ILLINOIS POLLUTION CONTPOL BOARD
    October
    18,
    1989
    IN
    THE
    MATTER
    OF:
    PROPOSED
    SITE—SPECIFIC
    LIMITATION
    FOR
    THE
    MOD~NE MANUFACTURING
    COMPANY
    )
    R87—36
    FACILITY,
    RINGWOOD,
    ILLINOIS
    PROPOSED
    RULE.
    FIRST NOTICE.
    OPINION
    AND
    ORDER
    OF THE BOARD
    (by R.
    C.
    Fiemal):
    This matter
    comes before
    the Eoar~ upon
    the October
    15,
    1987
    Petition
    and
    May
    24,
    1989 Amended Petition of
    Modine
    Manufacturing Company
    (uModinehi)
    for site—specific exemption from
    certain effluent standards which currently apply
    to Modine’s
    Ringwood,
    Illinois,
    facility.
    Modine further
    requests
    modification
    of certain water quality standards as
    these
    currently apply to
    the stream which receives Modine’s effluent
    discharges.
    Today the Board proposes
    for
    First Notice an amended version
    of Modine’s proposal.
    MODINE’S REQUEST
    The effluent standards
    in question pertain
    to five—day
    biochemical
    oxygen demand
    (“BOD”)
    and
    total
    suspended solids
    (“TSS”),
    as found
    at
    35
    Iii.
    Ac3rn.
    Code 304.120(c),
    to barium and
    fluoride,
    as found
    at
    35
    Ill.
    Adrn.
    Code 304.124(a),
    and
    to the
    general
    provision against effluents contributing
    to
    or causing
    violations
    of water quality standards,
    as found
    at 35
    Iii.
    Adm.
    Code 304.105 and 304.301.
    The water
    quality standards
    in
    question are General Use Water Quality Standards
    for barium and
    fluoride,
    as
    found
    at
    35
    Iii..
    Adm.
    Code 302.208, and ammonia
    nitrogen,
    as found
    at
    35
    Ill.
    Adrn.
    Code 302.212.
    The current
    numerical limitations for
    these effluent and water quality
    standards
    are
    as follows:
    Effluent Standards:
    Monthly
    Daily
    Grab
    Composite
    Composite
    Sample
    (mg/i)
    (mg/i)
    (mg/i)
    BOD
    10
    20
    50
    TSS
    12
    24
    60
    Barium
    2.0
    4.0
    10
    Fluoride
    15.0
    30
    75
    Water
    Quality Standards:
    Barium
    5.0 mg/i
    Fluoride
    1.4 mg/i
    Ammonia Nitrogen
    15.0 mg/l
    1~4--461

    —2—
    In substitution
    for
    these standards Modine proposes the
    following effiuent limitations1:
    Monthly Composite
    Daily Composite
    (mg/i)
    (mg/i)
    BOD
    25
    (summer)
    35 (summer)
    60
    (winter)
    70
    (winter)
    TSS
    12
    30
    Barium
    3.0
    4.0
    Fluoride
    4.0
    5.6
    Ammonia Nitrogen
    3.2
    (summer)
    4.4
    (summer)
    4.4
    (winter)
    6.8 (winter)
    where
    summer
    is defined
    as the months of May through September
    and winter
    is defined
    as the months
    of October through April.
    Additionally, Modine proposes that
    the existing General Use
    Water Quality Standards
    for fluoride and ammonia nitrogen not
    apply to the unnamed tributary
    (see following)
    to which Modine
    discharges.
    In place
    of the General Use Standards, Modine
    proposes
    that
    the unnamed
    tributary be
    subject
    to water quality
    standards
    for fluoride and ammonia nitrogen which
    are
    identical
    to those proposed as Modine’s effluent
    limitations.
    Modine does
    not request modification of the General Use barium standard,
    which
    is higher than Modine proposes
    as its daily composite
    effluent limitation.
    Both
    the existing and proposed site—specific limitations
    differ
    from
    the concentration limits
    in the NPDES
    Permit, No.
    1L0001279
    (Modine
    Exh.
    26), most
    recently
    issued
    to
    Modine:
    30—Day
    Avg
    Daily
    Max
    (mg/i)
    (mg/i)
    BOD
    8.0
    16.0
    rn~~
    9.5
    19.0
    Barium
    1.6
    3.2
    Fluoride
    1.4
    Ammonia Nitrogen
    1.5
    (summer)
    4.0
    (winter)
    The specifics
    of Modine’s proposal,
    as
    here
    listed,
    were
    initially
    presented
    in
    the testimony of Gary
    A.
    Fahi
    (R.
    at 108;
    Modine Exh.
    9
    at
    16)
    and
    as
    Modine Exh.
    40.
    They were repeated
    in
    the Amended
    Petition filed May 24,
    1989, which was intended to
    conform
    the pleadings with
    the henring
    record.
    The specifics of
    the
    Amended
    Petition
    differ
    in
    substantial
    degree
    from
    the
    specifics
    proposed
    by Modine
    in
    its Petition
    (P.
    at 218—9;
    c.f.,
    Modirie
    Exh.
    1
    at
    2).
    1I)L~.4
    62

    where
    summer
    is
    defined
    as
    months
    of
    Apr ii
    through
    October
    and
    winter
    is
    defined
    as
    the
    months November
    through March.
    The
    NPDES
    limits
    for
    BOD,
    TSS,
    and
    barium
    are
    less
    than
    the
    existing
    general
    effluent
    standards
    because the Illinois Environmental
    Protection
    Agency
    (“Agency”),
    in
    writing
    the
    permit,
    has
    adjusted
    the
    standards
    to
    reflect
    mixing
    by
    Modine
    of
    non—contact
    cooling
    waters
    (see
    following)
    with
    its
    wastewaters
    prior
    to
    discharge.
    This
    adjustment
    is
    made
    pursuant
    to
    35
    Ill.
    Adm.
    Code
    304.102.
    STATUTORY AUTHORITY
    The goals
    of water pollution control
    in
    the State of
    Illinois are set out
    in Title
    III
    of
    the Illinois Environmental
    Protection Act
    (“Act”;
    Ill.
    Rev.
    Stat.
    1987,
    ch.
    lllJ~/2~. It
    is
    there prescribed
    that:
    It
    is
    the purpose
    of
    this
    Title
    to
    restore, maintain
    and enhance
    the purity
    of
    the waters
    of
    this State
    in
    order
    to protect health, welfare, property,
    and
    the
    quality of
    life,
    and to assure that
    no contaminants
    are discharged
    into
    the waters
    of the State,
    as
    defined
    herein,
    including,
    but not limited
    to, waters
    to any sewage works,
    or
    into any well,
    or
    from any
    source within the State
    of Illinois, without
    being
    given
    the degree of treatment
    or control necessary
    to
    prevent pollution,
    or without
    being made subject
    to
    such conditions
    as are required
    to achieve and
    maintain compliance with State
    and federal
    law.
    Id.
    at par.
    1011(b)
    Section
    13(a)
    of Title
    III
    further specifies
    that:
    The Board, pursuant
    to procedures prescribed
    in Title
    VII of
    this
    Act, may adopt regulations
    to promote
    the
    purposes and provisions of
    this Title.
    Without
    limiting the generality
    of this authority,
    such
    regulations may among other
    things prescribe:
    1.
    Water quality standards specifying
    among
    other
    things,
    the maximum short—term and long—term
    concentrations
    of various contaminants
    in the
    waters,
    the maximum permissible concentrations
    of
    dissolved oxygen and other desirable matter
    in
    the waters,
    and the temperature
    of such waters;
    2.
    Effluent standards specifying the maximum amounts
    or concentrations,
    and
    the physical,
    chemical,
    thermal, biological
    and radioactive nature
    of
    contaminants
    that may be discharged
    into
    the
    lr)4
    L~63~

    —4—
    waters of
    the State,
    as defined herein,
    including,
    but not limited
    to, waters
    to any
    sewage works,
    or
    into any well,
    or from any
    source within the State.
    Id.
    at par.
    1013(a)
    Title VII
    of the Act prescribes
    the procedures by which
    the
    Board
    is
    to enact regulations.
    In pertinent part Title VII
    specifies
    that:
    The Board may adopt substantive regulations
    as
    described
    in Sections
    10, 13,
    17,
    22,
    22.4
    and 25
    of
    this Act.
    Any such regulations may make different
    provisions
    as required by circumstances for different
    contaminant sources and for different geographical
    areas;
    ...
    and may include regulations specific
    to
    individual persons or sites.
    In promulgating
    regulations under
    this Act,
    the Board
    shall
    take
    into
    account
    the existing physical conditions,
    the
    character
    of
    the area involved,
    including
    the
    character
    of surrounding land
    uses,
    zoning
    classifications,
    the nature of
    the existing
    air
    quality,
    or receiving body of water,
    as the case may
    be, and
    the technical feasibility and economic
    reasonableness
    of measuring or
    reducing the
    particular
    type of pollution.
    Id.
    at par.
    1027(a)
    PROCEDURAL HISTORY
    The
    instant proceeding
    is the second most—recent
    in
    a sor ies
    of water—related actions brought by nadine
    (see Mo’Jine
    Exh.
    4
    at
    9—11).
    Among
    the pertinent of
    these actions are two
    in which
    Modine successfully petitioned
    for variance from the same
    regulations
    at
    issue
    here,
    and
    a third whose disposition
    is
    pending.
    In the first of these, Modine
    v.
    IEPA,
    PCB 82—111
    (58
    PCB 207,
    May 29, 198; Modine Exh.
    6A)
    the Board granted Modine
    variance until March
    1,
    1985
    from the same
    regulations
    at issue
    here.
    Additionally,
    the Board imposed effluent and water quality
    limitations
    for each
    of BOD,
    TSS,
    and ammonia nitrogen which
    in
    general are less
    stringent
    than
    is now proposed
    by Modine.
    In
    the
    second
    of
    the
    successful
    variance
    petitions
    the
    Board
    granted
    Modine
    a new variance,
    with similar
    limitations
    to those
    in PCB
    82—ill,
    to expire
    on December
    31,
    1987
    (Modine
    v.
    IEPA,
    PCB 85—
    154,
    slip op. December
    22,
    1987; Modine
    Exh.
    7).
    In
    the pending action, Modine
    v.
    IEPA,
    PCB 88—25, Modine
    seeks
    in
    the
    alternative
    a
    new
    variance,
    an extension of
    the PCB
    82—111 and/or PCB 85—154
    variances,
    or
    a declaration
    that
    the
    regulations at
    issue
    are without
    force or
    effect as applied
    to
    104
    464

