1
1 BEFORE THE POLLUTION CONTROL BOARD
2 OF THE STATE OF ILLINOIS
3
4 BEFORE THE ILLINOIS POLLUTION CONTROL BOARD
5 IN THE MATTER OF: )
6 PETITION OF BEMA FILM SYSTEMS, INC.,)
7 FOR AN ADJUSTED STANDARD FROM 35 )
8 ILLINOIS ADMINISTRATIVE CODE )AS0011
9 SECTIONS 218.401(a), (b) and (c), )Adjusted
10 THE FLEXOGRAPHIC PRINTING RULE )Standard
11
12
13 The following is a transcript of
14 proceedings from the hearing held in the
15 above-entitled matter, taken stenographically by
16 ROSEMARIE LAMANTIA, CSR, a notary public within
17 and for the County of Cook and State of
18 Illinois, before JOHN C. KNITTLE, Hearing
19 Officer, at 209 North York Street, Elmhurst,
20 Illinois, on the 13th day of November 2000,
21 A.D., scheduled to commence at the hour of 1:00
22 p.m.
23
24
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1 A P P E A R A N C E S:
2 HEARING TAKEN BEFORE:
3 ILLINOIS POLLUTION CONTROL BOARD,
209 North York Street
4 Elmhurst, Illinois 60126
BY: JOHN C. KNITTLE, HEARING OFFICER
5
6
7 MEMBERS OF THE ILLINOIS ENVIRONMENTAL PROTECTION
8 AGENCY AS WELL AS OTHER INTERESTED ENTITIES AND
9 AUDIENCE MEMBERS WERE PRESENT AT THE HEARING,
10 BUT NOT LISTED ON THIS APPEARANCE PAGE.
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L.A. REPORTING, 312-419-9292
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1 INDEX
2 GLEN GALLOWAY
3 Direct Examination by Ms. Horn. 16
4 FURLON CLEMONS
5 Direct Examination by Ms. Horn. 20
6 RICHARD TRZUPEK
7 Direct Examination by Ms. Horn. 26, 52
8 Cross-Examination by Ms. Sawyer. 48, 53
9
10 GLEN GALLOWAY
11 Direct Examination by Ms. Sawyer. 58
12 Cross-Examination by Ms. Horn. 60
13
14
15
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L.A. REPORTING, 312-419-9292
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1 HEARING OFFICER KNITTLE: We're on the
2 record.
3 My name is John Knittle. I'm Chief
4 Hearing Officer with the Illinois Pollution
5 Control Board. I am also the assigned hearing
6 officer for this matter, Pollution Control Board
7 Docket Number Adjusted Standard 2000-11 in the
8 matter of the petition of BEMA Film Systems,
9 Incorporated, for an adjusted standard from 35
10 Illinois Administrative Code Sections
11 218.401(a), (b) and (c) and we have in paren the
12 Flexograph Printing Rule.
13 Today's date is November 13. It's
14 approximately 1:18 p.m. We're getting started a
15 little bit late.
16 I want to note for the record that we
17 have from the Illinois Pollution Control Board
18 Brad Halloran here today, who is a Hearing
19 Officer with the Pollution Control Board. We
20 have no other members of the board here at this
21 time. I also want to note for the record that
22 we have no members of the public present today,
23 is that correct? I see nobody raising their
24 hands. Everybody here is at least peripherally
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1 affiliated with one of the parties here today.
2 I'm going to be running this hearing
3 in accordance with Section 106.806, which is
4 entitled order of hearing. It's in the Board's
5 Sub-part G, general adjusted standard
6 provisions. This is involving air but I take it
7 we're going to work on the assumption this is
8 not an air adjusted standard as defined by
9 106.501, which we talked about preliminary to
10 this hearing, which is an adjusted standard
11 brought pursuant to Illinois 5 Administrative
12 Code 212.126.
13 Ms. Horn, do you have any objection to
14 running the hearing that way?
15 MS. HORN: That's fine.
16 HEARING OFFICER KNITTLE: Ms. Sawyer?
17 MS. SAWYER: No objection.
18 HEARING OFFICER KNITTLE: We're going
19 to run it then, 106.806, which, to the best of
20 my knowledge, is the appropriate way we ought to
21 be running it anyway, just wanted to get it
22 down.
23 You all know this but I'm going to say
24 it anyway. I'm not going to be making the
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1 ultimate decision on this matter. The ultimate
2 decision on this matter will be made by the
3 Illinois Pollution Control Board, which is a
4 board in the State of Illinois comprised of
5 seven members throughout the state chosen for
6 their expertise in environmental matters. My
7 job, among other things, is to rule on the
8 evidence and insure that we have an orderly and
9 hopefully productive hearing here today.
10 That being said, I'm going to want the
11 parties to identify themselves starting with the
12 Petitioner and then we'll get going on opening
13 statements.
14 MS. HORN: My name is Susan Horn. I
15 am an attorney with Johnson & Bell of Chicago.
16 I represent BEMA Film Systems, Inc.
17 HEARING OFFICER KNITTLE: Ms. Sawyer.
18 MS. SAWYER: My name is Bonnie Sawyer.
19 I represent the Illinois Environmental
20 Protection Agency.
21 HEARING OFFICER KNITTLE: Thank you.
22 Are there any preliminary matters
23 before we start with the hearing proper? Ms.
24 Horn?
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1 MS. HORN: You want me to identify --
2 HEARING OFFICER KNITTLE: Yes, please,
3 that would be helpful.
4 MS. HORN: We have Mr. Glen Galloway,
5 who is the president of BEMA. To his right is
6 Furlon Clemons, who is the plant manager of
7 BEMA. To my right is Rich Trzupek, who is an
8 environmental consultant with Huff & Huff.
9 HEARING OFFICER KNITTLE: Ms. Sawyer,
10 next to you.
11 MS. SAWYER: With me today is David
12 Bloomberg, he is an environmental engineer with
13 our agency. And he is here essentially to
14 provide technical assistance to me, is not
15 actually providing testimony.
16 HEARING OFFICER KNITTLE: Okay. Thank
17 you.
18 Ms. Horn, you can start with your
19 opening statement.
20 MS. HORN: Thank you.
21 BEMA Film Systems, Inc., is seeking an
22 adjusted standard from 35 Illinois
23 Administrative Code, Subpart H, Sections
24 218.401(a), (b) and (c), which is known as the
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1 Flexographic Printing Rule, as it applies to the
2 emissions of volatile organic material or VOM
3 from its two central impression Flexographic
4 Printing presses.
5 The evidence will show that BEMA
6 operates these Flexographic Printing presses to
7 print images using ink on a high slip
8 polyethylene film, which is then converted into
9 a package for food and other consumer goods.
10 The evidence will show that BEMA has
11 been working with the Illinois Environmental
12 Protection Agency to discuss difficulties with
13 the Flexographic Printing Rule.
14 On May 17, 1999, BEMA filed a petition
15 seeking variance from the rule. Following
16 subsequent negotiations with the IEPA, BEMA
17 realized that the proposed relief that it was
18 seeking was better applied as an adjusted
19 standard, therefore, BEMA dismissed its petition
20 for variance and filed the present petition for
21 an adjusted standard.
22 The specific regulation from which
23 BEMA seeks an adjusted standard requires the
24 Flexographic printers to use inks that contain
L.A. REPORTING, 312-419-9292
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1 either: (1) no more than 40% VOM (excluding
2 water) by volume or (2) no more than 25% VOM by
3 volume of the volatile content of the ink. If a
4 source cannot use water-based inks, then the
5 source must design and apply an approved control
6 device. If a source chooses to comply with the
7 Flexographic Printing Rule by equipping the
8 Flexographic Printing press with an add-on
9 control, then that control device must reduce
10 the captured VOM emissions by at least 90% by
11 weight (for approved carbon adsorption or
12 incinerator systems) or achieve an overall
13 reduction of 60% in VOM emissions by
14 "alternative" control systems that have been
15 approved by the IEPA and the U.S. EPA.
