ILLINOIS POLLUTION CONTROL
    BOARD
    April
    19,
    1984
    IN THE MATTER OF:
    )
    )
    SULFUR DIOXIDE EMISSION
    )
    R80—22(B)
    LIMITATIONS;
    VILLAGE OF WINNETKA
    )
    ADOPTED RULE.
    FINAL OPINION.
    OPINION OF THE
    BOARD
    (by 3.
    D.
    Dumelle)
    At the outset, this rulemaking included a proposal by the
    Illinois Environmental Protection Agency
    (Agency) to limit the
    sulfur dioxide emitted from existing fuel combustion sources
    in the Chicago,
    St. Louis
    (Illinois)
    and Peoria major metropol—
    itan areas to 1.8
    pounds
    per million British thermal units
    (lbs/mBtu)
    of actual heat input.
    The Village of Winnetka (Vil-
    lage)
    sought to include a site specific rule so that its utility
    plant could emit up to 5.7 lbs/mBtu of sulfur dioxide.
    A draft
    Opinion was issued by the Board on August 30,
    1982 and the rules
    proposed for First Notice were published on September 17,
    1982.
    The Opinion proposed to deny the Village the requested site-
    sp~cificlimitation for two reasons.
    Although the Village
    had
    participated
    in
    the rulemaking,
    it
    was not until hearings
    in
    June
    o~
    1982 that
    the
    specifics and the supporting evidence
    of
    the Village’s request became known.
    The
    Board
    reasoned that
    this
    did
    not
    provide
    sufficient
    time
    for
    notice
    to
    or
    response
    fro~!iconcerned
    public.
    Secondly,
    the
    draft
    rules
    in
    R80—22
    included
    an
    adjudicatory
    format
    for
    existing
    individual
    sources
    t~o
    seek
    relaxed,
    alternative
    limits.
    tn
    the
    draft
    Opinion,
    the
    Board
    cited
    the
    Village’s
    utility
    plant
    as
    a
    possible
    candidate
    for
    the
    new
    exemption
    procedure.
    Preferring
    a
    site—specific
    rule,
    the
    Village
    exercised
    its
    right to request an additional hearing during the
    First
    Notice
    period
    (Ill.
    Rev.
    Stat.
    1981,
    ch.
    127,
    par.
    1005.01(a)).
    On
    C)ctober
    8,
    1982
    the
    request
    was granted and the subject
    of
    the additional hearings limited to
    the
    Village’s
    petition.
    To
    avoid delaying
    the
    adoption
    of
    the
    rules
    already
    proposed,
    on
    October
    14,
    1982
    the
    Board
    ordered
    the
    R80-22
    docket
    divided
    and
    the
    Village’s
    site—specific
    rulemaking
    assigned
    to
    Docket
    B.
    When
    the
    proposed
    rules
    (Docket
    A)
    were
    adopted
    as
    final
    on
    February
    24,
    1983,
    the
    Village’s
    utility
    plant
    was
    exempted
    ~rom
    the
    1.8
    ibs/ingtu
    limit
    pending
    the
    outcome
    of
    Docket
    B.
    This
    Opinion
    principally
    pertains
    to
    Docket
    B,
    After
    separating
    the
    Village’s
    request
    from
    the
    whole
    of
    R~3O—22, two
    more
    hearings
    were
    held
    in
    Winnetka
    on
    November
    3
    57-467

    2
    and December 15,
    1982.
    As noted above,
    information pertaining to
    the Village’s request was also entered at the June
    1 and 22, 1982
    hearings.
    On
    December
    1,
    1983 the Board adopted a proposed rule
    and an Opinion supporting the same on December 29,
    1983.
    The
    proposed rule was published
    on
    December
    18,
    1983
    for
    First
    Notice
    in 7 Illinois Register 16634.
    In
    response
    to
    comments
    received,
    the proposed rule was amended and adopted for Second Notice on
    February 22,
    1984.
    The Joint Committee on Administrative Rules
    issued a certificate of no objection on April
    10,
    1984.
