1
    1
    ILLINOIS POLLUTION CONTROL BOARD
    2 IN THE MATTER OF:
    )
    )
    3 WATER QUALITY STANDARDS AND ) R08-09
    EFFLUENT LIMITATIONS FOR THE ) (Rulemaking-
    4 CHICAGO AREA WATERWAY SYSTEM ) Water)
    AND THE LOWER DES PLAINES )
    5 RIVER: PROPOSED AMENDMENTS )
    TO 35 Ill. Adm. Code Parts )
    6 301, 302, 303 and 304
    )
    7
    REPORT OF PROCEEDINGS held in the
    8 above-entitled cause before Hearing Officer Marie
    9 Tipsord, called by the Illinois Pollution Control
    10 Board, taken before Laura Mukahirn, CSR, a notary
    11 public within and for the County of Cook and State
    12 of Illinois, at the Thompson Building, 100 West
    13 Randolph, Chicago, Illinois, on the 24th day of
    14 September, 2008, commencing at the hour of 1:00 p.m.
    15
    16
    17
    18
    19
    20
    21
    22
    23
    24

    2
    1
    A P P E A R A N C E S
    2
    MS. MARIE TIPSORD, Hearing Officer
    MR. TANNER GIRARD, Acting Chairman
    3
    MS. ANDREA MOORE, Member
    MR. THOMAS JOHNSON, Member
    4
    MR. ANAND RAO
    MR. NICHOLS MELAS
    5
    Appearing on behalf of the Illinois
    Pollution Control Board
    6
    ILLINOIS ENVIRONMENTAL PROTECTION AGENCY
    7
    1021 North Grand Avenue East
    P.O. Box 19276
    8
    Springfield, Illinois 62794-9276
    (217)782-5544
    9
    BY: MS. DEBORAH WILLIAMS
    MS. STEPHANIE DIERS
    10
    MR. ROBERT SULSKI
    MR. SCOTT TWAIT
    11
    MR. HOWARD ESSIG
    MR. ROY SMOGOR
    12
    BARNES & THORNBURG
    13
    One North Wacker Drive
    Suite 4400
    14
    Chicago, Illinois 6606-2833
    (312)357-1313
    15
    BY: MR. FREDRIC P. ANDES
    Appearing on behalf of the Metropolitan
    16
    Water Reclamation District
    17
    18
    19
    20
    21
    22
    23
    24

    3
    1
    HEARING OFFICER TIPSORD: Let's go
    2
    ahead and go back on the record. Good
    3
    afternoon, everyone. I hope you had a nice
    4
    lunch break, and we're ready to pick up with
    5
    Dr. Rijal and the IEPA's questions.
    6
    MS. WILLIAMS: Good afternoon,
    7
    Dr. Rijal. I'll just start with No. 1. I
    8
    believe that Attachment 3 to your testimony
    9
    is the same as what has been entered as
    10
    Exhibit 38 in the record. Can you clarify
    11
    that for us today?
    12
    DR. RIJAL: Yes.
    13
    MS. WILLIAMS: Great. Question 2,
    14
    your testimony indicates that the district
    15
    performed various fecal coliform distribution
    16
    studies to assist the Illinois EPA in
    17
    determining what the appropriate bacteria
    18
    water quality standard should be for the
    19
    study area. Do you believe fecal coliform is
    20
    an appropriate indicator on which to base a
    21
    water quality standard.
    22
    DR. RIJAL: I do not believe that fecal
    23
    coliform is an indicator of health risk.
    24
    MS. WILLIAMS: Could you repeat that.

    4
    1
    You do not believe it's an indicator of what?
    2
    DR. RIJAL: I do not believe fecal
    3
    coliform is an appropriate indicator on which
    4
    to base the water quality standard.
    5
    MS. WILLIAMS: Do you have an indicator
    6
    that you would recommend on which to base a
    7
    water quality standard.
    8
    DR. RIJAL: I don't have any
    9
    recommendation at this time.
    10
    MS. WILLIAMS: And that would be true
    11
    for whatever type of recreational activity
    12
    we're referring to.
    13
    DR. RIJAL: Yeah. I don't -- I don't
    14
    know. This is reference to Question No. 3,
    15
    isn't it? Yeah.
    16
    MS. WILLIAMS: Three expands on
    17
    Question 2. And if your answer is that you
    18
    don't have one, probably that covers three,
    19
    yes.
    20
    Question 4 at the top of Page 3 of
    21
    your prefiled testimony you conclude that the
    22
    District's effluent was, quote, was not
    23
    adversely impacting the microbial quality of
    24
    the Des Plaines River downstream of the

    5
    1
    junction. Can you explain by what you mean
    2
    by not adversely impacting?
    3
    DR. RIJAL: That first impact here is
    4
    in reference to the fecal coliform bacterial
    5
    lowering.
    6
    MS. WILLIAMS: And can you explain what
    7
    the impact is of the fecal coliform load.
    8
    DR. RIJAL: We compared, as we
    9
    discussed earlier, we compared the fecal
    10
    coliform levels at two sampling locations:
    11
    One being the Des Plaines River site and
    12
    other being the Chicago Sanitary Ship Canal,
    13
    and we compared the fecal coliform lower. So
    14
    this impact was in reference to the levels of
    15
    fecal coliform load impacting the waterway
    16
    downstream of the --
    17
    MS. WILLIAMS: But by impact you mean
    18
    it didn't raise the levels at all.
    19
    DR. RIJAL: No.
    20
    MS. WILLIAMS: And what specific data
    21
    do you base that on.
    22
    DR. RIJAL: When we compared the levels
    23
    of fecal coliform that we found, the
    24
    individual data as well as the geometric mean

    6
    1
    data, and we found the levels were similar at
    2
    both the locations. But when we did the
    3
    statistical analysis, we find higher levels
    4
    when we compared to the general use standard
    5
    of geometric mean of less than or equal to
    6
    200 fecal coliform, less than or equal to 200
    7
    fecal coliform in a 30-day period geometric
    8
    mean standard. When we compared that we
    9
    found that the levels was higher at the Des
    10
    Plaines River site compared to the Chicago
    11
    Sanitary and Ship Canal site.
    12
    MS. WILLIAMS: When you say the levels
    13
    were higher, you mean what.
    14
    DR. RIJAL: When we compared with the
    15
    general use fecal coliform levels.
    16
    MS. WILLIAMS: Do you mean average
    17
    levels? Do you mean --
    18
    DR. RIJAL: Geometric mean. And we
    19
    also looked at the -- it is explained in the
    20
    report that 10 percent of the samples should
    21
    not exceed 400 fecal coliform unit too. We
    22
    looked at that criteria, too, and we found
    23
    the number of samples at the Des Plaines
    24
    River would exceed that advisory limit

    7
    1
    compared to the Chicago Sanitary and Ship
    2
    Canal.
    3
    MS. WILLIAMS: I mean I think you're
    4
    explaining what I'm trying to get at where
    5
    you're talking about numbers of -- comparing
    6
    numbers of violations or comparing actual
    7
    loading numbers or --
    8
    DR. RIJAL: Loading number and compared
    9
    to the general use standard levels. So
    10
    that's why this is in reference, the adverse
    11
    impact here in reference to the fecal
    12
    coliform load.
    13
    MS. WILLIAMS: Do you -- Isn't it
    14
    correct that the maximum fecal coliform
    15
    values were higher in the Sanitary and Ship
    16
    Canal than the values you found in the
    17
    general use waters.
    18
    DR. RIJAL: I'm going to go over to the
    19
    report which is Attachment --
    20
    MS. WILLIAMS: Three.
    21
    DR. RIJAL: Three of my testimony. And
    22
    I just don't want to give you a wrong number,
    23
    but the geometric mean actually came out to
    24
    be lower at the Chicago Sanitary Ship Canal

    8
    1
    than the Des Plaines River, and the ranges --
    2
    MS. WILLIAMS: My question was very
    3
    specific about the maximum.
    4
    DR. RIJAL: The ranges -- I'm going to
    5
    give you the ranges. I don't have it here.
    6
    So this is
    7
    Page 28 of the Attachment 3. In 2000 the
    8
    fecal coliform concentration ranged from
    9
    10,000 to 15,000 CFU per 100 mL at Des
    10
    Plaines River; at Sanitary and Ship Canal,
    11
    the fecal concentration ranged from 10 to
    12
    21,000 CFU per 100 mL. So I don't understand.
    13
    The maximum range is within the same range
    14
    that we see at the Des Plaines River compared
    15
    to the Chicago Sanitary and Ship Canal.
    16
    MS. WILLIAMS: What do you mean within
    17
    the same range.
    18
    DR. RIJAL: It's the 15,000 versus --
    19
    or 21,000.
    20
    MS. WILLIAMS: 21,000 is higher than
    21
    15, right? I mean I'm really not trying to
    22
    confuse you. It's a very simple question, I
    23
    think, right.
    24
    DR. RIJAL: Okay. But I'm just --

    9
    1
    MS. WILLIAMS: The maximums were
    2
    higher.
    3
    DR. RIJAL: Maximum, yeah, was higher,
    4
    yeah.
    5
    MR. ANDES: That's with a particular
    6
    sample that was the maximum of the range was
    7
    higher than one set than the other.
    8
    MS. WILLIAMS: Right. And in 2001,
    9
    also, right? It was quite a bit higher.
    10
    DR. RIJAL: It was, yeah --
    11
    MS. WILLIAMS: 15,000 versus 10,000; is
    12
    that correct?
    13
    DR. RIJAL: 10,000, yeah.
    14
    MS. WILLIAMS: Would you consider that
    15
    within the same range.
    16
    DR. RIJAL: Well, if, you know, the
    17
    criteria is based on the geometric mean, too.
    18
    So we take that also into account. But the
    19
    maximum range here is we are talking about
    20
    10,000 versus 20,000 versus 15,000. So when
    21
    you compare these three numbers, yes, it's
    22
    higher.
    23
    MS. WILLIAMS: Okay. So when you say
    24
    it does not adversely impact the area

    10
    1
    downstream, when we're saying we don't -- in
    2
    this question I asked about the Sanitary and
    3
    Ship Canal levels not adversely impacted,
    4
    you're not suggesting that there aren't times
    5
    when the concentration in the Sanitary and
    6
    Ship Canal is higher than the water coming in
    7
    from the Des Plaines River, are you.
    8
    DR. RIJAL: What do you mean by the
    9
    concentration --
    10
    MS. WILLIAMS: I mean it's not always
    11
    higher from the Des Plaines River, is it?
    12
    Are you trying to -- sometimes it's much
    13
    higher coming from the Sanitary and Ship
    14
    Canal, correct?
    15
    DR. RIJAL: I'll have to look at the
    16
    individual data here. And there are also
    17
    times where Des Plaines River are higher, you
    18
    know, coming -- the concentration of FC
    19
    levels are higher.
    20
    MS. WILLIAMS: So you think both are
    21
    true? Sometimes it's higher.
    22
    DR. RIJAL: Yeah.
    23
    MS. WILLIAMS: From Des Plaines River,
    24
    sometimes from Sanitary and Ship Canal.

    11
    1
    DR. RIJAL: And which is justified by
    2
    the geometric mean which takes care of
    3
    this -- and you see actually the geometric
    4
    mean from that point we can see that the
    5
    tendency of higher fecal coliform
    6
    contribution to the lower Des Plaines is the
    7
    Des Plaines River then the Chicago Sanitary
    8
    and Ship Canal. And if you had reviewed this
    9
    report carefully, we tried to also predict
    10
    the FC levels at the lower Des Plaines. And
    11
    if you see the slope, you see that the
    12
    prediction is that higher level of FC will
    13
    contribute to the lower Des Plaines River
    14
    compared to the Chicago Sanitary Ship Canal.
    15
    So this was the finding from the support.
    16
    MS. WILLIAMS: And there's data from
    17
    downstream of the confluence in the report.
    18
    DR. RIJAL: No. We compared these to
    19
    location and --
    20
    MS. WILLIAMS: I just wanted to make
    21
    sure that I wasn't misunderstanding. Yeah.
    22
    What about CSOs in the -- I don't want to say
    23
    upper Des Plaines River, but the portions of
    24
    the Des Plaines River that you were looking

    12
    1
    at upstream of the study area. Do you know
    2
    anything about the CSOs in that area.
    3
    DR. RIJAL: I know there are CSOs in
    4
    the Des Plaines River.
    5
    MS. WILLIAMS: Question 6, with regard
    6
    to your report 07-79, you state on Page 3 of
    7
    your testimony, quote, the purpose of this
    8
    study was to determine from the collected
    9
    data whether disinfection of effluence from
    10
    these WRPs, which stands for water
    11
    reclamation plants, would significantly
    12
    reduce the fecal coliform load in the
    13
    receiving streams during wet weather and how
    14
    the fecal coliform concentration in the
    15
    waterways compares to the effluent
    16
    disinfection standard proposed in this
    17
    rulemaking.
    18
    I think you tried to address this
    19
    issue earlier, but I don't think you directly
    20
    answered this question. Was there an
    21
    effluent disinfection standard being proposed
    22
    by the Illinois EPA at the time you began
    23
    this study?
    24
    DR. RIJAL: As I discussed earlier, I

    13
    1
    know I didn't -- I might not have answered
    2
    it. The study was pursued to address issues
    3
    raised by the stakeholder committee which
    4
    includes the Agency and their consultant.
    5
    And this was on the Chicago area use
    6
    analysis. And this meeting, especially the
    7
    May 16, 2002 meeting, during that meeting the
    8
    Agency consultants suggested that to achieve
    9
    a water quality standard set the lower Des
    10
    Plaines disinfection standards could be
    11
    applied at that time.
    12
    MS. WILLIAMS: But that was a water
    13
    quality standard they were looking at, right?
    14
    There was no effluent disinfection standard.
    15
    DR. RIJAL: But they also discussed
    16
    that in order to desire to achieve that
    17
    standard you would have -- it was implied
    18
    that the disinfection would be required to
    19
    meet that water quality standard. And
    20
    specifically I do --
    21
    MS. WILLIAMS: As a water --
    22
    DR. RIJAL: Specifically I do have
    23
    memorandum of the June 16 dated 2003 meeting
    24
    minutes for the future of the Chicago Area

    14
    1
    Waterway System public meeting. And if you
    2
    look at Page 13 here --
    3
    MR. ANDES: I assume this will be part
    4
    of Exhibit 36, right? Because it's among the
    5
    meeting minutes from the advisory group.
    6
    MS. WILLIAMS: Did you say Page 13?
    7
    DR. RIJAL: Page 13 of public
    8
    meetings, June 16, 2003. The first
    9
    paragraph --
    10
    MS. WILLIAMS: Wait. Public meeting
    11
    on the Chicago -- on the CAWS UAA now we're
    12
    talking about.
    13
    DR. RIJAL: Yeah.
    14
    MS. WILLIAMS: I thought earlier you
    15
    testified this was in relationship to meeting
    16
    standards downstream in the lower Des Plaines
    17
    River.
    18
    DR. RIJAL: Which -- yeah. There was
    19
    that -- I think you're getting confused.
    20
    MS. WILLIAMS: Yeah. I know I am.
    21
    DR. RIJAL: The earlier one was
    22
    agreement that was made between the district
    23
    and IEPA. That was December, I think, 2002
    24
    agreement. And the subsequent meeting there

    15
    1
    was -- when they brought up this issue, there
    2
    was -- the disinfection was implied to
    3
    achieve the water quality standard at the
    4
    lower Des Plaines.
    5
    MS. WILLIAMS: Okay. But there wasn't
    6
    an effluent standard proposed.
    7
    MR. ANDES: Let me clarify. We're
    8
    talking about the 2007 report, right?
    9
    MS. WILLIAMS: Right. I'm trying to
    10
    understand how a 2007 report --
    11
    DR. RIJAL: So I'm getting confused.
    12
    MS. WILLIAMS: Would have taken --
    13
    DR. RIJAL: Let me explain. I think
    14
    I'm getting confused here. Because I -- the
    15
    first time in the morning I gave an
    16
    explanation to the 2003 report. And this
    17
    report here, which we are referring to as
    18
    Attachment 5, was conducted between 2004 and
    19
    2006. So I am answering in context to this
    20
    report.
    21
    MR. ANDES: And that one was as to the
    22
    CAWS, correct?
    23
    DR. RIJAL: That was to the CAWS,
    24
    yeah. And based on this June 16, 2003 public

    16
    1
    meeting report, we can read -- I'll read it
    2
    from the first paragraph. That if
    3
    disinfection becomes recommendation of the
    4
    UAA --
    5
    HEARING OFFICER TIPSORD: Slow down.
    6
    DR. RIJAL: I'm sorry. If
    7
    disinfection becomes a recommendation of the
    8
    UAA, it will be the responsibility of the
    9
    discharges to fulfill the disinfection
    10
    requirement in conjunction with the IEPA
    11
    permit crosses, whichever acknowledgment they
    12
    choose. So this implies that either a
    13
    disinfection standard or a permit requirement
    14
    would be imposed.
    15
    MS. WILLIAMS: Okay. But -- And it
    16
    never talks about what that number would be
    17
    of a disinfection standard, does it.
    18
    DR. RIJAL: I was not part of that
    19
    meeting, so I don't recall that.
    20
    MS. WILLIAMS: Do you recall whether at
    21
    that time fecal coliform was being discussed
    22
    as a potential indicator that would be used.
    23
    DR. RIJAL: We came across several
    24
    versions of the CAWS UAA and we had fecal

    17
    1
    coliform one time and then the E. Coli and
    2
    then to fecal coliform. So I'm not sure
    3
    which one you're talking about. But they're
    4
    very -- both fecal coliform and E. Coli were
    5
    discussed. Not both I mean --
    6
    MS. WILLIAMS: As potential water
    7
    quality standards.
    8
    DR. RIJAL: Yes.
    9
    MS. WILLIAMS: And we're not talking
    10
    about effluent standards. We're talking
    11
    about --
    12
    DR. RIJAL: The water quality.
    13
    MS. WILLIAMS: Ambient.
    14
    DR. RIJAL: Ambient.
    15
    MS. WILLIAMS: Did you consider
    16
    monitoring for
    17
    E. Coli when you did these studies.
    18
    DR. RIJAL: No. Because our permit
    19
    regulation is for fecal coliform bacteria.
    20
    So we just monitored fecal coliform.
    21
    MR. ANDES: If I can follow up. Did
    22
    IEPA ever suggest that you monitor for
    23
    E. Coli as well?
    24
    DR. RIJAL: No.