    —5—
    Modine.
    Various documents
    from
    the PCB 88—25 proceedin9 have
    been
    admitted
    into
    the record
    of the
    instant proceeding
    In addition
    to the pending variance proceeding,
    PCB 88—25,
    there
    is also
    a pending NPDES permit appeal,
    PCB 86—124,
    filed
    on
    August
    15, 1986.
    In PCB 86—124 Modine petitions
    for review of
    certain conditions
    in NPDES Permit No.
    IL000l279,
    as
    issued July
    17, 1986.
    Through
    an informal agreement between
    the Agency and
    Modine,
    the permit appeal has not
    been
    actively pursued
    by either
    party initially pending
    the resolution
    of PCB 85—154
    and later
    the resolution
    of both PCB 88—25
    and
    the instant proposal.
    On
    February 23,
    1989 the Board
    issued an Order pursuant
    to
    Section
    27(a)
    of the Act declaring
    that
    an Economic
    Impact Study
    need not be conducted
    in this matter.
    Prior
    to hearing,
    in response to
    a Hearing Officer Order
    thereto, Modine presubmitted
    testimony of
    its prin~ipalwitnesses
    and
    the exhibits
    it intended
    to present
    at hearing
    .
    Modine
    witnesses were Mr. James
    H.
    Firestone,
    Director of Processes and
    Environmental Services
    at Modine’s headquarters
    in Racine,
    Wisconsin;
    Mr.
    Gary
    A.
    Fahl,
    Manager
    of Environmental Engineering
    at Modine’s headquarters; Daniel
    3.
    Bosch, Manager
    of Modine’s
    Manufacturing Engineering Department
    of the Automotive Division;
    Dr
    .3.
    W.
    Patterson, Chairman of
    the Pritzker Department
    of
    Environmental Engineering at
    the Illinois Institute
    of Technology
    and principal
    in the consulting firm of Patterson Schafer,
    Inc.;
    Mr. James
    E.
    Huff, Vice—President
    of
    the environmental consulting
    firm, Huff
    & Huff;
    and Mr. Jim Rulseh, Manager
    of the McHenry
    Plant.
    On
    February
    24,
    1989
    the Agency prefiled the testimony of
    its principal witness, Timothy
    P.
    Kluge.
    All prefiled
    testimony
    was entered
    into
    the record
    of
    the hearing
    as
    if read.
    The Agency and the Illinois Department
    of Natural Resources
    (“DENR”)
    filed advance hearing questions
    on February
    27
    and
    28,
    2 These include
    the Petition
    for Variance
    (Exh.
    2), Second
    Amended Petition
    for Variance
    (Modine Exh.
    3), Agency Variance
    Recommendation
    (Modine Exh.
    4),
    and Modine’s Response
    to Variance
    Recommendation
    (Modine
    Exh.
    5).
    The presubmitted testimony of James Firestone, Gary Fahl, James
    Huff,
    and Daniel Bosch was initially
    filed on January
    23, 1989.
    On January 26,
    1989 Modine
    filed
    revised testimony
    of Messrs.
    Firestone,
    Fahi,
    Bosch,
    and Huff,
    as well
    as the testimony of
    Dr.
    James W. Patterson.
    On February
    8,
    1989 Modine
    filed
    a revised
    version of Dr. Patterson’s testimony.
    Also
    on January 26,
    1989
    Modine prefiled copies of exhibits numbered
    1 through
    32.
    These
    were subsequently admitted into
    the record as Modine Exhibits and
    with Modine’s numbering
    scheme unchanged.
    1fl4 465

    —6—
    1989,
    respectively.
    On March
    8,
    1989 Modine filed advance
    hearing questions.
    Hearing was held
    in McHenry,
    Illinois on March
    10,
    1989.
    In
    addition
    to Modine,
    the Agency,
    and DENR,
    the hearing was
    attended
    by Mr. Gerald
    A.
    Paulson, Executive Director of the
    McHenry County Defenders,
    who participated
    in
    the questioning
    of
    witnesses.
    By Order
    of April
    27,
    1989 the Hearing Officer established
    a
    post—hearing comment period extending
    to May 15,
    1989.
    This
    comment period was extended
    to June
    2, 1989
    by Hearing Officer
    Order
    of May
    8,
    1989.
    Post—hearing Public Comments
    (“PC”) were
    filed
    by Mr. Paulson on June
    1,
    1989
    (PC
    #3), by Modine
    on June
    2,
    1989
    (PC #4),
    and by the Agency on June
    7,
    1989
    (PC
    #5).
    FAC ILITY
    Manufacturing Operations
    Modine opera~esa manufacturing facility located on Ringwood
    Drive
    in Ringwood
    ,
    McHenry County,
    Illinois.
    The facility
    employs approximately 280 people with
    an annual payroll
    of $5.2
    million
    (R.
    at
    31).
    Modine characterizes
    its manufacturing operations as
    follows:
    Modine manufactures
    air conditioning condensors
    and
    evaporators
    at
    its Ringwood facility
    for
    use
    in
    automobile
    air
    conditioners.
    Mor5ine
    utilizes
    two
    different processes
    for
    the
    manufacture
    off
    these
    products.
    On
    the
    condensor
    line,
    the
    condensor
    fin
    and
    tube
    type
    heat
    exchange
    products
    are
    primarily
    fabricated
    from
    aluminum
    parts,
    which
    are
    metalurgically
    sic
    bonded
    together using
    zinc and
    flouride
    sic
    salts, under
    the influence of heat.
    This process
    is known
    as the Alfuse process.
    The raw materials
    used
    to manufacture the condensors
    are aluminum tube and fin stock and a proprietary
    “slurry”
    composition
    used
    to metalurgically
    sic
    bond the
    tubes
    and fins
    together.
    The slurry
    consists
    of
    a saturated, non—halogenated
    hydrocarbon,
    plus zinc and flouride
    sic
    salts,
    and
    is applied
    to
    ~ Although
    located
    in Rinywood,
    the facility at
    issue
    is
    also
    commonly
    known
    and referred to as Modine’s
    “McHenry Plant”
    or
    “McHenry facility”.
    104
    466

    —7—
    the
    tubes
    and
    fins
    in
    a
    “slurry house”.
    From the
    slurry
    house,
    the
    tubes
    and
    fins
    move
    to
    a
    gas—fired
    tunnel
    oven
    where
    all
    the
    hydrocarbons
    in
    the
    slurry
    are effectively consumed
    or volatilized,
    leaving only
    the zinc and flouride
    sic
    salts
    to react with the
    aluminum.
    When bonding
    is complete, the pruduct
    moves
    to
    a quench where
    it
    is doused with water.
    The
    condensors
    then pass through
    a dryoff oven,
    certain
    mechanical operations
    are performed,
    and the
    condensors go through
    a paint process before leaving
    the McHenry Plant as
    finished products.
    The other process
    used
    by Modine
    to manufacture
    evaporators
    is known as
    the Nocolok process.
    ...
    The
    Nocolok binding process
    includes basically
    freon
    degreasing, slurry application
    and high
    temperature
    baking.
    The bonding slurry used
    in
    the process
    is
    a
    non—hazardous,
    water—based
    mixture
    which,
    upon
    heating,
    results
    in
    a
    bond
    between
    the
    aluminum
    tubes,
    fins
    and
    headers.
    ...
    Non—contact
    cooling
    water
    is
    required
    for
    temperature
    control;
    however,
    there
    are
    no process water discharges
    from the
    Nocolok
    process.
    Petition,
    p.
    3—5
    The Nocolok process was installed
    by Modine
    in January 1986
    (P.
    at 36).
    Although
    the Nocolok process was initially intended
    to be
    used
    for all products,
    Modine
    contends that
    it ultimately
    discovered
    that
    the Nocolok process
    could only partially supplant
    the Alfuse proce~s (R.
    at 40).
    Accordingly,
    only
    the evaporators
    are now produced by the Nocolok process.
    One of Modine’s stated reasons
    for adopting the Nocolok
    process was
    “to improve
    the quality of effluent from the Plant’s
    treatment system by eliminating
    the wastewater
    loading
    from the
    evaporator
    line”
    CR.
    at
    36).
    Because there
    is
    no process
    wastewater produced
    by the Nocolok process, Modine contends that
    the conversion to the Nocolok process has decreased
    the quantity
    of process wastewater
    at the McHenry Plant
    by
    15 percent
    (P.
    at
    37)
    Testimony at hearing also noted
    that Modine manufactures
    a
    third product,
    oil coolers,
    at
    its Ringwood Plant
    (P.
    at
    32).
    However,
    the oil coolers are characterized
    as
    “a minor product”
    (Id.
    )
    Nature of Wastewater
    The
    McHenrv
    Plant
    generates
    process
    wastewater
    from
    the
    wet
    scrubber,
    water quenches,
    slurry wash,
    and test tanks,
    all
    of
    which are associated with
    the Alfuse
    line;
    the major quantity of
    104-467

