1. NOTICE OF FILING
      2. Section 732.APPENDIX D Allowable Unit Rates
      3. PROOF OF SERVICE
      4. PROOF OF SERVICE

RECE~VED
CLERK’S OFFICE
BEFORE THE ILLINOIS POLLUTION CONTROL
BOARD
STATE
MAY
OF
1 C
ILLINOIS
2OO~
Pollution Control Board
IN THE MATTER OF:
PROPOSED AMENDMENTS TO REGULATION OF
)
PETROLEUM LEAKiNG UNDERGROUND STORAGE)
TANKS
(35
Ill. Adm. Code 732)
)
)
)
R04-22
(Rulemaking- Land)
iN THE MATTER OF:
)
PROPOSED AMENDMENTS TO REGULATION OF
PETROLEUM LEAKING UNDERGROUND STORAGE
TANKS
(35
Ill. Adm. Code 734)
R04-23
(Rulemaking- Land)
NOTICE OF FILING
Dorothy Gunn, Clerk
Illinois Pollution Control Board
James R. Thompson Center
100 W. Randolph, Suite 11-500
Chicago, Illinois 60601-3218
(Facsimile
and Overnight Mail)
SEE ATTACHED SERVICE LIST
(Regular
Mail)
Marie Tipsord, Hearing Officer
Illinois Pollution Control Board
James R. Thompson Center
100 W. Randolph, Suite 11-500
Chicago, Illinois 60601-3218
(Facsimile
and Overnight Mail)
PLEASE TAKE NOTICE that I have today filed with the Office ofthe Clerk ofthe
Pollution Control Board the ILLINOIS ENVIRONMENTAL PROTECTION AGENCY’S
AMENDED MOTION FOR THE ADOPTION OF EMERGENCY RULES for the above-titled
proceeding, a copy ofwhich is herewith served upon you.
Respectfully submitted,
ILLINOIS ENVIRONMENTAL PROTECTION
AGENCY
DATE: May 17, 2004
1021 North Grand Avenue East
P.O. Box 19276
Springfield, IL 62794-9276
(217) 782-5544
By:
Kyle Romi~er,Assistant Coun~1—
)
)
)
)
THIS FILING IS SUBMITTED ON RECYCLED PAPER

RECE~VED
CLER~csOFFICE
BEFORE THE ILLiNOIS POLLUTION CONTROL BOARD
MAY 182004
IN THE MATTER OF:
)
Pollution Control Board
PROPOSED AMENDMENTS TO:
)
R04-22
REGULATION OF PETROLEUM
)
(Rulemaking
-
Land)
LEAKING UNDERGROUND STORAGE
)
TANKS
(35
ILL. ADM. CODE 732)
)
IN THE MATTER OF:
)
)
PROPOSED AMENDMENTS TO:
)
R04-23
REGULATION OF PETROLEUM
)
(Rulemaking
-
Land)
LEAKING UNDERGROUND STORAGE
)
TANKS
(35
ILL. ADM. CODE 734)
)
ILLINOIS ENVIRONMENTAL PROTECTION AGENCY’S
AMENDED MOTION FOR THE ADOPTION OF EMERGENCY RULES
NOW COMES the Illinois Environmental Protection Agency (“Illinois EPA”), by
and through its attorney Kyle Rominger, and submits this Amended Motion forthe
Adoption ofEmergency Rules. On April 19, 2004, the Illinois EPA filed its original
Motion for the Adoption ofEmergency Rules (“original Motion”). In that Motion the
Illinois EPA requested that the Illinois Pollution Control Board (“Board”) adopt in an
emergency rulemaking the Illinois EPA’s proposed amendments to 35 Ill. Adm. Code
732 and the proposed 35 Iii. Adm. Code 734. The Illinois EPA now requests in this
Amended Motion that the Board adopt in the emergency rulemaking the proposed
amendments contained in this Amended Motion instead ofthe amendments proposed in
its original Motion.
The proposed rules contained in this Amended Motion have been developed
jointly by the Illinois EPA and the Professionals ofIllinois for the Protection ofthe

