1. page 1
    2. page 2
    3. page 3

 
AMERENENERGY RESOURCES
GENERATING COMPANY,
DUCK CREEK POWER STATION,
V .
Petitioner,
ILLINOIS ENVIRONMENTAL
PROTECTION AGENCY,
Respondent .
To :
Mr. Robb Layman
Ms. Sally Carter
Illinois Environmental
Protection Agency
Division of Legal Counsel
1021 North Grand Avenue
Post Office Box 19276
Springfield, IL 62794-9276
James T. Harrington
David L. Rieser
McGuireWoods LLP
77 West Wacker, Suite
4100
Chicago, IL 60601
Telephone :
312/849-8100
BEFORE THE ILLINOIS POLLUTION CONTROL BOARD
NOTICE OF FILING
Ms. Dorothy Gunn, Clerk
Bradley P. Halloran, Hearing Officer
Illinois Pollution Control Board
Illinois Pollution Control Board
James R. Thompson Center
James R. Thompson Center
1000 West Randolph Street
1000 West Randolph St., Suite 11-500
Suite 11-500
Chicago, IL 60601
Chicago, IL 60601
Please take notice that on December
19, 2005,
the undersigned caused to be filed with the Clerk of
the Illinois Pollution Control Board a Response to Agency Motion for an Extension of Time to File the
James
.
ngton
One of the Attorneys for P
tione
Record, a copy of which is herewith served upon yo ,
At%#,
.~
1L JAW
CLEnK S GFf-'ICE
C
F' 1 9 2005
STATE OF ILLINOIS
Poiu ion Control Bo,'-,rd

 
BEFORE THE ILLINOIS POLLUTION CONTROL BOARD
, - " 17
CL-,J
C=FiCE
AMERENENERGY RESOURCES
)
GENERATING COMPANY,
)
DUCK CREEK POWER STATION,
)
Petitioner,
)
v .
)
PCB 06-66
ILLINOIS ENVIRONMENTAL
)
PROTECTION AGENCY,
)
Respondent .
)
RESPONSE TO AGENCY MOTION FOR AN EXTENSION OF TIME
TO FILE THE RECORD
NOW COMES the Petitioner, by its Attorneys, James T . Harrington, David R. Rieser and
McGuireWoods LLP and for its response to the Motion for Extension of Time to File the Record, states as
follows .
1
.
The Illinois Environmental Protection Agency (the "Agency") has indicated that some
issues raised by Petitioner may be resolved and therefore an indefinite delay in filing the record is
appropriate. Petitioner agrees that while some matters may be resolved, others are likely to proceed and
the record should be filed
.
2 .
Petitioner, however, understands that the Agency has completed compilation of the record
but is having difficulty arranging for the copying of the record
.
3 .
Petitioner, therefore, does not object to the Board granting a reasonable extension of time
within which the record will be filed to a date certain and does not object to the Agency filing one copy of
the record with the Board
.
4 .
Petitioner suggests an extension to January 26, 2006 without prejudice to the right of the
Agency to seek an additional extension should it prove necessary .
[
C 1 `' 2005
STATE OF ILLINOIS
P<:;HlIon Control L'o.rd

 
Dated
:
`z. 4
7
N
McGuireWoods LLP
77 West Wacker, Suite 4100
Chicago, IL 60601
Telephone: 312/849-8100
\\REA\292306 . 1
Respectfully submitted,
V
v /~/,Lt
J~
: !
s T. Harrington
It
vid L . Rieser
CERTIFICATE OF SERVICE
I, James T. Harrington, one of the attorneys for Petitioner, hereby certify that I served a copy of
Response to Agency Motion for an Extension of Time to File the Record upon those listed on the attached
Notice of Filing on December 19, 2005 via First Class Mail, postage prepaid
.
ames T.
arrmgton
One of the Attorneys for Peti oner
McGuireWoods LLP
77 West Wacker, Suite 4100
Chicago, Illinois 60601
Telephone: 312/849-8100

Back to top