1. 6. 21(d)CONDUCT ANY WASTE-STORAGE, WASTE-TREATMENT, OR WASTE- DISPOSAL
      2. OPERATION:
      3. 7. 21(e)DISPOSE, TREAT, STORE, OR ABANDON ANY WASTE, OR TRANSPORT ANY
      4. 8. 21(p)CAUSE OR ALLOW THE OPEN DUMPING OF ANY WASTE IN A MANNER WHICH RESULTS
      5. IN ANY OF THE FOLLOWING OCCURRENCES AT THE DUMP SITE:
    1. OTHER REQUIREMENTS
      1. Maurice L. Thompson Trust Page 2 of 3
      2. PROOF OF SERVICE

RECEIVED
CLERK’S OFFICE
DEC
012005
STATE OF ILLINOIS
Pollution Control
Boarc
INFORMATIONAL NOTICE!!!
A
IT IS IMPORTANT THAT YOU READ THE ENCLOSED
DOCUMENTS.
NOTE:
This Administrative Citation
refers to TWO separate State
of Illinois Agencies.
One
is the ILLINOIS POLLUTION
CONTROL BOARD
located at James R. Thompson
Center,
100
West Randolph Street,
Suite
11-500,
Chicago,
Illinois 60601.
The other state agency is the
ILLINOIS ENVIRONMENTAL PROTECTION AGENCY.
located at:
1021
North Grand Avenue East,
P.O.
Box
19276, Springfield, Illinois 61794-9276.
If you elect to contest the enclosed Administrative
Citation, you
must
file
a PETITION
FOR REVIEW with thirty-five (35) days of the date
the Administrative Citation was served upon you.
Any such Petition
for Review must be filed with the clerk of the Illinois Pollution Control
Board
by either
hand delivering or
mailing to the Board at the
address given above.
A copy of the Petition for Review should
be
either hand-delivered or mailed to the Illinois Environmental
Protection Agency at the address
given above and should
be marked
to the ATTENTION:
DIVISION OF
LEGAL COUNSEL.
Any person other than
individuals MUSTappear through an attorney-
at-law licensed
and
registered to practice law.
Individuals may
appear on their own behalf, or through an attorney.
35
III. Adm.
Code
101 .400(a).

RECEIVED
CLERK’S OFFICE
BEFORE THE ILLINOIS POLLUTION
CONTROLBOARD
DEC
012005
ADMINISTRATIVE CITATION
PofluUon
Control Board
ILLINOIS ENVIRONMENTAL
)
PROTECTION AGENCY,
)
)
‘p
Complainant,
)
AC
U
-
)
V.
)
(IEPA No.
456-05-AC)
)
MAURICE
L.
THOMPSON TRUST,
)
)
Respondent.
)
NOTICE OF FILING
To:
Maurice L. Thompson Trust
Maurice L. Thompson, Trustee
25980 North County Hwy 6
Canton, Illinois
61520
PLEASE TAKE NOTICE that on this
date I mailed for filing with the Clerk ofthe Pollution
Control Board of the
State of Illinois the following instrument(s) entitled ADMINISTRATIVE
CITATION, AFFIDAVIT,
and OPEN DUMP INSPECTION CHECKLIST.
Respectfully submitted,
Michelle M. Ryan
Special Assistant Attorney General
Illinois Environmental Protection Agency
1021
North Grand Avenue East
P.O. Box
19276
Springfield, Illinois 62794-9276
(217) 782-5544
Dated:
November 29, 2005
This
FILING SUBMITrED ON RECYCLED
PAPER

