John
    Tarkowsici.
    27275
    West
    Lakeview
    Drive
    Wauconda,
    Illinois 60084
    (847)
    526—2800
    April
    7,
    2009
    CLK;s
    Illinois
    Polluto
    Control
    Board
    9
    100
    West
    Randolph
    Street
    Suite
    1150
    Ut,ofl
    Co,’
    B
    Chicago,
    Illinois
    60601
    d
    ‘To
    the
    Clerk
    of
    the Illinois
    Pollution
    Control
    Board:
    John
    Therriault
    Re:
    POE
    09
    62
    Mr.
    Therriault,
    I
    am
    in
    receipt
    of
    the
    POE
    Order
    dated
    April
    2,
    2009
    My
    Complaint
    under
    Section
    34
    (d)
    and
    the
    13
    documents
    submitted
    with
    my
    February 14,
    2009
    letter
    request
    the
    POE
    removal
    of the
    bogus
    “Seal
    Order”,
    that
    never
    saw
    the
    light
    of
    due
    process,
    and
    for
    the
    restoration
    of
    my
    personal
    property
    and
    property
    rights,
    as
    enjoyed
    by
    all
    other
    taxpayers,
    without
    color
    of
    governmental
    interference
    into
    constitutionally
    protected
    activities.
    The
    Order
    wrongfully
    assumes
    that
    I
    have
    not
    served
    pleadings
    upon
    2laintiff
    and
    counsel
    of
    record.
    Enclosed
    find
    evidence
    to
    the
    contrary:
    1.
    A Subpoena
    Duces
    Tecum
    served
    on
    the
    Attorney
    General;
    2,
    McGinley’s
    Motion
    to
    Quash;
    3,
    A Subpoena
    Duces
    Tecum
    served
    on
    our
    bank,
    concerning
    McG-inley’s
    confiscating
    our
    senior
    citizenst
    Social
    Security
    funds
    account,
    without
    notice
    to us,
    by the
    serving
    on
    the
    bank
    a
    citation;
    4.
    To
    discover
    assets,
    that
    McGinley
    claimed
    was
    a
    court
    “hold
    order”
    when
    he
    took
    these
    funds,
    and,
    5.
    A
    response
    from
    the
    attorney
    general
    cancerning
    an
    FOIA
    request
    and
    no
    knowledge
    to
    identify
    the
    iccue
    and
    the
    subject
    matter
    of
    the
    bogus
    “2006—3
    Seal
    Order”,
    and,
    6,
    A
    copy
    0±’
    the
    Subpoena
    Duces
    Tecum
    served
    on
    IEPA
    Director
    Douglas
    P.
    Scott,
    whichs
    ignored,
    The
    POE
    must
    look
    into
    its
    own
    files
    and
    record
    under
    Sections
    30,
    31, 32
    and
    33,
    to authenticate
    the
    “Seal
    Order”, if
    no
    such

    Page
    2
    April
    7,
    2009
    Illinois
    Pollution
    Control
    Board
    To
    the
    Clerk
    of
    the
    Illinois
    Pollution
    Control
    Board
    John
    Tberriault
    recor4
    is
    found,
    it
    is
    the
    duty
    of
    the
    Board
    to
    declare
    the
    “Seal
    Order”
    a
    fraud
    and
    void,
    and
    insure
    that
    loose
    IEPA
    pantone
    not
    escape
    a
    reprimand
    and
    removal
    from
    office
    and
    ::,
    pmpLoymant.
    Sincerely,
    rUwa
    e&7e440*1.’
    Enclosures
    b/John
    Tarkowski

    UNITED
    ST&TES
    DISTRICT
    CWRT
    NORTHN
    DISTRICT OF ILLINOIS
    ELSrsuK
    DIVISION
    PEOPLE a
    rel
    LISA M&DIGAN
    )
    Attorney
    General
    of Illinois,
    Plaintiff,
    vs.
    JOHN
    flRKOWSKI,
    Individually,
    )
    Case No.
    08
    CV
    5955
    and
    FRANCIS
    WARD, Individually,
    )
    Defendants.
    )
    SUEPEONA IUCIS flCUM
    The President of
    the United States
    of America
    to
    LISA MADIGAN,
    Attorney General of Illinois;
    GREETING:
    You
    are hereby
    commanded to provide copies
    of Court
    Records of
    the Complaint,
    Service of Process, Appearances
    filed,
    transcripts
    of trial and
    hearings of motion proceedings, evidence,
    lab reports,
    orders
    issued
    by the Court
    in
    each of the
    following cases, involving
    John
    Tarkowski, as
    the Defendant, or
    party of
    the intended relief.
