O/2/200
16:11
FAX
3096852093
RECEIVED
11001/0O1
CLERK’S
OFFICE
I
SEP
29
2008
.:
Jon
Therriault,
IPC’13
brom:
loin
Lcl\\
ards
9P
S/0
here’
s
a
more
legible
copy
of
my
Sept.
25
ic-tier
ui
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F
lie
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2
j’
clifiLlences
horn
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i
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id
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‘1
c )iRCk.
I
i
c:
uple
of
misspellings
(as
analogous)
. 1
also
mailed
this
to
you
Sept.
26,
but
mail
sometimes
takes
fore
,er.
II
flois
Pollution
Contiol
Bo
tid
C
is
No
‘\
(IS
II)
Torn
Fdwuds
IHI
W.Ranctoiph
St.,
Suite
1
l500
902W.
Moss
\ve.
C’h
.ago.
IL
60601
Sept.
25,
2005
Peoria,
IL
6l6fl6
Additional
Considerations
ibr
Case
AS
08—
10
J
cl
giouiid
As
stated
in
my
August
18
md
28
2008
letteis
10
the
IPCB
the
petition
( I
Pc
.)ria
Disposal
Co.
(Case AS
08—
10)
to
allow
delisting
anti
transfer
of
KO6
1 electric
arc
aace
(EAF)
dust
from
PDC’s
toxic
waste
landfill
at
Peoria
to
a
retular
puhi.
c landfill
:irt
:r
“treatment’’
is
clearly
far
off
base
and
needs
to
he
clisniissed,
because
the
treatment
Paicess
is
“secret.’’ Therefore,
the
public
has
ito
way
of evaluating
it.
PDC
notecl
at
the
Aug.
1$
1PCB
public
hearing
on
the
transfer
permit
that
its
purpose
is
a
leave
some
room
in
its
Peoria
landfill,
near
the
end
of
its
capacity,
to
avoid
the
lli;aois
EPA
being
able.
to lorce
its
closure
for
another
10
or
20
years.
Reason: PDC
may
well
have
financial
tears
over
possible
multi—million
costs
of
EPA’s
.e
dly
mandated
30
years
of
J)ost—clOsUie
care
ot
its
massive
Peoria
landfill.
i—I:
wever.
the
Peoria
area
public
has
a
more
overriding
concern
——
the
future
health
and
Ii V :biiity
of
the
Peoria area,
and
impact
of
PDC’
s landfill
on
that
——
just
being
realized.
sible
Alternatives:
The
IPCB could
summarily
dismiss
the
PDC
petition
as
untenable
and
unprovabic
at
time.
The
idea
of
using
the
Peoria
PDC
landfill
as
a
“transfer
Site’’
ft)r
“treated’’
EAF
dust
wa;,
in
effect,
decided
in
August,
2007,
by
the
IIZPA
\vhen
it
summarily
reecte :1
Pl)C’s
icc
.iest
to
be listed
as
the
“generator”
of
the
waste
being
brought
in rather
than
the
“:ceeiver”
because
PDC
may
add
other
materials
to
it
(essentially
to
keel)
the
li;Lht
EAF
dm’..;t
from
blowing
away).
Changes
(mainly diluting)
the
toxic
waste after
it
co:ne.s
in tc:
ni:ke
its
toxic
percentage
less
does
not
change
its initial
status,
the
EPA
ruled.
P.DC’
s
latest
PrOPOSctl
simply
again
attempts to
classify
itself
as
the
“genera
tor’
icr
than
the
receiver and
disposer
of
the
waste.
**
S.{.
to
be
explored
is
why
the
secret
technology
P1)C
Says
it
now
has
to
deal
with
the
tc.
csolids
in
the
EAF
dust,
can’t
be
applied
j.ght
at
the
steel
plants
where
it is
made.
‘fit
.n
if
it
is
truly
safe.
rather
than
being
trucked
several
hundred miles
into
Pc
:wia
for
PiZ
to
deal
with, the
steel
manufacturers
could
do
that
right
at
their
own
plant
.
then
iii ply
take
it to
the
closest local
landfill
in
their
own
community.
That
would
cut
down,
too,
on
motor exhaust
pollution and
traffic hazards.
The
claim
for
this
secret
process
for
removing
toxics
essentially
just
address
es
the
14
wavy
metals likely
to
be
in
the
steel
manufacturing
waste
But
there
is
also
.r
iii
. ltitude
of
“volatile,
gaseous
toxic
chemicals
in
the
waste that
vaporize
into
the
air,
iic
.uding
poisonous
doxins
and
lurans.
I\4etalsas
mercury
and
compounds
of
Icad
and
c*hi amium will
also
evaporate
into
the
air.
But
all the
discussion
regards
controlling
the
toxic
metals
in
the
steel
mill
w
iste
——
ol
coffli
ollmg
the
myi
iacl
of
olafllt.
chcmiL
us
in
such
v
astc
I
h
v
ill
bt
I maim’
oil
into
the
air
during transport,
handling
——
and
“treatment’’
to
remove
toxic
i aetals.
This
whole
scenario
of
a new
“secret’’
means
of
dealing
with
the
toxics
in
st
ci
mill
wa;tes
is
based
on
tests
clone,
presumably,
on
samples
from
the
10
steel
mills
that
would.
so
far,
be
involved
from
six
different,
states —— with
64.3%
coming
from
outside
Illinois
lied
an
IEPA official
and
asked
who
submitted the
waste
samples
to
EPA
to
he
tested.
Hi:;
on
the
spot,
immediate
response
was
“PDC supplied
the
samples.”
Isn
‘.
that
malogois
lie
jroverhiai
tar
guard
jng
the
henhouse?
(I apprecIate
his
honesty,)
Tom
Edwards/River
Fescue
/
_