7/13/2009
    John Therriault, Assistant Clerk
    Illinois Pollution Control Board
    James R. Thompson Center
    100 W. Randolph, Suite 11-500
    Chicago, Illinois 60601
    PRAIRIE RIVERS NETWORK’S COMMENTS OPPOSING PROPOSED
    PETITION TO MODIFY SPECIFIC THERMAL STANDARD FOR AMEREN
    ENERGY GENERATING COMPANY’S COFFEEN POWER STATION
    Dear Illinois Pollution Control Board:
    The Prairie Rivers Network (PRN) hereby submits these comments in opposition to R2009-
    038: Ameren Energy Generating Company’s Petition to modify their specific thermal
    standard applicable to Ameren’s heated effluent discharge to Coffeen Lake from the
    Coffeen Power Station, located in Montgomery County. Prairie Rivers Network is the state
    affiliate of National Wildlife Federation, a non-profit organization that strives to protect the
    rivers, streams and lakes of Illinois and to promote the lasting health and beauty of
    watershed communities. Much of our work focuses on how policies such as the Clean
    Water Act and Safe Drinking Water Act are used in Illinois - laws intended to protect our
    waters, our environment, and, ultimately, our health.
    PRN shares the concerns raised by the Illinois Environmental Protection Agency (IEPA),
    as established in IEPA’s recommendation to the Illinois Pollution Control Board to DENY
    the petitioner’s request for a modified thermal standard. PRN opposes the Petition for the
    following reasons:
    A) Petitioners Have Failed to Demonstrate That the Artificial Cooling Lake Receiving
    the Heated Effluent Will be Environmentally Acceptable and Within the Intent of the
    Act.
    The burden is on the Petitioners to demonstrate that if granted a modified thermal standard,
    the artificial cooling lake will be considered environmentally acceptable and within the
    intent of the Illinois Environmental Protection Act
    35 Ill. Adm. Code §§ 106.202(b)
    Specifically, the demonstration must a) contain provision of conditions capable of
    supporting shellfish, fish and wildlife, and recreational uses consistent with good
    management practices; and b) provide control of the thermal component of the dischargers’
    effluent by a technologically feasible and economically reasonable method. This burden
    has not been met. As summarized below, the Petitioner has failed to meet the required level
    PRAIRIE RIVERS NETWORK
    1902 Fox Drive, Suite G
    Champaign, Illinois 61820
    217 / 344-2371
    217 / 344-2381 fax
    www.PrairieRivers.org
    BOARD OF DIRECTORS
    Jon McNussen
    President
    Charles Goodall
    Treasurer
    Eric Freyfogle
    Secretary
    Brian Anderson
    Clark Bullard
    Dan Deeb
    Jean Flemma
    Jason Lindsey
    Joe Petry
    Michael Rosenthal
    Electronic Filing -
    Received, Clerk's Office, July 14, 2009
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    of justification for the proposed modification to the specific thermal limits for the discharge
    to Coffeen Lake.
    1) Petitioner has failed to demonstrate that the proposed modification to the
    thermal water quality standard to Coffeen Lake will provide conditions
    capable of supporting shellfish, fish and wildlife, and recreational uses in
    accordance with 35 Ill. Adm. Code 106.102(b)(1)(A) and 302.211(j)(3)(A).
    Constructed in 1963 to provide cooling water for the Coffeen Lake Power Station, Coffeen
    Lake has been leased since 1986 by the Illinois Department of Natural Resources for
    recreational purposes and has served as a municipal water supply. For over 20 years,
    Coffeen Lake has been increasingly known by many, including members of Prairie Rivers
    Network, as an outstanding recreational site; particularly for fishing as well as boating,
    picnicking, bird watching and other nature-based activities.
    Coffeen Lake technically is a reservoir resulting from the damming of the McDavid Branch
    of the East Fork of Shoal Creek, two miles south of Coffeen. The Lake has a watershed of
    18 square miles, and discharges into the East Fork of Shoal Creek, a general use water
    body. Coffeen Lake has been identified as not supporting its aesthetic quality use due to
    excessive levels of total phosphorus, total suspended solids, and excessive algae growth.