    (a)
    People
    a rel
    Lisa Madlgan,
    Attorney
    General of Illinois,
    and
    ez
    rel
    Michael
    J.
    Waller, State’s Attorney of Lake
    County
    v.
    John Tarkowski,
    No.
    04
    CR 1684;
    (b)
    IA
    v.
    John Tarkowaki,
    Seal Ordeé,
    SO 2006—03;
    Cc)
    People
    v. John
    Tarkowski, No. 06 CM
    4298;
    Cd)
    State of Illinois
    v.
    Ernesto
    Villaneva, Salvador Cordova,
    Arthuro
    Sanchez.
    No.
    08
    CR
    245.
    This Subpeona
    Duces Tecum requires no witness fees, since
    you
    are not
    required to
    appear
    in
    court, only tq mail the requeted
    copies to John
    Tarkowski,
    at
    27275
    West Lakeview Drive, Wauconda,
    Illinois,
    60084,
    within
    14
    days,
    or
    less, and
    since pflor requests
    under the
    FOlD
    were not
    complied with by the Illinois Attorney
    General
    and
    her
    assistants, in the
    past
    3
    years.
    The Clerk
    of the
    U.
    S. DiBtrtit
    Court has
    mailed/served
    this Subpeona Duces
    Tecum on
    AttotneS
    General Ltsa Madigan
    personally by placing same in
    the
    U.
    S. Mail
    on Novanber______
    2008, addressed to
    her
    Chicago:Office,
    100 West Randolph Street,
    Chicago,
    Illinois
    60604.
    Clerk of the
    Court____________________ ,
    -
    fld,or Seal
    John Tarkowski,
    27275
    West
    Iiakeview
    Drive,
    Wauconda,
    Illinois 60084
    (847)
    526—2800
    /

    Case
    1:08-cv-05955
    Document
    18
    Filed
    11/25/2008
    Page
    1
    of
    2
    IN
    THE
    UNITED
    STATES
    DISTRICT
    COURT
    FOR
    THE
    NORTHERN
    DISTRICT
    OF
    ILLINOIS
    EASTERN
    DIVISION
    PEOPLE
    OFTHE
    STATE
    OF
    ILLINOIS,
    )
    ex
    ret.
    LISA
    MADIGAN,
    Attorney
    )
    General
    of
    the
    State
    of
    Illinois,
    )
    )
    Plaintiff,
    )
    )
    )
    No.
    08CV5955
    )
    JOHN
    TARKOWSKI,
    an
    individual,
    and
    )
    Judge
    Coar
    FRANCIS
    ARGUS
    WARD,
    an
    individual,
    )
    Magistrate
    Judge
    Cox
    )
    )
    Defendants.
    )
    NOTICE
    OF
    MOTION
    TO:
    John
    Tarkowski
    27275
    West
    Lakeview
    Drive
    Wauconda,
    Illinois
    60084
    PLEASE
    TAKE
    NOTICE
    that
    on
    Thursday,
    December
    4,
    2008,
    at
    9:00
    a.m.,
    in
    Courtroom
    1419,
    United
    States
    District
    Court,
    Everett
    McKinley
    Dirksen
    Building,
    219
    South
    Dearborn
    Street,
    Chicago,
    Illinois,
    Plaintiff,
    PEOPLE
    OF
    THE
    STATE
    OF
    ILLINOIS,
    ex
    ret.
    LISA
    MADIGAN,
    illinois
    Attorney
    General,
    will
    present
    their
    Motion
    to
    Quash
    Subpoena.
    Respectfully
    submitted,
    PEOPLE
    OF
    THE
    STATE
    OF
    ILLINOIS,
    ex
    ret.
    LISA
    MADIGAN,
    Attorney
    General
    of
    the
    State
    of
    Illinois,
    and
    ex
    rel.
    and
    MICHAEL
    J.
    WALLER,
    State’s
    Attorney
    of
    Lake
    County,
    Illinois
    By:
    5/
    Evan
    J.
    McGiçy
    EVAN
    J.
    McGINLEY
    Assistant
    Attorney
    General
    Environmental
    Bureau
    69
    W.
