1. Pollution Control Board
      2. SECTION DESCRIPTION VIOL
      3. ILLINOIS ENVIRONMENTAL PROTECTION ACT REQUIREMENTS
      4. SUBTITLE G
      5. OTHER REQUIREMENTS
      6. Apparent violations observed during this inspection:
  1. Illinois’ Environmental Protection Agency
  2. Bureau of Land + Field Operations Section + Champaign Region
    1. IllinoisEnvironmental Protection Agency
    2. COMMENTS:
    3. 0198005001 —01202004-002.jpgCOMMENTS:
    4. Illinois Environmental Protection Agency
    5. ‘~~VBureau of Land
    6. Illinois Environmental Protection Agency
    7. ~ Bureau of Land
    8. Ashmore/Moreton, Michael #2FOS File
    9. Illinois Environmental Protection Agency
    10. ~ Bureau of Land
    11. Ashmore/Moreton, Michael #2
    12. FOS File
    13. DATE: 01-20-2004
    14. TIME: 11:57 AM
    15. DIRECTION: Northwest
    16. PHOTO by: Kenneth Keigley
    17. PHOTO FILE NAME:
    18. Ashmore/Moreton, Michael #2
    19. FOS File
    20. DATE: 01 -20-2004
    21.  
    22. DIRECTION: South
    23. PHOTO by: Kenneth Keigley
    24. PHOTO FILE NAME:
      1. 0298005001 01202004-009.jpgCOMMENTS:
    25. Ashmore/Moreton, Michael #2
    26. FOS File
    27. DATE: 01 -20-2004
    28. TIME: 12:05 PM
    29. DIRECTION: South
      1. PHOTO by: Kenneth KeigleyPHOTO FILE NAME:
    30. Ashmore/Moreton, Michael #2
    31. FOS File
    32. DATE: 01 -20-2004
    33. TIME: 12:06 PM
    34. DIRECTION: West
    35. PHOTO by: Kenneth Keigley
    36. PHOTO FILE NAME:
    37. COMMENTS:
    38. PROOF OF SERVICE

RECE,VE~
CLERK’S OFFICE
FEB
26
2004
STATE OF ILLINOIS
Pollution Control Board
INFORMATIONAL NOTICE!!!
IT
IS
IMPORTANTTHAT YOU
READ THE
ENCLOSED
DOCUMENTS.
NOTE:
This
Administrative
Citation
refers to
TWO
separate
State
of Illinois
Agencies.
One is the
ILLINOIS POLLUTION
CONTROL BOARD located at State of Illinois Center,
100 West Randolph Street, Suite 11-500,
Chicago,
Illinois
60601.
The other state agency is the
ILLINOIS
ENVIRONMENTAL PROTECTION
AGENCY located
at:
1021
North Grand Avenue East,
P.O.
Box
19276,
Springfield,
Illinois 61794-9276.
If you elect to contest the enclosed Administrative
citation, you
must
file a
PETITION
FOR REVIEW with thirty-five (35) days of the date
the Administrative
Citation was served
upon you.
Any such
Petition
for Review must be filed with the clerk of the
Illinois Pollution
Control
Board
by either hand
delivering or mailing to the Board at the address
given above.
A copy of the
Petition for Review should be either
hand-delivered or mailed to the Illinois
Environmental
Protection
•Agency at the address given above and should be marked to the
ATTENTION:
DIVISiON OF LEGAL COUNSEL.

BEFORE THE ILLINOIS
POLLUTION CONTROL
~
ADMINISTRATIVE CITATION
FEB
262004
ILLINOIS ENVIRONMENTAL
)
PoUution Control
Board
PROTECTION AGENCY,
)
Complainant,
)
AC
v.
)
(IEPA No.
83-04-AC)
)
MICHAEL
MORETON
)
Respondent.
)
NOTICE OF FILING
To:
Michael Moreton
P.O. Box 309
Ashmore, Illinois
61912
PLEASE
TAKE
NOTICE that on this date I mailed for filing with the
Clerk of the
Pollution
Control Board of the State of Illinois the following instrument(s)
entitled ADMINISTRATIVE
CITATION, AFFIDAVIT, and OPEN DUMP INSPECTION CHECKLIST.
Respectfully submitted,
Michelle
M. Ryan
Special Assistant Attorney
General
Illinois Environmental Protection Agency
1021
North Grand Avenue East
P.O.
Box
19276
Springfield, Illinois 62794-9276
(217)782-5544
Dated:
February 24, 2004
THIS FILING SUBMITTED ON RECYCLED PAPER

