RECEIVED
BEFORE THE ILLINOIS POLLUTION CONTROL BOARD
CLERK’S
OFFICE
JUL
132005
PEOPLE OF THE
STATE OF ILLINOIS,
)
STATE OF ILLINOis
Pollution Control Board
Complainant,
)
)
v.
)
PCB 05-207
)
(Enforcement
—
Air)
PRECISION TWIST DRILL COMPANY,
)
a Delaware Corporation,
)
)
Respondent.
)
MOTION FOR
PRO HAC VICE
ADMISSION OF
JOHN J. MeALEESE, III
Pursuant to Ill. Admin. Code tit.
35,
§
101 .400(a)(3), I, John J. McAleese, III,
hereby request that the Illinois Pollution Control Board permit my appearance
pro hac
vice
in this matter on behalfof Respondent, Precision Twist Drill Company
(“Respondent”).
In support of this motion, I state as follows:
1.
I am
an attorney with the firm ofMorgan, Lewis & Bockius
LLP, which has a
business address of 1701
Market
Street, Philadelphia, Pennsylvania 19103.
2.
I am a member in good standing of the Bar of the Commonwealth of
Pennsylvania, and
have been admitted to
practice in the following state and federal bars:
a.
Commonwealth of Pennsylvania:
December
8,
1989;
b.
United States District Court for the Eastern District of Pennsylvania:
November
18,
1993; and
c.
United States
Court of Appeals for the Third
Circuit:
April
18,
1996.
3.
No disciplinary proceedings are pending or have ever been brought against me,
and
I have never been disbarred or subject to disbarment proceedings.
4.
1 have represented Respondent on environmental matters for more than five years,
and
Respondent wishes that I represent it in this matter.
WHEREFORE, I respectthlly request that the Illinois Pollution Control
Board
admit me
pro hac vice
in this matter on behalf of Respondent, Precision Twist Drill
Company.
Respectfully submitted,
Dated:
July
13, 2005
ORGAN,
LEWIS
& BOCKIUS LLP
1701
Market Street
Philadelphia,
PA
19103
(215) 963-5094
Attorneys
for Respondent, Precision
Twist Drill Company
2