ILLINOIS POLLUTION CONTROL BOARD
    June 30,
    1988
    IN THE MATTER OF:
    PETITION O~THE CITY OF
    JOLIET FOR A SITE SPECIFIC
    )
    R84—20
    RULE FOR THE EAST SIDE
    JOLIET WASTEWATER TREATMENT
    FACILITY
    PROPOSED RULE.
    FIRST NOTICE.
    PROPOSED OPINION AND ORDER OF THE BOARD
    (by 3.
    Theodore Meyer):
    This matter
    is before the Board on
    a May 29,
    1984 petition
    for site specific rulemaking
    filed by the City of Joliet.
    Joliet
    asks that
    its East Side Wastewater Treatment Plant
    (EWTP)I which
    discharges
    into Hickory Creek,
    be exempted
    from the effluent
    limitations
    for biochemical oxygen demand
    (BOD)
    and suspended
    solids
    (SS)
    applicable
    to Hickory Creek.
    Those limitations,
    found
    at 35
    Iii.
    Adm. Code 304.120(c),
    are 10 milligrams per
    liter
    (mg/i)
    and
    12
    rng/l, respectively.
    Instead, Joliet requests
    that the discharges from EWTP be subject
    to the BOD and SS
    limitations
    applicable to the Des
    Plaines
    River.
    Those
    standards, set forth at 35
    Ill.
    Adrn.
    Code 304.120(b),
    are 20 mg/i
    BOD and
    25 mg/i
    SS.
    The merit hearing
    in this matter was held on September
    25,
    1984 at Joliet City Hall.
    The Illinois Environmental Protection
    Agency
    (Agency) submitted supplemental
    information on November
    5,
    1986,
    and Joliet provided additional information on November
    10,
    1986 and January 15,
    1987.
    On October
    14,
    1987 the Department
    of
    Energy and Natural Resources
    (DENR) submitted
    its economic impact
    study
    (EcIS),
    entitled
    “The Economic
    Impact of Proposed Site
    Specific Changes
    to Water Pollution Regulations Affecting Joliet,
    Illinois.”
    (Ex.
    D.)
    An economic impact hearing was held
    at
    Joliet City Hall on March
    29, 1988.
    The comment period closed on
    April
    29,
    1988.
    Background
    Joliet’s EWTP
    is
    an activated sludge plant with
    a design
    average flow of 22.5 MGD.
    The plant has a primary treatment
    capacity of
    33 MGD,
    a secondary treatment capacity of
    up
    to 45
    MGD,
    and provides disinfection only for flows
    from 45
    to
    66
    MGD.
    The
    treatment units
    include mechanical trash screens and
    comminutors,
    velocity control
    (non—aerated) grit chambers,
    rectangular primary clarifiers,
    aeration tanks with diffused
    aeration equipment, peripheral
    feed final clarifiers,
    return
    sludge pumping equipment,
    and chlorination facilities.
    Primary
    90—617

    —2—
    sludge and waste activated
    sludge are digested
    in the primary
    anaerobic digesters.
    The digested sludge
    is concentrated
    in the
    secondary digester and applied
    to farmland.
    The plant is located along Hickory Creek
    near
    its confluence
    with the Des Plaines
    River.
    Hickory Creek flows
    into the Des
    Plaines jus~below Brandon Dam.
    Plant effluent
    is discharged
    into Hickory Creek
    through outfall
    001,
    which
    is located 450 feet
    upstream from the Des Plaines.
    Outfall
    002 operates
    as an
    emergency bypass,
    with those
    flows receiving only disinfection.
    This second outfall,
    located upstream from outfall
    001,
    was used
    Only twice between 1981 and 1984.
    (Transcript
    of September
    25,
    1984
    (Tr.
    I)
    at
    37.)
    Most of
    the land along Hickory Creek below
    the plant’s outfalls
    is owned
    by Joliet.
    Access
    to the creek
    is
    limited by the plant
    to the north
    and dense vegetation
    to the
    south.