RECEIVED
CLERK’S OFFICE
BEFORE THE
ILLiNOIS POLLUTION
CONTROL BOARD
FEB
26
2004
ADMINISTRATIVE CITATION
STATE
OF ILLINOIS
Poflutiofl Control Board
ILLiNOIS ENVIRONMENTAL
PROTECTION AGENCY,
)
Complainant,
)
AC
v.
)
(IEPA
No. 83-04-AC)
MICHAEL MORETON,
)
Respondent.
)
JURISDICTION
This
Administrative
Citation
is
issued
pursuant
to
the
authority
vested
in
the
Illinois
Environmental Protection Agency by Section
31.1
of the Illinois Environmental
Protection Act, 415
ILCS 5/31.1
(2002).
FACTS
1.
That Michael Moreton (“Respondent”) is the present owner of a facility located atthe
southeast corner of the intersection of
county roads
1380
N and
2330 E,
T.13N-R.1OE, Ashmore
Township,
Coles
County,
Ashmore,
Illinois.
The
property
is
commonly
known
to
the
Illinois
Environmental Protection
Agency as Ashmore/Moreton, Michael #2.
2.
That
said
facility
is
an
open
dump
operating
without
an
Illinois
Environmental
Protection Agency Operating Permit and
is designated with
Site Code
No.
0298005001.
3.
That Respondent has owned said facility at all times pertinent hereto.
4.
That on January20, 2004, Kenneth Keigley of the Illinois Environmental Protection
Agency’s
Champaign
Regional
Office
inspected
the
above-described
facility.
A
copy
of
his
inspection
report
setting
forth
the
results
of said
inspection
is attached
hereto
and
made
a part
hereof.

VIOLATIONS
Based upon direct observations made by Kenneth Keigley du~ing-tlie
course of his January
20, 2004 inspection
of the above-named facility,
the Illinois Environmental
Protection Agency
has
determined that
Respondent has violated the Illinois Environmental Protection Act (hereinafter, the
“Act”) as follows:
(1)
That
Respondent
caused
or
allowed
the
open
dumping
of
waste
in
a
manner
resulting
in
litter,
a
violation
of Section
21(p)(1)
of
the Act,
415
ILCS
5!2l(p)(1)
(2002).
(2)
That
Respondent
caused
or allowed
the
open
dumping
of
waste
in
a
manner
resulting
in
deposition
of
general
construction
or
demolition
debris
or
clean
construction or demolition debris,
a violation of Section 21(p)(7)of the Act, 415 ILCS
5/21(p)(7) (2002).
CIVIL PENALTY
Pursuant to
Section
42(b)(4-5) of the Act,
415
ILCS
5142(b)(4-5)
(2002),
Respondent
is
subject
to
a
civil
penalty
of
One Thousand
Five
Hundred
Dollars
($1,500.00)
for
each
of
the
violations identified above, fora total of Three Thousand
Dollars ($3,000.00).
lfRespondentelects
not to petition the Illinois Pollution Control Board, the statutory civil penalty specified aboveshalibe
due
and
payable
no
later
than
April
1,
2004,
unless
otherwise
provided
by order
of the
Illinois
Pollution
Control
Board.
If Respondent elects to contest this Administrative Citation by petitioning the Illinois Pollution
Control Board in accordance with Section
31.1
of the Act, 415 ILCS 5/31.1(2002), and if the Illinois
Pollution Control Board issues a finding of violation as alleged herein, after an adjudicatory hearing,
Respondent shall be assessed the associated hearing costs incurred by the Illinois Environmental
2

Protection Agency and the Illinois Pollution Control Board.
Those
hearing costs shall be assessed
in
addition
to the One Thousand
Five
Hundred
Dollar
($1
500.00) statutory civil penalty for each
violation.
Pursuant to Section 31.1 (d)(1) of the Act, 415 ILCS 5/31.1 (d)(1) (2002), if Respondent fails
to petition orelects
not to petition the Illinois Pollution Control Board for review of this Administrative
Citation within thirty-five (35)
days of the date of service, the Illinois
Pollution
Control
Board
shall
adopt
a
final
order,
which
shall include
this Administrative
Citation
and
findings
of violation
as
alleged herein,
and shall impose the statutory civil penalty specified above.
When
payment
is
made,
Respondent’s
check
shall
be
made
payable
to
the
Illinois
Environmental
Protection
Trust
Fund
and
mailed
to
the
attention
of
Fiscal
Services,
Illinois
Environmental Protection
Agency,
1021
North
Grand Avenue East,
P.O.
Box 19276,
Springfield,
Illinois
62794-9276.
Along
with
payment,
Respondent shall complete
and
return
the
enclosed
Remittance Form to ensure proper documentation of payment.
If any civil penalty and/or hearing costs are not paid within the time prescribed by order of the
Illinois
Pollution
Control
Board,
interest on
said
penalty and/or
hearing
costs
shall
be
assessed
against the Respondent from the date payment is
due
up to and including the date that payment is
received.
The
Office
of the
Illinois
Attorney General
may
be
requested
to
initiate
proceedings
against Respondent in
Circuit Court to
collect said
penalty and/or hearing costs,
plus any interest
accrued.
3