    Where Tower Road meets Lake Michigan in Winnetka, the Village
    owns
    and
    operates an electrical generating plant which supplies
    the
    power
    needs
    for
    the Village’s 13,000 residents and small
    businesses.
    There
    are
    no
    major
    industrial
    users
    within
    the two
    and half
    mile
    radius
    serviced
    and
    the
    Village
    does
    not
    generate
    additional
    power
    for
    sale,
    (R.
    843)
    On
    site
    are
    five
    boilers
    and
    two
    diesel
    generators.
    Two
    boilers
    are
    in
    wet
    storage
    and
    are
    not
    currently
    permitted
    by
    the
    Agency;
    a
    third,
    Boiler
    No.
    4,
    is
    permitted
    to
    operate
    on
    gas
    or
    oil.
    Boiler
    No,
    8,
    which was
    built in 1964,
    is the principal power source with a rated capacity
    of 125,000 pounds of steam per hour or 12.5 megawatts.
    This
    boiler is equipped with a multiclone dust collector and ash
    recirculation.
    Boiler No,
    7, built in 1948,
    also operates on
    coal and has
    a rated capacity of 70,000 pounds of
    steam per hour
    or
    65 megawatts.
    130th diesels were installed in 1979 and are of
    a rated capacity of 2,500 pounds
    of steam per hour,
    All seven
    sources vent from a common stack.
    Currently,
    boiler No,
    8 produces
    85 to 87 percent of Winnetka’s energy needs on a day to day
    basis.
    Boiler No.
    7 is used to generate the additional electricity
    when the demand is predicted for a period greater than eight
    hours.
    If not, Boiler No,
    4 or the diesels are utilized.
    Annually,
    Boiler No,
    7 provides approximately only
    2 percent of the necessary
    kilowatt hours.
    (R,852)
    Of the 23 million tons of coal consumed annually by Illinois
    utilities,
    the Village’s plant consumes approximately either
    45,000 tons of Illinois coal or 54,000 tons of western coal,
    (R.1053)
    Twenty percent more western coal must be purchased
    to
    make up for its lower heat value and higher moisture content.
    Including delivery costs western coal costs approximately
    $75
    per
    ton, whereas Illinois coal costs approximately $53 per ton.
    The
    Village
    is currently burning Illinois coal,
    specifically coal
    from Orient
    No,
    3 mine, pursuant to a permit issued by the Agency
    in April,
    1982.
    Since the Village has been allowed to use Illinois
    coal
    it has provided
    90 percent of Winnetka’s electricity (R,899)~
    Under a short term contract,
    450 tons are delivered weekly after
    being screened and washed to reduce the sulfur content and dust.
    Since Illinois coal has been used, the highest sulfur content
    measured has been 2.14 percent.
    The Village is requesting to
    use
    Illinois coal with a maximum sulfur content of 3.2 percent
    (R. 911,877),
    57-468

    3
    To demonstrate that Illinois coal of this quality could be
    burned at its power plant, without installing additional pollution
    control equipment and without violating applicable ambient air
    quality
    standards,
    the
    Village
    offered
    a
    two
    part modeling study
    (Ex.
    12
    and
    Ex.
    22).
    Particulate
    matter
    concentrations,
    as well
    as sulfur dioxide concentrations were calculated.
    The first
    phase considered the actual operating requirements during 1979.
    That
    is
    Boiler
    No.
    8
    was
    assumed
    to
    provide
    the
    baseload,
    with
    Boiler
    Nos.
    4 and
    7 and
    the
    diesels
    providing
    additional
    power
    when
    necessary.
    The
    second
    phase
    assumed
    both
    Boiler
    Nos,
    7
    and
    8
    at
    full
    load.
    Aside
    from those parameters premised
    on the
    hypothetical
    load,
    the
    input
    data
    remained
    much
    the
    same
    for both
    parts
    of
    the
    study.
    At
    each
    phase,
    two
    computer
    runs
    were made
    each
    assuming
    the
    use
    of
    a
    different
    Illinois
    coal,
    that
    from
    Orient No.
    3 mine and from Fidelity No.
    11 mine.
