ECEVED
CLERK’S
OPCE
DEC
0
‘i
2008
BEFORE THE ILJJNOIS
ADM1NISTRATWE
Ci9P)
tr
oara
COIJNIY OF VERMILION, ILLINOIS,
)
Complainant,
)
AC No.
)
v.
)
CountyFileNo.08-04
)
BILL
RICHARDSON,
)
)
Respondent.
)
JURISDICTION
This Administrative Citation
is issued pursuant to the authority
vested
in the
Illinois Environmental Protection Agency
by
sections 4(e) and 31.1 of the
Illinois
Environmental Protection Act (“Act”), 4 15
ILCS 5/4(e), 5/31.1, and delegated
to
Vermilion County pursuant to section 4(r)
of
the
Act,
415
ILCS 5/4(r).
FACTS
1. Respondent’s mother, Zora Davis, is, and was
at all times relevant to
this
Administrative Citation, the owner of property
located at 647 E.
13
th
Street,
Danville, County of Vermilion,
State of Illinois.
2. Said property was operated as an unlicensed
open dump, and designated
with
Illinois
Environmental Protection Agency
Site Code No.1838040025.
3. On October 3, 2008, Douglas Toole of
the Vermilion County Health
Department
inspected the above-described
property. Douglas Toole’s
Affidavit and a copy of their inspection report
are attached hereto and made
a
part hereof
by
reference.
VIOLATIONS
On the basis of the direct observation of Douglas
Toole,
the
County
of Vermilion
has
determined that on October
3,
2008,
Respondent
was conducting an unlicensed
open
dump
at the above-described address, which is required
to have a permit pursuant to 415
ILCS 5/21(a) of the Act, in a manner which resulted
in the
following conditions:
A.
Open dumping
resulting
in litter was
observed
at the
site, in violation
of
Section
21(p)(1)
of the Act, 415
ILCS
5/21(p)(1),
which provides no
person shall. . . cause or allow the open
dumping
of any waste in a manner
which results in. . . litter; and
B.
Open dumping resulting in open burning was observed at
the site, in
violation of
Section 2l(p)(3)
of
the
Act, 415 ILCS 5/2l(p)(3),
which
provides no person shall. . . cause or allow the open dumping
of any waste
in a manner which results in. . . open burning.
CIVIL PENALTY
Pursuant to section 42(b)(4-5) of the Act, 415 ILCS 5/42(b)(4-5),
Respondent
herein
is subject to a civil penalty
of
Fifteen Hundred Dollars ($1500.00)
for each
of the
above-mentioned violations. Additionally, should Respondent elect
to petition the
Illinois Pollution
Control
Board under the review process described herein,
and if there
is
a
finding of the violation alleged herein
after an
adjudicatory hearing,
Respondent
shall
be assessed the
associated hearing
costs incurred by the
Illinois
Pollution
Control Board,
in addition to the
Fifteen
Hundred
Dollar ($1500.00) statutory penalty for
each
violation.
PROCEDURE
FOR CONTESTING
THIS
ADMINISTRATIVE CITATION
You have the right to contest this Administrative Citation under
section 31.1(d)
of
the Act, 415 ILCS 5/31.1(d). If you elect to contest this Administrative Citation,
you
must file a Petition for Review with the Clerk of the Illinois Pollution
Control Board, at
the State
of Illinois Center, 100 West Randolph Street,
Suite 11-500, Chicago, Illinois
60601. Such
Petition for Review must
be
filed within
thirty-five
(35) days of the date
of
service of this Administrative Citation, or a default judgment will be issued
by the Illinois
Pollution Control Board. A copy of the Petition for Review should
be filed with the
Vermilion County State’s Attorney’s Office, 7 North Vermilion Street, Danville,
Illinois
61832.
If you acknowledge the violation cited herein, the
civil
penalty specified above
shall be due and payable no later than December 26, 2008. If you
do
not petition
the
Illinois
Pollution Control Board for review of this Administrative
Citation within thirty-
five (35) days
of service hereof and have not paid
the civil penalty
by
the due
date stated
above, or if you elect to contest
this Administrative
Citation, any judgment rendered
shall
specify the due date of the statutory civil penalty and any
costs assessed against you.