    There
    is
    a foot bridge over
    the creek about
    1500 feet
    upstream
    of the outfalls.
    (Tr.
    I at 15—16,
    51.)
    The lower
    portion of Hickory Creek, where
    the EWTP
    is located, has been
    channelized by the Illinois Department
    of Transportation
    for
    flood control purposes.
    (Transcript of March
    29,
    1988 hearing
    (Tr.
    II) at
    53; Tr.
    I
    at
    43.)
    Between January 1984 and October
    1985,
    the average
    BOD
    in
    the plant effluent was 16.5 mg/i,
    and the average SS was 17.3
    mg/l.
    (Ex.
    F
    at 6.)
    The concentration of BOO
    in the creek
    is
    more
    than twice as high downstream
    from outfall
    001
    (83 mg/i)
    than
    it
    is upstream from the outfall
    (39 mg/i).
    (Tr.
    I
    at 19—
    20.)
    The levels of SS
    are roughly
    the same.
    Joliet states that
    the increased BOD concentration
    is due
    to backmixing from the Des
    Plaines
    River.
    Dennis Duffield,
    Director
    of Public Works and
    Utilities for Joliet,
    testified that the flow of
    the creek
    literally changes direction,
    so that sometimes the river backs
    up
    into the creek.
    (Tr.
    I
    at 17.)
    The testimony
    of Richard
    Pershall,
    the principal author
    of
    the EcIS,
    supports Joliet’s
    contention.
    Mr. Pershall explained that the backmixing
    is
    a
    hydrologic phenomenon.
    Because
    the Des Plaines
    is at a higher
    elevation than Hickory Creek, water from the river flows into the
    creek
    to a point
    a few hundred
    feet upstream of
    the EWTP.
    (Tr.
    II
    at 27—28.)
    Joliet has been working with the Agency
    to evaluate
    alternatives
    to upgrade
    the existing wastewater collection and
    treatment system since
    the mid—l970s.
    As
    a condition of the
    National Pollutant Discharge Elimination system (NPDES)
    permit
    for
    the EWTP,
    Joliet is required
    to develop and submit for review
    a municipal compliance plan
    to upgrade
    its wastewater facilities
    to meet existing rules and regulations.
    That plan,
    prepared by
    Clark Dietz,
    Inc.
    and revised
    in July 1986,
    has been admitted
    into the record of this case as
    Exhibit
    F.
    The recommended
    additions and modifications
    to the system are
    to be completed
    in
    seven phases between
    1984 and 2007.
    The total project cost
    in
    90—618

    —3—
    May 1985 dollars
    is estimated
    at $55,688,000.
    (Ex.
    F.
    at 1.)
    The phases of the plan
    are:
    (1) construction
    of separate storm
    sewers throughout Joliet;
    (2)
    the elimination
    of combined sewer
    overflows
    (CSO) where storm sewers have
    been constructed,
    and the
    reduction
    in frequency of CSOs at other
    locations;
    (3) upgrading
    the EWTP,
    including addition of
    final clarifiers and an anaerobic
    digester, modification
    of the chlorination facilities,
    and
    construction
    of
    an interceptor at McDonough Street
    to transfer
    some flow from the EWTP
    to the West Side Wastewater Treatment
    Plant
    (WWTP);
    (3A)
    approval
    of this site specific rule change or
    construction
    of
    a new effluent sewer
    so that the EWTP may
    discharge
    at levels applicable
    to the Des Plaines River;
    (4)
    the
    monitoring and evaluation of the existing CSOs,
    so as
    to identify
    priorities
    for
    the elimination of the CSO5;
    (5) design and
    construction
    of
    improvements at the EWTP to provide for
    nitrification;
    (6)
    a final assessment of the improvements
    in
    water quality as
    a result of
    the construction
    of storm sewers;
    and
    (7) any additional work
    if required, based upon
    the results
    of the final assessment of phase
    6.
    (Ex.
    F at 48—55.)
    The
    Agency approved this plan
    in July
    1986,
    and Joliet has begun work
    on many of the phases.
    (See Tr.