    The dispersion model developed and used by the
    Village was
    premised
    on
    the
    United
    States
    Environmental
    Protection
    Agency’s
    (USEPA)
    Single Source Model known as the CRSTER.
    The
    data require-’
    rnents,
    processing
    techniques
    and
    input/output
    formats
    were modified
    to develop a non—guideline, Case
    1 model.
    The
    principle variation
    was premising the atmospheric stability data on meteorological
    data from the
    Zion nuclear power plant,
    23
    miles to the north, as
    opposed to that from Midway and O’Hare Airport which are eight
    and twelve miles inland,
    respectively.
    The Zion meteorological
    data satisfies the federal requirements
    (10 CFR 50,
    App.
    B), hut
    the CRSTER model had to be modified to accommodate this more
    representative lakefront information.
    Mixing heights were specif-
    ically developed for this site based on real information compiled
    by Argonne National Laboratory for the Chicago area in the late
    1960’s instead of predicting values
    from vertical temperature
    profiles and hourly surface temperatures (Holzworth inferential
    technique).
    To verify that the changes did not substantially
    alter the CRSTER’s program,
    the modified program was tested using
    24 hours of test data from the CRSTER model.
    The differences
    in
    result were within 0.2 percent.
    The Village’s modeling was intended to calculate hourly
    concentrations for an entire year.
    It used a grid consisting of
    ten down range receptors and seventy—two radials,
    Consequently
    the running
    3 hour and 24 hour concentrations,
    as well as the
    annual arithmetic/geometric mean concentrations were measured at
    720 locations over the surrounding lake and land mass.
    From
    these predictions the highest concentrations of the pollutant
    could he identified and assessed against the applicable air
    quality standards.
    The modeling program included certain constants.
    The stack’s
    diameter was set at three meters,
    the temperature at
    3500
    F,
    (or
    3750
    F for the full load model)
    and its height at 57 meters.
    At
    this height the stack is considered consistent with good engineer-
    ing practice,
    that is, high
    enough above the plant’s roof and
    57-469

    4
    other obstructions to avoid interference or induced turbulence.
    Rural dispersion coefficients were used instead of urban coeffi-
    dents,
    According to USEPA methodology, given the non-industrial
    characteristics of the Winnetka area,
    these are more appropriate
    than the latter.
    The reference plane was the plant’s rooftop which
    was
    level with the 19 meter high bluff the plant abuts to the west.
    This
    was
    the
    only
    terrain
    factor
    taken into account.
    Other
    program
    input
    varied
    on
    an
    hourly
    basis.
    Wind
    speeds,
    directions,
    temperature,
    and atmospheric stability were included
    at actual hourly values from 1979.
    Representative values for
    boundary
    levels
    were
    selected
    from
    real
    mixing
    height
    data
    based
    on the Argonne study.
    A value
    of 1000 meters was used for
    daylight hours;
    100 meters for night hours when wind speeds were
    equal
    to
    or less than 10 miles per hour;
    and 200 meters when wind
    speeds were higher.
    These hourly values,
    along with the above
    described constants,
    were run first, with the coincident operating
    loads
    actually
    experienced
    in
    1979,
    and
    then
    again
    assuming
    Boiler Nos.
    7 and
    8 to be operating at full
    load.
    The size of
    the load,
    as well as the heat value of the coal can alter the
    stack gas exit velocity and the amounts of sulfur dioxide emitted.
    The following table lists the highest concentrations predicted at
    both loadings, along with sulfur content and heat value for each
    type of
    coal.
    TABLE
    1
    Sulfur
    Heat
    Coal
    Content
    Value
    Load
    Annua~
    24 Hour
    3 Hour
    *
    ——
    (8Oug/m
    )
    (365u~j~)(l300u~a/m)
    Orient
    T,77
    T17780
    Btu/lb
    Actual
    2
    69
    318
    No.
    3
    Full
    2
    71
    361
    Fidelity
    3.19
    11,054 Btu/lb
    Actual
    4
    133
    610
    No.
    11
    Full
    4
    132
    618
    The modeling assumed background concentrations to be zero.
