~S
    POLLUTION CONTROL
    BOARD
    N~vezther28,
    1972
    :n the Matter :f
    )
    )
    R 72—li
    pen !trni:tq Regz.ations
    pinicn tf the Beard
    (by Mr.
    Henss)
    The Erxirontental Protection Agency filed its proposal to
    rend the C;en Burning Regulations in order to allow the open
    burning of landscape waste in snail municipalities outside of
    netrcpolitan
    areas.
    On october 24, 1972 this Board ordered that
    the
    fina.
    draft of the proposal be published in order to allow
    the widest public corent.
    We now detail the history of this
    Regclatio:t
    and
    cur reasons for amending it.
    in
    .93 the Congress enacted Clean Air Amendments ordering
    the ttited States Ertvironr.ental Protection Agency to establish
    ~ati:na1 Sient Air Quality Standards.
    The Primary Air Quality
    Standar: was defined by the Congress as that necessary to protect
    the ~b:i:
    health, and Congress ordered the States to attain this
    Prizary Standard by May 30,
    1975.
    The Secondary Ambient Air
    .uaLit~Standard was defined as that Standard ts’hic~is necessary
    protect the public welfare and is to be achieved in a reasonable
    tire.
    ‘Clean Air k~nendr.ents, Sec. 109 and 110)
    tr. A;ril
    23,
    1971 the U.
    S. Environmental Protection Agency,
    as
    directed, did adopt the :;ational Primary and Secondary Ambient Air
    :uality Standards.
    ~atLcna1AmbIent Air Quality Standards were established for six
    :f the principle air pollutants:
    Particulate matter, sulfur oxide,
    hydrtcarbcns, carbon zonoxide, photoche~ticaloxidants and nitrogen
    cxides.
    n acoptsr~gthe Stancards
    the
    Annxstrator of the Agency,
    Mr.
    Wifliar
    D. Puckelshaus stated “current scientific knowledge of
    the
    health
    and welfare !nzards of these air pollutants is imperfect.
    :t
    Lncrease and ircro;’e this knowledge the Environmental Protection
    Acenc’ wi:l continue
    tt
    conduct and suoport relevant research.
    At
    thr~
    sre tine the need f~rincreased knowlodge of the health and
    we.fare effects cf air pollution cannot justify failure to take
    ~ct:tn hasri cn kncwlet-~epresently available.
    The Clean Air Act,
    as ~rer.-1ed,
    recuires pronulgation at this tire of National Standards
    f-.r six air p~llutantson the kasis of available data set forth in
    ~:r ~aiity
    criteria docurents.
    Thus,
    the Adr~inistratoris required
    tt
    re:ce
    ~tjr~c.tsas to
    the
    proper
    interpretation
    of
    the
    presently
    ~vaflehs
    ‘3ata and
    to
    establish
    ::etional
    Primary
    Standards
    which
    6—357

    —2—
    include an adequate margin of safety to
    protect
    human
    health.
    Where
    the validity of available research data has bean questioned, but not
    wholly rofuted, the Administrator has
    in
    each
    case
    promulgated
    a
    National Prinary Standard which includes a margin of safety adequate
    to protect the public health from adverse effects suggested by the
    available data”.
    Federal Register, Volume 36, No. 84, p. 1816.
    In establishing the Primary Air Quality Standard Mr. Ruckelshaus
    did not take into account any factors other than public health.
    The
    Clean Air Act as amended did not permit him to do so.
    A number of
    comments were made questioning the feasibility of implementing the
    proposed Standards but no revisions were made on this basis.
    The Federal EPA determined that the health related Standard for
    particulate matter in the air should be:
    75 micrograms per cubic
    meter of particulate matter as an average (annual geometric mean)
    and
    260
    micrograms per cubic meter, maximum 24 hour concentration
    (not
    to
    be
    exceeded
    more
    than
    once
    per
    year).
    This
    is
    a
    Standard
    which,
    in
    the
    opinion
    of
    the
    Administrator
    of
    the
    Environmental
    Pro-
    tection
    Agency, was necessary to protect the public health.
    Federal law requires the various States to
    submit
    plans
    for the
    attainment
    and
    maintenance
    of
    the
    Federal
    Air
    Quality
    Standards.
