02/27/2008
    14:28
    FAX
    815
    727 8085
    STATE
    ATTY
    CIVIL
    DIV
    002/028
    r
    OF
    PROOF
    OF
    SiRVICE
    ‘°flzroI
    Under
    penalties
    as
    provided
    by
    law
    pursuant
    to
    Section
    1-109
    of the
    Code
    of
    Civil
    Procedure,
    the
    undersigned
    certifies
    that a
    copy
    of
    the
    foregoing
    documents
    was
    placed
    with
    UPS
    on
    December
    24,
    2008
    for
    overnight
    delivery
    to be
    served
    upon
    the
    Glover
    Family
    Trust,
    Elaine
    D.
    Glover
    and
    Glen
    K.
    Glover,
    all
    parties
    to
    Administrative
    Citation
    09
    AC
    32,
    by cnclosing
    the
    same
    in
    an envelope
    addressed
    to
    said
    parties
    at their
    last
    known
    address,
    with
    postage
    fully
    prepaid,
    and by
    depositing
    the
    same
    with
    UPS
    in
    Joliet,
    illinois,
    and
    that
    the
    attached
    shipping
    and
    tracking
    information
    are
    true
    and
    correct
    to
    the
    best
    of
    her
    knowledge.
    Subscribed
    and
    sworn
    before
    me
    on this
    day
    of
    February,
    2009.
    SEAL
    I
    GWEN
    M
    PATRYNA
    NOTARY
    PU8LIC,
    STATE
    OF
    ILLINOIS
    MY
    COMMSION
    EPIRES&2O11

    IJ
    003/028
    02/27/2003
    14:26
    FAX
    815
    727
    6085
    UPS:
    Tracking
    Jnformation
    STATE
    ATTY
    CIVIL
    OIV
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    186
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    10:17
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    NEXT
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    ITT
    1862210037746
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    12l29/2008
    g:40
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    2/27/2009

    02/27/2008
    14:26
    FAX
    815
    727
    8085
    STATE
    ATTY
    CIVIL
    DIV
    Ij
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    02/27/2008
    14:28
    FAX
    8157278085
    STATE
    ATTY
    CIVIL
    DIV
    008/028
    BEFORE
    TFffi
    iLLINOIS
    POLLUTION
    CONTh.OL
    BOARD
    COUNTY
    OF
    WILL,
    )
    Complainant,
    )
    )
    )
    ACO9
    )
    )
    GLOVER
    FAMILY
    TRUST,
    ELAINE
    D.
    )
    GLOVER,
    GLEN
    K.
    GLOVER,
    )
    )
    Respondenis.
    )
    NOTICE
    OF
    FILING
    TO:
    GLOVER
    FAMILY
    TRUST,
    wider
    trust
    agreement
    dated
    February
    26,2003,
    do
    co-trustee
    Glen
    K.
    Olover,
    333
    W.
    Benton
    Ave..,
    Naperville,
    IL
    60540;
    GLEN
    K.
    GLOVER.,
    333
    W.
    Benton
    Ave.,
    Naperville,
    IL
    60540;
    and
    ELAtNE
    D.
    GLOVER,
    333
    W.
    Benton
    Ave.,
    Naperville,
    IL
    60540
    PLEASE
    TAKE
    NOTICE
    that
    on
    this
    day
    of
    December,
    2008,
    I
    cause
    to
    be
    mailed
    via
    overnight
    delivery
    for
    filing
    with
    the
    Office
    of
    the
    Clerk
    of
    the
    Illinois
    Pollution
    Control
    Board,
    the
    Complaint
    for
    Administrative
    Citation,
    a
    copy
    of
    which
    is
    herewith
    served
    upon
    you.
    Assistant
    State’s
    Attorney
    Will
    County
    State’s
    Attorney’s
    Office
    121
    N.
    Chicago
    St.
    Joliet,
    Illinois
    60432
    815/727-8453

    02/27/2008
    14:28
    FAX
    815
    727
    6085
    STATE
    ATTY
    CIVIL
    DIV
    Ij
    007/028
    BEFORE
    TI
    ILLINOIS
    POLLUTION
    CONTROL
    BOARD
    GLOVER
    FiMtLY
    TRUST,
    ELAINE
    D.
    GLOVER,
    GLEN
    K. GLOVER,
    Respondents.
    )
    APPEAR4.NCE
    I
    hereby
    file my
    appearance
    on
    behalf
    of the
    COUNTY
    OF
    WILL,
    a body
    corporate
    and
    politic,
    in
    this
    proceeding.
    Assistant
    State’s
    Attorney
    Will
    County
    State’s
    Attorney’s
    Office
    121
    N. Chicago
    St.
    Joliet,
    IL
    60432
    815/727-8453
    COUNTY
    OF
    WILL,
    vs.
    Coinplain’rnt,
    )
    )
    )
    )
    )
    )
    )
    )
    )
    ACO9

    02/27/2003
    14:26
    FAX
    815
    727
    8085
    STATE
    ATTY
    CIVIL
    DIV
    008/028
    BEFORE
    THE
    ILLINOIS
    POLLUTION
    CONTROL
    BOARD
    ADMThISThATIVE
    CITAT[ON
    COUNTY
    OF
    WILL,
    )
    Complainant,
    )
    )
    vs.
    )
    ACO9
    )
    )
    GLOVER
    FAMILY
    TRUSTS
    ELAINE
    1).
    )
    GLOVER,
    GLEN
    K.
    GLOVER,
    )
    )
    Respondent.
    )
    AI)INISTRATIVE.
    CITATION
    NOW
    COMES
    the
    complainant,
    the
    COUNTY OF
    WILL,
    a
    body
    corporate
    and
    politic,
    through its
    State’s
    Attorney James
    W.
    Glasgow,
    by
    one
    of
    his
    assistants,
    Melanie
    D.
    Manning
    and
    for
    its
    Administrative
    Citation
    against
    the
    GLOVER
    FAMILY TRUST,
    EALINE
    1).
    GLOVER,
    an individual and
    eo-tmstee,
    and
    GLEN
    K.
    GLOVER, an
    individual and
    co-trustee,
    states
    as
    follows:
    JURISDICTION
    This
    Administrative
    Citation is
    issued
    pursuant
    to
    authority
    vested
    in the
    illinois
    Environmental
    Protection
    Agency
    by
    415
    ILCS
    5/1,
    et.
    seq.,
    specifically
    415
    fLCS
    5/31.1.
    FACTS
    1.
    The
    respondents,
    the
    GLOVER
    FAMiLY
    TRUST,
    under
    a
    certain
    trust
    agreement dated
    February
    26.2003.
    ELAINE
    D.
    GLOVER,
    an
    individual and
    upon
    information
    and
    belief;
    co-trustee of the
    GLOVER
    FAMILY
    TRUST, and
    GLEN
    K.
    GLOVER,
    an
    individual
    and
    upon
    information and
    belief;
    co-trustee of
    the
    GLOVER
    FAMILY
    TRUST,
    (hereinafter
    collectively
    referred
    to
    as
    “Respondents”)
    at
    all
    times
    relevant
    hereto
    are
    the
    owner
    of
    the
    real
    property, or
    have
    an
    ownership
    interest
    in
    the
    1