16 As the evidence will show the
17 regulation from which BEMA requires an adjusted
18 standard applies to sources with a potential to
19 emit 25 tons per year or more of VOM. The
20 initial RACT regulations applied to major
21 sources with actual VOM emissions in excess of
22 100 ton per year. In response to the adoption
23 of the Federal Implementation Plan, the Board
24 amended the RACT rules to require that all
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1 Chicago area sources with maximum theoretical
2 emissions of at least 100 tons per year
3 implement RACT. Pursuant to Section 182(d) of
4 the Clean Air Act, individual states within
5 severe ozone nonattainment areas are required to
6 include all sources with the potential to emit
7 at least 25 tons per year as major sources, and
8 those states must also adopt RACT regulations
9 applicable to those sources. Therefore, the
10 Illinois Pollution Control Board established the
11 requirements in the Flexographic Printing Rule.
12 The evidence will show that BEMA is
13 located in Elmhurst, Illinois, in DuPage County,
14 which is part of the Chicago area designated as
15 a severe ozone nonattainment area. Therefore,
16 it is subject to the requirements of the
17 Flexographic Printing Rule.
18 The regulation of general
19 applicability from which BEMA seeks an adjusted
20 standard does not specify a level of
21 justification for an adjusted standard.
22 Therefore, the requirements in Section 28.1 of
23 the Illinois EPA, 35 ILCS 5/28.1, apply.
24 Section 28.1 of the Act states that the Board
L.A. REPORTING, 312-419-9292
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1 may grant individual adjusted standards upon
2 proof that: (1) the factors relating to the
3 Petitioner are substantially and significantly
4 different; (2) the existence of those factors
5 justifies an adjusted standard; (3) the
6 requested standard will not result in adverse
7 environmental or health effects; and (4) the
8 proposed adjusted standard is consistent with
9 federal law.
10 As the evidence will show, these four
11 factors in Section 28.1 of the Act have been met
12 because BEMA cannot use water-based inks for its
13 products and because the approved control
14 technologies will work only at unreasonable
15 costs. Therefore, an adjusted standard is
16 necessary for BEMA.
17 HEARING OFFICER KNITTLE: Thank you,
18 Ms. Horn.
19 Ms. Sawyer, do you have an opening
20 statement?
21 MS. SAWYER: Yes, I have a brief
22 opening statement.
23 Good afternoon. My name is Bonnie
24 Sawyer. I'm representing the Illinois EPA in
L.A. REPORTING, 312-419-9292
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1 this matter.
2 Our agency has reviewed the petition
3 submitted by BEMA and we have filed a response
4 with the Pollution Control Board.
5 In our response, we have recommended
6 that the Board grant an adjusted standard for
7 BEMA subject to certain conditions.
8 In addition to that, we've also worked
9 with these facilities over the last several
10 years and we are fairly familiar with
11 difficulties these facilities have applying
12 compliant inks. We've also conducted an
13 independent investigation to try to find viable
14 means for these facilities to comply and we have
15 not discovered anything as of yet, but we'll
16 continue our search.
17 The conditions that we're recommending
18 the Board impose, 1, relates to the record
19 keeping requirements that would be required
20 under the adjusted standard. The petition filed
21 by BEMA had requested that record keeping be
22 done as a monthly average. We are recommending
23 that the Board not grant the adjusted standard
24 allowing for a monthly average record keeping
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1 but require daily record keeping similar to the
2 record keeping that is required under the rule
3 of general applicability for Flexographic
4 Printing operations.
5 The second condition is if this
6 facility becomes subject to the emissions
7 reduction market system, we are recommending
8 that a special provision be imposed in the
9 adjusted standard that would establish how the
10 baseline for the facility would be calculated
11 and that the baseline would be lower than the
12 emissions level allowed under the adjusted
13 standard, we think that this is important,
14 because that would allow for the -- at least
15 seasonal, meaning May through September,
16 emissions from this facility to be minimized
17 through the emission reduction market system.
18 Third, I wouldn't say exactly a
19 condition, but an area where we are requesting
20 that the Board do something a little different
21 than was originally requested by the Petitioner,
22 they had requested an annual limitation on VOM
23 emissions of 100 tons per year. First of all,
24 we note that their permit currently requires
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1 them to meet a lower limitation than that and
2 what we are recommending to the Board is that
3 this adjusted standard not include any annual
4 limitation on emissions and the permit will
5 continue to impose the appropriate limitation on
6 annual emissions.
7 We also have included within our
8 response 12 other conditions that we think
9 should be part of any adjusted standard granted
10 by the Board.
11 As I stated earlier, we are not
12 intending to present testimony today, and the
13 reason for that is that it is our understanding
14 that the Petitioner is agreeing to all of the
15 conditions that we have recommended to the
16 Board. And it's our hope that we will get some
17 clarification on the record that Petitioner is,
18 in fact, agreeing to the conditions that we have
19 recommended in our response.
20 That is all I have.
21 HEARING OFFICER KNITTLE: Okay. And
22 Ms. Horn, you can address that if you want in
23 closing arguments or do you want to address it
24 now?
L.A. REPORTING, 312-419-9292
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1 MS. HORN: I'll address it now. For
2 the record, yes, we are agreeing to the
3 conditions.
4 HEARING OFFICER KNITTLE: The 12
5 conditions plus the 3 outlined at the beginning?
6 MS. HORN: I think they're all in the
7 agency's --
8 MS. SAWYER: They are part of the 12
9 conditions. I just kind of highlighted 3 of
10 them.
11 HEARING OFFICER KNITTLE: My mistake.
12 Okay. And Ms. Horn, you did say you were going
13 to agree with those?
14 MS. HORN: Yes.
15 HEARING OFFICER KNITTLE: Well, let's
16 proceed then with Petitioner's case in chief.
17 Ms. Horn, do you want to call your first
18 witness?
19 MS. HORN: We'd like to call Glen
20 Galloway.
21 HEARING OFFICER KNITTLE: Swear the
22 witness in, please.
23
24
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1 (Witness sworn.)
2 GLEN GALLOWAY,
3 called as the witness herein, having been first
4 duly sworn, was examined and testified as
5 follows:
6 DIRECT EXAMINATION
7 BY MS. HORN:
8 Q. Please state your name for the record.
9 A. Glen Galloway.
10 Q. Where do you live?
11 A. 85 Charlemagne Circle in Roselle.
12 Q. Where are you employed?
13 A. BEMA Film Systems.
14 Q. What is your position at BEMA?
15 A. I am the president and owner of BEMA
16 Film Systems.
17 Q. What are your duties as president and
18 owner?
19 A. Basically to cover the daily
20 operations, financially, production-wise, as
21 well as any other things associated with the
22 company itself.
23 Q. Mr. Galloway, where is BEMA located?
24 A. 744 North Oak Lawn Avenue in Elmhurst.
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1 Q. How many employees does BEMA have?
2 A. Thirty employees.
3 Q. Does BEMA use any type of printing
4 presses in its operation?
5 A. Yes.
6 Q. How many?
7 A. Two.
8 Q. What types of presses are they?
9 A. They're central impression
10 Flexographic Presses.
11 Q. For what are they used?
12 A. For printing on high slip polyethylene
13 film.
14 Q. Is BEMA a large printer in the
15 Flexographic Printing industry?
16 A. No, we're not.
17 Q. What would you term BEMA?
18 A. BEMA is more geared towards the job
19 shop type of facility.