    Illinois has done so and is taking steps to
    achieve
    the
    Primary
    Standards in 1975 and to achieve the Secondary Standards within a
    reasonable period of time.
    In 1970 the Illinois Legislature enacted the Environmental
    Protection Act.
    EPA Section 9(c) states:
    “No person shall cause
    or allow the open burning of refuse”.
    Refuse is defined by the
    Legislature as “any garbage or other discarded solid materials”.
    Section 3(k)
    In
    addition
    the
    Legislature
    delegated
    certain
    authority
    to
    the
    Illinois Pollution Control Board.
    The statute specifically gives
    the Board authority to prescribe the Ambient Air Quality Efijssion
    Standards, and in adopting the regulations to make different pro-
    visions as required by circumstances for different contaminant
    sources and for different geographical areas.
    EPA Section 9,
    10
    and 27.
    The Statewide ban on open burning which was ordered by this Board
    on September 2,
    1971 was a valid exercise of this authority which had
    been delegated by the Legislature to the Board.
    The Board is required
    to, and did, take into account the existing geographical conditions,
    the character of the area involved, zoning classifications, nature of
    S
    388

    —3—
    existino
    air quality,
    and
    technical feasibility and economic
    reasonableness
    of measuring or reducing
    the particular
    type
    of
    nollution.
    In its
    September
    1971 Opinion
    the Board referred
    to the evidence
    of danger
    from leaf burning:
    “Dr. George Arnold on hohalS
    of
    the
    ‘~‘iadison County Sanitation
    and Pollution Committee argued
    that leaf
    burning creates
    a hazard
    of fire and of traffic accidents,
    contributes
    to
    the violation of particulate air quality standards,
    reduces visi-
    bility,
    endangers
    health,
    and destroys valuable organic matter.
    (R.
    64—67)
    Several witnesses discussed from personal experience
    the
    adverse health effects of
    leaf burning,
    especially
    on persons with
    respiratory problems.
    (R.
    214.32)
    An allergy specialist
    testified
    as
    to
    the serious health effects of burning
    leaves,
    especially
    those
    contaminated with pesticides,
    upon people with allergies or respira’-
    tory diseases.
    (R.
    184—91)
    .“
    The
    Board allowed
    a grace period until July
    1,
    1972
    for people
    without access to
    a refuse collection service to make arrangements
    to comply with the regulation.
    There have been varying degrees of compliance with the ban on
    open burning.
    Monticello,
    a town of 4,100 population,
    has purchased
    a
    leaf ~racuum machine,
    a chipping machine and has made arrangements
    to mulch leaves onto farm property in order
    to reduce
    the quantity
    ci material going into its landfill.
    Monticello considered
    purchase
    of an
    air curtaib destructor which would enable the burning
    of
    landscape waste but postponed
    the purchase because
    of
    the $8,000—
    $10,000
    cost.
    (Urbana
    R.
    103—108)
    Palestine, population
    1,686,
    baled
    its leaves
    from windrows
    in
    the streets.
    The bales were then used by gardeners and
    by
    farmers.
    The cost of this operation,
    however,
    was about $15,000.
    (Springfield
    R.
    67)
    The ban on open burning of landscape waste was
    in effect during
    the Fall of 1971
    for those communities which had
    a refuse collection
    service hut authorities apparently did not
    take action
    to enforce
    the leaf burning ban during that leaf collecting
    or burning season
    and
    in July 1972
    the hnvironmental
    Protection Agency filed
    a promosal
    requesting
    a relaxation
    of the leaf burning ban
    for
    the
    smaller
    communities.
    The proposal was to
    allow omen burning
    of
    landscape
    waste
    in municipalities
    having
    a population loss
    than 1,000 and
    outside of major metropolitan areas.
    The
    Agency included
    1.5 counties
    within
    its definition
    of major metropolitan
    area.
    Our newsletter published August
    23,
    1972 gave notice that hoorings
    on this proposal would be held
    at Joliet,
    Pock.
    island,
    Urbana, Soring-
    field,
    Carbondale
    and
    Macomb.