    However,
    adding
    the
    model’s
    highest
    predicted
    values
    and the highest
    measurements recorded at nearby monitors in Skokie, Wilmette and
    Waukegan provides an estimate of the combined impact,
    should the
    Village be granted the relaxation.
    These estimates are the
    hypothetical worst case scenarios,
    since the highest values from
    the model and monitors are being added regardless of the time and
    date predicted or recorded.
    Table
    2 compares the sum totals to
    the short term and annual standards,
    using values measured in 1980~
    (Monitored values reported for 1981 were checked and found to be
    lower).
    57-470

    5
    TABLE
    2
    (ug/m3)
    Coal
    Modeled
    Measured
    Sum
    Standard
    Orient
    #3
    Annual
    2
    25
    27
    80
    24—Hour
    69
    165
    234
    365
    3—Hour
    318
    291
    609
    1300
    Coal
    Modeled
    Measured
    Sum
    Standard
    Fidelity
    Annual
    4
    25
    29
    80
    #11
    24—Hour
    133
    165
    298
    365
    3—Hour
    610
    29.1
    901
    1300
    In proposing the
    1.8 lbs/mBtu limit for the Chicago major
    metropolitan area,
    the Agency identified only two sources as
    possible candidates
    for a more relaxed limitation.
    (R.
    562)
    For
    that reason it did not generally propose a higher emission rate.
    The Village’s power station was one of those two sources.
    An
    Agency memorandum of January 21,
    1982 evaluating the Village’s
    modeling found that a 5,7 lb/mBtu limit would not cause
    violations of the short term standards.
    (Ex.
    11)
    However,
    the
    Agency considered additional modeling necessary.
    (P.
    596)
    The Village completed its modeling analysis
    in March,
    1982 and
    submitted additional
    information pursuant to Agency’s inquiry.
    The Agency
    in turn evaluated the model
    to verify that it was
    conservative.
    It used the guidelines recommended
    in the CRSTER
    model and maximum load at 5,7
    lbs/mBtu was assumed for every hour
    of the entire year.
    Evaluation of only one year was considered
    necessary since on-site data had initially been used.
    The Agency’s verification run only assumed the use of
    Fidelity No.
    11 coal since it has the highest sulfur content of
    the two types.
    Like the Village’s model,
    it did not include back-
    ground levels.
    As indicated below in Table
    3, the Agency’s model
    resulted in levels proximate to or below those predicted by the
    Village’s single source modified model.
    Using the same methods
    and background levels assumed by the Village, the hypothetical
    impacts are also calculated,
    TABLE~~j~3)
    Village
    Agency
    Village
    Agency
    Standard
    ~j~!t
    ~
    ~~round
    ~~ound
    p~~round
    Annual
    (8OugIm3~
    4
    5.6
    25
    29
    24 Hour
    (365ug/m3)
    133
    66
    165
    298
    231
    3 Hour (l300ug/m3)
    610
    315
    291
    901
    606
    57-471

    6
    Comparison of the above figures indicates that the Agency’s model-
    ing verifies that the Village’s model was conservative when com-
    pared to the CRSTER model.
    The Village investigated installation of pollution control
    equipment in order to meet the 1,8 lbs/ml3tu limit and still
    utilize Illinois coal.
    Installation of wet scrubbers was
    estimated to necessitate capital expenditures of $3.2 million
    dollars.
    However, this alternative was prohibitive, not due
    to the costs, but because land was not available to facilitate
    storage facilities,
    slurry mixing plants,
    slurry holding areas,
    venture and separators.
    The Village also noted that the
    delivery of
    lime,
    the noxious odors created by the formation
    of hydrogen—sulfide gas and the increased steam plume would
    be a nuisance to the plant’s residential neighbors.
    (P.
    836)
    By
    interim order, the Board requested that the Village investigate
    the
    possibility
    of
    dividing
    its
    stack
    in
    order
    to
    increase
    exit
    velocity.
    It was hoped that the resulting increased plume rise,
    in combination with the plant’s
    stack height,
    could negate any
    effect the lake breezes might have
    in increasing downwash or
    boundary
    interference and reduce alleged odor nuisances.
