1. RECEJVED
      2. NOTICE OF FILING
      3. IN THE MATTER OF:
      4. ENTRY OF APPEARANCE
      5. RECEIVED
      6. REGULATORY REQUIREMENTS

RECEJVED
BEFORE THE ILLINOIS POLLUTION CONTROL BOARD
CLERK’S
OFFICE
JUN 30
2005
STATE OF ILLINOIS
IN THE MATTER OF:
)
Pollution Control Board
)
Petition ofthe Village ofBensenville
)
AS 05-02
forAdjusted Standard from
35
Iii. Adm.
)
(Adjusted Standard)
Code 620.410 regarding Chloride and Lead
)
PROOF OF
SERVICE
I, Melanie A. Jarvis, an attorney, hereby certif~’
that I caused the attached pleadings to be
served upon all parties listed on the attached Notice ofFiling via first
class U.S.
mail from
1021
North Grand Avenue East, Springfield, Illinois 62794-9276.
Melanie A. Jarvis
U
Assistant Counsel
Division ofLegal Counsel
Illinois Environmental Protection Agency
1021 North Grand Avenue East
P.O. Box 19276
~
Springfield, Illinois 62794-9276
(217)
782-5544
TIllS FILING SUBMITTED ON RECYCLED PAPER.

RECEIvED
CLERK’S OFFICE
BEFORE THE ILLINOIS POLLUTION CONTROL BOARD
JUN
302005
STATE OF ILLINOIS
Pollution Control Board
NOTICE OF FILING
To:
Village ofBensenville
do McGuireWoods LLP
David L.Rieser
77 West Wacker Drive, Suite 4100
Chicago, IL
60601
PLEASE
TAKE
NOTICE
that todayIhave filedwith the Office ofthe Clerkofthe
Pollution
Control
Board
the
ILLINOIS
ENVIRONMENTAL
PROPTECTION
AGENCY’S
RESPONSE
TO
THE
SECOND
AMENDED
PETITION
FOR
ADJUSTED STANDARD
and an ENTRY OFAPPEARANCE in theabove titledmatter.
Copies ofthese documents are hereby served upon you.
ILLINOIS ENVIRONMENTAL PROTECTION AGENCY
By:’~\jQ~4J
J
.
Melanie A. Jatvis
Assistant Counsel
Division ofLegal Counsel
1021 North Grand Avenue East
P.O. Box
19276
Springfield, Illinois 62794-9276
(217) 782-5544
IN THE MATTER OF:
)
)
Petition ofthe Village ofBensenville
)
AS 05-02
for Adjusted Standard from
35
Ill. Adm.
)
(Adjusted Standard)
Code 620.4 10 regarding Chloride and Lead
)
THIS FILING SUBMITTED ON RECYCLED PAPER.

RECEIVED
CLERK’S OFFICE
BEFORE THE ILLINOIS POLLUTION CONTROL BOARD
JUN
302005
IN THE MATTER OF:
Petition ofthe Village ofBensenville
for Adjusted Standard from
35
Ill.
Adm.
Code 620.410 regarding Chloride and Lead
)
)
STATE OF ILLINOIS
Pollution Control
Board
)
AS 05-02
)
(Adjusted Standard)
)
ENTRY OF APPEARANCE
I, Melanie A. Jarvis, hereby entermy appearancein the above-entitledaction on behalfofthe
Illinois Environmental Protection Agency.
Illinois Environmental Protection Agency
1021 North Grand Avenue East
P.O.Box
19276
-
Springfield, Illinois 62794-9276
(217) 782-5544
THJS FILING SUBMITTED ON RECYCLED PAPER.
Melanie A. Jarvis
Assistant Counsel
Division of Legal Counsel

RECEIVED
CLERK’S OFFICE
BEFORE THE ILLINOIS POLLUTION CONTROL BOARD
JUN
302005
STATE OF ILLINOIS
Pollution Control Board
IN THE MATTER OF:
)
)
Petition ofthe Village ofBensenville
)
AS 05-02
for Adjusted Standard from
35
Ill. Adm.
)
(Adjusted Standard)
Code 620.410 regarding Chloride and Lead
)
ILLINOIS ENVIRONMENTAL
PROTECTION
AGENCY’S RESPONSE
TO
THE SECOND
AMENDED PETITION
FOR
ADJUSTED STANDARD
NOW COMES the Respondent,
the Illinois
Environmental Protection Agency (“Illinois
EPA”), by one of its
attorneys, Melanie A. Jarvis, Assistant Counsel,
and for its response to the
Village ofBensenville (“Petitioner”)(”Village”) Second Amended Petition foran Adjusted Standard
would respectfully state:
1.
This response is filedpursuant to
35
Iii. Adm. Code 104.416.
2.
The Petitioner filed its Petition for an Adjusted Standard with the Illinois Pollution
ControlBoard (“Board”) on January 3, 2005.
3.
Petitioner seeks an adjusted standardfrom 35111. Adm. Code Part 620.410 regarding
Chloride and Lead.
PRELIMINARY DISCUSSION
The Illinois EPA has the following comments regarding the PetitiOn:
4.
Inregards to landfill gas, the Illinois EPAhas reviewedits records and the landfill gas
generation has been investigated four times
with no
serious problems detected.
The landfill was
filled with mostly Construction and Demolition debris, so only small amounts oflandfill gaswould
be expected.
:1-

