BEFORE
THE ILLINOIS POLLUTION CONTROL BOARD
STATE OF ILLINOIS
MARK IV REALTY,
INC.,
)
Petitioner,
)
v.
)
No. PCB 02-190
(UST Appeal)
ILLINOIS ENVIRONMENTAL PROTECTION
)
AGENCY,
)
Respondent.
)
C ~E~
~
~
M~S(18
2OO~
STAThOF ~LUt4OlS
pottuttOfl Cofltt~0~
Board
NOTICE OF
FILING
To:
Bradley P. Halloran
Hearing Officer
Illinois Pollution Control Board
100 W.
Randolph Street
Suite 11-500
Chicago, IL 60601
John J.
Kim, Assistant Counsel
Special Assistant Attorney General
IEPA, Division of Legal Counsel
1021 North Grand Avenue, East
P.O. Box 19276
Springfield, IL 62794-9276
PLEASE TAKE NOTICE that on March
18, 2004, Petitioner, Mark IV Realty, Inc., filed with
the Clerk of the Illinois Pollution Control Board, the
attached
MOTION TO
VOLUNTARILY
DISMISS
PETITION FOR
REVIEW, a copy which is served upon
you.
Mark J. Steger, Esq.
HOLLAND
& KNIGHT LLP
131
South Dearborn,
30th
Floor
Chicago, Illinois
60603
Attorneys for Mark IV Realty, Inc.
312-263-3600
FIRM NO. 37472
MARK IV REALTY,
INC.
O~of Its ~~neYs
Dated:
March 18, 2004
MARK IV REALTY, INC.,
RECE~VED
CLERK’S OFFICE
MAR
18
2004
STATE OF
ILUNOIS
Pollution Control board
Petitioner,
)
v.
ILLINOIS ENVIRONMENTAL PROTECTION
AGENCY,
Respondent.
)
No. PCB 02-190
(UST Appeal)
MOTION TO VOLUNTARILY DISMISS PETITION FOR REVIEW
NOW COMES Mark IV Realty,
Inc.
(“Mark IV”), by its attorneys,
Holland & Knight LLP,
and hereby files its Motion to Voluntarily Dismiss its Petition for Review.
In support of its motion,
Mark IV states as follows:
1.
Petitioner and Respondent reached an agreement on the issues that were the subject of the
Petition for Review.
2.
The Illinois Environmental Protection Agency has issued a ‘No Further Remediation” letter
and Mark IV has recorded it against the property as required.
Accordingly, there are no
further issues between the parties.
WHEREFORE,
Mark
IV
Realty,
Inc.
requests
that
the
Board enter
an
order
granting
its
Motion to Voluntarily Dismiss the Petition for Review previously filed in this matter.
Respectfully submitted,
MARK 1Y11Z~ALTY,INC.
Mark
J.
Steger, Esq.
HOLLAND
& KNIGHT LLP
131 South Dearborn Street,
30th
Floor
Chicago, Illinois
60603
Attorneys for Mark IV Realty, Inc.
312-263-3600
Dated:
March 18, 2004
By’
-2-
**THIS FILING IS SUBMITTED
ON RECYCLED PAPER**
BEFORE THE ILLINOIS POLLUTION CONTROL BOARD
STATE OF ILLINOIS
~~torne~s
CERTIFICATE OF
SERVICE
I, the undersigned certify; that I have served the attached Notice and Motion to Voluntary
Dismiss Petition for Review by mailing a copy to:
Bradley P. Halloran
Hearing Officer
Illinois Pollution Control Board
100 W. Randolph Street, Suite 11-500
Chicago, IL 60601
John J. Kim, Assistant Counsel
Special Assistant Attorney General
IEPA, Division of Legal
Counsel
1021 North Grand Avenue, East, P.O. Box
19276
Springfield,
IL 62794-9276
and depositing the same in the U.S. mail at 5:00 p.m.
o
rch
18, 2004, with proper postage
prepaid.
Mark J. Steger, Esq.
HOLLAND & KNIGHT LLP
131
South Dearborn Street,
30th
Floor
Chicago, Illinois
60603
Attorneys forMark IV Realty, Inc.
312-263-3600
FIRMNO. 37472
#
1790750_vi
-3-
**THIS FILING IS SUBMITTED ON RECYCLEDPAPER**