309 NPDES Permits and Permitting Procedures (R03-l9).” There have been numerousopportunities to provide testimony and comments in this rulemaking, and for that IERGthanks the Board.
Further, the Illinois EPA testified
that the benefit resulting from such language would be either small or non-existent, andthat the language would add to the workload of the Agency (See Transcript, pages 17-18,and again, pages 29-30).
Therefore, IERG asks that this language be stricken from the
proposal.
Can the Agency
utilize and rely upon that information provided by the applicant without reopening thecomment pe...
Allowed
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