    18
    1
    MR. ANDES: Thank you.
    2
    DR. RIJAL: This is the permit for
    3
    Egan, Curry (ph.), and Hanover Park and not
    4
    for the North Side or Stickney or Calumet.
    5
    MS. WILLIAMS: No. 7, at the top of
    6
    Page 4 of your testimony you describe a wet
    7
    versus dry weather study of fecal coliform in
    8
    the waterways. And, quote -- and define,
    9
    quote, light rain conditions in which no
    10
    pumping station discharge occurred and heavy
    11
    rain conditions in which pumping station
    12
    discharge did occur. Question A: Did you
    13
    review CSO monitoring records and take into
    14
    consideration whether other CSOs within
    15
    outside or upstream of the CAWS had occurred
    16
    during light rain or dry weather events.
    17
    DR. RIJAL: The information provided in
    18
    this report is based on the district reported
    19
    CSO events. So we have the data only from
    20
    the district-reported CSO events.
    21
    MS. WILLIAMS: Okay.
    22
    MR. ANDES: If I can follow up on
    23
    that. Were you trying in this report to
    24
    isolate particular sources other than the

    19
    1
    planned effluence and determine what their
    2
    specific contributions were?
    3
    DR. RIJAL: No. We were trying to
    4
    look at the levels in -- the fecal coliform
    5
    levels in the waterway upstream and
    6
    downstream.
    7
    MS. WILLIAMS: But if you're defining
    8
    a period as dry weather, you'd agree it's
    9
    relevant whether the CSOs are impacting the
    10
    system from --
    11
    DR. RIJAL: Even if it was impacting,
    12
    we would -- you know, the data is based on
    13
    the fecal coliform levels. So what we see
    14
    would be the levels of fecal coliform that
    15
    we'd find during that period of time.
    16
    MS. WILLIAMS: Can you go back to what
    17
    you testified this morning? I don't think I
    18
    was following very well when you were
    19
    explaining to Miss Alexander, what percentage
    20
    of a year -- You were trying to describe the
    21
    percentages of the year that are dry weather
    22
    versus wet weather? Can you try to repeat
    23
    that?
    24
    DR. RIJAL: Based -- you know, can

    20
    1
    I -- I'm going to go over with my testimony
    2
    and explain to you a little bit of how the
    3
    study was designed so that will help clear
    4
    some confusion here. Now, the fecal coliform
    5
    density were measured during dry and wet
    6
    weather and now the dry weather here was
    7
    defined as on any day in which there was no
    8
    measurable rainfall occurred and then the
    9
    day --
    10
    MR. ANDES: What page?
    11
    DR. RIJAL: This is Page 4 of my
    12
    testimony. That's the first paragraph. And
    13
    I won't take much of your time, but rain --
    14
    so there was no rainfall two days prior when
    15
    the samples was collected and also a day
    16
    after when the sample was collected. And the
    17
    light rain period was defined as measurable
    18
    rainfall that occurred on the same day or the
    19
    one or two days prior to the collecting of
    20
    the routine fecal coliform sample. And as I
    21
    mentioned earlier, heavy rain was, which
    22
    exceeded the capacity of the TARP and which
    23
    resulted into a discharge from the pumping
    24
    station. This was classified as a heavy rain

    21
    1
    period. So -- and we have -- and the
    2
    rainfall was measured based on the rain gauge
    3
    data we have which is from the North Side
    4
    plant, North Side pumping station and the
    5
    Calumet location, also by the pumping
    6
    station. And we tabulated the rainfall
    7
    measured with the dry period. And we found
    8
    for each year that there are approximately,
    9
    average that comes out to be within of this,
    10
    2004 to 2006, approximately 145 days within
    11
    that year fall into the category of rainfall
    12
    as we described in -- rain event as we -- or
    13
    the wet weather samples as described in this
    14
    study. So it's 145 days. So does that
    15
    answer your question?
    16
    MS. WILLIAMS: So let's just -- I think
    17
    we're all a little confused. I'm not sure
    18
    that that's your fault. But so the 145 days,
    19
    through that, per year, right? That's per
    20
    year?
    21
    DR. RIJAL: Yes. That's each year.
    22
    MS. WILLIAMS: During that period of
    23
    2004 to 2006 were days that a measurable
    24
    rainfall occurred.

    22
    1
    DR. RIJAL: Yes.
    2
    MS. WILLIAMS: Okay. Not whether it
    3
    rained the day before --
    4
    DR. RIJAL: No. This was based on a
    5
    measurable rainfall, rain gauge data.
    6
    MS. WILLIAMS: And if it did not rain
    7
    that day, it was considered a dry weather
    8
    day.
    9
    DR. RIJAL: We will have certain times
    10
    that it would be included in the light -- no,
    11
    not in the -- it would be -- see, if you see
    12
    the definition of light rain event that it
    13
    has a dry period of one to two days prior.
    14
    MS. WILLIAMS: So within that 145 days
    15
    you're including impacts from prior days.
    16
    DR. RIJAL: No.
    17
    MS. WILLIAMS: Any measurable rainfall
    18
    occurred on the same day or one or two days
    19
    prior?
    20
    DR. RIJAL: What is your question then?
    21
    MS. WILLIAMS: I know. I haven't asked
    22
    the question yet, but --
    23
    HEARING OFFICER TIPSORD: Just a
    24
    minute, Miss Meyers-Glen.

    23
    1
    MS. WILLIAMS: Do you have a
    2
    follow-up?
    3
    MS. MEYERS-GLEN: I'm absolutely
    4
    confused on this definition of dry weather,
    5
    especially if you put it next to the
    6
    definition of wet weather. So if I could
    7
    look at the definition of dry weather for a
    8
    second, specifically looking at --
    9
    HEARING OFFICER TIPSORD: You need to
    10
    keep your head up and project out. She can't
    11
    hear you.
    12
    MS. MEYERS-GLEN: Thank you. First of
    13
    all, for the record, Stacy Meyers with
    14
    Openlands. I'm looking at Page 4 of your
    15
    testimony and you define dry weather here, as
    16
    you just stated, as defined as any day on
    17
    which no measurable rainfall occurred.
    18
    Including no rainfall two days prior and one
    19
    day after a day on which a routine fecal
    20
    coliform sample was collected. And I'm
    21
    confused. I don't understand where you --
    22
    what the significance is of and one day after
    23
    the day on which a routine fecal coliform
    24
    sample was collected as defining dry weather.

    24
    1
    Can you explain that?
    2
    DR. RIJAL: Okay. I think you're
    3
    getting confused here. Now, the explanation
    4
    I provided here on the Page 4 is this is the
    5
    way the data was grouped for the fecal
    6
    coliform levels that constituted the dry
    7
    weather. And your question was about how do
    8
    you define the rainfall wet weather event
    9
    from 2004 and how did I come up with the 145
    10
    days. Now, the 145 days that we got average
    11
    for 2004 to 2006 is based on attachment 5 of
    12
    the report. If you see Table 1, Page 5.
    13
    MS. MEYERS-GLEN: I --
    14
    DR. RIJAL: As I mentioned earlier, so
    15
    that's the rainfall -- based on this data
    16
    here where we have actual rain gauge data for
    17
    2004, 2005, 2006 at each North Side and the
    18
    Calumet location, we have number of days of
    19
    gauges in operation, and that's how we got
    20
    the wet weather days, 145 days. And the
    21
    fecal coliform levels were grouped in dry
    22
    weather, light rain, just to make sure that
    23
    we don't get the effect of the rain event.
    24
    So we collected the fecal coliform samples

    25
    1
    two days prior to when it didn't rain and one
    2
    day after the rain. So that constituted the
    3
    dry period FC levels here. So I think we are
    4
    comparing two different things here.
    5
    MS. MEYERS-GLEN: Okay. So I'm trying
    6
    to clarify, though -- thank you. But I'm
    7
    still confused. And maybe this is just me,
    8
    but I'm trying to work this out here. I'm
    9
    trying to figure out -- you're saying not --
    10
    are you saying now that it was one day after
    11
    there was a rain event?
    12
    DR. RIJAL: That was for --
    13
    MS. MEYERS-GLEN: Is that what that
    14
    means, the one day after the day in which a
    15
    routine coliform sample was collected?
    16
    That's how you're defining --
    17
    DR. RIJAL: That would be the light
    18
    rain. In the dry weather there was no
    19
    rainfall one or two days prior and on which a
    20
    routine fecal sample was collected. No
    21
    rainfall two days prior.
    22
    MS. MEYERS-GLEN: Okay. I'm --
    23
    MS. WILLIAMS: Can I --
    24
    MS. MEYERS-GLEN: Specifically as to

    26
    1
    that phrase, I'm trying to just confine --
    2
    I'm confused specifically about that phrase,
    3
    so I'm trying to understand what that
    4
    particular phrase means, trying just to leave
    5
    wet weather out of it for just a second,
    6
    honing in on that. When you say you define
    7
    dry weather, in part, as one day after the
    8
    day on which a routine fecal coliform sample
    9
    was collected. Can you please describe to me
    10
    what that means as far as metrics?
    11
    DR. RIJAL: If we had already
    12
    collected the data, we do go out, as I
    13
    mentioned, first Tuesday and the second, what
    14
    was it, Thursday that was routine samples
    15
    were collected. So it happens to be that we
    16
    have the data. So we have the fecal coliform
    17
    data. So it doesn't -- it didn't trigger us
    18
    to go and take the sample. Is that why
    19
    you're getting confused? So we looked at the
    20
    rain gauge data and we have the FC levels.
    21
    So if it didn't rain two days prior to the
    22
    day we sample and also the following day
    23
    there was no rain, then that was -- that
    24
    would be the dry weather data.

    27
    1
    MS. MEYERS-GLEN: So there could have
    2
    been other dry weather days that aren't
    3
    captured by this but occurred. You guys just
    4
    didn't measure those because they didn't fall
    5
    within the dates that you were sampling; is
    6
    that correct?
    7
    DR. RIJAL: No. Also, there is a
    8
    possibility that we didn't sample, you know,
    9
    because it could have been the weekdays or
    10
    weekend and we have reported that no samples
    11
    were collected. But we have the rain gauge
    12
    information for those dates, too.
    13
    MS. MEYERS-GLEN: Okay. So this is
    14
    going to be a different definition than
    15
    generally when you're talking about dry
    16
    weather?
    17
    DR. RIJAL: This is the dry weather
    18
    definition.
    19
    MS. MEYERS-GLEN: Are you using this
    20
    for everything you're talking about today
    21
    when you say dry weather, or does this
    22
    definition only pertain to this particular
    23
    report when you're looking at measurements?
    24
    DR. RIJAL: Only this report for the

    28
    1
    measurements, yes.
    2
    MS. MEYERS-GLEN: So when you're not
    3
    looking at this report and you're not talking
    4
    specifically about how you measured, what
    5
    then is your general definition of dry days,
    6
    dry weather days? How is that different?
    7
    DR. RIJAL: Well, as I mentioned this
    8
    morning, too, the dry weather in terms of the
    9
    fecal coliform levels has some influence of
    10
    the wet weather event. And which could be
    11
    two days or longer, we don't know.
    12
    MS. WILLIAMS: Okay. Let me -- I
    13
    think that there's just one piece of this
    14
    definition that I'm knocking around and I
    15
    really think we need to close the loop on.
    16
    You went out on Mondays and Thursdays, right?
    17
    That was the routine days?
    18
    DR. RIJAL: Yeah.
    19
    MS. WILLIAMS: I forget what you said,
    20
    second of one --
    21
    DR. RIJAL: Routine, yeah, it is in
    22
    the report. I don't have the dates, but.
    23
    MS. WILLIAMS: The second Tuesday and
    24
    the first Monday or the first Tuesday and

    29
    1
    second Monday. Okay. First Tuesday you go
    2
    out, you take a sample. It's not raining.
    3
    Then the first Wednesday following the first
    4
    Tuesday of it rains. That was not considered
    5
    a dry weather sample?
    6
    DR. RIJAL: So the first Tuesday and
    7
    then the Wednesday sample?
    8
    MR. ANDES: The next day you mean the
    9
    following --
    10
    MS. WILLIAMS: The next day it rains.
    11
    You take a sample. The day after it rains.
    12
    The sample is what?
    13
    DR. RIJAL: If it's collected Tuesday,
    14
    but this -- we take a weekly sample.
    15
    MR. ANDES: Taking samples two days in
    16
    a row.
    17
    DR. RIJAL: We are not taking --
    18
    HEARING OFFICER TIPSORD: Right. The
    19
    question is they took the sample on
    20
    Tuesday --
    21
    MS. WILLIAMS: I understand that.
    22
    HEARING OFFICER TIPSORD: You took the
    23
    sample on Tuesday. It rained Wednesday. Is
    24
    that a wet weather, light rain, or dry

    30
    1
    weather sample?
    2
    MR. ANDES: And if it didn't --
    3
    DR. RIJAL: If it -- if it didn't rain
    4
    prior to that day, then it would be a dry
    5
    weather data.
    6
    HEARING OFFICER TIPSORD: Even if it
    7
    rained on Wednesday after you took the sample
    8
    on Tuesday?
    9
    DR. RIJAL: Yeah.
    10
    HEARING OFFICER TIPSORD: That's not
    11
    what you've been saying.
    12
    MS. WILLIAMS: So why does it say two
    13
    days --
    14
    HEARING OFFICER TIPSORD: Now we're
    15
    getting -- Hang on. Sorry. Because what
    16
    she's been saying is if it rained the day
    17
    after you took the sample it was a light rain
    18
    day.
    19
    MR. ANDES: Right, right.
    20
    HEARING OFFICER TIPSORD: Okay.
    21
    That's the question we just asked. You took
    22
    a sample -- we go out and take a sample
    23
    today. It didn't rain yesterday or the day
    24
    before. We take a sample today, it rains

    31
    1
    tomorrow, that is not a dry weather sample;
    2
    is that correct?
    3
    DR. RIJAL: That is not a dry
    4
    weather sample.
    5
    HEARING OFFICER TIPSORD: That is a
    6
    light rain sample, correct?
    7
    DR. RIJAL: That is a light rain
    8
    sample.
    9
    MS. WILLIAMS: Why? Please tell me
    10
    why.
    11
    DR. RIJAL: Well, you know, if you
    12
    look at the -- you know, we have those
    13
    routine samples, but just to understand the
    14
    microbiological quality, we didn't bias it,
    15
    but we grouped it based on this definition
    16
    here. We grouped the data into what
    17
    available data we had, we grouped it to see
    18
    the estimate die-off rate after any rain
    19
    event. So that was the main purpose also to
    20
    see if fecal coliform levels.
    21
    MR. ANDES: Is part of it also
    22
    since -- is part of it also that you want to
    23
    make sure that when you sample that you're
    24
    not collecting wet weather flow that's coming

    32
    1
    from downstream and you're not -- and that
    2
    gauges are in certain locations but aren't
    3
    necessarily reflecting rainfall all over the
    4
    area? So you're trying to have a --
    5
    MS. WILLIAMS: I think he's leading
    6
    the witness.
    7
    MR. ANDES: If this is wrong, then she
    8
    can tell me. But if that also reflects a
    9
    margin around the data to make sure that's a
    10
    dry weather day?
    11
    DR. RIJAL: Yeah.
    12
    MS. WILLIAMS: Yeah what? Explain to
    13
    me what, yes what?
    14
    DR. RIJAL: Yes. It's a dry
    15
    weather -- because, you know, based on the
    16
    definition here we have grouped it as a light
    17
    rain, as you mentioned earlier.
    18
    MS. WILLIAMS: But you don't think it
    19
    could bias the light rain data to include
    20
    days where it didn't rain?
    21
    DR. RIJAL: You know, if you look at
    22
    the fecal coliform date, that was the -- we
    23
    categorized it that way. But if you look at
    24
    the levels, it doesn't bias the results.