PROCEDURE FOR CONTESTING THIS
ADMINISTRATIVE CITATION
Respondent
has
the
right
to
contest
this
Administrative
Citation
pursuant
to
and
in
accordance with
Section 31.1
of
the Act, 415
ILCS 5/31/1
(2002).
If Respondent elects
to contest
this Administrative
Citation, then
Respondent shall file
a
signed
Petition for
Review,
including
a
Notice
of
Filing,
Certificate
of
Service,
and
Notice
of
Appearance,
with the
Clerk of the
Illinois
Pollution Control Board, State of Illinois Center,
100 West Randolph, Suite
11-500, Chicago, Illinois
60601.
A copy of said
Petition
for Review shall be
filed with
the Illinois
Environmental
Protection
Agency’s Division of Legal
Counsel at
1021
North Grand Avenue East, P.O.
Box 19276, Springfield,
Illinois 62794-9276.
Section
31.1
of the Act provides that any Petition for Review shall be filed within
thirty-five
(35)
days
of the date
of service
of this
Administrative
Citation
or the
Illinois
Pollution
Control
Board shall enter a default judgment against the Respondent.
-
____________________
Date:
_
Renee Cipriano,
Director
d~t4~—
Illinois Environmental
Protection Agency
Prepared by:
Susan
E.
Konzelmann, Legal
Assistant
Division of Legal
Counsel
Illinois Environmental Protection Agency
1021
North
Grand
Avenue East
P.O.
Box 19276
Springfield,
Illinois 62794-9276
(217) 782-5544
4

REMITTANCE FORM
ILLINOIS
ENVIRONMENTAL
)
PROTECTION
AGENCY,
)
Complainant,
)
AC
)
v.
)
(IEPA No. 83-04-AC)
MICHAEL MORETON,
)
Respondent.
)
FACILITY:
Ashmore/Moreton, Michael #2
SITE CODE NO.:
0298005001
COUNTY:
Coles
CIVIL
PENALTY:
$3,000.00
DATE OF INSPECTION:
January 20, 2004
-
DATE
REMITTED:
55/FEIN
NUMBER:
SIGNATURE:
NOTE
Please
enter
the
date
of your
remittance,
your
Social
Security
number (SS)
if
an
individual
or
Federal Employer Identification
Number (FEIN) if a corporation, and sign this Remittance Form.
Be
sure
your
check
is
enclosed
and
mail,
along
with
Remittance
Form,
to
Illinois
Environmental
Protection Agency, Attn.:
Fiscal
Services,
P.O.
Box 19276,
Springfield,
Illinois 62794-9276.
5

ILLINOIS ENVIRONMENTAL PROTECTION AGENCY
AFFIDAVIT
IN
THE MATTER OF:
)
)
)
IEPA DOCKET NO.
Respondent
)
Affiant, Kenneth Keigley, being first
duly sworn, voluntarily deposes and states
as follows:
1.
Affiant is a field
inspector
employed by
the Land Pollution
Control
Division of the
Illinois Environmental Protection Agency and
has been so
employed at
all times pertinent
hereto.
2.
On January
20,
2004,
between
11:52
A.M.
and
12:10
AP.M.,
Affiant
conducted
an
inspection of the site in
Coles County, Illinois, known as the Moreton, Michael #2 site,
Illinois Environmental
Protection Agency Site No.
0298005001.
3.
Affiant inspected
said Moreton, Michael
#2 site by
an on-site inspection, which
included walking the site.
4.
As a result of
the
activities referred to
in
Paragraph
3
above, Affiant completed
the
inspection
Report
form
attached
hereto
and made
a part hereof,
which,
to
the best of
Affiant’s knowledge and belief, is an accurate representation ofAffiant’s observations and
factual conclusions with respect to the Moreton, Michael #2 site.
Subscribed and Sworn to before me
this~~
dayof~h~Q~
2004.
Notary Public
OFFICtAL
SEAL
SHARON
L BARGER
NOTARY pueuc -STATE
OF
ILLINOIS
MY
COMMISSION EXPIRES:
09-Th-06

