1. BEFORE THE ILLINOIS POLLUTION CONTROL BOARD
      2. RECEIVED
      3. CLERK’S OFFICE

BEFORE THE ILLINOIS POLLUTION CONTROL BOARD
ILLINOIS STATE TOLL HIGHWAY
AUTHORITY,
V.
Petitioner,
ILLINOIS ENVIRONMENTAL PROTECTION
)
AGENCY.
Respondent.
)
)
)
)
)
)
)
PCB-03-1
)
(UST Fund Appeal)
)
)
RECEIVED
CLERK’S
OFFICE
JAN 28 2004
STATE OF ILLINOIS
Pollution Control Board
NOTICE OF FILING AND PROOF OF SERVICE
TO:
Carol Sudman
Hearing Officer
Illinois Pollution Control Board
1021 North Grand Avenue East
Springfield, Illinois 62794
John Kim
Special Assistant Attorney General
Illinois Environmental Protection Agency
P.O. Box 19276
1021 North Grand Avenue, East
Springfield, IL 62794-9276
PLEASE TAKE NOTICE that on january?~,2004, we filed with the Clerk of the Illinois Pollution
Control Board the originals and nine (9) copies each, via personal delivery, of Petitioner’s Waiver of Statutory
Deadline, for filing in the above-entitled cause, a copy of which is attached hereto.
The undersigned hereby certifies that true and correct copies of the Notice of Filing, together with copies of
the documents described above, were served upon the above-named persons by enclosing same in envelopes
addressed to said persons, and by depositing ~
envelopes in a United States Post Office Mail B -a~tChicago,
Illinois, with postage fuily prepaid, on the
~2(Cr
‘~ayof January, 2004.
Speci Assista A
ey General,
Illinois State Toll Highway Authority
Kenneth W. Funk, Esq.
Karen Kavanagh Mack, Esq.
Special Assistant Attorney Generals
Deutsch, Levy & Engel, Chartered
225 W. Washington Street-#1700
Chicago, IL 60606
(312) 346-1460
THIS FILING IS SUBMITTED ON RECYCLED PAPER
172676.1

RECEIVED
CLERK’S OFFICE
BEFORE THE ILLINOIS POLLUTION CONTROL BOARD
JAN 282004
ILLINOIS STATE TOLL HIGHWAY
)
STATE OF
ILLINOIS
AUTHORITY, (East-West Tollway (1-88),
)
Pollution Control Board
Mile Post 109),
)
)
Petitioner,
)
PCB
-
03-1
)
(liST Fund Appeal)
v.
)
)
ILLINOIS ENVIRONMENTAL PROTECTION
)
AGENCY,
.
)
)
Respondent.
)
WAIVER OF STATUTORY DEADLINE
Petitioner, Illinois State Toll Highway Authority, by its attorneys Deutsch, Levy & Engel,
Chartered, waives generally the statutory deadline in this matter, as described in
415
ILCS
5/40(a)(2), through and including August 11, 2004.
Respectfully submitted,
On9~ofth~tt6r1~j~for Petitione~~~
Illinois State Toll Highway Authority
Kenneth W. Funk, Esq.
Karen Kavanagh Mack, Esq.
Special Assistant Attorney Generals
Deutsch, Levy & Engel, Chartered
225 W. Washington Street-#1700.
Chicago, IL 60606
(312) 346-1460
THIS FILING IS SUBMITTED ON RECYCLED PAPER
-
172676.1

Back to top