ILLINOIS POLLUTION CONTROL
BOARD
January 21, 1993
IN THE
MATTER
OF:
)
)
THE PETITION OF CABOT CORP. FOR)
AS 91-10
AN ADJUSTED STANDARD FROM THE
)
(Adjusted Standard)
REQUIREMENTS OF 35 Ill. Adm.
)
Code 725.293
)
ORDER OF THE BOARD
(by J. Anderson):
The Cabot Corp.
(Cabot)
filed a motion for stay or in the
alternative to dismiss without prejudice on December 15,
1992.
The Board has received no response.
Cabot filed its initial petition for an adjusted standard on
December 27,
1991, seeking relief from
the
secondary containment
requirements of 35
Ii..
Adin.
Code 725.293.
Cabot filed its
completed demonstration on June 25,
1992.
Cabot states that it
has•been conducting ongoing discussions with
the
Agency, pursuant
to prior Board orders in this matter, with the purpose of
resolving as many issues as possible before it proceeds before
the Board.
Cabot states that some issues still require
resolution,
and Cabot and the Agency disagree on the appropriate
groundwater standards that should apply relative to the relief
requested.
Cabot requests a stay so that.it can complete its
“Part 620 work plan” and consider its results before proceeding.
Cabot hopes to address the Agency’s remaining concerns with these
results.
Cabot states that.it has numerous tank systems involved
in this proceeding, and each has a distinct Section 725.293
secoDdary containment compliance deadline:
North. GaligherSuinp
January 1,
1994
West Galigher Sump
January
1.,
1995
AB Unit Trench
January 1,
1998
Tank Farm Sump
July 1, .1999
D Unit Trench
August
1,
1999
TX—0048
& TK—0051
May 1,
2002
Cabot requests a stay with the requirement that the parties
submit status reports within one year.
The motion represents
that the Agency has concurred in this approach.
Cabot states
that it does not interpose this motion to delay compliance and it
intends to proceed with compliance with the standards for the
North Galigher Sump on or before January
1, 1994.
The Board notes that 35 Ill.
Adm. Code 725.293(h) (1)
requires a petitioner seeking relief to submit its petition at
least 24 months before compliance is due, and Section
725.293(h) (3)
requires its completed demonstration within 180
days after the filing of the petition.
The purpose
is to allow
ample time for compliance if the Board denies relief.
The time
for filing the petition
(and,
thus,
the completed demonstration)
38-O5t~.5
2
is now past,
at the very least as to the West Galigher Sump and
the North Galigher Sump.
These are dates derived from federal
regulations, and the Board cannot simply waive them.
Therefore,
dismissal without prejudice is not possible at least as to those
two “tanks”.
By this order, the Board does not rule on any
issues related to the petitioner’s assertions other than the
stay.
Specifically, we take no position on Cabot’s ability to
file another petition
for an adjusted standard for any of its AB
Unit Trench, Tank Farm
Swap, or D Unit Trench “tanks”.
The
“single tank system”—”nwiltiple tank systems” issue was formerly
contested and we have no recent direct representations from .the
Agency that it has been resolved.
For the foregoing reasons, the Board hereby grants the
requested stay of this proceeding through December 31,
1993 on
TK—0048
& TK-0051 subject to the following conditions:
A.
Cabot shall submit a status report to the Board no
later than June 30, 1993 that clearly delineates the
status of its “Part 620 working plan”, the general
nature of any results
then
already submitted to the
Agency, and the general nature of any responses
received from the Agency; and
B.
Cabot will timely comply with the
RCRA
secondary
containment standards of 35 111. Adm. Code 725.293,
except as otherwise provided by Board order or rule.
IT IS SO ORDERED.
I, Dorothy N. Gunn,
Clerk of the Illinois Pollution Control
Board, do hereby~ertifythat th
bove order was adopted by the
Board1n the
1’~
day ~
,
1993, bya vote
~
Dorothy N. ~(/nn,Clerk
Illinois PoGA.ution Control Board
0
138-O5~6