ILUNOS
    ENVrnONMENTAL
    PROTECTON
    AGENCY
    1021
    North
    Grand
    Avenue
    East,
    P.O.
    Box
    19276,
    Springfield,
    Illinois
    62794-92760
    (217)
    782-2829
    James
    R.
    Thompson
    Center,
    100
    West
    Randolph,
    Suite
    11-300,
    Chicago,
    IL
    60601
    o(312)
    814-6026
    PAT
    QUINN,
    GOVERNOR
    DOUGLAS P.
    SCOTT,
    DIRECTOR
    (217) 782-9817
    TDD:
    (217)
    782-9143
    July
    8,
    2009
    John
    Therriault,
    Clerk
    Illinois Pollution
    Control
    Board
    James
    R.
    Thompson
    Center
    100
    West
    Randolph
    Street,
    Suite
    11-500
    Chicago,
    Illinois 60601
    Re:
    Illinois Environmental
    Protection
    Agency
    v.
    Jess
    Spradlin
    dba
    Spradlin Mobile
    Home
    Sales,
    and
    Drewnard
    Woods and
    Kris
    Warren
    dba
    W&W Auto
    Service
    LEPA
    File
    No.136-09-AC; 1671205263—Sangamon
    County
    Dear
    Mr.
    Therriault:
    Enclosed
    for
    filing with
    the
    Illinois Pollution
    Control Board,
    please
    find
    the
    original
    and
    nine
    true
    and
    correct copies
    of
    the
    Administrative
    Citation Package,
    consisting
    of
    the
    Administrative
    Citation, the
    inspector’s
    Affidavit,
    and
    the
    inspector’s
    Illinois Environmental
    Protection
    Agency
    Open Dump
    Inspection
    Checklist, issued to the
    above-referenced
    respondent(s).
    On
    this
    date,
    a
    copy
    of
    the
    Administrative
    Citation Package
    was
    sent
    to the
    Respondent(s)
    via
    Certified
    Mail. As
    soon
    as
    I receive
    the
    return
    receipt,
    I
    will
    promptly
    file
    a
    copy with
    you,
    so
    that
    the
    Illinois
    Pollution
    Control
    Board may
    calculate
    the
    thirty-five
    (35)
    day
    appeal
    period
    for
    purposes
    of
    entering a
    default
    judgment
    in
    the
    event
    the
    Respondent(s)
    fails
    or
    elects
    not
    to
    file
    a
    petition for
    review contesting
    the
    Administrative
    Citation.
    If
    you
    have
    any
    questions
    or concerns,
    please
    do
    not
    hesitate
    to
    contact
    me
    at
    the
    number
    above.
    Thank you
    for
    your cooperation.
    Michelle
    M.
    Ryan
    Assistant Counsel
    Enclosures
    Rockford
    o4302
    N. Main
    St., Rockford,
    IL
    61103
    0(815)
    987-7760
    Des
    Plaines
    o9511
    W.
    1-larrison
    St.,
    Des
    Plaines,
    IL
    600160(847)
    294-4000
    Elgin
    0595
    S.
    State,
    0gm,
    IL
    60123
    (847)
    608-3131
    Peoria
    05415
    N. University
    St., Peoria,
    IL
    616140(309)
    693-5463
    Bureau
    of
    Land
    — Peoria
    • 7620
    N.
    University
    St.,
    Peoria,
    IL
    616140(309)
    693-5462
    Champaign • 2125
    5.
    First
    St.,
    champaign,
    IL
    618200)217)
    278-5800
    Collinsville .2009
    MalI
    Street,
    collinsville,
    IL
    62234
    • (618)
    346-5120
    Marion
    2309W.
    Main
    St.,
    Suite
    116,
    Marion,
    IL
    62959
    (618)
    993-7200
    CLER<’S
    OFFICE
    JUL
    132009
    STATE
    OF
    IL1JNQg
    POIItjn
    Control
    Board
    I
    I
    /
    I
    L
    Primed
    on
    Recycled
    Paper