    Divi-
    sion proved impossible since the stack is made of metal.
    The
    Village’s
    engineers
    also
    noted
    that
    increased
    exit
    speed
    will not
    affect final plume rise because
    it
    is a function of volumetric
    flow, which is
    a constant,
    (Public Comment #30).
    The Economic Impact Study prepared by the Department of
    Energy and Natural Resources did not specifically consider the
    Winnetka facility and the economic ramifications should
    it be
    allowed to burn Illinois higher sulfur coal.
    The Village did
    provide numerous details.
    From 1958 until
    1975 it made an esti-
    mated profit of $11,999,000 or $638,000 per year.
    $3 million of
    that
    was
    paid
    to
    the
    Village
    in
    dividends.
    Another
    $1.5 million
    was contributed
    to the Village’s operating expenses.
    (P.
    976)
    The net worth of the plant was $3,710,000 in 1957,
    $8,613,000
    in
    1975 and $11,000,000 in 1982,
    Improvements at the plant were paid
    for out of earnings.
    Before 1971, the plant supplied all of the Village’s energy
    needs.
    Then
    an
    interconnect
    with
    Commonwealth
    Edison
    was com-
    pleted.
    By 1973 the Village was purchasing base load power and
    generating
    power
    only
    to
    meet
    intermediate
    and peak power de-
    mands.
    To
    keep
    purchase
    power
    costs
    at
    4.1~ per
    kw/hr
    in
    the
    late 1970’s and early 1980’s the Village continued to generate
    intermediate and peak power.
    If
    it did not the price would have
    been 5.5~per kw/hr.
    The Village also sought to keep minimal its
    firm or demand power costs from Commonwealth Edison.
    Since
    burning Illinois coal under the Agency issued permit, the Village
    has been producing over
    90 percent of its energy demands and
    purchasing only economy power from Commonwealth Edison.
    57-472

    7
    In addition to the lower power costs and revenue generated
    which aid
    its residents,
    the Village claimed socio—economic bene-
    fits due to its plant’s operation on Illinois coal,
    The Village
    is committed to using Illinois coal and although it will not
    purchase large amounts of
    it,
    some increased economic activity
    should be generated in Illinois.
    The Village’s plant employs
    18 persons.
    Finally,
    the Village anticipates that it will he
    able to provide its residents with power when other areas are
    experiencing power outages.
    Several examples of power failures
    were
    testified
    to
    during
    hearing,
    but
    the
    Village countered that
    these occurred while
    it was buying from Commonwealth Edison,
    prior
    to
    its
    burning
    Illinois
    coal.
    At
    hearing, Citizens for a Better Environment
    (CBE)
    proferred
    a critical review of the modeling analysis provided by the Vil-
    lage.
    The review was three part:
    (1)
    a discussion of the coast-
    al meteorological adversely affecting pollutant dispersion;
    (2)
    the inapplicability of the Village’s model and the underlying
    CRSTER model
    in assessing the Village’s lakefront facility;
    and
    (3) specific problems with select model
    input data and modeling
    assumptions.
    CBE’s presentation was subsequently reviewed and
    commented
    on
    by
    the
    Village,
    to
    which
    CBE
    responded
    at
    hearing
    and in written comments.
    CBE began with an explanation of meteorological phenomena
    pertinent to coastal environments.
    Of primary concern in evalu-
    ating adverse effects to pollution dispersion at the shoreline is
    the thermal internal boundary level
    (TIBL).
    A TIBL, which con-
    sists of heat moisture and momentum, forms due to the physical
    discontinuity of water and land surfaces when the
    cold. water sur-
    face air comes into contact with warmer land surface air.
    The
    TIBL starts at the shoreline and its height gradually deepens to
    a maximum of 500 feet as the distance inland increases.
    If the
    stable plume from the stack intercepts with the TIBL,
    fumigation
    results;
    if it is below the TIBL’s ceiling, trapping results.
    Fumigation occurs primarily on sunny days, whereas trapping
    occurs on overcast days or at night.
    Either condition affects
    ground level concentration of pollutants.