    Washington
    St.,
    Suite
    1800
    Chicago,
    Illinois
    60601
    (312)
    814-3153

    eL’BFNA-uBPOn,
    2fJCES
    TCU1i
    SU3POFNA
    FCU
    FR
    Of
    OTOY
    OF
    S
    TOFIEO
    DCC
    CENTS,
    OBJEUS
    OR
    TANGIBLE
    THINGS
    TE
    OF
    IUMNOIS
    N
    THE.
    CMCUfi
    COURT
    CURT:
    JUDHEAL
    CIRCU:T
    LAXE
    COUNTY
    ILLINOiS
    Yiainti±
    G7
    -
    cGT
    ft
    U
    e
    fend
    e
    n
    ADDRESS:
    ,
    •;
    D°a._______
    Yen
    an
    thnted
    to
    nrxiuce
    the
    following
    douments.
    cLincH
    ortnngiLle
    lUngs:
    Thn
    hoid
    ord
    er
    etet
    ‘,as
    (YcG-inley)
    served
    epon
    the
    CTNSE
    BATH,
    to
    confiscate
    and
    take
    a:_
    OCR
    ::o
    SKi
    EocaZ
    Seo
    -
    aot
    u-e
    2007
    oUR:
    of
    a
    husband/wife
    joint
    senior
    citizen
    checking
    account,
    in•.
    nr
    rosseSSlOO
    aRT/or
    controt,
    F
    JJ
    16
    2007.
    YOUR
    FAILURE
    TO
    RESPOND
    TO
    THIS
    SUBPOENA
    OR
    TO
    COMPLY
    WITH
    COUFT
    RULES
    MAY
    SUBJECT
    YOU
    TO
    PUNISHIvIENT
    FOR
    CONTEMPT
    QE
    COURT
    YOU
    MAY
    COiWLY
    WITH
    THIS
    SUBPOENA
    BY
    MAILING
    LEGIBLE
    AND
    COMPLETE
    COPIES
    OF
    ALL
    SPECIFIED
    DOCUMENTS,
    OBJECTS
    OR
    TANGIBLE
    THINGS
    REQUESTED
    IN
    THIS
    SUBPOENA
    TO
    TXE
    PARTY
    OR
    i
    FtRM
    wiioss
    pj)opjss
    pps
    BELO’L
    COMPLIANCE
    BY
    MArL
    REQUIRES
    A
    CERTIFICATION
    TEAT
    THE
    DOCUMENTS
    OBJECTS
    OR
    TANGIBLE
    THINGS
    MAILED
    ARE
    COMPLETE
    AND
    ACCURATE
    AND
    CONSTITUTE
    GOOD
    FAITH
    COMPLIANCE
    WITH
    THE
    MATERIALS
    REQUESTED
    BY
    SAiD••SUBPOENA
    -
    Itenis
    to
    be
    delivered
    to
    the
    following
    party
    or
    law
    firm
    at
    the
    Ibiowing
    address:
    TiURs:
    bNi
    Lakeview
    Dr.
    Fauconda
    IL
    6OO8t
    Vviess
    20
    -
    SkZRT’
    0
    COFFELT
    NLr
    tcnpy
    for
    Telephone
    Under
    Drovision
    a
    sec.
    1—109
    of
    the
    mactics
    act
    JOFL
    RQ9KT
    oerfes
    that
    he
    has
    serrec
    of
    r-ns
    SUE
    c
    HE
    C
    FSTC
    b
    ad
    ei
    e
    no
    the
    Lank
    on
    J’Iy
    13,
    2007,
    Clerk
    of
    the
    Circuit
    Court

    YTJY
    0OJT
    0YE
    TUZE
    YY
    EYLLUR
    J
    aKTAL
    YYi:TY,
    p
    cit
    :o
    Liiterty
    $t
    ta’ouconitu.
    a.
    A:ocs
    1tces:conct
    3UALgQUIEDto
    ap;
    1
    r
    rtirwro
    orziartorthopgorcitLesorheraof
    Ooaci
    C!
    Laiat
    (‘Jurity
    IS
    borit
    Courtiy
    Scieet,
    WaClceg:,
    iiLiao:.
    A
    druer.t
    Inst
    debtor)
    was
    enfrre
    P.
