IN THE MATTER OF:WATER QUALITY STANDARDS ANDEFFLUENT LIMITATIONS FOR THECHICAGO AREA WATERWAYS SYSTEMAND THE LOWER DES PLAINES RIVER:PROPOSED AMENDMENTS TO 35 Ill.
Further, the Board should reconsider its “B” designation for the Brandon Pool of the
LDPR, as discussed in our earlier comments.
The fact that this
pollution will take time to correct may form part of the justification for a variance, but cannot beused to justify a use designation below the Clean Water Act goal under 40 CFR 131.10(g).
The Environmental Groups do not agree with USEPA that the record shows that the
Tunnel and Reservoir Plan (TARP) will eliminate CSOs.
I...
Allowed
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R08-9(C),083013 PC# 1384 Enviro Groups Response to USEPA.pdf