    CBE suggested several models developed to specifically
    address the effects of lake breeze circulation and gradient
    onshore flow on TIBL formation which would have been preferable
    to accurately predict ground level concentrations for the Win-
    netka facility.
    Furthermore, CBE believed that the modified
    CRSTER model developed by the Village was inappropriate because
    the underlying model was applicable to rural
    areas uncompli-
    cated by terrain and coastal
    influences.
    As such it did not suf-
    ficiently account for maximum ground level concentrations under
    conditions of gradient onshore flow,
    continuous fumigation or
    lake breeze circulation,
    CBE acknowledged that the Village’s use of meteorological
    57-473

    8
    data from Zion was preferable to that from Midway or O’Hare.
    However,
    it disagreed with the method the Village
    used
    this
    data
    to determine atmospheric stability.
    That method,
    known as
    the
    Delta
    T method, CBE argued was for low emission sources
    such as
    nuclear reactors, not stacks at fossil
    fuel plants.
    CBE also
    disagreed with the use of the power law formula to extrapolate
    windspeeds
    for measure at
    10 meters at the Zion tower,
    Since
    windspeeds were also measured there at 38 and 76 meters,
    CBE
    argued that these would have been preferable.
    Finally,
    CI3E
    argued that the constant mixing heights chosen by the Village did
    not adequately take into account deviations caused by TIBLs.
    In response, the Village verified that the Delta T method
    was appropriate for determining atmospheric stability in modeling
    its facility.
    (Ex.
    24,
    25)
    The Village believed it preferable
    because it requires the fewest assumptions
    (R.
    1258).
    CBE later
    agreed that the Delta T method was appropriate
    for sources with
    stacks as low as the Village’s but offered that it
    should
    not be
    relied on solely.
    (P.C.
    23, at 34)
    As for wind speeds, the
    Village compared those measured at
    76 meters at the Zion facility
    to those derived by the power law formula and found them similar,
    (P.
    1263)
    Finally, the Village explained that its model took
    into consideration trapping since the modeled plume height was
    less than the assumed mixing heights during both daytime and
    nightime calculations.
    Its model assumed the presence of a TIBL,
    but its height was always considered greater than the stack’s
    plume rise.
    Had lesser mixing height values been modeled, the
    Village alleges that lower ground levels would have been pre-
    dicted.
    The Village contends that these assumptions make
    the
    model more conservative,
    (P.
    1267—71)
    Although its model ac-
    counted for trapping,
    it did not consider the effects of fumiga-
    tion.
    According to the Village,
    fumigation was not of practical
    concern since six conditions would have to exist simultaneously,
    but also because it believed the modeled facility’s plume height
    never to be higher than the boundary’s ceiling, making intercep-
    tion,
    i.e.
    fumigation, impossible.
    The critical review provided by CBE raised alternative
    modeling parameters and suggested that a site specific model
    would be appropriate.
    CBE believed a number of models to be more
    appropriate in assessing pollution dispersion from the lakefront
    facility.
    Prior to CBE’s review,
    the Agency believed the data
    input to be sufficiently source specific that only one year be
    considered under worst case conditions.
    There is no federally
    approved
    modeling
    program
    for
    lakefront
    or
    coastal
    environments.
    After
    CBE’s
    critical
    review,
    the Agency still
    believed
    the model-
    ing adequate for the proposed relaxation to be approved federally.
    Given
    the
    responses
    to the inquiries posed by CBE, the Board
    is able to conclude that the Village’s modeling incorporated
    sufficient meteorologial data similar to that likely to occur at
    57-474

    9
    and near its facility.
    Also it used techniques considerate of
    lakefront atmospheric conditions, and violations of the applic-
    able standards are not approached.
    The record
    in this matter now
    includes the parameters developed for the facility,
    as well
    as an
    assessment of alternatives.
    Short of developing site specific
    meteorological information,
    the Village’s model
    as developed,
    adequately accounted for the lakefront environment and indicated
    that
    the
    applicable
    air
    quality
    standards
    and
    public
    health and
    welfare
    will
    not
    be
    endangered.