    2OS
    is
    YOL
    ARE
    ?mTED
    Em
    ar
    awci
    c-cisAr
    pr
    othar
    pdoL
    oL
    or
    L
    degwY
    aay
    oropery
    CtuCtci
    or2s±ne
    b
    iarL
    .&c-
    ur
    c
    r’e’:
    Cet
    rig
    or
    a
    wbith
    rany
    e
    etxnired
    by
    or
    beaome
    duo
    the
    ju!oror
    debtor
    LOdI
    irthe
    ord
    of
    court
    or
    r
    ontiort
    of
    thu
    prods.
    You
    are
    not
    ntquInbd
    to
    wth1d
    rho
    paynseot
    of
    any
    money
    beyond
    dotnb!e
    the
    amount
    of
    the
    balance
    duo
    11
    retjiasted,
    you
    irniysr
    ymducr
    documenia
    and/or
    r
    mnds
    mnn
    fornation
    eonioerainr
    des
    property
    or
    bwonnto
    :
    tb
    ci±re
    Obtrr
    WNING
    ItUEB
    70
    APPtLLR
    IN
    COLAI’
    AS
    hLREIN
    I)IRECTED
    MAY
    CAUSE
    YOU
    TO
    BE
    ARRESTEI)
    AN])
    EItOUGWr
    OE
    ThE
    COURT
    TO
    ANS’ceiER
    TO
    A
    Cl-lARGE
    OP
    CONThNflT
    CE
    COURT,
    WFECH
    MAY
    BE
    PUNISIJABIL
    BY
    1J&UBONhENT
    IN
    TIlE
    COUNTY
    JAIL
    NOTE:
    Your
    written
    answer
    is
    sufficient
    for
    your
    appearance
    lass
    yno
    receIver!
    a
    sthec
    ardor
    to
    personutlv
    appear
    care-c.
    Jue1AnaoiantS
    I5UMOO.aO
    Name
    of
    Conrttzaertug
    Judgment
    Lalce
    County
    Ciznuo
    Cou-t
    The
    undiedeaned
    orrtifho,
    under
    penatim
    prpeided
    N,
    pursuarci
    N
    73
    IL.CALJQ9,
    that
    the
    Informador.
    camarmned
    herein
    Is
    truø
    and
    oniseet.
    5
    ttonmy-
    uagmcm
    PecUOci
    1
    arie
    Non
    AC1r9ev
    Gne-erm
    fE3fi
    nAtE
    NCJPd/
    I
    ESS
    c
    SOWnctRamloIptiSumsOO
    (_
    F
    -
    r
    Otlonte
    60B02
    CiekofCourt
    NOTIt:
    s
    copy
    ofthis
    eiitatiann
    and
    Nortca
    r’ist
    tic
    naaih-d
    to
    thu
    Ccfcndem
    erIttim
    3
    days
    ofecreicu.
    end
    a
    Cerrn,’careoTM2e
    rt-
    c
    -‘t
    P,--i
    171—13i
    Rv
    7J1
    /
    I
    I

    OFFICE
    OF
    THE
    AITORNEY
    GENERAL
    STATE
    OF
    ILLINOIS
    Lisa
    Madigan
    November
    7,
    2008
    \‘FTORNEY
    GENERAL
    Mr.
    John
    Tarkowski
    27275
    West
    I.akeview
    Drive
    Wauconda,
    IL
    60084
    Re:
    Freedom
    of
    Information
    Act
    request,
    2008
    FOIA
    287
    Dear
    Mr.
    Tarkowski:
    Thank
    you
    for
    your
    Freedom
    of
    Information
    Act
    request
    of
    October
    25,
    2008.
    I
    have
    reviewed
    your
    request
    and
    the
    responses
    are
    noted
    below
    to
    each
    of
    your
    requests:
    1.
    Provide
    those
    orders
    and
    authority
    for
    the
    taking,
    under
    any
    state
    or
    federal
    laws.
    Response:
    There
    are
    three
    documents
    responsive
    to
    this
    request
    asfollows.
    Proposed
    Order
    on
    Ent.iy
    of
    Default
    Judgment
    8/1/06
    Order
    Plaintzff
    Verified
    Petition
    for
    Rule
    to
    Show
    cause;
    and
    Order
    ofAdjudication
    of
    Indirect
    Civil
    Contempt
    —21
    pages
    2.