    ILLINOIS
    ENVIRONMENTAL
    )
    PROTECTION
    AGENCY,
    )
    )
    Complainant,
    )
    )
    v.
    )
    )
    JESS
    SPRADLIN,
    )
    dba
    SPRADLIN
    MOBILE
    HOME
    SALES,
    )
    and
    )
    DREWNARD
    WOODS
    and KRIS
    )
    WARREN
    dba
    W&W
    AUTO
    SERVICE,
    )
    )
    AC
    (JEPA No.
    139-09-AC)
    JUL
    3
    2Oog
    I8Ord
    Respondents.
    )
    NOTICE
    OF FILING
    To:
    Jess
    Spradlin
    dba Spradlin
    Mobile
    Home
    Sales
    1034 East
    Morton
    Avenue
    Jacksonville,
    Illinois
    62650-3302
    Drewnard
    Woods
    and
    Kris Warren
    dba
    W&W Auto
    Service
    1709
    South Dirksen
    Parkway
    Springfield,
    Illinois
    62702
    PLEASE
    TAKE NOTICE
    that
    on this date
    I mailed
    for filing
    with the Clerk
    of the
    Pollution
    Control
    Board
    of the State
    of Illinois
    the
    following
    instrument(s)
    entitled
    ADMINISTRATIVE
    CITATION,
    AFFIDAVIT,
    and
    OPEN DUMP
    INSPECTION
    CHECKLIST.
    Illinois
    Environmental
    Protection
    Agency
    1021
    North Grand
    Avenue
    East
    P.O.
    Box
    19276
    Springfield,
    Illinois
    62794-9276
    (217)
    782-5544
    BEFORE
    THE
    ILLINOIS
    POLLUTION
    CONTROL
    BOARD
    ADMINISTRATIVE
    CITATION
    Assistant
    Counsel
    Dated:
    July 8, 2009

    BEFORE THE
    ILLINOIS
    POLLUTION
    CONTROL
    BOARD
    °FIcE
    ADMINISTRATIVE
    CITATION
    JUL
    32
    p0,
    1
    47
    o1
    ILLINOIS
    ENVIRONMENTAL
    )
    UtiO
    Cotrj,OIS
    PROTECTION AGENCY,
    )
    Complainant,
    )
    AC
    /
    /f
    Cl
    —j
    v.
    )
    (IEPA
    No.139-09-AC)
    JESSSPRADLIN,
    dba SPRADLIN
    MOBILE HOME
    SALES,
    )
    and
    DREWNARD
    WOODS
    and
    KRIS
    WARREN
    )
    dbaW&WAUTO
    SERVICE,
    )
    /
    Respondents.
    JURISDICTION
    This Administrative
    Citation is issued
    pursuant to
    the
    authority
    vested in
    the Illinois
    Environmental
    Protection Agency
    by Section
    31.1
    of the Illinois
    Environmental Protection
    Act,
    415
    ILCS 5/31.1 (2006).
    FACTS
    1.
    That
    Jess Spradlin dba
    Spradlin
    Mobile
    Home Sales,
    and Drewnard Woods
    and
    Kris
    Warren
    dba
    W&W Auto Service
    are the current
    owners and operators
    (“Respondents”)
    of a facility
    located at 1709
    South Dirksen Parkway,
    Springfield,
    Sangamon
    County, Illinois.
    The
    property
    is
    commonly known
    to
    the
    Illinois Environmental
    Protection
    Agency as Springfield/W&W
    Auto
    Service
    Property.
    2.
    That said facility
    is an open
    dump operating
    without an
    Illinois
    Environmental
    Protection
    Agency Operating
    Permit and
    is
    designated with
    Site Code No. 1671205263.
    3.
    That Respondents
    have owned
    and
    operated
    said facility at all times
    pertinent
    hereto.
    4.
    That on May 20,
    2009, Jan Mier
    of the Illinois Environmental
    Protection
    Agency’s
    (“Illinois
    EPA”)
    Springfield
    Regional
    Office inspected
    the
    above-described
    facility.
    A copy
    of her