Environment (“PIPE”) in order to facilitate the processing ofplans, budgets, and
applications for payment prior to the Board’s adoption offinal rules in this rulemaking
proceeding. It is the Illinois EPA’s understanding that, in conjunction with this
submission ofthis Amended Motion, PIPE, and its members CW3M and United Science
Industries, will withdraw theirobjections to the Illinois EPA’s original Motion and that
PIPE will submit a motion in support ofthe proposed amendments contained herein.
Please note that the amendments contained in this Amended Motion are an agreed to
compromise forthe purposes of emergency rules only, and that they do not reflect a
change in the parties’ positions on the proposed final rules in this rulemaking proceeding.
As stated in the Illinois EPA’s original Motion, emergency rules are needed to
provide a standard methodology for determiningthe reasonableness ofcosts submitted to
the Agency for approval. Since the Ayers case, the Illinois EPA has struggled to develop
a new method for determining the reasonableness ofthe myriad costs it reviews.
However, findingone that provides the necessary consistencyneeded to fairly administer
the UST Fund, and that allows an efficient and timely processing ofthe high volume of
budgets and applications forpayment received by the Illinois EPA, has proved difficult.
Any such method would necessarily be generally applicable, and therefore could not be
implemented until adopted as a rule.
The Illinois EPA has recently resumed its processing of budgets and applications
for payment on a case-by-case basis. However, without rules to govern how to determine
the reasonableness of costs, the Illinois EPA’s ability to control costs and maintain
consistent and fair reviews is limited. Based on recent submissions, the Illinois EPA
estimates that without the use ofthe rates sheets, up to an additional one million dollars a
2

month ormore may be paid out ofthe UST Fund. Independent ofthese additional costs,
as early as September ofthis year the UST Fund is projected to reach a point where
payments will be made only as money becomes available. The balance in the UST Fund
is continually decreasing over time because payments from the Fund exceed income. If
emergency rules are not adoptedto replace the rate sheets, the balance in the UST Fund is
expected to decrease at an even faster rate and the time when the Illinois EPA can make
payments only as money becomes available will be expected to arrive sooner than
September.
Emergency rules will provide some cost containment measures by establishing a
benchmark forrates via a limited rate sheet and a nationally recognized construction cost
manual, in addition to the Licensed Professional Engineer or Licensed Professional
Geologist certification. Owners and operators will continue to receive reimbursement
from the UST Fund, and the Illinois EPA will have a standard methodology for reviewing
costs that provides consistency and fairness from site to site.
As stated in the Illinois EPA’s original Motion, the Illinois EPA believes the
adoption ofthe proposed rules in an emergency rulemaking is proper given the current
circumstances. The Board has the authority to adopt emergency rules when there is a
situation that “reasonably constitutes a threat to the public interest, safety, or welfare.”
5
ILCS
100/5-45;
415 ILCS 5/27(c); 35 Iii. Adm. Code 102.612. The Illinois EPA’s
limited ability to control costs and maintain consistent and fair reviews of budgets and
applications for payment satisfies these criteria. Approvals ofbudgets and applications
for payment drive the remediation ofmany Leaking Underground Storage Tanks
(“LUST”) sites. Many owners and operators cannot afford the costs to remediate a LUST
3

