FECEWED
BEFORE THE
POLLUTION
CONTROL ROAR!)
ERKS OFFICE
NOV232005
PF~OPI
I
01
I HF
S IA II
OF
ILLINOIS
STATE OF ILLINOIS
Complainant,
0
tution
Control Board
vs.
)
PCBNo. 0~
—
)
(Enforcement)
CITY OF
GILLESPIE,
an
Illinois Municipal Corporation.
)
)
Respondent.
)
APPEARANCE
COMES NOW
City Attorney Kevin A.
Polo entering his appearance on
behalfof the
Respondent. CITY
OF Gil
J3SIIE, and
requesting copies of all
notices, motions and
proceedings herein.
Kevin A.
Polo,
# 06227042
Gillespie
City Attorney
207 North Macoupin
Gillespie,
IL 62033
(217) 839-2000
Fax:
(217) 839-2200
PROOF
OF SERVICE
The undersigned
hereby certifies
pursuant to Section
1-109 of the
Code of Civil
Procedure,
that the above document and
any proper attachments were ~p1aeed
in the U.S.
Mail
properly addressed
and
mailed with
first class postage prepaid.
j sent via messenger.
I
1
sent
via facsimile
(
pages.
from the office of Kevin A.
Polo, sender’s facsimile number (217)
839-2200, to
recipient’s facsimile number
____________________________
),
to the
party, or, if
applicable, to their attorney(s), at the address of record on the
2/or
day of
ic~/n~I-
20(5
,
before
the hour of 5:00 p.m.
Jennifer i3onkowski
Assistant Attorney Genera!
500 South
Second
Street
Springfield,
IL
62706
)
PCB No.
01.~—1~
)
(Enforcement)
)
)
)
)
RECEIVED
BEFORE TIlE POLl IJTION CONTROL
I3OARI)
CLERK’S
OFFICE
PEOPLE
OF
lEE SIAlE
OF
ILLINOIS,
)
NOV
282005
STATE OF ILLINOIS
Complainant.
Pollution Control
Bo&r~
vs.
CITY OF
Gil ,1
ESPIE,
an
Illinois Municipal
Corporation,
Respondent.
ANSWER TO
COMPLAINT
NOW COMES the CITY OF
GILLESPIE, an
Illinois Municipal
Corporation,
by and
through City Attorney
Kevin A.
Polo,
and in answer
to the Complaint
filed herein, states as
follows:
1.
That the allegations contained
in
paragraph one (1) thereof are admitted.
2.
That the allegations contained
in paragraph two (2) thereof are admitted.
3.
That the allegations contained
in
paragraph three (3) thereof are admitted.
4.
That the allegations contained
in paragraph four (4) thereof are denied and
strict proof
of the matters and things
alleged therein is demanded.
5.
That the allegations contained
in
paragraph five (5) thereofare admitted.
6.
That Ihe Respondent
is without sufficient
information
to either admit or deny the
allegations contained in
paragraph
six
(6) thereof and thereibre denies same and demands
strict
proof thereoll
7.
Ihat the allegations contained
in
paragraph seven
(7) thereofare admitted.
8.
That the allegations contained
in paragraph eight (8) thereof are admitted.
9.
hat
the Respondent is without sufficient
infbrmation
to either admit or deny the
allegations contained
in
paragraph nine (9) thereofand therefore denies same and
demands strict
proof thereof.
10.
hat
the Respondent is without sufficient information to
either admit or deny the
allegations contained in
paragraph ten (10) thereof and therefore denies same
and demands strict
proof thereof
WHERLFORE, the Respondent
requests that the
Pollution
Control
Board dismiss the
(‘omplaint
filed herein and
for such other and further relief as maybe deemed appropriate.
CIl’Y OF GIl LESPIE
By
Kevin
A.
Polo,
# 06227042
Gillespie
City Attorney
207
North Macoupin
Gillespie.
IL 62033
(217) 839-2000
Fax:
(217) 839-2200
PROOF OF
SERVICE
he
undersigned hereby certifies
pursuant to
Section
1-109 of the (‘ode of Civil
Procedure, that
the above document and
any proper attachments were
~pIaced
in the
U.S.
Mail
properly addressed
and
niailed with first class postage
prepaid,
1
sent via messenger.
I
1
sent
via facsimile
(
pages.
from the office of Kevin A. Polo, sender’s facsimile number (217)
839-2200. to recipient’s facsimile number
____________________________
).
to the
party, or, if
applicable, to their attorney(s), at the address of record on the
2
LS±
day of
/t4
V~)ry~),
4-
20cc.
before the hour of 5:00 p.m.
Jennifer
l3onkowski
Assistant
Attorney General
500
South
Second Street
Springfield.
11. 62706