1;t\ ~
RECE~VEO
~F~I~~4UTION
CONTROL BOARD
CLERK’S
OFFICE
JUN
12
2003
STATE OF
ILLINOIS
ILLiNOIS ENVIRONMENTAL
)
Pollution
Control Board
PROTECTION AGENCY,
)
)
Complainant,
)
AC
t~
~
3 ~
)
(JEPA No.
331-03-AC)
v.
)
)
OLEN G. PARKHILL,
JR.
)
)
Respondent.
)
NOTICE
OF FILING
To:
Olen G. Parkhill Jr.
808 North Prarieview Road
Mahomet, Illinois 61853
PLEASE TAKE NOTICE that on this date I mailed for filing with the Clerk ofthe Pollution Control
Board of the State of Illinois the following instrument(s) entitled ADMINISTRATIVE CITATION,
AFFIDAVIT, and OPEN DUMP INSPECTION CHECKLIST.
Respectfully submitted,
“—ichelle
M. Ryan
Special Assistant Attorney General
Illinois Environmental Protection Agency
1021 North GTand Avenue East
P.O. Box 19276
Springfield, Illinois 62794-9276
(217)782-5544
Dated:
June
10, 2003
THIS
FILING SUBMITTED
ON RECYCLED PAPER
f?~\rE;’~
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CLERK’S
OFFICE
BEFO~J1~
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CONTROL
BOARD
JUN
12
2003
ADMINISTRATIVE CITATION
STATE
OF
ILLINOIS
Pollution Control Board
ILLINOIS ENVIRONMENTAL
)
PROTECTION AGENCY,
)
Complainant,
)
AC
)
(IEPA No. 331-03-AC)
v.
)
OLEN
G. PARKHILL, JR.
)
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
(2000).
FACTS
1.
That Olen G.
Parkhill is the present operator of a facility located approximately tOO
yards east of the east end
of Jefferson
Road,
Candlelight Estates
Mobile
Home Park,
Mahomet,
Champaign
County,
Illinois.
The
property
is
commonly
known
to
the
Illinois
Environmental
Protection Agency as MahomeliParkhill #4.
2.
That
said
facility
is
an
open
dump
operating
without
an
Illinois
Environmental
Protection Agency Operating Permit and
is designated with
Site Code No. 0198125003.
3.
That Respondent has
operated said facility at all times pertinent
hereto.
4.
That
on
April
15,
2003,
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 Keigey during the course of his April 15,
2003 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
5/21(p)(1)
(2000).
(2)
That
Respondent
caused
or allowed
the
open
dumping
of
waste
in
a
manner
resulting
in
open
burning,
a
violation
of
Section
21(p)(3) of
the
Act, 415
ILCS
5/21 (p)(3)
(2000).
(3)
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 ordemolition debris, a violation of Section 21 (p)(7) of theAct, 415 ILCS
5/21 (p)(7) (2000).
CIVIL
PENALTY
On November 18,
1999, the Board found Olen G. Parkhill in violation of Section 21 (p)(1) of
the Act in
AC 2000-022.
On
February
3,
2000,
the
Board found
Olen
G. Parkhill in
violation
of
Sections 21(p)(1) and (p)(3) of the Act in AC 2000-0 16.
On October5, 2000, the Board found OIen
G.
Parkhill
in violation of Section 21 (p)(1) of the Act in AC 2000-087.
On
December 20, 2001,
the
Board found Olen G.
Parkhill
in violation of Section 21(p)(1) of the Act in AC 2001-019.
2
Because this Administrative Citation addresses a seconc!~o~subsequentvioIatioriof-Section
21(p)
of
the. Act,
pursuant
to
Section
42(b)(4-5)
of
the
Act,
415
ILCS
5/42(b)(4-5)
(2000),
Respondent
is subject
to
a
civil
penalty of Three
Thousand
Dollars
($3,000.00)
for each
of
the
violations identified above, for a total of Nine Thousand Dollars ($9,000.00).
If Respondent elects
not to petition the Illinois Pollution Control Board, the statutory civil penaltyspecified above.shalFbe
due
and
payable
no
later
than
June
30, 2003,
unless otherwise
provided
by order of the
Illinois
Pollution Control Board.