site on their own, and many that can afford such costs are hesitant to proceed unless they
knowthe costs will be reimbursed from the UST Fund. Ifthe UST Fund is depleted
because the Illinois EPA cannot adequately control costs and maintain consistent and fair
reviews, cleanups at many LUST sites will dramatically slow ornot proceed and the
contamination at these sites will continue to threaten human health and the environment.
The Illinois EPA respectfullyrequests that the Board adopt the proposed rules in
this Amended Motion as soon as possible. The Illinois EPA further respectfully requests
that the Board proceed with its adoption offinal rules as quickly as possible so the
Illinois EPA can review budgets and applications forpayment pursuant to the final rules
once the emergency rules expire.
PROPOSED AMENDMENTS TO 35 ILL. ADM. CODE 732
FOR THE REOUESTED EMERGENCY RULEMAKING
Section 732.505 Standards
for Review of Plans or Reports
a)
A full technical review shall consist ofa detailed review ofthe steps
proposed or completed to accomplish the goals ofthe plan and to achieve
compliance with the Act and regulations. Items to be reviewed, if
applicable, shall include, but not be limited to, number and placement of
wells and borings, number and types of samples and analysis, results of
sample analysis, and protocols to be followed in making determinations.
The overall goal ofthe technical review forplans shall be to determine if
the plan is sufficient to satisfy the requirements ofthe Act and regulations
and hasbeen prepared in accordance with generally accepted engineering
practices. The overall goal ofthe technical review for reports shall be to
determine if the plan has been fully implemented in accordance with
generally accepted engineering practices, if the conclusions are consistent
with the information obtained while implementing the plan, and if the
requirements ofthe Act and regulations have been satisfied.
b)
Ifthe Licensed Professional Engineer or Licensed Professional Geologist
certifies that there is no evidence that, through natural or manmade
pathways, migration ofpetroleum orvapors threaten human health or
human safety or may cause explosions in basements, crawl spaces, utility
conduits, storm or sanitary sewers, vaults or other confined spaces, the
Licensed Professional Engineer’s or Licensed Professional Geologist’s
4

certification to that effect shall be presumed correct unless the Agency’s
review reveals objective evidence to the contrary.
c)
A full financial review shall consist ofa detailedreview ofthe costs
associated with each element necessary to accomplish the goals ofthe plan
as required pursuant to the Act and regulations. Items to be reviewed shall
include, but not be limited to, costs associated with any materials,
activities or services that are included in the budget plan. The overall goal
ofthe financial review shall be to assure that costs associated with
• materials, activities and services shall be reasonable, shall be consistent
with the associated technical plan, shall be incurred in the performance of
corrective action activities, and shall not be used forcorrective action
activities in excess ofthose necessary to meet the minimum requirements
ofthe Act and regulations.
d)
During the effective period ofthis emergency rule, the following shall
apply:
1) For all budgets, plans, amendments, and applications for payment
that were submitted prior to the effective date ofthis emergency
rule and that are still subject to Agency review, the Agency shall
approve all budgets, plans, amendments, and costs certified as
reasonable by a Licensed Professional Engineer or Licensed
Professional Geologist as requiredby law. All costs that are
contained within a budget or a plan that is approved pursuant to this
Section shall be approved by the Agency without further review.
2)
For all budgets, plans, amendments, and applications forpayment
that are not subject to subsection (d)(1) ofthis Section and that are
submitted for approval during the effective period ofthis
emergencyrule, the following shall be presumed to be reasonable:
A)
The costs identified in Sections 732.APPENDIX D and
732.APPENDIX E of this Part;
B)
For costs not identified in Sections 732.APPENDIX D and
732.APPENDIX E ofthis Part, the applicable amounts
calculated in accordance with the following RS Means
publications: Environmental Cost Handling Options and
Solutions (ECHOS) “Environmental Remediation Cost
Data
Unit Price,”
10th
Annual Edition, 2004, and ECHOS
“Environmental Remediation Cost Data
Assemblies,”
10th
Annual Edition, 2004.
C)
For costs that are not identified in Sections
732.APPENDIX D and 732.APPENDIX B ofthis Part and
5