RECEIVED
CLERK’S OFFICE
BEFORE THE
ILLINOIS
POLLUTION
CONTROL BOARD
DEC
012005
ADMINISTRATIVE CITATION
STATE OF ILLINOIS
Pollution Control Board
ILLINOIS
ENVIRONMENTAL
PROTECTION AGENCY,
Complainant,
)
AC
)
V.
)
(IEPA No.
456-05-AC)
)
MAURICE
L.
THOMPSON
TRUST,
)
Respondent.
JURISDICTION
This
Administrative
Citation
is
issued
pursuant
to
the
authority
vested
in
the
Illinois
Environmental Protection Agency by Section 31.1
of the Illinois Environmental Protection Act, 415
ILCS 5/31.1
(2004).
FACTS
1.
That the Maurice L. Thompson Trust (“Respondent”) isthe present ownerof a facility
that is
located
in:
A Part of the Southwest Quarter of the Northwest Quarter of Section Two
(2) in
Township Six (6) North, Range Two (2) East of the Fourth Principal
Meridan, Fulton County, Illinois.
The property is commonly known to
the
Illinois
Environmental
Protection Agency as
Maurice
L.
Thompson Trust.
2.
That
said
facility
is
an
open
dump
operating
without
an
Illinois
Environmental
Protection Agency Operating
Permit and
is designated with
Site Code
No. 0578055002.
3.
That Respondent has owned and operated said facility at all times pertinent hereto,

4.
That on October13, 2005,
R.
Eugene Figge
of the
Illinois Environmental Protection
Agency’s Peoria
Regional
Office
inspected the above-described facility.
A copy of his inspection
report setting forth the
results of said
inspection is attached hereto and
made a
part hereof.
VIOLATIONS
Based upon direct observations made by R. Eugene Figge during the course of his October
13, 2005 inspection of the above-named facility,
the
Illinois Environmental Protection Agency has
determined that Respondent has violated the Illinois Environmental Protection Act (hereinafter,the
“Act”) as follows:
(1)
That
Respondent caused
or
allowed
the
open
dumping
of
waste
in
a
manner
resulting
in
litter,
a
violation
of
Section
21(p)(1)
of
the Act, 415
ILCS
5/21(p)(1)
(2004).
(2)
That
Respondent
catfsed
or
allowed
the
open
dumping
of
waste
in
a
manner
resulting
in
deposition
of
general
construction
or
demolition
debris;
or
clean
construction ordemolition debris, a violation of Section 21(p)(7) of the Act, 415 ILCS
5/21 (p)(7) (2004).
CIVIL PENALTY
Pursuant
to
Section
42(b)(4-5)
of
the Act,
415
ILCS
5/42(b)(4-5)
(2004),
Respondent
is
subject
to
a
civil
penalty
of
One Thousand
Five
Hundred
Dollars
($1,500.00)
for
each
of
the
violations identified above, for a total of Three Thousand Dollars ($3,000.00).
If Respondent elects
not to petition the Illinois Pollution Control
Board, the statutory civil penaltyspecified above shall be
due and payable no later than December 30,2005, unless otherwise provided by order of the Illinois
Pollution
Control Board.
2

IfRespondent elects to contest this Administrative Citation by petitioning the Illinois Pollution
Control Board
in accordance with Section 31.1
of the Act, 415 ILCS 5/31.1(2004), and if the
Illinois
Pollution Control Board issues a finding of violation as alleged herein, after an adjudicatory hearing,
Respondent shall be
assessed the associated
hearing costs incurred bythe
Illinois Environmental
Protection Agency and the Illinois Pollution Control Board.
Those
hearing costs shall be assessed
in
addition
to the
One Thousand
Five
Hundred
Dollar
($1,500.00) statutory civil
penalty for each
violation.
Pursuant to Section 31.1 (d)(1) of the Act, 415
ILCS 5/31.1 (d)(1) (2004), if Respondentfails
to petition or elects notto petition the Illinois Pollution Control Board for review of this Administrative
Citation within thirty-five (35) days
of the date
of service, the Illinois
Pollution Control
Board
shall
adopt
a
final
order,
which shall
include
this Administrative
Citation
and
findings
of violation
as
alleged
herein,
and shall
impose the statutoty civil penaltyspecified
above.
When
payment
is
made,
Respondent’s
check
shall
be
made
payable
to
the
Illinois
Environmental
Protection
Trust
Fund
and
mailed
to
the
attention
of
Fiscal
Services,
Illinois
Environmental
Protection Agency,
1021
North
Grand Avenue East,
P.O.
Box 19276,
Springfield,
Illinois
62794-9276.
Along with
payment,
Respondent
shall complete and
return
the
enclosed
Remittance
Form to ensure
proper documentation of payment.
If any civil penalty and/or hearing costs are notpaid within the time prescribed byorderufthe
Illinois
Pollution
Control Board,
interest
on
said
penalty and/or
hearing
costs shall
be assessed
against the Respondent from the date
payment is due up to and including thedateihatpayment is
received.
The
Office
of the
Illinois
Attomey
General
may be
requested to
initiate proceedings
against Respondent in Circuit Court to
collect said
penalty and/or hearing costs,
plus any interest
accrued.
3

