ILLINOIS POLLUTION CONTROL BOA~2
November
23,
1977
UNION ELECTRIC COMPANY,
)
Petitione~,
v.
P03 77—92
ENVIRONMENTAL PROTECTION AGENCY,
RespondentS
OPINION AND ORDER OF THE BOARD
(by Mr. Goodman):
On March 16,
1977, Union E ~rric
Company
(UE)
filed a Petition
for Rule 203(1) (5) Decision beto~~the Board.
On April
14,
1977,
we indicated that the studies submitted to the Environmental
Protec-
tion
Agency
(Agency)
in January,
1976,
in conjunction with PCB
76-89,
a petition for variance from the 5~yeardelay incorporated in Rule
203(i) (5), constituted Petitioner~ssubmission under Rule 203(i) (5).
A hearing was held in this matter
on
July
8,
1977
in Edwardsville,
Illinois.
At the hearing the parties submitted a Stipulation.
No
citizen witnesses testified.
The subject of this Petition
is
UE~sVenice Power Plant, which
is on the east bank of the Mississippi River in the City of Venice,
Madison County,
Illinois.
The
plant
withdraws water from the
Mississippi River for use as non-contact cooling water to cool and
condense steam and discharges the warmed condenser cooling water to
the Mississippi River.
The plant has been discharging thermal
effluent to the river
in this manner for over 25 years.
UE has submitted and the Board has accepted three reports to
satisfy the requirements of Rule 203
Ci)
(5),
all conducted by
Equitable Environmental Health, Incorporated
(EEl-I).
The EEH Reports
are entitled:
(a)
Assessment of the Venice Plant Cooling Water
Discharge Plume;
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245
—2—
(b)
A
Dernonstrati~~..
of
Venice
Power
Plant
Thermal
Discharge
Effects
on
Biological
Populations
of
the
Mississippi
River;
~ind
(c)
Venice
Report
Appendices
PA-H.
EEH conducted surveys
of
the
Venice
thermal
plume
in
July,
August and November,
1974 and March~~1975 by measuring water temper-
atures at several locations along a number of transects and at a
number of depths.
During the surveys, UE operated the Venice Plant
as close as possible to maximum gen~:ratingcapacity.
Based upon
these actual plume measurements,
EEH
produced a
:iodel for prediction
of plume dimensions under other than survey conditions.
From the
actual thermal plume surveys and modeling results, EEH concluded
that the Venice thermal plume meets
all aspects
of the applicable
Illinois water quality standards fcr temperature specified in Rules
203(i) (3)
and
(4)
under both
survey
and historical worst case
conditions.
The maximum temperature rise ~:ermittedoutside the mixing
zone by Rule 203(i) (3), 5°F,
was met
for all months except July.
Additionally, EEH found that un~c conditions of minimum daily
river flow the 5°Fisotherm has
surface area of only 2.6 acres
and occupies
a maximum of 8.6
of
the river flow.
For the minimum
daily flow ever observed in July,
the hottest month of the year,
the 5°would enclose only 2.0 acres and 4.0
of the
flow.
The EEH reports indicate that phytoplankton, periphyton, zoo-
plankton, rnacroinvertebrates,
and fish in the vicinity of the Venice
Power Plant were sampled from July,
1974,
through June,
1975.
The
sampling methods are described in both the reports and the Stipu-
lation.
EEH concluded that the phytoplankton do not suffer
significant ecological harm from the thermal effluent.
Temperatures
that are potentially lethal for some phytoplankton (98-100°Ffor
large diatoms and about 111°for green algae) would be approached
only during a limited portion of the year and then only under extreme
conditions.
Only
a fraction of one percent of the river’s drifting
plankton would ever be exposed,
and the exposure would be brief
(less than 10 minutes maximum).
Similarly, EEH concluded that zoo—
plankton do not incur ecological harm due to the Venice Plant’s
thermal plume.
EEH found no unusual zooplankton in any samples.
Under worst possible plume conditions,
identified as maximum ambient
temperature of 88°F,maximum plume temperature of 108°Fand maximum
exposure time of 10 minutes,
only a small percentage of the drifting
zooplankton would encounte: unfavorable plume temperatures.
The
zooplankton actually entrained through the condenser system, and
28
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246
—
3..
thus exposed to the highest temperatures for longer time periods,
showed slight,
if
any, effects
from such exposure.
Periphyton,
or attached a1gae~
showed
no
adverse
effects.
No
undesirable community shift from
ui. toms to blue-green algae were
observed in the vicinity of the
pIitt,
and
algae
communities
were
similar above,
at, and below
the
discharge of the Venice Power Plant.
