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INFORMATIONAL NOTICE!!!
C'
)'j'0(
IT IS IMPORTANT THAT YOU READ THE ENCLOSED DECUMENTS .
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 MUST appear 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
JUL 1 0 2006
Pollution
STATE OF
Control
ILLINOISBoard

 
ILLINOIS ENVIRONMENTAL
PROTECTION AGENCY,
Complainant,
V.
JOHN SPOEDE,
Respondent.
BEFORE THE ILLINOIS POLLUTION CONTROL BOARD
To :
John Spoede
13871 Manito Road
Manito, Illinois 61546-8450
PLEASE TAKE NOTICE that on this date I mailed for filing with the Clerk of the Pollution
Control Board of the State of Illinois the following instrument(s) entitled ADMINISTRATIVE
CITATION, AFFIDAVIT, and OPEN DUMP INSPECTION CHECKLIST .
Respectfully submitted,
ADMINISTRATIVE CITATION
AC
0 !
I
(IEPA No . 131-06-AC)
NOTICE OF FILING
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: July 6, 2006
THIS FILING SUBMITTED ON RECYCLED PAPER
RECEIVEDCLERK'S
OFFICE
JUL 1 0 2006
Pollution
STATEOF
Control
ILLINOISBoard

 
RECEIVEDCLERK'S
OFFICE
BEFORE THE ILLINOIS POLLUTION CONTROL BOARD
JUL 1 0 2006
ADMINISTRATIVE CITATION
STATE OF ILLINOIS
Pollution Control Board
ILLINOIS ENVIRONMENTAL
)
PROTECTION AGENCY,
j
O
Complainant,
)
AC
0
v.
)
(IEPA No . 131-06-AC)
JOHN SPOEDE,
)
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 John Spoede ("Respondent") is the present owner and operator of a facility
located at 13871 Manito Road, Manito, Tazewell County, Illinois
. The property is commonly known
to the Illinois Environmental Protection Agency as Spoede Property
.
2.
That said facility is an open dump operating without an Illinois Environmental
Protection Agency Operating Permit and is designated with Site Code No
. 1798165005 .
3.
That Respondent has owned and operated said facility at all times pertinent hereto
.
4.
That on May 18, 2006, 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 May 18,
2006 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)
(3)
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 caused or allowed the open dumping of waste in a manner
resulting in open burning, a violation of Section 21(p)(3) of the Act, 415 ILCS
5/21 (p)(3) (2004).
That Respondent caused or allowed the open dumping of waste in a manner
resulting in deposition of general construction or demolition debris or clean
construction or demolition 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
Four Thousand Five Hundred Dollars ($4,500
.00). If
Respondent elects not to petition the Illinois Pollution Control Board, the statutory civil penalty
specified above shall be due and payable no later than
July 30, 2006,
unless otherwise provided by
2

 
order of the Illinois Pollution Control Board .
If Respondent 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 by the 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 Respondent fails
to petition or elects not to 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 statutory civil penalty specified 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 not paid within the time prescribed by order of the
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 the date that payment is
received . The Office of the Illinois Attorney 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
.
Date: 7/ lbfO/6
Douglas P . Scott, Director A}u& ,
L-c_
Illinois Environmental Protection Agency
Prepared by:
Susan E
. Santarelli, 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

 
ILLINOIS ENVIRONMENTAL
PROTECTION AGENCY,
Complainant,
V .
JOHN SPOEDE,
RECEIVEDCLERIC'S
OFFICE
REMITTANCE FORM
JUL
1 0 2006
STATE OF ILLINOIS
Pollution Control Board
'>
AC
(IEPA No . 131-06-AC)
DATE OF INSPECTION :
May 18, 2006
DATE REMITTED
:
SS/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 Environmental
Protection Agency, Attn
. : Fiscal Services, P .O
. Box 19276, Springfield, Illinois 62794-9276
.
5
Respondent.
FACILITY:
Spoede Property
SITE CODE NO.: 1798165005
COUNTY:
Tazewell
CIVIL PENALTY: $4,500 .00