that cannot be calculated using the publications listed in
subsection (d)(2)(B) ofthis Section, costs based upon
current market prices which the owner or operator shall
identify with objective evidence, such as, but not limited to,
catalogue or vendor information, in accordance with the
Licensed Professional Engineer orLicensed Professional
Geologist certification. Such evidence shall be clearly
identified in the submittal to the Agency.
3)
All requests for approval of costs shall be certified by the owner or
operator and the Licensed Professional Engineer or Licensed Professional
Geologist. The certification shall be in a format prescribed and provided
by the Agency, and shall include the following:
A)
Identification ofthe site and the work on which the costs
are based;
B)
Affirmation that, to the best knowledge and belief ofthe
owner or operator and the Licensed Professional Engineer
or Licensed Professional Geologist, the work on which the
costs are based are consistent with the requirements ofTitle
XVI ofthe Act, and that the time and materials are
consistent with generally accepted engineering and geology
practices;
C)
Affirmation that, to the best knowledge and belief ofthe
owner or operator and the Licensed Professional Engineer
or Licensed Professional Geologist, the costs do not include
costs that are not eligible for payment from the Fund;
D)
Affirmation that, to the best knowledge and belief ofthe
owner oroperator and the Licensed Professional Engineer
or Licensed Professional Geologist, the costs are reasonable
as determinedin accordance with subsection (d)(2) ofthis
Section, and, if any costs contained in the submittal exceed
the costs set forth in subsection (d)(2), a specific
delineation ofeach such cost and a specific justification for
the deviation.
E)
Affirmation that all information submitted under the
certification is, to the best knowledge and belief ofthe
owner or operator and the Licensed Professional Engineer
or Licensed Professional Geologist, true, accurate, and
complete.
6

F)
Affirmation ofknowledge that there are significant
penalties for submitting false statements or representations
to the Agency, including, but not limited to, fines,
imprisonment, orboth as provided in Sections 44 and 57.17
ofthe Act.
4)
The Agency is authorized to accept the certification submitted pursuant to
subsection (d)(3) ofthis Section as a presumption ofreasonableness for all
work and costs contained in such submittal.
5)
***
Section 732.APPENDIX D Allowable Unit Rates
a)
Soil Removal and Disposal
Costs associated with soil removal, transportation, disposal and backfill shall not
exceed the amounts set forth below, unless demonstrated under 732.505(d)(3)(D).
Such costs shall include, but not be limited to. those associated with the removal,
transportation, and disposal ofcontaminated soil exceeding the applicable
remediation objectives or visibly contaminated fill removed pursuant to this Part,
and the purchase, transportation, and placement ofmaterial used to backfill the
resulting excavation.
1)
$60.00 per cubic yard forremoval, transportation, and disposal of
contaminated soil identified above and shall include concrete, asphalt or
paving overlaying the contaminated soil or fill.
2)
$21.00 per cubic yard forpurchase, transportation, and placement of
material used to backfill the excavation resulting from the removal and
disposal ofsoil or fill.
Where the Agency anticipates denying, modifying, or rejecting any~jp~ii
portion ofa submitted budget, plan, amendment, or application for
payment, the Agency shall contact the owner or operator in writing and
provide the owner or operator an opportunity to waive the Agency’s
review deadline for 60 days. If, within seven days ofthe date ofthe
Agency’s letter, such a waiver is granted, the Agency shall notify the
owner or operator in writing ofthe specific reasons for the anticipated
action and provide the owner or operator an opportunityto-address-and
correct the reasons for the anticipated action within 21 days ofthe date of
the Agency’s notice. The Agency shall issue a final determination on the
budget, plan, amendment, or application for payment within 21 days ofits
receipt of the
owner’s or operator’s response to the notice, or afterthe
expiration of the time for submitting a
response if no
response is
submitted.
7

3)
$7.00 per cubic yard for removal and subsequent return ofsoil that does
not exceed the applicable remediation objectives but whose removal is
required in order to conduct corrective action.
b)
Drum Disposal
Costs associated with the purchase, transportation, and disposal of 55-gallon
drums containing waste generated as a result of corrective action (e.g., boring
cuttings, water bailed forwell development or sampling, hand-bailed free
product) shall not exceed the following amounts or a total of$500.00, whichever
is greater, unless demonstrated under 732.505(d)(3)(D).
1)
$296.00 per drum for solid waste.
2)
$178.00 per drum
for liquid waste.
c)
Concrete, Asphalt, and Paving
For costs associated with concrete, asphalt, and paving, the applicable amounts
calculated in accordance with the following RS Means publication shall be
presumed to be reasonable: “Building Construction Cost Data,” 621~~
Annual
Edition. 2004.
1)
Costs associated with concrete, asphalt, and paving installed
as an
engineered barrier shall not exceed the applicable amounts for four inches
ofasphalt orpaving, unless demonstrated under 732.505(d)(3)(D). This
subsection (c)(1) does not apply to replacement concrete, asphalt, or
paving that is used as an engineered barrier.
2)
Costs associated with the replacement ofconcrete, asphalt, and paving
shall not exceed
the applicable amounts for replacement with the same
material, unless demonstrated under 732.505
(d)(3)(D).
8

