Oct
29
2009
11:56AM
CALVARY CHAPEL
No,
2054
P.
2
STATI OF ILLINOIS
POLLTJ?ION
CONTROL BOARD
JAMES R. THOMPSON
CENTER
100 W.
RANDOLPH
ST, SUITE 11-500
CHICAGO,
IL.
60601
OCTig
20
PETER ARENlJOVICH,
)
:OtIU4._
srAr
ILLINOIs
Complainant,
fltroi
v.
)
PCB
29009-102
ILLiNOIS
STATE TOLL HIGHWAY
AUTHORITY,
Respondent.
NOTICE OF MOTION
To:
Robert T. Lane AAG
illinois
State
Toll Highway
Authority
2700 Ogden Ave.
Downers Grove, IL.60515
PLEASE TAKE NOTICE that
on
October 29, 2009
a
motion
for
Extension of Time, was filed
with the Clerk of the Illinois
Pollution Control
Board, James R. Thompson Center,
100
W.
Randolph Street, Suite 11-
500,
Chicago, IL 60601
, a copy of which is attached
hereto and hereby
served upon you,
kTPA’ O
sirJWiE
I, Peter Arendovich, deposes
and states
that
a copy
of the foregoing
was
served upon
the
above
named by
first class mail on the 29th
day of
October,
2009.
‘feter Arendovich
1388
Gordon
Lane
Lemont,
IL.60439
630-257-8753
Oct.
29.
2009
11:56AM
CALVARY
CHAPEL
No,
2054
P.
STATE
OF
ILLINOIS
POLWTION
CONTROL
BOARD
JAMES
R. THOMPSON
CENTER
OCT
192009
100
W.
RANDOLPH
ST, SUITE
11500
SThTF
OF
CHICAGO,
IL. 60601
‘0hIUtior
Control
Bo$d
PETER
ARENDOVICH,
Complainant
3
v.
)
PCB29009-102
ILLINOIS
STATE
TOLL
HIGHWAY
)
AUTHORITY,
Respondent.
MOTION
FOR EXTENSION
OF
TIME
NOW COMES
the.
Complainant,
Peter
Arendovich,
and
moves
this
Board
for
an order
granting
an
extension
of
time to
respond
to the
Respondent’s
Motion
To
Strike
And
Dismiss.
In
support
of
this
Motion
the
Complainant
states
as fol1ows
1.
On
October
19, 2009,
the Respodent
filed
a
Motion To
Strike
And Dismiss,
the
First
Amended
Complaint
of the
Complainant.
2.
The Motion
raises
considerable
legal
and
factual
allegations
that
will
require
extensive
research
to
provide
this Board
with
an
informed
answer.
3.
The
Complainant
is
a
non-attorney
who must
confer
with
counsel
and
other
authorities
to
provide
this Board
with
an
informed
and reliable
answer
to
the Respondent’s
allegations.
WHEREFORE,
the
Complainant,
Peter
Arendovich
respectfully
requests
an
extension
of
time of
30 days,
up to
and
including
December
2,
2009,
to
file
an answer
to
the
Respondent’s
Motion
To
Strike
And Dismiss.
?ute’
P ter
AreAaovich
1388
Gordon
Lane
Lemont,
Ib,60439
630-257-8753