20 Q. What does job shop mean?
21 A. Job shop basically means we run very
22 small jobs, continuously changing the press,
23 continually changing over jobs on a regular
24 basis.
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1 Q. How many jobs does BEMA complete in
2 its typical day?
3 A. It varies, but typically four, five
4 jobs, maybe up to ten jobs in a specific day.
5 Q. What would be the longest job and the
6 shortest job?
7 A. The shortest job would be in our
8 presses for about an hour and the longest job
9 might take a full day.
10 Q. Do you have any jobs that go more than
11 one day?
12 A. On rare occasions, yes, we do.
13 Q. For what type of products does BEMA
14 produce packaging?
15 A. Our packages range from the food
16 packaging industry, hardware packaging industry,
17 some of our mail industry. We do a lot of
18 packaging for mailers and other commercial type
19 products.
20 Q. Have you participated in the
21 proceedings leading up to this adjusted
22 standards hearing?
23 A. Yes, I have.
24 Q. Since when, what date?
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1 A. Since purchasing the company August
2 31st of last year, 1999.
3 Q. And how have you participated in these
4 hearings or these proceedings?
5 A. Well, I've visited the Illinois EPA
6 down south and I've consulted with Mike
7 Cisileana, who is our consultant for this
8 particular -- these hearings.
9 Q. From whom did you buy BEMA?
10 A. A gentleman by the name of Sam Shaw.
11 Q. Is it your understanding that Mr. Shaw
12 was involved in the proceedings prior to selling
13 the business?
14 A. It's my understanding that Sam was one
15 of the instrumental people and one of the first
16 people to start this process back in 1994.
17 Q. Do you know at all what he did?
18 A. Again, it's my understanding that Sam
19 was one of the investigators to work with the
20 Illinois EPA and to help train and educate
21 people on our process and our facility as well
22 as other processes associated with printing
23 polyethylene film.
24 Q. Did BEMA host any gatherings or
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1 consult with other printing press printers?
2 A. It's my understanding that Sam did
3 host lunches and training sessions and
4 educational sessions associated with printing,
5 again on polyethylene film.
6 MS. HORN: Thank you, Mr. Galloway. I
7 have no further questions.
8 HEARING OFFICER KNITTLE: Ms. Sawyer,
9 do you have cross-examination for this witness?
10 MS. SAWYER: No.
11 HEARING OFFICER KNITTLE: Thank you,
12 sir, you can step down.
13 MS. HORN: At this time I'd like to
14 call Furlon Clemons.
15 HEARING OFFICER KNITTLE: Sir, if
16 you'd have the seat in the same place.
17 (Witness sworn.)
18 FURLON CLEMONS,
19 called as the witness herein, having been first
20 duly sworn, was examined and testified as
21 follows:
22 DIRECT EXAMINATION
23 BY MS. HORN:
24 Q. State your name for the record.
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21
1 A. Furlon Clemons.
2 Q. Where do you live?
3 A. 1820 Concordia Lane, Schaumburg,
4 Illinois.
5 Q. Where are you currently employed?
6 A. BEMA Film Systems.
7 Q. What is your position at BEMA?
8 A. General manager.
9 Q. What are your job duties as general
10 manager?
11 A. Supervision of printing, oversight of
12 bag making, supervision of QA.
13 Q. What brand are BEMA's products?
14 A. PCMC, Hudson Sharp.
15 Q. How old are they?
16 A. Approximately 30, 35 years.
17 Q. How do they work?
18 A. They're a six color Flexographic
19 printer, print one color out of each deck, in
20 between dryer and one, forced air drying for the
21 next color and then on offset.
22 Q. How fast do they work?
23 A. Approximately 250 to 400 feet per
24 minute.
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1 Q. So how many seconds per drying
2 station?
3 A. Per drying station, less than a
4 second.
5 Q. How do the drying stations work?
6 A. It's forced hot air.
7 Q. And the hot air does what?
8 A. It's blown through a dryer system and
9 it's evac'd at the same time that actually dries
10 the alcohol content out of itself.
11 Q. On what type of film does BEMA print?
12 A. Low density polyethylene.
13 Q. What does that mean?
14 A. It's a flexible plastic material.
15 Q. Please explain the type of ink that
16 BEMA uses.
17 A. Solvent ink made up of -- well, there
18 is three different types of systems on it. It's
19 a pigment. There is a solvent added to it and
20 then there is a solid that is also in the ink.
21 Q. Please explain the difference between
22 virgin ink and recycled ink.
23 A. Virgin ink is ink that we receive from
24 the ink company that we do not open. Recycled
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1 ink is inks that have been in the press and
2 we've already added alcohol to them.
3 Q. If you had to guess sitting here
4 today, how many containers of virgin ink and
5 recycled ink does BEMA have in its ink room?
6 A. Probably virgin ink we may have about
7 20 to 25. Recycled ink, probably have 200, 250.
8 Q. Do the solvents in the inks contain
9 VOM?
10 A. Yes, they do.
11 Q. Why is additional solvent often added
12 to the ink?
13 A. To be able to obtain the color that
14 the customer requires.
15 Q. Additional solvent, does it have
16 anything to do with the speed of the job?
17 A. Yes, it does.
18 Q. And how does it?
19 A. If we did not add the solvent in
20 there, we'll not be able to dry the ink fast
21 enough to print the next color without having
22 offset.
23 Q. When did you begin working at BEMA?
24 A. August of 2,000.
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24
1 Q. Where did you work prior to August of
2 2000?
3 A. Hormel Industries.
4 Q. What were your job duties at Hormel?
5 A. Production manager.
6 Q. Did you participate in any water-based
7 ink trials while at Hormel?
8 A. Yes.
9 Q. Can you explain what you did?
10 A. We set the press up from the
11 beginning. We attempted to print them but we
12 were very unsuccessful in doing it.
13 Q. Approximately how many trials -- did
14 you supervise them or --
15 A. I actually did set up the press myself
16 in many of the trials. A few of them I did
17 supervise them.
18 Q. And you said that they were not
19 successful?
20 A. No, ma'am.
21 Q. Could you tell me why?
22 A. We had offsetting of the inks. We had
23 pick off of the inks. We could not actually
24 print the ink on the material. It picked off
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25
1 the tape. We could scuff it off. It would not
2 adhere to the material in any form.
3 Q. Did the water-based ink effect the
4 cleanup time of the press?
5 A. Yes, ma'am. Sometimes it made it 3 to
6 4 times longer and a lot harder to clean up than
7 a solvent-based ink is.
8 Q. Is water-based ink more or less
9 expensive to dispose of?
10 A. More expensive because there is no
11 BTUs in the water system as opposed to the
12 solvents, you can burn the solvent system off
13 and use it as image.
14 MS. HORN: Thank you, Mr. Clemons. I
15 have no further questions.
16 HEARING OFFICER KNITTLE: Ms. Sawyer?
17 MS. SAWYER: We may have a couple of
18 questions. Can we take a moment?
19 (Off the record.)
20 MS. SAWYER: No questions.
21 HEARING OFFICER KNITTLE: Sir, you can
22 step down. Thank you.
23 Ms. Horn, we're moving right along.
24 MS. HORN: As our last witness, I'd
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26
1 like to call Rich Trzupek.
2 (Witness sworn.)
3 RICHARD TRZUPEK,
4 called as the witness herein, having been first
5 duly sworn, was examined and testified as
6 follows:
7 DIRECT EXAMINATION
8 BY MS. HORN:
9 Q. State your name for the record.
10 A. It's Richard Trzupek.
11 Q. Spell your last name.
12 A. T-R-Z-U-P-E-K.
13 Q. Where do you live?
14 A. I live in Streamwood, Illinois.
15 Q. What is your occupation?
16 A. I'm an environmental consultant.
17 Q. Where do you currently work?
18 A. I work at Huff & Huff, Incorporated,
19 of LaGrange, Illinois.