Section 732.APPENDIX E Personnel Titles
~ind ~
Title
Degree Required
Ill.
License
Req’d.
Mi Yrs.
Experience
Max.
Hourly
Rate
Engineer I
Engineer II
Engineer III
Engineer IV
Professional Engineer
Professional Engineer II
Bachelor’s in Engineering
None
None
None
None
~
~
P.R
0
2
4
6
4
~
8
$74.00
$82.00
$90.00
$100.00
$115.00
$119.00
$137.00
Bachelor’s in Engineering
Bachelor’s in Engineering
Bachelor’s in Engineering
Bachelor’s in Engineering
Bachelor’s in Engineering
Senior Prof. Engineer
Bachelor’s in Engineering
Geologist I
Geologist II
Geologist III
Geologist
N
Professional Geologist
Professional Geologist II
Bachelor’s in Geology or Hvdrogeology
None
None
None
None
P.G.
P.G.
0
2
4
6
4
6
8
$74.00
$82.00
$90.00
$100.00
$115.00
$119.00
$137.00
Bachelor’s in Geology or Hydrogeology
Bachelor’s in Geology or Hydrogeology
Bachelor’s in Geology or Hydrogeology
Bachelor’s in Geology or Hydrogeology
Bachelor’s in Geology or Hydrogeology
Senior Prof. Geologist
Bachelor’s in Geology or Hydrogeology
Scientist I
Scientist II
Scientist III
Scientist IV
Senior Scientist
Bachelor’s in aNatural or Physical Science
None
None
None
None
None
0
2
4
~
8
$60.00
$65.00
$70.00
$75.00
$85.00
Bachelor’s in a Natural or Physical Science
Bachelor’s in a
Natural or Physical Science
Bachelor’s in a Natural or Physical Science
Bachelor’s in a Natural or Physical Science
Project Manager I
None
None
None
None
None
None
4~
82
122
$90.00
$95.00
$100.00
Project ManagerII
Senior Project Manager
Technician I
Technician II
Technician III
Technician IV
Senior Technician
None
None
None
None
None
None
None
None
None
None
0
22
42
62
~
$50.00
$55.00
$60.00
$65.00
$70.00
Account Technician I
Account Technician II
Account Technician III
Account Technician IV
Senior Acct. Technician I
None
None
None
None
None
None
None
None
None
None
0
2~
43
6~
8~
$40.00
$45.00
$50.00
$55.00
$60.00
Administrative Assistant I
None
None
None
None
None
None
None
None
None
None
0
2~
44
6~
8~
$30.00
$35.00
$40.00
$42.50
$45.00
Administrative Assistant II
Administrative Assistant III
Administrative Assistant IV
Senior Admin. Assistant I
Draftierson/CAD I
None
None
None
None
None
None
None
None
None
None
0
2~
45
6~
8~
$40.00
$45.00
$50.00
$55.00
$60.00
Draftperson/CAD II
DraftpersonlCAD III
Draftperson/CAD
N
Senior Draftperson/CAD
9

2
—-1-.-•—-----
3
-----------------•--•----.
For budgets submitted or work performed prior to the effective date of this emergency rule, personnel that may
not strictly meet the experience or education requirements provided above shall be allowed to bill at the labor
category that most closely corresponds with their duties.
iiiv~1~nf
work-related or college level educationwith significant coursework in the physical, life, or
environmental sciences can be substituted for all or part of the specified ~nerienr~
r~niiir~m~nfs
Equivalent work-related or college level educationwith significant coursework in accounting or business can be
substituted for all or part ofthe specified experience
r~niiir~m~iits
Equivalent work-related or college level educationwith significant coursework in administrative or secretarial
services can be substituted for all or part ofthe specified experience
reniiir~m~nts
Equivalent work-related or college level educationwith significant coursework in drafting or computer aided
design (“CAD”) can be substituted for all or part of the specified experience requirements.
4
5
~~1~~~~
DATED: May 17, 2004
1021 North Grand Avenue East
P.O. Box 19276
Springfield, Illinois 62794-9276
(217) 782-5544
Respectfully submitted,
ILLINOIS ENVIRONMENTAL
PROTECTION AGENCY
Kyle Rominger
Assistant Counsel
10