If Respondentelects 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(2000), and if the Illinois
Pollution Control Board issues a finding of violation as alleged herein, afteran adjudicatory hearing,
Respondent shall be assessed the associated hearing costs incurred bythe Illinois Environmental
Protection Agency and the Illinois Pollution Control Board.
Those hearing costs shall be assessed
in addition
to the Three Thousand Five Hundred Dollar ($3,000.00) statutory civil penaltyfor each
violation.
Pursuant to
Section 31.1 (d)(1) of the Act, 415 ILCS 5/31.1 (d)(1) (2000), if Respondentfails
to petition or elects not to
petition the Illinois PollutionControl Board for reviewof thisAdministrative
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.
3
Ifany civil penaltyand/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.
4
PROCEDURE FORCONTESTING 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
I LCS 5/31/1(2000).
IfRespondent 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.
Re#~..
CLf4iilIA.~c~
Date:
blio1o~
Renee Cipriano,
Director
43
Illinois
Environmental Protection Agency
Prepared by:
Michelle M.
Ryan, Assistant Counsel
Division of Legal Counsel
Illinois Environmental Protection Agency
1021
North
Grand Avenue East
P.O.
Box 19276
Springfield,
Illinois 62794-9276
(217)782-5544
5
REMITTANCE FORM
ILLINOIS ENVIRONMENTAL
)
PROTECTION AGENCY,
)
)
Complainant,
)
AC
)
(IEPA No.
331-03-AC)
v.
)
)
OLEN G.
PARKHILL, JR.
)
)
Respondent.
)
FACILITY:
Mahomet/Parkhill #4
SITE CODE NO.:
0198125003
COUNTY:
Champaign
CIVIL PENALTY:
$9,000.00
DATE
OF INSPECTION:
April
15, 2003
DATE REMITTED:
SS/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.
6
ILLINOIS
• IN THE MATTER OF:
Ot~Ef’4
?.
~‘AR.~&~LLL
)
)
)
)
)
)
~~C~IVEJ~
CLERK’S
OFFICE
JUN
1
2
2003
STATE OF ILLINOIS
Pollution
Control Board
JEPA DOCKET NO.
.~ -
O~
-4c.
)
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 ofthe
Illinois Environmental Protection Agency and hasbeen soemployed atall times pertinent
hereto.
2.
On April
15,
2003, between 01:20 P.M. and 01:30 P.M., Affiantconducted an inspection
ofthe site in Champaign
County, Illinois, known as the Mahomet/Parkhill #4, Illinois
Environmental Protection Agency Site No.
0198125003.
3.
Affiant inspected said Mahomet/Parkhill #4 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 accuraterepresentationofAffiant’s observations and
factual conclusions with respect to the Mahomet/Parkhill #4 site.
kQAk,~tt~i
Li
OFFICIAL SEAL
SHARON•1
BARGER
NOTARY PUBLIC
-
STATE OF ILLINOIS
MY COMMISSION EXPIRES
09.16.1)6
Subscribed and Sworn to
before me
this
____
day of
~
2003.
Notary Public
AGENCY
)
)
ILLINOIS
ENVIRONMENTAL
PROTECTION
AGENCY
1021
NORTH
GRAND AVENUE
EAST,
P.O.
Box
19276,
SPRINGFIELD,
ILLINOIS
62794-9276, 217-782-3397
JAMES
R.
THOMPSON CENTER,
100
WEST
RANDOLPH,
SUITE
11-300,
CHICAGO,
IL 60601, 312-814-6026
ROD R.
BLAGOJEVICH,
GOVERNOR
RENEE
CIPRIANO,
DIRECTOR
(217) 782-9817
TDD: (217) 782-9143
June
10, 2003
The Honorable Dorothy Gunn, Clerk
Illinois Pollution Control Board
James R. Thompson Center
100 West Randolph Street, Suite 11-500
Chicago, Illinois 60601
Re:
Illinois Environmental Protection Agency v. Olen G. Parkhill, Jr.
IEPA File No. 331-03-AC; ID No. 0198125003
Dear Clerk Gunn:
Enclosed for filing with the Illinois Pollution Control Board, please find the original and nine
true and correct copies ofthe Administrative Citation Package, consisting ofthe Administrative
Citation, the inspector’s Affidavit, and the inspector’s Illinois Environmental Protection Agency
Open Dump
Inspection Checklist, issued to the above-referenced respondent(s).
