RECEIVED
CLERKS OFFICE
BEFORE
THE
POLLUTION
CONTROL
BOARD
DEC
0
‘
2005
OF THE STATE OF ILLINOIS
STATE OF ILLINOIS
WILLIAM
BREUER,
)
Pollution Control
Board
)
Petitioner,
)
)
vs.
)
PCB No. 0625
(UST Appeal)
ILLINOIS ENVIRONMENTAL
)
PROTECTION AGENCY,
)
Respondent.
)
NOTICE
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
82794-9276
PLEASE TAKE NOTICE that
I have today filed with the office
of the Clerk of
the Pollution
Control Board
a Motion to Continue,
a copy of which is herewith
served upon you.
By
2
/e~U.~15
W. Martin,~torney for
/
William Breuer,fetitioner
Robert E. Shaw
(
7
ILARDC
No. 03123632
Curtis
W. Martin
IL ARDC
No. 06201592
SHAW
& MARTIN, P.C.
Attorneys
at Law
123
S. 10t~~
Street,
Suite
302
P.O.
Box
1789
Mt.
Vernon, Illinois
62864
Telephone
(618) 244-1788
RECEIVED
CLERK’S OFFICE
BEFORE THE POLLUTION
CONTROL BOARD
DEC
022005
OF THE STATE OF ILLINOIS
STATE OF ILLINOIs
Pollution Control Board
WILLIAM
BREUER,
)
)
Petitioner,
)
)
vs.
)
PCB
06-25
)
(UST Appeal)
ILLINOIS ENVIRONMENTAL
)
PROTECTION AGENCY,
)
)
Respondent.
)
MOTION TO CONTINUE
NOW COMES the Petitioner, William
Breuer, by one of his attorneys, Curtis
W. Martin
of Shaw
& Martin,
P.C., for his
Motion to Continue,
states
as
follows:
1.
Hearing on Breuer’s Amended Petition for Review of Final Agency
Leaking Underground Storage Tank
Decision was rescheduled for December
1,
2005
at 10:30 a.m.
2.
Respondent,
Illinois Environmental
Protection Agency, has not filed
with the Illinois
Pollution Control Board the record as required by
Rules
105.410
and
105.116,
35
IlL Adm.
Code Sections
105.410 and
105.116.
3.
Without
the Record Breuer cannot adequately prepare for the hearing
scheduled for December
1,
2005.
WHEREFORE, Petitioner,
William Breuer, prays that the hearing scheduled
for December
1,
2005 at
10:30 a.m. be continued to
a later date a sufficient
time
after which the record has been filed by the Illinois
Environmental
Protection
Agency, and that
he have such other and further relief as the Court deems just and
equitable.
Curtis W. Martin
IL ARDC No. 06201592
SHAW & MARTIN, P.C.
Attorneys at
Law
123
S.
10th Street,
Suite
302
P.O.
Box
1789
Mt.
Vernon, Illinois
62864
SHAW &
MARTIN,
P.C.
William
for
titioner
Telephone (618) 244-1788
CERTIFICATE OF SERVICE
I, the undersigned
attorney at law, hereby certify that
on
November
29,
2005,
I served true and correct copies of the Motion to Continue,
by placing a true and
correct copy 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 ofLegal 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
Is
W. Martin,
A
orney for
Petitioner, Wil7reuer