BEFORE
    THE POLLUTION
    CONTROL BOARD
    OF THE STATE OF ILLINOIS
    WILLIAM BREUER,
    )
    )
    Petitioner,
    )
    )
    vs.
    )
    PCB 05-108
    ILLINOIS ENVIRONMENTAL
    PROTECTION AGENCY,
    Respondent.
    )
    (UST Appeal)
    )
    )
    )
    )
    RECEIVED
    CLERK’S OFFICE
    AUG
    122005
    STATE OF ILLINOIS
    Pollution Control Board
    NOTICE
    Dorothy
    M. Gunn, Clerk
    Illinois
    Pollution Control Board
    State
    of Illinois Center
    100
    West Randolph
    Street
    Suite
    11-500
    Chicago,
    IL
    60601
    Carol Webb
    Hearing
    Officer
    Illinois Pollution
    Control Board
    1021
    North Grand Avenue East
    P.O.
    Box
    19274
    Springfield,
    IL
    62796-9274
    JohnJ.
    Kim
    Assistant
    Counsel
    Special Assistant
    Attorney
    General
    Division ofLegal
    Counsel
    1021 North Grand Avenue, East
    P.O.
    Box
    19276
    Springfield,
    IL
    62794-9276
    PLEASE TAKE NOTICE that
    I have today filed with the
    office of the Clerk of
    the Pollution
    Control Board a Motion for Voluntary Dismissal,
    a copy ofwhich
    is
    herewith served upon you.
    Curtis
    W. Martin
    IL ARDC
    No. 06201592
    SHAW & MARTIN, P.C.
    Attorneys at Law
    123
    5.
    10th Street, Suite
    302
    P.O.
    Box
    1789
    Mt. Vernon,
    Illinois 62864
    By
    William
    for
    Telephone
    (618) 244-1788

    RECEIVED
    CLERK’S OFFIC
    BEFORE
    THE
    POLLUTION
    CONTROL BOARD
    OF THE STATE OF ILLINOIS
    AVG
    122005
    WILLIAM
    BREUER,
    )
    PoJ~ToEnOC~r~$d
    )
    Petitioner,
    )
    vs.
    )
    PCB
    05-108
    )
    (UST Appeal)
    ILLINOIS ENVIRONMENTAL
    PROTECTION AGENCY,
    )
    )
    Respondent.
    )
    MOTION FOR VOLUNTARY
    DISMISSAL
    NOW COMES the Petitioner,
    William Breuer,
    by one of its attorneys,
    Curtis
    W. Martin
    of Shaw
    & Martin,
    P.C.,
    and moves to voluntarily dismiss its Petition for
    Review of Final Agency Leaking
    Underground
    Storage Tank
    Decisions, and in
    support thereof, states that the matters for which the Petition was filed have been
    fully compromised and settled.
    WHEREFORE,
    Petitioner,
    William Breuer, prays that the Petition for
    Review of Final Agency Leaking Underground Storage Tank Decision be dismissed
    with prejudice.
    SHAW & MARTIN, P.C.
    By
    Curtis
    W. Martin
    ILARDCNo.
    06201592
    SHAW
    & MARTIN, P.C.
    Attorneys
    at Law
    123 S. 10~Street, Suite
    302
    P.O.
    Box
    1789
    Mt. Vernon, Illinois
    62864
    Telephone
    (618) 244-1788
    illiam
    Breuer,
    for

    CERTIFICATE
    OF SERVICE
    I, the undersigned
    attorney at law, hereby certify that
    on August
    10
    ,
    2005,
    I served true and correct
    copies of a Motion for Voluntary Dismissal, by placing true
    and correct copies in properly sealed and addressed envelopes and by
    depositing
    said sealed envelopes in a U.S. mail drop box
    located within Mt. Vernon, Illinois,
    with
    sufficient postage
    affixed thereto,
    upon the following named persons:
    Dorothy M.
    Gunn, Clerk
    John J. Kim
    Illinois Pollution Control Board
    Assistant
    Counsel
    State
    of Illinois
    Center
    Special Assistant Attorney
    General
    100 West Randolph Street
    Division of Legal Counsel
    Suite
    11-500
    1021
    North Grand Avenue,
    East
    Chicago, IL
    60601
    P.O.
    Box
    19276
    Springfield,
    IL
    62794-9276
    Carol Webb
    Hearing Officer
    Illinois
    Pollution Control Board
    1021 North Grand Avenue East
    P.O.
    Box
    19274
    Springfield,
    IL
    62796-9274
    ~
    4~
    /urtis
    W. Martin, 4orney
    for
    (Petitioner~Willi7’Breuer

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