STATE OF ILLINOIS
)
COUNTY OF SANGAMON
)
SS
)
PROOF OF SERVICE
I, the undersigned, on oath state that Ihave served the attached ILLiNOIS
• ENVIRONMENTAL PROTECTION AGENCY’S AMENDED MOTION FOR THE
ADOPTION OF EMERGENCY RULES on behalf ofthe Illinois Environmental
Protection Agency upon the person to whom it is directed, by placing a copy in an
envelope addressed to:
Dorothy
Gunn,
Clerk
Illinois Pollution Control Board
James R.
Thompson Center
100 West Randolph, Suite 11-500
Chicago, Illinois 60601
(Facsimile and Overnight Mail)
SEE ATTACHED SERVICE LIST
(Regular Mail)
Marie Tipsord, Hearing Officer
Illinois Pollution Control Board
James R. Thompson Center
100 West Randolph, Suite 11-500
Chicago, Illinois 60601
(Facsimile
and
Overnight Mail)
and mailing it from Springfield, Illinois, on May 17, 2004, with sufficient postage affixed
as indicated above.
SUBSCRIBED AND SWORN
TO
BEFORE ME
this 17th day ofMay, 2004
:~:
OFFICIAL SEAL
BRENDA BOEHNER
:~:
:~
NOTARY PUBLIC, STATE OF ILLINOIS ~
i:MY COMMISSION EXPIRES 11.14-2OO5~:
Notary Public

STATE OF ILLINOIS
)
COUNTY OF SANGAMON
)
SS
)
PROOF OF SERVICE
I, the undersigned, on oath state that I have served the attached ILLINOIS
ENVIRONMENTAL PROTECTION AGENCY’S AMENDED MOTION FOR THE
ADOPTION OF EMERGENCY RULES on behalfofthe Illinois Environmental
Protection Agency upon the person to whom it is directed, by placing a copy in an
envelope addressed to:
Dorothy Gunn, Clerk
Illinois Pollution Control Board
James R. Thompson Center
100 West Randolph, Suite 11-500
Chicago, Illinois 60601
(Facsimile and Overnight Mail)
SEE ATTACHED SERVICE LIST
(Regular Mail)
Marie Tipsord, Hearing Officer
Illinois Pollution Control Board
James R. Thompson Center
100 West Randolph, Suite 11-500
Chicago, Illinois 60601
(Facsimile and Overnight Mail)
and mailing it from Springfield, Illinois, on May 17, 2004, with sufficient postage affixed
as indicated above.
SUBSCRIBED AND SWORN
TO BEFORE ME
this 17th day of May, 2004
Notary Public
-.,
OFFICIAL SEAL
:~:
BRENDA BOEHNER
:~
NOTARY PUBLIC, STATE OF ILLINOIS
:~
tMY COMMISSION EXPIRES 11-14.2OO5~:

t’rinlaoie i~ouceList
k-’age
3
of 3
Environrneiilal
Consulting&
551 Roosevelt Road
Glenn Ellyn
Engineering. Inc.
#309
IL 60137
Interested Party
Richard Andros, P.E.
MACTEC
8901 N. Industrial Road
Peoria
Consulting. Inc,
IL 61615
Interested Party
Terrence W. Dixon, P.G.
illinois De~pajtpier~f_oj
Transportation
2300 Dirksen Parkway
Springfield
Interested Party
IL 62764
Steven Gobelman
SEECO
Environmental
7350 Duvon Drive
Tinley Park
~eryIces.
Inc.
IL 60477
Interested Party
Collin W. Gray
Herlacher Angleton
Alton
Associates. LLC
522 BelIe Street
IL 62002
Interested
Party
Jennifer Goodman
United
Environmental
119 East Palatin Road
Palatine
Consultants. Inc.
Suite 101
IL 60067
Interested
Party
George F.
Moncek
McGuire Woods LLP
77
W. Wacker
Chicago
Interested Party
Suite
4400
IL 60601
David Rieser
~rs~nsfeIder.
10 S. Broadway
St. Louis
Hemker & Gale
Interested Party
Suite 2000
MO 63104
314-241-9090
Tina Archer, Attorney
Midwest Engineering
Oak Forest
Services,InterestedInc.
Party
4243 W. 166th Street
IL
60452
708-535-9981
Erin Cuiley, Env. Department
Manager
American
Environmental Corp.
3700 W. Grand Ave., Suite A
Springfield
IL 62707
(217)585-9517
Interested Party
Ken Miller, Regional Manager
Applied
Environmental
Centralia
Solutions. Inc,
P0 Box 1225
IL 62801
6185335953
Interested Party
Russ Goodiel, Project Manager
Secor International.
400 Bruns Lane
Springfield
IL 62702
Interested
Party
Daniel J.
Goodwin
Caterpillar,
_____________
Inc.
100 NE Adams Street
Peoria
Interested Party
IL 61629
3096751658
Eric Minder, Sr. Environmental Engineer
K-Plus
Suite 1000
Chicago
___________
Environmental
600W. Van Buren Street
IL 60607
312-207-1600
Interested Party
Daniel Caplice
Illinois Society of
Professional
300 West Edwards
Springfield
217-544-7424
Engineers
IL
62704
217-525-6239
Interested Party
Kim Robinson
Brittan Bolin
Total number of participants:
52
http ://www.ipcb.state.iLus/coollexternallcasenotify.asp?caseid=6287&notifytype=Service
4/30/2004

rage z-oi ~
HUJL&_Huff._Inc.
512 West
Burlington
Avenue
LaGrange
Interested Party
Suite 100
IL 60525
James E. Huff, P.E.
~Iack & Veatch
101
North
Wacker
Drive
Chicago
Interested
Party
Suite 1100
IL 60606
Scott
Anderson
~J~ire
A. Manning
111 N.
Sixth Street
Springfield
Interested
Party
IL
62701
217-522-6152
Claire
A.
Manning, Posegate & Denes
MarLn.
Environmental.Interested
Party
Inc.
1000 West Spring Street
SouthIL
60177Elgin
847-468-8855
Melanie LoPiccolo,
Office
Manager
Terracon
870 40th Avenue
Bettendorf
Interested
Party
IA 52722
(563) 355-0702
Brian Porter
Illinois Department
of
Natural Resources
One Natural Resources Way
SpringfieldIL
62702-1271
2171782-1809217/524-9640
Interested
Party
Jonathan
Furr,
General Counsel
Posegate & Denes.
Interested
Party
111 N.
Sixth Street
SpringfieldIL
62705
217/522-6184217/522-6152
Claire A. Manning, Attorney
Ecooigital
P0 Box 360
Woodlawn
Development LLC
6295 East Illinois
Hwy
15
IL 62898
(618) 735-2411
Interested
Party
Joe Kelly, VP Engineering
Wendler Engineering
Services,
____________
InterestedInc.
Party
1770 West State Street
SycamoreIL
60178
815-895-5008
Glen Lee, Manager
Great Lakes
Buffalo Grove
AnalytIcal
1380
Busch Parkway
IL 60089
(847)
808-7766
Interested
Party
A.J Pavlick
CSD Environmental
Services,
___________
Inc
2220 Yale Boulevard
SpringfieldIL
62703
217-522-4085
Interested
Party
Joseph W. Truesdale, P.E.
CORE Geological
___________
Services.Interested Inc.
Party
2621 Monetga, Suite C
SpringfieldII
62704
217-787-6109
Ron Dye, President
Clayton Group
Downers
Grove
___________
Services
InterestedIncParty
3140 Finley Road
IL 60515
630.795.3207
Monte Nienkerk
PDC Laboratories
Peoria
Interested
Party
2231 W. Altorfer Dr.
ii
61615
309-692-9688
Kurt
Stepping, Director ofClient
Services
Atwell-Hicks. Inc.
940
East Diehl Road
Naperville
Interested
Party
Sute 100
IL 60563
630 5770800
Thomas
M.
Guist, PE, Team Leader
CW3M Company. Inc.
Springfield
217-522-8001
701 South Grand Ave. West
Interested
Party
IL 62704
Jeff Wienhoff
Suburban
Hillside
Lak~ratories.
_________
Inc.
4140 Lift Drive
IL 60162
708-544-3260
Interested
Party
Jarrett
Thomas, V.P.
United_Science
Woodlawn
_________
618-735-2411 e
Industries. In~.
6295 East Illinois
Hwy
15
IL 62898
Interested
Party
Dan King, Team Leader
http ://www.ipcb.state.il.us/coollextemallcasenotify.asp?caseid=6287&notifytype=Service
4/30/2004