20 Q. Please describe your educational
21 background?
22 A. I have a bachelor's degree in
23 chemistry from Loyola University of Chicago.
24 Q. Do you have any training or experience
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27
1 in air regulations specifically with regard to
2 the printing industry?
3 A. I do. I've been working in the
4 printing industry with regard to air regulations
5 for the last 18 years.
6 Q. Are you familiar with BEMA's printing
7 operations?
8 A. I am.
9 Q. How long have you worked with BEMA?
10 A. I've worked with BEMA since 1997.
11 Q. Please describe your involvement with
12 these adjusted standards.
13 A. I have been consulting for BEMA
14 regarding the regulations and how they can
15 comply with the regulations or what a reasonable
16 adjusted standard would be in the event they
17 could not comply with the regulations.
18 Q. In that capacity were you involved
19 with the negotiations and the analysis and
20 calculations that form the basis for BEMA's
21 petition for an adjusted standard?
22 A. I was.
23 Q. Please describe how.
24 A. I participated with the agency, legal
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28
1 and technical personnel, in evaluating the cost
2 of compliance should they use add-on controls
3 and the availability and efficiency of
4 water-based inks.
5 Q. Please briefly describe the
6 Flexographic Rule.
7 A. The Flexographic Rule presents three
8 basic control options.
9 One is the use of water-based inks
10 that meet certain VOM standard -- VOM
11 percentage.
12 Two is the use of add-on control that
13 need a certain control requirement.
14 And the third is the use of a mixture
15 of compliant and noncompliant inks that on a
16 daily basis meet a certain average VOM content.
17 Q. Why does the rule apply to BEMA?
18 A. The rule applies to BEMA because they
19 are a Flexographic Printer with potential to
20 emit greater than 25 tons per year of VOM.
21 Q. Is BEMA located in a nonattainment
22 area?
23 A. It is.
24 Q. Please explain what that is and why is
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29
1 it important.
2 A. Nonattainment area is designated in
3 this case as not attaining the national ambient
4 air quality standard for ozone, which requires
5 higher level of control for VOM than NOX. In
6 the case of the Chicago nonattainment area for
7 ozone, NOX is exempted by virtue of waiver under
8 Section 182F of the Clean Air Act but the higher
9 level of control required for VOM remains and
10 that is what prompts the promulgation of the
11 Flexographic Rule.
12 Q. Please explain the three types of
13 printing and how they differ, surface, reverse
14 and lamination.
15 A. Thank you.
16 Surface printing is printing meant to
17 go on the outside surface of a package subject
18 to whatever environment the outside surface of
19 the package would be subject to.
20 Reverse printing goes on the inside
21 surface of the package, the inside.
22 Lamination printing is printing which
23 the image is centrally sandwiched between two
24 layers of plastic film, in essence protected on
L.A. REPORTING, 312-419-9292
30
1 both sides.
2 Q. What type of printing does BEMA do?
3 A. BEMA is primarily engaged in surface
4 printing.
5 Q. And how does the Flexographic Printing
6 Rule then effect BEMA? What are their two
7 choices?
8 A. BEMA's two choices are to use
9 compliant inks or to use add-on control.
10 Q. Could you explain the difference
11 between printing using solvent-based inks and
12 water-based inks?
13 A. Specifically in the case of plastic
14 films, solvent inks flash off more quickly at
15 the drying stations we described. And that
16 quick flashing off is important in order to set
17 the image and leave a protective film on the
18 image as you progress very quickly through each
19 printing station.
20 Water-based ink works through a
21 chemical action so rather than just the
22 evaporation of the water setting the image there
23 is a catalytic action where the chemistry of the
24 ink itself links, cross-links to set the image.
L.A. REPORTING, 312-419-9292
31
1 It is by it's nature a longer process and a more
2 brittle process and very difficult to
3 effectively set in ink using water-based ink on
4 film. That is the major problem that we have
5 seen and the printers have seen and most people
6 have seen in attempting to print with
7 water-based inks on any type of plastic
8 substrate.
9 Q. The inks -- do the inks come from the
10 manufactures with solvent in them?
11 A. They do.
12 Q. Do you know approximately what
13 percentage they are from the manufacturer?
14 A. It varies depending on the ink. It
15 can run anywhere from 50 percent to 70 percent
16 typically.
17 Q. Mr. Clemons testified that they add
18 solvents to those inks to complete their jobs.
19 Do you know about what percentage VOM those inks
20 are when they're finished?
21 A. They will blend to a finished VOM
22 content of anywhere from 60 to 80 percent,
23 depending on the specifics of the job, the
24 humidity, and that, again, just gives you an
L.A. REPORTING, 312-419-9292
32
1 average range. It can vary outside of that
2 range as well.
3 Q. Did you hear Mr. Clemons' testimony
4 regarding the problems associated with
5 water-based inks he has had in his experience?
6 A. Yes, I did.
7 Q. Based on your experience, do you agree
8 with his conclusions?
9 A. Yes, I do.
10 Q. Are you familiar with BEMA's current
11 state permit limiting its air emissions?
12 A. Yes.
13 Q. Do you know what the current permit
14 limit is?
15 A. The current permit limits it to the
16 language of the Flexographic Rule, and as I
17 recall, 77 tons of annual emissions.
18 Q. That's correct.
19 Do you know approximately what BEMA's
20 emissions were last year?
21 A. I believe BEMA's emissions last year
22 were approximately 18 tons.
23 Q. What are the three add-on control
24 options available to BEMA?
L.A. REPORTING, 312-419-9292
33
1 A. There is some form of oxidation,
2 either regenerative or recuperative oxidation.
3 There is carbon absorption and there is some
4 form of a scrubber or gas absorption.
5 Q. Could you explain each type and
6 whether they would not or could or would not be
7 appropriate to BEMA.
8 A. Gas absorption or scrubber utilizes
9 some type of water-based spray to absorb the
10 gas, the VOM content as they pass through the
11 control device, and then hopefully you later
12 recover the VOM from the water that is -- as
13 it's recycled. We deem this would not -- it
14 would be a possible control option but it would
15 not -- we do not feel it would meet the
16 requirements of the rule because the volatility
17 of solvents that BEMA uses are so great that
18 they would not effectively remain absorbed in
19 the water.
20 Carbon absorption utilizes a carbon
21 bed, which the gas -- the exhaust gas from the
22 process is passed through, the VOM
23 preferentially absorbs on the carbon and then is
24 later desorbed through the use of steam. The
L.A. REPORTING, 312-419-9292
34
1 steam recondenses the water. The VOM is
2 recovered from the water. Again, we deem this
3 one entirely technically infeasible because the
4 absorption rate of alcohol that BEMA uses on
5 carbon is very low and the carbon -- the alcohol
6 that would be absorbed would be very difficult
7 to keep in the water as it was with the
8 scrubber. Oxidation, which is thermally or
9 catalytically destroying the VOM through high
10 temperature catalytic action, we did deem to be
11 technically feasible.
12 Q. Did you do any analysis of the cost of
13 either of those three?
14 A. We did.
15 Q. Could you explain what your
16 conclusions were?
17 A. Looking at the cost of the effectively
18 feasible options, and I am sorry, I must amend
19 to say that catalytic oxidation option we deem
20 as technically infeasible because of the
21 possibility of contamination to catalyst with
22 the various inks and additives that BEMA uses.
