ILLINOIS POLLUTION CONTROL BOARD
    March
    28,
    1972
    In the matter of
    )
    P31—15
    PLANT
    NUTRIENTS
    Concurring Opinion by Jacob
    D.
    Dumelle
    While
    I voted with the 5-0 majority to defer action on the
    proposed regulation
    and
    to conduct more research
    I did so with
    reluctance because there was simply nothing else
    to do at this
    time.
    A vote for
    “more research”
    is often
    a common way
    to avoid a
    decision and it must be remembered that
    “not to decide is
    to decide.”
    To my mind,
    the Board
    (and
    I include myself)
    at an early
    stage
    in these hearings ought to have analyzed the record and asked that
    specific witnesses be brought in to discuss the validity of the
    45 mq/l NO1 standard;
    the cost of nitrate removal by municipal
    water planes;
    and alternatives
    to the proposed regulations.
    iinfor—
    tunatelv the hearings focused almost exclusively on fertilizer
    movement in soil and were at best incidentally directed to these
    other important questions.
    Consequently the abilities of various
    state aqencies to draw upon expert knowledge for answers was not
    adeauatelv utilized early in this rule-making process.
    In the
    Effluent Standards proceedings
    (R70—8)
    the Board
    in early 1971 decide~
    that cost data on industrial treatment methods was badly needed and
    obtained it in a short time with Institute assistance.
    In the Air
    Regulations
    (R71—23)
    the Board in recent public sessions discussed
    areas where evidence was lacking and as
    a result received further
    information, largely from the Agency.
    In my recent statement on the Proposed Phosphate Detergent Ban
    CR71—b)
    filed March
    22, 1972
    I discussed
    a three question approach
    to
    the decision
    not to act on that proposal.
    Let me do the same
    in
    this proceeding.
    The
    three questions are:
    1)
    Is there
    a problem?
    2)
    Is there
    a solution to the problem?
    3)
    Can the solution be afforded?
    To the first question we would all have to say
    “yes.”
    Both
    the Illinois drinking water standards and water quality standards
    are now being exceeded
    as regards nitrates.
    Robert Harmeson of the
    Illinois
    State Water Survey listed the following rivers where levels
    137

    equal
    to or exceeding
    the
    45 mg/i NO3 standard have been measured:
    Wabash, Embarass,
    Illinois, Vermilion,
    CR.
    162, Nov.
    3,
    1971)
    Mr.
    Harmeson also named additional rivers where the nitrate levels
    are trending upward toward the
    standard.
    These include the Edwards,
    Kankakee,
    Kaskaskia, Mackinac and Sanqamon.
    Six of these nine rivers
    are used
    as municipal drinking water
    sources.
    As recently as early
    March
    1972
    a report was released by
    the Macon County
    (Decatur area)
    Health Department by Dr. Fred Grosz showing nitrate violations on
    16 days between December
    27,
    1971 and February
    1,
    1972 of 21 days
    tested in Lake Decatur which
    is
    fed by the Sanoamon River.
    How severe is the problem?
    We do not know on
    the record the
    extent of the “safety factor,’
    if any, built
    into the 45 mg/i NO3
    standard
    and so we do not know how urgently to view the necessity
    to take action.
    Are high nitrates
    in drinking water as urgent
    to
    reduce as mercury or pesticide residues
    for example?
    Dr. Abraham Ceiperin,
    a physician
    at the University of Illinois,
    indicated an abrupt threshold of
    no methemogiobin in infants
    at water
    nitrate levels below 35 mg/i
    (August
    4,
    1971,
    p.
    127-8)
    .
    Presumably
    some methemoglobin can be tolerated by infants and the 45 mg/i
    standard would seem to 1~ave some safety margin built into
    it.
    Of course,
    this
    is not conclusive, all we seem to know
    is
    that the prestigious
    U.S. Public Health Service set the 45 mg/i NO3 standard
    in i962 (per-
    haps earlier)
    and that the World Health Organization has followed
    suit.
    On the other hand,
    the State of California
    (alone of the
    50
    states)
    has
    doubled the standard to 90 mg/i.
    Dr.
    Geiperin,
    in
    an extended appearance before the Board
    on
    August
    4,
    l97i, discussed his preliminary findings based on crude data
    of a significant increase of 56.8
    in
    the death rate of female babies
    in high nitrate water Illinois counties compared
    to low nitrate water
    Illinois counties over
    a ten year period.
    Dr.
    Gelperin promised to
    refine his data prior to December
    10,
    1971
    (the last scheduled Board
    hearing in this proceeding)
    and at this writing, almost four months
    later,
    has not done so
    (p.
    135).
    I would urge him to complete his
    study.
    What could be more urgent than the prevention of infant deaths?
    Another disappointment to me in this proceeding was
    the lack
    of data from blood testing of persons for methemoglobin levels in the
    Decatur area compared to St.
    Louis
    (where presumably
    no drinking water
    nitrate problem exists).
    The
    study was promised to be completed by
    March
    31, 1972 but just got underway
    in March.
    Preliminary data show
    Decatur methemoglobin levels twice
    those of St. Louis residents but
    the significance of the finding is not validated or known.
    Furthermore
    the postulated existence of adults with enzymatic deficiencies
    such
    that high nitrates cannot be tolerated
    is yet to be proven.
    Again,
    a
    public health problem may exist but we do not know its dimensions.
    4
    138