5.
Section ifi C. CLOSURE/POST-CLOSURE CARE HISTORY:
The Illinois EPA
cannot
corroborate
the
statement
in
last
line
of the
sixth
paragraph:
“No
other
constituent
concentration in Site groundwatercurrently exceeds Illinois Class Igroundwater qualitystandards.”
However, lack corroborations doesnot alter Illinois EPA recommendationregardingtherevised June
3, 2005 Petition.
6.
Section ifi C. CLOSURE/POST-CLOSURE CARE HISTORY:
The first line ofthe
last paragraph infers that the IEPAbelieves,
along with the Petitioner, that the sources ofchloride
and lead are due to “non-landfill sources”.
The Illinois EPA cannot state that the landfill has been
excluded as a source; however, concurs that road salt is a contributing source ofchloride.
7.
Section JV B. DESCRIPTION OF GROUNDWATER CONDITIONS AND LACK
OF ENVIRONMENTAL IMPACT
(35
Ill. Adm.
Code
104.406(g)).
In the third paragraph and
footnote 2, the Petitioner bases groundwater flow velocityon a hydraulic conductivity and porosity
on generalized text (e.g., Fetter, C.,
1980, Applied Hydrogeology).
Such general text estimations
may differ significantly from actual site conditions
and should never be used as a substitute in a
technical investigation involving groundwater.
However, the lackofsite datadoes not alter Illinois
EPA recommendation regarding the revised June 3, 2005
Petition.
8.
Sectioi~iV. DESCRIPTION
OF
COMPLIANCE
EFFORTS AND
IMPACT
OF
EFFORTS TO COMPLY
(35
Ill. Adm. Code 104.406(e)). The Illinois EPAcannot corroborate the
cost estimatesprovided by the Petitioner(e.g., no written invoice fromLayne GeoConstructionwas
provided for the cut-offwall; a generalized hydraulic conductivity and porosity was usedto derive
flowratein determiningdrawdown and thenumberofwells needed, etc.) However, theillinois EPA
2

does concur that remediation costs
for chloride, as described in the revised June 2, 2005 Petition,
would be expensive.
REGULATORY REQUIREMENTS
16.
35111. Adm. Code 104.406(a):
ThePetition foranAdjustedStandardcontainsa
statementdescribing the standard from which an adjustedstandard is sought.
This statement canbe
found on page three (3) ofthe petition.
16.
35
Ill. Adm.
Code Section
104.406(b):
Theregulationofgeneral applicability,
35 Ill. Adm. Code 620.410 was enacted to implement the requirements ofthe Illinois Groundwater
Protection Act, 415 ILCS
55/1
et seq. This representation is stated on pagethree (3) ofthe Petition.
18.
35 Ill. Adm. Code Section
104.406(c):
Petition
correctlyrepresents
that
the
regulation ofgeneral applicability does not specifya level ofjustiflcation necessary foran adjusted
standard at page three (3).
19.
35
Iii. Adm. Code Section 104.406(d):
Asrequired,pagesfour(4)througheight
(8) ofthePetition provide a descriptionofthenature ofthepetitioner’s activity that is the subject of
the adjusted standard.
20.
35 Iii. Adm.
Code Section 104.406(e):
Pages seventeen (17) throughtwenty-
four (24) of the Petitjon provide a description ofthe
efforts necessary if the Petitioner were
to
comply with the regulation ofgeneral applicability.
21.
35
Ill. Adm. Code Section
104.406(f):
The
Petition
provides
a
narrative
description of the proposed adjusted standard and proposed order.
This requirement is found on
pages twenty-seven (27) through twenty-eight (28) ofthe Petition.
This Section ofthe Petition is
incorrectlymarked as satisfying the requirement in subsection (g) of Section 104.406.
3

22.
35
III. Adm.
Code Section
104.406(g):
This
requirement
is
fulfilled
in
the
Petition on pages eight (8) through seventeen (17)by stating thequantitative and qualitative impact
ofthe Village’s proposed adjusted standard upOnthe environment.
23.
35111. Adm.
Code Section
104.406(h):
Pages twenty-four(24)through twenty-
six (26) ofthe Petition sets forth the Petitioner’s required statement ofjustification for the adjusted
standard.
24.
35
Iii. Adm. Code
Section 104.406(i):
The Petition, on page twenty-six (26)
sets forth whether the proposed adjusted standard is consistent with applicable federal law.
25.
35 Iii. Adm.
Code Section
104.406(j):
The Petitioner expressly waives their
right to a hearing on page twenty-eight
(28).
Ifthe Board deems a hearing necessary, the Illinois
EPA will be in attendance.
WHEREFORE,
the Illinois EPA, recommends that
the illinois
Pollution Control Board
grant the Petitioner’s Petition for an Adjusted Standard for the following reasons:
1.
Road salt appears to be a contributing source, if not the sole source, ofchloride
contamination.
Unless road salting ceases, it would be unlikely that any clean-up efforts would
significantly alter chloride concentrations downgradientofthe landfill.
2.
The major aquifer in the area, the Silurian dolomite, exhibits comparable
concentrations ofchloride as found in the “lower water bearing unit” that
is monitored at the site.
The two units are in direct hydraulic connection; however, lack ofchloride clean-up ofthe lower
water bearing unit would not likelyresult in a significant change in the overall groundwater
quality ofthe Silurian dolomite.
4

•It
is further recommended that the Petitioner record an
ELUC to
preclude use as earlier
suggested by the PCB.
Respectfully submitted,
ILLiNOIS ENVIRONMENTAL PROTECTION AGENCY
By:
A9QOi,~*
L~Q.
Melanie A. Jarvis
Assistant Counsel
Division ofLegal Counsel
1021 North Grand Avenue East
P.O. Box
19276
Springfield, Illinois 62794-9276
(217) 782-5544
THIS FILING SUBMITTED ON RECYCLED PAPER.
5

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