    —8—
    process wastewater
    is generated by
    the wet scrubber
    (Petition,
    p.
    5).
    Current wastewater discharges
    are estimated
    to
    total
    approximately 300,000 gallons
    per day;
    this
    figure includes both
    sanitary wastewater
    and non—contact cooling water,
    in addition
    to
    process wastewater
    (Id.).
    The Modine wastewater contains
    a matrix of both
    inorganic
    and organic constituents
    (R.
    at
    164).
    The organic fraction has
    proven
    to be particularly recalcitrant
    in
    its treatability
    (P.
    at
    166),
    in part due
    to
    its slow degradation rate
    (R.
    at 318—20).
    Wastewater Operations
    Modine applies various
    initial treatments
    to
    its different
    wastewaters.
    For
    the process wastewaters,
    these consist of
    combining the wastewaters and thereafter adjusting pH via the
    addition
    of
    lime.
    The pH adjustment
    facilitates the
    removal
    of
    fluoride,
    zinc,
    and aluminum
    as precipitates.
    Sanitary
    wastewaters
    are initially treated
    in an extended aeration
    activated
    sludge system.
    Following
    initial treatment,
    the process and sanitary
    wastewaters,
    plus
    the non—contact cooling waters,
    are passed
    through
    a series of three in—series
    lagoons.
    Modine
    characterizes the operation of the lagoons
    as follows:
    The first
    of the three lagoons
    is utilized
    for
    removal
    of both suspended solids and BOD.
    The second
    and
    third lagoons, utilized
    in series with
    the
    first,
    complete the reduction of BOD and accomplish
    additional
    suspended solids removal.
    The depth
    of
    these two lagoons
    is kept
    at about
    three
    to
    four
    feet,
    thus promoting
    the
    naLural
    aeration
    necessa~:y
    for
    sustaining
    the
    proper
    plant
    and
    animal
    life.
    Petition,
    r.
    6
    The
    three lagoons
    have
    a
    retention
    time
    of
    13
    to
    15
    or
    16
    days
    (P.
    at
    173)
    and
    a
    removal
    efficiency
    for
    BOD
    varying
    between
    52
    and
    98
    per month, with the lower efficiencies occurring
    in
    winter and the higher efficiencies
    in summer
    (P.
    at
    162;
    Modine
    Exh.
    41).
    Despite
    this
    treatment program, Modine contends that
    it
    is
    unable
    to consistently meet all of the
    the effluent
    limitations
    established by the Board.
    Further,
    the receiving stream does not
    meet the water
    quality standards
    for ammonia nitrogen (Petition,
    p.
    6—7)
    and dissolved
    oxygen.
    The latter condition stems
    in part
    from the
    fact :h~:for sub:tantial ~~rtions
    of
    the
    time
    riodine’s
    effluent
    constirutes
    the
    sole flow
    iii
    the unnamed tributary.
    The
    water quality standards therefore become effective
    effluent
    standards
    CR.
    at
    215—6).
    104
    -460

    —9—
    Compliance Efforts
    Modine
    has
    undertaken
    modifications
    of
    its
    treatment
    process
    during
    the
    time
    this matter,
    in
    its various
    forms,
    has been
    before the Board
    (P.
    at
    188).
    Among
    these
    has
    been
    discontinuance
    of phosphorus additions
    into the three ponds.
    This action was taken,
    at the advice of Modine’s engineering
    consultants,
    to reduce the amount
    of
    algal growth
    in
    the ponds,
    and hence
    the
    amount
    of algal TSS discharge
    from the ponds
    (P.
    at
    179—80).
    A second modification has been
    to
    increase the
    pH
    of
    the
    raw
    wastewater,
    which,
    in
    combination
    with
    more
    stringent
    operation
    and
    maintenance
    procedures,
    has
    substantially
    decreased
    the
    concentration
    of
    zinc
    in
    Modine’s
    final
    effluent
    (P.
    at
    54).
    A
    third
    modification
    has
    been
    the
    addition of an air
    stripping
    system
    designed
    to dissipate ammonia
    into
    the air.
    This
    system
    has
    lead
    to
    a
    decrease
    in
    the amount of
    ammonia
    discharged
    in Modine’s effluent
    (P.
    at
    55).
    A fourth modification consists
    of dredging of
    the
    three
    lagoons.
    Although this apparently
    is done periodically,
    it was
    accomplished most
    recently
    in 1988
    (P.
    at
    57).
    Modine contends
    that the dredging has substantially increased
    the effective
    size
    of the lagoons, thereby resulting
    in greater
    retention time and
    possibly better biological activity
    (P.
    at 57, 362).
    A fifth modification has been
    the discontinuance
    of
    chlorination
    as
    of early September
    1988.
    Prior
    to this date
    Modine chlorinated
    the discharge from the third
    lagoon prior
    to
    its
    release
    into
    the receiving stream
    (P.
    at
    216).
    Chlorination
    was practiced
    to allow compliance with
    the fecal coliform
    effluent standard of 400/100 ml.
    However,
    actual analyses of
    fecal coliform convinced Modine that
    it could meet
    the
    fecal
    coliforrn standard without chlorinating
    (R.
    at 57—8).
    Moreover,
    evidence from biological
    studies
    (P.
    at
    58;
    see also following)
    indicated that residual chlorine was
    a limiting factor
    in the
    quality of
    the aquatic
    life
    in the receiving stream.
    Studies
    subsequent
    to the ceasing
    of chlorination
    appear
    to confirm
    this
    relationship
    (see following).
    There are also several additional modifications
    to which
    Modine “has committed”
    (Modine Brief at
    14).
    Among
    these
    is
    a
    recommendation by Mr. Huff that the Modine outfall
    be altered
    from
    its present submerged—pipe structure
    to
    a spillway
    structure.
    The purpose of
    this modification
    would
    be
    to allow
    added
    aeration of
    the effluent,
    increasing
    its DO level
    by 1
    to
    3
    mg/i
    (P.
    at
    252),
    and thereby
    ameliorating some of the
    consequences of the effluent’s BOD.
    It was the understanding of
    the participants
    at hearing that the spillway would
    be installed
    during spring 1989
    (R.
    at 241),
    although
    the record does not
    affirm that the installation has actually been made.
    104 469

    —10—
    A second change
    to which Modine has committed
    is the
    addition of
    a
    pH adjustment system to be added
    at the point
    of
    discharge
    (Amended Petition at
    4;
    Modine Brief
    at 14).
    The
    purpose to
    to adjust the final
    pH to approximately 7.5,
    thereby
    decreasing
    the proportion of Modine’s ammonia discharge which
    is
    in the un—ionized ammonia
    form.
    ENVIRONMENTAL IMPACT
    Effluent Quality
    Modine provides the following summary of
    the quality of its
    effluent,
    based
    on annual average concentrations over the past
    nine years:
    Parameter
    1980
    1981
    1982
    1983
    1984
    1985
    1986
    1987
    1988
    BUD
    33.5
    29.9
    28.6
    29.3
    37.8
    37.2
    38.1
    27.2
    24.9
    TSS
    5
    3
    14
    9
    4
    3
    5
    4
    5
    Airrnonia
    6.2
    8.6
    3.6
    4.8
    4.8
    3.5
    2.6
    1.8
    2.8
    Fluoride
    3.6
    3.7
    4.3
    4.6
    3.5
    3.9
    3.6
    3.0
    3.5
    Zinc
    2.5
    3.3
    4.5
    0.4
    0.6
    0.9
    0.3
    0.3
    0.3
    Modine Exh.
    9 at
    2;
    also graphically
    in Modine Exh.
    16
    Modine has calculated
    the maximum concentration of un-
    ionized ammonia
    in
    its discharge
    for
    the years
    1985
    to 1988,
    respectively,
    as 0.053, 0.057,
    0.069,
    and 0.635 mg/l
    (Modine Exh.
    9
    at
    2).
    Nadine has also carried
    out
    two priority pollutant analy~e~
    and has undertaken whole—effluent
    bioassays
    (P.
    at
    60—i).
    The
    priority pollutant analyses showed
    no evidence
    of problems with
    any priority pollutant
    (Id.;
    Modine Exh.
    21).
    Similarly,
    the
    toxicity analyses showed
    no mortality
    to either Daphnia magna
    or
    fathead minnows at
    48 hour—exposure
    to the whole effluent
    (Modine
    Exh.
    22).
    Receiving Stream Character
    Modine discharges
    to
    an unnamed
    tributary of Dutch Creek.
    The unnamed
    tributary begins as
    a defined channel just above
    the
    Modine outfall
    (P.
    at
    112);
    thereafter
    it flows approximately
    11/2
    miles
    to
    its confluence with Dutch Creek, which thereafter flow
    approximately two miles
    to
    its confluence
    with
    the
    Fox River.
    The unnamed
    tributary
    near
    the Modine outfall
    is
    typically two
    feet
    in width
    an.~one—foot deep
    (P.
    at
    113);
    it gradually widens
    and deepens downstream,
    reaching widths
    up
    to twelve
    feet and
    depths
    of three
    feet near
    its confluence
    with Dutch Creek
    (Id.).
    The substrate
    of
    the unnamed tributary
    is predominantly
    104--470