23 So of the remaining technically
24 feasible options, the ones that we felt could
L.A. REPORTING, 312-419-9292
35
1 actually be treated, controlled, required
2 recuperative and regenerative thermal oxidizers,
3 the least expensive of these was a regenerative
4 thermal oxidizer, which we agreed to a control
5 cost of $15,233 per ton -- strike that, $15,223
6 per ton, using United States EPA cost control
7 evaluation methodology.
8 Q. In your opinion would this cost
9 control be reasonable?
10 MS. SAWYER: I don't think we should
11 really be asking that question. Object to that.
12 I mean, that is the ultimate decision of this
13 matter, whether it is reasonable or not.
14 HEARING OFFICER KNITTLE: Ms. Horn.
15 MS. HORN: That's fine.
16 HEARING OFFICER KNITTLE: You withdraw
17 that question?
18 MS. HORN: Withdraw.
19 BY MS. HORN:
20 Q. In your opinion is the adjusted
21 standard necessary?
22 A. In my opinion an adjusted standard is
23 necessary for BEMA.
24 Q. What are the basic terms of the
L.A. REPORTING, 312-419-9292
36
1 adjusted standard that the IEPA and BEMA are
2 proposing?
3 A. It agrees to a VOM limit in the inks,
4 the as applied inks that BEMA would use at 82
5 percent as applied.
6 Q. Does the proposed adjusted standard
7 exceed the annual emissions limit for BEMA?
8 A. The proposed adjusted standard does
9 not contain an annual adjustment -- annual
10 emission limit data.
11 Q. And why is that?
12 A. One is already contained within BEMA's
13 current operating plan.
14 Q. Does the Flexographic Printing Rule
15 require daily record keeping or monthly record
16 keeping?
17 A. If daily weighted average is being
18 used for compliance, it requires daily record
19 keeping.
20 Q. And why is daily record keeping --
21 A. Because the ozone standard, which the
22 rule is meant to achieve compliance with, is a
23 daily standard.
24 Q. In your opinion will this daily record
L.A. REPORTING, 312-419-9292
37
1 keeping requirement be difficult for BEMA?
2 A. In my opinion it will be difficult for
3 BEMA.
4 Q. At this time I'd like to show --
5 actually it's already in the VCR, Mr. Trzupek,
6 what is marked for identification as
7 Petitioner's Exhibit 1. It is the videotape
8 that is actually ready to roll.
9 HEARING OFFICER KNITTLE: Okay. And,
10 Ms. Sawyer, you stated earlier you have no
11 objection to this videotape, is that correct?
12 MS. SAWYER: That's correct.
13 HEARING OFFICER KNITTLE: Just before
14 we start the showing of, we haven't admitted it
15 yet but we'll go over that, at the time being,
16 but as long as we can show it, you don't have an
17 objection to that?
18 MS. SAWYER: I have no objection.
19 HEARING OFFICER KNITTLE: Do you need
20 the lights out?
21 MS. HORN: No.
22 Could I just let the record reflect
23 that I've previously provided Ms. Sawyer and Mr.
24 Bloomberg a copy of this exhibit.
L.A. REPORTING, 312-419-9292
38
1 HEARING OFFICER KNITTLE: The record
2 will so note.
3 Sir, if you want to stand up and do
4 your thing, now is the time.
5 (Off the record.)
6 HEARING OFFICER KNITTLE: You just
7 want to note -- back on, sir, if you want to
8 start the videotape, please.
9 BY MS. HORN:
10 Q. Do you know what this is?
11 A. This is a video of operations at BEMA
12 Film Systems.
13 Q. Were you present when the video was
14 made?
15 A. I was.
16 Q. Did you act as the narrator on the
17 video?
18 A. I acted in that capacity, yes.
19 Q. What does the video show?
20 A. The video shows a typical job, typical
21 for a job at one of -- on one of BEMA's presses.
22 Q. Why did BEMA make the video?
23 A. To document what they do as far as
24 measuring the amount of ink and solvent that is
L.A. REPORTING, 312-419-9292
39
1 used on a typical job.
2 MS. HORN: Excuse me while I get my
3 Exhibit No. 2.
4 At this time, I'd like to show Mr.
5 Trzupek what is marked as Petitioner's No. 2.
6 Please let the record reflect that I've just
7 given this afternoon Ms. Sawyer and Mr.
8 Bloomberg a copy.
9 BY MS. HORN:
10 Q. Can you identify that exhibit?
11 A. This is the bag that was printed
12 during the time the video was shot at BEMA.
13 Q. Is it substantially similar to the
14 product produced on the video?
15 A. It is.
16 MS. HORN: At this time I'd like to
17 request that Petitioner's Exhibit Nos. 1 and 2
18 be entered into evidence.
19 HEARING OFFICER KNITTLE: Take them
20 one at a time.
21 Petitioner's 1, the video, Ms. Sawyer,
22 any objection to that?
23 MS. SAWYER: No objection.
24 HEARING OFFICER KNITTLE: That will be
L.A. REPORTING, 312-419-9292
40
1 admitted.
2 Petitioner's 2 is a bag that was
3 produced during the filming of the Petitioner's
4 Exhibit 1, any objection to that?
5 MS. SAWYER: No objection.
6 HEARING OFFICER KNITTLE: They will
7 both be admitted.
8 MS. HORN: At this time I request the
9 Hearing Officer's permission to have Mr. Trzupek
10 play the video and explain the printing
11 operation shown on the video.
12 HEARING OFFICER KNITTLE: You have
13 that permission as well. Ms. Sawyer, you don't
14 have any objection to this line of testimony, do
15 you?
16 MS. SAWYER: No.
17 HEARING OFFICER KNITTLE: Proceed,
18 sir.
19 THE WITNESS: There is a running line
20 of commentary recorded on the video but I'll
21 spare the assembly that commentary. It is there
22 for the Board.
23 Our purpose was to, again, document
24 what is done as far as keeping records of ink
L.A. REPORTING, 312-419-9292
41
1 and solvent usage on the press. We certainly
2 understand that it is a daily requirement and
3 how accurate those records can be I think is the
4 primary -- the primary record we're trying to
5 establish here.
6 This is the press itself. At this
7 point in the tape the various parties who were
8 present are identifying themselves and I will
9 fast forward through that.
10 HEARING OFFICER KNITTLE: Sir, just --
11 no, keep going. When you can, if you have
12 something you want to point out, identify the
13 hour on the videotape.
14 THE WITNESS: I will do that.
15 This is 9:03:55 on the videotape, and
16 we're now looking at inks being measured. This
17 is a pressman withdrawing ink from a virgin ink
18 drum, called white in this case, into the
19 typical 5 gallon pail that these printers use on
20 the presses.
21 We're now at the press where the
22 pressman is putting the pump into the tail and
23 he'll shortly be fixing a return line. The way
24 the process works is the ink, when it is finally
L.A. REPORTING, 312-419-9292
42
1 mixed and blended the right color, it is pumped
2 up into the pan at a particular color station
3 and then returned to 5 gallon bucket, constant
4 circulation, and with the constant circulation
5 of ink, you have constant evaporation of the
6 solvent in the ink.
7 In order to meet the print
8 characteristics that they need for any
9 particular job, in order to meet the colors that
10 we see here now at 9:06:50, there is constant
11 adjustment of solvent necessary. The basic
12 reason being that solvents evaporate more
13 quickly than the pigment. So to stay in the
14 correct viscosity to meet the color, to meet the
15 drying requirements, requires they're constantly
16 adding solvent to make up for the solvent that
17 is lost as the ink recirculates.
18 Again, you can see the surface area at
19 9:16 of printing ink established and the reason
20 the solvent is lost disproportionately to the
21 amount of pigment that is laid down. What this
22 means in terms of the rule is that at any given
23 time the amount of solvent added versus the
24 amount lost is not going to be an exact balance
L.A. REPORTING, 312-419-9292
43
1 and we only know with this certain amount of
2 precision the exact VOC content of the ink.