    33
    1
    MR. ANDES: Does that only bias it
    2
    down?
    3
    DR. RIJAL: Yeah.
    4
    MS. WILLIAMS: Is this definition used
    5
    anywhere else in any of the District's
    6
    reports or information submitted into this
    7
    record or just in this particular report?
    8
    DR. RIJAL: This is just in this
    9
    report.
    10
    MR. ANDES: If I can follow up on
    11
    that. If you classified a day as light rain
    12
    that someone else could have been
    13
    characterizing it as dry weather, isn't that
    14
    only going to take the light rain numbers
    15
    down compared to where they would otherwise
    16
    be? They'll be lower because they'll only
    17
    reflect dry weather sources?
    18
    DR. RIJAL: Yeah. It's possible.
    19
    MS. WILLIAMS: Yeah it's possible
    20
    what?
    21
    DR. RIJAL: That, you know, the levels
    22
    what we have in here is based on the
    23
    definitions that we have used to categorize
    24
    both the light rain, the dry weather data,

    34
    1
    and the heavy rain. But I, you know, it's
    2
    not that whether -- we cannot just go and
    3
    collect samples. The samples were already
    4
    scheduled for certain dates. It is only
    5
    during the heavy rain period we followed, you
    6
    know, the sampling.
    7
    MS. WILLIAMS: Right. I understand
    8
    that. And I don't -- and I don't -- I'm
    9
    not -- I understand why you look at two days
    10
    prior, but I'm not sure I understand this one
    11
    day after.
    12
    HEARING OFFICER TIPSORD: Miss Dexter,
    13
    you had a follow-up?
    14
    MS. DEXTER: I want to make sure I'm
    15
    reading this right. If you did classify what
    16
    was -- what many of us would consider a dry
    17
    day as a light rain day would that bias the
    18
    percentage of days that you're calling rain
    19
    days in your report? Would it make it so
    20
    there were -- there was a greater percentage
    21
    of rainfall days or wet weather days in
    22
    your --
    23
    DR. RIJAL: No. I think, again, this
    24
    is the grouping that we used to group the

    35
    1
    fecal coliforms. But we, as I mentioned in
    2
    the Attachment 5 of the -- my testimony, in
    3
    this report, Table 1, Page 5, the rainfall
    4
    datas were based on the rain gauge number of
    5
    days that we measured -- measurable amount of
    6
    rainfall.
    7
    MS. DEXTER: So those two are not
    8
    related at all?
    9
    DR. RIJAL: No. These are the actual
    10
    rainfall levels, so this happened in the
    11
    Chicago area during 2004 through 2006, and
    12
    that's how we -- from this table here we got
    13
    an average of about 145 days where measurable
    14
    rainfall fell in the Chicago area.
    15
    HEARING OFFICER TIPSORD: But you're
    16
    not saying that there was 145 wet sample
    17
    days, right? The 145 is the days it rained,
    18
    but you're not saying that there were 145 wet
    19
    sampling days?
    20
    DR. RIJAL: No.
    21
    MR. ANDES: I might suggest also that
    22
    we also -- one of the other authors of that
    23
    report, Sam Dennison here who I believe has
    24
    already been sworn in for other testimony,

    36
    1
    and I think he might be able to add something
    2
    to this.
    3
    HEARING OFFICER TIPSORD: Okay.
    4
    MR. DENNISON: Probably I hate to say
    5
    this, but could you --
    6
    HEARING OFFICER TIPSORD: You need to
    7
    speak up a lot.
    8
    MR. DENNISON: I hate to say this, but
    9
    could you please state a question that I
    10
    could answer now.
    11
    HEARING OFFICER TIPSORD: No. I think
    12
    you just need to clarify what you -- if you
    13
    have something to add you can just add it at
    14
    this point. I mean I don't know what
    15
    question you're looking for.
    16
    MR. ANDES: The particular issue might
    17
    be that when we define dry weather for
    18
    purposes of this report to include samples --
    19
    I'm sorry. We include light rain, define
    20
    light rain to include where there was no rain
    21
    for two days before but there was rain the
    22
    day after the sample is collected that was
    23
    defined to be a light rain sample. So the
    24
    question is why is that defined to be a light

    37
    1
    rain sample when the rain only occurred after
    2
    the sample was collected:
    3
    MS. WILLIAMS: I mean I think the
    4
    question is confusing because you didn't
    5
    actually define light, right, but you -- but
    6
    you grouped the data that way. Is that the
    7
    better --
    8
    DR. RIJAL: Yeah, that's correct.
    9
    That's correct.
    10
    HEARING OFFICER TIPSORD: Did you have
    11
    anything you wanted to add?
    12
    MR. DENNISON: Evidently not.
    13
    MEMBER JOHNSON: Hell of a job.
    14
    HEARING OFFICER TIPSORD: Dr. Girard
    15
    has a question.
    16
    CHAIRMAN GIRARD: Is all the data in
    17
    the report so that if somebody else wanted to
    18
    regroup the data to come up with their own
    19
    definitions they could regroup it and
    20
    recalculate it and come up with something?
    21
    DR. RIJAL: Yeah. The data is data.
    22
    Whatever is -- you know, we have FC levels
    23
    for the days that we collected samples. So,
    24
    you know, we could take those data and

    38
    1
    reanalyze it. Yes, you can do that.
    2
    CHAIRMAN GIRARD: And anybody else who
    3
    would like to make up their own definitions
    4
    and recalculate could do that.
    5
    DR. RIJAL: Well, it's -- you know, we
    6
    tried to understand like, you know, how does
    7
    the fecal coliform density, the die-off rate
    8
    is seen during the dry period and what
    9
    happens in between the dry and the storm
    10
    events like in heavy rain period in between.
    11
    So to understand that, this grouping was
    12
    introduced.
    13
    CHAIRMAN GIRARD: Thank you.
    14
    HEARING OFFICER TIPSORD: Go ahead,
    15
    Miss Williams.
    16
    MS. WILLIAMS: I think I left off at
    17
    7B. Did you review whether heavier rains
    18
    were occurring upstream of the CAWS during
    19
    the periods you define as light rain? And I
    20
    think -- did you answer no already to that?
    21
    DR. RIJAL: Yes. The information we
    22
    used was based on the District monitoring
    23
    stations only.
    24
    MS. WILLIAMS: And would it be

    39
    1
    possible to look at other meteorological data
    2
    to determine one way or another?
    3
    DR. RIJAL: What other meteorological
    4
    data -- we collected the rainfall database
    5
    on the North Side plant and the pumping
    6
    station and also the CSOs based on the -- the
    7
    data would be -- reflects the best available
    8
    data we have for the CSO events.
    9
    MS. WILLIAMS: I just felt that other
    10
    witnesses for the district had indicated
    11
    there was lots of meteorological data out
    12
    there that if you wanted to look and see if
    13
    it had been raining elsewhere that wouldn't
    14
    be that difficult to do, but that wasn't
    15
    something you considered doing, right? Is
    16
    that correct?
    17
    DR. RIJAL: That's correct.
    18
    MS. WILLIAMS: What about did you look
    19
    at whether -- Question C says did you review
    20
    and take into consideration whether the
    21
    disinfection exemption season for treatment
    22
    plants upstream of the CAWS were responsible
    23
    for bacteria levels found?
    24
    DR. RIJAL: I believe there are no

    40
    1
    treatment plants upstream of the CAWS. There
    2
    is one treatment plant which discharges to --
    3
    which is in the Lake County which discharges
    4
    to the shallow region of the north branch of
    5
    the Chicago River, and there is no treatment
    6
    plant at, you know, the upstream location of
    7
    the Calumet. There is one which is more
    8
    close to the Lake Michigan which discharges
    9
    into the Grand Calumet River at Indiana. So
    10
    it's far upstream.
    11
    MS. WILLIAMS: But there is -- you
    12
    said there's one in Lake County?
    13
    DR. RIJAL: Yeah.
    14
    MS. WILLIAMS: Do you know the name of
    15
    that?
    16
    DR. RIJAL: I don't know the name.
    17
    MR. ANDES: If I can follow up. In
    18
    your analysis you weren't trying to figure
    19
    out where the bacteria, what sources the
    20
    bacteria was coming from? You were just
    21
    trying to measure what the levels were?
    22
    DR. RIJAL: Actual levels in the CAWS.
    23
    MR. ANDES: Thank you.
    24
    MS. WILLIAMS: On Pages 5 and 6 of

    41
    1
    your testimony you state, quote, it is
    2
    evident from this analysis that disinfection
    3
    of the North Side and Calumet waste water
    4
    treatment plant effluence during wet weather
    5
    would not improve the CAWS microbial water
    6
    quality downstream of these WRPs in terms of
    7
    compliance with the proposed effluent
    8
    standard. If MWRGDC installed disinfection
    9
    technology at these plants, would they
    10
    function in both wet and dry weather?
    11
    DR. RIJAL: Well, I'm not an engineer.
    12
    I'm not qualified to answer this question.
    13
    MS. WILLIAMS: You don't know whether
    14
    they keep the chlorination running at the
    15
    other three district plants when it rains?
    16
    DR. RIJAL: At the smaller plants?
    17
    Yeah. Because the discharges is to the
    18
    general use water.
    19
    MS. WILLIAMS: Do you understand where
    20
    compliance with an effluent standard is
    21
    measured?
    22
    DR. RIJAL: Yes. End of the pipe in
    23
    the effluent.
    24
    MS. WILLIAMS: And you have no reason

    42
    1
    to believe that it would not be met?
    2
    DR. RIJAL: You know, the system
    3
    designed in hydraulics and engineering. I
    4
    don't know if that will handle the wet and
    5
    dry flow, so, yeah, I would not answer.
    6
    MR. ANDES: If I can follow up. Am I
    7
    correct to say that your statement was just
    8
    intended to say that this disinfection would
    9
    not improve water quality in the stream in
    10
    terms of whether it met 400 as a benchmark
    11
    level?
    12
    MS. WILLIAMS: Objection, 400 is not a
    13
    number in the stream. That needs to be met
    14
    in the stream. Why is this a follow-up?
    15
    MR. ANDES: It's a number as a point
    16
    of reference. She used it as a point of
    17
    reference. She can say that's what she did.
    18
    MS. WILLIAMS: Okay. Go ahead.
    19
    DR. RIJAL: I am lost now.
    20
    MR. ANDES: When you made the
    21
    statement about the water quality downstream
    22
    of the plants in terms of compliance with the
    23
    proposed effluent standard, what were you
    24
    using the proposed effluent standard for?

    43
    1
    DR. RIJAL: We were using 400 --
    2
    MR. ANDES: And were you using it as a
    3
    water quality standard?
    4
    MS. WILLIAMS: Wait. Excuse me. She
    5
    started to answer and you cut her off.
    6
    MR. ANDES: I thought she was done.
    7
    MS. WILLIAMS: Let her answer.
    8
    MR. ANDES: Go ahead.
    9
    DR. RIJAL: Well, I'm comparing
    10
    whether the technology-based effluent limits,
    11
    which is 400 CFU per 100 mL, justifies what
    12
    the levels, ambient levels of the
    13
    microbiological quality of the CAWS water
    14
    quality is.
    15
    MS. WILLIAMS: Is there any relevance
    16
    to that comparison at all? What possible
    17
    relevance is there to that comparison?
    18
    DR. RIJAL: There is, from a public
    19
    health standpoint of view, you know, the
    20
    technology-based effluent limits of 400 CFU
    21
    is not justified when higher elevated FC
    22
    levels are discharged --
    23
    MS. WILLIAMS: From a public health
    24
    standpoint?

    44
    1
    HEARING OFFICER TIPSORD: Let her
    2
    finish as well, Miss Williams.
    3
    MS. WILLIAMS: I understand.
    4
    DR. RIJAL: Is discharged into the
    5
    waterways. And the ambient level in the CAWS
    6
    are usually higher than the 400 fecal
    7
    coliforms per 100 mL. So as, you know, I
    8
    have mentioned earlier, it's not --
    9
    MS. WILLIAMS: So if what they were --
    10
    DR. RIJAL: -- reflective of the water
    11
    quality, microbiological water quality of the
    12
    CAWS in terms of 400 CFU per 100 mL.
    13
    MS. WILLIAMS: What if they were 401?
    14
    What if the ambient levels were 401? Would
    15
    you still have the same conclusion about
    16
    disinfecting down to 400?
    17
    DR. RIJAL: No. You know, I don't
    18
    know if 4 -- I'm not sure if 400 or 401 is an
    19
    appropriate level.
    20
    MS. WILLIAMS: Thank you. That's what
    21
    I thought.
    22
    Question 10 asks whether you
    23
    have any information that would quantify the
    24
    ratio of nonpoint to point source loads of

    45
    1
    bacteria contamination to CAWS?
    2
    DR. RIJAL: Are you asking a question?
    3
    MS. WILLIAMS: Yes. No. 10, the first
    4
    part of the question, do you have any
    5
    information that would quantify the ratio of
    6
    nonpoint to point source close bacterial
    7
    contamination in the CAWS?
    8
    DR. RIJAL: You know, we do not have a
    9
    quantitative information of point sources
    10
    versus nonpoint source contribution into the
    11
    CAWS. But it is appropriate to say there are
    12
    nonpoint source contribution into the CAWS.
    13
    MS. WILLIAMS: And are there dry
    14
    weather?
    15
    DR. RIJAL: Both dry and wet weather.
    16
    MS. WILLIAMS: Do you have any
    17
    information about what the dry weather
    18
    sources of fecal to the system would be other
    19
    than --
    20
    DR. RIJAL: The dry weather -- yeah.
    21
    It could be birds. They rest on the CAWS,
    22
    and, actually, this point and nonpoint source
    23
    was part in my testimony because I reviewed
    24
    the EPA urban storm water report, and this

    46
    1
    report had -- EPA report did an extensive
    2
    storm water studies in different cities and
    3
    has reported high levels of fecal coliform
    4
    bacteria which ranges from the 400 CFU to
    5
    50,000 in the storm events that is
    6
    discharged. And they have also reported that
    7
    it will exceed the coliform criteria of
    8
    the water quality criteria, so.
    9
    MS. WILLIAMS: Does the report you're
    10
    talking about address dry weather
    11
    contributions?
    12
    DR. RIJAL: Well, the storm events
    13
    are -- could be triggered not only by wet
    14
    weather, it could storm events -- some of the
    15
    storm is like just rain coming out from the
    16
    park or your lawn. So there are some
    17
    nonpoint source contributions to the
    18
    waterways. And you have wild animals and --
    19
    one gram of goat feces contains billions and
    20
    millions of fecal coliform bacteria so there
    21
    is a potential of nonpoint source
    22
    contribution to the CAWS.
    23
    MS. WILLIAMS: But would you have
    24
    any -- we don't really have any science at

    47
    1
    this point that helps us distinguish the
    2
    contributions?
    3
    DR. RIJAL: You know, when we were
    4
    conducting the study, we didn't address the
    5
    issues, but we have entered into an
    6
    inter-agency agreement with the UCM (ph.),
    7
    and we are looking into nonpoint source of
    8
    indicator bacteria in the North Shore Channel
    9
    area.
    10
    MS. WILLIAMS: Okay. I think we
    11
    talked about Question 11, but let me go over
    12
    it here. On Page 4, Paragraph 3 of your
    13
    testimony you indicate that, quote, upstream
    14
    of the North Side water reclamation plant and
    15
    upstream of CAWS at Albany Avenue, the level
    16
    of bacteria exceeded the proposed effluent
    17
    limit in a percentage of the time during
    18
    heavy rain, light rain, and dry weather.
    19
    Question A, how did you insure
    20
    that your upstream North Shore channel
    21
    samples were not contaminated by backflows of
    22
    the plan?
    23
    DR. RIJAL: My understanding is that
    24
    the backflow is unlikely.

    48
    1
    MS. WILLIAMS: So you don't think
    2
    there is any backflow?
    3
    DR. RIJAL: Yeah.
    4
    MS. WILLIAMS: Okay. Thank you.
    5
    HEARING OFFICER TIPSORD:
    6
    Miss Meyers-Glen?
    7
    MS. MEYERS-GLEN: Thank you. I just
    8
    want to clarify. Do you think that birds
    9
    that are resting along the CAWS, say, like
    10
    the Cal-Sag Channel are a significant source
    11
    of pathogens or fecal coliform compared to
    12
    the 1.17 billion gallons of effluent that's
    13
    released by the plants from the district
    14
    every day?
    15
    DR. RIJAL: I didn't say the
    16
    significance there. The potential sources of
    17
    nonpoint contribution of fecal coliform load
    18
    into the waterways.
    19
    MS. MEYERS-GLEN: So you think then
    20
    that it is significant compared to that
    21
    amount of effluent released?
    22
    MR. ANDES: That's not what she said.
    23
    HEARING OFFICER TIPSORD: She
    24
    didn't --

    49
    1
    MS. MEYERS-GLEN: I'm trying to -- I
    2
    cannot -- I'm sorry. Can you please repeat
    3
    your answer because I didn't hear it.
    4
    DR. RIJAL: The bird discharges are
    5
    potential sources of fecal coliform
    6
    contribution into the waterways.
    7
    MS. MEYERS-GLEN: But do you think
    8
    that it's significant compared to the amount
    9
    of effluent that the District is pumping into
    10
    the CAWS every day?
    11
    MR. ANDES: And she doesn't have to
    12
    accept the argumentative nature of your
    13
    question, right?
    14
    DR. RIJAL: We don't know. We
    15
    investigate that, we will investigate that in
    16
    our studies. We are looking into that. We
    17
    are doing a study and we will investigate
    18
    that.
    19
    HEARING OFFICER TIPSORD:
    20
    Miss Williams, we're back to you.
    21
    MS. WILLIAMS: I'm so sorry.
    22
    Question 13A asks the same
    23
    question that you just answered about
    24
    backflow from the north shore plant to the

    50
    1
    Calumet plant. Can you answer that? Do you
    2
    also believe there's no backflow to --
    3
    DR. RIJAL: It is my understanding
    4
    that it's highly unlikely.
    5
    MS. WILLIAMS: Okay. I'm going to
    6
    look at 14. I'm not sure if I need to come
    7
    back to part of this, but I'd like to move on
    8
    to 14. You state in Paragraph 4 on Page 5 of
    9
    your testimony that, quote, estimated wet
    10
    weather fecal coliform density -- well, hang
    11
    on. You may have answered this, too. Let me
    12
    take a second. So let's try and look at 15.
    13
    On Page 6, Paragraph 1 of your
    14
    prefiled testimony you state during wet
    15
    weather even light rainfall periods, the CAWS
    16
    receives CSO municipal separate storm water
    17
    sewer system and nonpoint bacteria loads that
    18
    result in elevation of fecal coliform
    19
    concentrations in the CAWS to levels much
    20
    higher than are observed during dry weather
    21
    such that disinfecting wastewater treatment
    22
    plant effluents will not result in
    23
    substantial reduction in fecal coliform
    24
    concentrations in the water. Question A, do

    51
    1
    you have data to support your exclusion of
    2
    municipal separate storm sewers event and
    3
    nonpoint bacteria loads in your statement.
    4
    Why don't we take municipal separate storm
    5
    system first.
    6
    DR. RIJAL: It is my understanding
    7
    that there are storm sewers that feed into
    8
    the CAWS, and one of the District's study
    9
    that was conducted on storm -- the district
    10
    report on the characteristic of storm water
    11
    run-off sample at storm sewers and --
    12
    MS. WILLIAMS: Would you give us a
    13
    number?
    14
    DR. RIJAL: No. This -- you know, I'm
    15
    answering that. So that bases my
    16
    understanding from this report that there are
    17
    some storm sewers which has been identified
    18
    in the Chicago areas which contributes to
    19
    discharge to the CAWS.
    20
    MR. ANDES: And we can provide a copy
    21
    of that report that she's relying on.
    22
    MS. WILLIAMS: I would like to know
    23
    the number of the report so I can understand
    24
    if we need a copy.