When payment is made, checks
shall be made payable in
equal
amounts (50% of
the total
penalty each)
to:
(1) 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;
and
(2) the County of Vermilion, Illinois, and
mailed to the attention of Vermilion
County Health Department, 200 South College
Street, Danville, Illinois 61832.
Respondent shall complete and return the
enclosed Remittance
Forms with
payments to ensure proper documentation of
payment.
If
any
civil penalty,
by reason
of
acknowledgment,
default
or
finding
after
adjudicatory
hearing,
is not
paid when
due, the
Vermilion
County
State’s
Attorney
may
initiate
proceedings
in the
Circuit Court
to
collect
said
civil
penalty.
In addition
to
the
previously
assessed
civil
penalty
and any hearing
costs
of the
Illinois
Pollution
Control
Board, the
State’s
Attorney’s
Office
will seek
to recover
its costs
of
litigation.
Dated:
ii
2’i /0
I
/
Frank
R. Young
State’s
Attorney
for
ilion
ounty
By:
i2
Charles
D.
Mockbee
IV
Assistant
State’s
Attorney
Prepared
by:
Charles
D. Mockbee
1V
Office
of the
State’s Attorney
7 N. Vermilion
St.
Danville,
IL 61832
217-554-7750
BEFORE
THE
ILLINOIS
POLLUTION
CONTROL
BOARD
U’
OFFICE
DEC
04
2Qnq
AFFDAVIT
IN THE
MATTER
OF
)
pif
BILL RICHARDSON,
)
AC
No.
C
)
County
File
No.
08-0
L/
Respondent.
)
The Affiant,
Douglas
Toole,
being
first
duly
sworn,
voluntarily
deposes
and
states
as follows:
1. Affiant
is a field
inspector
employed
by
the Vermilion
County
Health
Department
and
has
been so
employed
at
all times
pertinent
hereto.
2.
On October
3,
2008,
between
3:30
and 3:45
p.m.,
Affiant
conducted
an
inspection
of property
at 647
E.
Street,
Danville,
County
of Vermilion,
State
of Illinois,
owned
by Zora
Davis.
3.
Affiants
inspected
the
Danville/Davis
site
by an
on-site
inspection,
which
included
walking
on
the site.
4. Prior
to said
inspection,
Affiant
had
reviewed
Illinois
Environmental
Protection
Agency
pernits
issued
to
the
subject
site.
5. As
a result
of the
activities
referred
to
in
paragraphs
2,
3 and 4
above,
Affiant
completed
the
Solid
Waste
Landfill
Inspection
Checklist,
with
the
accompanying
Inspection
Report
Narrative,
Site
Sketch
and photographs,
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 the
property
at
647 E.
13
th
Street,
Danville,
County
of
Vermilion,
State
of
Illinois,
on
October
3, 2008.
Dougi
Toole
SIGNED
and
SWORN
to before
me
this
41
day
of November
2008,
by
Douglas
Toole
OTARY
PUBLIC
.
..
2
REMITTANCE FORM TO ILLINOIS EPA
IN
THE MATTER OF
)
BILL
RICHARDSON,
)
AC No.
(A
)
County File No. 08-04
Respondent
)
CLERK’S
OFF,cr
Facility/Property:
Bill Richardson
DEC
042008
STATE
OF
ILLINOIS
County:
Vermilion
Pollution
Control
Board
Date of Inspection:
October 3, 2008
Site Code No.:
1838040025
Civil
Penalty to Illinois
EPA:
$750.00
for each violation
= $1500.00
Date
Remitted:
SSN/FEIN No.:
Signature:
NOTE
Please
enter
the date of your remittance, your Social Security Number (SSN) if an
individual, or Federal Employer Identification Number (FEIN) if a business, and sign this
Remittance Form. Your check
should
be
made
out to
the
the
Illinois Environmental
Protection Trust
Fund. Be sure your check is enclosed with this Remittance Form and
mail
to: Fiscal Services,
Illinois Environmental Protection Agency, 1021 North Grand
Avenue
East, P.O. Box 19276, Springfield,
Illinois 62794-9276.