3 The control that the press uses in effect is to
4 time the viscosity of the ink.
5 As we describe in the video at 9:45,
6 the pressman will measure viscosity with what is
7 called a number 2 Zoncup, and, actually, let me
8 see if I can get you a better part that will
9 show it. Fast forwarding now.
10 We now have at 10:31 pressman again
11 making viscosity adjustment. What the pressman
12 does at this point is to draw a sample of the
13 ink in a cup of a predetermined size with a
14 predrilled hole in the bottom and time how long
15 that ink takes to drain out of the cup. That
16 time in seconds corresponds to viscosity, that
17 viscosity roughly corresponds to the VOC content
18 of the ink and establishes the target VOC
19 content of that ink for that job. It is the
20 best control, the best handle that we
21 effectively have on the VOC content of the ink
22 at any one point, as the withdrawals and
23 evaporations are constantly in flux.
24 Most of the remainder of the video
L.A. REPORTING, 312-419-9292
44
1 from here forward is showing the number of
2 solvent adjustments that are made, the number of
3 additions. As a rule of thumb, BEMA makes a
4 check viscosity and solvent addition
5 approximately once every 15 minutes. There are
6 also ink additions that are made. For this
7 particular job we counted about 100 or so
8 additions that would be made through the course
9 of the entire job, which presents a great
10 challenge for accurate measurement of the exact
11 amount of solvent added and reduced, the exact
12 VOC content at any one time.
13 I think that's all we have to look at
14 on the tape. Continuous record of more
15 additions and more checking but I don't think we
16 need to go any further than that, do we?
17 BY MS. HORN:
18 Q. Why don't you fast forward through it
19 just to be sure.
20 Would you perhaps want to go to the
21 last portion of them printing the Exhibit 2?
22 A. To show the ink room and the --
23 Q. The drying stations?
24 A. -- drying stations.
L.A. REPORTING, 312-419-9292
45
1 HEARING OFFICER KNITTLE: How long is
2 the video in total?
3 MS. HORN: Half an hour in total.
4 (Off the record.)
5 HEARING OFFICER KNITTLE: Back on the
6 record.
7 THE WITNESS: We're at 11:06 a.m.,
8 11:06:46 on the tape. Now 11:08 a.m. And we're
9 looking at the printing stations and the drying
10 stations, just illustrating how close in
11 proximity they are to each other.
12 At 11:08:26, we're looking at the
13 actual drying station for one of the stages.
14 This being a central impression press, the web
15 comes around with less than a second to pass
16 through what is usually very small drying
17 station.
18 There is the intake and exhaust that
19 is being pointed to at 11:08:53, that feeds the
20 hot air and then withdraws the solvent latent
21 air from the drying station.
22 We're at 1:10:05 and we're looking at
23 some of the virgin ink drums that were used to
24 formulate some of the inks used for the job.
L.A. REPORTING, 312-419-9292
46
1 Finally, we're at 1:15:20 p.m. and
2 we're looking at the ink room with a number of
3 the reworkings, as many as you can get in the
4 shop that are stored after being made up.
5 BY MS. HORN:
6 Q. Could you summarize the time from when
7 the job was started to when it was running?
8 A. If my memory serves, we started at a
9 little before 9:00 o'clock, and the job began
10 running somewhere around 1:00 o'clock. It's
11 probably a little longer for the setup time
12 probably because of our presence than normal but
13 it took awhile before they got the colors to
14 where they wanted them.
15 Q. You can sit back down.
16 Now that we've seen the exciting video
17 showing BEMA's printing operations and Mr.
18 Trzupek has explained how they operate and how
19 they print a typical job, Mr. Trzupek, in your
20 opinion are the factors relating to BEMA
21 substantially and significantly different than
22 those printing operations considered by the
23 Flexographic Printing Rule?
24 A. Yes, they are.
L.A. REPORTING, 312-419-9292
47
1 Q. In your opinion, do the existence of
2 these factors justify an adjusted standard?
3 A. In my opinion, yes, they do.
4 Q. In your opinion, will the requested
5 adjusted standard result in adverse environment
6 and health effects?
7 A. In my opinion, it will not.
8 Q. In your opinion is the proposed
9 adjusted standard consistent with federal laws,
10 specifically the Clean Air Act?
11 A. In my opinion, it is.
12 MS. SAWYER: Never mind.
13 BY MS. HORN:
14 Q. I just have one more question.
15 MS. SAWYER: Okay.
16 BY MS. HORN:
17 Q. Will the Board's granting of the
18 proposed adjusted standard be submitted to
19 United States EPA for review, do you know?
20 A. My understanding is that it will.
21 MS. HORN: Thank you. I have no
22 further questions.
23 HEARING OFFICER KNITTLE: Ms. Sawyer,
24 do you need a minute before cross-examination?
L.A. REPORTING, 312-419-9292
48
1 I know you had a -- sort of an
2 objection there that you didn't end up making
3 so.
4 MS. SAWYER: Yes.
5 HEARING OFFICER KNITTLE: If you want
6 to address that particular point in
7 cross-examination, you will be more than welcome
8 to do so.
9 MS. SAWYER: I may have a question
10 relevant to the partial or withdrawn objection
11 that I started to make, but I do have a couple
12 of questions that I wanted to ask.
13 CROSS-EXAMINATION
14 BY MS. SAWYER:
15 Q. During your testimony you stated that
16 BEMA primarily performs surface printing. Does
17 BEMA do other forms of printing such as reverse
18 image or lamination?
19 A. I can't speak with an expert's voice
20 whether they have ever done anything else other
21 than -- but surface. I do not know the answer
22 to that question.
23 Q. Would you have known if their printing
24 presses are capable of doing these other forms
L.A. REPORTING, 312-419-9292
49
1 of printing, lamination or reverse image?
2 A. I am not -- I don't know anything that
3 would preclude them from doing the reverse image
4 job or doing a job that would eventually be
5 laminated but, again, that is beyond my
6 expertise.
7 MS. HORN: Would you perhaps want to
8 call Mr. Galloway or Mr. Clemons for these
9 questions?
10 MS. SAWYER: Well, it might be helpful
11 to get clarification on that point in terms of
12 whether that is the only form of printing they
13 do, yes. After we're done with this, if we can
14 do that for a moment, that would be great.
15 HEARING OFFICER KNITTLE: Sure. We
16 can either have you recall them or you can call
17 them in your case in chief, however you two want
18 to work it out.
19 Let's finish this gentleman up first
20 and then we'll proceed.
21 BY MS. SAWYER:
22 Q. Okay. In the video there were a
23 number of different pails containing inks that
24 were used in the printing process. At the point
L.A. REPORTING, 312-419-9292
50
1 that the pails are connected to the press, can
2 these pails be covered?
3 A. Yes, and they are.
4 Q. And does that prevent some
5 evaporation?
6 A. It prevents some, but I'd say most of
7 your evaporation exists at the ink pan on the
8 roller, but, yes, it does.
9 Q. The pan -- the ink pan on the roller,
10 which I believe was a fairly open space that you
11 showed there, can that pan be covered to prevent
12 some evaporation of solvents?
13 A. It can and they are.
14 Q. They are covered?
15 A. Yes.
16 Q. The pans on the presses, the ink pans
17 that the pails feed into?
18 A. Yes, while we were there we saw them
19 actually installing the covers over them.
20 Q. Okay. I believe in your testimony you
21 stated that there is a correlation between the
22 viscosity test that the facility performs and
23 the amount of VOM in the ink at that time?