    52
    1
    DR. RIJAL: Okay. The report
    2
    number 03 -- 2003-25 and the title is
    3
    Characteristics of Storm Water Run-off Sample
    4
    at Two Storm Sewers in Evanston and
    5
    Crestwood, Illinois.
    6
    MS. WILLIAMS: And is it correct that
    7
    that report does not take fecal coliform
    8
    measurements?
    9
    DR. RIJAL: It did not take fecal
    10
    coliform, but we had some samples
    11
    periodically collected and analyzed in the
    12
    lab and we have levels of fecal coliform in
    13
    that, so under that understanding --
    14
    MS. WILLIAMS: Wait. So the report
    15
    did not address fecal coliform but it was
    16
    that -- it was sampled for, just not
    17
    included in the report?
    18
    DR. RIJAL: It's -- it was not
    19
    included in the report because we have done
    20
    few sample collected after 2006. So this is
    21
    what you're talking about the testimony, so
    22
    we included that as a potential source of
    23
    storm sewers. So it's -- Your question is
    24
    geared towards my testimony.

    53
    1
    MS. WILLIAMS: Right.
    2
    DR. RIJAL: Is that right?
    3
    MR. ANDES: Can I follow up? So the
    4
    question is when you included in that 15 that
    5
    the CAWS receives municipal separate storm
    6
    sewer load, bacteria loads, as one of the
    7
    sources that result in high fecal levels.
    8
    What was your basis for saying that?
    9
    DR. RIJAL: Based on, you know, based
    10
    on this report and also, you know, we have
    11
    our own analysis done after the period 2 --
    12
    you have you know, the sampling period ended,
    13
    we had some data and we showed number of
    14
    fecal coliform.
    15
    MR. ANDES: Also general knowledge of
    16
    documents, EPA documents and other
    17
    information.
    18
    DR. RIJAL: The review of the EPA
    19
    documents, yes.
    20
    MS. WILLIAMS: I'm just -- I'm really
    21
    not trying to trip you up.
    22
    DR. RIJAL: But to answer your
    23
    question is we have limited data. We have
    24
    just limited data and we did not include in

    54
    1
    the report. But in my testimony I have
    2
    mentioned it because those are potential
    3
    sources of FC loading into the CAWS.
    4
    MS. WILLIAMS: So maybe could we see
    5
    that data?
    6
    DR. RIJAL: Yes.
    7
    MS. WILLIAMS: Okay. Thanks.
    8
    Question B on 15 says when you say
    9
    disinfecting effluents will not result in a
    10
    substantial reduction of fecal coliform
    11
    concentrations in the waterway. Do you mean
    12
    at all times or during wet weather?
    13
    DR. RIJAL: Might have -- can we show
    14
    that chart, that Figure 1?
    15
    MS. WILLIAMS: Was there a chart you
    16
    wanted us to look at?
    17
    DR. RIJAL: I'm referring to the
    18
    Figure 1 in my testimony. But I would like
    19
    to correct the page. I'll be providing you
    20
    that figure. We have a hard copy of it.
    21
    MR. ANDES: I believe we also have a
    22
    chart of that.
    23
    HEARING OFFICER TIPSORD: Where is
    24
    this chart located in the testimony?

    55
    1
    MR. ANDES: This is actually a
    2
    corrected version of the chart that --
    3
    DR. RIJAL: It's on the Page 5 of my
    4
    testimony which is Attachment 5. But the
    5
    page that you will receive is the corrected
    6
    page because the south area figure was copied
    7
    -- was scanned incorrectly.
    8
    HEARING OFFICER TIPSORD: Okay. So
    9
    this is Figure 1 from Page -- a corrected
    10
    version of Figure 1 from Page 5 of
    11
    Exhibit 113 marked north area and south area.
    12
    We will mark this as Exhibit 115 if there is
    13
    no objection.
    14
    MS. WILLIAMS: But -- there's no
    15
    objection, but I want to understand for the
    16
    record which attachment to that exhibit.
    17
    HEARING OFFICER TIPSORD: It's not an
    18
    attachment. It's part of the actual prefiled
    19
    testimony.
    20
    MS. WILLIAMS: It was left off.
    21
    HEARING OFFICER TIPSORD: Page 5 of
    22
    the prefiled testimony. There's two charts
    23
    there on Page 5 of prefiled testimony. This
    24
    is a corrected version of that figure one and

    56
    1
    it's marked as Exhibit 115.
    2
    MS. WILLIAMS: Thank you.
    3
    MS. DEXTER: Can I just ask?
    4
    HEARING OFFICER TIPSORD: Go ahead,
    5
    Miss Dexter.
    6
    DR. RIJAL: I'm going to come here and
    7
    explain because I don't want to complicate or
    8
    confuse you.
    9
    HEARING OFFICER TIPSORD: Dr. Rijal,
    10
    let her ask a question.
    11
    MS. DEXTER: Is this chart something
    12
    that appears in one of the reports to the
    13
    attachment here?
    14
    HEARING OFFICER TIPSORD: No, no.
    15
    It's not a -- It's in the testimony.
    16
    DR. RIJAL: It's part of the
    17
    testimony, too, and also it's the part in the
    18
    report.
    19
    HEARING OFFICER TIPSORD: Attachment 5
    20
    as well.
    21
    MS. DEXTER: I just want to make sure
    22
    I have the 0515 on Pages 8 and 9.
    23
    DR. RIJAL: Yes.
    24
    So this figure here we have

    57
    1
    the fecal coliform levels. This is estimated
    2
    fecal coliform levels, the actual levels that
    3
    we measure during the dry weather period and
    4
    the wet weather period. And what we did is
    5
    to determine what might offer when there is a
    6
    disinfection which will eliminate the FC
    7
    burden in the CAWS, we subtracted the dry
    8
    weather fecal coliform from the wet weather
    9
    fecal coliform loading and then we subtract
    10
    that, the results shown across here is the
    11
    fecal coliform levels in the waterway. And
    12
    if you look at this figure here, this is
    13
    without disinfection wet weather conditions,
    14
    and this is with disinfection. So no matter
    15
    with or without disinfection during wet
    16
    weather, there is no marginal difference in
    17
    FC concentration in the waterway.
    18
    HEARING OFFICER TIPSORD: Dr. Rijal,
    19
    you're going to have to be more specific for
    20
    purposes of the transcript. When you say
    21
    disinfection on this chart, you're talking
    22
    about the solid black --
    23
    DR. RIJAL: Okay. This is the solid
    24
    black circles and this is the clear circles.

    58
    1
    HEARING OFFICER TIPSORD: And the
    2
    clear circle is?
    3
    DR. RIJAL: The dry weather.
    4
    HEARING OFFICER TIPSORD: Mr. Harley?
    5
    MR. HARLEY: For the record, Keith
    6
    Harley. My question is, did you do an
    7
    analysis of what the levels would be in dry
    8
    weather conditions if disinfection were
    9
    reported?
    10
    DR. RIJAL: Assuming that the
    11
    disinfection will reduce the burden, we
    12
    didn't put any number here. But if we're
    13
    assuming that there is a reduction in this
    14
    fecal coliform numbers here.
    15
    MR. HARLEY: Why didn't you add in a
    16
    trend line for dry weather conditions with
    17
    disinfection?
    18
    DR. RIJAL: Well, it would be
    19
    similar -- it would be -- the trend line
    20
    would be somewhere here, (indicating).
    21
    MR. ANDES: Was that part of the
    22
    purpose of the study?
    23
    DR. RIJAL: That was not the purpose
    24
    of the study, yeah. So to answer your

    59
    1
    question, during wet weather condition, it is
    2
    evident that with or without disinfection,
    3
    there is no improvement in the
    4
    microbiological quality in the CAWS whether
    5
    in the north area or the south area. And
    6
    this level here, you see that they are higher
    7
    than the proposed 400 CFU per 100 mL limits.
    8
    Now, again, I hope I will not confuse you
    9
    more, but when we also factor in the
    10
    lingering effects that we measured following
    11
    a rain event, the elevated high FC levels
    12
    were observed two days, minimum of 48 hours
    13
    after the rain event, we factored that in so
    14
    we will get the similar trend. So which,
    15
    again, which extends to the dry weather,
    16
    those levels will be higher than the 400 CFU
    17
    per 100 mL. So to answer your question is
    18
    that not only to do the wet weather, but you
    19
    will see that the microbiological quality
    20
    improvement in terms to the 400 CFU cannot be
    21
    met during the dry weather conditions, too.
    22
    HEARING OFFICER TIPSORD: Mr. Harley?
    23
    MR. HARLEY: Were you a part of
    24
    designing the study which gave rise to this

    60
    1
    data?
    2
    DR. RIJAL: What do you mean part of
    3
    the study? I was involved, but I was not
    4
    completely involved in this -- during the
    5
    time the study was launched in the beginning.
    6
    MR. HARLEY: As you were conducting
    7
    the study, were you concerned that given the
    8
    number of dry weather days, that there was
    9
    not an analysis of the effect of disinfection
    10
    during dry weather periods?
    11
    DR. RIJAL: I think the purpose of
    12
    this study was to see what levels exist and
    13
    if at all there would be a disinfection what
    14
    would be -- what would be the microbiology
    15
    quality of the waterways under that
    16
    condition.
    17
    MR. HARLEY: But only during wet
    18
    weather periods?
    19
    DR. RIJAL: Wet and water defects so
    20
    the days following the wet weather events.
    21
    MS. WILLIAMS: And how will the
    22
    completion of TARP impact these curves?
    23
    DR. RIJAL: You know, I will not get
    24
    into --

    61
    1
    MS. WILLIAMS: In a general sense.
    2
    DR. RIJAL: I will not get into that,
    3
    but, you know, I will say in general sense
    4
    microbiological, you know, it's complex to
    5
    control the waterway, you know, the water
    6
    quality, micro -- water quality. There are
    7
    several input and continuous point system.
    8
    It's not a swimming pool like where you --
    9
    it's contained. So the microbiological
    10
    quality will change over time. And, you
    11
    know, I'm not the best person to answer that
    12
    question.
    13
    MS. WILLIAMS: Would you say that your
    14
    conclusions presumes that the wet weather
    15
    situation will continue into the future?
    16
    DR. RIJAL: I think the wet weather
    17
    has an impact in the microbiological quality
    18
    of any waterways, yes.
    19
    MR. ANDES: If I can follow up. Two
    20
    questions: One is you were attempting to
    21
    portray the sources that currently exist and
    22
    their contributions. Am I right?
    23
    DR. RIJAL: Yes.
    24
    MR. ANDES: What's your understanding

    62
    1
    of how long it's going to take until TARP is
    2
    scheduled to be completed?
    3
    DR. RIJAL: My --
    4
    MS. WILLIAMS: Wait. I object. She
    5
    can't say she doesn't know anything about it
    6
    when I ask her, but when you want to ask her
    7
    she can --
    8
    MR. ANDES: I asked what her
    9
    understanding is as to when it's scheduled to
    10
    be completed, not how much reduction it will
    11
    make. It's public record when it's scheduled
    12
    to be completed.
    13
    MS. WILLIAMS: Well, I think it's
    14
    public record now what's going to happen
    15
    after TARP because --
    16
    HEARING OFFICER TIPSORD: Wait a
    17
    minute. Let's go off the record.
    18
    (Off the record.)
    19
    (Short break taken.)
    20
    HEARING OFFICER TIPSORD: Let's go on
    21
    the record and I'll rule Dr. Rijal can answer
    22
    the question, and the question is what's your
    23
    understanding of when the TARP is due to be
    24
    completed.

    63
    1
    DR. RIJAL: Well, I don't know exactly
    2
    because there were different numbers. I
    3
    think the complete TARP reservoir completion
    4
    phase, I think, is 2024.
    5
    HEARING OFFICER TIPSORD:
    6
    Miss Williams, we're back to you.
    7
    MS. WILLIAMS: Question 16, your
    8
    conclusions about the Des Plaines River
    9
    upstream from the CAWS leads you to believe
    10
    that disinfection by wastewater plants that
    11
    discharge into that water body is unnecessary
    12
    or inappropriate?
    13
    DR. RIJAL: I didn't make any
    14
    conclusions.
    15
    MS. WILLIAMS: Wouldn't your logic,
    16
    though, apply to that situation as well that
    17
    you use in your report?
    18
    DR. RIJAL: I am not going to apply
    19
    that, no. Because it's discharge to the
    20
    general use water.
    21
    MS. WILLIAMS: And that's the
    22
    distinction to you because it's a general use
    23
    water?
    24
    DR. RIJAL: Yes.

    64
    1
    MS. WILLIAMS: Attachment 2 to your
    2
    testimony, I just want to understand if
    3
    that's a literature search that you
    4
    conducted?
    5
    DR. RIJAL: Yes.
    6
    MS. WILLIAMS: And the text within
    7
    that was drafted by you?
    8
    DR. RIJAL: Yes.
    9
    MS. WILLIAMS: Question 20, I believe,
    10
    was what I was trying to get to in my
    11
    follow-up. I think it's worded more clearly
    12
    here, and I don't believe it was answered
    13
    previously. Would disinfection significantly
    14
    reduce CAWS bacteria concentrations during
    15
    the dry weather conditions?
    16
    DR. RIJAL: You know, I do not know
    17
    because we are looking into the Stickney
    18
    plant, the North Side and the Calumet. What
    19
    do you mean by significant reduction?
    20
    MS. WILLIAMS: How about would there
    21
    be any reduction?
    22
    DR. RIJAL: There will be reduction.
    23
    MS. WILLIAMS: That's fine.
    24
    HEARING OFFICER TIPSORD: Mr. Harley,

    65
    1
    do you have follow-up?
    2
    MR. HARLEY: Yes. To your knowledge,
    3
    is the District involved in any review or
    4
    study about the effect of disinfection during
    5
    dry weather conditions?
    6
    MR. ANDES: I'm sorry. Effect on?
    7
    Effect on what?
    8
    MR. HARLEY: On water quality, on
    9
    fecal coliform levels in receiving waters.
    10
    DR. RIJAL: I am aware that there are
    11
    some pilot tests going on, but I don't have
    12
    the data in front of me.
    13
    MR. ANDES: I'm sorry. Are those
    14
    pilot tests as to the --
    15
    DR. RIJAL: The disinfection, yeah,
    16
    different types of disinfection looking at
    17
    the reduction of fecal coliform load.
    18
    MR. HARLEY: But more specifically,
    19
    has anyone at the District, to your
    20
    knowledge, evaluated the effect of fecal
    21
    coliform levels in receiving waters during
    22
    dry weather conditions if disinfection were
    23
    to be employed?
    24
    DR. RIJAL: There has been studies

    66
    1
    done in the past when chlorination, and, you
    2
    know, was imposed and there was no
    3
    significant improvement in the
    4
    microbiological quality of the CAWS from that
    5
    study and there was -- I believe it was Chuck
    6
    Haas (ph.) study.
    7
    MR. HARLEY: That was from 20 or more
    8
    years ago?
    9
    MS. WILLIAMS: What study are you
    10
    referring to?
    11
    DR. RIJAL: Chuck Haas study, the
    12
    chlorination, impact of chlorination -- I
    13
    don't have the exact title here.
    14
    MR. ANDES: We can provide it.
    15
    DR. RIJAL: We can provide you that
    16
    copy.
    17
    MR. HARLEY: Also on the issue of dry
    18
    weather conditions versus wet weather
    19
    conditions, in your prefiled testimony, you
    20
    refer to wet weather conditions in terms of
    21
    rain events or precipitation events. Did you
    22
    ever correlate those precipitation events to
    23
    CSO overflows?
    24
    DR. RIJAL: No, we have not done that.