    II at 46—52.)
    Compliance Alternatives
    There
    are five
    identified alternatives available
    to Joliet
    for reducing BOO and SS discharges from the EWTP.
    The first
    three alternatives
    involve additions
    to the plant
    in the form of
    advanced
    wastewater technologies,
    and include multi—media
    filtration, carbon absorption/multi—media
    filtration and chemical
    coagulation.
    The fourth and fifth alternatives, although failing
    to reduce effluent levels,
    relieve Joliet from meeting water
    quality standards
    for Hickory Creek
    by routing
    the plant’s
    outfall
    to the Des Plaines River which has higher standards
    of 20
    and
    25 mg/l for BOD and SS, respectively.
    One alternative
    for
    rerouting the outfall
    is for
    it
    to
    run south under the creek,
    then west
    in order
    that
    it discharges downstream from Hickory
    Creek.
    The other
    alternative would involve routing
    it directly
    west
    so that
    it discharges
    in the Des Plaines, upstream from
    Hickory Creek.
    The EcIS examined these five alternatives, and
    made the following estimates of costs
    for each alternative:
    Multi—Media Filtration
    (Alt.
    1)
    $
    9,258,719
    Carbon Absorption
    (Alt.
    2)
    $19,377,263
    Chemical Coagulation
    (Alt.
    3)
    $17,834,638
    Relocate Outfall
    (under Hickory Creek)
    (Alt.
    4)
    $
    855,890
    Relocate Outfall
    (directly west)
    (Alt.
    5)
    $
    491,958
    90—619

    —4—
    (Ex.
    D at 29—45;
    Ec.
    D, Table
    4.)
    Joliet has rejected the advanced treatment technologies
    (Alt.
    1—3)
    as too expensive.
    (Petition
    at
    10; Tr.
    I
    at
    23.)
    If
    its petition for
    a site specific rule
    is not granted, Joliet will
    construct Alternative
    4 and thus extend
    the outfall pipe under
    Hickory Creek and then west
    to
    the river.
    (Tr.
    I at 21—23;
    Ex.
    F
    at
    53.
    )
    Joliet does not believe that Alternative
    5, which calls
    for routing
    the outfall directly southwest
    of
    the EWTP to the Des
    Plaines
    just below
    the dam,
    can be constructed
    as
    estimated
    in
    the EcIS.
    Mr. Duffield stated that the discharge
    at that point
    would
    be immediately adjacent
    to the storm sewer outfall which
    is
    located
    in the toe of
    the riverwall.
    (Tr.
    II
    at
    54.)
    Another
    disadvantage with Alternative
    5
    is that some
    or all
    of the
    effluent would
    end up
    in Hickory Creek
    as Des Plaines River
    backwater,
    since
    the outfall would be upstream from the mouth
    of
    the creek.
    (Ex. D
    at.
    44.)
    A sixth alternative
    is
    to run
    the
    outfall directly west of the plant
    to the Des Plaines,
    above
    Brandon Dam.
    However,
    both Joliet and the EcIS
    rejected this
    option.
    Since
    the existing river wall
    is
    20 feet higher than the
    treatment plant property,
    a pump would
    be required,
    adding
    significantly
    to the cost of the project.
    (Tr.
    I at 26—27;
    Ex.
    D
    at 44.)
    Economic Impact
    Joliet does not contend
    that compliance with the BOO and SS
    limitations
    is not technically feasible, but argues that the cost
    of compliance
    is economically unreasonable when compared
    to the
    small benefit
    to the environment.
    Joliet points out that it
    is
    undertaking
    a significant effort
    to upgrade its
    treatment
    facilities and that its municipal compliance plan will
    result in
    a better
    class of
    treatment than
    is now provided.
    The upgrading
    of the EWTP will result
    in a
    longer detention and aeration time
    so that ammonia nitrogen will be removed.
    Mr. Duffield testified
    that the proposal would
    at least retain the same level
    of BOD in
    the effluent,
    if not
    reduce that
    level.
    (Tr.
    II at 63—64.)