24 A. Right.
L.A. REPORTING, 312-419-9292
51
1 Q. So can this viscosity test be used to
2 determine the VOM content of the ink at any
3 given time?
4 A. I believe that that could serve as a
5 very useful surrogate.
6 Q. Just a couple more questions.
7 I actually don't know if they showed
8 this part of the video here today, but we've
9 reviewed it and throughout the process on
10 different -- throughout the process BEMA will
11 add solvent to the ink pails and it seems like
12 they always use the same container that they --
13 to add that solvent during that job?
14 A. Yes.
15 Q. Is that -- or is that container a
16 standard size that they use?
17 A. I can't speak to that for BEMA. I
18 think BEMA would be better to answer that.
19 Q. Okay. Do you know if it is possible
20 for BEMA to measure the amount of solvent that
21 is in the can at the beginning of the job and
22 the amount of solvent that is in the can at the
23 end of the job?
24 A. The qualification to that would be
L.A. REPORTING, 312-419-9292
52
1 that that can will be refilled several times,
2 but if -- so I guess if I take that to can they
3 know the amount of solvent used from that can in
4 a given day, is that a fair way to state it?
5 Q. Or for a given job I guess.
6 A. For a given job, yes, that -- the
7 total amount of solvent used that has been
8 added, I think that is something BEMA can know.
9 Q. Okay. This is somewhat related to the
10 earlier objection I had but, Mr. Trzupek, do you
11 have any legal background?
12 A. No.
13 MS. SAWYER: That's all we have.
14 HEARING OFFICER KNITTLE: Any
15 redirect, Ms. Horn?
16 MS. HORN: I just have one question
17 following up on Ms. Sawyer's question about
18 total solvent added.
19 REDIRECT EXAMINATION
20 BY MS. HORN:
21 Q. Is that -- is that accurate -- in your
22 opinion is that an accurate way to measure the
23 amount of solvent in the ink?
24 A. It would not tell you how much solvent
L.A. REPORTING, 312-419-9292
53
1 is actually contained in the ink as applied.
2 Q. Why not?
3 A. Because the evaporation rate -- the
4 reason you add solvent is to maintain a certain
5 VOM content. So you're adding solvent because
6 solvent you previously added has evaporated.
7 The VOM content is, therefore, a moving target,
8 and if you counted all of the solvent that you
9 added throughout the day against the total VOM
10 content in the ink, you would show a much higher
11 actual -- you'd show a much higher theoretical
12 VOM content than what the actual VOM content as
13 applied is.
14 MS. HORN: I have nothing further.
15 HEARING OFFICER KNITTLE: Ms. Sawyer,
16 any recross?
17 MS. SAWYER: Yes, if I can just have
18 one moment
19 RECROSS-EXAMINATION
20 BY MS. SAWYER:
21 Q. Mr. Trzupek, I believe you already
22 stated that the viscosity test could be used to
23 determine the VOM content of ink at the time the
24 test is taken, is that correct?
L.A. REPORTING, 312-419-9292
54
1 A. Yes.
2 Q. And does BEMA take a viscosity test
3 every time that they add solvent to the inks or
4 shortly thereafter?
5 A. It's actually the reverse, the
6 viscosity test is done and if it doesn't match
7 the viscosity that they're shooting for, then
8 they add solvent so then it will.
9 Q. And then afterward will they take
10 another viscosity test?
11 A. I can't speak to whether that is
12 always done or not, I believe it is, but I think
13 Mr. Galloway might be better --
14 Q. It's your understanding that in most
15 instances after they add solvent they would take
16 another viscosity test?
17 A. I believe that is right.
18 Q. And wouldn't it be true that after
19 they've added solvent, that would be the highest
20 VOC content for that ink, is that --
21 A. Yes, I would agree, and that -- within
22 the limits of the accuracy of that which I think
23 we understand that I think is a very useful
24 surrogate.
L.A. REPORTING, 312-419-9292
55
1 MS. SAWYER: Just take one more
2 moment.
3 BY MS. SAWYER:
4 Q. I just have a quick question about the
5 82 percent limitation on VOM content that you
6 are requesting as part of this adjusted
7 standard.
8 In terms of how you're going to
9 determine whether that 82 percent was met, were
10 you including all of the additions of solvent
11 that occur with a given ink in that average?
12 A. You mean not counting for -- just to
13 clarify your question, as if none of it
14 evaporated? So assuming that all additions
15 stayed in the ink?
16 Q. No, I don't think that's what I mean.
17 Maybe this will help out. How did you
18 reach that 82 percent monthly average?
19 A. We got that number by looking at their
20 actual usage of both inks and solvent and
21 picking what we thought would be a reasonable
22 high number based on that usage.
23 Q. So you took essentially an inventory
24 of product at the beginning of one month and
L.A. REPORTING, 312-419-9292
56
1 then an inventory at the end of that month and
2 determined what was used both in terms of inks
3 and solvents?
4 A. It was a longer period of time, it was
5 actually over a year, but, yes.
6 Q. So to some extent, you may have
7 included emissions that occurred outside of the
8 actual printing process?
9 A. Correct.
10 Q. Evaporation that occurred?
11 A. I wouldn't say outside of the actual
12 printing process but if you're saying emissions
13 that were not -- I mean, I see where you're
14 going. Emissions that were not contained within
15 the ink in a given moment, yes, I would say that
16 is accurate, they would average in there.
17 Q. So is this 82 percent number that is
18 in the -- that you're requesting as an adjusted
19 standard, is that an as applied number?
20 A. Yes.
21 Q. Although, as you calculated it for
22 purposes of this petition, you didn't really
23 calculate it as an as applied number?
24 A. We estimated what the as applied
L.A. REPORTING, 312-419-9292
57
1 number should be based on the broadest set of
2 records we could have. You're saying did we
3 look at as applied at the press? No, there is
4 no way we could do that for every ink we've ever
5 used.
6 Q. So is it possible that they would be
7 able to meet a lower monthly number if you
8 really looked at the as applied VOM content?
9 A. In the sense that this is an estimate,
10 anything is possible, but we believe this
11 estimate represents most realistically of what
12 is as applied.
13 MS. SAWYER: I have no further
14 questions.
15 HEARING OFFICER KNITTLE: Ms. Horn,
16 any re, redirect?
17 MS. HORN: No.
18 HEARING OFFICER KNITTLE: Thank you,
19 sir. You can step down.
20 Off the record.
21 (Off the record.)
22 HEARING OFFICER KNITTLE: Back on the
23 record. Ms. Horn, do you have any further
24 witnesses at this time?
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1 MS. HORN: I do not.
2 HEARING OFFICER KNITTLE: Thank you.
3 Ms. Sawyer, we've talked off the
4 record that you have one witness you'd want to
5 call now.
6 MS. SAWYER: I would, yes. I would
7 like to recall Mr. Galloway.
8 HEARING OFFICER KNITTLE: Sir, if you
9 could step up and we're going to reswear you in.
10 (Witness sworn.)
11 GLEN GALLOWAY,
12 called as the witness herein, having been first
13 duly sworn, was examined and testified as
14 follows:
15 HEARING OFFICER KNITTLE: Ms. Sawyer,
16 your witness.
17 DIRECT EXAMINATION
18 BY MS. SAWYER:
19 Q. Good afternoon, Mr. Galloway, I just
20 have a couple of questions and I've already
21 asked them of Mr. Trzupek but since you're more
22 familiar with BEMA he suggested you would be the
23 better person.
24 Does BEMA print using a lamination
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1 technique on any occasions?
2 A. We don't have the capability of
3 lamination.
4 We do have -- your second, next
5 question about reverse printing, we have the
6 capability of reverse printing.
7 Q. So your printing presses are not
8 capable of printing with lamination?
