1. Page 1
    2. Page 2
    3. Page 3

 
ARLYN D. FISK d/b/a ARLYN FISK'S,
SERVICE CENTER,
Pet
'
1
ik
\i A L.
v.
BEFORE THE ILLINOIS POLLUTION CONTROL BOARD
RECEIVED
CLERK'S OFFICE
APR 2 1 2008
STATE OF ILLINOIS
Pollution Control Board
PCB 06-130
PCB 06-145
ILLINOIS ENVIRONMENTAL PROTECTION,
AGENCY,
Respondent.
NOTICE OF FILING AND PROOF OF SERVICE
The undersigned certifies that an original and nine copies of the foregoing Motion
for Voluntary Dismissal and of this Notice of Filing and Proof of Service, were served
upon the Clerk of the Illinois Pollution Control Board, and one copy to each of the
following parties of record in this cause by enclosing same in an envelope addressed to:
Dorothy Gunn, Clerk
Illinois Pollution Control Board
James R. Thompson Center
100 W. Randolph St., Suite 11-500
Chicago, IL 60601
John T. Therriault
Illinois Pollution Control Board
James R. Thompson Center
100 W. Randolph St., Ste. 11-500
Chicago, IL 60601
Carol Webb, Esq., Hearing Officer
Illinois Pollution Control Board
1021 North Grand Avenue East
P.O. Box 19274
Springfield, IL 62794-9274
Melanie Jarvis, Division of Legal Counsel
Illinois Environmental Protection Agency
1021 N. Grand Avenue East
P.O. Box 19276
Springfield, IL 62794-9276
with postage fully prepaid, and by depositing said envelope in a U.S. Post Office Mail
Box in Springfield, Illinois before 5:30 p.m. on the 47,0-day of April, 2008.
Hedinger Law Office
2601 South Fifth Street
Springfield, IL 62703
(217) 523-2753 phone
(217) 523-4366 fax
This document prepared on recycled paper

 
n
BEFORE THE ILLINOIS POLLUTION CONTROL BOARD
Ftecn
CLEWKw6s
rF,Fp
ARLYN D. FISK d/b/a ARLYN FISK'S,
SERVICE CENTER,
Petitioner,
APR.2
1 2008
Po
STATE
?
n
ution
OF
Control–
I
LLINOISBo
ard
v.
?
PCB 06-130
PCB 06-145
ILLINOIS ENVIRONMENTAL PROTECTION,
AGENCY,
Respondent.
MOTION FOR VOLUNTARY DISMISSAL
NOW COMES Petitioner, ARLYN FISK d/b/a ARLYN FISK'S SERVICE
CENTER, through his undersigned attorney, and moves this Board to allow a voluntary
dismissal of the Complaint in this case as a result of the settlement and payment of all
claims against Respondent ILLINOIS ENVIRONMENTAL PROTECTION AGENCY
sought in this case. In support of this Motion, Petitioner states as follows:
1.
Petitioner filed his Complaint in this case in 2006, alleging that the Respondent
wrongfully denied certain payments to Petitioner pursuant to the Illinois Leaking
Underground StorageTank Fund.
2.
The parties have now entered into a settlement and resolved their differences, and
therefore they wish to pursue no further litigation against one another.
3.
At this time Petitioner requests that this Board dismiss this matter.
4.
Dismissal in light of the settlement is in the interests of justice and the
environment.
WHEREFORE Petitioner, ARLYN FISK d/b/a ARLYN FISK'S SERVICE
CENTER, requests that this Board dismiss this matter.

 
By his attorney,
HEDINGER
?
OFFICE
By
tephe s . Hedinger
Respectfully submitted,
ARLYN FISK d/b/a ARLYN FISK'S
SERVICE CENTER,
Petitioner,
Hedinger Law Office
2601 South Fifth Street
Springfield, IL 62703
(217) 523-2753 phone
(217) 523-4366 fax
hedinger@hedingerlaw.com
2

Back to top