    Therefore, Joliet asks that instead of directing funds
    to the
    construction of
    a new outfall the City be allowed
    to use those
    funds towards the upgrading
    of their wastewater system, with
    a
    greater positive
    impact on the environment.
    (Tr.
    II
    at
    70.)
    In addition
    to evaluating compliance alternatives and
    estimating their costs,
    the EcIS calculated
    the costs to Joliet’s
    utility customers of implementing each alternative.
    Assuming an
    average monthly bill of
    $10.10, utility bills
    would increase as
    follows:
    .0—620

    —5—
    Monthly
    Increase
    Increase
    Multi—Media Filtration
    (Alt.
    1)
    $3.38
    34
    Carbon Absorption
    (Alt.
    2)
    $5.93
    59
    Chemical Coagulation
    (Alt.
    3)
    $5.20
    52
    Relocate Outfall
    (under
    Hickory Creek)
    (Alt.
    4)
    $
    .21
    2
    Relocate Outfall
    (directly
    west)
    (Alt.
    5)
    $
    .10
    1
    (Ex.
    D at 4.)
    The EcIS also assessed
    the benefits
    of reduced
    levels
    of BOD and SS
    in regard to six direct benefit
    categories:
    (1) recreational opportunities;
    (2) aquatic
    life;
    (3) stream maintenance;
    (4)
    flood control;
    (5) agriculture;
    and
    (6) human health.
    The EcIS concluded that only recreational
    opportunities and stream maintenance could be quantified:
    the
    other
    four categories
    are significantly impacted by reduced
    pollutant levels.
    (Ex.
    0.
    58—66.)
    The benefit to
    recreational
    opportunities was
    calculated at $460
    (Ex.
    D at 59—60), and the
    benefit
    to stream maintenance was valued at $2332
    (Ex.
    D at 64—
    66).
    The EelS thus found a large disparity between the costs of
    each alternative and the associated benefits.
    Costs
    Benefits
    Alternative
    1
    $
    9,258,719
    $2792
    Alternative
    2
    $19,377,263
    $2792
    Alternative
    3
    $17,834,638
    $2792
    Alternative
    4
    $
    855,890
    $2792
    Alternative
    5
    $
    491,958
    $2792
    (Ex. D
    at
    5;
    73—78.)
    The cost of Alternative
    5,
    the least costly
    option,
    is 176
    times as great
    as the value of direct benefits.
    Joliet believes that the EelS supports
    its contention
    that
    the EWTP outfall
    should remain in its current location and that
    the additional expense
    to relocate the outfall does not provide
    benefits even approaching
    the cost.
    (Tr.
    II
    at
    55.
    )
    However,
    Joliet disputes
    the cost estimates made by the EcIS
    for
    Alternatives
    4
    and
    5.
    (Tr.
    II at 52—53.)
    The EelS estimated the
    cost of Alternative
    4 at $855,890, while Clark Dietz estimated
    the cost
    of relocating
    the outfall under Hickory Creek
    at
    90—621

    —6—
    $3,425,000.
    (Ex.
    F
    at
    62.)
    Mr. Duffield testified
    that he feels
    that Clark Dietz’s estimate
    is very conservative,
    but stated that
    the actual cost would approach $2,000,000.
    (Tr.
    II at
    53.)
    The
    difference
    in estimates
    is partly attributable
    to the fact that
    the Clark
    Dietz estimate done
    for Joliet provides for
    a longer
    run of pipe out into the rivet rather than ending the pipe at the
    river bank as
    the
    EelS assumed.
    (Tr.
    II
    at
    53.)
    Mr. Duffield
    stated
    that he thought that Clark
    Dietz had proposed
    to extend
    the outfall
    out into the river so as
    to get good mixing of the
    effluent with the flow of the Des Plaines.
    (Tr.
    II
    at
    62.)
    The
    difference
    in estimates for Alternative
    4
    is also partly due
    to
    Joliet’s belief that construction
    of the outfall will be very
    difficult,
    since the pipe will run under the channelized portion
    of Hickory Creek and then out into the river.