PROCEDURE FOR
CONTESTING THIS
ADMINISTRATIVE CITATION
Respondent
has
the
right
to
contest
this
Administrative
Citation
pursuant
to
and
in
accordance with Section
31.1
of the Act, 415 ILCS 5/31/1(2004).
If Respondent elects to contest
this Administrative
Citation,
then
Respondent shall
file
a
signed
Petition
for
Review, including
a
Notice
of
Filing,
Certificate of
Service,
and
Notice
of Appearance,
with
the Clerk of the
Illinois
Pollution Control Board, State of Illinois Center,
100 West Randolph, Suite 11-500, Chicago, Illinois
60601.
A copy of said
Petition for Review
shall
be filed with the Illinois
Environmental Protection
Agency’s Division of Legal Counsel at
1021
North Grand Avenue East, P.O. Box 19276, Springfield,
Illinois 62794-9276.
Section 31.1
of the Act provides that any Petition for Review shall be filed within
thirty-five
(35)
days
of
the date
of service
of this Administrative
Citation or the Illinois
Pollution
Control
Board shall enter a default judgment against the Respondent.
YotA$~I11.’?
c~.~tt
Date:
______
Douglas P~Scott, Director
Illinois Environmental Protectio
Agency
Prepared
by:
Susan
E.
Konzelmann,
Legal Assistant
Division of Legal Counsel
Illinois Environmental
Protection
Agency
1021
North
Grand Avenue East
P.O.
Box 19276
Springfield, Illinois 62794-9276
(217) 782-5544
4

RECEIVED
CLERK’S OFFICE
REMITTANCE FORM
DEC
012005
ILLINOIS
ENVIRONMENTAL
)
pgj’~~
Control Board
PROTECTION AGENCY,
Complainant,
)
AC
)
V.
)
(IEPA No. 456-05-AC)
)
MAURICE
L.
THOMPSON TRUST,
Respondent.
FACILITY:
Maurice
L.
Thompson Trust
SITE CODE
NO.:
0578055002
COUNTY:
Fulton
CIVIL
PENALTY:
$3,000.00
DATE OF INSPECTION:
October 13,
2005
DATE
REMITTED:
55/FEIN
NUMBER:
SIGNATURE:
NOTE
Please enter the
date
of
your
remittance,
your
Social
Security
number (SS)
if
an
individual or
Federal Employer Identification Number (FEIN) if a corporation, and sign this Remittance Form.
Be
sure
your
check
is
enclosed
and
mail,
along
with
Remittance
Form,
to
Illinois
Environmeptal
Protection Agency,
Attn.:
Fiscal
Services,
P.O.
Box 19276,
Springfield,
Illinois
62794-9276.
5

ILLINOIS ENVIRONMENTAL PROTECTION AGENCY
AFFIDAVIT
IN THE MATTER OF
Maurice
L. Thompson Trust
IEPA
DOCKET
NO.
RESPONDENT
Atfiant,
R. Eugene Figge,
being
first
duly sworn, voluntarily deposes
and states as follows:
1.
Affiant is a field inspector employed by the Land Pollution
Control Division of
the Illinois Environmental Protection Agency and has been
so employed at all times pertinent hereto.
2.
On Ocotber 13,
2005,
between 10:10 a.m. and 10:30 a.m.,
Affiant
conducted an inspection of the open dump in Fulton County, Illinois,
known as
Maurice L. Thompson Trust,
Illinois Environmental
Protection Agency Site No.
0578055002.
3.
Affiant inspected said Maurice L. Thompson Trust open dump site
by an on-site inspection,
which included walking and photographing the
site.
4.
As a result of the activities referred to in Paragraph
3 above,
Aftiant completed the
Inspection Report form attached hereto and made a part
hereof, which,
to the best of Affiant’s knowledge and belief,
is an accurate
representation of Atfiant’s observations and factual conclusions with respect
to said Maurice L. Thompson Trust open dump.
~tr’
~
Subscribed and Sworn to before
me this
‘7~X.
day of
— _t
.1
—t.
T
~z1~LaX
c?~
“°~mt
I
Notary Public
__________