    inspection report setting
    forth the results
    of said inspection
    is attached
    hereto and made
    a part
    hereof.
    5.
    That
    on
    2009,
    Illinois
    EPA sent
    this Administrative
    Citation
    via
    Certified
    Mail No.
    70(17
    302.0
    000Z
    3Z14
    3k,68
    AI
    7007
    302_O
    0002—
    3Zt4
    3k1.
    VIOLATIONS
    Based
    upon
    direct
    observations made
    by Jan Mier during
    the course of her
    May
    20, 2009
    inspection
    of
    the above-named facility,
    the Illinois
    Environmental Protection
    Agency
    has determined
    that Respondents have
    violated the Illinois
    Environmental
    Protection
    Act
    (hereinafter,
    the “Act”)
    as
    follows:
    (1) That
    Respondents
    caused or allowed
    the open
    dumping of
    waste
    in
    a manner
    resulting in
    litter, a violation of
    Section
    21(p)(1)
    of the Act, 415 ILCS
    5/
    2
    1(p)(1)
    (2006).
    CIVIL
    PENALTY
    Pursuant
    to Section 42(b)(4-5) of
    the
    Act, 415
    ILCS 5142(b)(4-5)
    (2006), Respondents
    are
    subject
    to a civil penalty
    of One Thousand Five
    Hundred
    Dollars
    ($1,500.00)
    for
    each of
    the
    violations identified
    above, for a total
    of
    One Thousand,
    Five Hundred
    Dollars ($1,500.00).
    If
    Respondents elect not
    to petition the Illinois
    Pollution
    Control Board, the statutory
    civil
    penalty
    specified
    above shall be due and
    payable no later than
    August
    1,
    2009, unless otherwise
    provided
    by
    order of the Illinois
    Pollution Control
    Board.
    If Respondents elect
    to contest
    this
    Administrative
    Citation
    by petitioning
    the Illinois
    Pollution
    Control
    Board in accordance
    with Section 31.1
    of
    the
    Act, 415
    ILCS
    5/31.1(2006),
    and if the Illinois
    Pollution
    Control
    Board
    issues
    a finding of violation
    as
    alleged
    herein, after an adjudicatory
    hearing,
    Respondents
    shall
    be
    assessed the
    associated hearing
    costs incurred
    by the Illinois
    Environmental
    Protection
    Agency
    and
    the
    Illinois Pollution
    Control Board.
    Those hearing
    costs shall
    be assessed
    2

    in
    addition to
    the One Thousand Five
    Hundred
    Dollar ($1,500.00)
    statutory civil penalty
    for each
    violation.
    Pursuant
    to Section 31.1
    (d)(1) of the
    Act, 415
    ILCS
    5/31.1 (d)(1) (2006),
    if
    Respondents
    fail
    to petition
    or elect not to petition
    the Illinois
    Pollution
    Control Board
    for review of
    this
    Administrative
    Citation within thirty-five
    (35) days
    of the date of service,
    the Illinois
    Pollution Control
    Board
    shall
    adopt a final order,
    which shall include
    this
    Administrative
    Citation
    and findings of violation
    as
    alleged
    herein, and shall impose
    the
    statutory
    civil
    penalty
    specified
    above.
    When
    payment is
    made, Respondent’s
    check
    shall
    be made
    payable
    to
    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.
    Along with
    payment, Respondents
    shall complete
    and
    return
    the
    enclosed
    Remittance
    Form to ensure
    proper documentation
    of
    payment.
    If any
    civil penalty and/or
    hearing costs are
    not paid
    within
    the time prescribed
    by order
    of
    the
    Illinois Pollution Control
    Board, interest
    on said penalty
    and/or
    hearing
    costs shall be
    assessed
    against the
    Respondents from
    the date payment is
    due up to and including
    the date
    that payment
    is
    received. The Office
    of the Illinois Attorney
    General
    may be requested
    to initiate
    proceedings
    against Respondents
    in
    Circuit
    Court to collect said
    penalty
    and/or
    hearing costs, plus
    any interest
    accrued.
    3

