RECEIVED
    CLERK’S OFFICE
    BEFORE THE ILLINOIS POLLUTION CONTROL BOARD JUN 2 02005
    STATE OF ILLINOIS
    Pollution Control Board
    PEOPLE OF THE STATE OF ILLINOIS,
    Complainant,
    vs.
    No. 04-7
    (Enforcement-Air)
    4832 S. VINCENNES, L.P., an Illinois
    limited partnership, and BATTEAST
    CONSTRUCTION COMPANY, INC.,
    An Indiana corporation,
    Respondents.
    NOTICE OF FILING
    To:
    Paula Becker Wheeler
    Assistant Attorney General
    Environmental Bureau
    188 W. Randolph Street, 20th Floor
    Chicago, Illinois 60601
    PLEASE TAKE NOTICE that I have today, June~~,2005, filed with the Office of
    the Clerk of the Illinois Pollution Control Board an original and four copies of my
    Interrogatories to Complainant, a copy of which is attached herewith and served upon
    you.
    Respectfully submitted,
    4S~VIr~5L.P.
    an Illinois
    ~—Off~ierM. Sp rloc #20931
    9415 South S
    treet
    Chicago, Illinois 60619
    (773) 660-4300
    (773) 660-8686 facsimile

    CERTIFICATE OF SERVICE
    I, OLIVER M. SPURLOCK, an attorney, do certify that I caused to be served this -
    ______
    day of June, 2005, Respondent, 4832 S. Vincennes, L.P.’s, Interrogatories to
    Complainant, to the person named below by placing the same in overnight mail with U.S.
    postage prepaid, at 9415 South State Street, Chicago, Illinois 60619.
    Paula Becker Wheeler
    Assistant Attorney General
    Environmental Bureau
    188 W. Randolph Street, 20th Floor
    Chicago, Illinois 60601
    OIi~.S~~931
    9415 South State Street
    Chicago, Illinois 60619
    (773) 660-4300
    (773) 660-8686 facsimile

    RECEIVED
    CLERK’S OFFICE
    BEFORE THE ILLINOIS POLLUTION CONTROL BOARDJUN 202005
    STATE OF IWNOIS
    PEOPLE OF THE STATE OF ILLINOIS,
    Pollution Control Board
    Complainant,
    vs.
    No. 04-7
    (Enforcement-Air)
    4832 S. VINCENNES, L.P., an Illinois
    limited partnership, and BATTEAST
    CONSTRUCTION COMPANY, INC.,
    An Indiana corporation,
    Respondents.
    RESPONDENT, 4832 S. VINCENNES, L.P.’S, INTERROGATORIES TO
    COMPLAINANT
    Respondent, 4832 S. Vincennes, L.P., pursuant to Section 101 .616 of the
    Board’s Procedural Regulations, Hearing Officer Order dated October 21, 2003 and
    Illinois Supreme Court Rule 213, requests that complainant, PEOPLE OF THE STATE
    OF ILLINOIS and the ILLINOIS ATTORNEY GENERAL, answer in writing, under oath,
    the following interrogatories:
    1.
    Identify all documents in your possession or under your control relating to
    any warning given to respondent or respondent’s agent regarding the presence of
    suspect asbestos containing material (“ACM”):
    a.
    verbatim content of each warning;
    b.
    the exact date warning was issued;
    c.
    the person the warning was issued to;
    d.
    identify the person who issued the warning;
    ANSWER:
    2.
    If Complainant contends that warnings were communicated or delivered
    to any respondents or agents thereof, state the date, name, address and telephone
    number of the persons who received the warnings.
    ANSWER:

    3.
    Set forth the names and addresses of any and all persons having
    knowledge of the facts relevant to the complainant’s allegation that any of the
    respondents had knowledge of the presence of ACM at the work site.
    ANSWER:
    4.
    Set forth in detail and with particularity, and all instructions given to
    respondents’ contractors regarding ACM or removal thereof.
    ANSWER:
    5.
    Set forth in detail and with particularity each and every letter,
    memorandum, report, deposition, transcript and any other document which the
    complainant will offer to prove that any of the respondents intentionally ignored the
    warnings, orders, directives or communication from the complainant’s agent regarding
    the presence of ACM.
    ANSWER:
    6.
    With respect to the work site, state whether there were any health or
    safety surveys and inspections conducted at the work site by the Illinois Pollution Control
    Board’s agents or employees.
    ANSWER:

    7.
    If you have answered Interrogatory No. 6 in the affirmative, with respect to
    each health or safety survey and inspection, please state:
    a.
    Name, title and office address and telephone number of the
    inspector;
    b.
    The date or dates the survey or inspection was conducted;
    c.
    The department, agency section or other governmental entity of
    the State of Illinois which conducted the survey or inspection.
    ANSWER:
    8.
    State whether any investigations or other reports have been prepared,
    compiled, submitted or made by the complainant or complainant’s agents or employees,
    or utilized by the complainant in any way in this action, and if so, as to each such
    investigation or report, state in detail:
    a.
    The identification of the documents, and attach a copy of all such
    reports;
    b.
    The name and address of each person to whom the investigation
    or report was addressed or directed;
    c.
    The purpose of such preparation of the investigation or report; and
    d.
    The name and address of each person having present custody or
    control of the investigation or report.
    ANSWER:
    9.
    State the names and addresses of all persons not previously mentioned
    who have personal knowledge of facts material to this case.
    ANSWER:

    10.
    Identify each and every writing, oral conversation, or other communication
    with, rr in the presence of, any alleged representative of this defendant (including, but
    not limited to, any of its alleged agents, servants and/or employees) relating, directly or
    indirectly, to the subject matter of the complaint, setting forth for each such conversation
    and/or communication:
    a.
    The date of such conversation or other communication;
    b.
    The names and addresses of all persons in attendance or who
    have personal knowledge of such conversation or other
    communication;
    c.
    The substance of each such oral conversation or other
    communication; and
    d.
    The identity of and attach a copy of each such writing to your
    answer to this interrogatory.
    ANSWER:
    11.
    Identify each and every signed or recorded statement that you have
    obtained, setting forth for each such statement:
    a.
    The date that each such statement was obtained;
    b.
    The name and addresses of all persons from whom you have
    obtained such statement; and
    c.
    The name and address of each custodian of the statement, and
    attach a copy of any signed or recorded statement to your answer
    to this interrogatory.
    ANSWER:

    12.
    Identify each person whom you expect to call as an expert witness at the
    trial of the above-captioned action, and as to each such witness, state:
    a.
    The expert’s name and age;
    b.
    The name and address of the expert’s present employer, or if self-
    employed, the expert’s occupation;
    c.
    The expert’s educational background, specifying colleges
    attended, dates of attendance, degrees attained and post-
    graduate degrees attained, if any;
    d.
    The name and address of every person, firm or corporation where
    the expert was employed within the last ten (10) years, and a
    detailed description of the expert’s duties at each such place of
    employment, of if the expert was self-employed, state specifically
    and in detail the description of the expert’s duties and
    responsibilities; and
    e.
    Identify all asbestos-related cases in which the expert has testified
    as an expert witness, including the title and number of the case,
    the court in which the case was pending, and the part for whom
    the expert testified.
    ANSWER:
    13.
    With respect to the anticipated testimony of each person you expect to
    call as an expert witness at the trial of this matter, state:
    a.
    The subject matter on which the expert is expected to testify;
    b.
    The facts and opinions as to which the expert is expected to
    testify;
    c.
    A summary of the grounds for each such opinion;
    d.
    Whether the facts and opinions identified above are contained in a
    written report, memorandum or transcript, and if they are, produce
    the same, if you will do so without a Notice for Production of
    Documents;

    ANSWER:
    Re~p~tt6~submitt
    OliverfçM. Spurloc
    Attorney for 4832
    Vi ennes,. L.P.
    Oliver M. Spurlock, #20931
    Attorney for 4832 S. Vincennes, L.P.
    9415 South State Street
    Chicago, Illinois 60619
    Telephone: (773) 660-4300
    Fax:
    (773) 660-8686

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