BEFORE THE ILLINOIS
POLLUTION
CONTROL BOARD
ECEgVED
IN THE MATTER OF:
CLERK’S
OFFICE
PETITION OF MAXIMUM INVESTMENTS,
LLC)
JUN
2
FOR A RULE
OF GENERAL APPLICABILITY
)
STATE
OF
ILL!
NU
PoIIuton
Contoard
PETITION FOR A RULE
OF GENERAL APPLICABILITY
A:
Language of Proposed Rule
The review and evaluation services
to be performed by the Agency
under 415
ILCS
5/22.2b(a)3
shall be identical in all respects
to the Agency review,
evaluation and approval activities
that the Agency performs under
the Site
Remediation
Program and the fees and costs shall
be the same as under the
Site
Remediation Program.
A Site Remediation Application
shall serve as the written
request that the Agency provide review
and evaluation services. The Application
shall
be
signed
by the
prospective
purchaser. The signature
of the property owner
shall
not be required on the Application
if the prospective purchaser holds
a lien
on the property. If the signature of the owner is not included,
the prospective
purchaser shall agree to enroll
the property in the Site Remediation
Program upon
obtaining title and the prospective
purchaser shall receive credit for all fees
paid
hereunder against the
costs of enrollment.
B:
Reasons Supporting the Proposal
There
is
currently no regulation defining the review
and evaluation services to
be
performed under 415 ILCS 5/22.2b(a)3.
Special procedures must
be included for
lien
holders to submit an application without an
owner’s signature because lien
holders.ofien do not have the
co-operation of the owner when seeking
to foreclose
on their lien.
C:
Synopsis of Testimony
Petitioner will testify as to his difficulties in
applying for the limit of liability
contemplated
by
415 ILCS
5/22.2b.
D:
Material Incorporated
by
Reference
None
E:
Published Studies and Research Reports
None
F:
Waiver Request from Rule
Requiring
200 Signatures
Petitioner hereby requests
a waiver from 1 02.202g
requiring a petition signed
by
at least 200 persons. Peitioner
is a small business as defined
under
5 ILCS 100/1-
75.
Compliance
with this provision would
impose
an undue burden
upon
Petitioner. Further, the
proposed Rule is of limited interest
to the public being
wholly procedural in nature.
Submitted by
/h%d1/1
Richard Rosenbaum, Manager
Maximum
Investments,
LLC
9437 Karlov
Skokie, IL 60076
o92-ó23--
9/
BEFORE
THE
ILLINOIS POLLUTION
CONTROL
BOARD
IN THE MATTER OF:
PETITION OF MAXIMUM
INVESTMENTS,
LLC)
FOR A RULE OF GENERAL
APPLICABILITY
)
Certificate of Service
I, the undersigned,
certify
that I have
served the attached
Petition for an
Adjusted
Standard, by
depositing in the US Postal
Service
first class postage prepaid
on June
22,
2009,
upon
the
following
persons:
Pollution
Control Board, Clerk
100W Randolph
Thompson
Center, Suite 11-500
Chicago,
IL
60601-3218
Division
Chief of Environmental
Enforcement
Office of Attorney General
188
W Randolph
Chicago,
IL 60601
Division
of Legal Counsel
Illinois
EPA
1021
N Grand Ave East
P0
Box 19276
Springfield, IL 61794-9276
Office of Legal Services
Dept.
of Natural
Resources
524
S
Second St
Springfield,
IL 62701-1787
Richard Rosenbaum