1. RECE!VED
    1. BEFORE THE POLLUTION CONTROL BOARDOF THE STATE OF ILLINOIS RECEIVED
    2. MOTION FOR VOLUNTARY DISMISSAL
    3. CERTIFICATE OF SERVICE

BEFORE
THE
POLLUTION
CONTROL BOARD
OF THE
STATE OF ILLINOIS
MIDWEST PETROLEUM
COMPANY,
vs.
Petitioner,
ILLINOIS ENVIRONMENTAL
PROTECTION AGENCY,
Respondent.
)
)
)
)
)
PCB
No. 05-186
)
(UST Appeal)
)
)
)
)
RECE!VED
CLERKS OFFICE
OCT
1
2005
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
John J.
Kim
Assistant
Counsel
Special Assistant
Attorney
General
Division of Legal
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 of which
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
Telephone
(618)
244-1788
By~
~
7Ciirtis
W. Martin/ttorney
for
(
Midwest
PetrolØim
Company,
Petitioner

BEFORE THE POLLUTION
CONTROL BOARD
OF THE
STATE OF ILLINOIS
RECEIVED
CLERK’S OFFICE
MIDWEST PETROLEUM
COMPANY,
)
1
2005
Petitioner,
)
STATE OF ILLINOIS
)
Pollution
ContEol Board
vs.
)
PCB
No.
05-186
)
(UST
Appeal)
ILLINOIS ENVIRONMENTAL
PROTECTION AGENCY,
)
)
Respondent.
)
MOTION FOR VOLUNTARY DISMISSAL
NOW COMES the Petitioner,
Midwest Petroleum
Company,
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,
Midwest Petroleum
Company, 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,ftItorney
for
(
Midwest Petrole/m
Company,
Petitioner
Curtis W. Martin
ILARDC
No.
06201592
SHAW
& MARTIN,
P.C.
Attorneys at Law
123
S.
10th
Street, Suite
302
P.O.
Box
1789
Mt.
Vernon, Illinois
62864
Telephone
(618) 244-1788

CERTIFICATE
OF
SERVICE
I, the undersigned
attorney at law, hereby certi& that
on
October
6,
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
Certified Mail 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
,durtis
W. Martin,
torney
for
(Petitioner,
Midwe t Petroleum
Company

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