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BEFORE THE
ILLINOIS POLLUTION CONTROL BOARD
PAUL AND DONNA FREDRICKSON,
j
husband and wife,
Complainants
)
v.
)
JEFF GRELYAK,
)
Respondent
.
)
MOTION TO DISMISS
Complainant, DONNA FREDRICKSON, by and through her attorneys, MILITELLO, ZANCK
& COEN, and moving for a Motion to Dismiss, hereby states as follows
.
I .
That Complainant no longer holds title to the property located on Ferris Road, Harvard,
Illinois
.
2 .
That Complainant wishes to voluntarily dismiss this action with the Illinois Pollution
Control Board
.
3.
That Paul Fredrickson is deceased and the remaining Complainant, Donna Fredrickson
. is
making this Motion for Dismissal on behalf of any and all remaining Complainants in the case
.
WHEREFORE, Complainant respectfully requests that the Illinois Pollution Control Board
dismiss this action
.
Dated this 5"day of June 2006
.
Respectfully submitted,
MILITELL
OEN,
P .C .,
RECEIVED
JUN 0 7 2006
PCB 04-19
Pollution
STATE OF
Control
ILLINOISBoard
B
Jeremy W
. Shaw
MILITELLO, ZANCK & COEN, P.C
.
40 Brink St .
Crystal Lake, IL 60014
(815)459-8800

 
V
.
JEFF GRELYAK,
TO:
Bradley P . Halloran
Hearing Officer
Illinois Pollution Control Bd .
James R . Thompson Center
Suite 11-500
100 W. Randolph Street
Chicago, IL 60601
Attached is a Motion to Dismiss .
Jeremy W. Shaw
MILITELLO, ZANCK & COEN, P.C
.
40
Brink Street
Crystal Lake, IL 60014
(815) 459-8800
STATE OF ILLINOIS
POLLUTION CONTROL BOARD
100 W .
RANDOLPH STREET, SUITE 13-500
CHICAGO, ILLINOIS 60601
NOTE
: All items must be completed . If there is insufficient space to complete any item, additional
sheets may be attached, specifying the number of the item you are completing . Once completed, you
must file the original and nine copies with the Board .
BEFORE THE
ILLINOIS POLLUTION CONTROL BOARD
PAUL AND DONNA FREDRICKSON,
husband and wife
Complainants
Respondent.
PROOF OF SERVICE
George W. Tinkham
Attorney for Respondent
423 W . Vine Street
Springfield, IL 62704
Fax: 217-744-1711
Respectfully submitted .
MILITELLO, ZANCK & COEN, P.C.
REC
EOFFICEIVED
JUN 0 7 2006
Pollution
STATE OFControl
ILLINOIS
Board
Attorneys f om
is
1

 
STATE OF ILLINOIS
)
SS
COUNTY OF McHENRY )
The undersigned states, under oath, that she served the above Notice, together with the
documents referred to therein, via facsimile transmittal s noted at approximately Y o p .m. and by
mailing copies of the same to the service list above by depositing the same in the U .S. mail at Crystal
Lake, Illinois, with proper postage fully prepaid, at approximately 5
:00 p.m
. on the 7' day of June,
2006.
Subscribed and sworn to before
me this 7°i day of J = 006.
W,
1/y C
W toM'ev~rs:
11-1108
PROOF OF SERVICE
TOTAL P
.05

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