    —11—
    silt
    in the vicinity
    of
    the Modine outfall;
    just prior
    to joining
    Dutch Creek
    a sand/gravel substrate
    is present
    (Id.).
    Channelization
    and stream widening has occurred along portions
    of
    the tributary, most recently
    in 1988 when
    a reach approximately
    1,000 yards
    below Modine underwent
    a
    “major” channelization and
    widening
    (R.
    at
    114).
    Land—use adjacent to the tributary
    is
    predominately agricultural,
    including
    row crop and pasture usage
    (Id.).
    In
    addition
    to Modine’s discharge,
    the unnamed
    tributary
    also receives the discharge from Morton Thiokol’s manufacturing
    plant also located
    in Ringwood
    (Petition,
    p.
    9).
    The Morton
    Thiokol discharge enters the Modine unnamed
    tributary,
    after
    itself following
    the course
    of another unnamed
    tributary,
    approximately
    1,200
    yards
    downstream
    from
    Nadine’s
    outfall
    (Modine
    Exh.
    32,
    p.
    5,
    12).
    Dutch Creek
    is ten
    to fifteen
    feet wide, with
    a depth
    ranging
    from one
    to three
    feet.
    The substrate varies
    from
    sand/gravel
    to areas of heavy
    silt.
    Streamside
    land—use
    is also
    predominantly agricultural.
    Dutch Creek receives
    no industrial
    discharges
    other
    than those from Modine and Morton Thiokol
    (Petition,
    p.
    9).
    Dutch Creek has been heavily channelized
    upstream
    of its confluence with
    the unnamed tributary,
    and
    to
    a
    lesser extent downstream
    (P.
    at
    114;
    Modine Exh.
    32,
    p.
    3).
    Modine
    submits
    that neither
    its current wastewater discharge
    nor
    the granting
    of the proposed rule will
    have
    an adverse impact
    on
    the unnamed tributary,
    Dutch Creek,
    or
    the Fox River.
    Modine
    bases
    this conclusion on
    a series
    of biological
    and chemical
    studies conducted
    at
    its behest.
    The
    initial among
    these which
    is
    included in
    the
    instant record
    (as Modine Exh.
    18—il)
    is
    a
    study completed by Camp, Dresser
    and McKee,
    Inc.
    (“CDM”)
    in
    1980
    titled “Biological
    and Chemical Study of the Stream System Above
    and Below the Modine McHenry Plant Discharge”.
    The CDM study
    concludes
    that the unnamed tributary contained
    “a balanced
    indigenous population of
    fish,
    shellfish and aquatic
    life”
    (Id.
    at
    44).
    The study further concludes
    “if
    the Modine discharge
    were
    not present,
    the small
    stream would
    not support
    the abundant
    life that
    is now present”
    (Id.).
    Modine completed another
    biological monitoring
    study
    in
    October
    1986,
    titled “Ecosystem Observations
    of the Unnamed Ditch
    Receiving Modine
    McHenry Effluent”
    and conducted by M~.Thomas
    Meitner,
    a Modine environmental engineer
    (Petition Exh.
    C).
    The
    The Petition contains three attached exhibits identified
    as
    Exhibits
    A,
    B,
    and C.
    These
    are cited
    as “Petition
    Exh.
    ___
    The Petition itself has been admitted into the record
    as Modine
    Exh.
    1.
    104 471

    —12—
    Meitner
    study consists of biological surveys
    at two stations
    above
    the Modine discharge, seven stations on the unnamed
    tributary below the Modine discharge,
    and
    two stations on Dutch
    Creek,
    one each above and below its confluence with the unnamed
    tributary.
    Among
    other matters,
    the Meitner
    study concludes that
    “the
    benthic macroinvertebrate
    populations observed at the
    eleven stations during this investigation were typical
    of what
    would be expected
    in a stream having similar
    types
    of habitat”
    (Id.
    at
    3).
    The Meitner
    study also compares
    the 1986
    ecological
    condition of
    the unnamed
    tributary with the earlier CDM data, and
    notes
    that those organisms
    found by CDM were again observed at
    similar locations
    (Id.).
    Modine’s most
    recent biological monitoring
    study
    (Modine
    Exh.
    32) was compiled
    in January 1989.
    It was undertaken
    by Huff
    & Huff,
    Inc.
    and
    is titled “Biological
    & Dissolved Oxygen
    Monitoring on the Unnamed Tributary
    to Dutch Creek Receiving
    Niodine’s Wastewater Discharge”.
    This study expands on
    an earlier
    Huff
    & Huff
    study compiled
    in June
    1987
    titled “Biological
    Monitoring
    of Dutch Creek
    and
    an Unnamed Tributary”, which
    is
    Petition Exh.
    B
    in
    the
    instant
    record.
    Like
    the Meitner study,
    the Huff
    & Huff studies sampled
    aquatic
    life
    at stations
    on
    the unnamed
    tributary upstream and
    downstream of the Modine discharge,
    as well as on Dutch Creek
    upstream and downstream of
    its confluence with
    the unnamed
    tributary.
    Among conclusions of the Huff
    & Huff
    studies are that
    the
    fish community
    is typical of small streams
    in northern
    Illinois (Modine
    Exh.
    32
    at
    27),
    and that while
    fish were
    collected
    at
    all
    sites,
    the small
    size of the streams
    at
    their
    upstream sites was
    a limiting factor
    on
    the number
    of species
    collected
    (Id.)
    Among
    fish
    species
    identified
    were small—stream
    species
    such
    or
    creek
    chub,
    brook stickiehack,
    and green sunfish
    at
    the hoadwater sites,
    and larger—stream species including
    northern pike,
    bluegill,
    and carp at
    the downstream Dutch Creek
    sites
    (Petition
    Exh.
    B
    at
    36).
    The
    Huff
    and
    Huff
    studies
    also
    conclude that neither
    the unnamed
    tributary nor Dutch Creek
    appear
    to represent
    a commercial
    or
    sport fishery, although Dutch
    Creek may
    be
    a spawning ground
    for
    fish
    from
    the
    Fox River
    (Id.
    at
    38).
    The
    Huff
    &
    Huff
    work
    does
    note
    that
    benthic
    sampling,
    as
    opposed
    to
    fish sampling,
    indicates better water quality upstream
    of the Modine outfall than at
    the Modine discharge point.
    However,
    it
    also finds
    that
    recovery of
    the benthic community
    occurs “immediately downstream
    of the discharge point”
    (Id.
    at
    36).
    Mr. James
    E.
    Huff,
    who participated
    in the Huff
    and Huff
    studies,
    attributes
    ~
    apparently anomalous pattern
    in part
    to
    recent changes
    in Modine’
    ;
    chlori~tion practice
    (P.
    at 119,
    278—
    82).
    Huff notes
    that
    in April
    1987, when Nadine was fully
    chlorinating
    its discharge,
    only
    11
    fish were collected at
    the
    Huff and Huff sampling site most
    immediately downstream
    (50
    in!

    —13—
    yards)
    from
    the Modine outfall.
    Conversely, during fall 1987,
    after Modine had reduced
    its chlorine usage by
    72,
    a
    total
    of
    31
    fish were
    collected
    at the same site,
    and,
    in October 1988,
    five
    weeks
    after Nadine had ceased chlorinating
    entirely,
    104
    fish
    were collected
    at
    the site
    (P.
    at
    119).
    Huff further
    notes
    that
    “this
    dramatic increase
    in fish population” was absent
    at
    sampling sites further downstream
    (Id.).
    Huff
    thereby concludes
    that the chlorine used
    for wastewater
    treatment
    (rather
    than
    impact of
    the parameters
    from which Modine
    requests relief)
    is
    the expected cause of the adverse impact
    in the vicinity
    of
    the
    Nadine
    discharge
    (Id.).
    The
    discrepancy
    between
    the
    fish
    and
    benthic invertebrate
    data Huff attributes
    to the recentness
    of
    chlorine cessation
    and
    the inability,
    particularly under
    the
    drought conditions
    of
    1988,
    of the benthic community to rapidly
    respond.
    Finally,
    the Huff
    & Huff studies also note that other
    factors adversely impact the aquatic system of both the unnamed
    tributary and Dutch Creek,
    including limited stream
    flow,
    agricultural non—point source runoff,
    livestock watering,
    and
    dredging
    and channelization
    (R.
    at 129).
    A special
    facet
    of the January 1989 Huff
    & Huff study
    is an
    investigation
    of dissolved oxygen
    (“DO”)
    relationships
    in the
    unnamed tributary and Dutch Creek,
    a feature
    not extensively
    explored
    in earlier
    studies.
    Among the conclusions of
    this work
    is
    that the Modine discharge depresses
    DO for
    a distance between
    1,300
    and
    2,400 yards downstream of
    the outfall
    (P.
    at
    129);
    on
    two sampling dates
    in July 1987,
    in fact,
    DO levels were observed
    to be below
    the 5.0 mg/l dissolved oxygen
    standard for distances
    on the order
    of
    a mile
    to
    a mile—and—a—half
    below the Modine
    outfall
    (Modine Exh.
    32
    at 37—39).
    However,
    Mr.
    Huff
    is
    of the opinion
    that even
    “if
    Modine
    were
    to achieve
    an effluent quality
    of
    10 mg/l BOD,
    this would
    not prevent dissolved
    oxygen levels below
    5 mg/i on this
    tributary during
    the summer months,
    based
    on the large DO deficit
    that presently exists under
    hot, dry conditions”
    (P.
    at 128—9);
    the oxygen deficit
    is due
    to sediment oxygen demand and
    respiration of plants and algae
    during the evening hours
    (P.
    at
    237).
    Mr.
    Huff
    supports this conclusion with modeling
    studies
    and observations on sources of oxygen demand other
    than
    the
    demand exerted
    by Modine’s effluent.
    Mr.
    Huff contends that
    in
    a
    near worst—case condition,
    exemplified by the high temperatures
    and low flows of July 1987 and
    an unmodified outfall structure,
    reducing Modine’s BOD levels to
    10 mg/i would
    increase stream DO
    by less than
    0.1 mg/i
    for the entire length of the unnamed
    tributary
    (P.
    at 176—7;
    195—8);
    this would not be sufficient
    to
    eradicate
    the low
    DO levels actually observed under
    the modeling
    conditions
    (Id.).
    Moreover, Mr. Huff contends that modifying
    the
    outfall
    structure by introducing
    a cascade spillway would
    “more
    than compensate”
    for
    this
    0.1 mg/i depression
    (P.
    at
    241).
    104473