    This will involve
    rock excavation
    in the river, since
    the pipe will be buried.
    (Tr.
    II
    at 53,
    60,
    62.)
    As previously noted, Joliet does not
    believe that Alternative
    5 can be constructed
    as proposed.
    (Tr.
    Ii at
    54,
    60—61.)
    At the economic impact hearing Mr. Pershall presented
    some
    cost estimates
    to bring
    the outfall
    into the Des Plaines.
    He
    estimated that
    to bring
    the outfall
    structure 300 feet into the
    river
    (1/3 its width)
    would cost $1,030,000.
    Bringing the
    structure 450 feet into the river
    (1/2
    its width) would cost
    $1,112,500.
    (Tr.
    II
    at
    19.)
    Mr. Pershall testified that there
    is
    no federal or state requirement that the outfall
    be actually
    in the river,
    and that most wastewater treatment plants only
    bring the outfall
    to the edge of the river.
    (Tr.
    II at
    20.
    Environmental Impact
    The record
    in this ease contains
    no information on the water
    quality in the stretch
    of Hickory Creek downstream from the EWTP
    outfall,
    and very little information on the water quality
    of the
    Des Plaines near its confluence with Hickory Creek.
    Joliet
    states that due
    to the substantial backmixing
    of the Des Plaines
    in the lower
    stretch
    of the creek,
    the water quality
    in the creek
    at this point would be expected
    to closely resemble that of the
    Des Plaines.
    Joliet has provided 1976 data from a monitoring
    station
    in the Des Flames downstream of Hickory Creek which
    shows
    a mean value
    of 9.0 mg/i of dissolved oxygen
    (DO)
    and 3.03
    mg/i
    of
    ammonia nitrogen.
    (That monitoring station was closed by
    the Agency
    in
    1976 due
    to budgetary constraints.)
    At the merit
    hearing the Agency asked
    if the effluent from the EWTP causes any
    water
    quality standard violations
    of
    DO or ammonia nitrogen in
    Hickory Creek.
    Joliet stated that
    it had
    no information on that,
    and promised
    to do sampling and investigate the issue further.
    (Tr.
    I at 46—47.)
    However,
    no such information has been
    received.
    In sum, Joliet’s position
    is that since
    the downstream
    portion of Hickory Creek
    is so closely integrated
    with the Des
    Plaines River,
    little benefit can be achieved by extending
    the
    outfall from the plant into
    the river.
    (Petition at
    9.)
    90—622

    —7—
    The EelS used water pollution models
    in an attempt
    to
    predict the impact of BOD and
    SS on the water quality
    in Hickory
    Creek.
    The
    EelS concluded that the environmental degradation
    associated with current levels
    of effluent
    is minimal.
    The BOO
    model,
    using various concentrations
    of
    effluent BOD, showed that
    in all average conditions the DO
    in Hickory Creek remained above
    S mg/i, which
    is considered
    sufficient
    to support
    a healthy
    aquatic environment.
    (Ex.
    D at 49—53.
    )
    Suspended solids
    discharged from the EWTP will not routinely settle
    in the creek
    because of their minute particle size.
    Turbidity
    is not expected
    to cause problems because current concentrations are well below
    harmful
    levels.
    (Ex.
    D at 53—55.)
    In its post—hearing comments,
    the Agency again expressed its
    concern that
    the levels
    of DO and ammonia nitrogen might be
    adversely affected by Joliet’s proposal,
    and pointed out that
    Joliet had promised
    to investigate
    the matter.
    The Agency stated
    that
    it continues
    to support Joliet’s request for effluent
    relief,
    but intends
    to require water quality monitoring as
    a
    specific NPDES permit condition.
    (Public Comment
    (P.C.)
    #6
    at
    1—
    2.)
    The Agency points out that Hickory Creek is channelized for
    flood control purposes and
    is therefore unlikely to support
    a
    diverse aquatic community regardless of water quality.