ILLINOIS
ENVIRONMENTAL PROTECTION AGENCY
Open
Dump Inspection Checklist
County:
Fulton
Location/Site
Name:
Date:
10/13/2005
Time:
Inspector(s):
R.
Eugene Figge
No. of Photos Taken:
#
6
Interviewed:
No
One On Site
From
10:10 am
To
10:30 am
Previous
Inspection
Date:
Weather
65
F
clear
Est.
Amt. of Waste:
140
yds3
Samples Taken:
Yes #
Complaint
#:
Responsible
Party
Mailing Address(es)
and
Phone
Number(s):
Maurice
L. Thompson Trust
Maurice
L. Thompson as Trustee
25980
North County
Hwy. 6
Canton,
Illinois 61520
309-789-6735
SECTION
DESCRIPTION
VIOL
ILLINOIS ENVIRONMENTAL PROTECTION ACT REQUIREMENTS
1.
9(a)
CAUSE, THREATEN OR ALLOW AIR POLLUTION IN ILLINOIS
LI
2.
9(c)
CAUSE OR ALLOW OPEN
BURNING
LI
3.
12(a)
CAUSE, THREATEN OR ALLOW WATER POLLUTION
IN ILLINOIS
LI
4.
12(d)
CREATE A WATER
POLLUTION HAZARD
LI
5.
21(a)
CAUSE OR ALLOW OPEN
DUMPING
Z
6.
21(d)
CONDUCT ANY WASTE-STORAGE, WASTE-TREATMENT, OR
WASTE- DISPOSAL
OPERATION:
(1)
Without a Permit
Z
(2)
In Violation
of
Any Regulations or
Standards Adopted by the Board
Z
7.
21(e)
DISPOSE, TREAT, STORE, OR ABANDON ANY WASTE, OR TRANSPORT ANY
WASTE
INTO THE
STATE
AT/TO SITES NOT MEETING REQUIREMENTS OF ACT
Z
8.
21(p)
CAUSE OR ALLOW THE
OPEN DUMPING OF ANY WASTE
IN A MANNER WHICH
RESULTS
IN ANY OF THE
FOLLOWING OCCURRENCES
AT THE
DUMP SITE:
(1)
Lifter
Z
(2)
Scavenging
LI
(3)
Open
Burning
LI
(4)
Deposition of Waste in Standing
or
Flowing Waters
LI
(5)
Proliferation of Disease Vectors
LI
(6)
Standing
or
Flowing
Liquid
Discharge from the Dump
Site
LI
LPC#:
0578055002
Cass Twp./Maurice
L. Thompson Trust
Region:
3- Peoria
03/30/2005
N0LI
Revised 9/21/2005
(Open Dump
-
1)