ILUNOIS
ENVIRONMENTAL
PROTECTION AGENCY
Open
Dump
Inspection Checklist
County:
Coles
LPC#:
0298005001
Region:
4
-
Champaign
Location/Site
Name:
Ashmore/Moreton,
Michael #2
Date:
01/20/2004
Time:
From
11:52 am
To
12:10
pm
Previous Inspection Date:
09/07/2000
Inspector(s):
Kenneth Keigley
Weather:
sunny
-
28_degrees
No. of Photos Taken:
#
16
Est. Amt. of Waste:
40
yds3
Samples Taken:
Yes #
.
No
~
Interviewed:
No one
present
Complaint #:
C04-068-CH
Mr.
Michael Moreton,
Owner
Responsible
Party
p.o.
Box 309
Mailing Address(es)
Ashmore,
Illinois 61912
,~
-
anu i—one
i-cU
U
~ 2Oo’i
Number(s):
SECTION
DESCRIPTION
VIOL
ILLINOIS
ENVIRONMENTAL PROTECTION ACT REQUIREMENTS
1.
9(a)
CAUSE,
THREATEN OR ALLOW AIR POLLUTION
IN
ILLINOIS
-
LI
2.
9(c)
CAUSE
OR
ALLOW OPEN
BURNING
LII
3.
12(a)
CAUSE,
THREATEN
OR ALLOW WATER POLLUTION
IN
ILLINOIS
4.
12(d)
CREATE
A WATER POLLUTION HAZARD
-
5.
21(a)
CAUSEORALLOWOPENDUMPING
6.
21(d)
CONDUCT ANY WASTE-STORAGE, WASTE-TREATMENT, OR WASTE- DISPOSAL
OPERATION:
(1)
Without
a
Permit
(2)
In
Violation of Any Regulations or
Standards Adopted
by the Board
7.
21(e)
DISPOSE, TREAT, STORE,
OR
ABANDON
ANY WASTE, OR TRANSPORT ANY
8.
21(p)
CAUSE
OR ALLOW THE OPEN DUMPING OF
ANY WASTE
IN A MANNER WHICH RESULTS
.
(1)
Litter
(2)
Scavenging
(3)
Open
Burning
(4)
Deposition of Waste
in Standing
or Flowing Waters
.
LI
(5)
Proliferation of Disease Vectors
LII
(6)
Standing
or Flowing
Liquid
Discharge from the Dump
Site
LII
Revised 06/18/2001
(Open
Dump
-
1)

LPC#
0298005001
Inspection
Date:
01/20/2004
(7)
Deposition of
GeneraT Construction or Demolition Debris;
or Clean
Construction or
.
9.
55(a)
NO PERSON SHALL:
(1)
Cause
or Allow Open Dumping
of Any Used or Waste Tire
(2)
Cause
or Allow Open Burning
of
Any
Used or Waste Tire
LII
35
ILLINOIS ADMINISTRATIVE CODE REQUIREMENTS
SUBTITLE
G
10.
812.101(a)
FAILURE TO SUBMIT AN APPLICATION FOR
A PERMIT TO DEVELOP AND
OPERATEALANDFILL
11.
722.111
HAZARDOUS WASTE DETERMINATION
12.
808.121
SPECIAL WASTE DETERMINATION
13.
809.302(a)
ACCEPTANCE OF SPECIAL WASTE FROM A WASTE TRANSPORTER WITHOUT A
WASTE
HAULING PERMIT, UNIFORM WASTE PROGRAM REGISTRATION
AND
PERMIT AND/OR MANIFEST
OTHER REQUIREMENTS
14.
APPARENT
VIOLATION OF:
(Lii)
PCB;
(LII)
CIRCUIT
COURT
CASE NUMBER:
ORDER ENTERED
ON:
15.
OTHER:
Ak
.(k~
I
~
A
I
(~
Informational Notes
-
Signature ~f ln~ector(s)
1.
Illinois
Environmental
Protection Act: 415 ILCS 5/4.
2.
Illinois Pollution
Control Board: 35
III. Adm. Code, Subtitle
G.
3.
Statutory
and
regulatory references herein are provided for convenience only
and
should not be
construed
as legal
conclusions
of the Agency or as limiting
the Agency’s statutory or regulatory powers.
Requirements
of some statutes
and regulations cited
are in summary format.
Full text of requirements can
be found
in references listed
in
1. and
2.
above.
4.
The provisions of subsection (p)
of Section
21
of
the Illinois
Environmental Protection Act
shaTl
be enforceable either
by administrative citation under Section 31.1
of the Act or by complaint
under Section
31
of the Act.
5.
This
inspection was conducted in accordance with Sections 4(c) and
4(d) of
the Illinois
Environmental
Protection Act:
415 ILCS
5/4(c) and
(d).
6.
Items
marked with
an
“NE” were
not evaluated at
the time of this
inspection.
~evised
06/18/2001
(Open Dump
-
2)

