PCB 91
-
17
(Permit Appeal)
JAN
2
81991
STATE
OF
LLft4(~”
L~~BON~L~
NOTICE OF FILING
Ms. Dorothy M. Gunn,
Clerk
Illinois Pollution Control
Board
100 West Randolph Street
Suite 11—500
Chicago,
IL 60601
Bernard Killian, Director
Illinois Environmental Protection
Agency
2200 Churchill Road
P.O. Box 19276
Springfield,
IL 62794
PLEASE TAKE NOTICE that on Monday, January 28,
1991, we
filed the attached Petition to Amend Permit Appeal with the
Clerk of the Illinois Pollution Control Board,
a copy of which
is herewith served upon you.
Richard
J. Kissel
Lisa Marie Anderson
GARDNER, CARTON & DOUGLAS
321 North Clark Street
Suite 3100
Chicago,
Illinois
60610—4795
(312)
644—3000
Respectfully submitted,
BF GOODRICH CORPORATION
P~t ~
BEFORE THE POLLUTION CONTROL BOARD
OB
THE STATE OF ILLINOIS
BF GOODRICH CORPORATION,
Petitioner,
v.
ILLINOIS ENVIRONMENTAL
PROTECTION AGENCY,
Respondent.
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1411a
JAN
281991
BEFORE THE POLLUTION CONTROL BOARD
THE STATE OF ILLINOIS
P~aUTION
t~ONTROLBOARD
BF GOODRICH CORPORATION,
)
)
Petitioner,
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)
v.
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PCB 91
-
17
)
(Permit Appeal)
ILLINOIS ENVIRONMENTAL
)
PROTECTION AGENCY,
)
)
Respondent.
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PETITION TO AMEND PERMIT APPEAL
Petitioner,
BF Goodrich Corporation,
(“BF Goodrich”),
by
its attorneys,
Gardner, Carton & Douglas, hereby petitions the
Illinois Pollution Control Board
(the “Board”),
to amend its
permit appeal
in this matter.
In support thereof,
BF Goodrich
states
as follows:
1.
On Thursday, January 24,
1991,
BF Goodrich filed
its
Permit Appeal
in this matter.
Additional
information has been
discovered which prompts BF Goodrich to seek to amend that
permit appeal
to include the language in paragraphs 2—5 below.
Load and Concentration Effluent Limitations
2.
On pages 2-5 of the permit,
the Agency has included
load or mass
limitations for each of the chemical parameters
outlined in the OCPSF regulations promulgated by the U.S. EPA.
40 C.F.R. Section 414.90
~j
~g.
BF Goodrich understands that
the specific chemicals require regulation but believes that the
duplicative limitations are unnecessary and that the
calculations
are erroneous.
3.
Essentially,
the federal regulations require:
Any point source subject
to this subpart must
achieve discharges not exceeding the quantity
(mass) determined by multiplying the process
wastewater flow subject to this subpart times
concentrations in the following table.
40 C.F.R.
Section 414.90.
It is clearly the intent of the regulations, and moreover,
is
expressly stated in the regulations,
that the discharger must
achieve compliance by not exceeding the “quantity (mass)
limits.”
The regulations clearly did not intend
to, nor do
they require,
a discharger
to comply with concentration
limitations.
The concentrations provided are to be used to
calculate the mass effluent limitations and were not intended
to be
a limitation or standard themselves.
BF Goodrich ques-
tions whether the concentration effluent limitations might be
better characterized as concentration reference values for pur-
poses
of reference and calculation only.
4.
As the regulations clearly intended the limitations to
be mass
and not concentration based,
it
is duplicative and un-
necessary to
require BF Goodrich to comply with two effluent
limitations.
While BF Goodrich recognizes that it
is generally
within the Agency’s discretion to include certain concentration
limitations,
the federal statute expressly intended only to
require
a mass effluent limitation for OCPSF chemicals.
Therefore,
the Agency’s inclusion of the concentration
limitations
is not necessary to accomplish the purposes of the
Act.
—2—
5.
Additionally,
it appears that the Agency has
calculated the daily average based on the monthly average flow
amount.
BF Goodrich believes that to do so ignores the daily
flow variations and in turn could result
in daily maximum load
limitation excursions even when the concentration based
limitations
are being met.
Thus, BF Goodrich believes that the
calculations for the OCPSF load limits should correspond with
the maximum daily flows and maximum thirty day average flow,
respectively, rather than the average flow.
WHEREFORE,
BF Goodrich Corporation hereby requests that the
Board amend BF Goodrich’s permit appeal and provide additional
relief consistent with the language included in this petition.
Respectfully submitted,
BF GOODRICH CORPORATION
Richa rd J.
Kisse1
Lisa Marie Anderson
GARDNER, CARTON & DOUGLAS
321 North Clark Street
Suite 3100
Chicago,
Illinois
60610—4795
(312)
644—3000
141 la
—3—
CERTIFICATE OF SERVICE
The undersigned, being
sworn,
states that copies of the
attached Petition
to Amend Permit Appeal, were filed with the
Clerk of the Illinois Pollution Control Board,
a copy of which
is attached hereto and served upon you by U.S. Mail,
on Monday,
January 28,
1991.
__________-
Subscribed and sworn to
before me this 28th day
of January,
1991.
Notary Public
1411a
ADA MARRERO
~
NOTARY PUBLIC. STATE OF ILLINOS
MY
COMMISSION
EXPIRES
11/13/94