    67
    1
    MR. HARLEY: So you don't know that if
    2
    it rains that there was a CSO overflow that
    3
    was associated with that precipitation event?
    4
    DR. RIJAL: In this report that is
    5
    Attachment 5, we do have during the heavy
    6
    rain period which triggered CSO, we have data
    7
    on that.
    8
    MR. HARLEY: I don't just mean during
    9
    the heavy rain period, but if there is a
    10
    light rain which for purposes of your
    11
    testimony is a wet weather event, you don't
    12
    know whether or not that resulted actually in
    13
    a CSO overflow?
    14
    DR. RIJAL: It is my understanding
    15
    that I don't have that data if there was any
    16
    CSO reported on that date from the district
    17
    CSO reporting site.
    18
    MR. HARLEY: So you don't know that
    19
    just because there was a wet weather event
    20
    that there was any CSO contribution into the
    21
    CAWS during that wet weather event?
    22
    DR. RIJAL: Well, we do -- yeah. We
    23
    have those days identified -- it's in the
    24
    appendix of this table here and we have

    68
    1
    identified the CSO pumping station discharge
    2
    to the CAWS. And it is just marked -- it's
    3
    in the appendix tables.
    4
    MS. WILLIAMS: And in terms of the 145
    5
    days that you identify as wet weather events,
    6
    during those 145 days that you've identified
    7
    corresponding that to the information you
    8
    just referred to, how many CSO events were
    9
    there?
    10
    DR. RIJAL: The 145 days is annual I'm
    11
    talking about. So if we compare 2004 to --
    12
    in 2004 we had based on this data here for
    13
    north shore -- North Side we had --
    14
    MR. ANDES: And we'll get back to you
    15
    with a tabulation rather than add it up here.
    16
    DR. RIJAL: -- four.
    17
    MR. HARLEY: Did you say four?
    18
    DR. RIJAL: Four for the North Side.
    19
    MR. HARLEY: So there were 145 wet
    20
    weather days, but there were only four CSO
    21
    overflows reported at the North Side plant?
    22
    DR. RIJAL: The North Side area, yes.
    23
    MR. HARLEY: So the CSO
    24
    contribution --

    69
    1
    MR. ANDES: Wait, wait. Are you
    2
    saying during the wet weather days there were
    3
    only four?
    4
    DR. RIJAL: Those are heavy rain days,
    5
    during the heavy rain days.
    6
    HEARING OFFICER TIPSORD: Excuse me,
    7
    if I can. I think that we're going back and
    8
    getting confused on this wet weather issue.
    9
    The 145 days are not considered wet weather
    10
    days. They're 145 days that --
    11
    DR. RIJAL: Measured rainfall.
    12
    HEARING OFFICER TIPSORD: -- measured
    13
    rainfall.
    14
    MR. HARLEY: And those measured
    15
    rainfall days are the -- what's referred to
    16
    throughout your testimony. My question is
    17
    how many of those measured rainfall days
    18
    correspond with days when there were CSO
    19
    overflows?
    20
    DR. RIJAL: We don't -- we didn't
    21
    correlate that data, no. We don't have that
    22
    data.
    23
    MR. HARLEY: So why does it matter how
    24
    many rain days there were if there were no

    70
    1
    CSO overflows potentially on those days?
    2
    MR. ANDES: She's not saying there
    3
    weren't any overflows.
    4
    MR. HARLEY: How then would the
    5
    contribution of CSOs have -- how would the
    6
    fact that a rain in any way affect the fecal
    7
    coliform levels in water if there were not a
    8
    CSO event?
    9
    MR. ANDES: During which category of
    10
    days are you talking about?
    11
    MR. HARLEY: The 145 rain days.
    12
    MR. ANDES: But that's not part of
    13
    this study.
    14
    MEMBER RAO: Do you have that CSO
    15
    data that could be used to correlate it?
    16
    DR. RIJAL: You know, we have only the
    17
    CSOs that reported on the days we sample
    18
    heavy rain days from 2004 to 2006. That's
    19
    what we have. Is that correct?
    20
    MR. DENNISON: Yes.
    21
    DR. RIJAL: Sam was involved in the
    22
    study and that's the number we have reported
    23
    in the study.
    24
    MEMBER RAO: I know what you have

    71
    1
    reported in the study. I'm generally asking
    2
    if the District has CSO data during that same
    3
    time period for the entire year which
    4
    somebody else could use it to correlate it
    5
    with 145 rain days you had to see whether
    6
    there was a CSO discharge or not. Do you
    7
    have the data, not in the report, but
    8
    generally with the District?
    9
    DR. RIJAL: It's in the quarterly
    10
    report, and I think Susan went over it this
    11
    morning. I think she gave certain numbers
    12
    for --
    13
    MR. ANDES: I believe we're going to
    14
    provide those --
    15
    DR. RIJAL: We will provide those
    16
    information.
    17
    MR. ANDES: -- reports, and somebody
    18
    could correlate those.
    19
    MEMBER RAO: Thank you.
    20
    HEARING OFFICER TIPSORD:
    21
    Miss Williams, did you have anything else?
    22
    MS. WILLIAMS: Just a couple things
    23
    about the chart, which is Exhibit 115.
    24
    MR. ANDES: I'm sorry. Which chart?

    72
    1
    MS. WILLIAMS: Exhibit 115, that chart
    2
    that's currently on the little easel. This
    3
    chart, these two charts, I should say, two
    4
    graphs are found in Attachment 4, is that
    5
    correct, to your testimony?
    6
    DR. RIJAL: Yes, yes.
    7
    MS. WILLIAMS: They're not in
    8
    Attachment 5, though, right?
    9
    DR. RIJAL: No. It's Attachment 4.
    10
    MS. WILLIAMS: Can you just explain
    11
    for us the difference between the report in
    12
    Attachment 4 and the report in Attachment 5?
    13
    DR. RIJAL: The Attachment 4 is the
    14
    interim report for the same -- and this was
    15
    based on the data that we had for 2004
    16
    covered -- we covered 2004 and 2005 data,
    17
    yeah.
    18
    MS. WILLIAMS: So there's no
    19
    difference except that Attachment 5 is a
    20
    final version?
    21
    DR. RIJAL: The Attachment 5 is a
    22
    final report, yes.
    23
    MS. WILLIAMS: Of Attachment 4 which
    24
    is an interim?

    73
    1
    DR. RIJAL: Yeah, yeah.
    2
    MS. WILLIAMS: So earlier when you
    3
    were asked by Ms. Meyers-Glen about your
    4
    definition of the dry weather and whether it
    5
    was used anywhere else, was it used in both
    6
    Attachment 4 and Attachment 5?
    7
    DR. RIJAL: It was not used in
    8
    Attachment 4. It was used in Attachment 5.
    9
    Attachment 4 was interim report.
    10
    HEARING OFFICER TIPSORD: But your
    11
    definition of dry weather that you used for
    12
    the purposes of the final report
    13
    Attachment 5, was that the same definition
    14
    for dry weather that you used when you did
    15
    the interim report which is Attachment 4, or
    16
    did you change your definition of dry weather
    17
    between the interim and final report?
    18
    MR. ANDES: Let me see if I can
    19
    clarify, because we're talking about one
    20
    definition for the 145 days of rainfall.
    21
    HEARING OFFICER TIPSORD: I'm not
    22
    talking about --
    23
    MR. ANDES: You're talking about --
    24
    HEARING OFFICER TIPSORD: I'm talking

    74
    1
    about the sampling that you classified as dry
    2
    weather which is two days before and one day
    3
    after no rain event, you said that that was
    4
    only used in Attachment 5. I believe
    5
    Ms. Williams' question, since Attachment 4 is
    6
    the interim report, did you use the same
    7
    definition in the interim report that you
    8
    used in the final report to classify your
    9
    samples as dry weather samples with no rain
    10
    two days before and no rain one day after?
    11
    DR. RIJAL: Yeah. We used the same
    12
    definition.
    13
    HEARING OFFICER TIPSORD: Was that
    14
    what you were getting to, Miss Williams?
    15
    MS. WILLIAMS: Yes. I thought she
    16
    said no.
    17
    HEARING OFFICER TIPSORD: She did say
    18
    no. That's why I -- yes.
    19
    MS. WILLIAMS: But you meant to say
    20
    yes?
    21
    DR. RIJAL: Yes. Thanks.
    22
    MS. WILLIAMS: And can you explain to
    23
    us -- the title to these figures starts with
    24
    estimated fecal coliform densities downstream

    75
    1
    of the North Side and Calumet plants. Could
    2
    you explain why these are estimated?
    3
    DR. RIJAL: We tried to -- it was
    4
    based on the actual level, but we came up
    5
    with the predicted level that would -- that
    6
    will be observed downstream of the plant. We
    7
    had a regression equation so -- which is
    8
    described in the report, in the interim
    9
    report. So it was based on the regression
    10
    equation.
    11
    MS. WILLIAMS: Okay.
    12
    DR. RIJAL: To estimate the FC levels
    13
    in the North Side and the South Side.
    14
    MS. WILLIAMS: When we look at the
    15
    left-hand column of those -- the curves, do
    16
    they represent the actual data? Do you start
    17
    with the actual data there on these charts
    18
    and then estimate?
    19
    DR. RIJAL: Yeah, it estimates the
    20
    fecal coliform die-off rate, yes.
    21
    MS. WILLIAMS: So when you show the
    22
    circles --
    23
    DR. RIJAL: That's the --
    24
    MS. WILLIAMS: Those are actual

    76
    1
    numbers?
    2
    DR. RIJAL: Is that -- yes.
    3
    MS. WILLIAMS: Or are those estimated?
    4
    I'm sorry. The left most circles of the two
    5
    that -- you may have understood what I meant,
    6
    but I probably wasn't clear.
    7
    MR. ANDES: I think we're going to
    8
    have Dr. Dennison answer that question.
    9
    MR. DENNISON: On Figures 2 and 3 the
    10
    circles are actual data.
    11
    HEARING OFFICER TIPSORD: Wait a
    12
    minute. Wait a minute.
    13
    MS. WILLIAMS: I think you're
    14
    confusing us.
    15
    HEARING OFFICER TIPSORD: I'm sorry,
    16
    Miss Williams. This is Figure 1. What we're
    17
    looking at is Exhibit 115 is Figure 1.
    18
    MR. DENNISON: Is that the only figure
    19
    number?
    20
    HEARING OFFICER TIPSORD: Yes.
    21
    MR. DENNISON: On Figure 1 the --
    22
    we're talking about different figures. In
    23
    the report --
    24
    DR. RIJAL: Which is Attachment 4 of

    77
    1
    my testimony.
    2
    HEARING OFFICER TIPSORD: Wait a
    3
    minute. No. We're talking about
    4
    Exhibit 115. The question is about
    5
    Exhibit 115. Let's all call it Exhibit 115
    6
    and look at Exhibit 115.
    7
    MR. DENNISON: Those are not the exact
    8
    data on Figure 1. Those are estimated values
    9
    at each one of those miles downstream from
    10
    the reclamation plants.
    11
    MR. ANDES: How were those
    12
    estimates derived?
    13
    MS. MOORE: I didn't hear that.
    14
    MR. DENNISON: The estimates were
    15
    derived from the actual data. The -- from
    16
    data that were -- from the north wet and
    17
    north dry and north wet minus dry, the north
    18
    area and from the south wet and south dry and
    19
    south wet minus dry in south area.
    20
    MR. ANDES: So help me understand.
    21
    When we're talking about the top curve of wet
    22
    and the bottom curve of dry, those are based
    23
    on actual data?
    24
    MR. DENNISON: Yes.

    78
    1
    MR. ANDES: And the middle curve which
    2
    is one minus the other.
    3
    MR. DENNISON: That is --
    4
    MR. ANDES: A subtraction.
    5
    MR. DENNISON: Subtraction of the top
    6
    curve from the bottom curve.
    7
    MR. ANDES: And the lines in between
    8
    the data points are estimates based on
    9
    regression equation; is that right?
    10
    MR. DENNISON: They're estimates based
    11
    on the regression equation.
    12
    MS. WILLIAMS: So you said the circles
    13
    are actual data?
    14
    MR. DENNISON: Those are -- the
    15
    circles are data calculated from the
    16
    regression equations.
    17
    MS. WILLIAMS: Right. So they're
    18
    estimates, also, right? The circles are also
    19
    estimates?
    20
    MR. DENNISON: Yes. On that Figure 1.
    21
    MR. ANDES: Based on data.
    22
    MR. DENNISON: The lines, the
    23
    estimates are based on actual data.
    24
    HEARING OFFICER TIPSORD: Mr. Harley?

    79
    1
    MR. HARLEY: Is the total discharge
    2
    amount from the wastewater treatment plants
    3
    the same every day?
    4
    DR. RIJAL: What do you mean by
    5
    discharge? The flow or?
    6
    MR. HARLEY: Yeah, the volume of
    7
    wastewater that's discharged. Is it the same
    8
    every day?
    9
    DR. RIJAL: It may fluctuate, but
    10
    average flow will depend upon the weather
    11
    condition, dry or wet weather.
    12
    MR. HARLEY: Would you expect that
    13
    during wet weather events the flow through
    14
    the wastewater treatment plant would be
    15
    greater?
    16
    DR. RIJAL: Greater in what, compared
    17
    to the average flow?
    18
    MR. HARLEY: Compared to the average
    19
    flow or the flow you would have during dry
    20
    weather.
    21
    DR. RIJAL: I don't know.
    22
    MR. HARLEY: So the total effluent
    23
    variation on a day-to-day basis was not a
    24
    part of your analysis?

    80
    1
    DR. RIJAL: We don't do kind of daily
    2
    monitoring of fecal coliform levels from our
    3
    effluent, so the levels actually was in
    4
    between like 10 to maybe 15,000 fecal
    5
    coliform will fluctuate within that range.
    6
    MR. HARLEY: Could there be a wet
    7
    weather event which did not overwhelm the
    8
    system causing a CSO overflow, but
    9
    nonetheless led to much greater amount of
    10
    water being directed through the wastewater
    11
    treatment plant?
    12
    DR. RIJAL: I think I will not answer
    13
    that because the efficiency of the wastewater
    14
    in the design and how it gets treated, I
    15
    think someone else will answer that from the
    16
    District. But I think the final effluent
    17
    limits will be within that range, and we do
    18
    have some data from last week discharges and
    19
    the number doesn't seem to be that high.
    20
    MR. HARLEY: On any given day, how can
    21
    you give an opinion about the relative
    22
    contribution of the wastewater treatment
    23
    plants to fecal coliform levels in the
    24
    receiving water if you don't know what the

    81
    1
    exact levels are on that day?
    2
    DR. RIJAL: We are comparing the
    3
    levels with the ambient levels, too. So we
    4
    are looking at the upstream ambient levels
    5
    and the out, you know, outfall, downstream
    6
    levels. So we are comparing those two
    7
    levels, yeah.
    8
    MR. HARLEY: But how do you account
    9
    for the variation that can occur from day to
    10
    day at any individual sewage treatment plant?
    11
    DR. RIJAL: You know, in this study
    12
    here, we are looking at the overall trend
    13
    that takes place, that took place between
    14
    2004 to 2006, and upstream and downstream of
    15
    the North Side and the Calumet plants.
    16
    MR. HARLEY: One last question: So
    17
    you can have a day when the wastewater
    18
    treatment plant was discharging wastewater
    19
    with a higher level of fecal coliform or you
    20
    could have a day where wastewater treatment
    21
    plant was discharging lesser amounts of fecal
    22
    coliform? Just to be sure that the record is
    23
    clear on that question.
    24
    DR. RIJAL: As I mentioned, it could

    82
    1
    range between 10,000 to 40, 50,000 of fecal
    2
    coliform levels per 100 mL, yes.
    3
    MR. HARLEY: And you don't know if the
    4
    fact that there was rain, a rainy day the way
    5
    that you define it for purposes of your
    6
    testimony corresponds to whether there is
    7
    more or less wastewater being discharged on
    8
    that day -- on any particular day?
    9
    DR. RIJAL: You know, as the
    10
    engineering design of wastewater is to treat
    11
    the water whether it rains or, you know, it's
    12
    a dry period. So the final effluent quality
    13
    would remain the same. There may be a little
    14
    bit of fluctuation in the FC levels, but the
    15
    contribution from the plant outfall, as we
    16
    see in our results following the rain event,
    17
    you don't see a sporadic increase in the FC
    18
    levels in the downstream of the plants.
    19
    MR. HARLEY: But you account for that
    20
    by saying, well, it rains?
    21
    DR. RIJAL: Yes.
    22
    MR. ANDES: She said she doesn't see
    23
    an increase downstream of the plant, and
    24
    you're saying she accounts for that by saying

    83
    1
    it rained. I'm not sure I understand the
    2
    question you're asking her.
    3
    MR. HARLEY: I asked and she answered,
    4
    and I think the record will speak for itself
    5
    whether or not it was a good question.
    6
    MS. DEXTER: Can I ask a quick
    7
    follow-up? The data underlying this, is this
    8
    data from 2004? I think you just said it was
    9
    2004 through 2006.
    10
    DR. RIJAL: 2004 to 2005. Is that
    11
    correct or --
    12
    MR. DENNISON: 2004 for that figure,
    13
    2004.
    14
    DR. RIJAL: 2004 data, yeah.
    15
    MS. DEXTER: Only?
    16
    DR. RIJAL: Yes.
    17
    MS. DEXTER: And can you explain to me
    18
    why the graph starts at five miles downstream
    19
    from the outfalls?
    20
    DR. RIJAL: You know, if you look at
    21
    the graph from the table, we have collected
    22
    samples from three to four miles, so I guess
    23
    is that -- does this help you to get --
    24
    MR. DENNISON: It's an arbitrary

    84
    1
    decision.
    2
    DR. RIJAL: Arbitrary decision, yeah.
    3
    So that's why I mentioned earlier it's an
    4
    estimated FC.
    5
    MS. DEXTER: So you didn't find it
    6
    relevant to see what the difference between
    7
    these two things is the first five miles
    8
    downstream of the --
    9
    DR. RIJAL: Yes.
    10
    HEARING OFFICER TIPSORD:
    11
    Miss Williams, we're back to you.
    12
    MS. WILLIAMS: I might be done. Do
    13
    you have any explanation -- one last
    14
    question: Do you have any explanation why
    15
    these curves look so different on these
    16
    charts for the north area and the south area?
    17
    DR. RIJAL: The data, you know, we
    18
    have lower FC levels south area, and I don't
    19
    know. The number is the number we get from
    20
    that location, yes.
    21
    MS. WILLIAMS: And the Stickney plant
    22
    was not included in these studies?
    23
    DR. RIJAL: No.
    24
    MS. WILLIAMS: That's all I have.