Also,
EEH concluded that, even with all units
in operation, the area
of the heated Venice plume was
so t:~ansitoryand small that the
thermal discharge does not affect macroinvertebrate populations in
the vicinity of the plant.
The fish sampling program at Venice found
twenty fish species,
all of which are common to this region of the Mississippi, and also
revealed that fish are relatively
low in numbers.
EEl-I reported that
no fish mortality due to the
Venice
thermal plume was observed at
any time during the study.
Since
the mobility of the fish allows
them to avoid the warmest areas
the
plume,
some minor seasonal
distributional modification was
observed.
There was some indication
that species of game and commerc~~ fish avoid the warmer plume areas
in July and August, but more
fi;~b
~~re present at the plume station
than at the upstream station
in
~ptember.
Similarly,
in April,
a
preference for plume over ambiei~ttemperatures was observed.
EEl-I
concluded that the distributional modification resulting from fish
seeking their preferred temperature. range
is very slight and causes
no ecologically significant adverse effects.
The EEH Thermal Effects Status Report also addressed the
possibility of “cold shock” resulting from southern plant shut-
downs
in the winter when fish occupying the plume and acclimated
to the warmer plume temperatures
are quickly exposed to colder
ambient river temperatures.
The EEH Report concluded that cold
shock has not been a problem, and outlined several reasons why
it would not be expected to occur.
First, Venice generally does
not operate at high loads for sustained periods during the winter.
Fish attracted to the plume would not be exposed to the higher
temperatures for long enough periods to become acclimated.
Second,
to the extent that acclimation of some fish might occur within the
small plume resulting at low loads, plume temperatures would
generally be within the range from which acclimated fish could with-
stand a sudden return to ambient.
Moreover,
at Venice’s typically
low loads a relatively large proportion of condenser cooling water
is recycled through warming lines during the winter,
so that the
small thermal discharge plume would
be
correspondingly reduced in
size.
Thus the potential
or harmful acclimation of fish is
even
further limited by the extremely small size of the plume within
28
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247
which such acclimation
could possibly
occur.
Third, the tendency
of
particular
fish
which
are
quite
abundant in the locale to move
into deeper water and become
less
active
during
the
winter
indicates
they are unlikely to congregate
in
the vicinity of the Venice plume.
Results of the EEH sampling
program
did suggest such a trend.
Finally, although UE instituted
an
operating program designed to
take the Venice Plant off the
line
entirely on the weekends, these
shutdowns will not be characterized by a sudden drop from rela-
tively high loads to no load,
but
rather by a gradual step down to
very
low loads from which the
Plant
will be shutdown.
Thus,
if
any fish are attracted to the
warmest
portion of the plume long
enough to become acclimated,
they
will be gradually exposed to
cooler temperatures
as the Plant load decreases and the plume
subsides.
EEl-I
reported that the
shoreline
near Venice
is not particu-
larly suitable for fish
spawning or
nursery activities.
Additionally,
fish spawning is most intense
at, or
close
to, times of highest
river flow and thus smallest
thermal plumes.
The plume configu-
ration indicates that the plume
wc~uid
not impede upstream migration
of spawning fish.
EEH,
therefc~:,
found that the thermal discharge
at Venice does not have any
effe~:t
on
fish
spawning,
behavior
or
nursery areas.
The Board finds that
Union Electric
has satisfied its burden
under Rule 203(i)
(5)
of Chapter
3.
Union Electric has demonstrated
to the satisfaction of the Board that, based upon the operating
practices outlined in the EEH Reports,
the discharges from the
Venice Power Plant have not
caused
and cannot reasonably be ex-
pected to cause significant ecological damage to the receiving
waters.
The Board finds
that,
assuming the operational practices
designed to minimize the possibility of ecological damage are
continued, no corrective measures will be necessary.
This Opinion constitutes the findings of fact and conclusions
of law of the Board in this matter,
ORDER
It
is the Order of the
Pollution
Control Board that Union
Electric Company has complied with Rule 203(i) (5)
of Chapter
3
in that it has demonstrated
that
discharges from the Venice
Power Plant have not caused and cannot reasonably be expected
to cause significant ecological damage to the receiving waters,
the Mississippi River.
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248
—5—
I, Christan
L. Moffett,
Clerk of the Illinois Pollution Control
Board,
hereby
certify
the
~bove
Opinion
and
Order were adopted on
the
~
day of
(J~~
,
1977 by a vote of
,~fr
o
Christan
L. Moffè
Clerk
Illinois Polluti
ontrol Board
28
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249