    The
    Agency insists that this fact does not justify degradation of
    water quality,
    but states that
    it does not anticipate that
    Joliet’s investigation of water quality impacts will reveal any
    water quality problems.
    (P.C.
    #6 at 3.)
    The Agency does contend that the BOD model contained in the
    EelS should be discounted by
    the Board.
    First,
    the Agency states
    that Mr.
    Pershall indicated
    that he did not really model BOD and
    its effects on the creek’s DO,
    but rather did
    a simple mass
    balance calculation of
    the DO after
    the effluent mixes with the
    creek.
    (Tr.
    II at 34—35.)
    Second,
    the Agency maintains that the
    EelS’s assumption that the DO in the effluent varies directly
    with the BOD concentration is simplistic and typically
    inaccurate.
    Third,
    the Agency notes
    that the BOO model assumed
    that there
    is no entrapment of the creek flow at its mouth, while
    Joliet has documented the likelihood
    of such occurrences.
    Finally,
    the Agency submits that the model addressed only average
    stream conditions,
    giving
    the model limited utility in
    a low flow
    situation where adverse impacts are more likely
    to occur.
    (P.C.
    #6 at 3.)
    The Board
    notes
    that the Des Plaines River
    is part
    of the
    Illinois
    & Michigan
    (I&M)
    National Heritage Corridor.
    The
    Hearing Officer specifically solicited comments on whether that
    status
    should have any bearing on the proposed regulation.
    Responses
    to this request were received from the Agency
    (P.C.
    #6),
    the I&M National Heritage Corridor Commission
    (P.C.
    #2),
    the
    Illinois Department of Conservation
    (P.C.
    #3),
    the United States
    Environmental Protection Agency
    (USEPA)
    (P.C.
    #4), and Joliet
    90—623

    —8—
    (P.C.
    #5).
    These comments agree that the Des Plaines’ status
    as
    part of the Corridor should have
    little
    impact on the Board’s
    consideration of Joliet’s proposal.
    The Agency and Joliet state
    that they believe approval
    of the rule would
    not adversely affect
    the character of the river.
    Additionally,
    both the Corridor
    Commission and the Department of Conservation point out that the
    federal
    legislation which created
    the Corridor specifically
    states
    that such status
    is not
    to change existing environmental
    standards.
    (Public Law 98—398,
    Sec.
    115(a).)
    The comments submitted by the Department
    of Conservation and
    USEPA also addressed the merits of
    the proposal.
    The Department
    of Conservation opposes Joliet’s request,
    based upon its concern
    that
    a greater BOD load
    in the lower
    stretches of Hickory Creek
    would adversely impact
    the area’s
    fish.
    The Department states
    that
    a 1983
    fisheries sample below Brandon Dam included
    12
    species
    of
    fish,
    a substantial
    improvement over the
    4
    species
    collected
    in 1974.
    The Department feels
    that granting Joliet’s
    petition would be
    in direct opposition
    to the Department’s
    efforts
    to improve the DO situation and
    the fisheries.
    (P.C.
    #3.)
    On the other hand,
    by
    a
    letter from Valdas Adamkus, Regional
    Administrator, USEPA states that overall, Joliet’s proposal
    appears appropriate.
    USEPA feels that the petition is not
    contradictory
    to federal or state antidegradation provisions,
    and
    appears consistent with federal antibacksliding provisions.
    USEPA concurs with Joliet’s contention the expenditures
    to
    relocate the outfall
    to the river do not appear
    justified at this
    time.
    However,
    (JSEPA does note the concerns with assuring
    protection of water quality
    in Hickory Creek
    in the future.
    USEPA believes that as
    a condition
    of approval, adequate
    monitoring be
    required downstream from the EWTP to characterize
    both average and potential low flow conditions
    in the creek.
    USEPA concludes that granting temporary relief should recognize
    the potential need for additional treatment in the future,
    if
    necessary to protect water quality or potential uses.
    (P.C.
    #4.)
    Conclusions
    After considering the record
    in this case,
    the Board
    concludes that Joliet has demonstrated that relief is
    warranted.
