BEFORE THE ILLINOIS POLLUTION BOARD
    CLERK’S
    OCT 2 32003
    OFFICE
    STATE OF IWNOIS
    BYRON SANDBERG,Petitioners,
    )
    P Ilutlon Control
    Board
    )
    vs.
    )
    Case No. PCB 04-33
    )
    (Third Party Pollution Control
    )
    (Facility Siting Appeal)
    CITY OF KANKAKEE, ILLINOIS
    )
    CITY COUNCIL and
    )
    TOWN AND COUNTRY UTILITIES, INC. and )
    KANKAKEE REGIONAL LANDFILL, L.L.C.
    )
    Respondents.
    )
    WASTE MANAGEMENT OF ILLINOIS,
    )
    Petitioners,
    )
    )
    vs.
    )
    Case No. PCB 04-34
    )
    (Third Party Pollution Control
    )
    (Facility Siting Appeal)
    CITY OF KANKAKEE, ILLINOIS
    )
    CITY COUNCIL and
    )
    TOWN AND COUNTRY UTILITIES, INC. and )
    KANKAKEE REGIONAL LANDFILL, L.L.C.
    )
    Respondents.
    COUNTY OF KANKAKEE, ILLINOIS, and
    )
    EDWARD D. SMITH, KANKAKEE COUNTY )
    STATES ATTORNEY,
    )
    Petitioners,
    )
    )
    vs.
    )
    Case No. PCB 04-3
    )
    (Third Party Pollution Control
    )
    (Facility Siting Appeal)
    CITY OF KANKAKEE, ILLINOIS
    )
    CITY COUNCIL and
    )
    TOWN AND COUNTRY UTILITIES, INC. and )
    KANKAKEE REGIONAL LANDFILL, L.L.C.
    )
    Respondents.
    MOTION TO WAIVE NECESSITY OF FILING OF ROCK CORE SAMPLES
    Now comes the City of Kankakee, by and through its attorneys, Christopher W.

    Bohlen, Corporation Counsel, and hereby moves the Illinois Pollution Control Board to
    waive the necessity of filing of rock core samples which were filed with the City of
    Kankakee. In support thereof the following is stated:
    1. As a part of the record herein, the applicant filed with the City of Kankakee
    approximately 1,700 pounds of rock core samples.
    2. The transportation and filing of said samples is unnecessary unless the Illinois
    Pollution Control Board desires to inspect said samples.
    3. Said samples will be retained by the City of Kankakee until the disposition of
    this matter.
    WHEREFORE, THE CITY OF KANKAKEE, requests the Illinois Pollution Control
    Board to waive the necessity of filing the rock core samples deposited as a part of the
    record herein.
    Respectfully submitte
    Cfty
    ankakee
    its Attorney
    Christopher W. Bohlen
    Corporation Counsel
    City of Kankakee
    385 East Oak Street
    Kankakee, Illinois 60901
    (815) 939-1133

    STATE OF ILLINOIS
    )
    COUNTY OF KANKAKEE)
    CERTIFICATE OF MAILING
    I, Anjanita Dumas do hereby certify that I mailed by regular mail a copy of the
    attached Certificate of Record to:
    Byron Sandberg
    P.O. Box 220
    Donovan, Illinois 60931
    Donald J. Moran
    Pedersen & Houpt
    Suite 3100
    161 N. Clark Street
    Chicago, Illinois 60601-3242
    Edward Smith
    Brenda Gorski
    Kankakee County State’s Attorney
    450 East Court Street
    Kankakee, Illinois 60901
    George Mueller
    Attorney at Law
    501 State Street
    Ottawa, Illinois 61350
    Charles Helston
    Richard Porter
    Hinsahaw & Culbertson
    100 Park Avenue
    Rockford, Illinois 61105
    by depositing the same in a United States Mail depository located at 385 East Oak
    Street, Kankakee, Illinois on October 23, 2003 before 5:00 P.M.with posatage pre-paid.
    C)
    Subscribed and sworn to before me this _______
    day of _________________, 2003.

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