    PROCEDURE
    FOR
    CONTESTING THIS
    ADMINISTRATIVE
    CITATION
    Respondents
    have
    the right to contest
    this Administrative
    Citation
    pursuant to
    and
    in
    accordance with
    Section 31.1
    of the
    Act,
    415 ILCS
    5/3 1/1 (2006).
    If Respondents
    elect to
    contest
    this Administrative
    Citation, then Respondents
    shall file
    a signed
    Petition for Review,
    including
    a
    Notice of Filing, Certificate
    of
    Service,
    and Notice
    of Appearance,
    with the
    Clerk
    of the
    Illinois
    Pollution
    Control
    Board,
    State of Illinois Center,
    100 West
    Randolph,
    Suite
    1 1-500, Chicago,
    Illinois
    60601.
    A copy of said Petition
    for
    Review
    shall
    be filed
    with
    the Illinois Environmental
    Protection
    Agency’s Division
    of Legal
    Counsel
    at 1021 North Grand
    Avenue East,
    P.O. Box
    19276,
    Springfield,
    Illinois
    62794-9276. Section
    31.1 of the
    Act provides that
    any Petition for Review
    shall be
    filed
    within
    thirty-five
    (35) days
    of the
    date of service of this
    Administrative
    Citation
    or the
    Illinois
    Pollution
    Control Board shall enter
    a default
    judgment against the
    Respondents.
    (6
    Date:
    ‘7
    f7 IOCj
    Dougla
    . Scott, Dictor
    7
    Illinois
    Environmental Protection
    Agency
    Prepared by:
    Susan
    E. Konzelmann, Legal
    Assistant
    Division
    of
    Legal Counsel
    I llnois Environmental
    Protection
    Agency
    1021
    North
    Grand
    Avenue East
    P.O. Box
    19276
    Springfield,
    Illinois 62794-9276
    (217) 782-5544
    4

    CLV
    0
    REMITTANCE FORM
    JUL
    13
    2009
    OF
    IL
    N
    ILLINOIS
    ENVIRONMENTAL
    )
    Controj8
    PROTECTION
    AGENCY,
    )
    V.
    Complainant,
    ))
    )
    AC
    (IEPA
    )
    No. 139-09-AC)
    )
    JESSSPRADLIN,
    )
    dba
    SPRADLIN MOBILE
    HOME SALES,
    )
    and
    )
    DREWNARD
    WOODS and
    KRIS WARREN
    )
    dba W&W
    AUTO SERVICE,
    Respondents
    )
    FACILITY:
    SpringfieldlW&W
    Auto Service
    Property
    SITE CODE NO.:
    1671205263
    COUNTY:
    Sangamon
    CIVIL
    PENALTY:
    $1,500.00
    DATE OF INSPECTION:
    May
    20, 2009
    DATE REMITTED:
    55/FEIN
    NUMBER:
    SIGNATURE:
    NOTE
    Please enter the
    date of
    your
    remittance,
    your Social
    Security
    number (SS) if an
    individual
    or
    Federal Employer Identification
    Number
    (FEIN) if a
    corporation, and sign
    this Remittance
    Form.
    Be
    sure your check
    is enclosed and mail,
    along with
    Remittance Form, to
    Illinois
    Environmental
    Protection Agency, Attn.:
    Fiscal Services, P.O.
    Box
    19276,
    Springfield, Illinois
    62794-9276.
    5

    ILLINOIS
    ENVIRONMENTAL
    PROTECTION
    AGENCXPLE,
    AFFIDAVIT
    JUL
    13
    s
    2009
    PoiTTE0P
    ILLJNO
    IN
    THE
    MATTER
    OF:
    )
    IOn
    COn
    01
    illinois
    Environmental
    )
    ñ
    Protection
    Agency
    )
    )
    vs.
    )
    IEPA
    DOCKET
    NO.
    )
    Jess
    Spradlin,
    )
    dba
    Spradlin
    Mobile
    Homes
    Sales,
    )
    and
    )
    Drewnard
    Woods
    and
    Kris
    Warren,
    )
    dba
    W&W
    Auto
    Service,
    )
    )
    Respondents
    )
    Affiant,
    Jan Mier,
    being
    first
    duly
    sworn,
    voluntarily
    deposes
    and
    states
    as
    follows:
    1.
    Affiant
    is
    a field
    inspector
    employed
    by
    the
    Division
    of
    Land
    Pollution
    Control/Field
    Operations
    Section
    of
    the Environmental
    Protection
    Agency
    and
    has been
    so employed
    at
    all times
    pertinent
    hereto.
    2. On
    May
    20,
    2009,
    between
    11:45
    a.m.
    and
    12:05
    p.m.,
    Affiant
    conducted
    an
    inspection
    of an open
    dump,
    located
    in
    Sangamon
    County,
    Illinois
    and
    known
    as
    SpringfIeld/W&
    WAuto
    Service
    by
    the
    Illinois
    Environmental
    Protection
    Agency.
    Said
    site
    has been
    assigned
    site
    code
    number
    LPC #1671205263
    by
    the
    Agency.
    3.
    Affiant
    inspected
    said
    site
    by
    an
    on-site
    inspection,
    which
    included
    walking
    and
    photographing the
    site.
    4.
    As
    a
    result
    of
    the activities
    referred
    to
    in
    Paragraph
    3
    above,
    Affiant
    completed
    the
    Inspection
    Report
    form
    attached
    hereto
    and
    made
    a part
    hereof,
    which,
    to
    the
    best
    of
    AffianCs
    knowledge
    and belief,
    is
    an accurate
    representation
    of Affiant’s
    observations
    and
    factual
    conclusions
    with
    respect
    to
    said
    open
    dump.
    Jan
    Mier
    Subscribed
    and
    Sworn
    to
    Before
    Me
    this
    J1Z
    day
    of9izi2_
    2009
    NotaryPubhc’