    Therefore,
    the Board will propose for First Notice
    a
    regulation exempting Joliet’s EWTP from the BOD and SS
    limitations applicable
    to Hickory Creek.
    Instead,
    the BOD and
    SS
    limitations applicable
    to the Des Plaines
    River will apply
    to the
    EWTP.
    The Board believes that the cost
    of
    relocating
    the outfall
    to the Des Plaines
    is not justified by any predicted
    environmental benefits at this time.
    The Board also notes that
    Joliet
    is spending significant sums
    to upgrade
    its wastewater
    collection
    and treatment system by carrying out the municipal
    compliance plan,
    with resulting environmental benefits.
    Further,
    90—624

    —9—
    the Board notes
    that Joliet’s chosen compliance alternative
    (relocating
    the outfall) would not reduce
    the levels
    of BOO and
    SS discharged from the EWTP, but simply discharge the effluent
    directly
    to the Des Plaines.
    Thus,
    the denial
    of Joliet’s
    petition would,
    at best,
    improve the water quality of only the
    450
    feet of Hickory Creek between
    the present location
    of the
    outfall and the creek’s confluence with the Des Flames.
    However,
    the Board shares
    the concerns voiced by the Agency,
    the Department of Conservation,
    and USEPA about the effect of the
    proposal on water quality standards, especially levels
    of DO and
    ammonia nitrogen.
    The little information
    in the record on water
    quality is either outdated or
    speculative.
    Therefore,
    the
    regulation proposed today will be temporary,
    and will expire on
    January
    1,
    1994.
    This period will allow Joliet
    to conduct water
    quality monitoring
    for approximately three years,
    and still
    have
    time
    to petition
    the Board
    for permanent relief
    if the monitoring
    results are positive.*
    Joliet should work with the Agency
    to
    develop
    a monitoring program.
    That program shall include
    information on,
    among
    other
    things,
    average and low flow
    conditions
    in Hickory Creek downstream from the EWTP,
    especially
    levels
    of DO and ammonia nitrogen.
    The program shall
    also
    address the effects of the EWTP discharge on the area fish and
    their
    ability to move between
    the Des Plaines
    and the upstream
    portion
    of Hickory Creek.
    By promulgating
    a temporary regulation
    the Board
    is able
    to grant relief
    to Joliet while addressing
    the
    water quality concerns raised
    in this proceeding.
    ORDER
    The Board hereby directs the Clerk
    of the Board
    to cause
    publication
    in the Illinois Register
    of the First Notice of the
    following amendment.
    TITLE
    35:
    ENVIRONMENTAL PROTECTION
    SUBTITLE C:
    WATER POLLUTION
    CHAPTER
    I:
    POLLUTION CONTROL BOARD
    PART 304
    EFFLUENT STANDARDS
    SUBPART C:
    TEMPORARY EFFLUENT STANDARDS
    Section 304.302
    City of Joliet East Side
    Wastewater Treatment Plant
    *This schedule assumes that the proposed
    regulation will be
    finally adopted and effective before January
    1,
    1989.
    Of course,
    Joliet need
    not wait until then
    to begin
    a monitoring program.
    90—625

    —10—
    This Section applies
    only to the City of Joliets
    East Side
    Wastewater Treatment Plant which discharges
    into Hickory Creek
    in
    Will County,
    Illinois.
    The discharges
    of
    that plant shall not be
    subject
    to the standards
    of Section 304.120(c), provided
    that
    those discharges meet
    the five day biochemical oxygen demand
    (BOO)
    and suspended solids limitations of Section
    304.120(b)..
    This Section will expire on January 1, 1994.
    (Source:
    Added at 12
    Ill. Reg.
    _____,
    effective
    ________________)
    IT IS SO ORDERED.
    I, Dorothy M. Gunn,
    Clerk of the Illinois Pollution Control
    Board, hereby certify that the above ,P~roposedOpinion and Order
    was adopted on the
    JO~day
    of
    _________________,
    1988, by a
    vote of
    7~
    .
    Illino
    on Control Board
    90—626

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