    85
    1
    HEARING OFFICER TIPSORD: Is there
    2
    anything else for Dr. Rijal? Thank you very
    3
    much, Dr. Rijal. We'll move on to, is it
    4
    Adriana? Adrienne?
    5
    MS. WILLIAMS: I'd like to have some
    6
    discussion off the record before she comes.
    7
    HEARING OFFICER TIPSORD: Sure. Off
    8
    the record.
    9
    (Off the record.)
    10
    HEARING OFFICER TIPSORD: Back on the
    11
    record.
    12
    (Witness sworn.)
    13
    HEARING OFFICER TIPSORD: And do we
    14
    have a copy of her testimony?
    15
    MR. ANDES: Sure we do.
    16
    HEARING OFFICER TIPSORD: We will mark
    17
    Miss Nemura's testimony and attachments as
    18
    Exhibit 116 if there's no objection. Seeing
    19
    none, it's Exhibit 116, and we will start
    20
    with IEPA and their questions. Some of these
    21
    questions may be reserved on the record for
    22
    discussion later on when we talk about
    23
    aquatic uses.
    24
    MS. WILLIAMS: Good afternoon,

    86
    1
    Ms. Nemura. Can you start with Question
    2
    No. 1 that we've prefiled. In what areas do
    3
    you consider yourself an expert?
    4
    MS. NEMURA: Evaluating pollutant
    5
    sources and their impacts on watersheds and
    6
    waterways, and that includes sources of
    7
    bacteria and nutrients, particularly for
    8
    combined sewer overflows. I also consider
    9
    myself an expert in development of long-term
    10
    control plans and review and revision of
    11
    water quality standards.
    12
    MS. WILLIAMS: When you say review and
    13
    revision of water quality standards, does
    14
    that cover the gamut of toxics, nutrients?
    15
    Would you limit that in any way?
    16
    MS. NEMURA: I would limit that to
    17
    bacteria and nutrients.
    18
    MS. WILLIAMS: Not so much in the
    19
    toxics or metals?
    20
    MS. NEMURA: Correct.
    21
    MS. WILLIAMS: Your testimony
    22
    discusses primarily, I believe, wet weather
    23
    water quality standards; is that correct?
    24
    MS. NEMURA: Correct.

    87
    1
    MS. WILLIAMS: What would you propose
    2
    to the Board as a wet weather exception?
    3
    MS. NEMURA: I don't know what that
    4
    would look like for the CAWS.
    5
    MS. WILLIAMS: But you're recommending
    6
    that one be contained in the final outcome of
    7
    this rulemaking?
    8
    MS. NEMURA: I'm recommending that if
    9
    the Agency chooses to propose uses or propose
    10
    different water quality standards for the
    11
    CAWS which consist of both uses and criteria,
    12
    that they should consider the differences
    13
    between dry weather and wet weather
    14
    conditions and whether those uses are
    15
    attainable under all conditions.
    16
    MS. WILLIAMS: I'm assuming that
    17
    you're aware that Agency has not proposed
    18
    ambient criteria for recreational uses at
    19
    this time, correct?
    20
    MS. NEMURA: Correct.
    21
    MS. WILLIAMS: So would there be a
    22
    need for wet weather exemption in that case?
    23
    MS. NEMURA: As I --
    24
    MS. WILLIAMS: Or consideration of --

    88
    1
    I'm sorry.
    2
    MS. NEMURA: As I said, if the Agency
    3
    is proposing changing the water quality
    4
    standards for the waterways, they need to
    5
    establish attainable uses and associated
    6
    criteria to protect those uses.
    7
    MS. WILLIAMS: What are the uses
    8
    existing?
    9
    MR. ANDES: You're talking in the
    10
    legal sense, legal sense of an existing use
    11
    or?
    12
    MS. WILLIAMS: Yes.
    13
    MR. ANDES: She's not a lawyer.
    14
    MS. WILLIAMS: I'm talking in the
    15
    sense of her expertise on revision of water
    16
    quality standards which is a component of
    17
    that is designating uses, correct?
    18
    MS. NEMURA: Correct.
    19
    MS. WILLIAMS: And when you designate
    20
    uses, isn't it also correct that you must
    21
    designate them for attainable and existing
    22
    uses?
    23
    MS. NEMURA: The State is not allowed
    24
    to remove an existing use. However, in the

    89
    1
    terms of combined sewer overflows, I
    2
    understand that Chicago's CSOs were present
    3
    before 1975.
    4
    MS. WILLIAMS: Okay.
    5
    MS. NEMURA: And that has been
    6
    addressed in the context of U.S. EPA has
    7
    indicated that it is appropriate to -- or it
    8
    can be appropriate to modify the use because
    9
    the CSOs were there before 1975, and, hence,
    10
    the use before 1975, whatever it was, was
    11
    being impacted by CSOs and associated water
    12
    quality CSOs. So the existing use issue has
    13
    been dealt with by U.S. EPA in the context of
    14
    CSOs.
    15
    MS. WILLIAMS: And your understanding
    16
    is they've dealt with it how?
    17
    MS. NEMURA: That they have clarified
    18
    that they recognize that it's okay for states
    19
    to modify the uses to reflect the fact that
    20
    there are CSO impacts and that to say we
    21
    can't reflect that because somehow we're
    22
    removing an existing use, that that's not
    23
    applicable.
    24
    MS. WILLIAMS: And explain what you

    90
    1
    mean by modify the uses in this context.
    2
    MS. NEMURA: EPA has guidance that
    3
    they developed in 2001 that specifically was
    4
    developed to assist states and communities in
    5
    developing long-term control plans and
    6
    conducting review and revision of water
    7
    quality standards as long-term control plans
    8
    were being developed because they recognize
    9
    that combined sewer overflows -- and the CSO
    10
    policy recognizes this, too, that because of
    11
    the combined sewer overflows which were --
    12
    the systems were designed to overflow at some
    13
    point in time when there was excess wet
    14
    weather, that there would be a need to
    15
    potentially review and revise the water
    16
    quality standard.
    17
    MS. WILLIAMS: Do you provide a
    18
    citation in your testimony to the 2001
    19
    guidance you're referring to right now?
    20
    MS. NEMURA: Yes.
    21
    MS. WILLIAMS: Can you point it out to
    22
    us? I know you say U.S. EPA 2001 in quotes,
    23
    but I'm not sure I found a more specific
    24
    citation.

    91
    1
    MS. NEMURA: On Page 9, the 6th
    2
    reference.
    3
    MS. WILLIAMS: I don't have a page 9.
    4
    Let's start there.
    5
    MR. ANDES: In her testimony?
    6
    HEARING OFFICER TIPSORD: Yes. I only
    7
    have a Page 8.
    8
    MR. ANDES: It's right after the
    9
    signature page. Attachments and references.
    10
    MS. WILLIAMS: Thank you. I do have a
    11
    Page 9. I apologize.
    12
    Just maybe for the record we
    13
    can read in the number of that document if
    14
    you don't mind. It's EPA document
    15
    EPA-833-R-01-002. I'm going to skip over
    16
    some of Question 2 that I think is targeted
    17
    to aquatic life.
    18
    Question 3 I'll just read it:
    19
    Does MWRDGC want to submit a UAA with its
    20
    long-term control plan?
    21
    MS. NEMURA: I don't know.
    22
    HEARING OFFICER TIPSORD: Miss Nemura,
    23
    you need to remember to speak up. You're
    24
    talking all the way to the back of the room

    92
    1
    and all of us, too.
    2
    MS. NEMURA: I don't know.
    3
    MS. WILLIAMS: When you were referring
    4
    in your previous answer to U.S. EPA guidance,
    5
    is that what the guidance refers to,
    6
    submitting a UAA as part of a long-term
    7
    control plan in order to modify uses?
    8
    MS. NEMURA: That's one option that
    9
    EPA identifies in that guidance document.
    10
    MS. WILLIAMS: Are there any other
    11
    options?
    12
    MS. NEMURA: There are.
    13
    MS. WILLIAMS: Can you go through them
    14
    for us?
    15
    MS. NEMURA: There is a watershed
    16
    approach in which the community works with
    17
    other contributors to pollution to look at
    18
    cost-effective reduction of all the sources
    19
    as opposed to just the CSOs. There are
    20
    variances.
    21
    MS. WILLIAMS: When you say the --
    22
    let's go back to the first one. When you say
    23
    the community, you mean the municipality
    24
    or --

    93
    1
    MS. NEMURA: The CSO community.
    2
    MS. WILLIAMS: -- utility that --
    3
    Sorry. Why don't you repeat that.
    4
    MS. NEMURA: The CSO community.
    5
    MS. WILLIAMS: Okay. It doesn't
    6
    discuss Clean Water Act designated entities
    7
    performing that watershed analysis, correct?
    8
    MR. ANDES: What do you mean Clean
    9
    Water Act designated entities?
    10
    MS. WILLIAMS: I mean state agency --
    11
    agencies like Illinois EPA that are
    12
    administering the Clean Water Act within the
    13
    state, it's looking more at local
    14
    governments; is that correct?
    15
    MS. NEMURA: I don't know that I would
    16
    say that.
    17
    MS. WILLIAMS: Okay. If you disagree,
    18
    explain how you would say it.
    19
    MR. ANDES: Who does -- Who does those
    20
    analyses under that document? Who are the
    21
    possible parties?
    22
    MS. WILLIAMS: And we're talking
    23
    about right now about the watershed approach,
    24
    just so you understand that.

    94
    1
    DR. RIJAL: Well, one option under the
    2
    watershed approach is total maximum daily
    3
    loads, and TMDLs can be performed by state
    4
    agencies, they can be performs by third
    5
    parties.
    6
    MS. WILLIAMS: I just want to be -- so
    7
    then we start with the long-term control plan
    8
    with the UAA as option one that you've
    9
    highlighted. And then the second one would
    10
    be a watershed approach which could include,
    11
    which -- a TMDL could be one version of that.
    12
    What would be -- Are there any other versions
    13
    of that approach?
    14
    MS. NEMURA: There are.
    15
    MS. WILLIAMS: Could you explain them
    16
    for us.
    17
    MR. ANDES: Do you want her to explain
    18
    the whole EPA document?
    19
    MS. WILLIAMS: Sure.
    20
    MR. ANDES: Go ahead.
    21
    MS. WILLIAMS: I just want her to give
    22
    a list of -- I mean are there 20 approaches?
    23
    I would think it's a fairly -- we'll get --
    24
    this won't take all night, right?

    95
    1
    MR. ANDES: It's a complicated
    2
    document.
    3
    DR. RIJAL: It depends on how specific
    4
    you want to be.
    5
    MS. WILLIAMS: TMDL is not the only
    6
    kind so I just want to understand what other
    7
    types besides a TMBD could be.
    8
    MS. NEMURA: For example, the
    9
    Sanitation District No. 1 of Northern
    10
    Kentucky so embarking on a watershed approach
    11
    for addressing its sewer overflows. And
    12
    under that approach, they propose incremental
    13
    controls that could include controls on other
    14
    sources every five years so they develop a
    15
    watershed plan that says here is the controls
    16
    that we're going to take on the next five
    17
    years, we work with these other parties and
    18
    then they implement those controls and then
    19
    they reassess the situation and then they go
    20
    back and they come up with a revision to
    21
    those five-year plans and make incremental
    22
    progress towards attainment of the water
    23
    quality standards.
    24
    MS. WILLIAMS: Then the third item for

    96
    1
    the variance, right -- I interrupted you as
    2
    you were going down the list. So you have
    3
    long-term control plan, watershed approach,
    4
    variance. Is there anything you want to
    5
    explain about how a variance would work in
    6
    this context?
    7
    MS. NEMURA: A variance is -- a
    8
    general option under the Clean Water Act, and
    9
    the permittee and the regulatory agencies
    10
    agree on an evaluation of factors, very
    11
    similar to those that are used for use
    12
    attainability analysis. And in that instance
    13
    they agree not to change the water quality
    14
    standard, but they recognize that the
    15
    permittee can't implement controls within a
    16
    specified short time frame, so they allow
    17
    that discharger to have a variance from
    18
    meeting the water quality standards.
    19
    MS. WILLIAMS: And is there a
    20
    limitation to the maximum time frame for a
    21
    variance?
    22
    MS. NEMURA: That depends on who you
    23
    talk to.
    24
    MR. ANDES: Let me ask you, in federal

    97
    1
    guidelines is there any limitation on how
    2
    many variances can be granted?
    3
    MS. WILLIAMS: No. That was not my
    4
    question, no. On any given variance, how
    5
    long can that variance last, not whether can
    6
    it be extended, but how long can the variance
    7
    last under the Clean Water Act or this U.S.
    8
    EPA guidance in your understanding of that?
    9
    MS. NEMURA: I'm not sure about the
    10
    specifics.
    11
    MR. ANDES: We can provide that.
    12
    MS. WILLIAMS: Right. But okay. That
    13
    would be helpful if you provide that. And
    14
    also if you could just answer the question
    15
    that in your understanding they can't be --
    16
    they must be time limited in some form,
    17
    correct, or you don't know that either?
    18
    MS. NEMURA: They are time limited in
    19
    the case of the Charles River in Boston.
    20
    There was a memorandum of, I don't know
    21
    whether it's understanding or agreement, that
    22
    was signed that offers consecutive variances.
    23
    MS. WILLIAMS: Is there any other
    24
    categories? You've listed three categories.

    98
    1
    MS. NEMURA: There's also revisions to
    2
    water quality standards that EPA has
    3
    identified as appropriate.
    4
    MS. WILLIAMS: Any others? Okay.
    5
    Would you say that revisions to water quality
    6
    standards would be the category of those
    7
    examples applicable to what we're doing here?
    8
    MS. NEMURA: I was specifically
    9
    referring to revisions such as CSO
    10
    subclasses, such as high flow suspensions,
    11
    other options.
    12
    MS. WILLIAMS: I'm just trying to
    13
    understand how any of these options are
    14
    applicable to this proceeding.
    15
    MS. NEMURA: Was that a question?
    16
    MS. WILLIAMS: I take it -- if I take
    17
    it as a -- yes. How are any of these options
    18
    applicable to these proceedings? If we take
    19
    it as a given that the district had asked for
    20
    some kind of variance where they could do
    21
    their own UAA as a controlled plan. But as
    22
    far as this proceeding, what is your -- when
    23
    you say the Agency should consider these
    24
    options, what options at this proceeding

    99
    1
    would be appropriate?
    2
    MS. NEMURA: I would think that the
    3
    Agency would want to review all of their
    4
    options and work with the CSO community and
    5
    other stakeholders to identify an appropriate
    6
    approach that recognizes that this is what
    7
    would be attainable under wet weather
    8
    conditions.
    9
    MS. WILLIAMS: I think the Agency
    10
    would like to look at all its options, too.
    11
    That's why I'm trying to understand how that
    12
    would work in this context.
    13
    It seems you've identified
    14
    that they haven't been complete enough. If
    15
    you're not going to make a specific
    16
    recommendation to the board for a change, I'd
    17
    like you to make a very specific
    18
    recommendation about what you think is
    19
    missing here.
    20
    MS. NEMURA: I think what's missing is
    21
    that in the proposed revisions to the water
    22
    quality standards, that the Agency has
    23
    proposed that the designated use be
    24
    incidental contact recreation or noncontact

    100
    1
    recreation.
    2
    MS. WILLIAMS: Or also isn't there
    3
    also nonrecreational use?
    4
    MS. NEMURA: Yes.
    5
    MS. WILLIAMS: Okay.
    6
    MS. NEMURA: And in saying that this
    7
    is what the uses should be for the waterways
    8
    that by not -- that by proposing those uses,
    9
    the Agency should be confident that those
    10
    uses are attainable under all conditions. In
    11
    the proposal or in the rulemaking, the Agency
    12
    states that they do not believe that proposed
    13
    uses are attainable during wet weather, so
    14
    I'm confused in that the proposed standards
    15
    don't reflect the highest attainable use
    16
    which is what the UAA is supposed to
    17
    determine.
    18
    MS. WILLIAMS: So should we only be --
    19
    should the use be set at the lower level, at
    20
    a lower -- I'm not saying this clearly.
    21
    I'm assuming you're recognizing
    22
    that in dry weather there's a higher
    23
    attainable use then, correct? I mean would
    24
    you agree that there's a higher attainable

    101
    1
    use in dry weather for recreation? We're on
    2
    recreation today.
    3
    MS. NEMURA: When I prepared for this
    4
    testimony that was not something that I
    5
    specifically concluded.
    6
    MS. WILLIAMS: And would you say that
    7
    you also specifically did not conclude that
    8
    that they're not attainable? Are you relying
    9
    only on the Agency statements to conclude
    10
    that they're not attainable?
    11
    MS. NEMURA: During wet weather?
    12
    MS. WILLIAMS: Yes.
    13
    MS. NEMURA: No.
    14
    MS. WILLIAMS: What are you relying on
    15
    to make that conclusion?
    16
    MS. NEMURA: I'm relying on the
    17
    District's reports which include studies
    18
    conducted under the North Side facilities
    19
    planning process and studies conducted
    20
    specifically for the use attainability
    21
    analysis.
    22
    MS. WILLIAMS: But you didn't look at
    23
    those in the context of dry weather and in
    24
    the context of wet weather?

