ILLINOIS POLLUTION CONTROL BOARD
February
4,
1988
IN THE MATTER OF:
PERMIT REQUIREMENT FOR OWNERS
)
R84-17
AND OPERATORS OF CLASS
I AND
)
Docket A
CLASS
II LANDFILLS AND FOR
)
Docket
B
GENERATORS AND HAULERS OF
)
Docket
C
SPECIAL WASTE
)
Docket D
INTERIM ORDER OF THE BOARD
(by J.
Anderson):
By Order
of February 19,
1987,
the Board scheduled the
closing
of Dockets A,
B,
& C
in this matter.
The Board
further
directed its Scientific/Technical Section to prepare
its own
recommendations.
The Order went on to provide that:
During
the
process
of
compilation
of
the
report
and
recommendations,
it
is anticipated
that
STS
staff
will
be
consulting,
particularly
with
staff
attorneys,
concerning
matters
of
form
and
procedure.
However,
consistent
with
the
Board’s
“Protocols
Of
Operation
For
the
Scientific/Technical
Section”,
RES
86—1,
January
23,
1986,
given
the Board’s
intention
of
utilizing
STS
staff
to
provide
substantive
testimony,
such
“person(s)
shall
be considered
to
be exterior
to
the
Board
and
communications
between
the
Board
and
the
STS
person(s)
on
all
matters
related
to the proceeding
in question shall
be
subject
to
ex
parte
restrictions,
as
prescribed
in
35 Ill.
Adm. Code 101.121.”
The purpose of this action was
to allow the STS
to engage in
the type of informal
information gathering process from which
the
Board
is precluded, while at the same time protecting the Board’s
ability
to judge the merits
of the STS and other proposals on the
basis of the public record.
The
regulatory recommendations, proposal and background
report filed pursuant thereto have been the subject of several
hearings, at which
the STS presented the technical justification
for its proposal.
The post—hearing comment period has been
closed since December
30,
1987.
86—187
—2—
The STS has filed
a revised proposal
and background document
incorporating changes suggested at hearing and
in comments which,
in its view, are meritorious.
The Board
has been deliberating the STS revised
proposal, as
well
as the records
in Docket
A,
B,
& C since January 21,
1988.
The Board has limited
its discussions with
the STS consistent
with the February 19,
1987, Order
and
the Board’s Protocols.
The
Board has found that
in order
to fully and expeditiously
deliberate these matters
it is necessary to informally consult
with STS staff concerning
the technical details
in the voluminous
R84—17 record.
As the bases
for
and comments concerning the STS proposal
are
a matter of public
record, the Board now feels that it may,
without prejudice to the integrity of
its process, terminate its
“arm’s length” dealing with STS staff.
Accordingly,
as of
this
date,
the STS staff will no longer be considered
“exterior”
to
the Board within the meaning
of the Protocols.
STS staff is
directed
to resume communications with the Board
in the usual
Board/staff relationship.
The ex parte constraints
of
35
Ill.
Adm.
Code 101.121(b)
shall apply
to STS communications with
persons other
than Board Members and staff.
IT
IS SO ORDERED.
J.
D. Dumelle abstains.
I, Dorothy M.
Gunn, Clerk
of the Illinois Pollution Control
Board, j~rebycertif
that the above Interim Order was adopted on
the
~‘~i—day of
______________,
1988, by a vote
of
~
s Pollution Control Board
86—188