1. FIFTH JUDICIAL CIRCUIT OF ILLINOIS Pollution Control Board
      2. RECEIVEDCLERKS OFFICE
      3. SETTLEMENT AGREEMENT

RECEIVED
CLERKS OFFICE
OFFICE
OF THE STATE’S ATTORNEY
AUG
252005
VERMILION COUNTY
STATE
OF
ILLINOIS
FIFTH JUDICIAL CIRCUIT OF ILLINOIS
Pollution Control Board
FRANK R. YOUNG
COURT HOUSE
State’s
Attorncy
7
NORTH VERMILION
STREET
DANVILLE, ILLINOIS 61832
(217) 554-7750
FAX
(217) 554-7775
August
19, 2005
Illinois Pollution Control Board
State of Illinois Center
100 West Randolph,
Suite 11-500
Chicago, Illinois 60601
Re:
Administrative Citation
Respondent:
Phil
Rouse
AC Number:
06-1
Site Code No:
1830205283
To
Whom It May Concern:
Enclosed is a Settlement Agreement between the Complainant and the Respondent in the
above-mentioned Administrative Citation case.
We are submitting said Agreement to the
Board for approval and filing.
I am forwarding and original and
nine copies of the
agreement.
We
are set for a telephone status conference in this matter on August
31, 2005.
The
Complainant and Respondent do hereby request that the conference be
cancelled and the
Board accept the proposed Settlement Agreement.
Thank you for your assistance in this matter.
Sincerely,
C/L~.
~
Charles D. Mockbee IV
Vermilion County Assistant State’s Attorney
Enclosure
Cc:
Carol
Webb, Illinois Pollution
Control Board
Bruce Meachum, attorney for Respondent

RECEIVED
CLERKS OFFICE
BEFORE
THE ILLINOIS POLLUTION
CONTROL BOARD
-
ADMINISTRATIVE CITATION
AUb
2
~i
2005
STATE
OF
ILLINOIS
COUNTY OF
VERMILION,
)
Pollution Control
Board
Complainant,
)
AC No.
06-1
)
v.
)
County File No. 05-01
)
PHIL ROUSE
)
Respondent,
)
SETTLEMENT AGREEMENT
Now comes the Complainant, County of Vermilion, Illinois,
by and
through
Assistant
State’s Attorney Charles D. Mockbee IV, and the Respondent, Phil Rouse, by
and through his attorney,
Bruce Meachum, and
submit to the Pollution Control
Board the
following stipulation and
settlement agreement:
1.
Respondent, Phil Rouse, admits violating 415
ILCS
5/21 (p)(3), as alleged in
paragraph B
in Administrative Citation 06-1
and agrees to pay the penalty for
that violation.
2.
The County ofVermilion moves
to withdraw, in AC 06-1, the paragraph
Alleging a violation of415
ILCS
5/21(p)(l).
3.
County of Vermilion agrees to accept, and Respondent agrees to give,
payment on such violation.
The payment plan will be as follows:
a.
Respondent will pay
$1,500 to the Vermilion County Health
Department.
b.
Respondent will pay the $1,500 to the Vermilion County Health
Department in one payment.
c.
Respondent shall pay the $1,500 to
the Vermilion County Health
Department on or before September
15,
2005.
Complainant
and
Respondent pray the Illinois Control Board enter an
order
reflecting this
agreement.
County of Vermilion, Illinois,
Complainant,
By:
C~A4~&~~p.
iv~cn’JI~
Assistant State’s Attorney
Charles D. Mockbee
IV
Attorney for Respondent,
Phil
Phil
Rouse,
Respondent
~T~fl~(
Rouse
Bruce Meachum

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