9 A. Correct.
10 Q. Do you actually do reverse image
11 printing?
12 A. In some cases.
13 Q. And how common is that, how frequent
14 is that?
15 A. It's not very frequent. The
16 difference between is where the customer would
17 want the print, either on the surface or
18 reversed, depending on where the -- what the
19 application is. For example, if they want it
20 surface printed, they don't want the print, the
21 ink to touch the product that is inside the
22 package. If they want it reverse printed, they
23 wouldn't want the print or ink to come in
24 contact with what is outside the package. So
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1 basically the polyethylene is protecting the ink
2 itself at that point.
3 Q. Could you give me any estimate on the
4 percentage of your jobs that you use reverse
5 image printing?
6 A. Out of 100 jobs we probably might do
7 one job. Very, very rare, very rare.
8 Q. I also asked Mr. Trzupek about the
9 size of the containers that contain solvent that
10 is added during printing jobs. Are those
11 standard sized containers?
12 A. Yes, they are.
13 MS. SAWYER: Okay. That's all the
14 questions we have.
15 HEARING OFFICER KNITTLE: Ms. Horn, do
16 you have cross-examination?
17 MS. HORN: I have one very brief
18 question.
19 CROSS-EXAMINATION
20 BY MS. HORN:
21 Q. In the containers that were shown on
22 the video, is there a measurement on them?
23 A. Yes. So we can determine the volume
24 of VO -- volume of solvent we put in there, yes.
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61
1 MS. HORN: No questions.
2 HEARING OFFICER KNITTLE: Any
3 follow-up?
4 MS. HORN: No.
5 HEARING OFFICER KNITTLE: You may step
6 down.
7 Ms. Sawyer, any other witnesses you
8 want to call at this point in time?
9 MS. SAWYER: No further witnesses.
10 HEARING OFFICER KNITTLE: You close
11 your case in chief then?
12 You closed yours?
13 MS. SAWYER: Yes.
14 HEARING OFFICER KNITTLE: Anything in
15 rebuttal?
16 MS. HORN: I have nothing.
17 HEARING OFFICER KNITTLE: We're not
18 going to have any rebuttal testimony.
19 Are there any interested persons who
20 have any testimony they wish to present at this
21 point in time? I see none raising their hand.
22 If in fact they were here, we'd allow them to
23 come here and provide testimony on what they
24 want to provide.
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62
1 But since we don't see anybody, we're
2 going to move on to motions. Do we have any
3 motions at the hearing?
4 MS. HORN: No.
5 HEARING OFFICER KNITTLE: Ms. Sawyer?
6 No?
7 MS. SAWYER: No.
8 HEARING OFFICER KNITTLE: Which takes
9 us to closing statements. You both know that
10 you are not obligated to provide a closing
11 statement. You will have opportunity to provide
12 a closing brief as well. But if you want to
13 provide a closing statement, Ms. Horn, now is
14 your opportunity.
15 MS. HORN: I'd like a very brief one.
16 HEARING OFFICER KNITTLE: Please
17 proceed.
18 MS. HORN: BEMA requested that the
19 Board grant an adjusted standard as an
20 alternative to the RACT regulation, which is
21 known as the Flexograph Printing Rule.
22 To require BEMA to comply with the
23 requirements of 35 Illinois Administrative Code
24 Subpart H, Section 218.401, would result in
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63
1 substantial economic hardship to BEMA with no
2 corresponding or adverse environment or health
3 effects.
4 It is technically infeasible for BEMA
5 to comply with the Flexograph Printing Rule
6 because, 1, water-based inks do not work for
7 their products, and 2, an oxidizer is the only
8 control device that would work, 3), presents an
9 unreasonable expense for design and
10 installation. The presses were not designed
11 with control in mind.
12 BEMA has met the four factors in
13 Section 28.1 of the act, and therefore, BEMA
14 respectfully requests that the Board grant BEMA
15 an adjusted standard from 35 Illinois
16 Administrative Code, Subpart H, Section 218.401
17 as that rule applies to the emissions of VOM
18 from the Flexographic Printing operations at
19 BEMA located in Elmhurst, in DuPage County,
20 Illinois.
21 HEARING OFFICER KNITTLE: Thank you,
22 Ms. Horn.
23 Ms. Sawyer, do you have any closing
24 statement at this time?
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64
1 MS. SAWYER: I do have a couple of
2 statements.
3 As I believe the Petitioner has
4 stated, they intend to do daily record keeping
5 at their facility. And as I stated earlier,
6 that is one of the areas that we think the Board
7 should consider the adjusted standard.
8 We have had an opportunity to review
9 the video fully for BEMA and we think that there
10 are means that are feasible for this facility to
11 do daily record keeping. What we intend to do
12 is, you know, work with the facility to develop
13 a method that would be workable for them to do
14 daily record keeping.
15 Another thing that I'd like to add as
16 this facility -- if they are granted an adjusted
17 standard, as they begin the process of using
18 daily record keeping, to the extent that this
19 daily record keeping indicates that a lower
20 monthly average than the 82 percent VOM content
21 currently under consideration is feasible, we
22 would recommend that the facility come back in
23 to revise the adjusted standard as appropriate
24 if that were to incur.
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65
1 And I think that is all I have to add.
2 HEARING OFFICER KNITTLE: Thank you.
3 Let's go off the record.
4 (Off the record.)
5 HEARING OFFICER KNITTLE: Back on the
6 record.
7 We've had an off the record discussion
8 about posthearing comments and briefs. Ms. Horn
9 and Ms. Sawyer both informed me they do not
10 intend to file posthearing briefs. Is that
11 correct, Ms. Horn?
12 MS. HORN: That's correct.
13 HEARING OFFICER KNITTLE: Ms. Sawyer?
14 MS. SAWYER: That's correct.
15 HEARING OFFICER KNITTLE: So based on
16 that representation I'm not going to set up a
17 posthearing briefing schedule.
18 Posthearing comments pursuant to
19 106.807 are allowed and both of you or any
20 interested party may file a posthearing comment
21 within 14 days after the close of the hearing,
22 which would take us to November 27th. So all
23 public comments will be due by November 27,
24 2000. If we receive any comments, and we've
L.A. REPORTING, 312-419-9292
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1 also discussed this off the record, I'm going to
2 allow either party to contact me by November
3 27th to set up a limited briefing schedule to
4 address that comment if they so desire.
5 That's all I have.
6 I do have to make a credibility
7 determination based on my legal experience and
8 judgment. I find no credibility issues with any
9 of the witnesses here today and I note for the
10 last time there are no members of the public
11 wishing to provide comment. It's approximately
12 2:40 p.m. That's all I have. Thank you very
13 much.
14 I do want to note, and I almost
15 forgot, we've had two exhibits offered,
16 Petitioner's 1, which was a video and admitted,
17 Petitioner's 2, which was the bag that was
18 printed during the making of the video, which
19 was also admitted, I'm going take them both back
20 with me to the Board. If you need them in the
21 interim, please let me know. Thanks.
22
23
24
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1 STATE OF ILLINOIS )
)SS:
2 COUNTY OF DU PAGE )
3 I, ROSEMARIE LA MANTIA, being first
4 duly sworn, on oath says that she is a court
5 reporter doing business in the City of Chicago;
6 that she reported in shorthand the proceedings
7 given at the taking of said hearing, and that
8 the foregoing is a true and correct transcript
9 of her shorthand notes so taken as aforesaid,
10 and contains all the proceedings given at said
11 hearing.
12
13 ------------------------------
14 ROSEMARIE LA MANTIA, CSR
License No. 84 - 2661
15
16 Subscribed and sworn to before me
this day of , 2000.
17
------------------------------------
18 Notary Public
19
20
21
22
23
24
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