Illinois Environmental
Protection Agency
Bureau of Land+Fie!d Operations Section
+
Champaign
0298005001
Coles County
Ashmore/Moreton, Michael #2
FOS
Inspector: Kenneth Keigley
Inspection Date: January 20, 2004
Complaint Number:
C04-068-CH
GIS
Data: Latitude-N39.57558°,Longitude-W-088.03998°error 21.7
(Garmin GPSMap 76S)
General Comments:
On January
20, 2004
at
11:1 5
AM.,
I conducted
an inspection
at the Michael Moreton Property,
located at the southeast corner
of the intersection of county
roads 1380 N and 2330
E, T.
1 3N-R. 1 OF.,
Ashmore Township,
Coles County, Ashmore, illinois.
This inspection was conducted as a follow up
to
an
inspection
Conducted
on
September
7,
2000,
which
resulted
in
an
Administrative
Citation
Warning Notice being sent alleging
open
dumping of an oily substance, refuse, and used tires.
The
purpose
of this inspection
was
to determine
regulatory
status
and evaluate
co.mpliance with
the
Illinois Environmental
Protection Act
(Act) and Title 35
Illinois Administrative Code, Subtitle G:
Land Pollution
(Regulations).
The
inspection
consisted
of, walking
around
the site and
taking
pictures,
no
one
was
present
to
represent
the
property
owner.
The
weather
was
sunny,
the
temperature 28
degrees.
Findings:
When I arrived on the property near the north entrance I saw a Pile
A, a pile of metal, plastic, and
10
used
tii-es just
inside the entrance (see photos
#1
and #2).
The tires contained water in the
form ofice (see photo #2).
A short distance further south I saw an area where plastic, wood,
and
metal was scattered
on the ground (see photo #3).
To
the west I saw pile B,
a pile ofdimensional
lumber measuring
10’
x
10’
x
2’ (see photo #4).
The dimensional
lumber was weathered and
coming apart.
It was not protected from the weather and had deteriorated.
To
the south
I saw a
semi trailer containing 66 used
tires (see photo #5) and outside on the ground to the west ofthe
trailer I saw 80
used tires
(see photos
#6 and #7).
Near the center ofthe property I saw another
approximate
18 used tires piled on the ground (see photo #8).
Many ofthe used tires contained
water in the form of ice (see photo
#9).
East of this tire pile I saw two drums that contained an
unknown liquid
and
I saw an area around the drums measuring approximately 8’
x
4’ where the
soil was stained black with some oily material
(see photo
#10.).
Further south I saw a trailer that
contained approximately
33
used tires (see photos #11
and #13).
Along the east property line I
saw several older mobile homes (see
photo #12).
Directly across the property at the west
property line I saw another pile of approximately
28
used tires (see photo #15).
Just north of
these used tires I saw pile C,
a large pile of wooden “ammo crates” (see
photo #14).
1

Illinois Environmental Protection Agency
Bureau of Land+Field Operations Section.Champaign
0298005001
Coles
County
Ashmore/Moreton, Michael
#2
FOS
Inspector: Kenneth Keigley
Inspection Date: January 20, 2004
Complaint Number: C04-068-CH
GIS Data: Latitude-N39.57558°,Longitude-W-088.03998°error 21.7 (Garmin GPSMap 76S)
These wooden boxes were present during the September 7, 2000
inspection
and are not
covered
or otherwise prevented from
deteriorating.
As I walked back to the north entrance ofthe
property, west ofthe north entrance I saw pile D, a pile of demolition waste
measuring
approximately
14’ x
30’ x
3’ consisting of concrete and asphalt (see photo #16).
I left the site at
12:10 P.M.
Apparent violations observed during this inspection:
Environmental Protection Act.
415
ILCS
5/1
et. seq. (formerly Ill.
Rev.
Stat.
Ch.
1111/2,
1001
et. seq.) hereinafter
called the “Act’
#1
Pursuant to
Section
12(a) of the Illinois
Environmental Protection
Act, no person shall
-
cause or threaten or allow the discharge
of any contaminants
in
the environment.. .so as to
cause or tend to cause water pollution in Illinois.
A violation ofSection
12(a) is alleged for the following
reason:
an oily black
substance
was dumped
onto the ground
at this
site, which would cause
or
tend to cause water
pollution in Illinois.
#2
Pursuant to
Section
12(d) of the Illinois Environmental Protection Act, no
one shall
deposit any contaminants upon
the land
in such place and manner so as to create
a water
pollution hazard.
A violation of Section
12(d) is alleged for the following reason:
an oily black
substance
was dumped
onto the ground at this site, which would cause or tend to cause a water
pollution
hazard
in
Illinois.
#3
Pursuant to
Section
2
1(a) ofthe
Act,
no person shall cause or allow the open dumping
ofany waste.
A
violation ofSection
2 1(a)
is alleged for the following reason:
evidence of open
dumping of waste was observed during the inspection.
.
2

Illinois Environmental Protection Agency
Bureau of Land
+
Field Operations Section+Champaign
0298005001
Coles County
Ashmore/Moreton,
Michael
#2
FOS
Inspector: Kenneth Keigley
Inspection Date: January 20, 2004
Complaint Number: C04-068-CH
GIS
Data: Latitude-N39.57558°,Longitude-W-088.03998°error 21.7
(Garmin GPSMap 76S)
#4
Pursuant to
Section 2
1 (d)( 1)
of the Act,
no person shall conduct any
waste-storage,
waste-treatment, or waste-disposal operation without
a permit
granted by the Agency.
A violation ofSection 21(d)(l) is alleged for the following reason: waste
was disposed
at this site
without a permit granted by the Illinois Environmental Protection
Agency.
#5
Pursuant to Section 21(d)(2) ofthe
Act, no person shall conduct any waste-storage,
waste-treatment, or waste-disposal operation
in violation of any regulations or standards
adopted by the Board under this Act.
A violation of Section 21(d)(2) ofthe Act is alleged for the following reason: waste was
disposed of at this site
in
violation of regulations
or standards adopted by the Board.
#6
Pursuant
to
Section
2 1(e) of the Act, no
person shall
dispose, treat, store or abandon
any waste or transport any waste into this State for disposal, treatment,
storage, or
abandonment, except at a site or facility which meets the requirements ofthis Act and
of regulations and standards thereunder.
A violation of Section 21(e)
is alleged for the following reason:
waste was
disposed
of at this site,
which
does not
meet the requirements of the Act and of
regulations
and standards thereunder.
#7
Pursuant to
Section 2l(p)(l) ofthe
Act, no one
shall cause or allow the open dumping of
any waste in a manner, which results in
litter.
A violation ofSection 2l(p)(l) is alleged for the following reason:
used tires and
other
waste
were
open dumped at this site resulting in litter.
#8
Pursuant
to
Section 2l(p)(7) ofthe Act, no one shall cause or allow the open dumping of
any waste in
a manner, which results in
deposition ofclean or general construction
demolition debris at the site.
3