 
ILLINOIS
ENVIRONMENTAL PROTECTION AGENCY
AFFIDAVIT
IN THE MATTER OF
)
John Spoede
)
IEPA DOCKET NO .
RESPONDENT
)
Affiant, 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 May 18, 2006, between 11
:30 a .m . and 11 :50
a .m., Affiant
conducted an inspection of the open dump in Tazewell County, Illinois,
known as Spoede Property, Illinois Environmental Protection Agency
Site No
. 1798165005 .
3 .
Affiant inspected said Spoede Property 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, Affiant 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 Affiant's observations and
factual conclusions with respect to said Spoede Property open dump
.
Subscribed and Sworn to before
me this ,;?CiT7~ day of
0, •-+-~ i
:irC'n
('
rLLC
,; J'
ary Public
OFFICIAL SEAL
Carolyn S . Schlueter
Notary Public, State of Illinois
My Commission Expires 8/20/07

 
County : Tazewell
LPC#:
1798165005
Location/Site Name :
Spring Lake Twp ./Spoede Property
Date
:
05/18/2006 Time
: From 11 :30am
To 11 :50am
Previous Inspection Date :
07/22/2004
Inspector(s) : R
. Eugene Figge
Weather
: 65 F Clear and Windy
No. of Photos Taken
: # 13
Est. Amt . of Waste :
20
yds3 Samples Taken
: Yes #
Interviewed : No One On Site
Complaint #
: C-2006-056-P
Responsible Party
Mailing Address(es)
and Phone
Number(s) :
Revised 9/21/2005
ILLINOIS ENVIRONMENTAL PROTECTION AGENCY
Open Dump Inspection Checklist
John Spoede
13871 Manito Road
Manito, Illinois 61546-8450
Region :
3 -
Peoria
(Open Dump
- 1)
No
SECTION
DESCRIPTION
VIOL
()
.1
()
11
()
()
()
11
()
11
8.
CAUSE OR ALLOW THE OPEN DUMPING OF ANY WASTE IN
A
MANNER WHICH RESULTS
,
1 ,
,
* 1 , . •
i i ,
.
9 1,
.
(1)
Litter
11
(2)
Scavenging
(3)
Open Burning
11
(4)
Deposition of Waste in Standing or Flowing Waters
(5)
Proliferation of Disease Vectors
(6)
Standing or Flowing Liquid Discharge from the Dump Site

 
LPC #
1798165005
Inspection Date :
05/18/2006
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 not be construed as 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)
Deposition of General Construction or Demolition Debris
; or Clean Construction or
~~
(7)
Demolition Debris
9. 55(a)
NO PERSON SHALL :
(1)
Cause or Allow Open Dumpinq of Any Used or Waste Tire
FR
10.
2
812 .101(a)
Cause or Allow O•en
FAILURE TO SUBMIT
OPERATE A LANDFILL
Burnins of An
AN APPLICATION
Used or Waste Tire
FOR A PERMIT TO DEVELOP AND
~~
~~
11 . 722 .111
HAZARDOUS WASTE DETERMINATION
12. 808 .121
SPECIAL WASTE DETERMINATION
13.
14.
809 .302(a)
ACCEPTANCE OF SPECIAL WASTE FROM A WASTE TRANSPORTER WITHOUT A
WASTE HAULING PERMIT, UNIFORM WASTE PROGRAM REGISTRATION AND
PERMIT AND/OR MANIFEST
APPARENT VIOLATION OF : ( ) PCB; ( ) CIRCUIT COURT
CASE NUMBER :
ORDER ENTERED ON :
15. OTHER :