    Provide
    copies
    of
    all
    contracts,
    agreements
    or
    directives,
    entered
    into
    with
    the
    TEPA
    and
    the
    state
    agents
    and
    contractors
    namedhereinabove,
    and
    the
    identity
    of
    allthose
    not
    yet
    identified
    and
    contracted
    with,
    concerning
    those
    not
    yet
    identified
    and
    contracted
    with,
    concerning
    the
    16
    acre
    farm-zoned
    property
    John
    Tarkowski
    resides
    on,
    whose
    licenses
    numbers
    are
    as
    follows:
    Template
    133J766,
    Template
    103
    K
    507,
    regular
    plates
    15920A,
    2574525D
    Tractor
    with
    dump
    and
    trailer,
    Paradise
    Transport,
    Inc.
    ICC
    144953
    MLL
    license
    No.
    21586TV.
    Response:
    The
    Office
    of
    the
    Attorney
    General
    has
    no
    documents
    responsive
    to
    this
    request.
    3.
    All’written,
    verbal
    orders,
    memo
    or
    notes,
    photos,
    surveillance,
    given
    to
    each
    of
    the
    contracting
    agents,
    spelling
    out
    th&r
    specific
    duties
    and
    instructions,
    to
    take
    all
    personal
    property
    named
    in
    those
    “oiders”,
    to
    be
    carried
    out,
    from
    2006
    to
    2008
    and
    beyond.

    Mr John
    Tarkowski
    Page 2
    November
    7,
    2008
    Response:
    The
    Office
    of
    the
    Attorney
    General
    has
    no
    documents
    responsive
    to
    this
    request.
    4.
    Identify
    all
    “hazardous
    substances,
    pollutants,
    hazardous
    waste
    and
    refuse”
    the
    IEPA
    claimed
    to
    be
    “dumped
    on
    the
    1 6-acre
    property
    and now
    claimed
    as
    “garbage
    removal”
    and
    where
    located
    on
    the
    farm.
    Response:
    The
    Office
    of
    the
    Attorney
    General
    has no
    documents
    responsive
    to
    this
    request.
    5.
    Provide
    the required
    inventory
    list
    of
    everything
    and
    destroyed
    and
    removed,
    by
    each of
    the
    contracting
    state
    agents,
    as
    referred
    to
    in
    Request
    No.
    2.
    Response:
    The
    Office
    of
    the
    Attorney
    General
    has
    no
    documents
    responsive
    to
    this
    request.
    6.
    Provide
    an
    inventory
    and disposal
    methodology
    specifications,
    of
    where
    the
    removed
    materials
    were
    taken,
    how
    disposed
    of,
    and
    any
    costs
    or
    profits
    made
    in
    disposal
    or
    sale
    of
    said property,
    and
    who
    got
    the
    money.
    Response:
    The Office
    of
    the
    Attorney
    General
    has
    no
    documents
    responsive
    to
    this
    request.
    7.
    Provide
    the
    money
    copies
    of
    any
    insurance
    coverage
    carried
    by
    the
    state
    or
    by
    the
    contracting
    agents
    and
    still
    not
    named
    agents
    involved
    concerning
    liability
    and
    damages
    or
    injuries
    caused
    to
    the
    property.
    Response:
    The
    Office
    of
    the
    Attorney
    General
    has
    no
    documents
    responsive
    to
    this
    request.
    8.
    Provide
    copies
    of
    all lab
    tests
    and
    results,
    of
    all
    the
    property
    taken
    from
    the
    parcel,
    and
    which
    was
    called
    hazardous
    arbitrarily.
    Response:
    The
    Office
    of
    the
    Attorney
    General
    has
    no
    documents
    responsive
    to
    this request.
    9. Identify
    the
    state
    or
    federal
    laws, requiring
    ordinary
    consumer
    products
    to
    be
    taken
    and
    confiscated
    by
    the
    1EPA
    that
    required
    the
    16-acre
    parcel
    and
    access
    to
    the
    home,
    to
    be
    barricaded
    and
    chained
    and
    entry
    prohibited,
    and
    to
    criminally
    prosecute
    John
    Tarkowski
    for
    moving
    the
    barricade
    to
    enter
    and
    leave
    the
    property,
    under
    a
    forged “Seal
    Order”
    SO-2006-03.

    Mr.
    John
    Tarkowski
    Page
    4
    November
    7,
    2008
    15.
    Provide
    all
    “trial
    transcripts,
    evidence,
    under
    oath
    testimony,
    claimed, as
    entered
    in
    the
    April 20,
    2006
    ex
    partie
    trial
    and any
    orders given
    for
    each
    time
    the
    IEPA
    entered the
    16-acre
    premises
    from
    2006
    to latest
    2008.”
