BEFORE THE
POLLUTION
CONTROL
BOARD
STATE OF ILLINOIS
PEACOCK
OIL
COMPANY,
)
Petitioner,
)
v.
)
)
ILLINOIS ENVIRONMENTAL
PROTECTION
AGENCY,
Respondent.
)
REcEgvD
JUL
116
2(J(J9
STATE
OFIWNOIS
Pollution
Control
ord
NOTICE
OF FILING
Clerk
Illinois
Pollution
Control Board
100
West Randolph
Street
Suite 11-500
Chicago,
Illinois 60601
Illinois Environmental
Protection Agency
Division
of
Legal
Counsel
1021 N. Grand Avenue,
N.E.
P.O. Box 19276
Springfield,
Illinois 62794-9276
PLEASE
TAKE NOTICE
that
on
July
6,
2009, Petitioner,
Peacock Oil
Company, filed
with
the
Clerk of
the Illinois Pollution
Control Board, the attached
AMENDED
PETITION
FOR
REVIEW,
a
copy
which is served upon
you.
Mark
Steger, Esq.
Holland
&
Knight
LLP
131 South
Dearborn Street
30th
Floor
Chicago,
IL 60603
(312)
263-3600
PEACOCK
OIL COMPANY
‘1
/
/
—‘(
,J
._----.,
By:
:
/
-
-
One of Its Attdme—
‘I;
PCB-09-1 14
)
)
BEFORE THE POLLUTION CONTROL BOARD
RECEVE
STATE OF
ILLINOIS
CLERK’S
OFFICE
PEACOCK OIL COMPANY,
)
JUL
062009
Petitioner,
)
STATE OF
IUJNOIS
v.
)
PCB-09-1 14
PollutIon
Control
Board
)
ILLINOIS ENVIRONMENTAL
)
PROTECTION AGENCY,
)
Respondent.
)
AMENDED PETITION FOR REVIEW
NOW
COMES Petitioner, Peacock Oil Company (“Peacock”), through its attorneys,
Holland & Knight LLP and hereby files this Amended Petition in
response to the Board’s Order
of June 4, 2009.
In support of its request, Peacock states that on May 27, 2009, Peacock filed its original
Petition asking the
Board
to review
a
determination
by
the Illinois
Environmental Protection
Agency
denying Peacock’s High Priority Corrective Action Completion
Report because the
Agency determined that the Highway Authority
Agreement
included as part of the closure
requirements was unacceptable. This filing occurred
within
the
required 35-day appeal period.
On June 4, 2009, the
Board
accepted
this
matter
as
timely
filed but found that Peacock’s
Petition
is
deficient and maybe untimely citing Section 105.210 of the Board’s Procedural
Rules.
Petitioner attaches a
copy
of the May 26, 2009 decision by the Agency denying
Peacock’s
request
for
a
ninety-day extension of thirty-five day
appeal
period. Based upon Petitioner’s
receipt of the Agency’s
decision
on April 25, 2009,
the deadline for
filing its appeal was June
1,
2009.
Accordingly, the Petition was timely.
With respect to the
grounds
for
the appeal,
Peacock believes that the
Highway Authority
Agreement submitted
by
Peacock in support of its High Priority Corrective Action Completion
Report complies with the provisions of the Act and Board Regulations. Specifically, while
the
Agency believes that the Highway Authority Agreement must be executed by Peacock
Oil
Company and the Illinois Department of Transportation, Peacock believes that given the current
ownership it more appropriate for the current property owner to sign the Highway Authority
Agreement. More importantly,
the effect of the Highway Authority Agreement
is the same as
required to meet the remediation standards.
WHEREFORE, Peacock requests that the Board hold
a
hearing in this
matter and reverse
the
Agency’s decision and approve the use of the Highway Authority Agreement
in support of
Peacock’s closure of its
Underground Storage Tank Incident
Nos. 98 0056 and 98 0651.
Respectfully submitted,
PEACOGKOIL
C
MPANY
‘I f
By__________
One
of ItJAttorne s
Dated:
Mark Steger,
July 6,
Esq.