LPC#
0578055002
Inspection
Date:
10/13/2005
(7)
Deposition of General Construction
or Demolition Debris;
or Clean Construction or
Demnlitinn Dehris
9.
55(a)
NO PERSON SHALL:
(1)
Cause or Allow Open
Dumping of Any Used or Waste Tire
Z
(2)
Cause_or Allow_Open_Burning_of_Any Used_or Waste Tire
LI
35
ILLINOIS ADMINISTRATIVE CODE REQUIREMENTS
SUBTITLE
G
10.
812.101(a)
FAILURE TO SUBMIT AN APPLICATION
FOR A PERMIT TO DEVELOP AND
OPERATE A LANDFILL
11.
722.111
HAZARDOUS WASTE DETERMINATION
LI
12.
808.121
SPECIAL WASTE DETERMINATION
LI
13.
809.302(a)
ACCEPTANCE OF SPECIAL WASTE FROM A WASTE TRANSPORTER WITHOUT A
WASTE HAULING PERMIT, UNIFORM WASTE PROGRAM REGISTRATION AND
PERMIT ANDIOR MANIFEST
LI
.
OTHER REQUIREMENTS
14.
:
APPARENT VIOLATION OF:
C)
PCB;
C)
CIRCUIT COURT
CASE NUMBER:
ORDER
ENTERED ON:
LI
.
15.
OTHER:
.
LI
LI
LI
LI
.
LI
LI
Informational
Notes
1.
Illinois
Environmental
Protection Act: 415 ILCS
5/4.
2.
Illinois Pollution
Control Board: 35
III. Adm. Code,
Subtitle G.
3.
Statutory
and regulatory references herein are provided for convenience only
and should
broanstruedas legal
conclusions
of the Agency or as limiting the Agency’s statutory or regulatory powers.
Requirements of some statutes
and
regulations cited are
in summary format.
Full text of requirements can
be
found
in references listed in
1.
and
2.
above.
4.
The provisions of subsection (p) of Section 21
of the
Illinois
Environmental
Protection Act shall
be enforceable either
by administrative citation under Section 31.1
of the Act or by complaint under Section
31
of the Act.
5.
This inspection was conducted in accordance with Sections
4(c) and 4(d) of the Illinois
Environmental
Protection Act:
415
ILCS
5/4(c)
and (d).
6.
Items marked with an “NE” were not evaluated at the time of this
inspection.
Revised 9/21/2005
(Open Dump -2)

0578055002
--
Fultori
County
‘.Maurice L.
Thompson Trust
FOS
October 13, 2005
R. Eugene Figge
Page
1
NARRATIVE
On October
13,
2005,
an inspection
was
conducted from
10:10 am. until
10:30 a.m. at property
owned by
the
Maurice L.
Thompson
Trust
by
R.
Eugene Figge
(this
author)
of DLPC/FOS
-
Peoria.
The inspection
was conducted as
a follow
up
to
an
inspection
that
had
been conducted
on March 30, 2005.
Approximately 600
used tires that
consisted of primarily rear truck tires
were
open
dumped
on
the property.
See shown in photographs
1
and
5.
Some ofthe used tires
had not been prevented
from accumulating water.
The rest of the.used tires were located inside of two sheds.
Additional
open dumping of general
refuse
and
demolition
debris
had taken place
since the last
inspection.
See photographs 3, 4,
and
6.
The following apparent violations were indicated on the inspection checklist:
1.
Pursuant
to
Section
21(a)
of
the
Illinois
Environmental
Protection
Act
(415
ILCS
5/21(a)), no person shall cause or allow
the open dumping of
any
waste.
A
violation of Section
21(a) of the
Illinois
Environmental
Protection
Act
(415
ILCS
5/21(a)) is alleged for the following reason: The Maurice L. Thompson Trust as owner
and operator caused or allowed open dumping.
2.
Pursuant
to
Section
21 (d)(1)
of the
Illinois)
Environmental Protection! Act
(415
ILCS
5/2l(d)(l)),
no
person
shall
conduct
any
waste-storage,
waste-treatment,
or
waste-
disposal
operation
without
a
permit
granted
by
the
Agency
or
in
violation
of
any
conditions
imposed by such permit.
A
violation
of
Section
21(d)(1)
is
alleged
for
the
following
reason:
The Maurice
L.
Thompson
Trust
as owner and
operator
allowed
waste
to
be
disposed
without
a
permit granted by
the Illinois EPA.
3.
Pursuant
to
Section
21(d)(2) of the
(Illinois)
Environmental Protection
Act
(415
ILCS
5/21(d)(2)),
no
person
shall
conduct
any
waste-storage,
waste-treatment,
or
waste-
disposal
operation
in
violation
of any
regulations
or
standards
adopted
by
the
Board
under this Act.
A
violation
of
Section
21(d)(2)
is
alleged for
the
following
reason:
The
Maurice L.
Thompson
Trust
as
owner and operator conducted
a
waste
disposal operation
in
violation of regulations adopted by the Illinois Pollution Control Board.
4.
Pursuant
to
Section
21(e)
of
the
lllinois
Environmental
Protection
Act
(415
ILCS
5/21(e)),
no
person
shall
dispose,
treat,
store
or abandon
any
waste,
or transport
any
waste into this
State
for disposal,
treatment,
storage or abandonment, except
at
a
site or