    102
    1
    MS. NEMURA: My purpose in preparing
    2
    my testimony was that experience with CSOs
    3
    and long-term control plans and water quality
    4
    standards, that if the State is proposing to
    5
    revise the water quality standards for the
    6
    waterways, that wet weather needs to be
    7
    considered in those revisions.
    8
    MS. WILLIAMS: Can you define wet
    9
    weather for us as you're using the term?
    10
    MS. NEMURA: I'm using the term in the
    11
    context of CSOs occur during wet weather.
    12
    And combined sewer systems were specifically
    13
    designed to overflow during wet weather. And
    14
    the CSO policy recognizes that, yes, CSO
    15
    communities need to reduce the frequency and
    16
    volume of CSOs, but to try to expect
    17
    communities to completely eliminate CSOs is
    18
    quite challenging and is very site specific.
    19
    So a definition of wet weather in context of
    20
    CSOs is different for each community and the
    21
    associated site-specific conditions where
    22
    those dischargers -- or where those CSOs
    23
    discharge to.
    24
    MR. ANDES: If I can follow up on

    103
    1
    that. When you're talking about wet weather,
    2
    are you talking not specifically about when a
    3
    wet weather source is discharging, but rather
    4
    the overall impacts of wet weather sources on
    5
    the uses?
    6
    MS. WILLIAMS: I don't think that's
    7
    what she said at all. Is that what you said?
    8
    MS. NEMURA: Well, it --
    9
    MS. WILLIAMS: I thought you said when
    10
    CSOs are impacting the system.
    11
    MR. ANDES: Impacting the system.
    12
    That's what I was asking about. It's not
    13
    just when they're discharging.
    14
    MS. NEMURA: Right. When CSOs are
    15
    impacting the system.
    16
    MS. WILLIAMS: Not just when they're
    17
    discharging. How are they impacting the
    18
    system when they're not discharging. Maybe
    19
    you need to explain that to me.
    20
    MS. NEMURA: We've heard -- the
    21
    District has testified in various studies
    22
    that have been produced, and it's recognized
    23
    that when CSOs discharge, that the effects of
    24
    that CSO can occur for several days after the

    104
    1
    discharge.
    2
    MS. WILLIAMS: I'm sorry. So you mean
    3
    during and after as the effects continue on?
    4
    MS. NEMURA: Correct.
    5
    MS. WILLIAMS: Okay. You're not just
    6
    referring to -- what I guess I'm getting at
    7
    is I think your answer is pretty clear that
    8
    your definition of wet weather is not getting
    9
    just rain events or nonsource running off
    10
    during rain. You're focussing on CSO impacts
    11
    to the system?
    12
    MS. NEMURA: Correct.
    13
    MS. WILLIAMS: Thank you.
    14
    MR. ANDES: If I can follow up on
    15
    that. Are you talking about more than just
    16
    CSOs, but rather other wet weather sources as
    17
    well?
    18
    MS. WILLIAMS: I think she just said
    19
    no, she's not.
    20
    MR. ANDES: And I don't think she
    21
    understood the question.
    22
    HEARING OFFICER TIPSORD: Let him ask
    23
    the question.
    24
    MS. NEMURA: For the waterways there

    105
    1
    can be wet weather impacts that -- and even
    2
    if all the CSOs were eliminated, there would
    3
    still be wet weather impacts. And because of
    4
    the unique nature of the waterways in which
    5
    it is operated for flood control, I think
    6
    that would have to be considered in the
    7
    definition of wet weather.
    8
    MS. WILLIAMS: Is that part of your
    9
    definition then you're saying here?
    10
    MS. NEMURA: I don't have a definition
    11
    of wet weather for the waterways and for the
    12
    Agency. What I'm saying is there needs to be
    13
    some consideration of the nature of the
    14
    waterways and how it's impacted by wet
    15
    weather, and that was absent in the proposed
    16
    rulemaking.
    17
    MS. WILLIAMS: So you've testified
    18
    that you don't believe the uses designated by
    19
    the Agency are attainable, is that an
    20
    accurate summary, in wet weather?
    21
    MS. NEMURA: I don't believe they're
    22
    attainable under all conditions.
    23
    MS. WILLIAMS: Okay. I'm referring
    24
    only to recreational uses at this point, the

    106
    1
    three that we talked about. And -- well,
    2
    actually, I shouldn't say that. Would that
    3
    include the nonrecreational use that's
    4
    designated. When you say you don't think
    5
    they're attainable under all conditions, is
    6
    that limited to the incidental recreation and
    7
    noncontact recreation, or does it also
    8
    include nonrecreational use?
    9
    MS. NEMURA: Yeah. I didn't look
    10
    specifically at the noncontact recreation.
    11
    MR. ANDES: Or the non --
    12
    MS. NEMURA: Nonrecreation.
    13
    MS. WILLIAMS: What did you look at?
    14
    MS. NEMURA: I looked at the
    15
    incidental contact and the noncontact
    16
    recreation.
    17
    MS. WILLIAMS: And what do you see --
    18
    And you see no difference between the
    19
    incidental and noncontact in your
    20
    conclusions? It's the same conclusion?
    21
    HEARING OFFICER TIPSORD: Deb, we're
    22
    really losing you. Sorry.
    23
    MS. WILLIAMS: I just wanted to
    24
    understand if she's including the same that

    107
    1
    during certain periods the noncontact
    2
    recreational use is also not attainable.
    3
    MS. NEMURA: In the proposed
    4
    rulemaking, the Agency acknowledges that the
    5
    proposed uses can't be met during wet weather
    6
    and that even after TARP is fully operational
    7
    that they may not be able to attain uses
    8
    during wet weather and that was the basis for
    9
    my opinion.
    10
    MS. WILLIAMS: I think I asked this
    11
    question already. Was that the only thing
    12
    that you're basing your opinion on --
    13
    MS. NEMURA: No.
    14
    MS. WILLIAMS: -- the Agency's
    15
    statement of reason, and in that case I would
    16
    understand. You said you were basing it on
    17
    your own review of the District's reports.
    18
    MS. NEMURA: Right. But your specific
    19
    question was whether, if I understood it
    20
    correctly, was whether I was distinguishing
    21
    between the two proposed uses. And without
    22
    having criteria associated with those two
    23
    uses which could be different or they could
    24
    be the same, I don't know how to answer your

    108
    1
    question.
    2
    MS. WILLIAMS: Okay. That seems to
    3
    make sense to me that that's a difficult
    4
    question to answer without numeric criteria
    5
    to protect these different uses, right? I
    6
    mean you would agree with that?
    7
    MS. NEMURA: It's difficult for me to
    8
    answer your specific question whether one of
    9
    those uses is attainable and one is not.
    10
    That depends on the criteria that the state
    11
    would associate with those uses.
    12
    MR. ANDES: If I can follow up on
    13
    that. A couple questions. Would it
    14
    ordinarily be the case when the state of
    15
    developing water quality standards they
    16
    determine uses and attach appropriate
    17
    criteria to them?
    18
    MS. NEMURA: Yes. And in the case of
    19
    recreational uses, the typical approach is
    20
    five to ten times the primary contact
    21
    recreation criteria.
    22
    MR. ANDES: And in terms of the
    23
    question asked earlier about if it's only in
    24
    use why does it matter if it's attainable

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    1
    in wet weather because there's no criterion.
    2
    Can you clarify the concept of uses have to
    3
    be attainable.
    4
    MS. NEMURA: Yes.
    5
    MR. ANDES: And what consequences can
    6
    happen if you designate a use that's not
    7
    attainable?
    8
    MS. NEMURA: Well, in getting to the
    9
    use -- the whole use attainability analysis
    10
    and the purpose is to identify the highest
    11
    attainable use. An excellent example of that
    12
    is the Chesapeake Bay. And under the
    13
    Chesapeake Bay evaluation, the UAA that was
    14
    done, question was could they meet the
    15
    default dissolved oxygen criteria in the bay.
    16
    So they developed the models of the system
    17
    and they ran the models and they determined
    18
    that --
    19
    MS. WILLIAMS: This is an aquatic life
    20
    use example that you're giving, right?
    21
    MS. NEMURA: It doesn't -- it still
    22
    helps illustrate how highest attainable use
    23
    is determined.
    24
    MS. WILLIAMS: But the example that

    110
    1
    you -- and I don't -- I mean I want to let
    2
    her answer, but the examples that you gave
    3
    about U.S. EPA letting you diverge from
    4
    existing uses --
    5
    MR. ANDES: That's not what she said.
    6
    MS. WILLIAMS: Is only applicable
    7
    to -- I'm not -- really I'm actually not
    8
    trying to mischaracterize. But you are
    9
    saying there's something very different about
    10
    recreational uses from CSO impacts, correct?
    11
    HEARING OFFICER TIPSORD: You know
    12
    what, though, we have a question on board
    13
    right now. Let's let her answer this
    14
    question and -- his question, and then you
    15
    can clarify that. But I think if we start
    16
    asking questions before she's answered a
    17
    question we're going have real difficulties.
    18
    Continue.
    19
    MS. NEMURA: Okay. So with the
    20
    Chesapeake Bay, they had the dissolved
    21
    oxygen, it wasn't meeting the default
    22
    criterion. So they ran their models and they
    23
    looked at what was feasible in terms of
    24
    limited technology. And they determined that

    111
    1
    even with limited technology that they could
    2
    not achieve the default criterion. At the
    3
    same time they gathered information on the
    4
    type of fish and aquatic life that were
    5
    present in the Bay and what were the
    6
    dissolved oxygen criterion that were needed
    7
    to protect those species. And they segmented
    8
    the bay into five different zones and adopted
    9
    criteria that could specifically be met when
    10
    the limited technology was applied.
    11
    So in that manner they
    12
    established the appropriate aquatic life uses
    13
    and the appropriate numeric criteria to
    14
    protect those uses. The same could be said
    15
    for developing appropriate recreational use
    16
    criteria in that you would -- you would look
    17
    at your system, you would look at what is
    18
    feasibly attained -- attainable, and if you
    19
    could not attain the recreational use of
    20
    noncontact or incidental recreation under all
    21
    conditions, then you should have different
    22
    uses and associated criteria for those
    23
    periods.
    24
    MS. WILLIAMS: Did they decide they

    112
    1
    would be protecting different types of
    2
    aquatic life then in this example that you're
    3
    giving?
    4
    MS. NEMURA: Yes.
    5
    MS. WILLIAMS: Why don't I show --
    6
    MR. ETTINGER: I'll clarify that. On
    7
    the aquatic life, that was cut down
    8
    geographically, right?
    9
    MS. NEMURA: Yes.
    10
    MR. ETTINGER: So you weren't
    11
    expecting an oyster to live with lower
    12
    dissolved oxygen from levels --
    13
    THE COURT REPORTER: I can't hear you.
    14
    MR. ETTINGER: You weren't expecting
    15
    an oyster to live with different DO levels
    16
    during part of the week and another part,
    17
    versus another part of the week in the
    18
    Chesapeake Bay model?
    19
    MR. ANDES: Only on Wednesdays.
    20
    MS. NEMURA: The criteria -- the
    21
    dissolved oxygen criteria account for
    22
    frequency magnitude and duration of impact.
    23
    So I'm not sure how to answer your question.
    24
    MR. ETTINGER: Okay. I think you

    113
    1
    have.
    2
    MS. WILLIAMS: What I'm hearing,
    3
    though, is that they concluded criterion
    4
    cannot be met and they went in and tried to
    5
    refine attainable uses to help with that
    6
    problem.
    7
    MS. NEMURA: They determined that the
    8
    default dissolved oxygen criterion of five,
    9
    six milligrams per liter could not be met.
    10
    And then they also looked at the different
    11
    habitats within the Chesapeake Bay developed
    12
    the appropriate numeric criteria to protect
    13
    the species that were within those habitats,
    14
    and then they also looked at what was
    15
    attainable with limited technology. And all
    16
    that sort of came together in the UAA.
    17
    MS. WILLIAMS: And is there a
    18
    particular UAA factor they invoked in this
    19
    process?
    20
    MS. NEMURA: They invoked several.
    21
    MS. WILLIAMS: Which ones?
    22
    MS. NEMURA: They invoked the human
    23
    cause condition, and I would have to go back
    24
    and see if there was more.

    114
    1
    MR. ANDES: We can provide that.
    2
    MS. WILLIAMS: That would be helpful
    3
    if you provided that later. I would like
    4
    to -- rather than reading it into the record,
    5
    but I can do that as well, I would like to
    6
    show you a section from the Agency's proposal
    7
    to the Board. And it's the definition of
    8
    incidental contact.
    9
    HEARING OFFICER TIPSORD: Deb, it's
    10
    the definition of?
    11
    MS. WILLIAMS: Incidental contact
    12
    recreation, and it's the Section 301282. I
    13
    can read it also, but I think it might be
    14
    easier maybe if you read it into the record
    15
    so that you can look at it and also the Board
    16
    will know what we're talking about.
    17
    MS. NEMURA: Incidental contact
    18
    recreation means any recreational activity in
    19
    which human contact with the water is
    20
    incidental and in which the probability of
    21
    ingesting appreciable quantities of water is
    22
    minimal, such as fishing, commercial boating,
    23
    small craft recreational boating, and any
    24
    limited contact associated with shore line

    115
    1
    activity such as wading.
    2
    MS. WILLIAMS: Can you explain which
    3
    portions of that definition you feel are not
    4
    attainable?
    5
    MS. NEMURA: I would say that given
    6
    that the definition includes human contact,
    7
    incidental human contact, that if there was
    8
    such incidental human contact with the
    9
    waterways under wet weather conditions that
    10
    the bacteria levels are sufficiently high
    11
    such that there could be an increased risk of
    12
    illness.
    13
    MS. WILLIAMS: Can you read the
    14
    noncontact as well? I'm sorry. You might
    15
    have to flip a page.
    16
    MS. NEMURA: I have it.
    17
    MS. WILLIAMS: Okay.
    18
    MS. NEMURA: Noncontact recreation
    19
    means any recreational or other water use in
    20
    which human contact with the water is
    21
    unlikely, such as pass-through commercial or
    22
    recreational navigation and where physical
    23
    conditions or hydrologic modifications make
    24
    direct human contact unlikely or dangerous.

    116
    1
    MS. WILLIAMS: Is there some part of
    2
    that definition that you believe would be
    3
    unattainable during certain conditions?
    4
    MS. NEMURA: Well, based on Illinois
    5
    EPA's statement in the rulemaking, quote, it
    6
    is clear that as a result of CSOs during wet
    7
    weather, any level of recreational activity
    8
    in the waterway is unhealthy during periods
    9
    when raw sewage is present. I would have to
    10
    say the Agency believes that that's true
    11
    under both conditions.
    12
    MS. WILLIAMS: So that section doesn't
    13
    specifically differentiate either between
    14
    incidental and noncontact that you're reading
    15
    from?
    16
    MS. NEMURA: Well, it says any level
    17
    of recreational activity.
    18
    MS. WILLIAMS: And are you relying on
    19
    anything besides that statement to come to
    20
    your conclusion?
    21
    MS. NEMURA: I'm relying on my
    22
    knowledge of the criteria that we have to
    23
    protect recreational uses at the national
    24
    level and also the criterion that other

    117
    1
    states have adopted.
    2
    MS. WILLIAMS: For incidental or
    3
    secondary contact recreation uses?
    4
    MS. NEMURA: Yes.
    5
    MS. WILLIAMS: But you don't mean at
    6
    the national level of those? You mean at
    7
    state levels when you're referring to
    8
    secondary contact uses?
    9
    MS. NEMURA: It is at the state level,
    10
    but U.S. EPA has approved those criteria for
    11
    those states.
    12
    MS. WILLIAMS: Do you have an opinion
    13
    about whether the existing use designations
    14
    for these waters are attainable?
    15
    MS. NEMURA: You mean the general use
    16
    standards?
    17
    MS. WILLIAMS: Do you know what
    18
    standard is applicable to these waterways for
    19
    recreational uses now?
    20
    MS. NEMURA: Right now there is -- the
    21
    current standards do not include -- I haven't
    22
    looked at that.
    23
    MS. WILLIAMS: That's fine. Have you
    24
    taken into account in forming your opinion

    118
    1
    unattainable uses during wet weather,
    2
    improvements from the tunnel and reservoir
    3
    project?
    4
    MS. NEMURA: I have not specifically.
    5
    MR. ANDES: Are you talking about
    6
    planned improvements or do you mean future
    7
    improvements?
    8
    MS. WILLIAMS: I don't understand the
    9
    difference between planned and future. Do
    10
    you mean that to mean two different things
    11
    or?
    12
    MR. ANDES: No, I don't.
    13
    MS. WILLIAMS: Planned future. Yes.
    14
    I am referring to future improvements in the
    15
    wet weather conditions in the CAWS.
    16
    MS. NEMURA: Can you restate your
    17
    question, please.
    18
    MS. WILLIAMS: Does your opinion about
    19
    the attainable uses for recreational purposes
    20
    take into account the improvements during wet
    21
    weather conditions from completion of TARP?
    22
    MS. NEMURA: That are anticipated with
    23
    TARP?
    24
    MS. WILLIAMS: Correct.

    119
    1
    MS. NEMURA: Yes.
    2
    MS. WILLIAMS: And you conclude
    3
    that -- are you saying then that even after
    4
    TARP the designated uses in the Agency's
    5
    proposal would not be attainable?
    6
    MS. NEMURA: It's my understanding
    7
    that there will still be occasions, even
    8
    after TARP is implemented, where you may have
    9
    a CSO event. So the uses would not be
    10
    attainable with those CSO events. And if you
    11
    don't recognize that in the standards when
    12
    the Agency goes to develop NPDES permit
    13
    conditions, when they go to develop a total
    14
    maximum daily load if it's needed, there will
    15
    be problems in implementing those programs
    16
    because of the CSO impacts.
    17
    MS. WILLIAMS: How would those
    18
    problems occur under this proposal?
    19
    MS. NEMURA: Because this proposal
    20
    basically says that the two designated uses,
    21
    or the proposed designated uses are
    22
    attainable. And yet part of the proposal
    23
    says it's not attainable during wet weather.
    24
    MS. WILLIAMS: Right. But how would

    120
    1
    that play out as a permitting problem in this
    2
    case? There wouldn't be a criteria that
    3
    wasn't being met, correct?
    4
    MS. NEMURA: The use wouldn't be met.
    5
    MS. WILLIAMS: The use wouldn't be
    6
    met. So how would you deal with the use not
    7
    being met without a criteria violation?
    8
    MS. NEMURA: I don't know how you
    9
    could write a permit when you know that the
    10
    discharge could be impairing the use.
    11
    MS. WILLIAMS: I guess what I'm
    12
    getting at is -- what I'm getting at is this
    13
    proposal requires an effluent limit that will
    14
    ensure disinfection is occurring. I don't
    15
    know beyond that what else could be --
    16
    MS. NEMURA: CSOs are permitted,
    17
    right?
    18
    MS. WILLIAMS: Right.
    19
    MS. NEMURA: Every CSO discharge under
    20
    an MTDS permit is permitted. It's allowed.
    21
    So how can you have an allowable discharge
    22
    that you know is going to impair the
    23
    designated use?
    24
    MS. WILLIAMS: So you think it would

    121
    1
    have a permitting agency would have to
    2
    require disinfection of CSOs under this
    3
    proposal. Is that what you're saying?
    4
    MS. NEMURA: I don't know what --
    5
    MS. WILLIAMS: What else they --
    6
    MS. NEMURA: -- what the Agency would
    7
    have to require.
    8
    MR. ETTINGER: Cut to the -- You're
    9
    relying on the basic principle that you can't
    10
    issue a permit that will allow or cause or
    11
    contribute to a violation water quality
    12
    standards, correct?
    13
    MS. NEMURA: Right. You can't -- you
    14
    can't authorize a discharge if you know that
    15
    it's going to impair the use.
    16
    MR. ANDES: If I can follow up also.
    17
    You talked about the total maximum daily
    18
    loads. Am I correct to say those are
    19
    developed to a level necessary to attain
    20
    water quality standards?
    21
    MS. NEMURA: Yes.
    22
    MR. ANDES: How would you do a TMDL to
    23
    attain a use that the Agency has recognized
    24
    can't be attained?