 
1798165005 -- Tazewell County
Spoede Property
FOS
Inspection Date
: May 18, 2006
Prepared By : R
. Eugene Figge
Page 1
NARRATIVE
On May 18, 2006 an inspection was conducted from 11
:30 a.m
. until 11 :50 a.m. at Spoede
Property by R
. Eugene Figge (this author) of DLPC/FOS
- Peoria. The inspection was
conducted in response to a citizen complaint (C-2006-056-P) for open dumping and open
burning
The author observed an area of open dumping and open burning
. See photographs I through 13
.
There was also evidence of open burning of used tires
. See photographs 4 and 5 . A trailer next
to the dumpsite contained shingles and general refuse
. See photographs 9 and 10
. The open
dump contained approximately 20 cubic yards of waste
.
The following apparent violations were indicated on the inspection checklist
:
1 .
Pursuant to Section 9(a) of the (Illinois) Environmental Protection Act (415 ILCS
5/9(a)), no person shall cause or threaten or allow the discharge or emission of any
contaminant into the environment in any State so as to cause or tend to cause air pollution
in Illinois, either alone or in combination with contaminants from other sources, or so as
to violate regulations or standards adopted by the Board under this Act
.
A violation of Section 9(a) of the (Illinois) Environmental Protection Act (415 ILCS
5/9(a)) is alleged for the following reason :
Evidence of open burning was observed
during the inspection that indicated that John Spoede as owner had caused or
tended to cause open burning which would cause or tend to cause air pollution in
Illinois .
2.
Pursuant to Section 9(c) of the (Illinois) Environmental Protection Act (415 ILCS
5/9(c)), no person shall cause or allow the open burning of refuse, conduct any salvage
operation by open burning, or cause or allow the burning of any refuse in any chamber
not specifically designed for the purpose and approved by the Agency pursuant to
regulations adopted by the Board under this Act
; except that the Board may adopt
regulations permitting open burning of refuse in certain cases upon a finding that no harm
will result from such burning, or that any alternative method of disposing of such refuse
would create a safety hazard so extreme as to justify the pollution that would result from
such burning .
A violation of Section 9(c) of the (Illinois) Environmental Protection Act (415 ILCS
5/9(c)) is alleged for the following reason
:
Evidence of open burning was observed
during the inspection that indicated John Spoede as owner had caused or allowed
open burning.
3.
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
.

 
Spoede Property
FOS
Inspection Date : May 18, 2006
Prepared By: R. Eugene Figge
Page 2
A violation of Section 21(a) of the (Illinois} Environmental Protection Act (415 ILCS
5/21(a)) is alleged for the following reason :
Evidence of open dumping of waste was
observed during the inspection that indicated John Spoede as owner had caused or
allowed open dumping .
4 .
Pursuant to Section 21(d)(1) of the (Illinois) Environmental Protection Act (415 ILCS
5/21(d)(1)), 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 : John Spoede as
owner had allowed waste to be disposed without a permit granted by the Illinois
EPA.
5 .
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 : John Spoede as
owner had conducted a waste disposal operation in violation of regulations adopted
by the Illinois Pollution Control Board .
6.
Pursuant to Section 21(e) of the [Illinois) 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
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
: John Spoede as owner had allowed waste
to be disposed at this site which does not meet the requirements of the Act and
regulations thereunder .
7. Pursuant to Section 21(p)(1) of the (Illinois) Environmental Protection Act (415 ILCS
5/21(p)(1)), 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 specific prohibitions in this subsection do not limit the power of the Board to
establish regulations or standards applicable to open dumping
.

