BEFORE THE ILLINOIS POLLUTION CONTROL BOARD
WASTE MANAGEMENT OF ILLINOIS,
INC."
Petitioner,
v.
COUNTY BOARD OF KANKAKEE
COUNTY, ILLINOIS,
Respondent.
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PCB
No.
04-186
(pollution Control Facility Siting
Appeal)
NOTICE OF FILING
TO:
All Attorneys ofRecord
PLEASE TAKE NOTICE THAT
on March 19. 2008, I electronically filed
with
the Illinois
Pollution Control
Board, Chicago. lllinois, the attached County Board of Kankakee County's
Response in Opposition to Waste Management of Illinois' Motion to Reconsider, a copy of
which is herewith served upon you.
Illinois opposes Waste Management'sMotion to Reconsider.
Dated:
March
19,2008
Charles F. Helsten
Hinshaw
&
Culbertson LLP
100 Park Avenue
P.O. Box 1389
Rockford, IL 61105-1389
815-490-4900
Respectfully submitted,
On
behalfof County Board ofKankakee
County, Illinois
lsi
Charles F. Helsten
Charles F. Helsten
One
ofIts Attorneys
Electronic Filing - Received, Clerk's Office, March 19, 2008
BEFORE THE ll-LINOIS POLLUTION CONTROL BOARD
WASTE MANAGEMENT OF ILLINOIS,
INC."
Petitioner,
v.
COUNTY BOARD OF KANKAKEE
COUNTY, ILLINOIS,
Respondent.
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PCB No. 04-186
(pollution Control Facility Siting
Appeal)
COUNTY BOARD OF KANKAKEE COUNTY'SRESPONSE IN OPPOSITION TO
WASTE MANAGEMENT OF ILLINOIS'MOTION TO RECONSIDER
Respondent, County Board of Kankakee County, lllinois ("Kankakee County Board"),
files this response in opposition to the Motion to Reconsider filed by Waste Management of
Illinois, Inc. ("Waste Management"), stating as follows:
1.
Waste Management has filed a Motion to Reconsider asserting that the Board
incorrectly utilized the '"manifestweight ofthe evidence" standard when it reviewed the decision
by the local siting authority in this case.
2.
Oddly enough, Waste Management's Petition seeking review of the siting
authority's decision specifically asserted that the siting authority's decision was "against the
manifest weight ofthe evidence." (WMI Petition at 7).
3.
Moreover, Waste Management's Brief in this appeal, in fact, also argued that the
Board should reverse the siting authority's decision because it was against the manifest weight of
the evidence. (WMI Br. at 29).
4.
In
its Reply, Waste Management once more argued that with respect to criterion
(i) ''thereis absolutely nothing in the record to justify the County Board's finding that the need
criterion was not met, and such a fmding, therefore, is against the manifest weight of the
70556274v! 842014
Electronic Filing - Received, Clerk's Office, March 19, 2008
evidence." (WMI Reply at 14) (emphasis added). With respect to criterion (iii), Waste
Management similarly argued "the County Board's decision that criterion (iii) was not satisfied
is against the manifest weight
of the evidence." (WMI Reply at 18) (emphasis added). Finally,
with respect
to criterion (vi), Waste Management argued, unsurprisingly, that the decision on this
criterion "is, therefore, against the manifest weight
of the evidence." (WMI Reply at 21)
(emphasis added).
5.
Suddenly, in its Motion to Reconsider, Waste Management now asserts that the
Board must not apply the manifest weight
of the evidence standard, and argues that instead, "the
proper standard to be used
by the Board on review is ... whether, after applying eth (sic) Board's
technical scrutiny to the record, it contains reliable and accurate evidence to support the local
authority's decision." (WMI'sMotion to Reconsider
at'7).
6.
Notwithstanding Waste Management's sudden change in position, the Board's
Order makes clear that when it assessed each criterion at issue
in this appeal, the Board carefully
and thoroughly examined and considered the evidence
in the record and found that it supported
the local authority'sdecision
as to each criterion.
(See, e.g.,
Board'sorder at 50, 51).
7.
For the reasons set forth above, it is unnecessary to refute the alleged implications
of
Town and Country Utilities
v.
