ILLINOIS
ENVIRONMENTAL
PROTECTION
AGENCY
RECEIVED
1021
NORTH
GRAND
AVENUE
EAST,
P.O.
Box 19276,
SPRINGFIELD,
ILLINOIS
~
OFFICE
THOMAS
V.
SKINNER,
DIRECTOR
SEP
0
7
2001
STATE OF ILUNOIS
Pollution
Control
Board
August 27,
2001
Dorothy
M. Gunn, Clerk
Illinois Pollution Control
Board
100W. Randolph,
Suite 11-500
7
~‘.
Chicago, IL 60601
Re: Illinois Environmental Protection Agency Comments for Docket ROl -20 Radionuclides
Dear Ms. Gunn:
Please find
enclosed
comments
pertinent to Docket R01-20, which contains
Identical in
Substance drinking water regulations for public water supplies.
The Agency very much
appreciates the opportunity to comment, and hopes thatyou will take these comments into
consideration when
promulgating the final
rule.
The Board has requested comment on several items within the regulatory proposal.
The
Agencyoffers the attached comments on the regulation
proposed bythe Board, andwould
like to
commend
the
Board on
its
proposal, and
in
specific,
Mike McCambridge,
on the
timely and excellent work he has done to prepare the proposal and to address the needs
of Region
5 USEPA so that they can participate in the Board’s comment process.
These
regulations have been long-awaited by many Illinois public water supplies as a result of a
prolonged rule making
effort at the federal level.
The prompt proposal and adoption of
these regulations by the Board will assist those supplies in working toward compliance in
a timely manner.
Should you have any questions or find that this information is not clear, please contact me
for clarification.
Sincerely,
Ms. Lou Allyn Byus
Assistant Manager
-
Field Operations
Division of Public Water Supplies
Enclosure
GEORGE
H.
RYAN,
GOVERNOR
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SEP
0
7
2001
STATE OF ILLINOIS
Pollution Control Board
ILLINOIS ENVIRONMENTAL
PROTECTION AGENCY COMMENTS
.
REGARDING R01-20
NPDWR for Radiolonuclides
—
Page
7 of the Opinion of the
Board
Sections 611.130,
611.330, 611.331, 611.720, 611.731
and Appendices A, G
and
H
The Agency concurs with
the
Board’s interpretation of “variance” and “exemption” as the
federal definitions
apply
to
Illinois rules.
The Agency
appreciates
the
inclusion
of the
reverse osmosis limitations note for clarityto the regulated community, and the discussion
of effective dates, which will also assist the
regulated community.
Spelling of Exceedence or Exceedance
—
Page 8 of the Opinion of the Board
The English
language
is
a compilation of rules
with
a great many exceptions,
many of
which do not support the
Latin derivation.
(Example:
“i” before “e” except after
‘c”
—
yet
we spell neighbor, weight,
neither, either, eight, and many other words
in contradiction.)
TheAgency supportsthe spelling “exceedance”, as it is found in the Encarta World English
Dictionary.
This spelling
is
most
commonly
used
in
many existing
federal
rules
and
guidance
manuals,
and has
been
used frequently
in training materials prepared
for the
drinking water program.
Please change all
spellings of “exceedance” to be consistent.
Doubled Article
—
Page
9 of the Opinion of the Board
The Agency concurs with
removal
ofthe double article.
Subsection Cross-References
—
Page 9 of the Opinion of the
Board
The
Agency concurs with
the
Board’s
proposal to
change all
references
of “below” or
“above” to “of this
Section”, as it does
provide clarity to the
regulated community when
interpreting
complex and lengthy regulations.
SDelling of Antimony
—
Page
10 of the Opinion of the
Board
The Agency concurs with
the Board’s proposal to correct the spelling of “antimony”.