    122
    1
    MS. NEMURA: I don't know.
    2
    MS. WILLIAMS: In your understanding
    3
    of reviewing the Agency's proposal, does the
    4
    Agency agree with your conclusion that all
    5
    existing uses do not have to be protected?
    6
    MR. ANDES: You're asking her if the
    7
    Agency agrees with her?
    8
    MS. WILLIAMS: Where does it say in
    9
    the Agency's proposal that existing uses
    10
    don't have to be protected? How is that?
    11
    MR. ANDES: I don't remember who said
    12
    here that existing uses don't have to be
    13
    protected.
    14
    MS. WILLIAMS: That's what I heard
    15
    Dr. Rijal say that U.S. EPA --
    16
    MR. ANDES: That's not.
    17
    MS. WILLIAMS: -- has recognized that
    18
    where CSOs are an issue, existing uses can
    19
    be --
    20
    MR. ANDES: No. That's not true.
    21
    It's not what she said.
    22
    MS. WILLIAMS: That's different. It
    23
    was not what she said. I understand that. I
    24
    just didn't want you testifying that it's not

    123
    1
    true.
    2
    MR. ANDES: It's both, but it's
    3
    certainly not what she said.
    4
    MS. WILLIAMS: Please explain why I
    5
    mischaracterized your testimony for me,
    6
    because that's how I understood it, so.
    7
    MS. NEMURA: Okay. If you have a CSO
    8
    that exists prior to 1975, okay, it's
    9
    unlikely that the water quality that existed
    10
    before 1975 supported the recreational use.
    11
    So, therefore, the existing use was not
    12
    recreational during CSO events.
    13
    MS. WILLIAMS: So in your
    14
    understanding existing use does not refer to
    15
    what is occurring for recreational purposes
    16
    not also include what is occurring today on
    17
    the waterways in terms of recreation?
    18
    MS. NEMURA: The same logic applies.
    19
    You have a CSO discharge, okay? You have a
    20
    CSO discharge, and the use is not -- the
    21
    recreational use is not being met during and
    22
    after that CSO discharge.
    23
    MS. WILLIAMS: Is a CSO discharge an
    24
    existing use in your definition? Is that

    124
    1
    what you're trying to tell us?
    2
    MS. NEMURA: No.
    3
    MR. ANDES: Let me see if I can help.
    4
    And I believe there's some EPA documents that
    5
    we can provide that are relevant on this.
    6
    But let me ask you this: In terms
    7
    of defining what an existing use is, is it
    8
    accurate to say that EPA says you can define
    9
    the existing use including both the
    10
    activities taking place and the water quality
    11
    conditions under which they're taking place.
    12
    So in a CSO context or wet weather context,
    13
    would that mean certain recreational
    14
    activities, whether they take -- in defining
    15
    it do they take place in the dry weather, do
    16
    they take place in the wet weather and those
    17
    are two different parts of the analysis?
    18
    MS. NEMURA: Correct.
    19
    MS. WILLIAMS: Okay. Okay.
    20
    MR. ANDES: Does that help?
    21
    MS. WILLIAMS: So if recreational use
    22
    is occurring during wet weather, is it an
    23
    existing use?
    24
    MS. NEMURA: It is recreational use

    125
    1
    that is occurring where the water quality
    2
    doesn't support the definition of contact
    3
    recreation.
    4
    MR. ANDES: So if I can clarify it,
    5
    does that mean that you're talking about
    6
    canoeing taking place when bacteria levels
    7
    are high due too CSOs?
    8
    MS. NEMURA: Yes.
    9
    MR. ANDES: That's the existing use.
    10
    MS. NEMURA: (Nodding head).
    11
    MR. ANDES: So would future
    12
    conditions, when one is reducing CSO levels
    13
    rather than increasing them, would that
    14
    impair that existing use?
    15
    MS. NEMURA: No. You're not removing
    16
    that existing use.
    17
    MR. ANDES: In fact, are you
    18
    improving?
    19
    MS. NEMURA: You're improving
    20
    conditions --
    21
    MR. ANDES: So that would be allowed?
    22
    MS. NEMURA: Yes.
    23
    MR. ANDES: Thank you.
    24
    MS. WILLIAMS: What would be allowed?

    126
    1
    MR. ANDES: Changing the use to
    2
    recognize that situation.
    3
    MS. WILLIAMS: To recognize the
    4
    situation.
    5
    MS. NEMURA: That water quality is
    6
    being improved and it's not taking away an
    7
    existing use.
    8
    MR. ANDES: And there are EPA
    9
    documents and state documents that we'll
    10
    provide that relate to that concept.
    11
    MS. WILLIAMS: When you say we'll
    12
    provide them, do you mean like -- do you mean
    13
    tomorrow or do you mean subsequent to the --
    14
    MR. ANDES: We'll do the best to get
    15
    them here tomorrow.
    16
    MS. WILLIAMS: Let's try Question 10.
    17
    Page 2, Paragraph 4 of your testimony states
    18
    in particular a provision is needed to inform
    19
    the public that the waterways should not be
    20
    used for recreation when impacted by wet
    21
    weather discharges. Please explain how this
    22
    recommendation is different than the current
    23
    signs posted along the waterway.
    24
    MS. NEMURA: I don't have any

    127
    1
    particular knowledge of the signs that are
    2
    posted along the waterway. In my opinion, if
    3
    the standards are going to be changed, they
    4
    need to reflect the highest attainable use so
    5
    that water quality managers, permittees,
    6
    stakeholders, anybody who reads the water
    7
    quality standards is clear that this is what
    8
    is expected.
    9
    MS. WILLIAMS: I think some of my
    10
    confusion or frustration is coming from the
    11
    fact that it would be easier for me to
    12
    understand your recommendation in this regard
    13
    if you could provide specifics as to what
    14
    you'd like to see the Board include in this
    15
    rule to reflect that. Will it be possible at
    16
    all for you to do that?
    17
    MS. NEMURA: I think the Agency should
    18
    have considered the unique aspects of the
    19
    waterways, the wet weather impacts that the
    20
    Agency acknowledges that are there, and that
    21
    they should have included that in the
    22
    proposal --
    23
    MS. WILLIAMS: I mean we really think
    24
    we did. I'm not trying to testify now. I

    128
    1
    don't see how we can do that without seeing
    2
    something from you about what specifically is
    3
    not --
    4
    MR. ANDES: Are you telling her it's
    5
    not agency's obligation to put forward a
    6
    proposal that reflects sample uses?
    7
    MS. WILLIAMS: I think we have.
    8
    That's why we don't --
    9
    MR. ANDES: She just cited the
    10
    Agency's statement that uses aren't
    11
    attainable.
    12
    MS. WILLIAMS: Did you give the page?
    13
    I think you did.
    14
    MS. NEMURA: That's Page 92.
    15
    HEARING OFFICER TIPSORD: In the
    16
    statement of reasons?
    17
    MS. NEMURA: Yes.
    18
    HEARING OFFICER TIPSORD: Thank you.
    19
    MS. WILLIAMS: I don't think that's --
    20
    Did you say Page 92?
    21
    MS. NEMURA: Yes.
    22
    MS. WILLIAMS: I mean I think the
    23
    quote that you provided in your testimony is
    24
    in the statement of reasons, but I don't

    129
    1
    think --
    2
    MS. NEMURA: I'm sorry. It's Page 45.
    3
    MS. WILLIAMS: So let me just -- We
    4
    don't need to go around and around about this
    5
    anymore. I guess all I can ask is you don't
    6
    have a recommendation specifically about
    7
    how -- what the Board will come up with
    8
    through this proceeding should be different
    9
    than what's been proposed by the Agency,
    10
    correct?
    11
    MS. NEMURA: My recommendation is
    12
    consistent with the District's recommendation
    13
    in that there is information that is being
    14
    collected that will help answer some of these
    15
    questions. And that if the Agency is going
    16
    to propose a change to the water quality
    17
    standards, that the -- it's the Agency that
    18
    should determine in consultation with the
    19
    impacted parties and other stakeholders what
    20
    the highest attainable uses are.
    21
    MS. WILLIAMS: But is that the burden
    22
    that the Agency has or is the burden in the
    23
    UAA to demonstrate that the Clean Water Act
    24
    uses are not attainable?

    130
    1
    MS. NEMURA: If you do a use
    2
    attainability analysis, the purpose of the
    3
    UAA is to establish a highest attainable use.
    4
    MS. WILLIAMS: So if we had --
    5
    MS. NEMURA: If that information
    6
    wasn't present in the UAA and there's studies
    7
    underway to help inform that type of
    8
    information, then wait until that information
    9
    is available in establishing what the highest
    10
    attainable use is.
    11
    MS. WILLIAMS: So if we had instead
    12
    proposed protection of primary contact
    13
    recreation in this rulemaking, we would not
    14
    have that same burden, correct?
    15
    MS. NEMURA: I don't understand --
    16
    MS. WILLIAMS: Because we would not be
    17
    performing the UAA then, right? We would
    18
    just be performing water quality standard
    19
    change.
    20
    MS. NEMURA: So are you saying that
    21
    you would designate a use that you know is
    22
    not attainable?
    23
    MS. WILLIAMS: I mean we designate
    24
    primary contact recreation general use for

    131
    1
    all sorts of water bodies that don't have
    2
    sufficient -- that don't even have -- we
    3
    don't know if there's recreation occurring.
    4
    MR. ANDES: But in this one if you
    5
    know that primary is not attainable, would
    6
    the Agency designate it anyway in this
    7
    regard?
    8
    MS. WILHITE: We're not designating
    9
    primary --
    10
    MR. ANDES: She's proposing exactly
    11
    that.
    12
    MS. WILLIAMS: I feel the burden is
    13
    being shifted here, and I'm trying to
    14
    understand what the burden is on the Agency
    15
    here as you see it.
    16
    MR. ANDES: She just explained it.
    17
    MS. NEMURA: Under the Clean Water
    18
    Act, it indicates that the purpose of the
    19
    UAA, if you're going to change a standard, if
    20
    the state is going to change the standard you
    21
    need to do the UAA. The outcome of the UAA
    22
    could be to upgrade the use, it could be to
    23
    keep the use the same, it could be to
    24
    downgrade the use and the outcome of the UAA

    132
    1
    which is supposed to be a scientific
    2
    objective analysis, is to establish the
    3
    highest attainable use.
    4
    MS. WILLIAMS: But if --
    5
    MS. NEMURA: I understand that eons
    6
    back when states were doing windshield
    7
    surveys, okay, or in many cases like Missouri
    8
    who didn't have bacteria criteria, okay, and
    9
    they were sued and they had to adopt
    10
    recreational use criteria and bacteria
    11
    criteria, okay. They had to do a blanket
    12
    designation that all water bodies were
    13
    supposed to be primary contact recreation.
    14
    What they chose to do is to do UAAs for those
    15
    water bodies where they felt that primary
    16
    contact recreation was not appropriate. And
    17
    in that case, the highest attainable use was
    18
    deemed to be either whole body contact B
    19
    which is less restrictive than primary, or
    20
    secondary contact recreation. And that's the
    21
    scientific process that is supposed to be
    22
    followed with the UAA.
    23
    MS. WILLIAMS: Do you -- I don't think
    24
    I asked the rest of this ten. Does the

    133
    1
    District already have a brochure and a
    2
    message on their website informing the public
    3
    of hazards of recreating on the CAWS?
    4
    MS. NEMURA: I don't know.
    5
    MS. WILLIAMS: Does the District need
    6
    to do more to get this information out to the
    7
    public?
    8
    MS. NEMURA: I can't speak to the
    9
    adequacy of the District's public
    10
    beautification program.
    11
    MS. WILLIAMS: Do you think that the
    12
    Board needs to adopt a numeric criteria for
    13
    protection of the attainable recreational
    14
    uses in this rulemaking?
    15
    MS. NEMURA: I'm not recommending
    16
    that.
    17
    MS. WILLIAMS: You're recommending
    18
    that they do not adopt a numeric criteria --
    19
    MS. NEMURA: No. I'm not recommending
    20
    that they -- my problem lies in the fact that
    21
    you have to establish the appropriate uses,
    22
    and then you adopt numeric criteria to
    23
    protect those uses. If you haven't adopted
    24
    the appropriate designated uses, it's hard

    134
    1
    for me to suggest to the Board what they
    2
    should adopt as a numeric criteria. You have
    3
    to do both at the same time, and they both
    4
    have to be appropriate.
    5
    MS. WILLIAMS: So that's your
    6
    testimony. That uses and criteria have to be
    7
    adopted at the same time?
    8
    MS. NEMURA: My testimony is that if
    9
    you're going to adopt a use, you should
    10
    also -- you're supposed to adopt the
    11
    appropriate use and the appropriate criteria
    12
    to protect that use.
    13
    MS. WILLIAMS: And would a narrative
    14
    criteria meet that definition, meet that
    15
    recommendation as you described it?
    16
    MS. NEMURA: I don't know how you
    17
    would adopt the narrative criteria to protect
    18
    a recreational use.
    19
    MS. WILLIAMS: Do you know if U.S. EPA
    20
    has ever approved a narrative criteria for
    21
    recreational use?
    22
    MS. NEMURA: I don't know.
    23
    MS. WILLIAMS: Do you know if they've
    24
    disapproved any?

    135
    1
    MS. NEMURA: I don't know.
    2
    MR. ANDES: Are you aware that EPA has
    3
    taken action to establish water quality
    4
    standards in states that don't have numeric
    5
    standards for bacteria?
    6
    MS. NEMURA: I don't believe so.
    7
    Missouri is a good example. Missouri had no
    8
    recreational uses, and when they adopted
    9
    recreational uses, they adopted associated
    10
    numeric criteria to go along with those
    11
    different use classifications.
    12
    MS. WILLIAMS: But you don't --
    13
    MR. ETTINGER: Do you know what
    14
    numbers Missouri adopted?
    15
    MS. NEMURA: I do. But I would prefer
    16
    to review the actual water quality standards
    17
    before I gave you the wrong number.
    18
    MR. ETTINGER: Could they use
    19
    indicator species like --
    20
    THE COURT REPORTER: Like what?
    21
    MR. ETTINGER: -- fecal or --
    22
    THE COURT REPORTER: I still can't
    23
    hear you.
    24
    MR. ETTINGER: Did they use indicators

    136
    1
    like fecal, enterococci or E. Coli?
    2
    MS. NEMURA: They used E. Coli.
    3
    MR. ETTINGER: Thank you.
    4
    MS. WILLIAMS: One thing that I would
    5
    find very helpful with regard to your
    6
    testimony references to other states is if we
    7
    could supplement the record at some point
    8
    with citations to --
    9
    MR. ANDES: This is a list of
    10
    citations at which I believe you asked for in
    11
    one of the questions.
    12
    HEARING OFFICER TIPSORD: Question 4.
    13
    MS. WILLIAMS: I think I skipped it.
    14
    HEARING OFFICER TIPSORD: We will mark
    15
    this as Exhibit 117 if there is no objection.
    16
    Seeing none, this is Exhibit 117. And if
    17
    this is probably as good a time as any to
    18
    break for the evening if we're okay?
    19
    MR. ETTINGER: Not quite.
    20
    HEARING OFFICER TIPSORD: Okay.
    21
    MR. ETTINGER: I object. You didn't
    22
    include Missouri here so could you --
    23
    HEARING OFFICER TIPSORD: Rather
    24
    than --

    137
    1
    MR. ANDES: Provide a --
    2
    MR. ETTINGER: Could you provide the
    3
    cite for Missouri tomorrow morning since we
    4
    talked so much about it.
    5
    MR. ANDES: We'll do our best.
    6
    HEARING OFFICER TIPSORD:
    7
    Mr. Ettinger, rather than objecting, could
    8
    you ask him to supplement and withdraw your
    9
    action.
    10
    MR. ETTINGER: I objected to
    11
    concluding before I asked him to supplement.
    12
    Now I've asked him to supplement.
    13
    HEARING OFFICER TIPSORD: Okay. We'll
    14
    break for the day. We're at 9040 tomorrow.
    15
    (At which time the
    16
    hearing was continued to
    17
    September 25, 2008.)
    18
    * * * * * *
    19
    20
    21
    22
    23
    24

    138
    1 STATE OF ILLINOIS )
    2
    ) SS.
    3 COUNTY OF COOK )
    4
    5
    I, LAURA MUKAHIRN, being a Certified
    6 Shorthand Reporter doing business in the City of
    7 Chicago, Illinois, County of Cook, certify that I
    8 reported in shorthand the proceedings had at the
    9 foregoing hearing of the above-entitled cause. And
    10 I certify that the foregoing is a true and correct
    11 transcript of all my shorthand notes so taken as
    12 aforesaid and contains all the proceedings had at
    13 the said meeting of the above-entitled cause.
    14
    15
    16
    17
    ___________________________
    18
    LAURA MUKAHIRN, CSR
    19
    CSR NO. 084-003592
    20
    21
    22
    23

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