    The completed Total Maximum Daily Load (TMDL) report for Coffeen Lake, approved by
    USEPA in 2007, concludes that internal loading of phosphorus is a significant contributor
    to the phosphorus impairment (Report available at
    http://www.epa.state.il.us/water/tmdl/report-status.html
    ). This finding is significant to this
    Petition as increased temperature loading to Coffeen Lake is likely to further contribute to
    the release of phosphorus bound to lake sediments and exacerbate the phosphorus
    impairment, in violation of the Clean Water Act and the Board’s regulations. In the June
    23 hearing, Dr. Shortelle, an expert witness appearing on behalf of Ameren, referenced a
    2009 addendum to the TMDL completed by Hanson Professional Services for Coffeen
    Lake, which contrasts IEPA’s approved TMDL and concludes that the source of
    phosphorus loading is external to the lake. This finding and referenced document, not yet
    made available for peer or Agency review, should not be used to counter the conclusions of
    IEPA’s 2007 USEPA-approved TMDL in this proceeding.
    Additionally, Coffeen Lake does not support its fish consumption use due to excessive
    levels of mercury. Testimony by Dr. Shortelle, again in the June 23 hearing on behalf of
    Ameren, asserts that the mercury levels in fish from Coffeen Lake is less than mercury
    levels in fish from other lakes due to the low ratio of the watershed acreage to the lake
    acreage. While this may be factually correct, this does not address the point of concern
    which is that increasing temperature loading to Coffeen Lake will likely contribute to an
    increase in the size of the anoxic zone in the lake, facilitating the methylation or release of
    Electronic Filing -
    Received, Clerk's Office, July 14, 2009
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    mercury available by aquatic organisms such as fish into the lake. This point must not be
    taken lightly as it is abundantly clear to the public local to Coffeen Lake, officials from the
    Illinois Department of Natural Resources and likely employees of the Ameren Coffeen
    Power Station that subsistence fishing is a common occurrence at Coffeen Lake. Fish
    consumption is a protected designated use of Coffeen Lake and must be upheld as such.
    Furthermore, Coffeen Lake lies within the larger Shoal Creek watershed. The Illinois
    Department of Natural Resources’ (IDNR’s) newly-released biological stream ratings show
    a significant percentage of the state’s Biologically Significant Stream reaches lie within the
    Shoal Creek watershed. (found at
    http://www.dnr.state.il.us/orc/biostrmratings/images/BiologicalStreamRatingReportSept20
    08.pdf) These Biologically Significant Streams represent rare, high-quality stream
    resources. As IDNR states, “Stream segments identified as biologically significant are
    unique resources in the state and we believe that the biological communities present must
    by protected at the stream reach,
    as well as upstream of the reach.”
    (p. 23, emphasis
    added). Discharges from the Coffeen Power Station to its cooling lake known as Coffeen
    Lake will be tributary to these important stream resources. Deterioration of the existing
    high quality aquatic community present in the Shoal Creek watershed must be prevented.
    35 Ill. Adm. Code § 302.105 (a).
    2) Petitioner has failed to demonstrate that alternatives to the proposed
    modification to the thermal water quality standard of Coffeen Lake are not
    technically feasible and economically reasonable, in accordance with 35 Ill.
    Adm. Code 106.102(b)(1)(B) and 302.211(j)(3)(B).
    The Petitioners presented four technically feasible options in their Coffeen Cooling System
    Thermal Study, prepared by their consultant Sargent & Lundy including: operation of the
    existing system with continued de-rating; construction of a new 175,000 gpm helper tower;
    construction of a new 130,000 gpm helper tower; and construction of a new 100,000 gpm
    helper tower. Though the costs of each of these alternatives was presented, the Petitioner
    did not sufficiently determine the affordability of each of the alternatives. It appears from
    our review that the $18,000,000 estimated cost of the 175,000 gpm helper tower, estimated
    to have a payback period of 11.5 years is an economically reasonable option and should be
    considered for implementation. Certainly it cannot be assumed that $18 million is too
    much to spend without a far more detailed analysis and a showing that the additional cost
    would render increased use of the plant economically infeasible.