    Response:
    Transcript
    of
    April 2Q,
    2006
    hearing
    is
    responsive,
    totalling
    56
    pages.
    16.
    Provide
    full
    1EPA
    accounting
    of the
    $1.3
    billion
    appropriated
    funds
    from
    the
    General
    Assembly,
    for its 1135
    listed
    employees
    individually
    on
    identified
    operating
    expenditures,
    individual
    contracting
    agents,
    and of any
    other expenses
    submitted
    for
    payment to the
    IEPA
    or any other
    state agency,
    or
    tribunal.
    Response:
    The
    Office
    of
    the Attorney
    General
    has no documents
    responsive
    to
    this
    request.
    17.
    Provide
    a
    copy of
    the
    IEPA 2006
    or
    current
    IEPA
    prepared
    Environmental
    Act
    as
    referred to and
    identified in the
    recently filed
    08
    MR 1323
    case.
    Response:
    The
    Environmental
    Protection Act 415
    ILC’S 5/1 et seq. 221
    pages
    long, can
    be
    provided
    to the
    requestor
    upon payment of
    appropriate
    expenses.
    Under the
    Act, a public body
    is permitted
    to charge reasonable
    copying fees.
    The
    Office
    of the
    Attorney
    General
    provides the
    first
    30
    pages free
    of charge. The
    additional
    pages
    are provided
    at .15
    per
    page. In order to
    continuing processing
    your request,
    please
    remit
    a check
    payable to
    the State
    of
    Illinois in the amount
    of
    $44.85
    for the estimated
    329
    pages in
    excess
    of
    the first
    30 pages.
    If you would
    like to
    obtain
    these
    files please
    remit payment
    by
    November
    21,
    2008.
    If
    we do not
    receive payment by
    that
    time, I
    will consider your request
    withdrawn
    u1U UIUs iuz mc.
    Please do
    not
    hesitate
    to
    contact me at
    217.558.04S6
    if you
    have further
    questions.
    Sincerely,
    Heather
    V.
    Kimmons
    Assistant
    Public Access
    Counselor
    Assistant
    Attorney
    General
    HVK:jp

    Mr.
    John
    Tarkowski
    Page
    3
    November
    7,
    2008
    Response:
    Request
    poses
    a
    question;
    does
    not seek
    documents.
    A public
    body
    is
    not
    required
    to
    answer
    questions
    posed
    to
    it by
    a
    FOIA
    requestor
    which
    are
    not
    answered
    by records
    in
    its
    possession.
    10.
    Explain
    in
    detail how
    any
    property
    located
    on
    the
    16-acres
    endangered
    public
    health
    safety
    and welfare
    of the
    public,
    and
    who
    was injured,
    in
    detail.
    Response:
    Request
    poses
    a
    question;
    does
    not seek
    documents.
    A
    public
    body
    is
    not
    required
    to
    answer
    questions
    posed
    to it
    by
    a FOIA
    requestor
    which
    are
    not
    answered by
    records
    in
    its
    possession.
    it.
    Provide
    congressional,
    state
    or
    federal
    authorization, for
    the
    taking
    and removal
    of
    ordinary
    consumer
    and
    petroleum
    products,
    vehicles,
    building
    materials
    and
    tools
    of the
    trade,
    from
    the farm-zoned
    property,
    and what
    made
    this
    taken
    property,
    contraband
    and
    illegal
    to
    possess
    by
    John Tarkowski.
    Response:
    There
    are three
    documents
    responsive
    to this
    request
    as
    follows:
    Proposed
    Order
    on
    Entiy
    of
    Default
    Judgment 8/1/06
    Order
    Plaintiffs
    VerifIed
    Petition
    for Rule
    to
    Show Cause;
    and
    Order
    of
    Adjudication
    ofIndirect
    Civil
    Contempt
    21
    pages
    12.
    Provide
    all
    bills for
    all
    expenditures
    claimed,
    and paid
    for by
    the IEPA
    in
    08
    MR
    1323
    case.
    Response:
    Various
    invoices
    and
    related
    documents
    have
    been
    located
    which
    are
    responsive
    to this
    request
    totalling
    30
    pages.
    13.
    Identify
    any
    remaining
    “hazardous
    material
    or property”
    that
    would justify
    the
    IEPA
    to
    continue
    barricading
    and
    prohibiting
    John Tarkowski
    access
    to
    the
    private
    16-acre
    secluded
    property.
