ILLINOIS
    STATE TOLL HIGHWAY AUTHORITY,
    STATE OF ILLINOIS
    Pollution
    Control Board
    ILLINOIS ENVIRONMENTAL
    PROTECTION
    )
    AGENCY,
    )
    )
    )
    Respondent.
    )
    )
    NOTICE OF FILING AND PROOF
    OF SERVICE
    TO:
    Carol
    Sudman
    JohnKim
    Hearing Officer
    Special AssistantAttorney General
    Illinois PollutionControl Board
    Illinois
    Environmental Protection Agency
    600
    5. Second Street
    P.O. Box 19276
    Suite 402
    1021
    North GrandAvenue, East
    Springfield, Illinois
    62704
    Springfield, IL
    62794-9276
    PLEASETAKE NOTICE that onMay27, 2003, we filed with the Clerk ofthe Illinois PollutionControl Board
    the originals
    and nine (9) copies each, via personal delivery,
    of Petitioner’s
    Additional Waiver of Statutory Deadline,
    for filing in the above-entitled cause, copies of which are
    attached hereto.
    The undersigned hereby certifies
    that true and correct copies of the Notice of Filing, together with copies of
    the documents described above, were served upon the above-named persons by enclosing same inenvelopes addressed
    to said
    persons,
    and
    by
    depositing said
    envelopes in a United States Post
    Office Mail Box a
    cago,
    Illinois, with
    postage fully prepaid, on the
    27th
    day of May, 2003.
    S
    cial
    sist
    nt
    orney General,
    Illinois
    State Toll Highway Authority
    Kenneth W. Funk,
    Esq.
    Karen Kavanagh Mack, Esq.
    Special Assist~intAttorney Generals
    Deutsch, Levy
    &
    Engel, Chartered
    225
    W. Washington Street-# 1700
    Chicago, IL 60606
    (312) 346-1460
    THIS
    FILING IS SUBMITTED ON RECYCLED PAPER
    BEFORE THE ILLINOIS POLLUTION CONTROL BOARD
    RECEIVED
    CLERI’S
    OFFICT
    v.
    Petitioner,
    )
    )
    )
    )
    )
    MAY
    2 7
    2003
    PCB 98-136
    (UST- Appeal)
    -
    159081.1

    BEFORE THE ILLINOIS POLLUTION CONTROL BM~~EAVED
    RJ’~
    ~rpv~r
    MI1Y
    272003
    ILLINOIS STATE TOLL HIGHWAY AUTHORITY,
    )
    )
    STATE
    OF ILLINOIS
    Petitioner,
    )
    PCB 98-136
    POllution
    Control Board
    )
    (UST- Appeal)
    ILLINOIS ENVIRONMENTALPROTECTION
    )
    AGENCY,
    )
    )
    )
    Respondent.
    )
    )
    ADDITIONAL WAIVER OF STATUTORY
    DEADLINE
    Petitioner, Illinois
    State Toll Highway Authority, by its attorneys Deutsch,
    Levy & Engel, Chartered, waives generally
    the statutory deadline in this matter, as
    described
    in
    415
    ILCS 5/40(a)(2), through
    September 30, 2003.
    Respectfully submitted
    ~
    Illinois State
    ighway Authority
    Kenneth W. Funk, Esq.
    Karen Kavanagh Mack, Esq.
    Special Assistant Attorney Generals
    Deutsch,
    Levy & Engel, Chartered
    225
    W. Washington Street~#
    1700
    Chicago, IL 60606
    (312) 346-1460
    THIS
    FILING IS SUBMITTED
    ON RECYCLED PAPER
    -
    159081.1

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