REMITTANCE
FORM
TO VERMILION COUNTY HEALTH
DEPARTMENT
IN THE
MATTER OF
)
BILL RICHARDSON,
)
AC No.
C
>
)
County
File
No. 08-04
)
Respondent
)
CL2RKS
OFFICE
Facility/Property:
Bill Richardson
DEC
0
2008
County:
Vermilion
STATE
OF
ILLINOIS
PolIuton
Control
Board
Date of
Inspection:
October
3,
2008
Site Code
No.:
1838040025
Civil Penalty to County:
$750.00
for each violation
= $1500.00
Date Remitted:
SSN/FEIN No.:
Signature:
NOTE
Please
enter the date of your remittance, your Social Security Number
(SSN)
if an
individual,
or Federal Employer Identification Number (FEIN) if a business, and sign this
Remittance
Form. Your check should be made out to the County of Vermilion, Illinois.
Be
sure
your check is enclosed with
this Remittance Form
and mail to: Vermilion County
Health Department,
200
S.
College Street, Danville, Illinois 61832.
DEC
0
BEFORE
THE
ILLINOIS
POLLUTION
CONTROL
BOARD
COflfrol
Board
IN THE
MATTER
OF
)
BILL
RICHARDSON,
)
AC
No.
0
)
County
File No.
08-04
)
Respondent
)
AFFIDAVIT
OF
SERVICE
State of
Illinois
)
)
County
of Vermilion
)
I,
the
undersigned,
on oath
state
that
I
have
served
the attached
Administrative
Citation
on
the Respondent,
Bill
Richardson,
by
leaving
a copy
of
the
same
with
(name):
f?/i
/Z,/jt
7
,
at
(address):
/tf
-
13/i
C’ji
4
L’
4
at
(time):
,
on
(date):
November $
, 2008.
Investigator
Vermilion
County
State’s
Attorney
Office
SUBSCRIBED AND
SWORN
TO BEFORE
ME
this’Lday
of
November,
2008
l
SHAROLVI
M
ERWIN
=4
EXPIRES
iO..121O
THIS
FILING
IS
SUBMITTED
ON
RECYCLED
ILLINOIS
ENVIRONMENTAL PROTECTION
AGENCY
Open
Dump
Inspection
Checklist
County:
Vermilion
LPC#:
1838040025
Region:
4
- Chrnpaign
Location/Site
Name:
Danville
I
Davis
Date:
10/03/2008
Time:
From
3:30 p.m.
To
3:45
p.m.
Previous
Inspection
Date:
06/23/2008
Inspector(s):
Douglas
Toole
Weather:
cloudy, dry,
breezy,
70 F
No. of
Photos Taken:
#
06
Est.
Amt. of Waste:
90
yds
3
Sam
pies Taken:
Yes
#
Interviewed:
see
narrative
Compiaint#:
Latitude:
40.10515
Longitude:
-87.61 520
Collection
Point Description:
-
(Example:
Lat.:
41
.26493
Long.:
-89.38294)
Collection
Method:
-
Bill
Richardson
647
E.
13
th
Street
Danville,
IL 61832
(217)
446-5580
SECTION
DESCRIPTION
VIOL
E
ILLINOIS
ENVIRONMENTAL PROTECTION
ACT
REQUIREMENTS
1.
9(a)
CAUSE,
THREATEN
OR ALLOW
AIR
POLLUTION
IN
ILLINOIS
.
/
2.
9(c)
CAUSE
OR
ALLOW
OPEN BURNING
3.
12(a)
CAUSE,
THREATEN
OR ALLOW
WATER POLLUTION
IN ILLINOIS
El
4.
12(d)
CREATE
A WATER
POLLUTION
HAZARD
El
5.
21(a)
CAUSE
OR
ALLOW
OPEN
DUMPING
CONDUCT
ANY WASTE-STORAGE,
WASTE-TREATMENT,
OR
WASTE-
DISPOSAL
6.
