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4117esmn
BEFORE THE ILLINOIS POLLUTION CONTROL BOARD
PEOPLE OF THE STATE OF ILLINOIS,
Complainant,
-vs-
PATTISON ASSOCIATES LLC, an
Illinois limited liability company,
and 5701 SOUTH CALUMET LLC, an
Illinois limited liability company,
Respondents
.
NOTICE OF FILING
PLEASE TAKE NOTICE that we have today, December 20, 2005, filed with the Office
of the Clerk of the Illinois Pollution Control Board an original and nine (10) copies of the
attached Respondents' Motion to Withdraw Affirmative Defenses, a true and correct copy of
which is hereby served upon you
.
DATED: December 20, 2005
Respectfully submitted,
PATTISON ASSOCIATES, LLC and
5701 SOUTH CALUMET, LLC
By :
One of Their Attorneys
Neal H. Weinfeld
Allyson L. Wilcox
Bell, Boyd & Lloyd LLC
70 West Madison Street
Suite 3100
Chicago, IL 60602
312.372.1121
No. PCB 05-181
(Enforcement - Air)
RECEIVED
CLERKS OFFICE
DEC 2 0 2005
STATE OF ILLINOIS
Pollution Control Board

 
BEFORE THE ILLINOIS POLLUTION CONTROL BOARD
PEOPLE OF THE STATE OF ILLINOIS,
)
Complainant,
)
-vs-
)
No. PCB 05-181
PATTISON ASSOCIATES LLC, an
)
(Enforcement - Air)
Illinois limited liability company,
)
and 5701 SOUTH CALUMET LLC, an
)
Illinois limited liability company,
)
Respondents
.
)
RESPONDENTS' MOTION TO WITHDRAW AFFIRMATIVE DEFENSES
Respondents, PATTISON ASSOCIATES, LLC and 5701 SOUTH CALUMET, LLC
(collectively, "Pattison"), by their attorneys, move to Withdraw the Affirmative Defenses
asserted in their Answer to Claimant's Complaint at Law
.
WHEREFORE, respondents, Pattison Associates, LLC and 5701 South Calumet, LLC
respectfully request that their Motion to Withdraw the Affirmative Defenses asserted in its
Answer be granted
.
DATED: December 20, 2005
Respectfully submitted,
PATTISON ASSOCIATES, LLC and
5701 SOUTH CALUMET, LLC
By :
Neal H. Weinfield
Allyson L. Wilcox
Bell, Boyd & Lloyd LLC
70 West Madison Street
Suite 3100
Chicago, IL 60602
312.372.1121
411798/E/1
One of Their Attorneys
RECEIVED
CLERK'S OFFICE
DEC 2 0 2005
STATE OF ILLINOIS
Pollution Control Board

 
CERTIFICATE OF SERVICE
R E RK
EOFFE D
Allyson L. Wilcox, an attorney, hereby certifies that she caused a copy of the atuE1(e&
0 2005
Respondents' Motion to Withdraw Affirmative Defenses to be served upon
:
STATE OF ILLINOIS
Pollution Control Board
Paula Becker Wheeler
Bradley P. Halloran
Office of the Attorney General
Hearing Officer
188 West Randolph, 20 th Floor
Illinois Pollution Control Board
Chicago, IL 60601
James R. Thompson Center, Ste. 11-500
100 W. Randolph Street
Chicago, Illinois 60601
Via regular U.S. Mail, postage pre-paid, on December 20, 2005
.
41179R/P11
Allyson L. Wilcox

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