0578055002
--
Fulton County
•Maurice L. Thompson Trust
FOS
October
13,
2005
R. Eugene Figge
Page 2
facility
which
meets
the
requirements
of
this
Act
and
of
regulations
and
standards
thereunder.
A
violation
of Section
21(e) of the
Illinois
Environmental
Protection
Act
(415 ILCS
5/21(e)) is
alleged for the following reason: The Maurice L. Thompson Trust as owner
and operator
allowed
waste
to
be
disposed
at
this
site
which
does not
meet the
requirements ofthe Act and regulations thereunder.
5.
Pursuant
to
Section
2l(p)(l)
of the
Illinois
Environmental
Protection
Act
(415 ILCS
S/21(p)(l)), no
person shall, in violation of subdivision
(a) of this
Section, cause or allow
the open dumping of any waste
in
a manner which results in litter.
The prohibitions specified in this subsection (p) shall be enforceable by the Agency either
by administrative citation
under Section 31.1
of this Act or as otherwise provided by
this
Act
The
spec jfic prohibitions
in
this
subsection do
not
limit the power of the Board
to
establish regulations or standards applicable
to open dumping.
A violation of Section
21(p)(l) of the Illinois)
Environmental Protection Act
(415 ILCS
5/2l(p)(l))
is
alleged
for the
fbllowing
reasOn:
The
Maurice L.
Thompson
Trust
as:
owner
and
operator
caused or! allowed
the
open
dumping
of waste
in
a
manner
which resulted in litter.
6.
Pursuant
to
Section
2l(p)(7) of the
lllinois
Environmental
Protection
Act
(415
ILCS
no
person shall
cause or
allow
the
open
dumping of waste
in
a
manner that
results
in deposition of (i)
general construction or demolition debris
as defined in
Section
3.160(a) of this
Act;
or (ii) clean construction
or demolition
debris
as defined in
Section
3.160(b) ofthis Act.
A
violation
of Section
21(p)(7)
is
alleged
for
the
following
reason:
The
Maurice
L.
Thompson
Trust as owner and operator caused or allowed open dumping of waste
in
a
manner
which
resulted
in
deposition
of
general
or
clean
construction
or
demolition debris.
7.
Pursuant
to
Section
55(a)(1) of the
fllinois)
Environmental
Protection
Act
(415
ILCS
5/55(a)(l)),
no person shall cause or allow the open
dumping of any used or waste tire.
A violation of Section
55(a)(
1) of the
Illinois
Environmental Protection
Act
(415 ILCS
5/55(a)(1))
is
alleged
for
the
following
reason:
The
Maurice
L.
Thompson
Trust
as
owner and operator caused or allowed the open dumping of used or waste tires.
8.
Pursuant to 35
ill. Adm.
Code 812.101(a), all persons, except
those specifically exempted
by
Section
21(d)
of the
flllinois
Environmental
Protection
Act,
shall
submit
to
the
Agency an application for a
permit
to develop and operate
a landfill.

0578055002
--
Fulton County
Maurice L. Thompson Trust
FOS
October
13, 2005
R. Eugene Figge
Page 3
A
violation of
35
Ill.
Adm.
Code
812.101(a)
is
alleged
for the
following reason:
The
Maurice
L.
Thompson
Trust
as
owner
and
operator
allowed
the
operation
of
a
waste
disposal
site
without
submitting
to
the
Illinois
EPA
an
application
for
a
permit to develop and operate a landfill.

