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

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