21(d)
OPERATiON:
(1)
Without
a
Permit
(2)
In Violation
of Any Regulations
or Standards
Adopted by
the Board
DISPOSE,
TREAT,
STORE,
OR ABANDON
ANY
WASTE, OR
TRANSPORT
ANY
7.
21(e)
WASTE
INTO
THE STATE
AT!TO
SITES NOT
MEETING
REQUIREMENTS
OF
ACT
CAUSE
OR
ALLOW
THE
OPEN DUMPING
OF
ANY
WASTE
IN
A
MANNER
WHICH
RESULTS
8.
21(p)
IN ANY OF
THE FOLLOWING
OCCURRENCES
AT THE
DUMP SITE:
(1)
Litter
(2)
Scavenging
El
(3)
Open
Burning
(4)
Deposition
of Waste
in Standing
or
Flowing
Waters
El
(5)
Proliferation
of Disease
Vectors
El
________
(6)
Standing
or Flowing
Liquid
Discharge
from
the Dump
Site
El
Responsible
Party
Mailing Address(es)
and Phone
Number(s):
Zora
Davis
647
E.
13
th
Steet
Danville,
IL
61832
Revised
10/5/2005
(Open
Dump
- 1)
LPC#
1838040025
Inspection
Date:
10/03/2008
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_Dumping_of
Any_Used_or_Waste_Tire
(2)
Cause
or Allow
Open
Burning
of Any Used
or
Waste Tire
35
ILLINOIS
ADMINISTRATIVE
CODE
REQUIREMENTS
SUBTITLE
G
FAILURE
TO
SUBMIT
AN
APPLICATION
FOR
A
PERMIT
TO DEVELOP
AND
10.
812.101(a)
OPERATE
A LANDFILL
11.
722.111
HAZARDOUS
WASTE_DETERMINATION
12.
808.121
SPECIAL
WASTE
DETERMINATION
ACCEPTANCE OF
SPECIAL
WASTE
FROM
A
WASTE
TRANSPORTER
WITHOUT
A
WASTE
HAULING
PERMIT,
UNIFORM
WASTE
PROGRAM
REGISTRATION
AND
13.
809.302(a)
PERMIT
ANDIOR
MANIFEST
OTHER
REQUIREMENTS
APPARENT
VIOLATION
OF:
(LI)
PCB;
(LI)
CIRCUIT
COURT
14.
CASE
NUMBER:
ORDERENTEREDON:
15.
OTHER:
D
D
D
D
D
Informational
Notes
1.
[Illinois]
Environmental
Protection
Act: 415
ILCS
514.
2.
Illinois
Pollution
Control
Board:
35 Ill.
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
10/5/2005
(Open
Dump
- 2)
VER1JLIoN
CouN
HETH
DEPTMENT
Yea
the::I
theaarth
)
STEPHEN
LAKER,
M.S.
HEALTH
D
EDUCATION
BUILDING
PUBLIC
HEALTh
ADMIBISTR\TOR
200
SourFi
COLLEGE.
SUITE
A
L
I
NO
//
DANvILLE.
IL
61832
PH0NE/TDD
217
431-2662
PUBLIC
HEALTH
IS
PRICELEss
F,x
217
431-7483
www.vchd.org
LPC #1838040025
Danville/Davis
FOS
10/03/08
OPEN
DUMP
INSPECTION
NARRATIVE
This
unpermitted
open
dump
was
reinspected
on
October
3,
2008
by
Douglas
Toole
of
the
Vermilion
County
Health
Department.
The
weather
was
cloudy,
dry,
breezy
and
about
70
degrees
Fahrenheit.
Six
photos
were
taken
of
the
site.
The
site
is
located
in
Vermilion
County,
at
the
east
end
of
East
13
th
Street
in rural
Danville,
Illinois.
My Garmin
76S
GPS
unit
indicated
that
the
location
of
the
entrance
gate
to
the
property
was
Latitude
40.10515
and
Longitude
-87.61520,
with
an
estimated
accuracy
of
29.8 percent.
