstream before the discharge
    is further diluted by the Ohio River
    (Rec,
    4).
    Two regulatory proceedings are before the Board which may affect
    A
    & G’s operation.
    P76—7 requests exemption of coal mine discharges
    from the TDS limits,
    P77-10 involves extensive changes
    in Chapter
    4:
    Nine Related Pollution,
    The Agency agrees with petitioner that
    it is not technically feasible or economically reasonable for A
    & G
    to contain its TDS and sulfate at the required levels
    (Rec,
    5).
    The Board finds that it would impose an arbitary and unreasonable
    hardship on A & G to require it to install expensive control equip-
    ment prior to resolution of the pending rule changes.
    The petition is vague about A
    & G~sneutralization apparatus,
    but it is stated that soda ash is used for neutralization.
    Special
    Condition
    2 of
    A
    &
    G~spermlt requires
    a supplemental permit to
    construct additional treatment facilities.
    The variance will be
    34—80

    —3—
    conditioned on Petitioner’s applying for such a permit.
    Soda
    ash refers to a mixture of sodium salts consisting largely of
    sodium carbonate.
    A & G should consider using hydrated lime
    (calcium hydroxide)
    for neutralization.
    This would involve
    introduction of a slightly smaller mass of TDS per unit of acid
    neutralized and the resulting calcium system should have a
    slightly higher buffer capacity than sodium.
    At high sulfate
    or calcium levels,
    calcium sulfate should precipitate.
    It has
    a solubility of about
    3000 mg/l which should serve to limit TDS
    and sulfate
    levels.
    The Agency asks that the variance be conditioned on A & G
    adopting good mining practices to reduce its TDS and sulfate.
    The Agency wants a plan from A
    & G within sixty days of publi-
    cation of the “Code of Good Mining Practices”
    by the Mine Related
    Pollution Task Force.
    The variance will be conditioned on this
    also,
    The Agency recommends
    a variance from Rule 605(a)
    of Chapter
    4:
    Mine Related Pollution
    (Rec.
    1).
    Rule 605(a) specifies that mine
    effluents shall not cause a violation of water quality standards
    (including Rule 203(f)
    of Chapter 3:
    Water Pollution).
    Petition-
    er has requested a variance only from Rule 203(f).
    However, on
    the basis of the recommendation,
    the variance will be granted for
    Rule 605(a).
    ORDER
    It is the Order of the Pollution Control Board that:
    1.
    A & G Coal Company
    is granted a variance from Rule
    605(a)
    of Chapter
    4:
    Mine Related Pollution as that
    rule applies to total dissolved solids
    (TDS)
    and sul-
    fates,
    for a period of three years or until final
    resolution of the regulatory proceedings
    (P76—7 and
    R77-lO)
    ,
    whichever comes first.
    2.
    A
    & G shall not exceed the following discharge limits:
    TDS
    3000 mg/i;
    Sulfate
    2000 mg/l.
    3.
    A
    & G shall comply with the management requirements of
    its NPDES permit.
    4.
    A
    & G shall maintain for Agency inspection records
    of
    daily rainfall and amounts discharged
    at the site.
    If
    it
    is not practicable
    to measure the actual discharge,
    A & C shall maintain a daily record of pumping together
    with an estimate of the amount of discharge.
    34—81

    —4—
    5.
    Within forty-five days of the date of this Order, A & C
    shall apply for supplemental permits
    for its wastewater
    treatment facility.
    6.
    A
    & G shall, within forty-five days of the date of this
    Order, request Agency modification of its NPDES Permit
    to incorporate all conditions of the variance set forth
    herein,
    7,
    The Agency, pursuant to Rule 914 of Chapter 3:
    Water
    Pollution, shall modify the NPDES Permit consistent with
    the conditions set forth in this Order including such
    interim effluent limitations as may reasonably be
    achieved through application of best practicable
    operation and maintenance practices
    in existing
    facilities.
    8.
    Within sixty days of the publication of “Code of Good
    Mining Practices,” A
    & G shall submit to the Agency a
    report outlining specific steps It intends to take in
    order to achieve good mining practices and reduce its
    TDS and sulfate effluent levels.
    9.
    Within forty-five days of the date of this Order,
    Petitioner shall execute and forward to the Illinois
    Environmental Protection Agency, Variance Section,
    2200 Churchill Road,
    Springfield, Illinois
    62706, a
    Certificate of Acceptance and Agreement to be bound
    to all terms and conditions of this variance.
    This
    forty-five day period shall be held in abeyance for
    any period this matter is being appealed.
    The form
    of the Certificate shall be as follows:
    CERTIFICATION
    I,
    (We), _____________________________,
    having read
    and fully understanding the Order in PCB 79-40, hereby accept
    that Order and agree to be bound by all of its terms and
    conditions.
    SIGNED
    TITLE
    DATE
    34—82

    5*
    I, Christan
    L. Moffett, Clerk of the Illinois Pollution
    Control Board,
    hereby ce,5kify the above Opinion and Order
    were adopte
    on the
    ~
    day of
    t~&~
    ,
    1979 by
    avoteof
    ~
    Illinois Pollution
    34—83

    Back to top