    Addi tional notices wore given
    in
    other
    newsletters
    and
    in the newsgamere
    cunlisherl
    in
    the
    communities
    in-
    volved.
    6
    359

    —4—
    Testirrriv
    was received
    from State
    Legislators,
    elected
    municipal
    officials, municipal erployees,
    pollution exeerts
    of governmental
    agencies, private citizens
    and.
    representatives
    of contracting associ-
    ations
    and ecology groups,
    Those who could not
    or desired not
    to
    appear
    at
    the hearings did submit written statements detailing
    their
    views
    Evidence
    in
    the
    hearings
    centered
    around
    the
    quantity
    of
    particu-
    late
    matter
    civen
    off
    by
    the
    burning
    of
    leaves,
    and
    the
    problems
    in-
    volved
    in
    the
    disposal
    of
    leaves
    which
    are
    not
    burned.
    The
    expert
    witnesses
    of
    the
    EPA
    testified.
    that
    if
    simultaneously
    each
    family
    in
    a
    town
    of
    2,500
    nersons
    burned
    one
    nile
    of
    leaves
    the
    peak
    one
    hour
    concentration
    of
    earticulates
    at
    the
    downwind
    edge
    of
    the
    town
    would
    be
    264
    nic:rocTraxes
    per
    cubic
    meter
    of
    air
    and
    if
    this
    level
    of
    burning
    continued
    for
    eiqht
    hours
    the
    resulting
    24
    hour
    average
    particulate
    level
    would
    cc
    93
    uicrocrams
    per
    cubic
    meter
    of
    air.
    The
    health
    related
    allowable
    24
    hour
    standard
    is
    260
    micrograms
    per
    cubic
    meter
    of
    air
    and
    the
    welfare
    related
    24
    hour
    standard
    is
    150
    micrograms
    ner
    cubic
    meter
    of
    air.
    The
    Agency
    assumed
    that
    there
    were
    500
    families
    in
    a
    town
    ci
    2.5
    snuaro
    miles,
    that
    a
    typical
    leaf
    piie
    was
    4!
    x
    4!
    x
    3’
    ,
    the
    duration
    of
    burn
    was
    1
    hour,
    the
    estimated
    emission
    rate
    enualled
    .
    8
    lbs.
    of
    carticulate
    per
    hour
    per
    pile
    (.1
    grams
    per
    aeconcl)
    and
    that
    wind
    smeed
    was
    8
    miles
    per
    hour.
    It
    was
    estimated.
    that
    the
    eceticulate
    background
    was
    40
    micrograms
    per
    cubic
    meter
    of
    air
    in
    those
    smaller
    communities.
    The
    USA
    witnesses
    Dr.
    John
    Roberts,
    Division
    Manager,
    and
    Car’:
    holvin,
    :‘eteorolooist,
    testified
    that
    the
    open
    burning
    of
    landscape
    waste
    in
    r:n~cipalities
    up
    to
    2,500
    in
    ~opu1ation
    would
    not
    cause
    a
    vitIation
    of
    Federal
    Air
    Quality
    Standards.
    They
    relied
    upon
    the
    cU~orvations
    and
    calculations
    nublished
    by
    Dr.
    Bruce
    Turner,
    Chici
    ci
    Air
    Resources,
    Field
    Research
    Office,
    United
    States
    Environmental
    Protection
    Acency
    in
    his
    ‘Workbook
    of
    Atmosoheric
    Dispersion
    Estimates”
    The
    particulate
    background
    of
    40
    micrograms
    per
    cubic
    meter
    of
    air
    is
    apclicable
    only
    in
    rural
    areas
    and
    in
    the
    cleaner
    smaller
    communities
    in
    the
    State
    of
    Illinois.
    Dr.
    Roberts
    testified
    that
    particulate
    levels
    in
    the
    major
    metropolitan
    areas
    of
    the
    State
    including
    Chicago,
    Rockford,
    Quad
    Cities,
    Peoria
    and
    F.
    St.
    Louis
    exceeded
    the
    Federal
    Air
    Quality
    Standards.
    The
    EPA
    testimony
    was
    not
    based
    upon
    studies
    of
    air
    quality
    in
    any Illinois municipality
    at
    a time when leaves were being collected
    and burned
    in that community.