    Response:
    Request
    poses
    a question;
    does
    not
    seek
    documents. A
    public
    body
    is
    not
    required
    to answer
    questions
    posed
    to
    it by
    a FOIA
    requestor
    which
    are
    not
    answered
    by
    records
    in its
    possession.
    14.
    Provide
    or
    identify
    the
    law,
    regulation
    or
    rule, that
    authorizes
    removal
    and
    destruction
    of
    all
    roads
    and
    levees
    on the
    16-acre
    parcel,
    or
    that prohibits
    roads
    and
    levees
    to be built
    on private
    farm
    property.
    Response:
    Request
    poses
    a
    question;
    does
    not seek
    documents.
    A public
    body
    is not
    required
    to
    answer
    questions
    posed
    to it
    by
    a FOJA
    requestor
    which
    are
    not
    answered
    by
    records
    in
    its possession.

    i2c13
    SUBPOENA
    FOR
    PRODUION
    OF
    SPECIFIED
    DOCUMENTS.
    OBJECFS
    OR
    TANGIBLE
    THINGS
    STATE
    OF
    ILLINOIS
    IN
    THE
    CIRCUIT
    COURT
    OF
    THE
    NINETEENTH
    JUDICIAL
    CIRCUIT
    LAKE
    COUNTY,
    ILLINOtS
    rO:
    Director
    IEPA
    DDRESSlO
    2
    lTGrafld
    Ave
    East,
    You
    ae
    directed
    to
    produce
    the
    following
    documents,
    objects
    or
    tangible
    things:
    All
    orders,
    contracts,
    communications..
    lab
    rDo-r-t
    nhotoR
    transrrI-r)t
    of
    nronin
    authorizing
    2727
    t
    5
    Lalceview
    Dr,
    Wauconja,
    ll,
    from
    ly
    through
    November
    2006,
    and
    Seal
    Order
    S0
    2006—3
    and 06
    OH
    4298,
    and
    inventory
    list
    of
    all
    prop
    erty
    searched,
    seized,
    removed
    or
    desnrov,
    and
    place
    of
    storage
    or
    ispostion
    oI
    same
    YOUR
    FAILURE
    TO
    RESPOND
    TO
    THIS
    SUBPOENA
    OR
    TO
    COMPLY
    WITH
    COURT
    RULES
    MAY
    SUE3ECt’OU
    TO
    PNIS1t’TT
    FOR
    CONTEMPT
    0?
    COURT.
    YOU
    MAY
    COMPLY
    WITH
    THIS
    SUBPOENA
    BY
    MAILING
    LEGIBLE
    AND
    COMPLETE
    COPIES
    OF
    ALL
    SPECIFIED
    DOCUMENTS
    OBJECrS
    OR
    TANGIBLE
    THINGS
    REQUESTED
    IN
    THIS
    SUBPOENA
    TO
    THE
    PARTY.
    OR
    LAW
    FIRM
    WHOSE
    ADDRESS
    APPEARS
    BELOW,
    COMPLiANCE
    BY
    MAil
    REQUIRES
    A
    CERTIFICATION
    THAT
    THE
    DOCUlvNTS,
    OBJECrS
    OR
    TANGIBLE
    THINGS
    MAILED
    ARE
    COMPLETE
    AND
    ACCURATE
    AND
    CONSTITUTE
    GOOD
    FAITH
    COMPLIANCE
    WITH
    THE
    MATERIALS
    REQUESTED
    BY
    SAID
    SUBPOENA.
    =
    -
    -
    -
    -
    -
    y%*
    I’”S’tI
    ‘•-
    r.
    ;‘•,•.-‘
    :
    -
    “-
    tto±ney
    Aaass
    City
    Telephone
    PEOPLE,
    JOHN
    TARKOWSKT
    vs,
    )
    )
    )
    NO.
    _2_!
    4298
    )
    >
    )
    Items
    to
    be
    delivered
    to
    the
    following
    party
    or
    law
    firm
    at
    the
    following
    address:
    I
    ewi
    sB
    or
    iii+,
    fltmi+i
    St_
    Wii
    rrn.
    IL..
    6flOR6O
    and/or
    Tr,
    lmic1ri
    .
    .
    —---—““,.
    for
    Witne_e-t’i
    /
    -
    ,,
    Clerk
    of
    the
    Circuit
    Court
    Lake
    County,
    Illinois

    Back to top