On this
date, a copy ofthe Administrative Citation Package was sent to the Champaign Regional
Office ofIllinois EPA for hand delivery to the Respondent.
As soon as I receive the affidavit of
service, I will promptly file a copy with you,
so that the Illinois Pollution Control Board may
calculate the thirty-five
(35)
day appeal period for purposes ofentering a default judgment in the
event the Respondent(s) fails or elects not to file a petition for review contesting the
Administrative Citation.
Ifyou have any questions or concerns, please do not hesitate to
contact me at the number above.
Thank you for your cooperation.
Sincerely,
Michelle M. Ryan
Assistant Counsel
Enclosures
ROCKFORD
—4302
North
Main
Street,
Rockford,
IL 61103 —(815)
987-7760
•
DES
PLAINES —9511 W. Harrison St.,
Des Plaines, IL 60016— (847) 294-4000
ELGIN
—595 South
State,
Elgin,
IL 60123— (847) 608-3131
•
PEORIA —5415 N.
University St., Peoria,
IL 61614— (309) 693-5463
BUREAU
OF LAND
-
PEORIA
—
7620
N.
University St.,
Peoria,
IL 61614— (309) 693-5462
•
CHAMPAIGN —2125
South
First Street, Champaign,
IL 61820— (217) 278-5800
SPRINGFIELD —4500 5. Sixth Street Rd., Springfield,
IL 62706 —(2171 786-6892
•
COLLINSVILLE —2009 MalI
Street, Collinsville,
IL 62234 —(618) 346-5120
MARION —2309 W. Main
St.,
Suite 116, Marion,
IL 62959—
(618) 993-7200
PRINTED
ON
RECYCLED
PAPER
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PROOF
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CLERR’g
OFFICE
11
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JUN
122003
I herebycertify that I did on the
10th
day ofJ
~J~J
~!JJ~J
j~4i/ Ick1J~cy
a true and correct
~
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uj
\j
LI U
ULJ
UL..J
STATE
OF ILLINOIS
copy of the following instrument(s)
entitled ADMINISTRATIVE ~
OPEN DUMP INSPECTION CHECKLIST
To:
Olen G. Parkhill Jr.
808 North Prarieview Road
Mahomet, Illinois 61853
and the original and nine (9) true and correct copies ofthe same foregoing instruments on the same
date by Certified Mail with postage thereon fullyprepaid.
To:
Dorothy Gunn, Clerk
Pollution Control Board
James R. Thompson Center
100 West Randolph Street, Suite 11-500
Chicago, Illinois 60601
•
Assistant Counsel
Division ofLegal Counsel
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
ILLINOIS ENVIRONMENTAL PROTECTION AGENCY
Open
Dump Inspection Checklist
Mr. Olen
G. Parkhill
808
North
Prairieview Road
Mahomet,
Illinois 61853
Phone Number 217/586-4937
County:
Champaign
.
LPC#:
0198125003
Region:
4
-
Champaign
Location/Site
Name:
Mahomet/Parkhill #4
Date:
04/15/2003
Time:
From
01:20 PM
To
01:30 PM
Previous
Inspection Date:
Inspector(s):
Kenneth_Keigley
Weather:
sunny
-
84 degrees
No. of Photos Taken:
#
11
Est. Amt. of Waste:
20
yds3
Samples Taken:
Yes #
Interviewed:
No one present
Complaint #:
C03-1 I 0-CH
Responsible
Party
Mailing Address(es)
and Phone
Number(s):
Marine American
National
Bank
Trust Number
-
01-1201
(12/17/87)
P.O. Box
PR~T~/pD
Champaign, Illinois618~i
APR
2
2
2fifl~
_____
SECTION
DESCRIPTION
~
~BOL__VIOL
1.
IL
9(a)
NOIS ENVIRONMENTAL
PROTECTIOP
ACT REQUIREMENTS
CAUSE,
THREATEN OR ALLOW AIR
POLLUTION
IN
ILLINOIS
2.
9(c)
CAUSE OR ALLOW OPEN
BURNING
3.
12(a)
CAUSE, THREATEN OR ALLOW WATER POLLUTION
IN ILLINOIS
LI
4.
12(d)
CREATE A WATER POLLUTION
HAZARD
LII
5.
21(a)
CAUSE
OR ALLOW OPEN
DUMPING
6.