    —14—
    Mr.
    Huff further contends that there
    is
    no adverse effect on
    the aquatic community during the winter months
    related
    to BOD,
    even given
    the elevated BOD discharges typical
    of that time of
    year, because
    the Modine discharge
    is insufficient
    to cause an
    oxygen depression
    below standard at cold temperatures
    (R.
    at
    199).
    In total, Huff considers
    that “low DO’s would
    be expected
    to occur
    for less than
    30
    days each year”
    (P.
    at 239).
    Mr.
    Huff also considers
    the effect on DO that would follow
    should Modine discontinue
    its Alfuse production
    at the Mcflenry
    facility.
    Under
    these conditions, he concludes:
    wastewater discharge will decline
    from 285,000
    gallons per day
    to approximately 69,000 gallons per
    day,
    or by
    80 percent.
    This lower
    flow will reduce
    the stream’s low flow by
    a similar percentage,
    as
    Modine’s discharge represents nearly all
    of the flow
    during low flow conditions.
    The lower
    flow
    translates
    into
    fewer pounds
    of dissolved
    oxygen
    carried
    by the stream
    to
    satisfy
    the sediment oxygen
    demand.
    Reaeration
    from
    the atmosphere
    is also
    retarded
    at low stream flows because
    of less
    turbulence.
    Higher stream temperatures will also result,
    which
    increases sediment oxygen demand and reduces
    the reaeration
    rate.
    As
    a result,
    should Modine
    close down the Alfuse process,
    the dissolved oxygen
    levels under
    low flow conditions will
    likely decline
    from the present
    levels.
    Lower dissolved oxygen
    levels would have
    a negative impact
    on
    the biological
    community.
    The lower stream flows would also likely
    reduce
    the
    fish
    populations
    in
    the unnamed
    tr ibuta:
    because
    of
    the
    lack
    of
    water.
    P.
    at
    130—1
    TECHNICAL
    FEASIBILITY
    AND
    ECONOMIC
    REASONABLENESS
    The
    central
    issue
    in
    the
    instant
    matter
    is
    whether
    Modine
    could achieve compliance
    with current
    effluent and water quality
    standards
    by some
    technically feasible and economically
    reasonable alternative
    to
    its current
    treatment
    system.
    Modine
    contends
    that there
    is
    no alternative which
    is
    simultaneously
    technically feasible and economically reasonable;
    the Agency
    contends that Modine has not adequately dismissed all
    alternatives
    as being
    technically infeasible
    or
    economically
    unreasonable.
    The matter
    of
    treatment technologies and economics has
    focused almost exclusively
    on
    the matter
    of BOD removal,
    and then
    104--474

    —15—
    principally on the removal
    of BOD durini
    the winter months.
    TSS
    is discussed
    by the participants only passingly;
    moreover,
    it
    is
    to be
    noted
    that Nadine
    is
    in general compliance with
    the TSS
    effluent standard.
    Similarly, the participants
    agree
    that there
    is
    no additional
    technology which would allow Nadine
    to comply
    with the fluoride effluent standard
    (R.
    at
    334),
    and that Modine
    is currently employing technology which would ordinarily be
    expected
    to produce
    compliance with the barium effluent standard
    (P.
    at
    334—5).
    The
    Agency
    contests
    Nadine’s
    contention
    that
    compliance
    with
    the existing BOD and TSS effluent
    standards
    is not technically
    feasible.
    It argues that
    “the record does
    not indicate that
    Modine has ever
    investigated
    a
    treatment system which,
    based
    on
    commonly accepted design standards and
    criteria,
    can reasonably
    be expected
    to achieve compliance”
    (P.
    at
    293).
    In support
    of
    this conclusion,
    the Agency contends that Nadine’s pilot
    activated sludge study was of
    too narrow
    a scope
    to warrant
    the
    conclusion drawn by Modine.
    In particular,
    the Agency points out
    that Nadine’s
    study was conducted
    under conditions
    normal
    for
    municipal wastewater
    treatment plants,
    and
    not under
    the
    conditions appropriate
    to
    an industrial wastewater
    system,
    like
    Modine’s
    (R.
    at 293—6).
    The Agency notes
    that
    an activated sludge system
    by itself
    may
    be expected
    to achieve an effluent quality of
    20 mg/i BOD and
    25 mg/i suspended solids
    (P.
    at
    295).
    The Agency additionally
    notes
    that most treaters
    of industrial
    wastewaters who use
    an
    activated
    sludge system
    and are required
    to achieve
    a 10/12
    standard
    for BOD/TSS,
    as
    is Modine,
    also ~ise some type
    of
    tertiary treatment,
    such as
    a sand filter,
    in conjunction with
    their
    activated sludge system.
    The Agency therefore concludes
    that
    it would be
    technically feasible
    for Nadine
    to achieve
    compliance with
    the BOD and TSS standards by use of
    an activated
    sludge system
    in combination with
    a sand filter.
    Aside
    from the activated sludge/sand filter
    combination,
    the
    Agency also concludes
    that
    a rotating biological contactor
    (“RBC”)
    system,
    also used
    in conjunction with
    a tertiary
    treatment system,
    is
    a technically feasible means
    of compliance
    (P.
    at
    297,
    313).
    The Agency also points out that
    a properly designed
    lagoon
    system
    is
    a technically
    feasible method
    for attaining
    compliance.
    The Agency notes
    that Modine’s existing
    lagoon
    system
    is
    able
    to achieve effluent quality better than or at
    the
    effluent standards during warm weather
    (P.
    at
    297).
    From this
    observation,
    the Agency concludes
    that Modine’s lagoon treatment
    system
    “is
    a technically feasible means of
    treating wastewater,
    and
    is limited only by
    its inability
    to adequately reduce BOD
    during the winter months”
    (P.
    at 297—8).
    The Agency ventures
    that the reason why the existing lagoon system does not
    104
    475

    —16--
    adequately
    reduce BOD during
    the winter months
    is that
    the size
    and retention time
    of the existing system “are well below those
    necessary
    to provide
    the degree of treatment expected from
    a
    properly designed lagoon system”
    (P.
    at
    298).
    Modine counters the Agency contentions by agreeing that
    there are technologies which are capable of achieving not only
    a
    20/25 BOD and TSS, but also a 10/12.
    However, Modine contends
    that
    these
    are extraordinary technologies not normally utilized
    “except
    in very extreme conditions
    such
    as
    to
    reduce toxicity”
    (P.
    at
    160).
    Dr. Patterson cites evaporation and granular
    activated
    carbon technology as examples of such technologies
    (Id.).
    In response
    to the Agency’s assertion that an activated
    sludge system should
    be capable
    of achieving compliance with the
    existing BOD and TSS standards,
    Modine contends that pilot
    studies
    indicate
    the contrary.
    In particular, Nadine
    cites
    a
    treatability study of the Modine effluent designed
    by
    Dr.
    Patterson
    and conducted by Dr. Charles Haas of the Illinois
    Institute
    of Technology.
    Dr. Haas concludes
    in part that
    “activated sludge operated
    in the normal ranges
    of hydraulic
    and
    sludge ages does not appear
    capable
    of being
    used
    to treat
    this
    Modine’s
    waste”
    (Modine Exh.
    18—6
    at 6).
    The principal problem
    encountered was
    the inability of
    the activated sludge organisms
    to
    reproduce
    themselves
    at
    a
    sustaining
    level
    (R.
    at
    168;
    186;
    200),
    even under
    controlled laboratory conditions and
    under both
    dilute and concentrated waste conditions
    (P.
    at 168—70).
    In
    summarizing
    the conclusions
    to be reached from
    this
    study,
    as
    well
    as his own related
    studies,
    Dr. Patterson observed
    that,
    while
    the
    Mod.ine effluent
    is neither toxic
    nor unamenable
    to
    biodegradation
    (P.
    at 170—71,
    186—7),
    activated sludge
    is
    not
    a
    viable,
    technical oe~ion for treatmeat of
    the Mod inc wastewator
    (Id.;
    R.
    at
    352).
    He further discounts
    the viability of any
    fluidized
    system
    for
    the
    treatment
    of
    Modine’s
    effluent
    (P.
    at
    183—4)
    Dr. Patterson likewise discounts
    the contention
    that sand
    filtration,
    or
    any filtration, would have
    an appreciable effect
    on
    the quality of Nadine’s discharge.
    He observes that
    the bulk
    of Nadine’s
    BOO
    is
    in
    a soluble
    form,
    so that
    it would
    not
    be
    removed
    by
    a filter
    (P.
    at 180—1);
    similarly,
    a filter would
    not
    address
    the problems of barium,
    fluoride,
    or ammonia,
    since these
    also are present
    in soluble
    forms
    (P.
    at 182—3).
    Rather
    than being undersized,
    Modine contends that
    the
    existing
    lagoons are actually “somewhat oversized”
    based on
    actual
    treatm’~ntcharacteristics
    (P.
    at
    346).
    Dr.
    Patterson
    believes
    that
    the
    Agency
    has
    reached
    the
    opposite
    conclusion
    based upon inappropriate use
    of equations and
    incorrect data.
    Dr. Patterson contends that the equations
    in question “were
    never
    meant
    or designed or developed
    to apply to
    an industrial
    type
    of
    104
    476