Illinois Environmental
Protection Agency
Bureau of Land+ Field Operations Section .Champaign
0298005001
Coles County
Ashmore/Moreton, Michael
#2
FOS
Inspector: Kenneth Keigley
Inspection Date: January 20, 2004
Complaint Number: C04-068-CH
GIS Data:
Latitude-N39.57558°,Longitude-W-088.03998°error 21.7 (Garmin GPSMap 76S)
A violation of Section 21(p)(7) is alleged for the following reason:
used tires and other
waste were open dumped at this site
resulting in
deposition of clean
or general
construction demolition debris at the site.
#8
Pursuant to Section
55(a)(1)
of the Act, no
person shall cause or allow the open
dumping ofany used or waste tire.
A violation of Section
55(a)(1)
is alleged for the following reason:
used tires
were
open dumped at this
site.
#9
Pursuant to
Section 55(a)(3) ofthe Act, except
at a tire storage site that contains more
than
50
used tires, cause or allow the storage of any used tire unless
the tire is altered,
reprocessed, converted, covered, oi
otherwise prevented
from accumulating
water.
A violation of Section 55(a)(3) is alleged for the following reason:
used tires
at
this site
were
not
reprocessed, converted,
covered, or otherwise prevented from
accumulating water.
35
Illinois Administrative Code. (Title
35: Environmental Protection, Subtitle
G:
Land Pollution,
Chapter I: Pollution Control Board)
Regulations
#10
Pursuant to
Section 722.111
ofthe Regulations,
a person who generates a solid waste as
defined in
35
Ill. Adm Code
72 1.102 shall determine ifthat
waste is
a hazardous waste.
A violation of Section 722.111
is alleged for the following reason:
a hazardous waste
determination has not
been
made for
the liquid waste
in
the steel drums
or on the
oily black
substance spilled on the ground
at this site.
#11
Pursuant
to Section 808.121(a) of the Regulations,
any person who generates waste shall
determine if the waste
is
a special waste.
4

Illinois Environmental
Protection Agency
Bureau of Land+Field Operations Section
+
Champaign
0298005001
Coles
County
Ashmore/Moreton, Michael #2
FOS
Inspector: Kenneth Keigley
Inspection Date: .January 20, 2004
Complaint Number: C04-068-CH
GIS Data:
Latitude-N39.57558°,Longitude-W-O88.03998°error 21.7 (Garmin GPSMap 76S)
A violation ofSection
808.121
is alleged for the following reason: a
special waste
determination had not been
made for the liquid waste stored in the steel drums
or
the oily black substance spilled on the ground at this site.
#12
Pursuant to
Section 812.101(a) of the Regulation, all
persons shall submit an
application to
the Agency for a permit to develop and operate a
landfill.
A violation of Section
812.101(a)
is alleged for the following reason:
the owner or
operator of this site
failed to submit
an
application to the Agency for a permit to
develop or operate a landfill.
5

0298005001
Coles
County
Ashmore/Moreton, Michael
#2
FOS
Inspector: Kenneth Keigley
Date: January 20, 2004
Arrows indicate direction and
location of photo

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Illinois’ Environmental Protection Agency

Back to top


Bureau of Land
+
Field Operations Section
+
Champaign Region
County Road
1380 N
County Road 2330 E
(?~iL~
b
+-16
4
tires~
6
8
9
1—
15
1
3
dy
110
~14
~
13
*.—
10
12
w-
-E
S
Not to
Scale
Site Sketch

Illinois
Environmental Protection Agency
~
Bureau of Land
DIGITAL
PHOTOGRAPHS
LPC # 0298005001
Coles County
Ashmore/Moreton, Michael #2
Os
File
DATE: 01-20-2004
TIME:
11:52AM
DIRECTION: South
PHOTO by:
Kenneth Keigley
PHOTO
FILE
NAME:
0298005001
01202004-001
.jpg
COMMENTS:
DATE:
01 -20-2004
TIME:
11:53
AM
DIRECTION:
South
PHOTO by:
Kenneth Keigley
PHOTO
FILE
NAME:
0198005001 —01202004-002.jpg
COMMENTS:

Illinois
Environmental Protection Agency
‘~~VBureau of Land
DIGITAL
PHOTOGRAPHS
LPC # 0298005001
Coles County
Ashmore/Moreton, Michael
#2
FOS
File
DATE:
01 -20-2004
TIME:
11:53AM
DIRECTION:
South
PHOTO by:
Kenneth Keigley
PHOTO FILE
NAME:
0298005001
01202004-003.jpg
COMMENTS:
DATE:
01-20-2004
TIME:
11:54AM
DIRECTION: Southwest
PHOTO by:
Kenneth Keigley
PHOTO
FILE
NAME:
01
98005001—01202004-004.jpg
COMMENTS:

Illinois
Environmental
Protection Agency
~
Bureau of Land
DIGITAL
PHOTOGRAPHS
LPC #
0298005001
Coles County
Ashmore/Moreton,
Michael #2
FOS
File
DATE:
01 -20-2004
TIME:
11:57 AM
DIRECTION:
North
PHOTO by:
Kenneth Keigley
PHOTO FILE
NAME:
0298005001
01202004-005.jpg
COMMENTS:
DATE: 01-20-2004
TIME:
11:57AM
DIRECTION:
Northwest
PHOTO by:
Kenneth Keigley
PHOTO
FILE
NAME:
01 98005001—01202004-OO6Jpg
COMMENTS:

Illinois Environmental Protection Agency
~
Bureau of Land
DIGITAL
PHOTOGRAPHS
LPC # 0298005001
Coles County
Ashmore/Moreton, Michael #2
FOS
File
DATE:
01-20-2004
TIME:
11:57 AM
DIRECTION:
Northwest
PHOTO by:
Kenneth Keigley
PHOTO
FILE NAME:
0298005001
01202004-007.jpg
COMMENTS:
DATE: 01 -20-2004
TIME:
12:01
PM
DIRECTION: South
PHOTO by:
Kenneth
Keigley
PHOTO
FILE
NAME:
0198005001—01202004-008.jpg
COMMENTS:

Illinois Environmental Protection Agency
~
Bureau
of Land
DIGITAL
PHOTOGRAPHS
LPC # 0298005001
Coles County
Ashmore/Moreton, Michael #2
FOS File
DATE:
01 -20-2004
TIME:
12:02
PM
DIRECTION:
South
PHOTO by:
Kenneth Keigley
PHOTO
FILE
NAME:
0298005001
01202004-009.jpg
COMMENTS:
DATE:
01 -20-2004
TIME:
12:02
PM
DIRECTION: West
PHOTO by:
Kenneth Keigley
PHOTO
FILE NAME:
01
98005001—01202004-010.jpg
COMMENTS:

Illinois
Environmental Protection Agency
~
Bureau of Land
DIGITAL
PHOTOGRAPHS
LPC # 0298005001
Coles County
Ashmore/Moreton,
Michael
#2
FOS
File
DATE:
01-20-2004
TIME:
12:04
PM
DIRECTION:
Southwest
PHOTO by:
Kenneth Keigley
PHOTO
FILE
NAME:
0298005001
01202004-011.jpg
COMMENTS:
DATE: 01-20-2004
TIME:
12:04
PM
DIRECTION:
Southeast
PHOTO by:
Kenneth
Keigley
PHOTO FILE
NAME:
0198005001—01202004-012.jpg
COMMENTS:

Illinois
Environmental Protection Agency
‘~‘
Bureauof Land
DIGITAL
PHOTOGRAPHS
LPC # 0298005001
Coles County
Ashmore/Moreton, Michael #2
FOS File
DATE:
01 -20-2004
TIME:
12:05
PM
DIRECTION:
South
PHOTO by:
Kenneth Keigley
PHOTO
FILE NAME:
0298005001
01202004-Ol3jpg
COMMENTS:
DATE: 01-20-2004
TIME:
12:06
PM
DIRECTION: Southwest
PHOTO by:
Kenneth Keigley
PHOTO
FILE
NAME:
0198005001—01 202004-014.jpg
COMMENTS:

_____
Illinois Environmental Protection Agency
~
Bureau of Land
DIGITAL
PHO TOGRAPHS
LPC # 0298005001
Coles County
Ashmore/Moreton, Michael #2
FOS
File
DATE: 01 -20-2004
TIME:
12:06
PM
DIRECTION: West
PHOTO by:
Kenneth Keigley
PHOTO FILE
NAME:
0298005001
01202004-Ol5Jpg
COMMENTS:
DATE: 01-20-2004
TIME:
12:09
PM
DIRECTION: West
PHOTO by:
Kenneth Keigley
PHOTO FILE
NAME:
0198005001—01202004-01 6.jpg
COMMENTS:

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..--—-—---
—.—..———.—‘,.---~---‘.~-~—.—.-~
—~--—-—----------—-.-.-.---.——,*.--.
h7~t~er~
~
voluntary act,
for the uses
and
purposes
therein set forth, including
the release and waiver of the right of homestead.
Given under my hand and notarial ~ea1 this
~o..—,daytf
~
,
1994.
IC
I ~ ~
~
JAMES L
COFFEY
~
~)I(~
)
ILLINOIS
MY
~
~
5/1/97
THIS
DOCWENT
PREPARED
BY:
PREPARER
POT
0.ESPONSIBLE
FOR
MARSHA
L.
COMBS
CLOSXUO
THX8
TRARSACTIOP.
ATTORNEY
AT
LAW
517
7TH
STREET
CHARLESTON, IL 61920
TELEPHONE: 217—348—8688
NOT
Y PUBLIC
STATEOF ILUNOI~3
.
,.-
I
Colefi CountYRoulI~l)
Tranofer Tax
PAID
S~’
T

~‘oo
~SoeJ
h~e/nD(~erO,\J
n,~hL~2~
..WARRANTY
DEED
Statutory
Form
(~fl1,~
Cc)Tr!n’v,.
TLT,TNC)TR
THIS INDENTURE WITNESSETH
THAT
THE GRANTORS, BURR
H.
DEERLI
and
ERNESTINE
569231
08/26F1994
ea~4eA
Di
887 Pt
17G
H.
BEERLI,
husband
and
Betty
Coiirin
-
Colem
County
Clerk
wife
as
Joint
Tenants,
of
the City of Rantoul,
County of Champaign,
and State of Illinois,
for and inconsideration of the sum of one
Dollar
($1.00.) and other
good and
valuable consideration,
in hand
paid,
CONVEY AND WARRANT TO:
MXCHAZL
L.
HORETOH,
a
Divorced Person &nd
Hot Since Remarried, of the City of Charleston, Cobs County,
Illinois, the following described real estate, to—wit:
SIX
(6) ACRES OFF THE WEST SIDE O~
THE
SOUTHEAST
QUARTER
(SIt.¼)
OF THE NORTHWEST QUARTER (NW.¼);
AND
ONE
(1) ACRE OFF THE
NORTHWEST CORNER OF THE NORTHEASTQUARTER (NE.¼) OF THE
SOUTHWEST
QUARTER (SW.¼);
ALL
IN SECTION THIRTEEN (13), TOWNSHIP THIRTEEN
(13) NORTH,
RANGE TEN
(10) EAST OF THE
THIRD
PRINCIPAL MERIDIAN,
COLES COUNTY, ILLINOIS,
BEING THE SANE LANDS DESCRIBED IN A
SURVEY BY H. W. PARSLEY DATEDMARCI-I 10,
1984 AND FILED MARCH 19,
1984
IN DEED RECORD 623, PAGE 212.
A Common address of R.R.1, Ashmore,
Illinois.
Situated in Cola’s County, Illinois, hereby releasing and waiving all
rights under and by virtue of the Homestead Exemption Laws of the
State of Illinois.
Dated this
~-‘.--.
day of
~4ciCc~.”1
,
1994.
Mail Future
Tax
Bills To:
~
Mr. Mike Moreton
BURR
E.
BEERLI
Box124
Charleston, IL
61920
ERNESTINE H. BEERLI
STATE OF ILLINOIS
)SS
COUNTY
OF COLES
I,
the undersigned, a Notary Public in and for said County and State
s.
aforesaid, DO HEREBY.CERTIFY that BURR H. BEERLI and
ERNHSTXNE H.
BEERLI,
Husband and wife, who are personally known to me to be the
same persons whose names are subscribed to the foregoing instrument,
appeared before me this day in person and acknowledged that they
signed, sealed and delivered the said instrument as their free and
~:
i71I~v

PROOF OF SERVICE
I hereby certify that
I did
on the 24th day ofFebruary 2004,
send by Certified Mail, Return
Receipt Requested, with postage thereon fully prepaid, by depositing in a United States Post Office
Box a trueand correct copy ofthe following instrument(s) entitled ADMINTSTRATIVE CITATION,
AFFIDAVIT, and OPEN DUMP INSPECTION CHECKLIST
To:
Michael Moreton
P.O. Box
309
Ashmore,
Illinois
61912
and the original
and nine (9) true and correct copies ofthe same foregoing instruments on the same
dateby Certified Mail, Return Receipt Requested, with postage thereon fully prepaid
To:
DorothyGunn, Clerk
Pollution Control Board
James
R. Thompson Center
100 West Randolph Street, Suite 11-500
Chicago, Illinois 60601
j~
~
Michelle M. Ryan
Special Assistant Attorney General
Illinois Environmental Protection Agency
1021 North Grand Avenue
East
P.O. Box
19276
Springfield, Illinois 62794-9276
(217)
782-5544
THIS FILING SUBMITTED ON RECYCLED
PAPER

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