21(d)
CONDUCT ANYWASTE-STORAGE, WASTE-TREATMENT, OR WASTE-
DISPOSAL
OPERATION:
(1)
Without a Permit
Z
(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
Z
•________
(2)
Scavenging
LI
(3)
Open
Burning
(4)
Deposition of Waste
in
Standing or Flowing Waters
LI
(5)
Proliferation of Disease Vectors
.
(6)
Standing or Flowing Liquid Discharge from
the Dump Site
LI
Revised 06/18/2001
(Open Dump
-
1)
LPC.#
0198125003
Inspection
Date:
04/15/2003
(7)
Deposition of General 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
LI.
(2)
Cause or Allow Open Burning of Any Used or Waste Tire
35 ILLINOIS ADMINISTRATIVE CODE REQUIREMENTS
LI
10.
812.f 01(a)
SUBTITLEG
FAILURE TO SUBMIT
AN
APPLICATION FOR A PERMIT TO DEVELOP AND
OPERATE A LANDFILL
11.
722.111
HAZARDOUS WASTE DETERMINATION
LI
12.
808.121
SPECIAL WASTE DETERMINATION
.
•
LI
13.
809.302(a)
ACCEPTANCE
OF SPECIAL WASTE FROM AWASTE TRANSPORTER WITHOUT A
WASTE HAULING PERMIT, UNIFORM WASTE PROGRAM
REGISTRATION
AND
PERMIT AND/OR MANIFEST
LI
14.
OTHER REQUIREMENTS
APPARENT VIOLATION OF:
(LI)
PCB;
(Lii)
CIRCUIT COURT
CASE NUMBER:
ORDER ENTERED ON:
LI
15.
OTHER:
,
LI
LI
LI
LI
LI
LI
Informational Notes
2
tü
Signature
~of
In~ecto~
1.
Hlinois
Environmental Protection Act: 415 ILCS 5/4.
2.
Illinois Pollution
Control Board: 35 Ill.
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 shall 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.
Revised06/18/200 1
(Open Dump
-
2)
Illinois Environmental
Protection Agency
Bureau of Land+ Field Operations Section •Champaign
0198125003
—
Champaign County
Mahomet/Parkhill #4
FOS
Inspector: Kenneth Keigley
Inspection Date: April 15, 2003
Complaint Number: C03-1 10-CH
General Comments:
On
April
15,
2003
at
01:20
P.M.,
I
conducted
an
inspection
at the Parkhill
Property,
located
approximately 100 yards east ofthe east end ofJefferson Street, Candlelight Estates Mobile Home
Park, Mahomet, Illinois.
This
inspection was conducted in response to a complaint alleging that
landscape waste and refuse from the mobile home park were being transported to this location and
open
dumped
and
open
burned
at
this
site.
The purpose of this
inspection
was
to
determine
regulatory status and evaluate compliance with the Environmental Protection Act (Act) and Title 35
Illinois Administrative Code, Subtitle G: LandPollution (Regulations).
The inspection consistedof
walking around the site and taking pictures, no one was present to represent thepropertyowner.
The
weather was sunny, the temperature 84 degrees.
According to the Champaign County Supervisor ofAssessments Office, the property was deeded
to a trust #
01-1201 with the American National Bank in Champaign, Illinois on January 13,
1988.
The tax bill for the property is being sent to Mr. Olen G. Parkhill, 808 North Prairieview
Road, Mahomet, Illinois
61853.
Findings:
When I arrived on the mobile home property I drove to the east end ofJefferson Street where I
saw an open gate and a culvert across a small ditch leading to an open field (see photo #11). I
could see what appeared to be a waste pile just across the creek.
I drove to the apparent waste pile and
saw that there was a pit measuring approximately
25’
x
25’
x 4’ that contained bagged and free
landscape waste and other refuse.
I looked into the north end
ofthe pit and saw in the ashes from open burning, heat scorched metal, heat scorched springs
from possibly upholstered furniture or filled mattresses, glass bottles, a heat scorched metal can,
and a partiallyburned plastic planting pot (see photo #1).
Looking into the pit I saw that it was
almost completely full ofrefuse consisting offree and bagged landscape waste, paper product
bags, cardboard, dimensional lumber, and scraps ofplywood (see photos #2, #3,
#4 and #6) that
were as ofyet unburned.
Along the south edge ofthe pit I saw several partiallyburned pieces of
apparent siding and a partially buried paint can (see photo
#5).