By
way
of
history,
I
opened
a
county
ordinance
violation
file
in
November,
2000
regarding
an
accumulation
of
derelict
vehicles,
vehicle
parts
and
tires
that
the
property
owner’s
son,
Bill
Richardson,
had
created
on
the
property.
In
late
April,
2002,
I
received
a
complaint
that
the
property
owner’s
son was
burying
mobile
homes
on
the
property.
Upon
talking
with
the
IEPA’s
records
unit
in
Springfield,
I learned
that
the
Champaign
regional
IEPA
office
had opened
a
land-pollution
case
file
for
the
property
in
1976.
I
have
retained
the
original
LPC
case
number
for
the
site.
INSPECTORS
FINDINGS
At
about
3:15
p.m.
on
October
3,
2008,
I received
a
call
from
Scott
Weidig,
the
Chief
of
the
Lynch
Area
Fire Protection
District,
about
the
burning
of
garbage
and
demolition
debris
at
647
East
13
t11
Street
in
rural
Danville.
Chief
Weidig
said
the
burning
was
taking
place
at
that
time,
and
that
I
could
meet
him
there.
I
arrived
at
the
site
at
about
3:30
p.m.
on
October
3,
2008.
Chief
Weidig
and
firefighter
Ken
Hittlet
met
me
near
the
entrance
to
the
property
(photo
1),
and
accompanied
me
during
my
reinspection.
0
-Iv
Ei:v
()PPoi’Tr\ff
LPC
#1
838040025
Danville/Davis
10/03/08
Page
2
of
4
In
general,
it
appeared
that
little
progress
had
been
made
towards
cleaning
up
the
property
since
my
last
reinspection
on
June
23,
2008.
An
occupant
of
the
property,
Bill
Richardson,
was
present
on
the
site,
as
were
Richard
Key
—
another
occupant
of
the
property
—
and two
other
adults.
Chief Weidig
took
me
to
the
southeast
part
of
the
property,
where
I
observed
an
appliance,
tires, remodeling
waste,
household
garbage
and
other
refuse, and
smoke
rising
from
a
burn
pile
(photo
2).
The
burn
pile contained
boards,
remodeling
waste,
scrap metal,
metal
cans,
household
garbage
and other
refuse
(photos
3-5). The
heat
from
the
fire
had
partially
melted
some
plastic
items
next
to
the
burn
pile
(photos
2,
3).
Chief
Weidig
said
additional
items
on
a
trailer
that
had
been
intended
for
the
fire
had
been
pulled
back
to
the
garage
by
occupants
of
the
property
(photo
6).
Mr.
Key told
Mr.
Hittlet
and
me
that
he
had
set
the
pile
on
fire.
Chief
Weidig
spoke
with
Mr.
Richardson
about
some
prior burning
incidents
on
the
property
(see
6/23/0
8
inspection
packet).
I
left
the
property
at
about
3:45
p.m.
On
the
Inspection
Report
Checklist
for
this reinspection,
I
estimated
that
there
were
90
cubic
yards
of
waste
on
the
site.
No
measurements
were
performed
to
arrive
at
that
estimation,
only
my
observations
at
the
time.
The
actual
amount
of
waste
on
the
site
may
vary significantly
from
that
estimation.
SUMMARY
OF
APPARENT
VIOLATIONS
ILLNOIS
ENVIRONMENTAL
PROTECTION
ACT
(415
ILCS
5/1
et
seq.)
Section
9 (a)
of
the
Act:
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.
Contaminants
on
the
site
had
been
discharged
into
the
environment
in
a
manner
that
tends
to
cause
air
pollution.
Section
9
(c)
of
the
Act: No
person
shall
...
cause
or
allow
the
open
burning
of
refuse.
The
open burning
of
refuse
was
observed
on
the
site.
Section
21(a)
of
the
Act:
No
person
shall
...
cause
or
allow
the
open
dumping
of
any
waste.
The
open
dumping
of
waste
was
observed
on
the
site.