    Mr. Melvin stated
    ‘to my knowledge
    there have
    not been any studies performed within
    this State
    to
    determine
    precisely
    the
    contribution
    of
    open burning
    or burning
    of
    landscape
    waste
    to
    the
    air
    cuality--that
    is
    not
    hard data”,
    (Maccrab
    P.
    23)
    An
    EPA
    statement
    said:
    “For
    each
    ton
    of
    landscape
    waste
    burned
    without
    the
    aid
    of
    air
    pollution
    control equipment approximately
    6
    360

    C—
    17
    lbs.
    of
    particulate,
    60
    lbs.
    of
    carbon
    monoxide,
    20
    lbs.
    of
    hydro-
    carbons
    (as
    methane),
    and
    2
    lbs.
    of
    nitrogen
    oxides
    are
    emitted
    to
    the
    atmosphere.
    See:
    Compilation
    of
    Air
    Pollutant Emission Factors
    (Rev.
    1972)
    U.
    S.
    Environmental
    Protection
    Agency,
    Office
    of
    Air
    Programs,
    Pub.
    No.
    AP—42,
    pages
    2-7,
    Of
    these
    air
    contaminants
    particulate
    matter
    is
    the
    most
    serious
    in
    ‘terms
    of
    its
    effect
    on
    air
    quality,
    even
    thounh
    emissions
    of
    carbon
    monoxide
    are
    three
    times
    as
    great.
    This
    paradox
    can
    be
    understood
    if
    one
    recognizes
    that
    safe
    levels
    of
    carbon
    monoxide
    in
    the
    ambient
    air
    are
    over
    twenty
    times
    greater
    than
    the
    levels
    which
    are
    considered
    acceptable
    for
    particu—
    late
    matter.
    See:
    36
    C.F,R,
    22384.
    November
    25,
    1971.
    Therefore,
    the
    principle
    concern
    with
    any
    relaxation
    of
    the
    bin
    on
    burning
    of-’
    leaves
    and
    other
    landscape
    wastes
    is
    the
    potential
    for
    violation
    of
    the
    National
    Ambient
    Air
    Quality
    Standards
    for
    Particu-
    late
    Matter.
    These
    levels
    are
    established
    at
    75
    micrograms
    ‘per
    cubic
    meter
    for
    the
    health
    related
    standard
    and
    60
    micrograms
    per
    cubic
    meter
    for
    the
    welfare
    related
    standard.
    (annual
    gecmet:ric
    mean)
    .
    Twenty-four
    hour
    standards
    of
    260
    micrograms
    per
    cubic
    meter
    (primary,
    health
    related)
    and
    150
    micrograms
    per
    cubic
    meter
    (secondary,
    welfare
    related)
    are
    to
    be
    exceeded
    no
    more
    than
    one
    day
    per
    yoar.”
    Particulate
    matter
    exists
    commonly
    in
    two
    basic
    forms--—solid
    particulates
    consisting
    of
    dust,
    smoke
    and
    fumes;
    and
    lieuid
    particu-
    lates
    consisting
    of
    mist
    and
    spray.
    Solid
    particulates,
    with
    which
    we
    are
    now
    concerned,
    have
    a
    diverse
    chemical
    composition,
    They
    may
    exert
    a
    toxic
    effect
    in
    three
    ways:
    1)
    the
    particulate
    may
    be
    intrinsically
    toxic
    due
    to
    its
    inherent
    chemical
    or
    physical
    characteristics
    (although
    few
    common atmospheric particulates
    have
    been
    shown
    to
    he
    intrinsically
    toxic)
    .
    2)
    The particulate may interfere with
    one
    or more
    of
    the
    clearance mechanisms
    in
    ‘the resoiratory tract.
    3)
    The particulate
    may act as
    a carrier of
    an absorbed
    tox:Lc substance.
    Particulates
    sometimes combine with other pollutants,
    to form harmful products.
    Synergism occurs when
    two
    or more pollutants combine
    to produce
    a
    pollutant
    more
    damaging
    than
    the
    sum
    of
    the
    effects
    of
    the
    individual
    pollutants acting independently.
