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R08-9(C),083013 PC# 1384 Enviro Groups Response to USEPA
Handle: Version-93033
Owner: Brown, Don (User-14, brownd:DocuShare)DS
Tuesday, September 3, 2013 09:44:35 AM CDT
Wednesday, December 23, 2020 04:50:15 AM CST
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- BEFORE THE ILLINOIS POLLUTION CONTROL BOARD IN THE MATTER OF: WATER QUALITY STANDARDS AND EFFLUENT LIMITATIONS FOR THE CHICAGO AREA WATERWAYS SYSTEM AND 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 be used 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...
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Appears In: R08-9(C),083013 PC# 1384 Enviro Groups Response to USEPA