LPC
#1
838040025
Danville
/
Davis
10/03/08
Page
3
of4
Section
21
(d)(1)
of
the
Act:
No
person
shall
...
conduct
any
waste
storage,
waste-
treatment,
or
waste-disposal
operation
without
...
a
permit
granted
by
the
Agency.
No
Agency
permit
to
conduct
a
waste
storage,
waste-treatment,
or
waste-disposal
operation
for
the
site
was
issued.
Section
21
(d)(2)
of
the
Act:
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
the
Act.
Violations
of
the
Illinois
Pollution
Control
Board
Regulations
were
observed
at
the
site
where
waste
storage,
waste-treatment,
or
waste-
disposal
operations
were
taking
place.
Section
2
1(e)
of
the
Act:
No
person
shall
...
dispose,
treat,
store
or
abandon
any
waste
except
at
a
site
or
facility
which
meets
the
requirements
of
this
Act
and
of
regulations
and
standards
thereunder.
The
storage
and
disposal
of
waste
was
occurring
at
a
site
which
did
not
meet
the
requirements
of
the
Illinois
Environmental
Protection
Act
and
the
illinois
Pollution
Control
Board
Regulations.
Section
21
(p)(1)
of
the
Act:
No
person
shall
...
cause
or
allow
the
open
dumping
of
any
waste
which
results
in
...
litter.
Open
dumping
of
waste
resulting
in
litter
was
observed
at
the
site.
Section
21
(p)(3)
of
the
Act:
No
person
shall
...
cause
of
allow
the
open
dumping
of
any
waste
which
results
in
...
open
burning.
The
open
dumping
of
waste
resulting
in
open
burning
was
observed
at
the
site.
Section
21
(p)(7)
of
the
Act:
No
person
shall
...
cause
or
allow
the
open
dumping
of
any
waste
which
results
in
...
the
deposition
of
general
construction
or
demolition
debris;
or
clean
construction
or
demolition
debris.
Open
dumping
resulting
in
the
deposition
of
general
and
clean
construction
and
demolition
debris
was
observed
at
the
site.
Section
55
(a)(1)
of
the
Act:
No
person
shall
...
cause
or
allow
the
open
dumping
of
any
used
or
waste
tire.
Open
dumping
of
waste
tires
was
observed
at
the
site.
LPC
#1 838040025
Danville / Davis
10/03/08
Page 4 of 4
ILLINOIS POLLUTION
CONTROL BOARD;
35 ILLINOIS
ADMINISTRATIVE
CODE,
SUBTITLE
G
(REGULATIONS)
Section
8
12.101 of the Regulations:
... All
persons, except those
specifically
exempted
by
Section
21(d)
of
the Environmental
Protection Act
(Act)
[415
ILCS 5/21(d)], shall
submit
to the Agency
an
application
for a permit
to develop
and operate a landfill.
The
application
must
contain
the
information required
by this
Subpart
and
by
Section
3
9(a)
of
the Act, except
as otherwise provided
in
35
Ill.
Adm.
Code
817. No such application
for
a permit to develop
and operate
a
landfill
was submitted.
STATE
OF
ILLINOIS
ENVIRONMENTAL
PROTECTION
AGENCY
Date.
of
Inspection:
3
ac
Site
Code:
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Name:
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Respondent:
AC
Number:
County
Case
Number:
Site
Code
No:
To
Whom
It
May
Concern:
Enclosed
for
filing
with
the
Board
is
the
Administrative
Citation
Package
issued
to
the
above-captioned
Respondent.
I
am
forwarding
an
original
and
nine
complete
copies
of
the
Administrative
Citationwith
the
attachedfiled
inspector’s
Affidavit
and
inspection
report.
Service
of
the
Administrative
Citation
was
doneon
November
25,
2008.
If
the
Respondent
pays
thecivil
penalty
without
filing
a
Petition
for
Review,
I
will
send
notice
immediately
for
your
record.
Respondent’s
mailing
address
is:
Bill
Richardson
647
E.
13
th
Street
Danville,
Illinois
61832
Sincerely,
C4jotb9
Bill
Richardson
08-04
1838040025
Charles
D.
Mockbee
IV