    —17--
    waste”
    (R.
    at
    361).
    Modine
    also notes that
    the Agency’s
    assumption
    of
    a
    3
    to
    5
    foot
    depth
    in
    the
    lagoons
    underestimates
    the actual
    5
    to
    9 foot depths
    (R.
    at 3~2), and hence
    underestimates
    the
    size of the lagoons
    Dr. Patterson believes that Nadine’s effluent
    is amenable to
    a
    fixed—film treatment system
    (R.
    at 184).
    Among
    such systems
    are trickling
    filters and RBCs.
    However,
    Dr. Patterson believes
    that
    a trickling filter would
    be susceptible
    to the
    same extreme
    temperature effects
    as
    is the current lagoon system
    (P.
    at 185),
    and
    hence
    presumably
    would
    be
    susceptible
    to
    the
    same
    limitations
    in
    winter
    performance.
    In
    Dr. Patterson’s opinion,
    the one system,
    if
    any,
    which
    would be
    an appropriate replacement
    for Modine’s current system
    is the RBC system
    (P.
    at
    185).
    To this
    end Modine installed
    a
    pilot
    RBC unit at
    the Modine
    facility.
    This pilot
    study showed
    that PBC treatment would achieve
    a BOD reduction of approximately
    50
    (P.
    at
    101).
    On this basis,
    Dr.
    Patterson and the Agency
    both believe
    that even an PBC system would
    still
    not allow Modine
    to comply with
    the 10 mg/i BOD standard
    on
    a year
    round basis
    (P.
    at
    297,
    312).
    Additionally, the Agency points out that
    it
    is
    reluctant
    to recommend RBC treatment based
    or-i
    a poor record
    of
    mechanical
    reliability of RBC units
    at other sites
    (P.
    at 296),
    and that
    it would probably
    riot grant
    a construction permit
    to
    Modine
    for
    a RBC system
    for this reason
    (P.
    at 309—312).
    An
    RBC system is estimated
    to have
    a capital cost of
    approximately
    $1 million and operational and maintenance costs
    of
    $200,000 per
    year
    (R.
    at
    264).
    These
    costs Nadine contends would
    increase
    the McHenry Plant’s
    total
    deptec.iation and overhead
    expenses by 13
    and l~-/~respectively
    (R.
    at
    265).
    At present
    the McHenry Plant
    has the lowest profitability of Modine’s
    thirteen U.S.
    plants
    (P.
    at
    267).
    Modine contends that the added
    expense
    of the PBC units would therefore seriously damage
    the
    viability of
    an already
    “suspect”
    facility
    (R.
    at
    266).
    In overall summary, Dr. Patterson concludes that:
    There
    is already
    a
    three—lagoon
    technology
    in
    place,
    a series of technologies that work quite well
    in
    fact,
    are somewhat over—sized
    in my opinion
    for
    the
    facility.
    They operate,
    as the lagoons are prone
    to operate,
    in
    a seasonal
    fashion.
    6 The Board
    notes
    that
    the depth figures given at hearing are
    in
    apparent conflict with
    the “three
    to four”
    foot depths cited
    in
    the Petition
    (p.
    6).
    Modine
    is
    requested
    to clarify this matter
    during
    the
    First Notice Comment period.
    104 477

    —18--
    By replacing
    that
    technology,
    throwing that
    technology out,
    and putting
    in
    a different biological
    technology,
    we could certainly make some reduction
    in
    the wintertime BOD discharge,
    and likely not to make
    any reduction
    in
    the summertime BOO discharge.
    If that expenditure and that replacement of one
    biological technology with another
    one would have
    a
    positive, and significant positive impact on stream
    quality,
    then
    I think
    it
    is warranted.
    If
    it does
    not have
    a significant positive
    impact
    on
    stream
    quality then
    I believe
    it
    is not appropriate,
    it
    is
    not reasonable
    to throw out one biological technology
    and put
    in another one that
    is
    really only going
    to
    extend
    by a few months per year
    the performance we
    have already seen now
    in summer.
    P.
    at 175—6
    and
    I don’t believe
    there
    is any accepted technology
    that
    is properly designed and properly operated, with
    or without filtration,
    that would meet ten milligrams
    per liter BUD and twelve milligram per
    liter
    suspended solids
    for
    Nadine’s effluent.
    P.
    at 354
    CONCLUSIONS
    The Board
    is persuaded,
    based upon analysis of
    th
    rother
    voluminous
    record
    in
    this proceeding,
    that
    there
    is
    no
    alternative
    treatment
    method
    for
    Modine
    which
    is
    simultaneously
    technically feasible and economically reasonable.
    The Board
    is
    also persuaded
    that Nodine’s effluent,
    at least as
    regards the
    parameters
    at
    issue,
    is not a limiting factor
    in the quality of
    the receiving waterway.
    Accordingly,
    the Board will today
    propose
    for First Notice
    a rule which would provide
    some of
    the
    relief requested by Nadine.
    There follows
    a discussion
    of
    particular
    facets of the proposed
    rule.
    Point of Measurement and the Dilution Rules
    Under
    the present configuration
    of
    its treatment system,
    Modine commingles
    its Nocolok non—contact
    cooling water with
    its
    process wastewater
    within the first
    lagoon.
    The
    question
    arises
    as
    to whether
    this configuration brings into play any provisions
    of
    the
    Board’s
    dilution
    rules
    found
    at
    35
    Ill.
    Adm.
    Code
    304.102.
    i04--470

    —19—
    The
    Agency
    questions
    whether
    the
    dilution
    rules
    require
    that
    the concentrations
    of Modine effluent be
    recomputed
    to exclude
    the effect
    of any dilution.
    The Agency
    has,
    for example, made
    such adjustments
    in calculating Nadine’s NPDES limits
    in Nadine’s
    current permit.
    The adjustment applied
    there
    is
    a
    20
    reduction
    in the allowed concentration,
    to account
    for the approximately
    20
    of
    the
    total effluent discharge which
    is non—contact
    cooling
    water
    (P.
    at
    226).
    Nadine contends that
    it has proposed effluent limitations
    which
    the existing
    technology
    is capable
    of
    achieving,
    as
    measured at the point
    of discharge
    (P.
    at
    210).
    These numbers
    can be either
    accepted unaltered as
    limits applicable
    at end—of—
    pipe,
    or written with
    a
    20
    inflation factor
    to account
    for non—
    contact cooling water additions
    (P.
    at
    210;
    225).
    In the later
    case,
    it would
    be necessary to define some point other
    than end—
    of—pipe
    as the compliance point.
    The Board agrees with Agency
    in
    that “the Agency’s
    determination as
    to what limit was appropriate
    in the NPDES
    permit
    is largely irrelevant
    to this proceeding”
    (P.
    at 243—4),
    a
    contention similar
    to that of Nadine
    (P.
    at
    210).
    Furthermore,
    the Board
    sees
    no merit
    in specifying
    a compliance point
    at other
    than
    the point of discharge, principally because
    in the
    alternative
    there
    is nowhere
    in the system where
    it
    is possible
    to measure
    the adjusted parameters,
    and hence
    no place where
    compliance can be tested.
    Thus,
    to the extent that Modine has
    justified specific end—of—pipe
    limitations,
    the Board believes
    that these should
    be the numbers specified
    in the proposed
    rule.
    Similarly,
    the Board
    sees
    no merit
    in requiring Modine
    to
    separately discharge
    its non—contact cooling water.
    Modine
    is
    not here attempting
    to effectuate
    treatment via dilution,
    the
    practice which
    the dilution rules
    are intended
    to forestall.
    TSS Standard
    The 12 mg/i monthly composite limitation
    for TSS requested
    by Nadine
    is
    in
    fact
    the
    same standard which
    is specified
    at
    35
    Ill. Adm. Code 304.120(c).
    On
    its
    face,
    therefore, Modine
    is not
    requesting
    a site—specific exemption from this rule.
    However,
    under
    the interpretation
    that the Nocolok non—contact cooling
    water must be subtracted pursuant
    to
    35
    Ill.
    Adm.
    Code 304.102,
    Modine’s current NPDES permit contains an adjusted TSS limitation
    of 9.5 mg/i monthly average
    and 19.0 mg/i daily maximum
    (P.
    at
    224).
    Thus,
    relative
    to
    the NPDES permit the
    12 mg/i constitutes
    a less restrictive
    standard.
    Similarly,
    Modine’s proposed
    limit
    of
    30 mg/i daily composite constitutes
    a less restrictive
    standard.
    104—479