    The presence
    of
    carbon
    or
    soot
    as
    a common particulate mollutant
    is noteworthy,
    as carbon
    is well known
    as an efficient adsorber of
    a wide range
    of organic and inorganic
    comnounds.
    Carcinogenic materials have
    been
    identified
    in the atmos-
    phere of virtually all
    large cities
    in which studies have been
    conducted and
    it may be seen that
    large quantities
    of particulates
    may help carry these pollutants
    into the human body.
    (Air Quality
    Criteria
    for Particulate Matter,
    U.S.
    Dept.
    of Health,
    Education
    and Welfare,
    Jan.
    1969,
    AP-49,
    Page
    137)
    Lung cancer mortality,
    bronchitis,
    and pulmonary mortality
    in
    males and bronchitis
    in
    females
    have been strongly correlated with
    particulate density.
    A positive association between
    the degree of
    air pollution and the incidence
    of both bronchitis
    and lung cancer
    6
    361

    -6—
    have been made.
    (Air Quality Criteria
    for Particulate Matter,
    U.S.
    Dept.
    of Health,
    Education
    and Welfare,
    Jan.
    1969, AP—49,
    Page
    172)
    Two recent British studies showed increases
    in respiratory illnesses
    in children to be associated with annual mean smoke levels of about
    120 micrograms per cubic meter.
    A study
    of
    the Buffalo,
    New York
    area
    found that increases
    in
    the mortality rate were significantly
    linked
    to higher
    levels of suspended particulate pollution.
    A study
    in the Nashville,
    Tennessee area found significant increases
    in all
    respiratory deaths
    at soiling levels over
    1.1 COH annual average.
    The number
    of deaths
    in New York City was reviewed for
    excess
    mortality
    in relation
    to the air pollution episode of November
    1953.
    Excess deaths were related
    to increased concentrations
    of sulfur dioxide
    and suspended particulates.
    The lowest particulate
    levels at which
    health effects appear
    to have occurred
    in this country are reported
    in
    studies of Buffalo and Nashville.
    The Buffalo study clearly
    shows
    increased death rates
    from selected causes
    in males and females
    50
    to 69 years old
    at annual geometric means
    of
    100 micrograms
    per cubic
    meter and over.
    The study suggests
    that mortality may rise
    in areas
    with
    two year geometric means
    of
    80 micrograms
    per cubic meter
    to
    100
    micrograms
    per cubic meter.
    The Nashville
    study suggests increased
    death rates for selected causes
    at levels above
    1.1 COHs.
    Sulfur
    oxides were also present during the periods studied.
    (Air Quality
    Criteria
    for Particulate Matter,
    U.S.
    Dept.
    of Health, Education
    and
    Welfare,
    Jan.
    1969,
    AP—49, Page
    183)
    During
    the recent hearings
    it was variously stated that the open
    hurninci of landscape waste causes
    a
    fire hazard,
    a visibility
    problem
    on highways,
    damage
    to pavement and endangers
    the health of citizens.
    Other persons described.
    the problems which accompanied the ban
    on
    burning:
    the fact that leaves plug storm sewers when
    they are not
    disposed
    of;
    that compost piles in back yards often harbor rodents,
    sometimes give off odors and are unsightly~ that the useful
    life of
    a landfill
    is reduced by putting landscape waste
    in
    the
    landfill;
    that plastic bags
    sometimes used for
    the disposal
    of leaves are not
    readily degradable;
    that machinery
    and manpower to haul leaves
    and
    collect them costs money;
    that
    an air curtain destructor
    for
    the
    burning of landscape waste also costs money and may not be very
    efficient
    for
    the burning
    of loose leaves.
    There was
    a considerable amount of testimony regarding
    the
    special problems
    of
    the smaller communities.
    The smaller munici-
    palities often have
    a small
    tax base which
    is insufficient
    to provide
    the financing
    for refuse and waste collection,
    A higher percentage
    of the citizens
    in the smaller communities are senior citizens
    living on
    a more meager
    income and unable
    to handle
    the additional
    cost of collection
    of
    landscape waste.
