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BEFORE THE ILLINOIS POLLUTION CONTROL BOARD
RECEIVEDCLERK'S
OFFICE
PEOPLE OF THE STATE OF ILLINOIS,
)
JUL Z 5 2006
Complainant,
STATE OF
ILLINOIS
j
I
`13
Pollution Control Board
PCB NO.
v
vs.
)
(Enforcement)
RON FISHER MOTOR SPORTS, INC .,
)
an Illinois Corporation, d/b/a F & L Salvage,
)
Respondent.
)
ANSWER
TO COMPLAINT FOR INJUNCTIVE AND OTHER RELIEF
Now comes the Respondent, Ron Fisher Motor Sports, Inc
. an Illinois Corporation d/b/a F&L
Salvage ,
by and through its attorney Mike Reed and in answer to the complaint states as follows
:
1 .
The Respondent, Ron Fisher admits the allegations contained in paragraph 1 of the
Complaint.
2.
The Respondent, Ron Fisher admits the allegations contained in Paragraph 2 of the
complaint .
3.
The Respondent, Ron Fisher admits the allegations contained in paragraph 3 of the
Complaint .
4.
The Respondent, Ron Fisher admits the allegations contained in paragraph 4 of the
Complaint .
5 .
The Respondent, Ron Fisher admits the allegations contained in paragraph 5 of the
Complaint .
6.
The Respondent, Ron Fisher admits the allegations contained in paragraph 6 of the
Complaint .

 
7.
The Respondent, Ron Fisher admits the allegations contained in paragraph 7 of the
Complaint .
8.
The Respondent, Ron Fisher denies the allegations contained in paragraph 8 of the
Complaint .
9.
The Respondent, Ron Fisher denies the allegations contained in paragraph 9 of the
Complaint .
10 .
The Respondent, Ron Fisher denies the allegations contained in paragraph 10 of the
Complaint
.
11 .
The Respondent, Ron Fisher denies the allegations contained in paragraph 11 of the
Complaint .
12.
The Respondent, Ron Fisher admits the allegations contained in paragraph 12 of the
Complaint
.
13.
The Respondent, Ron Fisher admits the allegations contained in paragraph 13 of the
Complaint .
14.
The Respondent, Ron Fisher denies the allegations contained in paragraph 14 of the
Complaint .
15.
The Respondent, Ron Fisher denies the allegations contained in paragraph 15 of the
Complaint .
16.
The Respondent, Ron Fisher admits the allegations contained in paragraph 16 of the
Complaint .
17.
The Respondent, Ron Fisher denies the allegations contained in paragraph 17 of the
Complaint .
18 .
The Respondent, Ron Fisher denies the allegations contained in paragraph 18 of the
Complaint .
19.
The Respondent, Ron Fisher denies the allegations contained in paragraph 19 of the
Complaint .

 
COUNT III
1-21 . The Defendant, Ron Fisher realleges and incorporates herein by reference its answer to 1
through 21 of Count I as paragraphs I through 21 of this Count III
22.
The Respondent, Ron Fisher admits the allegations contained in paragraph 22 of the
Complaint.
23 .
The Respondent, Ron Fisher denies the allegations contained in paragraph 23of the
Complaint .
24.
The Respondent, Ron Fisher admits the allegations contained in paragraph 24 of the
Complaint .
25 .
The Respondent, Ron Fisher denies the allegations contained in paragraph 25 of the
Complaint .
26.
The Respondent, Ron Fisher denies the allegations contained in paragraph 26 of the
Complaint .
27.
The Respondent, Ron Fisher denies the allegations contained in paragraph 27 of the
Complaint .
28.
The Respondent, Ron Fisher denies the allegations contained in paragraph 28 of the
Complaint .
29.
The Respondent, Ron Fisher denies the allegations contained in paragraph 29 of the
Complaint
.
WHEREFORE, the Defendant denies that the Plaintiff is entitled to the relief requested .

 
WHEREFORE, the Defendant denies that the Plaintiff is entitled to the relief requested .
COUNT II
1-16 The Defendant, Ron Fisher realleges and incorporates herein by reference its answer to 1
through 16 of Count I as paragraphs I through 16 of this Count II .
17.
The Respondent, Ron Fisher admits the allegations contained in paragraph 17 of the
Complaint .
18 .
The Respondent, Ron Fisher admits the allegations contained in paragraph 18 of the
Complaint
.
19.
The Respondent, Ron Fisher admits the allegations contained in paragraph 19 of the
Complaint.
20.
The Respondent, Ron Fisher denies the allegations contained in paragraph 20 of the
Complaint.
21 .
The Respondent, Ron Fisher admits the allegations contained in paragraph 21 of the
Complaint.
22.
The Respondent, Ron Fisher denies the allegations contained in paragraph 22 of the
Complaint.
23.
The Respondent, Ron Fisher denies the allegations contained in paragraph 23 of the
Complaint .
24.
The Respondent, Ron Fisher denies the allegations contained in paragraph 24 of the
Complaint
.
WHEREFORE, the Defendant denies that the Plaintiff is entitled to the relief requested
.

 
COUNT IV
1-8
The Defendant, Ron Fisher realleges and incorporates herein by reference its answer to 1
through 8 of Count I as paragraphs I through 8 of this Count IV .
9.
The Respondent, Ron Fisher admits the allegations contained in paragraph 9 of the
Complaint
.
10 .
The Respondent, Ron Fisher admits the allegations contained in paragraph 10 of the
Complaint.
11 .
The Respondent, Ron Fisher admits the allegations contained in paragraph 11 of the
Complaint .
12.
The Respondent, Ron Fisher denies the allegations contained in paragraph 12 of the
Complaint .
13.
The Respondent, Ron Fisher denies the allegations contained in paragraph 13 of the
Complaint .
14.
The Respondent, Ron Fisher denies the allegations contained in paragraph 14 of the
Complaint .
WHEREFORE, the Defendant denies that the Plaintiff is entitled to the relief requested .
BY:
RON FISHER MOTOR SPORTS, INC .
Mike Reed, attorney for Respondent

 
ILLINOIS POLLUTION CONTROL BOARD
RECEIVEDCLERK'S
OFFICE
JUL 2 5 2006
PEOPLE OF THE STATE OF ILLINOIS,
Pollution
STATE OF
ControlILLINOISBoard
)
PCB 06-193
Complainant,
)
(Enforcement - Land, Air)
vs .
)
)
RON FISHER MOTORSPORTS, INC ., an
)
Illinois corporation d/b/a F & L Salvage,
)
Defendant .
)
CERTIFICATE OF SERVICE
I, the undersigned, do hereby certify that on the 17th
day of July, 2006, mailed a copy of the
Answer to Complaint for Injunctive and other Relief to all interest parties U
.S. Mail by depositing the
same in an envelope addressed to said persons with postage fully prepaid and by depositing-said
envelope in a US Mail Box in Centralia, Illinois .
Carol Webb
Jennifer Bonkowski
Hearing Officer
Office of the Attorney General
Illinois Pollution Control Board
Environmental Bureau
1021 North Grand Avenue East
500 South Second Street
P.O . Box 19274
Springfield, IL 62706
Springfield, IL 62794-9274
Dorothy M
. Gunn
Illinois Pollution Control Board
James R . Thompson Center
100 W . Randolph St ., Ste . 11-500
Chicago, IL 60601
eb Ruston Secretary to Mike Reed

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