State ofIllinois Environmental Protection Agency Site Sketch
Inspector:
R. Eugene Figge
LPC
#:
0578055002
Date of Inspection:
October
13
,
2005
County:
Fulton
Site Name:
Maurice L.
Thompson Trust
Time:
10:10 a.m.
10:30a.m.
tN
Shed
P1
‘C—
P6
VI
Shed
0
Sinnett Chapel Road
Not
to
Scale

0578055002
Fulton County
Site Photographs
Maurice L. Thompson Trust
Page
1
of3
FOS
DATE:
October
13,
2005
TIME:
10:22 am.
PHOTOGRAPHED BY:
It Eugene Figge
DIRECTION:
Photograph taken toward
the southeast.
PHOTOGRAPH NUMBER:
I
PHOTOGRAPH
FILE
NAME:
0578055002—.10132005-O01.jpg
COMMENTS:
DATE:
October 13,2005
TIME:
10:23 am.
PHOTOGRAPHED
BY:
It
Eugene
Figge
DIRECTION:
Photograph taken toward
the norik
PHOTOGRAPH NUMBER:
2
PHOTOGRAPH FILE
NAME:
0578055002—10132005-OO2jpg
COMMENTS:
•~~‘
DOCUMENT FILE
NAME:

0578055002
Fulton County
Site Photographs
Maurice L. Thompson Trust
Page 2 of 3
FOS
DATE:
October
13,2005
TI1IE:
10:23 art
PHOTOGRAPHED BY:
It Eugene Figge
DIRECTION:
Photograph taken toward
the west
PHOTOGRAPH NUMBER:
3
PHOTOGRAPH FILE
NAME:
0578055002-.I0132005-003.jpg
COMMENTS:
DATE:
October 13,2005
TIME:
10:24 am.
PHOTOGRAPHED BY:
It
Eugene Figge
DIRECTION:
Photograph taken toward
the north.
PHOTOGRAPH NUMBER:
4
PHOTOGRAPH
FILE
NAME:
0578055002—10132005-004.jpg
COMMENTS:
DOCUMENT FILE
NAME:

OS’7 905
50°?-——
V.1t.1o..~
a0.~4,
ma~~r~c’c
L
co-S
BOBX
IBG7PASE
208
WJ.RRI.Nfl
DEED
THIS INDENTURE WITNESSETH,
That
the
Grantors,
MAURICE
t.
0003069
. •~‘~•
THOMPSON and ELSIE
V.
.
JTATEOF1UJNOISCOUN1YOFEUUDN~
THOMPSON,
husband
and
wife,
~~U4S1RUME)(1~R
RECORD ON THE
of 25980 N County Hwy 16,
AT
/~
~
/3
~
Canton,
in the County of
pznwuirv’_
JbtlLPAcE
~or
Pulton and State of Illinois,
for and in consideration of
~UNTYcURX&
RECORDER
One
Dollar
($1.00) and other
good and valuable
fl~ff$ATRJJ&CT04
consideration,
CONVEY
and
wa~ucnan undivided one-half
0*
interest
in
the
following
described
real
estate
to
MAURICE
L.
THOMPSON,
as
Trustee
under
the
MAURICE
L.
THOMPSON
TRUST
dated
the
8th
day
of
February,
2000, and
CONVEY
and
WARRMT
the other undivided one-half
interest in the following described real estate to
ELSIE
V.
THOMPSON, as Trustee under the ELSIE V.
THOMPSON TRUST dated
the
8th day of
February,
2000 the following described real estate,
to-wit;
Tract
I.
A part of the Southeast
Quarter
of
the
Northeast
Quarter
of
Section 30, Township
7 North,
Range
3 East of the
Fourth
Principal Meridian, Joshua Township, Fu.lton County,
Illinois.