Illinois PCB,
225 lll2d 103, 866 N.E.2d 227 (2007) with
respect to this case, however the County notes that the Supreme Court in
Town and Country
did
not disturb the well-established standard
of review to be applied by the Board in reviewing a
local siting authority's decision.
Rather,
Town and Country
held that under the lllinois
Environmental Protection Act and Illinois Administrative Review law, a reviewing
court
will
review the decision
of the
Board,
rather than the decision ofthe local siting authority, and will do
so utilizing the familiar "manifest weight
of the evidence" standard.
Id.
Thus, the dicta from
2
70556274vl 842014
Electronic Filing - Received, Clerk's Office, March 19, 2008
Town and Country
which is cited by Waste Management, at
~
6 of its Motion, has no application
with respect to the standard
of review to be applied by the Board
in
its review of a local siting
authority. Moreover, the decision-making process
of the Board in this appeal comports with the
descriptive dicta from
Town and Country,
inasmuch as the Board applied "its technical
expertise" and reviewed the evidence in the record to determine whether it supported the siting
authority's decision.
8.
For the reasons set forth above, Respondent County Board of Kankakee County,
Illinois opposes Waste Management'sMotion to Reconsider.
Dated:
March 19,2008
Respectfully submitted,
On behalf
of COWlty Board of Kankakee
County, lllinois
lsi
Charles F. Helsten
Charles
F. Helsten
One
of Its Attorneys
Charles
F. Heisten
Hinshaw
&
Culbertson LLP
100 Park Avenue
P.O. Box 1389
Rockford, IL 61105-1389
815-490-4900
This document utilized 100ro recycled paper products.
70556274vl 842014
Electronic Filing - Received, Clerk's Office, March 19, 2008
AFFIDA'vIT OF SERVICE
The undersigned, pursuant to the provisions of Section 1-109 of the Illinois Code ofCivil
Procedure, hereby under penalty
of perjury under the laws of the United States of America,
certifies that
on March 19,2008, a copy ofthe foregoing was served upon:
(Via Electronic Filing)
(Via E-Mail)
Mr.
John T. Therriault
Jamie Boyd
Illinois Pollution Control Board
Brenda Gorski
100 W. Randolph, Suite 11-500
Kankakee County State'sAttorney
Chicago, IL 60601
450 East Court Street
Kankakee, IL 60901
(Via E-Mail)
(Via U.S. Mail)
George Mueller
Christopher Bohlen
George Mueller, P.C.
Bannann, Kramer & Bohlen, P.C.
609 Etna Road
300 East Court Street, Suite 502
Ottawa,
lL 61350
P.O.
Box 1787
Kankakee, IL 60901
(Via EMMail)
(Via EMMail)
Kenneth A. Bleyer
Keith Runyon
3105 N. Ashland Ave. #334
1165 Plum Creek Drive
Chicago, IL 60657-3013
Bourbonnais, IL 60914
(Via E-Mail)
(Via U.S. Mail)
Elizabeth Harvey
Jennifer Sackett Pohlenz
Swanson, Martin & Bell
David Flynn
One
IBM Plaza - Suite 3300
Querry & Harrow
330 N. Wabash
175 W. Jackson Blvd., Suite 1600
Chicago, IL 60611
Chicago, IL 60604-2827
(Via E-Mail)
(Via E-Mail)
Brad Halloran
Don Moran
Hearing Officer
Pedersen
&
Houpt
Illinois Pollution Control Board
161 N. Clark Street
100 West Randolph,
11th Floor
Suite 3100
Chicago,IL 60601
Chicago,IL 60601-3224
(Via E-Mail)
(Via U.S. Mail)
Karl Kruse
Bruce Clark
Kankakee County Board
Kankakee County Board
189
E. Court Street
189 E. Court Street
~ee,IL
60901
Kankakee, IL 60901
Electronic Filing - Received, Clerk's Office, March 19, 2008
Via E-Mail or By depositing a copy thereof, enclosed in an envelope
in
the United States Mail at
Rockford..
Illinois, proper postage prepaid, before the hour of 5:00 P.M., addressed as above.
Is/
Joan Lane
HINSHAW
&
CULBERTSON
100 Park Avenue
P.O. Box 1389
Rockford, lllinois 61101-1389
(815) 490-4900
Electronic Filing - Received, Clerk's Office, March 19, 2008