1
Illinois
Environmental
Protection Agency
Bureau of Land• Field Operations Section.Champaign
0198125003
—
Champaign
County
Mahomet/Parkhill #4
FOS
Inspector: Kenneth Keigley
Inspection Date: April
15,
2003
ComplaintNumber: C03-1 10-CH
Looking closer along the east side ofthe pit I saw heat scorched partiallyburied metal siding,
metal containers, and metal springs (see photo #7).
I saw apool ofwater in the northeast corner ofthe pit, which contained ashes from burning and
partially submerged metal (see photo #8).
I saw some scraps ofpartiallyburned dimensional
lumber in the ashes in the pit (see photos #6 and #9).
When leaving I saw other areas in close
proximity to the apparent bumpit where the ground had settled (see photo #10).
I left the site at
01:30 P.M.
Apparent violations observed during this inspection:
Environmental Protection Act.
415 ILCS 5/i et.
seq. (formerly Ill. Rev. Stat.
Ch.
1111/2,
1001
et. seq.) hereinafter
called the “Act”
#1
Pursuant to Section 9(a) ofthe Act, no person shall cause or threaten or allow the
discharge or emission of any contaminant into the environment in any State so as to
cause
or tend to cause air pollution in Illinois, either alone or in combination with contaminants
from other sources, or so as to
violate regulations or standards adopted by the Board
under this Act.
A violation ofSection 9(a)
is alleged for the following reason: evidence of open burning
of refuse,
which would cause or tend to cause air pollution in Illinois was observed
during the inspection.
#2
Pursuant to
Section 9(c) ofthe Act, no person shall cause or allow the open buming of
refuse, conduct any salvage operation by open burning, or cause or allow the burning of
any refuse in any chamber not specifically designed for the purpose and approved by•the
Agency pursuant to regulations adopted by the Board under this Act.
A violation of Section 9(c) is alleged for the following
reason: evidence of open burning
of refuse was observed during the inspection.
Illinois Environmental
Protection Agency
Bureau of Land•Field Operations Section•Champaign
0198125003
—
Champaign County
Mahomet/Parkhill #4
FOS
Inspector: Kenneth Keigley
Inspection Date: April
15,
2003
Complaint Number:
C03-1 10-CH
#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 forthe following reason: evidence of open
dumping of waste was observed during the inspection.
#4
Pursuant to
Section
21 (d)(1) ofthe Act, no one shall conduct any waste storage, waste
treatment, orwaste disposal operation without a permit granted by the Agency.
A violation ofSection 21(d)(1) is alleged for the followingreason: a waste disposal
operation was being conducted at this site without a permit granted by the Agency.
#5
Pursuant to Section 21(d)(2) ofthe Act, no one
shall conduct any waste storage, waste
treatment, or waste disposal operation in violation ofany Regulations or Standards
adopted by the Board.
A violation ofSection
21 (d)(2) is alleged for the following reason: wastes were being
disposed of at this site in apparent violation of Regulations adopted by the Board.
#6
Pursuant to Section 21(e) ofthe 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
ofregulations
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 ofthe Act and of
regulations and standards thereunder.
#7
Pursuant to Section 21@)(1) ofthe Act, no one shall cause or allow the open dumping of
any waste in a manner, which results in litter.
A violation ofSection
21 (p)(1) is alleged for the following reason:
waste was open
dumped at this
site resulting in litter.
3
Illinois Environmental
Protection Agency
Bureau of Land+Field Operations Section.Champaign
0198125003
—
Champaign County
Mahomet/Parkhill #4
FOS
Inspector: Kenneth Keigley
Inspection Date: April 15, 2003
Complaint Number: C03- 11 0-CH
#8
Pursuant to
Section 2l(p)(3) ofthe Act, no one
shall cause or allow the open dumping of
any waste in a manner, which results in open burning.
A violation of Section 21 (p)(3) is alleged for the following reason:
waste was open
dumped at this site resulting in open burning.
#9
Pursuant to Section 21(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.
A violation ofSection
21 (p)(7) is alleged for the following reason: waste was open
dumped at this site resulting in deposition of clean or general construction
demolition debris at the site.
