WILLIAM BREUER,
vs
.
ILLINOIS ENVIRONMENTAL
PROTECTION AGENCY,
BEFORE THE POLLUTION CONTROL BOARD
OF THE STATE OF ILLINOIS
Petitioner,
Respondent .
Dorothy M. Gunn, Clerk
Illinois Pollution Control Board
State of Illinois Center
100 West Randolph Street
Suite 11-500
Chicago, IL 60601
Carol Webb
Hearing Officer
Illinois Pollution Control Board
1021 North Grand Avenue East
P.O. Box 19274
Springfield, IL 62796-9274
PLEASE TAKE NOTICE that I have today filed with the office of the Clerk of
the Pollution Control Board a Motion for Voluntary Dismissal, a copy of which is
herewith served upon you .
ORIGINAL
NOTICE
REC
EI
V
ED
MAR 3
1 2006
STATE OF ILLINOIS
Pollution Control Board
John J. Kim
Assistant Counsel
Special Assistant Attorney General
Division of Legal Counsel
1021 North Grand Avenue, East
P.O. Box 19276
Springfield, IL 62794-9276
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
Telephone (618) 244-1788
vS
urtis W. Martin, ttorney for
William Breuer, P titioner
ORIGINAL
RECEIVED
BEFORE THE POLLUTION CONTROL BOARD CLERK'S OFFICE
OF THE STATE OF ILLINOIS
MAR s 1 2006
WILLIAM BREUER,
)
Petitioner,
)
vs .
)
PCB 06-25
(UST Appeal)
ILLINOIS ENVIRONMENTAL
)
PROTECTION AGENCY,
)
Respondent .
)
STATE OF Pollution Control Boa
MOTION FOR VOLUNTARY DISMISSAL
NOW COMES the Petitioner, William Breuer, by one of its attorneys, Curtis
W. Martin of Shaw & Martin, P.C., and moves to voluntarily dismiss its Petition for
Review of Final Agency Leaking Underground Storage Tank Decisions, and in
support thereof, states that the matters for which the Petition was filed have been
fully compromised and settled. Petitioner further withdraws its Motion for
Sanctions filed December 2, 2005
.
WHEREFORE, Petitioner, William Breuer, prays that the Petition for
Review of Final Agency Leaking Underground Storage Tank Decision and the
Motion for Sanctions be dismissed with prejudice
.
SHAW & MARTIN, P.C .
Curtis W. Martin ttorney for
William Breue etitioner
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
Telephone (618) 244-1788
RECEIVED
CLERK'S OFFICE
MAR 3 1 7006
STATE OF ILLINOIS
Polluti n CQf~t[pI
oard
I, the undersigned attorney at law, hereby certify that on March
21196, 16
Dorothy M. Gunn, Clerk
Illinois Pollution Control Board
State of Illinois Center
100 West Randolph Street
Suite 11-500
Chicago, IL 60601
Carol Webb
Hearing Officer
Illinois Pollution Control Board
1021 North Grand Avenue East
P.O. Box 19274
Springfield, IL 62796-9274
ORIGINAL
CERTIFICATE OF SERVICE
served true and correct copies of the Motion for Voluntary Dismissal, 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
:
John J. Kim
Assistant Counsel
Special Assistant Attorney General
Division of Legal Counsel
1021 North Grand Avenue, East
P.O. Box 19276
Springfield, IL 62794-9276
Sea
u tis W. Martin, Att ney for
etitioner, William
euer