- 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...