BOOK
1667P46E
209
Detailed description is as follows:
Corutnencing at a stone at the
Northwest corner of the Southeast Quarter of Section 29, Township
and Range aforesaid,
thence west 2680.07 feet,
thence North
182.12 feet to the Point of Beginning.
From the Point of
Beginning running thence North 270 degrees 09 minutes West 150
feet, thence North
0 degrees 09 minutes East 138 feet,
thence
South 90 degrees 09 minutes East 150 feet,
thence South 180
degrees 09 minutes West 138 feet to the Point of Beginning.
P.I.N.
08—07-30-200-003
~TractII.
(/57g0y0’
The Southwest Quarter of the Northwest Quarter of Section Two
(2)
in Township Six
(6) North,
Range Two
(2) East of the Fourth
Principal Meridian, in the County of Fulton and State of
Illinois.
P.I.N. 12-12-02-100-002
Tractnl.
(7C~t7~t2172
U)1
The Fractional Southwest Quarter of Section Eighteen
(18),
Townshp Seven (7)Nortb, Range Three
(3) East of the Fourth
Principal Meridian; also, One Hundred
(100)
acres of land off the
East side of the Southeast Quarter of Section Thirteen
(13)
Township Seven
(7) North, Range Two
(2)
East of the Fourth
Principal Meridian, all in Pulton County,
illinois; EXCEPT the
following described land,
to-wit: Eighty
(80)
rods off the North
end of the East Half of the East Half of the West Half of the
Southeast
Quarter
of Section 13, Township 7 North, Range 2 East
of the Fourth Principal Meridian; Also,
80 rods off the North end
of the West Half of the West Half of the East Half of the
Southeast Quarter of Section 13, Township 7 North,
Range
2 East
of the Fourth Principal Meridian.
P.I.N. 08-07-18-300-001 and 07-06—13-400—001
Tract IV.
The South Half of the Northwest Quarter of Section 34 and the
Northwest Quarter of the Southeast Quarter of section 34 and the
South Half of the Northeast Quarter of the Northwest Quarter of
Section 34; Also 27 acres, being the west part of the Southwest
Quarter of the Northeast Quarter of Section 34, Also a piece of
land described as follows:
commencing
at the Southwest Corner of
the North Half of the Northeast Quarter of Section 34 running

BOOK
lGGThOE
215
IN Witness Whereof, the Grantors aforesaid have hereunto set
their hands and seals this
8th
day of February, Ad).
2000.
Maurice
L. Thomp on
‘~‘
C~P1i~~..m.M-
(SEAL)
Elsie V. Tho&pson
STATE CF ILLINOIS
ES
COUNTY OF FULTON
)
I, the undersigned,
a Notary Public in and for
said
County
in the State aforesaid, do hereby certify that Maurice L.
Thompson and Elsie V. Thompson, husband and wife, personally.
known to me to be the same persons whose names
.
are subscribed to
the foregoing
instruxnent, appeared before me this day in person
and acknowledged that they signed, sealed and delivered the said
instrument as their
free
and
voluntary act for the uses and
purposes therein set forth,
including the release and waiver of
the right of homestead.
Given utider my hand and notarial seal this
81
day of
February,14UU1~FV~
SEAL
TOM
B. EIMNG
flOURY PUBIJC,
STAlE Cf WK’iS
V!P9&WiSSION
BPIRESII:i1.2032
Notary
Public
This Instrument prepared by:
TOM B. EWING,
Attorney
EWING & SCOfl
190
N.
Adams
St
Lewistown,
XL
61542
Ph(309)547-2275
Return
~P’t’iceL.
Thompson
25980
N
County Hwy 16
Canton,
IL 61520
Taxes
to
Same

PROOF OF SERVICE
I hereby
certi&
that I did on the 29h day ofNovember
2005, send by Certified Mail, Return
Receipt Requested, with postage thereon fully prepaid, by depositing in a United States Post Office
Box
a
U-ue
and correct copy ofthe following instrument(s) entitled ADMII’4ISTRATIVE CITATION,
AFFIDAVIT, and OPEN DUMP INSPECTION CHECKLIST
To:
Maurice L.
Thompson Trust
Maurice L.
Thompson, Trustee
25980
North
County Hwy 6
Canton, Illinois
61520
and
the original
and
nine (9)
true and correct
copies of the same foregoing instruments on the same
date by Certified Mail, Return Receipt Requested, with postage thereon fully prepaid
To:
Dorothy Gunn, Clerk
Pollution Control Board
James R.
Thompson Center
100 West Randolph Street, Suite 11-500
Chicago, Illinois
60601
\jdUi4L
Lüc~
-
Michelle M. Ryan
Special Assistant Attorney General
Illinois Environmental
Protection Agency
1021 North GrandAvenue East
P.O.
Box
19276
Springfield, Illinois 62794-9276
(217) 782-5544
THIS FILING SUBMI1TEDONRECYCLEDPAPER

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