Waste Alternatives and Consulting, LLC
July 26, 2006
MS. DOROTHY GUNN, CLERK
Illinois Pollution Control Board
James R
. Thompson Center
100 West Randolph
Suite 11-500
Chicago, Illinois 60601
RE : R2006-020
Dear Illinois Pollution Control Board Members :
Waste Alternatives and Consulting is writing you In regards to
: In the Matter of Amendments to the
Board's Special Waste Rules Concerning Used 011, 35 III . Adm . Code 808, 809, RC 06-20 .
Thank you for this opportunity to provide public comment in the above-referenced rulemaking
. I
submit this comment on behalf of WAC, a member of NORA
. WAC is a consulting firm specialized in
the used oil recycling and wastewater treatment industries
. WAC endorses and supports NORA's rule
proposal and requests that the Board adopt the language proposed by NORA
.
Special Waste manifesting for used oil, including those substances entitled to be regulated as used oil
pursuant to federal and state regulations, is burdensome and unnecessary
.
In dosing, our company believes that the current manifesting requirements in Illinois for Used Oil and
items regulated as Used Oil are unnecessary and burdensome
. We strongly encourage the Board to
adopt the language proposed by NORA
. We look forward to the Board's adoption of NORA's rule
proposal .
©RIGINA!
RECEIVED
CLERKS
JUL 3
1 2006
STATE OF ILLINOIS
Pollution Control Board
Sincerely,
Waste Alternatives and Consulti
2313 Far Hills Ave
. ; PMB 187 ; Dayton, OH 45419
(937) 477-4447
wacjmp@aol .com
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