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
-
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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.
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of
the
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has
serrec
of
r-ns
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e
no
the
Lank
on
J’Iy
13,
2007,
Clerk
of
the
Circuit
Court
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or
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ontiort
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prods.
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are
not
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paynseot
of
any
money
beyond
dotnb!e
the
amount
of
the
balance
duo
11
retjiasted,
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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
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Is
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ttonmy-
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and
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3
days
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end
a
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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