    Not
    only
    do the smaller communities have
    a greater financial
    probem
    in
    disposing
    of
    leaves
    but
    generally
    they
    have
    a
    better
    air
    ciuality.
    They have
    less
    pollution
    from
    the
    burning
    oi
    leaves.
    362

    —7—
    EPA witness, David Gray,
    testified
    that
    Illinois
    had
    540
    land-
    fills.
    A majority of sanitary landfills are located close to
    metropolitan
    areas.
    Smaller
    communities,
    quite
    often,
    are
    not
    near
    a
    landfill.
    Relaxation
    of
    the
    ban
    for
    the
    smaller
    communities,
    he
    said,
    would
    have
    a
    favorable
    effect
    on
    the
    life
    of
    those
    landfills
    and
    reduce
    the
    problc.:~of
    hauling
    waste
    a
    longer
    distance
    which
    is
    gui
    often
    the
    case
    for
    the
    smaller
    communities.
    At most of the hearings the witnesses concentrated on showing the
    smaller municipalities should be permitted to burn landscape waste
    if they did not adjoin a larger metropolitan area.
    Stanley A. Nelson,
    Director of the Quad—City area Regional Air Pollution Control Agency
    submitted a statement:
    “Rock Island County
    (as well as some of the
    others listed) has a rural area several times that of the metro-
    politan area.
    Several of the small communities are situated only
    a few miles from an adjacent county where a co~munityof similar
    size would be permitted the exemption.
    These communities feel that
    this discriminates against those located in a ccunty containing a
    metropolitan area.
    They agree that any municipality, regardless of
    size, which is contained in or is contiguous with a metropolitan
    area should be included in the ban on open burnina applying to the
    metropolitan area.
    It would seem the primary consideration should
    be the proximity of a community to a major metropolitan area rather
    than just the county in which it is located”.
    Donald A. Raselhoff representing the Bi-State Metropolitan
    Planning Commission stated that it was unrealistic to designate
    all of Rock Island County as a buffer zone.
    He said,
    however,
    that open burning should be prohibited in the metropolitan area.
    (Rock Island,Haselhoff, p.
    5)
    At the last hearing
    (f4acomb October 12,
    1972) representatives
    of park districts and larger municipalities appeared and requested
    authority to burn landscape waste for a period of several weeks in
    the autumn and another period of several weeks in the spring of each
    year.
    This proposal was substantially different from the proposal
    which had been submitted to the Board and had been published in our
    newsletter.
    Such a substantially different proposal would require
    20 days notice to the public and a new schedule of hearings pursuant
    to our statute, EPA Section 28.
    The proposal came too late to
    accomplish its purpose for the 1972 leaf disposal season.
    We
    suggest that any person or municipality desiring to make further
    changes in the Regulation may make such a proposal pursuant to
    Rules 203 and 204 of our Procedural Rules.
    Those Rules provide
    that ten copies of each Proposal for Anendment or Repeal of a
    Regulation shall be filed with the Clerk.
    The proposal shall
    include the text of the proposed regulation or amendment and a
    statement of reasons supporting the proposal.
    S
    353

    —8—
    In
    an
    effort
    to
    broaden
    the
    hearings
    and
    show
    that
    air
    quality
    in
    some
    of
    the
    larger
    cities
    meets
    the
    Federal
    Standards,
    the Rock
    Island Park Director submitted
    1971 data from
    a
    tape sampler which
    is used
    to determine Coefficient of
    Haze
    (COH)
    in
    downtown
    Rock
    Island.
    This
    method
    of
    sampling
    does
    not
    conform
    to
    the
    Federal
    requirements
    as
    a
    method
    of determining
    the weight of particulate
    matter
    in the
    air.
    Federal law requires that
    a
    Hi Vol
    sampler be
    used
    for this purpose.
    One
    is located in Rock Island and shows
    that in 1971
    the geometric mean was
    90 micrograms
    per cubic meter—-
    a
    figure
    in excess
    of both the Primary and Secondary Air Quality
    Standards.
    It
    appears,
    however,
    that the COB readings during
    the
    6
    weak
    leaf burning period of 1971
    (October
    15
    -
    November
    30) were
    only
    slightly higher than
    the annual average and Rock Island did
    not
    at any time approach
    COH readings which would have required
    an
    Episode alert.