2009
:
J
Holland
&
Knight LLP
131 South Dearborn Street
30th Floor
Chicago, IL 60603
(312) 263-3600
THIS FILING IS
SUBMITTED
ON
RECYCLED PAPER
ILLINOIS
ENVIRONMENTAL
PROTECTION
AGENCY
1021 NORTH
GRAND
AvENuE EAST,
P0. Box
19276,
SPRINGFIELD,
ILLINOIS
62794-9276
-(217)
782-2829
JAMES R. THO,vIPsON
CENTER, 100
WEST
RANDOLPH,
SUITE
11-300, CHIcAGO,
IL 60601
— (312)
814-6026
Pa
Quinn,
Governor
DOUGLAS
P.
ScoH,
DIREcToR
(217)782—5544
Author’s
Direct
Line:
(217)782-9827
E-Mail:
wilham.inaersoIl6Sii1linoigpy
(TDD.
217-782-9143)
Telefax:
217-782-9807
May
26,
2009
Mr. Mark
J.
Steger
Holland
& Knight,
LLP
131 South
Dearborn
Street,
30
th
Floor
Chicago,
Illinois
60603-55
17
Re:
LPC
#
0312765084—
Cook County
Rosemont/Peacock
Oil
Company
6900 N. Mannheim
Road
LUST
Incident
Nos. 980056
&
980651
Dear Mr.
Steger:
The Illinois
Environmental
Protection
Agency
(“Illinois EPA”)
is in
receipt
of your
May
20,
2009 letter
requesting
a 90-day
extension
to the 35-day
appeal
period
in regards
to an
April 22,
2009 decision
regarding
the above
site
and
incident.
The
request
is DENIED.
It
does
not
appear
likely
that the
additional
time
would result
in a
resolution.
The
deadline
for
filing
any appeal
of
this matter
remains at
June
1,
2009
based upon
an April
25, 2009
received
date of
the decision.
Sincerely,
William
D. Ingersoll,
Manager
Enforcement
Programs
cc:
Cliff Wheeler,
BOL/LUST
Karl Kaiser,
BOL/LUST
BOL
Records Unit
RoceFoso —4302
North
Main Street.
Rockford,
IL
61103
— (815) 987-7760
DEs PL;INES —951
W, Harrison
St..
Des
Plaines,
IL 60016—
(847) 294-4000
EIGIN — 595 South
Stale,
Elgin, IL 60123
— (847)
608-3131
.
Prosis
— 5413
N.
L’nivorsilt
Si,,
Peoria,
IL 61614 — (309)
693-5463
BuRLsu
OF
L\ND
-
P5051.5 —7620 N.
University St.,
Peoria,
IL 61614— (309)693-5462
Csoss’sice
— 2125 South
Pirsl
Street, Champaign,
IL 61820
—(217) 278-5800
C0LLIN5vILLE
—2009
MalI StI’eet,
Collinssille,
IL 62234 —(618)
346-5120
MSRION —
2309W.
Main Si., Suite
116,
Marion,
IL
62959
—(618)
993-7200
P510550
ON REcycI
FL)
Paptis
CLERjç
OFFICE
JUL
06
Q9
CERTIFICATE OF SERVICE
Mark
J.
Steger, one of
the
attorneys
for
Peacock Oil Company, states that
he
caused a copy
of
the foregoing AMENDED PETITION FOR REVIEW, served via U.S. Mail, before the hour of
5:00 p.m. on July 6, 2009 to:
Illinois Environmental Protection Agency
Division
of Legal Counsel
1021 North Grand Avenue/East
Springfield, IL
62794-9216
fi.
Mark J. Stger
//
Mark Steger, Esq.
Li
(Z)
Holland &
Knight LLP
131 South Dearborn
Street
30th Floor
Chicago,
IL
60603
(312) 263-3600
THIS FILING
IS
SUBMITTED
ON
RECYCLED PAPER
#
6334827_vi