    02/27/2008
    14:28
    FAX
    815
    727
    8085
    STATE
    ATTY
    CIVIL
    DIV
    I009/02g
    mist
    that
    is
    the
    property,
    located
    at
    24W947
    Rarnm
    Dr.,
    Naperville,
    Will
    County,
    illinois
    PIN.
    07O1-05203-0l8
    (hereinafter
    collectively
    referred
    to
    as
    the
    “subject
    property”).
    2.
    The
    Illinois
    Environmental
    Protection
    Agency
    has
    previously
    assigned
    the
    subject
    property
    a
    site
    code
    of
    1978205013.
    3.
    At
    all
    times
    relevant
    hereto
    the
    Respondents
    have
    owned,
    had
    an
    interest
    in
    a
    trust
    that
    owned
    and/or
    controlled
    the
    subject
    property,
    and
    upon
    information
    and
    belief
    allowed
    an
    unknown
    person
    to
    use
    the
    subject
    property
    and/or
    operate
    a
    business
    on
    the
    subject
    property.
    4.
    On
    October
    31,
    2008,
    Jason
    Peppmuller,
    an
    Environmental
    Enforcement
    Officer
    for
    the
    Waste
    Services
    Division
    of
    the
    Will
    County
    Land
    Use
    Department,
    inspected
    the
    subject
    property.
    5.
    After
    his
    October
    31,
    2008,
    inspection
    of
    the
    subject
    property,
    Officer
    Peppmuller
    prepared
    an
    Inspection
    Report
    detailing
    his
    observations
    of
    the
    subject
    property.
    A
    true
    and
    correct
    copy
    of
    the
    inspection
    report
    and
    a
    supporting
    affidavit
    are
    attached
    hereto
    and
    incorporated
    herein
    as
    “Group
    Exhibit
    A”.
    ViOLATIONS
    I.
    çAUSEj)R_ALLOWZrHE9P
    DUMPJG
    OF
    ANY
    WASTE
    IN
    A
    MICfl
    R
    TSJLJTER
    AT
    TILE
    PSrFE,
    SECTION
    21(p)(t)
    6.
    On
    the
    basis
    on
    Officer
    Peppmuller’s
    direct
    observations,
    he
    has
    determined
    the
    Respondents
    allowed
    the
    open
    dumping
    of
    waste,
    which
    resulted
    in
    litter
    at
    the
    subject
    property
    in
    violation
    of
    415
    ILCS
    5/21(p)(1).
    7.
    Specifically
    that
    Respondents
    allowed
    the
    open
    dumping
    of
    waste,
    which
    resulted
    in
    litter,
    at
    the
    subject
    property
    as
    on
    October
    31,2008,
    Officer
    Peppmufler
    observed
    during
    his
    on-site
    inspection
    dumping
    which
    caused
    litter
    in
    violation
    of
    415
    ILCS
    5t21(p)(1).
    2

    02/27/2008
    1427
    FAX
    815727
    8085
    STATE
    ATTY
    CIVIL
    Oly
    01O/o29
    11.
    CAUSE
    OFALLOW
    TIlE
    OPEN
    DUMPITNI
    OF
    %NY
    WTEi!
    A
    MNNER
    WWCH
    RESUL
    IN
    O1N
    VRNJNGECTiQN
    8.
    On
    the
    basis
    on
    Officer
    Peppmuller’s
    direct
    observations,
    he
    has
    determined
    the
    Respondents
    allowed
    the
    open
    dumping
    of
    waste,
    which
    resulted
    in
    open
    burning
    at
    the
    subject
    property
    in
    violation
    of
    415
    ILCS
    5/21(p)(3).
    9.
    Specifically
    that
    Respondents
    allowed
    the
    open
    dumping
    of
    waste,
    which
    resulted
    in
    litter,
    at
    the
    subject
    property
    as
    on
    October
    31,
    2008,
    Officer
    Peppmuller
    observed
    during
    his
    on-site
    inspection
    dumping
    which
    resulted
    in
    open
    burning
    in
    violation
    of
    415
    ILCS
    51
    2
    1(px3).
    III.
    CAUSE
    OR
    ALLOWTflE
    OPEN
    DUMPING
    OP
    ANY
    WASTE3N
    A
    MANNER
    WIITCH
    RfSULTS
    IN
    DEPOSITION
    OP
    GENERAL
    CONSTRUCTION
    OR
    DEMOLITIQN
    DEBRISR
    CLEAN
    CONSTRUCTION
    OR
    DEMOLITION
    DEBRIS
    AT
    TIIEJIUMP
    SITE
    1
    SECTION
    21Jp)(71
    -
    10.
    On
    the
    basis
    on
    Officer
    Peppmuller’s
    direct
    observations)
    he
    has
    determined
    the
    Respondents
    allowed
    the
    open
    dumping
    of
    waste
    which
    was
    caused
    or
    allowed
    in
    a
    manner
    which
    resulted
    in
    deposition
    of
    general
    consiruction
    or
    demolition
    debris
    or
    clean
    construction
    debris
    at
    the
    subject
    property
    in
    violation
    of
    415
    [LCS
    5/21
    (p)(7’).
    11.
    Speciiically
    that
    Respondents
    allowed
    the
    open
    dumping
    of
    waste,
    which
    resulted
    in
    litter,
    at
    the
    subject
    property
    as
    on
    October
    31,
    2008,
    Officer
    Peppmuller
    observed
    during
    his
    on-site
    inspectionopen
    dumping
    of
    waste
    which
    was
    caused
    or
    allowed
    in
    a
    manner
    which
    resulted
    in
    deposition
    of
    general
    con
    motion
    or
    demolition
    debris
    or
    clean
    construction
    debris
    at
    the
    subject
    property
    in
    violation
    of’
    415
    TLCS
    5/21
    (p)(7).
    CIVIL
    PENALTY
    3

