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July 26, 2006
MS . DOROTHY GUNN, CLERK
Illinois Pollution Control Board
James R . Thompson Center
100 West Randolph
Suite 11-500
Chicago, Illinois 60601
RE : 82006-020
Dear Illinois Pollution Control Board Members :
Our company is writing you in regards to
: In the Matter of Amendments to the Board's Special
Waste Rules Concerning Used Oil, 35 Ill . Adm
. Code 808, 809, RC 06-20 .
Thank you for this opportunity to provide public comment in the above-referenced rulemaking
. I
submit this comment on behalf of Jacobus Environmental Services, a member of NORA
. Jacobus
is one of the larger used oil collectors in the Midwest . We collect oil for recycling in nine states,
including Illinois . Jacobus Environmental Services endorses and supports NORA's rule proposal
and requests that the Board adopt the language proposed by NORA .
Special Waste manifesting for used oil, including those substances entitled to be regulated as used
oil pursuant to federal and state regulations, is burdensome and unnecessary
.
In closing, our company believes that the current manifesting requirements in Illinois for Used Oil
and items regulated as Used Oil are unnecessary and burdensome . We strongly encourage the
Board to adopt the language proposed by NORA . We look forward to the Board's adoption of
NORA's rule proposal.
Sincerely,
Laura M. Krist
Territory Manager
552 Carter Court, Kimberly, WI 54136
920-731-3045 800-822-9608
www.jenvs .co m
ENVIRONMENTALJACOBUS
SERVICES
RECCLERK
;SOFFICEIVED
ORIGINAL
AJu012006
Pollution
STATE OF
Control
ILLINOISBoard

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