35 Illinois Administrative Code.
(Title
35:
Environmental Protection, Subtitle G:
Land Pollution,
Chapter I: Pollution Control Board)
Regulations
#10
Pursuant to
Section 812.101(a) ofthe Regulation, all persons shall submit an
application to the Agency for a permit to develop and operate a landfill.
A violation ofSection
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.
4
Illinois Environmental Protection Agency
Bureau of Land•
Field Operations Section
•
Champaign Region
0198125003
—
Champaign County
Mahomet/Parkhill #4
FOS
Inspector: Kenneth Keigley
Date: April
15, 2003
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•
Illinois Environmental Protection Agency
Bureau of Land
DIGITAL
PHO TOGRAPHS
LPC # 019812i6
Oc~3—
Champaign County
Mahomet/Parkhill
#4
FOS File
DATE:
04-15-2003
TIME: 01:23 PM
DIRECTION:
South
PHOTO by:
Kenneth Keigley
PHOTO FILE NAME:
019812~5b~3
—
04152003-001 Jpg
COMMENTS:
DATE:
04-15-2003
TIME: 01:23 AM
DIRECTION: South
PHOTO by:
Kenneth Keigley
PHOTO FILE NAME:
01 981 25oo3 ‘-04152003-002.jpg
COMMENTS:
•
Illinois
Environmental Protection Agency
Bureau of Land
DIGITAL
PHOTOGRAPHS
LPC # 0198125~.0g—
Champaign County
Mahomet/ParkhilI #4
FOS File
DATE: 04-15-2003
TIME: 01:23
PM
DIRECTION: South
PHOTO
by: Kenneth Keigley
PHOTO
FILE NAME:
0l9812~bQ3
—
04152003-003.jpg
COMMENTS:
DATE: 04-15-2003
TIME: 01:23 AM
DIRECTION: South
PHOTO by:
Kenneth
Keigley
PHOTO
FILE NAME:
0198125~Oo3—041
52003-004.jpg
COMMENTS:
•
Illinois Environmental Protection Agency
Bureau of Land
DIGITAL PHO TOGRAPHS
LPC # 019812.$~,,~—
Champaign County
MahometlParkhill #4
FOS File
DATE:
04-15-2003
TIME: 01:24
PM
DIRECTION:
West
PHOTO
by: Kenneth
Keigley
PHOTO
FILE NAME:
019812$’~
—
04152003-005.jpg
COMMENTS:
DATE:
04-15-2003
TIME: 01:24 AM
DIRECTION:
Northwest
PHOTO by:
Kenneth
Keigley
PHOTO
FILE NAME:
01981 25~3L041
52003-006.jpg
COMMENTS:
•
Illinois
Environmental Protection Agency
Bureau of Land
DIGITAL
PHOTOGRAPHS
LPC #
Ol98l25~o3—
Champaign County
MahometlParkhill #4
FOS File
DATE: 04-15-2003
TIME: 01:25
PM
DIRECTION:
North
PHOTO
by:
Kenneth Keigley
PHOTO FILE
NAME:
0198125~o3
—
04152003-007.jpg
COMMENTS:
DATE: 04-15-2003
TIME: 01:25 AM
DIRECTION:
South
PHOTO by:
Kenneth Keigley
PHOTO FILE
NAME:
0l98125i,o3 -04152003-008.jpg
COMMENTS:
•
Illinois
Environmental Protection Agency
Bureau of Land
DIGITAL
PHOTOGRAPHS
LPC # 0198126~oo3—
Champaign County
Mahomet/Parkhill #4
FOS File
DATE:
04-15-2003
TIME: 01:26 PM
DIRECTION~Northeast
PHOTO
by: Kenneth Keigley
PHOTO
FILE NAME:
0198125~1D3
-
04152003-009.jpg
COMMENTS:
DATE: 04-15-2003
TIME: 01:28 AM
DIRECTION:
North
PHOTO by:
Kenneth Keigley
PHOTO FILE
NAME:
01981 2S003-04152003-01 0.jpg
COMMENTS:
•
Illinois
Environmental Protection Agency
Bureau of Land
DIGITAL
PHOTOGRAPHS
LPC # 0198125~o3—
Champaign County
MahometlParkhill #4
FOS File
DATE: 04-15-2003
TIME: 01:28 PM
DIRECTION:
East
PHOTO by:
Kenneth
Keigley
PHOTO FILE NAME:
019812~5~,o3
-
04152003-Olljpg
COMMENTS: