1. ILLINOIS ENVIRONMENTAL PROTECTION AGENCYOpen Dump Inspection Checklist
    1. ILLINOIS ENVIRONMENTAL PROTECTION ACT REQUIREMENTS
      1. 1. 9(a) CAUSE, THREATEN OR ALLOW AIR POLLUTION IN ILLINOIS
      2. 2. 9(c) CAUSE OR ALLOW OPEN BURNING
      3. ILLINOIS
      4. 4. 12(d) CREATE AWATER POLLUTION HAZARD
      5. 5. 21(a) CAUSE OR ALLOW OPEN DUMPING
      6. 6. 21(d)CONDUCT ANY WASTE-STORAGE, WASTE-TREATMENT, OR WASTE- DISPOSAL
      7. 7. 21(e)DISPOSE, TREAT, STORE, OR ABANDON ANY WASTE, OR TRANSPORT ANY
      8. 8. 21(p)CAUSE OR ALLOW THE OPEN DUMPING OF ANY WASTE IN A MANNER WHICH RESULTS
      9. (1) Litter
      10. LPC# .0410055048Inspection Date: 12/29/2004
      11. OPERATEALANDFILL
      12. 11. 722.111 HAZARDOUS WASTE DETERMINATION
      13. 12. 808.121 SPECIAL WASTE DETERMINATION
      14. 13. 809.302(a)
      15. Apparent continuing violations observed during this inspection:
  2. Illinois
  3. Environmental
  4. Protection
  5. Agency
    1. 0410055048--Douglas
    2. County
    3. • Illinois Environmental Protection Agency
    4. Bureau of Land
    5.  
    6. FOS File
    7. TIME: 10:45 AM
    8. DIRECTION: West
    9. PHOTO by: Mike Mullins
    10. PHOTO FILE NAME:
    11. 0410055048—12292004-001 .jpg
    12. COMMENTS:
    13. DATE: December 29, 2004
      1. ~ L1?’
  6. ~S!7Pagei~.
      1. PROOF OF SERVICE
      2. Arcola, Illinois 61910
      3. To: Dorothy Gunn, ClerkPollution Control Board

RECEIVED
CLERK’S OFFICE
FEB
142005
.
-~TATE.
OF IWNOIS
Pollution COntrol Board
INFORMATIONAL NOTICE!!!
~
~
IT
IS
IMPORTANT THAT YOU
READ
THE ENCLOSED DOCUMENTS.
NOTE:
This Administrative
Citation
refers to
TWO
separate State
of
Illinois Agencies.
One
is the
ILLINOIS
POLLUTION
CONTROL BOARD
located at State of Illinois Center,
100 West Randolph
Street,
Suite
11-500,
Chicago, Illinois
60601.
The other state agency is the
ILLINOIS
ENVIRONMENTAL PROTECTION AGENCY
located,
at:
1021
North Grand Avenue East,
P.O.
Box 19276,
Springfield,
Illinois 61794-9276.
If you elect to contest the
enclosed Administrative citation,
you must
file a
PETITION
FOR
REVIEW
with
thirty-five
(35) days
of the date
the Administrative Citation was served upon you.
Any such Petition
for Review must be filed
with the clerk of the Illinois Pollution Control
Board by either hand delivering or mailing to the
Board at the address
given above;
A copy of the
Petition for Review should
be either
hand-delivered or mailed to the Illinois Environmental
Protection
Agency at the
address given above and should
be marked to the
ATTENTION:
DIVISION
OF
LEGAL COUNSEL.

RECEIVED
BEFORE THE IILLINOIS POLLUTION CONTROL BOARD
CLERK’S OFFICE
ADMINTSTRATIVE CITATION
FEB
142005
ILLINOIS ENVIRONMENTAL
)
Pollution Control Board
PROTECTION AGENCY,
)
Complainant,
)
AC
)
v.
)
(IEPANo.35-05-AC)
)
CHRISTOPHER A.
and JENNY
L. GOOD,
)
)
Respondents.
)
NOTICE
OF FILING
To:
Christopher
A. and
Jermy
L.
Good
623 North Locust Street
Arcola, Illinois
61910
PLEASE TAKE NOTICE that
on this date I mailed for filing with the Clerk of the Pollution
Control Board ofthe State ofIllinois the following instrument(s) entitled ADMNISTRATIVE
CITATION, AFFIDAVIT, and OPEN DUMP INSPECTION CHECKLIST.
-
Respectfully submitted,
JaI)d’es M. Kropid
S~cialAssistant Attorney General
Illinois Environmental Protection
Agency
1021
North Grand Avenue East
P.O. Box
19276
Springfield, Illinois 62794-9276
(217)782-5544
Dated:
February
9,
2005
THIS FILING SUBMITfED ON
RECYCLED PAPER

RECE WED
CLERK’S OFFICE
BEFORE THE
ILLINOIS POLLUTION
CONTROL BOARD
FEB14
2005
ADMINISTRATIVE CITATION
STATE OF ILLINOIS
Pollution
Control Board
ILLINOIS ENVIRONMENTAL
)
PROTECTION AGENCY,
)
Complainant,
.
)
AC
0 ~
V.
)
(IEPA No. 35-05-AC)
CHRISTOPHER A.
and JENNY
L. GOOD,
)
)
)
)
Respondents.
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(2002).
FACTS
1.
ThatChristopher A.
and Jenny
L.
Good are the present owners
and operators of a
facility
located
at
623
North
Locust
Street,
Arcola,
Douglas
County,
Illinois.
The
property
is
commonly known to the Illinois Environmental
Protection Agency as Arcola/Good’s Construction.
2.
That
said
facility
is
an
open
dump
operating
without
an
Illinois
Environmental
Protection Agency Operating
Permit and
is designated with
Site Code
No. 0410055048.
3.
That Respondents have owned and operated said facilityatalLtimes pertinent hereto.
4.
That
on
December 29, 2004,
Mike
Mullins of the
Illinois Environmental
Protection
Agency’s
Champaign
Regional
Office
inspected
the
above-described
facility.
A
copy
of
the
inspection
report setting
forth the results
of
said
inspection
is attached
hereto and
made
a part
hereof.
1

VIOLATIONS
Based
upon direct observations made by Mike Mullins during the-courseof his December 29,
2004 inspection
of the
above-named
facility, the
Illinois
Environmental
Protection
Agency
has
determined that Respondents have violated the
Illinois Environmental
Protection Act (hereinafter,
the “Act”) as follows:
(1)
That
Respondents 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)
(2002).
(2)
That
Respondents
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 Section2l(p)(7) ofthe Act, 415 ILCS
5/21 (p)(7)
(2002).
CIVIL PENALTY
Pursuant to Section 42(b)(4-5) of the Act, 415 ILCS 5/42(b)(4-5) (2002), Respondents are
subject
to
a
civil
penalty
of
One
Thousand
Five
Hundred
Dollars
($1,500.00)
for
each
of
the
violations identified above, for a total of Three Thousand
Dollars ($3,000.00).
If Respondentselect
not to petition the Illinois Pollution Control
Board, the statutory civil penalty specified above shall be
due and
payable
no later than
March
15,
2005,
unless otherwise provided by order of the Illinois
Pollution Control
Board.
If Respondents elect to contestthis Administrative Citation
bypetitioning the Illinois Pollution
Control
Board
in accordance with Section 31.1
of the Act, 415 ILCS 5/31.1
(2002), and if the Illinois
Pollution Control Board issues
a finding of violation as alleged herein, after an adjudicatory hearing,
Respondents shall be assessed the associated hearing costs incurred by the Illinois Environmental
2

Protection Agency and the Illinois Pollution Control Board.
Those hearing costs shall be assessed
in
addition
to the One Thousand
Five
Hundred
Dollar ($1,500.00) statutory
civil penalty for each
violation.
Pursuant to Section 31.1 (d)(1) of the Act, 415 ILCS 5/31.1 (d)(1) (2002),
if Respondents fail
to petition or elect not to petition the Illinois Pollution Control Board for~review
of this Administrative
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,
Respondents’
check
shall
be
made
payable
to
the
Illinois
Environmental
Protection
Trust
Fund
and
mailed
to
the
attention
of
Fiscal
Services,
Illinois
Environmental
Protection Agency,
lO2lNorth Grand
Avenue East,
P.O.
Box
19276,
Springfield,
Illinois
62794-9276.
Along
with
payment,
Respondents
shall complete and
return
the enclosed
Remittance Form to ensure proper documentation of payment.
Ifany civil penalty and/or hearing costs are not paidwithin theilme prescribed byorder of the
Illinois
Pollution
Control
Board,
interest on
said
penalty and/or
hearing
costs
shall
be
assessed
against the Respondents from the date payment is due-upto and
including the date that payment is
received.
The
Office
of the
Illinois Attorney General
may
be
requested
to
initiate
proceedings
against Respondents in Circuit Court to collect said penalty and/or hearing costs, plus any interest
accrued.
3

PROCEDURE
FOR CONTESTING
THIS
ADMINISTRATIVE CITATION
Respondents
have
the
right
to
contest this
Administrative
Citation
pursuant
to
and
in
accordance with Section 31.1
of the Act, 415 ILCS 5/31/1
(2002).
If Respondents elect to contest
this Administrative Citation, then Respondents shall file a Petition for Review, including a Notice of
Filing, Certificate of Service, and Notice of Appearance, with theClerk 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 theAct 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.
~
~
Date:
~49\O~
Renee
Cipriano,
Director
4~
Illinois
Environmental Protection Agency
Prepared by:
Susan
E.
Konzelmann,
Legal Assistant
Division of Legal Counsel
Illinois Environmental Protection Agency
1021
North
Grand Avenue East
P.O. Box 19276
Springfield,
Illinois 62794-9276
(217) 782-5544
4

RECE
WED
REMITTANCE
FORM
CLERK’S OFFICE
FEB
142005
ILLINOIS
ENVIRONMENTAL
)
STATE OF I
ROTECTIO
CY,
)
Pollution
Control Board
Complainant,
)
AC
~)~
v.
)
(IEPA No. 35-05-AC)
)
CHRISTOPHER A. and JENNY
L. GOOD,
)
)
)
Respondents.
)
FACILITY:
Arcola/Good’s Construction
SITE
CODE NO.:
0410055048
COUNTY:
Douglas
CIVIL PENALTY:
$3,000.00
DATE
OF INSPECTION:
December 29, 2004
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.
5

ILLINOIS ENVIRONMENTAL PROTECTION AGENCY
AFFIDAVIT
IN THE MATTER
OF:
)
ILLINOIS ENVIRONMENTAL
)
PROTECTION AGENCY,
)
Complainant,
)
)
IEPA DOCKET NO.
)
GOOD’S CONSTRUCTION
)
CHRISTOPHER A.
GOOD, OWNER,)
Respondent,
)
Affiant, Michael S. Mullins, being first duly sworn, voluntarily deposes and
states as follows:
1.
Affiant
is
a field inspector employed
by the Land Pollution
Control Division of the
Illinois Environmental Protection Agency and has been so employed
at all times pertinent
hereto.
2.
On December 29,
2004,
between
10:40
A.M.
and
10:47
P.M.,
Affiant conducted
an
inspection ofthe
site in Douglas County, Illinois,
known as the Good’s Construction site,
Illinois Environmental Protection Agency SiteNo.
0410055048.
3.
Affiant inspected said Good’s Construction
site by an on-site inspection, which included
walking the site.
-
-
4.
As
a result ofthe activities
referred to
in
Paragraph
3
above, Affiant completed the
Inspection Report form attached hereto and made a parthereof, which, to thebest ofAffianVs
knowledge
and
belief, is
an accurate representation of Affiant’s observations
and
factual
conclusions with respect to the Good’s Construction site.
Subscribed
and Sworn to before me
Michael S. Mullins
this
____
dayof
,
2005.
____________
NOT
UNO~
-
Notary Public
\J

ILLINOIS ENVIRONMENTAL PROTECTION AGENCY
Open Dump Inspection Checklist
County:
Douglas
LPC#:
0410055048
Region:
4- Champaign
Location/Site Name:
Arcola/Good’s Construction
Date:
12/29/2004
Time:
From
10:40 am
To
10:47 am
Previous
Inspection
Date:
09/01/2004
Inspector(s):
Mike Mullins
Weather:
Overcast, 40 degrees F.
No. of Photos Taken:
#
2
Est. Amt. of Waste:
25
yds3
Samples Taken:
Yes #
No
Z
Interviewed:
No One
Complaint #:
Responsible Party
Mailing Address(es)
and
Phone
Number(s):
Chris Good
623
N.
Locust Street
Arcola,1L61910
f~’(”
~_)
I
El
VED
217/268-4924
~tq
U
22005
-,__•_~‘1_L
1_r$
.L
ii
&..I~
‘P.~~5
SECTION
DESCRIPTION
.J—
VIOL
ILLINOIS ENVIRONMENTAL PROTECTION ACT REQUIREMENTS
1.
9(a)
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
4.
12(d)
CREATE AWATER POLLUTION HAZARD
5.
21(a)
CAUSE
OR ALLOW OPEN
DUMPING
6.
21(d)
CONDUCT ANY WASTE-STORAGE, WASTE-TREATMENT,
OR WASTE- DISPOSAL
OPERATION:
(1)
Without
a Permit
(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
(2)
Scavenging
Elil
(3)
Open
Burning
:
(4)
Deposition of Waste
in Standing or Flowing Waters
.
(5)
Proliferation of Disease Vectors
(6)
Standing or Flowing
Liquid Discharge
from the Dump
Site
Revised 06/18/2001
(Open Dump
-
1)

LPC#
.0410055048
Inspection
Date:
12/29/2004
(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
E
(2)
Cause or Allow Open
Burning of Any Used or Waste Tire
E
35 ILLINOIS ADMINISTRATIVE CODE REQUIREMENTS
SUBTITLE
G
.
.‘:.
10.
-
812.101(a)
FAILURE
TO SUBMIT AN APPLICATION FOR APERMIT TO
DEVELOP AND
OPERATEALANDFILL
11.
722.111
HAZARDOUS WASTE DETERMINATION
12.
808.121
SPECIAL WASTE DETERMINATION
13.
809.302(a)
ACCEPTANCE OF SPECIAL WASTE FROM A WASTE TRANSPORTERWITHOUT A
WASTE
HAULING PERMIT,
UNIFORM WASTE
PROGRAM REGISTRATION AND
PERMIT ANDIOR MANIFEST
fl
øTHER~EQUlREMENTS
.•:
•~••.i.:
14.
APPARENT VIOLATION OF:
(~IJ)
PCB;
(fl)
CIRCUIT COURT
CASENUMBER:
ORDERENTEREDON:
.
.
15.
OTHER:
E
.
.
E
.
L1•
:
Signature
of Inspector(s)
Informational Notes
1.
Illinois
Environmental
Protection
Act: 415
ILCS 5/4.
2.
Illinois
Pollution Control
Board: 35
III.
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’sstatutory 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
EnvirQnmental Protection Actshall 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 accordancewith 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.
Revised 06/18/200 1
(Open Dump
-
2)

Illinois
Environmental
Protection Agency
Bureau of Land+FieId Operaflons Section.Champaign
0410055048--Douglas County
ArcolalGood’s Construction
Inspection Date: December 29, 2004
Inspector: Mike Mullins
(V~s1~’
~‘
FOS
File
~•~R
02
2005
General Comments:
____
_____
IEPA~~I3OL
GIS Data:
Latitude-N
39.69181
~,
Longitude-W 088.30691~
(Magellan
Meridian Platinum)
EPE
+1-
40’
Ownership:
Mr. Good owns a construction business and operates it from this location. This
was determined by. acquiring
a copy ofthe Warranty Deed from the Douglas County
Recorder’s Office for the property. The Permanent Index Number (PIN) for this property is
1-
14-4-201-11 and address is recorded
as 623
N.
Locust Street, Arcola,
Illinois.
On August
25,
2004, the IEPA Champaign Office received a citizen’s complaint of open
dumping ofwaste lumber, doors, windows
and shingles behind a shed at 623 North Locust
Street, Arcola, Illinois.
The site is located in Section 4, Arcola Township,
Douglas County in
the city ofArcola.
An Administrative Citation Warning Letter (ACWN) was sent to
Mr. Good
on September 24,
2004. The ACWNnotified Mr. Good that what was observed happening at this location was
in violation ofthe Environmental Protection Act and Land Pollution Regulations.
Mr. Good responded b~/
telephone shortly after receiving the warning notice.
He stated that he
does not utilize a dumpster or roll-offcontainer at all his job sites and
some ofthe debris
is
hauled to his business. Several times
per year,
a roll
off
box
is utilized to remove the debris to
a landfill.
The purpose ofthis re-inspection was to determine regulatory status and evaluate compliance
with the Environmental Protection Act (Act) and Title 35 Illinois Administrative Code,
Subtitle G:
Land Pollution (Regulations).
September
1, 2004 Observations:
I arrived at the property about
10:40 am, the weather was
overcast, 40 degrees dry conditions.
The site is behind a house to the west of 623 North Locust Street.
.
When I arrived, no one was on-site to
interview. The pile ofwaste
lumber was approximately
40 feet north and west ofthe northwest corner of the shed. Observed was approximately 20-
25
cubic yards ofmixed waste to include dimensional lumber, plywood, shingles, pallets,
plastic pipe and landscape waste. The waste appears to be the same waste from an inspection

on September
1, 2004. It does not appear that any of the waste has been removed from the
previous inspection.
There also does not appear to be any new waste in the pile from the
previous inspection. No observed progress in cleaning up this
site was observed.
I left the area at
10:47 a.m.
Apparent continuing violations observed during this inspection:
Environmental Protection Act.
415
ILCS
5/1
et. Seq.
(formerly Ill.
Rev.
Stat.
Ch. 1111/2,
-l’0t~
1
et. Seq.) hereinafter
call
the “Act”
#1
Pursuant to
Section
2 1(a) ofthe Act, no person shall cause or allow the open dumping
ofany waste.
A violation of Section 2 1(a) is alleged for the following reason:
evidence of open
dumping of waste, including dimensional lumber, plywood, shingles, pallets,
plastic pipe
and landscape waste were observed during the inspection.
#2
Pursuant to Section 21 (d)( 1) ofthe Act, no person shall conduct
any waste-storage,
waste-treatment, or waste-disposal operation without a permit
granted. by the Agency.
A violation of Section 21(d)(1) is
alleged for the following
reason: waste disposal
and/or storage operation was conducted without
a permit granted by the Agency.
#3
Pursuant to
Section 21 (d)(2) ofthe Act, no person shall conduct any waste-storage,
waste-treatment, orwaste-disposal operation
in violation ofregulations
adopted by the
Illinois Pollution Control Board.
A violation
ofSection
21 (d)(2) is alleged for the following ~eason:a
waste disposal
and/or storage operation was conducted in violation of regulations adopted by
the Illinois Pollution Control Board.
#4
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 ofthe Act
and
ofRegulations and Standards thereunder.
A violation of Section
2 1(e)
is
alleged for the
following reason:
Wastes were being
stored and/or disposed of at this facility which does not meet the requirements of
the Act and regulations & standards thereunder.
#5
Pursuant to Section
2l(~p)(l)ofthe Act, no one shall cause or allow the open
dumping
ofany waste in a manner which results in litter.
.
.
A violation of Section 21@)(1)
is alleged for the following reason:
evidence ofopen
dumping resulting
in litter was observed during the inspection.
2

#6
Pursuant
to
Section
2l(p)(7)
of the
Act.
No person
shall
cause
or allow
the
open
dumping
of
any
waste
in
a
manner
which
results
in
the
deposition
of
general
construction or demolition debris; or clean construction or demolition debris.
A violation of Section 21@)(7)
is
alleged for the following reason:
Evidence of open
dumping
and/or
storage
of
wastes
resulting
in
the
deposition
of
general
demolition/construction debris was observed during the inspection of this site.
35
Illinois Administrative Code. (Title 35: Environmental Protection, Subtitle
G: Land
Pollution, Chapter I:
Pollution Control
Board) Regulations
#7
Pursuant to
Section 812.101(a) of the Regulations,
all persons, except those
specifically exempted by Section 2 1(d) ofthe Act,
shall submit to the Agency an
application for a permit to develop and operate a landfill.
A violation ofSection
8 12.101(a) is
alleged for the following reason: this waste
storage site has not submitted an application to the Agency for a permit to
develop and operate a landfill.
3

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Agency
LPC
#
0410055048--Douglas
County
Site
Iviap
Arcola/Good’s
Construction
Insp.
Date
12
/29/2004
Cl)
C.?
z
Map
not
to
Scale
Arrows
indicated
direction
and
location
of
Photos
Ebris~1.
-
2.
i
Business
Shed
623
N.
Locust
w
Site
Photos
Photo
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Illinois
Environmental Protection Agency
Bureau of Land
DIGITAL
PHO TOGRAPHS
LPC #0410055048
Douglas County
Arcola/Good’s Construction
FOS File
DATE:
-
December 29, 2004
TIME: 10:45 AM
DIRECTION: West
PHOTO
by: Mike Mullins
PHOTO
FILE NAME:
0410055048—12292004-001 .jpg
COMMENTS:
DATE: December 29, 2004
TIME:
10:45
AM
DIRECTION: Northwest
PHOTO by:
Mike Mullins
PHOTO
FILE
NAME:
0410055048—I2292004-002.jpg
COMMENTS:

~OU~4TY1~X
MAc’
DS4~
~
L1?’
WARRANTY
DICED
220486
TENANCY
BY
THE
ENTIRETY
MAIL
TO:
-
Jerry
L.
Stout
P.O. Box 112
Arcola,
IL
61910
NAME & ADDRESS OF TAXPAYER:
Christopher A. Good
and Jenny
L. Good
623--N-.--Locu-st--St.~--—-~——----—---
~
_._:
-
Arcola,
IL
61910
-
THE GRANTORS, REX A. WILLISON and DEBRA
L. WILLISON, husband
and wife, of Bowdre Township, Douglas County, Illinois, each~in..his
and
her
own
right
and
as
spouse
of
the
other,
-for
and
in
~-~considerationof TEN DOLLARS (~10.O0)and other good and valuable
consideration
in
hand
paid,
CONVEY
and
WARRANT
to
GRANTEES,
CHRISTOPHER A.
GOOD and JENNY
L.
GOOD, husband and wife,
of the
City of Arcola, Douglas County, Illinois, not as TENANTS IN COMMON,
nor as JOINT TENANTS but as TENANTS BY THE ENTIRETY,
all interest
in the following described real estate in the COUNTY of DOUGLAS,
STATE of ILLINOIS, to wit:
-
THE SOUTH HALF (S 1/2) OF THE SOUTH HALF
(S 1/2) OF THE FOLLOWING DESCRIBED PREMISES:
THE NORTH 375 FEET 4 INCHES OF LOT
7 OF ASSESSOR’S
SUBDIVISION OF THE NORTHEAST QUARTER (NE 1/4) OF SECTION
4, TOWNSHIP 14 NORTH, RANGE
8 EAST OF THE THIRD PRINCIPAL
MERIDIAN.
SUBJECT
to
covenants,
conditions,
restrictions
and
easements apparent or of record;
all applicable zoning
laws and ordinances;
and...General Real Estate Taxes;
hereby releasing and waiving all rights under and by virtue of the
Homestead Exemption Laws of the State of Illinois.
Permanent Index Number:
1—14—4—201—11
Property Address:
623 N.
Locust St., Arcola,
Illinois
l~COK
557
PAGE
156
.rV

Da
d this
/0
day of March,
2000.
k~J2Q~
RE
A. WILLISON
STATE OF. ILLINOIS
)
-
)
SS.
COUNTY OF DOUGLAS
)
-
I,. the undersigned Notary Public in and for said County and
State,
DO
HEREBY
CERTIFY
that
REX
A.
WILLISON
and
DEBRA
L.
WILLISON,. husband and wife,- personally
known
to me to be the same
persons whose
names are
subscribed
to the foregoing instrument,
appeared before me in person and acknowledged that they signed,
sealed
-
and
delivered
the
said
instrument
as
their
free
and
voluntary
act,
for
the
uses
and
purposes
therein
set
forth
including the release and waiver of the right of homestead.
2000.
4,
-
Given under my hand and Notarial Seal, this
1~
day of March,
OFFICIAL
SEAL
3
IMONICA
LYNN WIWSON~
~uoi~’
PUBLIC,
STATE
OF IWNOS ~
L~~MI~
F~PIRES
-
-W
natr.
-
.tn.
~.rW
mm
-
~y
commission
expires
4~’.
ZCO I
~~ML
4~
Notary
Public
~ME AND ADDRESS OF PREPARER:
3rry Stout;
Atty.
No.
6199950
30 No.
Locust/P.O. Box 112
~cola, IL
61910
-
L7/268—3609
BOCK
557
PACEI57
FLED For R000rt!M_1
3 Z~J~
At1~
~44~jR000~0r

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~S!7Pagei~.

PROOF OF SERVICE
I
hereby certify
that
I did
on
the
9th
day of
February 2005,
send by
Certified
Mail,
Return
Receipt Requested, with postage
thereon
fully
prepaid, by depositing in a United
States Post Office
Box a
true
andcorrect copyofthe following instrument(s) entitled
ADMIINSTRATIVE
CITATION,
AFFIDAVIT, and OPEN DUMP INSPECTION CHECKLIST
.
-
To:
Christopher A.
and
Jenny
L. Good
623 North Locust Street
Arcola, Illinois
61910
and
the original
and nine (9) true
and
correct
copies ofthe
same
foregoing instruments on
the
same
date
by
Certified Mail, Return Receipt Requested,
with postage thereon fully
prepaid
To:
Dorothy Gunn, Clerk
Pollution Control Board
James R. Thompson Center
100
West Randolph Street, Suite
11-500
Chicago, Illinois 60601
Ja$s M. Kropid
Sp
cial Assistant Attorney General
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

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