    For the larger municipalities there are alternatives
    to the
    hurninq of landscape waste:
    Municipalities have used vacuum tank
    trucks
    for
    the
    collection
    of loose leaves and have used garbage
    compacting
    trucks
    for
    the
    collection
    of bagged leaves.
    The loose
    twius,
    leaves,
    and
    brush
    may
    be
    disposed of through incineration,
    comnostinq or sanitar~ landfill.
    The bagged leaves
    are disposed
    of at sanitary landfills.
    Use of plastic bags and sanitary
    landfill
    is probably
    the most practiced
    and least desirable method
    for disposal
    of leaves.
    The
    leaves
    as
    a result
    of
    the high cellulose
    content are not considered good
    landfill material.
    The plastic bags
    full of leaves
    use up
    a landfill more rapidly
    than necessary and
    create
    a hazard because
    of
    the pressure of gasses built
    up beneath
    the
    unstable ground.
    Public Works Journal Corporation,
    F.
    Stroudsbercj,
    :eflns~,7lvania, Vol.
    103,
    No.
    1,
    January
    1972,
    p.
    51.
    This Board
    previously stated
    that
    ‘we have some reservations about
    the spreading
    practice
    of placing leaves
    in plastic bags
    for collection.
    Plastic
    bags are relatively non-~degradahleand may interfere with normal
    decomposition
    of
    the leaves
    in
    a sanitary
    landfill.
    Moreover,
    the
    gaseous products
    of incineration
    of plastic bags may not be desirable
    additions
    to the air”.
    September
    2,
    1971 Opinion
    Nunicipalities
    or persons
    who
    have access to an air curtain
    destructor
    or similar
    device may
    apply
    to the Environmental
    Protection
    Agency for a permit to burn landscape wastes.
    Rules
    404 (a) (4)
    .
    We
    have
    some doubt whether such devices are entirely effective for the
    burning
    of
    loose
    leaves.
    One
    nossible
    solution
    would
    be
    to
    have
    the
    leaves
    compressed
    and
    baled
    before
    introduction
    into
    the
    destruction
    pit.
    Composting
    is
    probably
    the
    least
    practiced.
    method
    of
    municipal
    disnosal
    of
    landscaoe waste.
    However,
    some communities are now
    turning
    to
    the
    recycling
    of
    leaves
    with
    connostinci
    programs,
    These
    eropranmied
    methods
    can
    take
    30
    cubic
    yards
    of
    street
    collected.
    leaves
    C ~i
    cdu
    a
    t~e~
    in
    La onc cu~~
    ya
    ct
    o~ r
    ch
    blaci
    Ceaf
    rio_n
    ~
    c

    —9—
    when returned to the soil,
    can promote growth and restore
    a vital
    link in nature’s chain.
    Public Works Journal Corporation,
    E.
    Stroudsberg, Pennsylvania, Vol.
    103, No.
    1, January 1972,
    p.
    48.
    Brookhaven, New York, population 250,000, has developed a
    program which
    includes publishing and distributing
    free booklets
    on composting and t~hedevelopment of composting demonstration
    centers.
    Plastic bags have been ruled out in favor of
    a new bio-
    degradable Kraft paper bag.
    Maplewood, New Jersey which has had
    a composting program since
    1931 has been able to realize
    a modest
    profit from the sale of composted leaves.
    Compost Science, Rodale
    Press,
    Emmaus,
    Pa., Volume
    12, Number
    6, Nov.—Dec,,
    1971,
    p.
    3.
    Tennafly, New Jersey because of a municipal composting program
    cleans catch basins and drainage systems only one—third as often
    as before.
    Wellesley, Mass., with a population of 28,000 has had
    a leaf composting program for
    12 years and reports
    a production
    of 5,000
    cubic yards
    of leaf mold.
    Public Works Journal,
    Jan.
    1972,
    pgs.
    45-50.
    Although not all of the communities utilizing composting
    programs can report profit, most have reported reduced cost in the
    handling of leaves in addition to environmental quality gains.