    —20—
    Modine’s current treatment system would seem
    to achieve
    the
    the current NPDES limits with substantial
    regularity,
    as
    is
    st3own
    by the sampling record covering the last three complete years
    TSS Monthly Average Concentration
    (mg/i)
    Jan
    Feb
    Mar
    Apr
    May
    Jun
    Jul
    Aug
    Sep
    Oct
    Nov
    Dec
    1986
    7
    1
    1
    4
    1
    5
    2
    34
    1
    5
    1
    tr
    1987
    4
    tr
    tr
    1
    1
    14
    1
    tr
    tr
    7
    12
    3
    1988
    4
    3
    2
    2
    2
    6
    20
    4
    3
    4
    6
    5
    BOD Standard
    The ability of the Board
    to grant any relief
    to Nadine
    is
    contingent
    upon assurance
    that Nadine operates and configures
    its
    current wastewater
    treatment system
    in the most environmentally
    sound manner.
    In general,
    the Board
    looks
    favorably upon
    the
    many
    adjustments
    of
    the
    treatment
    system
    which
    Modine
    has
    undertaken
    over
    the pendency of
    this and
    the precedessor Nadine
    wastewater proceedings.
    The Board
    believes that these
    adjustments have gone
    a
    long way towards
    alleviating
    the negative
    impact of Modine’s effluent.
    The Board would wish that Madine
    continue
    to
    fine tune
    its treatment system,
    and thereby further
    soften the impact of
    its effluent.
    Among
    such efforts, one step
    which
    is recommended but which
    the record does not reflect has
    been
    taken
    is
    replacement of the submerged pipe outlet by
    a
    spillway/cascade outlet.
    The Board believes that this
    modification would significantly enhance
    the
    DO
    of
    the
    receiving
    stream,
    thus mitigating
    the potential problem associated with
    Nadine’s BOO discharges.
    In
    fact,
    the Board believes that
    its
    continued
    support of Nadine requested BOD relief must
    be
    contingent
    upon
    assurance
    that
    the
    spillway/cascade
    has
    been
    installed.
    Accordingly,
    Macline
    is
    requested during
    the
    First
    Notice
    period
    to
    provide
    that
    assurance.
    Modine opines that
    it would
    not require relief
    for either
    BOD
    or
    TSS
    if
    it
    were
    to
    receive
    a
    three—lagoon
    exemption
    pursuant
    to 35
    Ill.
    Adm.
    Code 304.120(c).
    Nadine contends that
    it
    is eligible
    for such exemption
    (Nadine Brie~ at
    6—7).
    However,
    the Board
    takes administrative
    notice
    of
    the denial by
    ~ Supplemental
    Information filed March
    16,
    1988
    by Modine
    in
    response
    to Board request.
    Record
    for
    1986
    and 1987
    is based
    on
    one sample per month;
    record
    for 1988
    is the average
    of
    3
    to
    5
    samples
    per month;
    tr
    =
    less
    than
    1 mg/i.
    See
    Modin~’s
    Unopposrcl
    Motion
    to Supplement Record, with
    attachment,
    filed July
    17,
    1989
    in Nadine Manufacturing
    co~p~y
    v.
    IEP~,PCB 88—25.
    Also see
    the Board’s Order
    of July 27
    granting that motion.
    104--401)

    —21—
    the Agency
    of Nadine’s exemption application.
    Among
    the reasons
    cited
    by
    the Agency
    is that Nadine’s existing facilities are not
    capable of consistently achieving
    the effluent quality allowable
    under
    a lagoon exemption.
    The Agency further
    adds that
    it
    recommends
    that Nadine delay any further pursuit
    of
    an exemption
    until
    the
    instant
    site—specific
    proceeding
    is
    resolved.
    Definitions
    of
    Summer
    and
    Winter
    Nodine
    requests
    a definition
    of
    summer and winter months
    which differs
    from that current
    incorporated
    in the Board’s
    effluent regulations.
    Namely, Modine requests
    that summer be
    defined
    as
    the months of Nay through September
    and winter
    as the
    months October though April.
    Current Board regulations define
    “summer”
    as
    the months April through October
    and “winter”
    as the
    months November
    through March
    (e.g.,
    35
    111.
    Adm.
    Code
    304.301).
    Thus,
    Modirte effectively
    requests an expansion of
    the
    “winter” season by a month on either end
    (R.
    at
    227).
    The Board
    today accepts Nadine’s definition
    for purposes of
    First Notice.
    However,
    the Board believes that the justification
    for this expanded definition of
    the cold—weather months may nat
    be sufficient
    to warrant eventual adoption
    of this provision.
    ‘Iodine and the Agency are accordingly requested to expand
    on this
    issue during
    the First Notice comment period.
    Fluoride Standards
    The numeric effluent limit proposed by Nadine for fluoride
    is 4.0 mg/i measured
    as
    a monthly average
    and 5.6 mg/i measured
    as
    a daily maximum.
    These limits are substantially less than the
    effluent standards of
    15 mg/i monthly average
    and 30 mg/l daily
    composite
    found
    at
    35
    Ill.
    Adm. Code 124(a)
    .
    Nevertheless,
    Nadine proposes the more stringent limitation
    to allow
    for
    those
    times when
    its effluent
    is the sole
    or dominant source of flow
    in
    the unnamed
    tributary.
    Additionally, Nadine proposes
    to adjust
    the water quality standard for fluoride
    to
    be equal
    to
    its
    proposed effluent limitation.
    Documentation
    in the
    instant record
    of the impact that these
    proposed amendments would have
    is largely confined
    to the Modine
    Exhibit
    36.
    Nadine Exhibit
    36
    is
    an extract of the record
    developed
    in In The Matter
    of: Proposed Amendments
    to Rule 203.1
    of the Water Pollution Control Regulations,
    P78—7,
    final
    action
    taken March
    4,
    1982.
    In
    that proceeding
    the Board
    found
    that
    fluoride concentrations
    up to
    5 mg/i would have no adverse
    environmental impact on water quality
    and would
    not injure
    aquatic
    life,
    fish,
    or people,
    as applied
    to
    an unnamed ditch and
    downstream
    segment of the Vermilion—Wabash River
    in east—central
    Illinois.
    The Board based
    this
    finding
    in part upon expert
    testimony of two fisheries biologists.
    104

    —22—
    Nodine contends that the situation
    in P78—7
    is mirrored
    in
    the instant matter,
    in particular
    the situation of
    a hard—water
    ditch
    (P.
    at 134—5);
    fluoride toxicity
    is less
    in
    hard water.
    Although the Board accepts
    for
    the purposesof
    First Notice
    that the conclusions reached
    in P78—7 may well
    also apply
    in the
    instant situation,
    the Board specifically
    requests that Modine
    and the Agency address
    this matter during
    the First Notice
    Comment period.
    Barium Effluent Standard
    Modine opines that
    it may not need
    relief from the barium
    effluent
    standard
    if
    the Board finds that the exception
    for
    background concentrations
    found
    at
    35
    Ill. Adm.
    Code 304.103
    applies
    to Nadine’s circumstance.
    The exception
    for background
    concentrations
    reads
    (emphasis added):
    Because
    the effluent standards
    in this Part are based
    upon concentrations achievable with conventional
    treatment technology which
    is largely unaffected by
    ordinary levels of contaminants
    in intake water,
    they
    are absolute standards
    that must
    be met without
    subtracting background concentrations.
    However,
    it
    is not the
    intent of
    these regulations
    to require
    users
    to clean
    up contamination caused essentially by
    upstream sources or
    to require
    treatment when only
    traces
    of contaminants are added
    to the background.
    Compliance with
    the numerical effluent
    standards
    is
    therefore
    not required when effluent concentrations
    in excess
    of
    the standards result entirely from
    influent contamination,
    evaporation,
    and/or
    the
    incidental addition
    of
    traces
    of
    materials not
    utilized
    or
    produced
    in
    the activity that
    is the
    source
    of
    the
    waste.
    Nadine points out
    that barium
    is not used
    in any of Nadine’s
    processes, but
    rather
    is present
    in Nadine’s wastewater
    only by
    virtue of
    being present
    in
    the raw well water
    used
    by Nadine.
    Nodine further contends that
    its existing treatment processes do
    remove some of
    the influent barium,
    hut by an amount
    insufficient
    to meet the barium effluent standard
    (P.
    at
    74).
    As evidence
    thereof, Nadine presents comparative analyses
    of source
    and
    effluent waters sampled during August
    to November
    of
    1988
    (Nadine
    Exh.
    28).
    These analyses show that source water
    concentrations
    of barium averaged approximately 60
    higher
    than the effluent
    concentrations
    (Id.;
    P.
    at
    74).
    Specifically,
    13 well—water
    analyses shows
    an average
    influent concentration of
    bar ium of
    4.1
    mg/i,
    whereas
    the
    15
    effluent concentrations
    of barium shows
    an
    average of
    2.5
    rng/l (versus
    the 2.0 mg/l effluent standard).
    104—4S2