 
1798165005 -- Tazewell County
Spoede Property
FOS
Inspection Date : May 18, 2006
Prepared By : R . Eugene Figge
Page 3
A violation of Section 21(p)(1) of the {Illinois} Environmental Protection Act (415 ILCS
5/21(p)(1)) is alleged for the following reason :
John Spoede as owner had caused or
allowed the open dumping of waste in a manner which resulted in litter
.
8 .
Pursuant to Section 21(p)(3) of the (Illinois) Environmental Protection Act (415 ILCS
5/21(p)(3)), 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 open burning .
A violation of Section 21(p)(3) of the {Illinois} Environmental Protection Act (415 ILCS
5/21(p)(3)) is alleged for the following reason :
John Spoede as owner had caused or
allowed the open dumping of waste in a manner which resulted in open burning .
9 .
Pursuant to Section 21(p)(7) of the {Illinois} Environmental Protection Act (415 ILCS
5/9(a)), no person shall in violation of subdivision (a) of this Section, cause or allow the
deposition of general construction or demolition debris ; or clean construction or
demolition debris .
A violation of Section 21(p)(7) is alleged for the following reason : John Spoede as
owner had caused or allowed the deposition of general construction or demolition
debris; or clean construction or demolition debris.
10.
Pursuant to Section 55(a)(1) of the {Illinois} Environmental Protection Act (415 ILCS
5/55(a)(1)), 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 : Evidence of open dumping of used or
waste tires was observed during the inspection that indicated John Spoede as
owners caused or allowed the open dumping of used or waste tires .
11 .
Pursuant to Section 55(a)(2) of the {Illinois} Environmental Protection Act (415 ILCS
5/55(a)(2)), no person shall cause or allow the open burning of any used or waste tire .
A violation of Section 55(a)(2) of the {Illinois} Environmental Protection Act (415 ILCS
5/55(a)(2)) is alleged for the following reason : Evidence of open burning of used or
waste tires was observed during the inspection that indicated John Spoede
as
owners caused or allowed the open burning of used or waste tires .
12 . Pursuant to 35 111. Adm. Code 812 .101(a), all persons, except those specifically exempted
by Section 21(d) of the {Illinois} Environmental Protection Act, shall submit to the
Agency an application for a permit to develop and operate a landfill .
A violation of 35 Ill . Adm. Code 812.101(a) is alleged for the following reason
: John
Spoede as owner had 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.

 
Not to Scale
Old Gas Station
State of Illinois Environmental Protection Agency Site Sketch
Inspector
:
R . Eugene Figge
Date of Inspection
: May 18, 2006
Site Name:
Spoede Property
Manito Road
P13"~
P12 >
LPC #:
1798165005
County: Tazewell
Time:
11
:30 a.m
. - 11 :50 a.m
.
I N
House
P,1 P~2
P,3
P,q P~5
P9
P10

 
1798165005 -- Tazewell County
Spoede Property
FOS
DATE: May 18, 2006
TIME: 11
:35 a.m.
PHOTOGRAPHED BY
:
R Eugene Figge
DIRECTION
: Photograph taken toward
the south
PHOTOGRAPH NUMBER: 1
PHOTOGRAPH FILE NAME
:
1798165005-05182006-001 .jpg
COMMENTS:
DATE
: May 18, 2006
TIME
: 11 :35 a.m.
PHOTOGRAPHED BY
:
R. Eugene Figge
DIRECTION
: Photograph taken toward
the south .
PHOTOGRAPH NUMBER
: 2
PHOTOGRAPH FILE NAME
:
1798165005--05182006-002
.jpg
COMMENTS:
DOCUMENT
---------- --------
FILE NAME-
:
Site Photographs
Page 1 of7

 
1798165005 -- Tazewell County
Spoede Property
FOS
DATE
: May 18, 2006
TIME: 11
:35 a.m.
PHOTOGRAPHED BY
:
R. Eugene Figge
DIRECTION
: Photograph taken toward
the south .
PHOTOGRAPH NUMBER
: 3
PHOTOGRAPH FILE NAME
:
1798165005-U5182006-003
.jpg
COMMENTS:
DATE:
May 18, 2006
TIME
: 11 :35 a.m.
PHOTOGRAPHED BY :
R. Eugene Figge
DIRECTION
: Photograph taken toward
the south
PHOTOGRAPH NUMBER
: 4
PHOTOGRAPH FILE NAME :
1798165005-05182006-004 .jpg
COMMENTS:
DOCUMENT FILE NAME
:
Site Photographs
Page 2 of7

 
DATE: May 18, 2006
TIME: 11 :35 a.m
.
PHOTOGRAPHED BY :
R. Eugene Figge
DIRECTION : Photograph taken toward
the south
PHOTOGRAPH NUMBER: 5
PHOTOGRAPH FILE NAME :
1798165005--05182006-005 .jpg
COMMENTS
:
DATE: May 18, 2006
TIME: 11 :35 am
.
PHOTOGRAPHED BY
:
R Eugene Figge
DIRECTION : Photograph taken toward
the east
.
PHOTOGRAPH NUMBER: 6
PHOTOGRAPH FILE NAME:
1798165005--45182006-006 .jpg
COMMENTS:
1798165005 --
Tazewell County
Spoede Property
FOS
DOCUMENT FILE NAME:
Site Photographs
Page 3 of 7

 
DATE
: May 18, 2006
TIME
: 11 :35 a.m.
PHOTOGRAPHED BY :
R Eugene Figge
DIRECTION
: Photograph taken toward
the south.
PHOTOGRAPH NUMBER
: 7
PHOTOGRAPH FILE NAME :
1798165005--05182006-007
.jpg
COMMENTS:
DATE: May 18, 2006
TIME: 11:35 a.m.
PHOTOGRAPHED BY
:
R
. Eugene Figge
DIRECTION : Photograph taken toward
the south.
PHOTOGRAPH NUMBER:
8
PHOTOGRAPH FILE NAME :
1798165005-05182006-008 .jpg
COMMENTS:
1798165005 - Tazewell County
Spoede Property
FOS
DOCUMENT FILE NAME
:
Site Photographs
Page 4 of 7

 
1798165005 -- Tazewell County
Spoede Property
FOS
DATE
: May 18, 2006
TIME: 11 :35 a.m.
PHOTOGRAPHED BY :
R Eugene Figge
DIRECTION
: Photograph taken toward
the east
PHOTOGRAPH NUMBER
: 9
PHOTOGRAPH FILE NAME
:
1798165005-05182006-009 .jpg
COMMENTS:
DATE:
May 18, 2006
TIME: 11:35 a.m.
PHOTOGRAPHED BY
:
R. Eugene Figge
DIRECTION
: Photograph taken toward
the east
PHOTOGRAPH NUMBER: 10
PHOTOGRAPH FILE NAME
:
1798165005-05182006-010.jpg
COMMENTS:
DOCUMENT
---------- --------
FILE NAME- :
Site Photographs
Page 5 of7

 
1798165005 -- Tazewell County
Spoede Property
FOS
DATE: May 18, 2006
TIME
: 11 :36 a.m.
PHOTOGRAPHED BY
:
R Eugene Figge
DIRECTION : Photograph taken toward
the west.
PHOTOGRAPH NUMBER: 11
PHOTOGRAPH FILE NAME :
1798165005--05182006-011. jpg
COMMENTS:
DATE: May 18, 2006
TIME: 11 :36 a.m.
PHOTOGRAPHED BY
:
R
. Eugene Figge
DIRECTION
: Photograph taken toward
the east.
PHOTOGRAPH NUMBER
: 12
PHOTOGRAPH FILE NAME
:
1798165005-05182006-012 .jpg
COMMENTS:
DOCUMENT FILE NAME
:
Site Photographs
Page 6 of 7

 
1798165005 - Tazewell County
Spoede Property
FOS
DATE
: May 18, 2006
TIME
: 11 :37 a.m.
PHOTOGRAPHED BY :
R. Eugene Figge
DIRECTION : Photograph taken toward
the southeast .
PHOTOGRAPH NUMBER 13
PHOTOGRAPH FILE NAME :
1798165005-05182006-013 .jpg
COMMENTS:
DOCUMENT
---------- --------FILE
NAME :
Site Photographs
Page 7 of 7

 
PROOF OF SERVICE
I hereby certify that I did on the 6th day of July 2006, send by Certified Mail, Return Receipt
Requested, with postage thereon fully prepaid, by depositing in a United States Post Office Box a true
and correct copy of the following instrument(s) entitled ADMINISTRATIVE CITATION,
AFFIDAVIT, and OPEN DUMP INSPECTION CHECKLIST
To:
John Spoede
13871 Manito Road
Manito, Illinois 61546-8450
Cert
#7004 2510
0001 8590 3074
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
Cert #7004
2510 0001 8590 3067
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
THIS FILING SUBMITTED ON RECYCLED PAPER

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