1. CLERK’S OFFICE
      2. STATE OF ILLINOIS
      3. NOTICE OF FILING
      4. CERTIFICATE OF SERVICE
      5. ILLINOIS POLLUTION CONTROL BOARD CLERK’S OFFICE

CLERK’S OFFICE
ILLINOIS POLLUTION CONTROL BOARD
SEP
2 3
2003
ANTHONY AN) KAREN ROTI, PAUL
ROSENSTROCK, AND LESLIE WEBER
Complainants,
V.
LTD COMMODITIES,
Respondent.
STATE OF ILLINOIS
)
Pollution Control Board
)
)
)
)
)
PCB99-19
)
)
)
)
NOTICE OF FILING
To:
Joseph E. Kolar, Esq.
BAIZER & KOLAR, P.C.
513
Central Avenue,
5th
Floor
Highland Park, Illinois 60035
Bradley P. Halloran
Illinois Pollution Control Board
100 W. Randolph, Suite 11-500
Chicago, Illinois 60201
Ms. Leslie Weber
Mr. Henry Weber
1481 Wedgewood Drive
Lake Forest, Illinois 60045
Mr. Paul Rosenstrock
CONTACT CHICAGO
625 W. Madison Street
Suite 310
Chicago, Illinois 60661
Ms. Karen Roti
Mr. Anthony Roti
1591 Wedgewood Drive
Lake Forest, Illinois 60045
Please take notice that on September 23, 2003, I caused to be filed with the Clerk ofthe
Illinois Pollution Control Board
Leave To Withdraw As Counsel, a copy
ofwhich is attached hereto.
The undersigned, an attorney, certifies that he caused a copy of the Notice Of Filing to be served on
counsel for Respondents by deposit
e sa
the United States Mail at 35 E. Wacker Drive, Chicago, Illinois
6O60lenclosed in an envelope plainl
dress to
ers
list d above with postage fully prepaid, before 5:00
p.m. on September 24, 2003.
The Law Office Of Steven P. Kaiser
35 E. Wacker Drive, Suite 1750
Chicago, Illinois 60601
312.961.2360
P. Kaiser
~
CERTIFICATE OF SERVICE
SUBMITTED ON RECYCLED PAPER

ILLINOIS POLLUTION CONTROL BOARD
CLERK’S OFFICE
ANTHONY AND KAREN ROTI, PAUL
)
SEP 2 32003
ROSENSTROCK, AND LESLIE WEBER
)
STATE OF ILUNOIS
)
Pollutj0~Control
Board
Complainants,
)
)
v.
)
PCB99-19
)
LTD COMMODITIES,
)
)
Respondent.
MOTION FOR LEAVE TO
WITHDRAW AS
COUNSEL
Steven P. Kaiser, counsel for complainants, seeks leave to withdraw as counsel and in
support states as follows:
1. Mr. Kaiser has accepted a position as Assistant Regional Counsel for the United
States Environmental Protection Agency, Chicago, Illinois. He began work on September 8,
2003. Mr. Kaiser’s employment agreement provides that he shall work exclusively for the
United States Environmental Protection Agency. Consequently, Mr. Kaiser can no longer
continue to represent the complainants.
2.
Mr. Kaiser has notified his clients in writing ofhis need to withdraw. See
Attachment A.
WHEREFORE, Mr. Kaiser moves the Board through its Hearing Officer to grant him
•leave to withdraw as counsel.
The Law Office Of Steven P. Kaiser
35 East Wacker Drive, Suite 1750
Chicago, Illinois 60601
312.961.2360

STEVEN
P.
KAISER
Attorney At Law
35 E. Wacker Drive, Suite 1750
Chicago, Illinois
60601
312/372-4779 (Phone)
312/782-4519
(Fax)
September 16, 2003
Ms. Leslie Weber
Mr. Henry Weber
1481 Wedgewood Drive
LakeForest, Illinois 60045
Mr. Paul Rosenstrock
CONTACT CHICAGO
625 W. Madison Street
Suite 310
Chicago, Illinois 60661
Ms. Karen Roti
Mr. Anthony Roti
1591 Wedgewood Drive
Lake Forest, Illinois 60045
Re:
Roti et al. v. LTD
Dear Clients:
I will not be able to continue as your attorney. I am enclosing a Notice Of Motion For
Leave To Withdraw As Counsel. The Notice tells you the time and place of the presentation
of the Motion For Leave To Withdraw.
To insure notice of any action in said cause, you should retain other counsel therein or
file with the clerk of the court, within 21 days after entry of the order of withdrawal, his
supplementary appearance stating therein an address at which service of notices or other
papers may be had.
If you have any questions, please do not hesitate to call. I may be reached at (312)
961.2360.
SPK/spk
Enclosure
~~rly,
~
Kaise\

Back to top