    02/27/2008
    14:27
    FAX
    815
    727
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    STATE
    ATTY
    CIVIL
    DIV
    1j011/028
    Pursuant
    to
    Section
    415
    ILCS
    5/42(b)(4}.{5),
    Respondents
    are
    subject
    to
    a
    civil
    penally
    of
    $1,500.00
    for
    each
    of the
    violations
    identified
    above,
    for a
    total
    of
    $4,500.
    If
    Respondents elect
    not to
    petition the Illinois
    Pollution
    Control
    Board,
    the
    statutorily civil
    penalty
    specified
    above
    shall
    be
    due
    and
    payable
    no
    later
    than
    February
    27,2009, unless
    otherwise
    provided by order
    of
    the
    Illinois
    Pollution
    Control
    Board.
    TI
    Respondents
    elect
    to
    contest
    this
    Administrative
    Citation
    by
    petitioning
    the
    Illinois
    Pollution
    Control
    Board
    in
    accordance
    with
    Section
    31.1
    ofthe
    Act,
    415
    LCS
    5/31.1,
    and
    if
    the
    illinois
    Pollution
    Control
    Board
    issues
    a
    finding
    of
    violation
    as
    alleged
    herein,
    after
    an
    adjudicatory
    hearing,
    Respondent
    shall
    be
    assessed
    the
    associated
    hearing
    costs
    incurred
    by
    the
    Illinois
    Environmental
    Protection
    Agency
    and
    the
    Illinois
    Pollution
    Control
    Board.
    Those
    hearings
    costs
    shall
    be
    assessed
    in addition
    to
    the
    $1,500.00
    statutory
    civil
    penalty
    for each
    violation.
    Pursuant
    to
    Section
    415 ILCS
    5/31.l(d)(1), if
    Respondents
    fails
    to
    petition or
    elect
    not
    to
    petition
    the
    Illinois
    Pollution
    Control
    Board
    for
    review
    of this
    Administrative
    Citation
    within
    35
    days
    of
    the
    date
    of
    service,
    the
    Illinois
    Pollution
    Control
    Board
    shall
    adopt
    a final
    order,
    which
    shall
    in
    clued
    this
    Administrative Citation
    and fmdings of
    violation
    as
    alleged
    herein,
    and
    shall
    impose
    the
    statutory
    civil
    penalty
    specified
    above.
    When
    payment
    is
    made,
    checks
    shall
    be
    made
    payable
    in equal
    amounts
    (50%
    of
    total
    penalty
    each)
    to
    (1)
    County
    of Will,
    do
    Pat McGuire,
    Will
    County
    Treasurer, 302
    N. Chicago St.,
    Joliet,
    illinois
    60432;
    and
    (2) illinois
    Envirouniental
    Protection
    Agency,
    1021
    North
    Grand
    Avenue
    East,
    P.O.Box
    19276,
    Springfield,
    Illinois
    62794-9276.
    Respondents
    shall
    complete and return
    the
    enclosed
    Remittance
    Fozms
    with
    payments
    to
    ensure
    property
    documentation
    of
    payment.
    If any
    civil
    penalty
    and/or
    bearing
    costs
    are not
    paid
    within
    the
    time
    prescribed
    by
    order
    of the
    Illinois
    Pollution Control
    Board,
    interest
    on
    said
    penalty
    andlor
    hearing
    costs
    shall
    be
    assessed
    against
    the
    Respondent
    from
    the
    date
    payment
    is
    due
    i.ipto
    and
    including
    the
    date
    that payment is
    received.
    The
    Complainant
    may
    either
    initiate
    4

    02/27/2008
    14:2?
    FAX
    815
    727
    8085
    STATE
    ATTY
    CIVIL
    DIV
    IJ012/O28
    proceedings
    against
    Respondent
    in
    the
    Circuit
    Court
    or
    other
    debt
    collection
    actions
    to
    collect
    said penalty
    and/or
    hearing
    costs,
    plus
    any
    interest
    accruecL
    PROCEDURE
    FOR
    CONTESTENG
    ADMINISTRATWE
    CITATION
    You
    have
    the
    right
    to
    contest
    this
    Citation,
    pursuant
    to
    415
    ICLS
    5/31.1.
    Jlyou
    elect
    to
    contest
    this
    Citation,
    you
    mnst
    file
    a
    Petition
    for
    Review
    with
    the
    Clerk
    of
    the
    illinois
    Pollution
    Control
    Board.
    A
    copy
    of
    the
    Petition
    for
    Review
    shail
    be
    filed
    with
    James
    W.
    Glasgow,
    Will
    County
    State’s
    Attorney,
    Attn:
    Melanie
    D
    Manning.
    Assistant
    State’s
    Attorney,
    Will
    County
    State’s
    Attorney’s
    Office,
    121
    N.
    Chicago
    St.,
    Joliet,
    illinois
    60432.
    YOUR
    PETITION
    FORREVIEW
    MUST
    BE
    FILED
    WITHIN
    35
    DAYS
    OF
    TUE
    DATE
    QF
    SERVICE
    OF
    TIlE
    PRESENT
    CITATION
    ON
    YOU,
    IF
    YOU
    FAIL
    TQ
    FILE
    YOUR
    PEflTJQN
    .A
    DEFAULT
    ORDER
    AGAINST
    YOU
    WELL
    BE
    ENTERED
    BY
    TUE
    POLLUTION
    CONTROL
    BOARDS
    Your
    original
    Petition
    must
    be
    filed
    with
    the
    Clerk
    of
    the
    Board
    at:
    Clerk
    Pollution
    Control
    Board
    100 W.
    Randolph,
    Suite
    11-500
    Chicago,
    fihinois
    60601-321S
    A
    copy
    must
    be
    sent to:
    James
    W
    Glasgow,
    Will
    County
    State’s
    Attorney
    Attn:
    Melanie
    D.
    Manning,
    Assistant
    State’s
    Attorney
    Will
    County
    State’s
    Attorneys
    Office
    121
    N.
    Chicago
    St.
    Joliet,
    illinois
    60432.
    DATED
    this
    day
    of
    December,
    2008
    Melanie
    D.
    Mawiing,
    Assistant
    State’s
    Attorney
    5

    02/27/2008
    14:27
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    727
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    STATE
    ATTY
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    DIV
    I013/028
    STATE
    OF
    ILLfNOIS
    )
    )
    55.
    COUNTY
    OF
    WILL
    )
    AFFIDAVIT
    Afflant,
    Jason
    Peppmuller,
    being
    first
    duly
    swoni
    on
    oath,
    voluntarily
    deposes
    and
    states
    as
    follows:
    1.
    Affiant
    has
    been
    withthe
    Waste
    Services
    Division
    of
    the
    Will
    County
    Land
    Use
    Department
    since
    May
    2005
    and
    has
    been
    so
    employed
    at
    all
    times
    relevant
    hereto.
    2.
    Currently
    and
    at
    all
    times
    relevant
    hereto
    Affiant
    is
    an
    Environmental
    Enforcement
    Officer
    for
    the
    Waste
    Services
    Division
    of
    theWill
    County
    Land
    Use
    Department.
    3.
    On
    October
    31,
    2008,
    afliant
    conducted
    an
    inspection
    of
    the
    real
    property
    and
    facility
    located
    at
    24W947
    Ramm
    Dr.,
    Naperville,
    Will
    County,
    that
    is
    the
    snbject
    of
    the
    Admhtislrative
    Citation.
    4,
    Afliant
    inspected
    said
    subject
    property
    and
    witnessed
    all
    the
    observations
    as
    set
    forth
    in
    the
    Administrative
    Citation
    and
    his
    Inspection
    Report
    attached
    as
    part
    of
    Group
    Exhibit
    A.
    5.
    As
    a
    result
    of
    the
    actions
    of
    afliant
    contained
    in
    paragraphs
    3
    and
    4
    above,
    affiant
    completed
    the
    Inspection
    Report
    attached
    hereto
    and
    made
    a
    part
    hereof;
    which
    is
    an
    accurate
    representation
    of
    affiant’
    a
    observations
    and
    factual
    conclusions
    with
    respect
    to
    the
    property
    as
    identified
    and
    described
    in
    paragraph
    2
    above
    and
    the
    Administrative
    Citation
    as
    it
    appeared
    on
    October
    31,
    2008.
    6.
    On
    December
    11,2008,
    Afflant
    conducted
    another
    inspection
    of
    the
    subject
    property
    and
    all
    violations
    alleged
    in
    the
    Administrative
    Citation
    and
    the
    Inspection
    Report
    continued
    exist
    on
    the
    subject
    pr
    perty.
    I
    n
    -
    /
    Z
    a
    on
    Peppmuiler,
    /
    Environmental
    Enforcement
    Officer,
    CFFICLIJ.
    SEAL
    Waste
    Services
    Division
    LOREANIJCAVEC
    Will
    County
    Land
    Use
    Department

    02/27/200814:27
    FAX
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    8085
    ILLINOIS
    ENVIRONMENTAL
    PROTECTION
    AGENCY
    Open
    Dump
    Inspection
    Checklist
    County
    Will
    LPC#:
    1978205013
    Location/Site
    Nne:
    24W947Ramm
    Dr.,
    Naperville
    605641
    Glover
    property
    -
    Date:
    10/3112008
    Time:
    From
    1:25pm
    Inspector(s)
    Jason
    Peppmuller
    No.
    of
    Photos
    Taken:
    #16
    Eat.
    Amt.
    of
    Waste:
    220
    yds
    3
    Samples
    Taken:
    Yes
    #
    No
    0
    Interviewed:
    N/A
    Complaint
    #:
    r
    -
    -fl
    -
    -.
    SECTION
    DESCRIPTION
    VIOL
    ILL.NO
    ENVIRONMENTAL
    PRTEflQN
    ACT
    REQUiREMENTS
    -
    .
    i
    CAUSE,THREATENORALLOWMRPOLLUTIONlflWNO
    2.
    9(c)
    CAUSE
    OR
    ALLOW
    OPEN
    BURNING
    3.
    i2(
    CAUSE,
    THREATEN
    OR
    ALLOW
    WATER
    POLLUTION
    IN
    ILLINOIS
    4.
    1(d)
    -
    CREATE
    A
    WATER
    POLLUTION
    HAZARD
    5.
    21)
    CAUSE
    OR
    ALLOW
    OPEN
    DUMPING_—
    CONDUCT
    ANY
    WASTE-STORAGE
    1
    WASTE-TREATMENT,
    OR
    WASTE-
    DISPOSAL
    6.2{d)
    OPERTlON:_
    (1)
    Without
    a
    Permit
    (2)
    In
    Violation
    of
    Any
    Regulations
    or
    Standards
    Adopted
    by
    the
    Board
    DISPOSE,
    TREAT,
    STOREj
    OR
    ABANDON
    ANY
    WASTE,
    OR
    TRANSPORT
    ANY
    7.
    21(g)
    WASTEJNTOTHF
    STATE
    ATrrO
    SITEOT
    MEETING
    EOIJIREMENTS
    OF
    ACT
    -
    CAUSE
    OR
    ALLOW
    THE
    OPEN
    DUMPING
    OF
    ANY
    WASTE
    IN
    A
    MANNER
    WHICH
    RESULTS
    B.
    21(p)
    -
    iN4Y
    OF
    THEOLjOWjNG
    OCCURRENçS
    AT
    MFE
    —-
    (1L
    L
    -
    -
    (2)
    Scavenging
    -
    (
    Open
    Burning
    Deposition
    of
    Waste
    in
    Standing
    or
    Flowing
    Waters
    -
    D
    -
    )
    ProhferaonotDeaseVectors
    -—
    E]
    Standing
    or
    Flowing
    Liquid
    Discharge
    from
    the
    Dump
    Site
    -
    []
    STATE
    ATTY
    CIVIL
    DIV
    Ij
    014/028
    Region:
    2-
    Des
    Plaines
    To
    1:33
    pm
    Previous
    Inspection
    Date:
    8/13/2004
    Weather:
    68
    degrees
    Fahrenheit,
    west-southwest
    winds
    at
    8
    mph,
    clear
    skies
    Responsible
    Party
    Mailing
    Address(es)
    and
    Phone
    Number(s):
    Glover
    Family
    Trust
    TR
    G&E
    333
    333
    W.
    Beriton
    Ave.
    Naperville,
    IL
    60540
    Revised
    06/18/2001
    (Open
    Dump-i)

    02/27/2009
    14:27
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    STATE
    ATTY
    CIVIL OIY
    l
    015/028
    iPC#
    1978205013
    Inspection
    Date:
    10/31/2008
    812.101(a)
    Deposition
    of
    General
    Construction
    or
    Demolition
    Debris;
    or
    Clean
    Construction
    or
    Demolition
    Debris
    NO
    PERSON
    SHALL
    --
    LI
    —‘
    rs
    )
    FAILURE
    TO
    SUBMIT AN
    APPLICATiON
    POR
    A
    PERMIT TO
    DEVELOP AND
    OPERATE A
    LANDFILL
    11.
    722.111
    HAZARDOUS
    WASTE
    DETERMINATION
    12.
    808.121
    SPECIAL
    WASTE
    DETERMINATION
    LI
    ACCEPTANCE
    OF
    SPECIAL
    WASTE
    FROM
    A WASTE
    TRANSPORTER
    WITHOUT A
    WASTE
    HAULING
    PERMIT,
    UNIFORM
    WASTE
    PROGRAM
    REGISTRATION
    AND
    [1
    13.
    809.302a)
    PERMIT
    ANDIOR
    MANIFEST
    k:
    -
    QT
    .,.
    I
    APPARENT
    VIOLATION
    OF:
    (U)
    PCB;
    (Li)
    CIRCUIT
    COURT
    []
    14.
    -
    CASE
    NUMBER:
    ORDER
    ENTERED ON:
    Abandon
    any
    vehicle
    in
    violation
    of
    the
    “Abandoned
    Vehicles
    15.
    jc)
    Amendment
    to
    the
    Illinois
    Vehicle
    Code”
    LI
    LI
    LI
    LI
    LI
    Informational
    Notes
    1.
    [Illinois]
    Environmental
    Protection
    Act
    415
    ILCS
    514.
    2,
    Illinois
    Pollution
    Control
    Board:
    35
    III.
    Adm,
    Code,
    Subtitle
    0.
    3.
    Statutory
    and
    reuIatory
    references
    herein
    are
    provided
    for
    convenience
    only
    and
    should
    not
    be
    construed
    as
    legal
    conclusions
    of
    the
    Agency
    or
    as
    limiting
    the
    Agency’s
    statutory
    or
    regulatory
    powers.
    Requirements of
    some
    statutes
    and
    regulations
    cited
    are
    in
    summary
    format. Full text
    of
    requirements
    can
    be
    found
    in
    references
    listed
    in
    1.
    and
    2.
    above.
    4.
    The
    provisions
    of
    subsection
    (p)
    of Section
    21
    of
    the
    [illinois]
    Environmental
    Protection Act
    shall
    be
    enforceable
    either
    by
    administrative citation
    under
    Section
    31.1
    of
    the
    Act
    or
    by
    complaint
    under
    Section
    31
    of
    the
    Act.
    5.
    This
    inspeclion
    was
    conducted
    in
    accordance
    with
    Sections
    4(c)
    and
    4(d)
    of
    the
    [Illinois]
    Environmental Protection
    Act:
    415
    ILCS
    5/4(c)
    and
    (d).
    6.
    Items
    martced
    with
    an
    ‘NE
    were
    not
    evaluated
    at
    the
    time
    of
    this
    inspection.
    10.
    Revised
    06/1
    8/2001
    (Open
    Dump
    -2)

    02/27/2009
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    STATE
    ATTY
    CIVIL
    flY
    Page
    I
    of
    2,
    Gloverproperty/Site#
    1978205013
    OBSERVED
    VIOLATIONS
    10/31/08
    Site
    Inspection
    #1
    Pursuant
    to
    Section
    9(a)
    of
    the
    [illinois]
    Environmental
    Protection
    Act
    (415
    ILCS
    5/9(a)),
    no
    person
    shall
    cause,
    threaten,
    or
    allow
    air
    pollution
    in
    Illinois.
    A
    violation
    of
    Section
    9(a)
    of
    the
    [illinois]
    Environmental
    Protection
    Act
    (415
    ILCS
    5/9(a))
    is
    alleged
    for
    the
    following
    reason:
    During
    the
    inspection
    evidence
    of
    open
    burning
    of
    waste
    debris
    was
    observed.
    #2
    Pursuant
    to
    Section
    9(c)
    of
    the
    [illinois]
    Environmental
    Protection
    Act
    (415
    ILCS
    5/9(c
    )),
    no
    person
    shall
    cause
    or
    allow
    open
    burning.
    A
    violation
    of
    Section
    9(c)
    of
    the
    [illinois)
    Environmental
    Protection
    Act
    (415
    ILCS
    5/9(c))
    is
    alleged
    for
    the
    following
    reason:
    During
    the
    inspection
    evidence
    of
    open
    burning
    of
    waste
    debris
    was
    observed.
    #3
    Pursuant
    to
    Section
    2
    1(a)
    of
    the
    Act,
    no
    person
    shall
    cause
    or
    allow
    the
    open
    dumping
    of
    any
    waste.
    A
    violation
    of
    Section
    21(a)
    of
    the
    [illinois]
    Environmental
    Protection
    Act
    (415
    ILCS
    5/21(a))
    is
    alleged
    for
    the
    following
    reason:
    Evidence
    of
    open
    dumping
    of
    waste
    was
    observed
    during
    the
    inspection.
    #4
    Pursuant
    to
    Section
    21(c)
    of
    the
    Act,
    no
    person
    shall
    abandon
    any
    vehicle
    in
    violation
    of
    the
    “Abandoned
    Vehicles
    Amendment
    to
    the
    Illinois
    Vehicle
    Code”,
    as
    enacted
    by
    the
    76
    th
    General
    Assembly.
    A
    violation
    of
    Section
    21(c)
    of
    the
    [ffiinoisj
    Environmental
    Protection
    Act
    (415
    ILCS
    5/21(c))
    is
    alleged
    for
    the
    following
    reason:
    Evidence
    of
    abandoned
    vehicles
    were
    observed
    during
    the
    inspection.
    #5
    Pursuant
    to
    Section
    21(d)(1)
    of
    the
    Act,
    in
    relevant
    part,
    no
    person
    shall
    conduct
    any
    waste
    storage,
    waste-treallnent,
    or
    waste-disposal
    operation
    without
    a
    permit
    granted
    by
    the
    Agency
    or
    in
    violation
    of
    any
    conditions
    imposed
    by
    such
    pennit,
    including
    periodic
    reports
    and
    full
    access
    to
    adequate
    records
    and
    the
    inspection
    of
    facilities,
    as
    may
    be
    necessary
    to
    assure
    compliance
    with
    this
    Act
    and
    with
    regulations
    and
    standards
    adopted
    there
    under.
    A
    violation
    of
    Section
    21(d)(1)
    of
    the
    [Illinois]
    Environmental
    Protection
    Act
    (415
    ILCS
    5121(d)(l))
    is
    alleged
    for
    the
    following
    reason:
    Waste
    was
    disposed
    without
    a
    permit
    granted
    by
    the
    Illinois
    EPA.
    #6
    Pursuant
    to
    Section
    21(d)(2)
    of
    the
    Act,
    no
    person
    shall
    conduct
    any
    waste-storage,
    waste
    trealment,
    or
    waste-disposal
    operation
    in
    violation
    of
    any
    regulations
    or
    standards
    adopted
    by
    the
    Board
    under
    this
    Act.
    A
    violation
    of
    Section
    21(d)(2)
    of
    the
    [Illinois)
    Environmental
    Protection
    Act
    (415
    ILCS
    5/21(d)(2))
    is
    alleged
    for
    the
    following
    reason:
    A
    waste
    disposal
    operation
    was
    conducted
    in
    violation
    of
    regulations
    adopted
    by
    the
    Illinois
    Pollution
    Control
    Board.
    I

    02/27/2008
    14:28
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    017/028
    Page
    2
    of 2,
    Glover
    prDperty/
    Site
    #
    1978205013
    #7
    Pursuant
    to
    Section
    21(e)
    of
    the
    Act,
    no
    person
    shall
    dispose,
    treat,
    store
    or
    abandon
    any
    waste,
    or
    transport
    any
    waste
    into
    this
    State
    for
    disposal,
    treatment,
    storage
    or
    abandonment,
    except
    at
    a site
    or
    facility
    which
    meets
    the
    requirements
    of
    this
    Act
    and
    of
    regulations
    and
    standards
    there
    under.
    A
    violation of
    Section
    21(e)
    of
    the
    [Illinois]
    Environmental
    Protection
    Act
    (415
    ILCS
    5/21(e))
    is
    alleged
    for the
    following
    reason:
    Waste
    was
    disposed
    at
    this
    site,
    which
    does
    not
    meet
    the
    requirements of
    the
    Act
    and regulations
    there
    under.
    #8
    Pursuant
    to
    Section
    21(p)
    of
    the
    [Illinois]
    Environmental
    Protection
    Act
    (415
    ILCS
    5/21(p)),
    no
    person
    shall
    5
    in
    violation
    of
    subdivision
    (a)
    of this
    Section
    [21],
    cause
    or
    allow
    the
    open
    dumping
    of
    any
    waste
    in
    a
    manner
    which
    results
    in
    any
    of
    the
    following
    occulTences
    at
    the
    dump
    site:
    I.
    ljfte
    2.
    scavenging;
    3.
    open
    burning;
    4.
    deposition
    of
    waste
    in
    standing
    or flowing
    waters;
    5,
    proIifenrion of disease
    vectors;
    or
    6.
    tsndin
    5
    or flowing
    liquid
    discharge
    from
    the
    dump
    site.
    7.
    deposition
    of:
    (i) genera)
    consmctian
    or
    demolition
    debris
    as defined
    in
    Section
    3.78
    of this
    Act or
    (ii) clean
    consuction
    or
    demolition
    debris
    as
    denod
    inSeution3.78eofthjsAct.
    A violation
    of
    Section
    21(p)(1)
    is alleged
    for the
    following
    reasons:
    The
    open
    dumping
    of
    waste
    was
    caused
    or
    allowed
    in
    a manner,
    which
    resulted
    in lifter.
    A
    violation
    of
    Section
    21(p)(3)
    is
    alleged
    for
    the
    following
    reason:
    The
    open
    dumping of
    waste
    was
    caused
    or
    allowed
    in
    a manner
    which
    resulted
    in
    open
    burning
    of
    waste
    debris.
    A
    violation
    of
    Section
    2
    1(j)(7)
    is
    alleged
    for
    the
    following
    reasons:
    The
    open
    dumping
    of
    waste
    was
    caused
    or
    allowed in
    a
    manner
    which
    resulted
    in
    deposition
    of
    general
    construction
    or
    demolition
    debris;
    or
    clean
    construction
    or
    demolition
    debris.
    #9
    Pursuant
    to
    Section
    55(a)(1) of
    the
    [ilhinoisi
    Environmental
    Protection
    Act
    (415
    JLCS
    5/55(a)(1)), no person
    shall
    cause
    or allow
    the
    open
    dumping of
    any
    used
    or
    waste
    tire.
    A
    violation
    of
    Section
    55(a)(1)
    of
    the
    [Illinois]
    Environmental Protection
    Act
    (415
    ILCS
    5/55(a)(l)) is alleged
    for
    the
    following
    reason:
    Evidence
    of
    open
    dumping of
    used
    or
    waste
    tires
    was
    observed
    during
    the
    inspection.
    #19
    Pursuant
    to
    Section
    812.101(a),
    all
    persons,
    except
    those
    specifically
    exempted by
    Section
    21(d)
    of
    the
    Environmental
    Protection
    Act
    (Act)
    (Ill.
    Rev.
    Stat.
    199l
    cb..
    Lii
    1/2,
    par
    1021(d))
    [415
    ILCS
    5/21(d)]
    shall
    submit
    to
    the
    Agency an
    application for a
    permit
    to
    develop
    and
    operate
    a
    landfill.
    The
    applications
    must
    contain
    the
    information
    required by
    this
    Subpart
    and
    by
    Section
    39(a)
    of
    the Act,
    except
    as
    otherwise
    provided
    in
    35
    III.
    Adm.
    Code
    817.
    A violation
    of
    35
    III.
    Adm.
    Code
    812.101(a) is alleged
    for
    the
    following
    reason:
    A
    waste
    disposal
    site
    was
    operated
    without
    submitting
    to
    the
    Illinois
    EPA
    an
    application
    for a
    permit
    to
    develop
    and
    operate
    a landfill.
    2

    02/27/2009
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    8TATE
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    DIV
    018/028
    Page
    1
    of
    11,
    Gbver
    property
    State
    of
    Illinois
    Environmental
    Protection
    Agency
    General
    Narrative
    Inspection
    Report
    Document
    County:
    Will
    Date:
    10/31/08
    Location:
    24W947
    Ramm Dr.,
    Naperville
    60564
    Time:
    1:25
    pm
    1:33
    pm
    Site
    No: 1978205013
    Inspector(s):
    Jason
    Peppmufler
    PIN:
    07-01-05-203-018
    General
    Remarks
    Site
    History
    The
    site
    was
    originally
    found
    in
    violation
    during
    a
    Feb.
    26,
    1998
    inspection.
    Joy
    Hinz
    of
    the
    Will
    County
    Land Use
    Dept.,
    Waste
    Services
    Division,
    was the
    inspector.
    After
    over
    one year
    and four
    violation
    letters
    sent to
    the
    owners,
    the site
    was found
    “In-General
    Compliance”
    during
    an
    April
    21, 1999
    inspection.
    Dean
    Olson,
    Will County
    Waste
    Services
    Division
    Manager,
    conducted
    an
    inspection
    on July 2,
    2004,
    found
    the
    site
    in
    violation,
    and
    sent
    a
    Non-Compliance
    Advisory
    (NCA)
    to
    the
    owners.
    During
    an
    August
    13, 2004
    inspection
    by
    Dean,
    the site
    was still in
    violation
    and
    he
    issued
    Violation
    Notice
    (VN)
    L-2004-WL099.
    On
    December
    7,
    2004
    Dean
    issued
    a
    Notice
    of
    Intent
    to
    Pursue
    Legal
    Action
    letter
    for
    no
    VN
    response
    and
    no
    cleanup
    observed
    at
    the
    site.
    On
    February
    4,
    2005
    Dean
    observed
    similar
    ongoing
    violations.
    On
    March
    .1
    2005
    an
    EDG
    meeting
    was held
    and the case
    was
    referred
    to
    the
    Will
    County
    SAO,
    Case
    No.
    05
    CH
    565.
    Two
    Will
    County
    Court
    Orders
    were
    issued
    during
    2005,
    which
    addressed
    violations
    at
    the
    site.
    After
    several
    court
    dates,
    and
    eventual
    cleanup
    by
    the property
    owner,
    the
    case
    was
    “Dismissed
    without
    prejudice”
    on
    April
    10,
    2006.
    Site
    Inspection
    On
    October
    31,
    2008 I
    conducted
    an
    inspection
    of
    the
    above-mentioned
    property
    to
    determine
    its
    compliance
    with
    the
    Illinois
    Environmental
    Protection
    Act
    and
    Title
    35
    of
    the
    Illinois
    Administrative
    Code.
    Weather
    conditions
    during
    the
    inspection
    included
    a
    temperature
    of
    68
    degrees
    Fahrenheit.
    west-southwest
    winds
    at
    8
    mph,
    and
    clear
    skies.
    I
    anived
    at
    the
    site,
    parked
    the
    vehicle,
    and
    began
    the
    inspection
    on
    foot.
    I
    did
    not
    observe
    any
    persons
    on
    the
    property
    at
    the
    time.
    In
    the
    southeast
    section
    of
    the
    property
    I
    observed
    off-site
    generated
    landscape
    waste,
    construction
    and demolition
    debris,
    scrap
    metal,
    contaminated
    soil,
    and
    litter
    open
    dumped
    (photo
    1). I
    observed
    piles
    of
    off-site
    generated
    landscape
    waste
    such
    as
    brush,
    grass
    clippings,
    sod, and
    leaves
    open
    dumped
    (photo
    2).
    I
    observed
    off-site
    generated
    landscape
    waste,
    consmiction
    and
    demolition
    debris,
    and
    litter
    open
    dumped
    (photo
    3).
    1
    then
    observed
    off-
    site
    generated
    landscape
    waste,
    treated
    woody
    waste,
    litter
    and
    contaminated
    soil
    open
    dumped
    (photo
    4). I
    then
    observed
    waste
    tires,
    litter,
    construction
    and
    demolition
    debris,
    and
    contaminated
    soil
    open
    dumped
    (photo
    5).
    I
    observed
    contaminated
    soil
    mixed
    with
    construction
    and demolition
    debris,
    litter,
    and
    tires
    open
    dumped
    (photo
    6).
    Ithen
    observed
    an
    abandoned
    vehicle
    and
    boat
    open
    dumped
    (photo
    7). 1
    observed
    the
    two abandoned
    vehicles
    open
    dumped
    and
    buried
    with
    about
    one foot
    of
    open
    dumped
    soil
    contaminated
    with
    construction
    and demolition
    debris
    and
    litter
    (photo
    8).
    1
    also
    observed
    an
    abandoned
    tractor
    open
    dumped
    partially
    hidden
    by vegetation.
    1

    02/27/2008
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    Pace
    2 of 11,
    Glover property
    I proceeded
    and
    observed
    some pieces of
    scrap
    metal open
    dumped
    near a building
    (photo 9). I
    continued to
    observed
    piles
    of off-site
    generated
    landscape waste,
    contaminated
    soil,
    construction
    and demolition
    debris, scrap
    metal,
    and
    litter open
    dumped
    (photos
    10
    &
    1 1). I then observed
    a
    container
    with
    open
    burned construction
    and d
    molition debris and
    litter
    in it
    (photo
    12)
    I
    then
    observed
    construction
    and demolition debris
    and litter open
    dumped
    (photo
    13). 1 then
    observed
    a
    pick-up tuck
    bed filled with
    off-site generated
    landscape
    waste (photo 14).
    I then observed
    a Bren
    Concrete truck
    parked onsite
    (photo
    15). I also
    observed a
    Jeff’s
    Lawn
    Care & Landscaping
    thick
    parked
    onsite. It appears
    one
    or both
    of the businesses
    may be causing
    or
    allowing
    the open
    dumping
    and open burning at
    the
    site.
    I
    then concluded the
    inspection
    and
    exited the
    site.
    I
    estimated
    approximately
    220 cubic
    yards of waste
    debris
    was open
    dumped
    on
    the site,
    including
    the two
    abandoned
    vehicles
    and boat.
    Upon
    concluding
    the
    inspectkrn,
    the following
    apparent violations
    were observed
    at site:
    sections
    9(a),
    9(c), 21(a), 21(c),
    21(d)(1),
    21(d)(2),
    21(e),
    21(p(l)),
    21(p(3)),
    21(p(7)),
    55(a)(1) of
    the
    Illinois Environmental
    Protection
    Act,
    and
    Section
    811101(a)
    of Title 35
    Illinois
    Administrative
    Code
    END OF
    NARRATWE
    BY JASON
    PEPPMULLER
    2

    02/27/2008
    14:28
    FAX
    815
    727
    8085
    STATE ATTY
    CIVIL
    DIV
    Ej
    020/028
    Page
    3
    of
    I , Glover
    property
    Photo 1
    Taken
    By:
    Jason
    Peppmuller
    Date:
    10131/08
    Location:
    24W947
    Ramin
    Dr,
    Naperville 60564
    PIN. 07-01-05-203-018
    Site
    No
    1978205013
    Comments:
    Facing
    south,
    photo
    shows
    off-site
    generated
    landscape
    waste,
    construction
    and
    demolition
    debris,
    contaminated
    soil,
    and
    litter
    open dumped.
    Photo 2
    Taken By. Jason
    Peppinuller
    Date
    10/31/08
    Location:
    24W947
    Ramm
    I)r., Naperville
    60564
    PIN.
    07-01-05-203-018
    Site No:
    1978205013
    Comments:
    Facing
    southeast,
    photo shows
    piles
    of
    off-site
    generated
    landscape
    waste
    such as
    brush, grass
    clippings,
    sod,
    and
    leaves
    open
    dumped.
    3

    02/27/2008
    14:28
    FAX
    815
    727
    6085
    STATE
    ATTY
    CIVIL
    DIV
    l
    02
    1/028
    Page
    4
    of
    Ii,
    Glover
    property
    Location:
    24W947
    Ramm
    Dr.,
    Napervi]le
    60564
    Site
    No:
    1978205013
    Photo
    3
    Taken
    By:
    Jason
    Peppmuller
    Date:
    10131/08
    Location:
    24W947
    R.anuii
    Dr.,
    Napervulle
    60564
    P.LN.
    07-01-05-203-018
    Site
    No:
    1978205013
    Comments:
    Facing
    northeast,
    photo
    shows
    off-site
    generated
    landscape
    waste,
    construction
    and
    demolition
    debris,
    and
    litter
    open
    dumped.
    Photo
    4
    Taken
    By:
    Jason
    Peppniuller
    Date:
    10)31/OS
    PIN.
    07-01-05-203-018
    Comments:
    Pacing
    northwest,
    photo
    shows
    off-site
    generated
    landscape
    waste,
    treated
    woodywaste,
    litter
    and
    contaminated
    soil
    open
    dumped.
    4

    02/27/2008
    14:28
    FAX
    815
    727
    8085
    STATE ATTY
    CIVIL
    DIV
    lJ
    022/028
    PageS
    oft
    I,
    (hover
    property
    Photo 6
    Taken By: Jason
    Peppniuller
    Location:
    24W947
    Ramm
    Dr.,
    Naperville
    60564
    Photo
    5
    Taken By:
    Jason
    Peppniuller
    Date:
    10/31/08
    Location:
    24W947
    Ramni
    Dr.,
    Naperville
    60564
    PIN.
    07-01-05-203-018
    Site No:
    1978205013
    Comments:
    Facing west.
    photo
    shows
    waste
    tires,
    litter,
    contniction
    and
    demolition
    debris,
    and
    contaminated
    soil
    open
    dumped.
    Date:
    10/31108
    P.1.N.
    07-01-05-203-018
    Site
    No:
    1978205013
    Comments:
    Facing
    nortbwest
    photo
    shows
    contaminated
    soil
    mixed
    with con&truction
    and
    demolition debris,
    litter,
    and
    tires
    open
    dumped.
    5

    02/27/2008
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    CIVIL DIV
    Ij
    023/028
    Page 6 of 11,
    Glover
    prOperty
    Photo 7
    Taken By; Jason
    Peppmuller
    Date; 10/31/08
    Location: 24W947
    R8rnm
    Dr.
    Naperville 60564
    P.LN, 07-01-05-203-018
    Site
    No:
    1978205013
    Comments: Facing
    southwest, photo shows
    an abandoned
    vehicle
    and boat open dumped.
    Photo 8
    Taken By: Jason
    ?eppmuller
    Date: 10/31/08
    Locatn: 24W947
    Ramm
    Dr., Naperville
    60564
    P.1.N. 07-01-05-2030 18
    Site No: 1978205013
    Comments:
    Facing
    southwest, photo
    shows
    2
    abandoned
    vehicles
    open
    dumped.
    Notice
    the tires on the
    vehicles
    are almost half buried
    by
    contaminated
    fill.
    6

    02/27/2008
    14:28 FAX
    815 727
    6085
    STATE ATTY
    CIVIL
    DIV
    11
    024/028
    Page
    7
    of
    11. Glover property
    Taken
    By: Jason
    Peppniuller
    Date:
    10/31/OX
    Location:
    24W947 Rzaum
    Dr.,
    Naperville
    60564
    Photo
    9
    Taken
    By: Jason
    Peppmuller
    Date:
    10/31/OX
    PIN.
    07-01 -05203-018
    Site
    No: 1978205013
    Comments:
    Facing
    north,
    photo
    shows
    scrap
    metal
    open dumped.
    Photo
    10
    Location:
    24W947
    Ranm
    Di-,
    Naperville
    60564
    Comments:
    Facing east,
    photo
    shows off-site
    generated
    landscape
    waste,
    contaminated
    soil,
    construction
    and
    demolition
    debris,
    scrap
    metal, and
    litter
    open
    dumped.
    PIN.
    07-01-05-203-018
    Site
    No:
    1978205013
    7

    02/27/2008
    14:28
    FAX
    815
    727
    8085
    STATE
    ATTY
    CIVIL
    DIV
    lJ
    025/028
    Page
    8
    of
    11,
    Glover
    property
    Phato
    11
    Taken
    By: Jason
    Pepprnufler
    Date;
    10/31108
    Location:
    24W947
    Ramm
    Dr.,
    Naperville 60564
    P.LN.
    07-01-05-203-018
    Site
    No: 1978205013
    Comments: Facing
    southeast,
    photo
    shows
    off-site
    generated
    iandscape
    waste,
    contaminated soil,
    onstruotion
    and
    demolition debris,
    scrap
    metal,
    and
    litter open
    dumped.
    Photo
    12
    Taken
    By;
    Jason
    Peppmuller
    Date:
    10/31/08
    Location:
    24W947
    Rainm
    Dr.,
    Napervifle
    60564
    P.I.N.
    07-01-05-203-018
    Site
    No:
    1978205013
    Comments;
    Facing
    northwest,
    photo
    shows
    a
    container
    with
    open
    burned
    construction
    and
    demolition
    debris
    and
    litter
    in it.
    r
    8

    02/27/2008
    14:30
    FAX
    815
    727
    8085
    STATE
    ATTY
    CIVIL
    CIV
    lJ
    028/028
    Page
    9 of 11, (Hover
    property
    Photo
    13
    Taken
    By: Jason
    Peppinufler
    Date:
    10131/08
    Loca1ø:
    24W947
    Ramn
    Dr,
    Naprvil1e
    60564
    P.LN. 07-01-05-203-018
    She No: 1978205013
    Comments:
    Facing
    southeast,
    photo
    shows
    constrnction
    and
    demolition
    debris
    and
    litter
    open
    dumped.
    Photo
    4
    Taken By:
    Jason
    Peppnrnfler
    Date: 10/31/08
    Location:
    24W947
    Rnmm
    Dr. Naperville
    60564
    P.I.N.
    07-01-05-203-018
    Site
    No: 1978205013
    Conunents:
    Facing
    east,
    photo
    shows
    a
    pickup
    truck
    bed filled
    with
    off-
    site
    generated
    landscape
    waste.
    9

    02/27/2008
    14:30
    FAX
    815
    727
    6085
    STATE
    ATTY
    CIVIL
    DIV
    I
    027/028
    Page
    10 of
    11, Glover
    propeity
    Photo
    15
    Taken
    By: Jason
    Peppinul]er
    Date:
    10/31/08
    Location:
    24W947
    Ramm
    Dr.,
    Naperville
    60564
    PLN.
    07-01-05-203-018
    Site
    No:
    1978205013
    Comments:
    Facing
    east,
    photo
    sho’vs
    a .Bren
    Concrete
    truck
    parked
    onsite.
    Photo
    16
    Taken
    By:
    Jason
    Peppmuiler
    Date:
    10/31/08
    Location: 24W947
    Ramm
    Dr.,
    Napervile
    60564
    PIN.
    07-01-05-203-018
    Site
    No:
    1978205013
    Comments:
    Facing
    southwest,
    photo
    shows
    a
    Jeff’sLawnCare&
    Landscaping
    truck
    parked
    onsite.
    I-
    10

    02/27/2008
    14:30
    FAX
    815
    727
    6085
    STATE
    ATTY
    CIVIL
    DIV
    1j
    028/028
    Page
    11
    of
    11,
    Glover
    property
    Site
    Sketch
    County:
    Will
    Location:
    24W947
    Ramin
    Dr., Naperville
    60564
    Site
    No:
    1978205013
    P.I.N:
    07-01-05-203-018
    Not drawn
    to
    scale
    Date
    10/31/08
    Time;
    1:25 pm—1:33
    pm
    Inspector(s):
    Jason
    Peppmuller
    -Indicates
    photo
    direction
    &
    number
    Aerial
    photo
    i
    from
    2004
    and
    does
    not
    represent
    current
    conditions
    at
    the
    site.
    11

    02/27/2009
    14:25
    FAX
    815
    727
    8085
    STATE
    ATTY
    CIVIL
    DIV
    I001/02g
    JAMES
    W.
    GLASGOW,
    £ate’s
    AUorniy
    OFFICE
    OF
    TIlE
    STATE’S
    ATTORNEY
    -
    WILL
    COUNTY,
    ILLINOIS
    121
    flDffioago
    :Seet.
    Jltetflffiiois6O43-2--
    815/727-8872
    Fax:
    815/727-6085
    E-mail:
    Wi11CtySAOao1.
    corn
    http://members.
    aol.
    com/willclysao
    1AX
    TRASMItTAL
    DATE:
    TO:
    3,,
    /,
    FAX:
    3iL
    —P1
    FROM:
    -a-.
    TOTAL
    NUMBER
    OF
    PAGES,
    INCLUDING
    COVER
    SHEET:
    9
    mis
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    IS
    INflNDED
    FOR
    TEE
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