    Additionally, it is not clear why the recommendation in the 2007 Coffeen Lake TMDL
    report of raising the dam level by 3 feet was not given consideration as an alternative to the
    proposed modified standard in addressing the thermal discharge problem. It was agreed
    upon by both IEPA and the Petitioner in the public hearing that this alternative would allow
    Electronic Filing -
    Received, Clerk's Office, July 14, 2009
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    for decreased concentrations of phosphorus and mercury within the lake, both pollutants
    that contribute to the lake’s impairments.
    B) The Illinois Pollution Control Board Cannot Grant a Modified Thermal Water
    Quality Standard That is Inconsistent With Federal Law
    The Petition must demonstrate that the Board may grant the requested relief consistent with
    federal law governing the subject of the proposal.
    35 Ill Adm. Code § 102.210 (e).
    Revisions to or adoptions of new water quality standards must be submitted to the
    Administrator of the United States Environmental Protection Agency (EPA) for review and
    approval in accordance with the Clean Water Act.
    33 U.S.C. § 1313(c), 40 C.F.R. §
    131.20(c) (2)
    A water quality standard is a legally binding norm that describes the desired
    ambient condition for a waterbody and includes “the magnitude (e.g. concentration),
    duration, or frequency that the State would use to determine whether a waterbody is
    attaining any applicable water quality criteria.
    EPA Region 10. “Water Quality Standards:
    Authorities, Definitions & Considerations.”
    (January 13, 2009). Clearly, a modified
    thermal standard is a water quality standard. As such, it must be submitted to EPA for
    review and approval in accordance with the federal Clean Water Act and its implementing
    regulations. A new or revised water quality standard has no effect until EPA approves the
    change.
    40 CFR § 131.21(c)
    . Should the Board grant this Petition, the change in water
    quality standards must then be submitted to EPA for its review and approval.
    In addition, while the Board is not charged in this proceeding with determining whether the
    necessary NPDES permits will be granted, the whole point of obtaining a modified
    standard is to allow Petitioners to obtain the permits and to discharge additional pollutants
    in accordance with those permits. Because Petitioners will be seeking to discharge
    additional pollutant loading into Coffeen Lake, the additional thermal loading must comply
    with the state’s antidegradation regulations.
    See
    35 Ill Adm. Code
    §
    302.105 (requiring a
    demonstration that existing uses will be fully protected.)
    35 Ill Adm.Code § 302.105 (c) (2)
    (B).
    As noted above, however, Petitioners have inadequately demonstrated that the
    increased thermal loading will protect the existing uses in Coffeen Lake. At this point,
    Petitioners have not even fully accounted for the existing uses in the receiving waterbody.
    Both federal law and the Illinois Administrative Code call for a detailed assessment of
    existing uses and the environmental impact of the requested relief on those uses. The
    requested relief cannot be granted until Petitioners can show the full extent of those
    impacts and provide a scientifically supported assurance that those uses will be protected
    despite the increase in thermal loading. Currently, petitioner has failed to demonstrate that
    the proposed modification to the specific thermal standard for Coffeen Lake will “assure
    protection and propagation” of shellfish, fish, and wildlife, in accordance with the CWA
    and Board regulations. Further, the Petitioner has totally failed to show that allowing the
    Electronic Filing -
    Received, Clerk's Office, July 14, 2009
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    increased heat loading is necessary to accommodate important social or economic
    development.
    Prairie Rivers Network hereby urges the Illinois Pollution Control Board to DENY
    Ameren’s request
    as they have not met their burden under Section 28.1(c) of the Act, 35
    Ill. Adm. Code 106.200(a), and 35 Ill. Adm. Code 302.211(j)(5).
    Sincerely,
    Traci Barkley
    Water Resources Scientist
    Electronic Filing -
    Received, Clerk's Office, July 14, 2009
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