    Furthermore,
    since
    the facility
    and
    its
    emissions
    are
    considered
    to
    be
    small
    and
    the
    Zion
    meteo-
    rological data was used,
    a site specific model
    is unwarranted.
    Having reviewed the testimony and comments on the modeling format
    and the results, the Board concludes that the ambient air quality
    standards for sulfur dioxide are not violated and an adequate
    margin of safety for health and growth is preserved.
    The Winnetka
    facility is located
    in a residential area with stabilized energy
    demands.
    The surrounding area is also unlikely to be developed
    industrially.
    Therefore,
    the
    Board
    need
    not
    assess
    hypothetical
    consumption of Prevention of Significant Deterioration increments.
    Citizens from Wirinetka testified concerning odor and noise
    nuisances associated with this facility.
    Likewise citizens
    testified about not having experienced such nuisances,
    The issue
    of
    odor
    is
    highly
    debatable.
    Different
    persons
    experience dif-
    ferent sensitivity thresholds.
    Furthermore,
    it
    is difficult to
    isolate an odor to its source at a particular point in time.
    That time would also be difficult to relate to the
    3 or 24 hour
    air quality standards
    for
    sulfur
    dioxide.
    The
    Agency
    submitted
    data from the U.S. Department of Transportation which
    lists the
    sulfur dioxide odor threshold at
    3 parts per million, which can
    be converted to 7,873 micrograms per cubic meter,
    (P.
    1298)
    This is significantly greater than the applicable
    standards.
    Although the questions of odor and noise nuisance are not
    properly before the Board in this
    rulemaking,
    the
    citizens’s con-
    cerns were addressed in the Board’s order for additional informa-
    tion.
    The Village responded that it had not received or been
    notified of nuisance complaints since May of 1982.
    (P.C.
    30)
    The Village also explained a malfunction, but did not believe it
    caused any environmental problems.
    Finally, the Village submitted
    correspondence between itself and a resident exchanged to resolve
    a noise problem.
    This rulemaking solely addresses sulfur dioxide emissions.
    Nevertheless the Board would be reluctant to grant a relaxation
    which would in turn aggravate another environmental problem.
    In
    this instance the alleged odors nuisances are not documented to
    be linked to the use of medium sulfur coal at the facility since
    Spring of 1982.
    Should persons experience nuisances,
    they are
    free to negotiate with the Village or bring an action before the
    Board to resolve those issues,
    57-475

    10
    Based on the foregoing,
    the emission limit requested by the
    Village of Winnetka is granted.
    The Village’s modeling, which
    considered Boilers Nos,
    7 and
    8 to be operating at full load,
    adequately demonstrated that violations of the applicable stan-
    dards will not result at an emission rate of 5.7 pounds per
    million British thermal units of actual heat input.
    In granting
    the relaxed emission limit as a site specific rule for the Village
    of ~7innetka’spower plant, the limitation shall be expressed as
    a
    mass emission limit.
    This will eliminate use of a poorer quality
    of fuel
    at reduced loads which in turn could result in lower
    plume heights and higher ground level pollutant concentrations.
    At First Notice,
    a limit of 3.2 percent sulfur content was proposed
    for the coal burned by the Village.
    Comments received from the
    Agency indicated that
    limiting the Coal’s sulfur content does
    not correspondingly limit sulfur dioxide emission.
    Therefore,
    the
    proposed sulfur content limitation has been eliminated.
    On the
    other hand, Agency comments requested that the methods for demon-
    strating compliance be articulated in the rule,
    Accordingly, the
    rule has been written to require that compliance be based on
    daily averages.
    The rule,
    as adopted, is
    located at Subpart V of
    Part 214, at Section 214.521.
    This Opinion supports the Board Order adopted in this matter
    this same day.
    Board Member Bill Forcade abstained.
    I,
    Christan L. Moffett, Clerk of the Illinois Pollution
    Control Board, do hereby certify that the above Opinion was
    adopted on the
    ~q
    day of
    ,
    1984 by a vote of
    Illinois
    Pollution
    Control Board
    57-476

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