    To the second question,
    one can outline other solutions not
    explored
    in this record.
    Since nitrates are high in Decatur for only
    short periods in
    a year,
    the water supply authority could presumably
    dilute
    its purnpage by 10
    or more with
    a low nitrate water source,
    if one
    is available.
    Or
    the water department might remove nitrates.
    But we do not know the feasibility and cost of either of
    these alter-
    natives.
    And they do have
    the disadvantage of putting the cost
    burden on parties which did not cause the high nitrates.
    Other al-
    ternatives such
    as restricting
    the use of nitrate fertilizers in
    selected watersheds such
    as the Sangamon River should be considered.
    The record suggests
    that agriculture
    is likely the greatest single
    contributor
    of. nitrates
    in certain streams
    such as the Sangamon.
    There
    is
    no basis
    in the record for assuming either that the present
    rate of nitrate application is environmentally proper or
    that it
    is
    even that
    rate at which ontimum uptake by the crop occurs.
    The
    record does indicate
    that because
    a farmer has no adequate method
    for determining the nitrogen content of his soil
    (soil profile)
    the
    individual farmer may well be applying nitrogen beyond that level
    necessary for optimum crop growth with the result that needless excess
    almost certainly flows
    to the streams of Illinois.
    Once
    a widely—
    used method
    for determining soil profile
    is developed, rate restrictions
    alonq
    the
    lines of
    the proposed regulations may well be in order.
    While
    the kind of regulations needed
    for
    a complete answer to the pro-
    blem
    have
    not been fully explored
    a restraint on rate of application
    could have
    some desirable environmental effect without disrupting
    food
    supply.
    Let us draw the parallel between watersheds
    and airsheds.
    The
    watershed
    leading to Lake Decatur
    is overloaded with nitrates.
    To
    lessen the concentration by dilution one either adds to the water
    supply by
    a ground water source or by inter-basin diversion of addi-
    tional water.
    This
    is
    like pulling additional
    fresh air into Chicago
    and
    is certainly more feasible to
    do with water than with air.
    But
    if we
    leave the water supply as being
    fixed in quantity,
    then we
    obviously have
    too many nitrate sources
    for the assimilative
    capacity
    of the water
    (legally defined as
    45 mg/l NO3)
    .
    And the parallel is
    to have
    too many air pollution sources,
    even well—controlled,
    in a
    limited airshed.
    Since on
    the
    state of
    this record we cannot adequately
    answer the second question
    as
    to the solution of the problem we are
    left adrift with the third question which
    asks if the solution can
    he afforded.
    I
    can only urge
    the Institute for Environmental Quality
    to bring
    in what relevant testimony
    it can within
    a short time and
    certainly no later than October
    1972.
    A further point in this record needs
    to be addressed.
    Agricul—
    tural. witnesses
    in this proceeding made the point repeatedly
    that if
    nitrates are
    a problem then education and the voluntary approach
    to
    fertilizer reduction are the best methods to use.
    I am not sure
    4
    -~
    139

    based upon Illinois~experience in soil conservation that the voluntary
    approach will work,
    In the 1967 publication, Water
    for Illinois:
    a
    ~
    for action the statement appears that only
    29
    of Illinois
    farms
    containing
    23
    of the acreage had conservation
    plans
    (p.
    200)
    .
    One
    may well
    ask, if in
    30
    plus years of voluntary soil conservation
    programs only
    29
    of
    the farms had seen
    fit to comply then is volun-
    tary compliance the way to reduce what may he
    a severe public health
    nitrate hazard?
    Former Secretary of the Interior Walter J.
    Hickel,
    in his
    new book Who Owns America?,
    in discussing the generally
    unsuccessful attempts of Interior’s Bureau of Mines
    to get mine owners
    to voluntarily comply with safety standards, capsules his analysis
    and decision
    as
    “.
    .
    .after fifty years of trying
    to educate it was
    time to get
    a good deal
    firmer.”
    I hope
    that Illinois will shortly
    find
    a way to solve its high nitrate drinking water problem.
    ~ ç~\~
    (;.
    4~L.
    ~.•
    J
    ob D
    Duinelle
    B~ardMember
    I, Christan L. Moffett, Clerk of the Illinois Pollution Control
    Board, hereby cer~tifythe above Concurring Opinion was submitted and
    filed on the
    ~
    -,
    day of April 1972.
    -
    ...
    .
    ..
    ,~.‘
    ~
    .
    Christan L. Moffett, Clerk
    Illinois Pollution Control Board
    4
    140

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