rage i or~
T.
I
Party Name
Role
City
& State
Phone/Fax
IEPA
1021 North Grand Avenue East Springfield
217/782-5544
Petitioner
P.O. Box 19276
IL 62794-9276
217/782-9807
Gina Roccaforte, Assistant Counsel
Kyle Rominger, Assistant Counsel
Doug Clay
Hodge Dwyer
Zeniati 3150 Roland Avenue
Springfield
217/523-4900
Interested
Party
Post Office
Box 5776
IL 62705-5776
217/523-4948
Thomas G. Safley
Sidley Austin Brown
Bank One Plaza
Chicago
312/853-7000
& Wood
10 South Dearborn Street
IL 60603
312/953-7036
interested
Party
William G. Dickett
Karaganis & White.
414 North Orleans Street
Chicago
312/836-1177
i_td~
Suite 810
IL 60610
312/836-9083
Interested
Party
Barbara Magel
IllinoIs Petroleum
Marketers
112 West Cook Street
Springfield
217/793-1858
Association
IL 62704
Interested
Party
Bill Fleischi
United Science
P.O. Box 360
Woodlawn
6181735-2411
Industries.Interested
Party
Inc.
6295 East Illinois Highway 15
IL 62898-0360
618/735-2907
Joe Kelly, PE
Illinois
EnvIronmental
3150 Roland Avenue
Springfield
217/523-4942
Regulatory Group
IL 62703
217/523-4848
Interested
Party
Robert A. Messina, General Counsel
Carlson
65 E. Wacker Place
Chicago
Environmental. Inc.
Suite 1500
IL 60601
Interested
Party
Kenneth James
Chemical Industry
2250 E. Devon Avenue
DesPlaines
Council of Illinois
Suite 239
IL 60018-4509
Interested Party
Lisa Frede
Barnes & Thornburg
I North Wacker Drive
Chicago
312/357-1313
Interested
Party
Suite
4400
IL 60606
312/759-5646
Carolyn S. Hesse, Attorney
Rapps EngineerIng& 821 South Durkin Drive
Springfield
217/787-2118
Applied Science
P.O. Box
7349
IL 62791-7349
217/787-6641
Interested Party
Michael W. Rapps
Environmental
Management &
2012 West College Avenue
Normal
309/454-1717
Technologies
Suite
208
IL 61761
309/454-2711
Interested
Party
Craig S. Gocker, President
Office of the Attorney Environmental Bureau
Chicago
312/814-2550
General
188 West Randolph, 20th Floor IL 60601
312/814-2347
Interested
Party
Joel J. Stemstein, Assistant Attorney Genera
Hethcher Angleton
Waterloo
618/935-2262
Associates. LLC
8731 Bluff Road
IL 62298
618/935-2694
Interested
Party
Tom Heriacher, P.E., Principal Engineer
Illinois Pollution
Control Board
100W.Suite
11-500Randolph
St.
ChicagoIL
60601
3128143956
Interested Party
Dorothy M. Gunn, Clerk of the Board
Marie Tipsord, Hearing Officer
http ://www.ipcb.state.il.us/coollextemallcasenotify.asp?caseid=6287&notifytype’Service
4/30/2004

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