    —23—
    The
    Poard
    finds
    that
    the
    Section
    304.103
    exception
    does
    apply
    to
    Modine’s
    barium
    circumstance.
    Accordingly,
    Nadine
    is
    not
    required
    to
    comply
    with
    the
    2.0
    mg/i barium effluent
    standard.
    Further,
    Madine
    does
    not
    require
    site—specific
    relief
    from the barium effluent standard,
    and Nadine’s request
    to that
    end
    is therefore denied
    as unnecessary.
    The Board emphasizes
    that
    these findings are based upon
    circumstances
    as the Board currently
    finds them.
    These
    circumstances include demonstrably higher concentrations
    of
    barium
    in Modine’s well—water source than
    in Nadine’s effluent,
    concentrations
    of barium
    in Nadine’s effluent which are less than
    the
    5.0
    mg/i
    General Use Standard, and
    no
    use
    by
    Nadine
    of
    barium
    in
    any
    process
    which would
    cause
    the appearance
    of process barium
    jr-i
    Mod
    inc’s
    wastestream.
    Ammonia Effluent Standard
    Nadine’s
    request
    for
    a
    site—specific
    ammonia
    nitrogen
    effluent
    standard
    is apparently premised on past exceedences
    of
    the
    General
    Use
    Water
    Quality
    Standard
    of
    0.04
    mg/i un—ionized
    ammonia
    in
    the
    unnamed
    tributary.
    At
    the
    same
    time,
    however,
    Nadine does not now request either
    a modification of the un-
    ionized ammonia water quality standard
    or
    a site—specific
    effluent standard for un—ionized ammonia.
    Initially Modine had requested
    a 0.5 mg/i un—ionized ammonia
    standard
    for
    the unnamed
    tributary (Petition
    at
    3), but this
    request was subsequently deleted
    in the Amended Petition.
    ‘Iodine’s
    revised
    position
    is evidently based upon
    its belief that
    it
    can
    produce
    an
    effluent which has
    an un—ionized ammonia
    concentration
    of
    less
    than
    0.04
    mg/i,
    and
    that
    the
    unnamed
    tributary
    will
    have
    a
    concentration
    of
    un—ionized
    ammonia
    no
    greater
    than
    that
    which occurs
    in Modine effluent.
    As Modine
    notes:
    Modine
    has
    committed
    to
    a
    program
    to
    ensure
    that
    its
    effluent will produce
    an unionized ammonia value less
    than 0.04
    mg/i
    by adjusting
    its
    final
    pH
    to
    aproxirnately
    7.5.
    After
    completion
    of
    this
    program,
    Modine will
    be
    in complete compliance with the
    unionized
    ammonia
    water
    quality
    standard
    of 0.04
    mg/i.
    Nadine Brief at
    6
    Seeing no need
    to propose
    an amendment
    of the un—ionized
    ammonia
    standard that applies
    to the unnamed tributary,
    the Board
    declines
    to do
    so.
    Given
    this
    circumstance,
    the
    Board
    also
    fails
    to
    see
    any
    pur ~ose for
    a special ammonia nitrogen effluent standard
    applicable
    to Nadine.
    The General Use Water Quality Standard for
    104 483

    —24—
    ammonia nitrogen
    is 1.5 mg/i,
    except that the concentration may
    be
    as
    large as
    15 mg/I provided that the un—ionized ammonia
    is
    below
    0.04 mg/i
    (see 35
    Ill.
    Adm.
    Code
    302.212).
    Since un-
    ionized concentrations will
    be below 0.04 mg/i,
    the effective
    water
    quality standard
    for ammonia nitrogen
    is
    15 mg/i.
    Modine
    proposes effluent limits well below 15 mg/i.
    Thus, Nadine should
    not be
    in the position of contributing
    to any violations
    of the
    ammonia nitrogen water quality standard,
    and does not need relief
    on
    that basis.
    As
    a remaining matter regarding ammonia standards,
    the Board
    notes Nadine’s
    request as follows:
    Modine respectfully requests that the Board either
    find
    that Nadine
    is substantially meeting the
    unionized ammonia standard or will
    be
    in compliance
    after
    the installation of the acid feed
    system
    Nadine Brief at
    6
    This
    the Board cannot do.
    As
    regards
    the past and current record
    of un—ionized ammonia concentrations
    in the unnamed
    tributary,
    that record must
    stand on
    its own.
    As regards future compliance,
    the Board
    is not
    in
    the position
    to make speculative findings of
    this nature.
    The Board does acknowledge,
    however,
    that Modine
    has promised
    to install
    an effluent technology,
    which Nodine does
    not contest as being
    infeasible
    and economically unreasonable,
    and which promises
    to mitigate the impact of in—stream ammonia
    concentration.
    Contributing
    to
    or Causing Water Quality Violations
    In both
    its
    Petition
    and Amended Petition Nadine makes
    reference
    to
    a request
    for
    exception
    from 35
    Ill.
    Adm.
    Code
    304.105,
    which
    prohibits
    any
    effluent
    from
    contributing
    to
    or
    causing
    a
    violation
    of
    a
    water
    quality
    standard.
    However,
    in
    neither
    instance
    does
    Nadine
    propose
    actual
    language
    which
    would
    effectuate
    this exception other than
    for fluoride.
    Accordingly,
    none except
    for fluoride
    is proposed here.
    However,
    both Modine
    and
    the Agency are requested
    to address
    this matter during the
    First Notice Comment period.
    Length of Affected Channel
    Nadine asks that
    the exceptions
    requested
    for the fluoride
    and ammonia nitrogen water quality standards apply
    to
    the full
    length
    of
    the unnamed tributary,
    from Nadine’s outfall
    to
    the
    confluence
    of
    the unnamed
    tributary with Dutch Creek (Amended
    Pet.
    at
    2),
    a distance of anproximately
    l~/2miles.
    However,
    it
    is
    only through
    the
    first
    1200
    yards
    of
    the
    unnamed
    tributary
    that
    Nadine’s
    discharge
    dominates
    the
    flow
    of
    the
    unnamed
    tributary.
    AL ap~roxirnately1200 yards downstream
    the unnamed
    tributary
    receives
    the discharge from a second tributary.
    This second
    104
    434

    —25—
    tributary
    not only has
    its own natural
    flow,
    but also carries
    the
    discharge of
    a second major manufacturing facility,
    Morton
    Thiokol’s Ringwood Plant
    (Nadine Exh.
    32 at 9).
    The
    Board believes that
    Nadine has justified
    the exceptions
    to
    the water quality standards
    for
    that part of
    the unnamed
    tributary
    for which
    it constitutes
    the principal source
    of
    flow,
    but not for the
    lower portion of the unnamed
    tributary where
    Nadine does not constitute
    the dominant
    source of
    flow
    (P.
    at
    231).
    Accordingly,
    the proposed
    rule limits the modified water
    quality
    standards
    to
    that
    portion
    of
    the
    unnamed
    tributary
    upstream
    from
    the
    tributary
    which
    carries
    Morton
    Thiokol’s
    discharge.
    ORDER
    The
    Board
    hereby
    proposes
    for
    First
    Notice
    the
    following
    additions
    to
    35
    Ill.
    Adm.
    Code,
    Subtitle
    C:
    Water
    Pollution.
    The
    Clerk
    of
    the
    Board
    is
    directed
    to
    file these proposed rules with
    the
    Secretary
    of
    State.
    TITLE
    35:
    ENVIRONMENTAL
    PROTECTION
    SUBTITLE
    C:
    WATER
    POLLUTION
    CHAPTER
    I:
    POLLUTION
    CONTROL
    BOARD
    PART
    303
    WATER
    USE
    DESIGNATIONS
    AND
    SITE
    SPECIFIC
    WATER
    QUALITY
    STANDARDS
    Section
    303.430
    Unnamed
    Tributary
    to
    Dutch
    Creek
    The
    general
    use
    water
    quality
    standard
    for
    fluoride .contained
    in
    Section
    302.207
    shall
    not
    apply
    to
    the
    unnamed
    tributary
    of Dutch
    Creek which receives discharges
    from the manufacturing facility
    located
    on Ringwood Drive
    in Ringwood
    in McHenry County from the
    outfall
    of
    that facility
    for
    a distance of 1200 yards
    downstream.
    Instead
    this water
    shall comply with
    a fluoride
    standard
    of
    4.0 mg/i
    as
    a monthly average and
    5.6 mg/i
    as
    a daily
    maximum.
    PART
    304
    EFFLUENT
    STANDARDS
    Section 304.221
    Ringwood Drive Manufacturing Facility
    in
    McHenry County
    a)
    This Section applies
    to discharges
    from
    the
    manufacturing facility
    located
    on
    Ringwood Drive in
    Ringwood,
    McHenry County, which discharges
    to the
    unnamed
    tributary of Dutch Creek.
    104- 485

    —26—
    b)
    The general effluent standards
    for deoxygenating wastes
    contained
    in Section 304.120 shall not apply to these
    discharges.
    Instead
    these discharges
    shall comply with
    the following effluent limitations as measured at
    the
    point of discharge
    after
    the third lagoon and prior
    to
    discharge
    to the unnamed
    tributary:
    TSS
    12 mg/l
    monthly average
    30 mg/i
    daily maximum
    BOD5
    25 mg/i
    summer monthly average
    35 mg/i
    summer daily maximum
    60 mg/i
    winter monthly average
    70 mg/i
    winter daily maximum
    C)
    For the purposes
    of
    this Section summer
    includes the
    months
    May
    through
    September
    and winter
    includes the
    months October
    through April.
    IT
    IS SO ORDERED.
    I,
    Dorothy
    N.
    Gunn,
    Clerk of
    the Illinois Pollution Control
    Board,
    hereby certi~~thatthe abov
    f~jnionand Order was
    adopted
    on the
    ~
    -
    day of
    ~
    ,
    1989,
    by
    a
    vote of
    7--()
    I ii
    I
    no
    is
    Cootrol
    floaLi
    104-430

    Back to top