    Individuals also will ordinarily have other methods for leaf
    disposal available to them.
    Where a relatively small quantity of
    landscape waste is involved it may be convenient simply to place
    it in bags
    for municipal collection.
    When it becomes available,
    the paper bag is to be preferred.
    If the municipality has a vacuum
    tank collector the individual citizen might find it easier to rake
    leaves to the designated area for collection by the vacuum machine.
    Individuals who have a suitable area might find the individual
    compost pile
    a good solution to their problem.
    Composting machines
    may
    be
    rented
    or
    purchased
    to
    quicken
    the
    process
    of
    shredding
    the
    leaves for a compost pile.
    These shredders are also available
    to
    reduce the volume of leaves and small
    limbs for insertion into
    bags.
    Others will simply mulch the leaves onto the ground.
    We find
    from the evidence that smaller communities do not have
    the financing
    and
    the manpower to provide good alternatives
    to leaf
    burning and in many cases
    there is no landfill near the smaller
    municipalities.
    We further
    find
    it unlikely that the Federal
    Air
    Quality Standards will
    be violated by open burning
    of landscape waste
    in municipalities of 2,500 persons or less which do not adjoin larger
    municipalities
    and are located outside our major metropolitan areas
    of Chicago and
    B.
    St.
    Louis.
    We believe that the burning permitted
    by the Regulation can be conducted wiLhout harm
    to the public.
    Care
    must still be taken in setting individual
    fires since the Regulation
    is not intended
    to condone open burning which constitutes
    a nuisance
    or causes
    a violation of Air Quality
    Standards.
    Park districts
    or
    forest
    preserves which are not located
    in
    a prohibited
    area may conduct.
    open burning
    6
    365

    —10—
    of landscape westa,
    hut, because of
    the quantities of waste which
    may be involved need.
    to take special care not to create a nuisance.
    Such open burning
    of landscape waste
    is authorized
    only
    on the
    premises where
    it
    is nenerated, when atmospheric conditions will
    readily dissipate the contaminants and if the burning does not
    create
    a visibility hazard.
    It has been calculated
    that
    this relaxation of
    the ban will
    affect about
    5
    of
    the population of Illinois.
    It is the unanimous
    opinion of
    the Board that
    the relaxation should be made
    at least
    to that extent.
    The
    Board
    is divided as
    to the necessity’ for pro-
    viding
    still more
    relief from the Regulation previously adopted
    in
    September
    1971.
    Mr.
    Henss would amend
    the Regulation
    to allow open burning
    of
    leaves
    by
    those people who can show that they have no practical
    and
    ecologically sound alternative.
    He states
    that
    the public should have
    a sneedy and inexpensive method
    of obtaining such permission from the
    EPA if
    they have
    a unique disposal problem.
    A majority of
    the Board
    have rejected
    this recommendation.
    In prohibited
    areas,
    the variance
    procedure remains
    as
    the only method available
    to
    the public
    to
    obtain permission
    to burn landscape waste without
    an air curtain
    destructor.
    The
    prohibition
    remains
    in
    effect
    in
    municipalities
    over
    2,500
    in population and
    in their adjoining municipalities;
    and within rural
    areas
    (unincorporated
    areas)
    1,000 feet or less from
    municipalities
    where open burning
    of landscape waste
    is banned.
    Open burning of
    landscape waste
    is
    prohibited
    in all municipalities regardless
    of
    size
    which
    are
    located
    in
    the
    Chicago Metropolitan area,
    i.e. wholly
    within
    40
    statute
    miles,
    by
    air,
    of Meigs Field.
    A similar ban applies
    to all municipalities regardless of
    size in
    the
    E.
    St.
    Louis metro-
    nolitan area,
    i.e.
    wholly within
    20 miles
    of McKinley Bridge con-
    necting
    St.
    Louis,
    Missouri and Venice,
    Illinois.
    I,
    Christen
    1. Mo~fett, Clerk
    of
    the Dollution Control Boa~d
    certiFy
    that
    the
    J3oard
    adonted
    the
    abo~e
    Oninion this
    day
    of
    November,
    1972,
    b
    a
    vote
    of
    ~—Q
    6
    366

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