    County:
    Sangamon
    LPC#:
    Location/Site
    Name:
    Springfield/VV&W
    Auto Service
    Date:
    5/20/09
    Inspector(s):
    Jan Mier
    No. of Photos
    Taken:
    # 15
    Est. Amt.
    of Waste:
    55
    Interviewed:
    Kris
    Warren
    ILLINOIS
    ENVIRONMENTAL
    PROTECTION
    AGNewsaFFla
    vp
    Open Dump
    Inspection Checklist
    JI.jL
    132009
    1671205263
    RegiaTAWIuiW6IS
    ‘ollutton ‘ntroi
    loard
    Time:
    From
    11:45 AM
    To 12:05 PM. Previous
    Inspection Date:
    1/23/09
    Weather:
    75° Sunny
    yds3
    Samples
    Taken: Yes #
    Complaint #:
    Responsible
    Party
    Mailing Address(es)
    and Phone
    Number(s):
    No x
    Drewnard Woods
    and
    Kris Warren
    dba
    W&W
    Auto Service
    1709
    S.
    Dirksen
    Parkway
    Springfield,
    IL 62702
    217/525-2376
    Jess
    Spradlin
    Spradlin Mobile
    Homes
    Sales
    1034
    E. Morton
    Ave.
    Jacksonville, IL
    62650-3302
    217/243-4449
    bECTION
    DESCRIPTION
    VIOL
    ILLINOIS
    ENVIRONMENTAL
    PROTECTION
    ACT
    REQUIREMENTS
    1.
    9(a)
    CAUSE,
    THREATEN OR
    ALLOW AIR
    POLLUTION IN ILLINOIS
    El
    2.
    9(c)
    CAUSE
    OR ALLOW OPEN
    BURNING
    El
    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
    El
    (2)
    In Violation
    of Any Regulations or
    Standards Adopted
    by the Board
    El
    DISPOSE,
    TREAT, STORE,
    OR ABANDON
    ANY WASTE, OR
    TRANSPORT
    ANY
    WASTE
    INTO THE
    STATE ATITO
    SITES NOT MEETING
    REQUIREMENTS
    OF
    ACT
    El
    7.
    21(e)
    AND
    REGULATIONS
    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
    El
    (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
    Revised 06/18/2001
    (Open Dump
    - 1)

    LPC #
    1671205263
    Inspection
    Date:
    5/20/09
    Deposition of: (I) General Construction or
    Demolition Debris as defined
    in Section
    (7)
    3.160(a); or (ii) Clean Construction or Demolition Debris
    as defined in Section
    3.160(b)
    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
    El
    [
    Cause
    or AMow Water
    to
    Accumulate in
    Used
    Tires
    35 ILLINOIS ADMINISTRATIVE CODE
    REQUIREMENTS
    SUBTITLE G
    10.
    812.101(a)
    OPERATEALANDFILL
    FAILURE
    TO SUBMIT
    AN
    APPLICATION
    FOR
    A PERMIT TO DEVELOP
    AND
    El
    11.
    722.111
    HAZARDOUS WASTE DETERMINATION
    El
    12.
    808.121
    SPECIAL WASTE DETERMINATION
    El
    ACCEPTANCE OF SPECIAL WASTE FROM A WASTE
    TRANSPORTER WITHOUT
    A
    WASTE HAULING PERMIT, UNIFORM WASTE PROGRAM
    REGISTRATION
    AND
    El
    13.
    809.302(a)
    PERMIT ANDIOR_MANIFEST
    OTHER_REQUIREMENTS
    14.
    APPARENT
    CASE_NUMBER:
    VIOLATION
    OF:
    (LI)
    PCB;
    ORDER_ENTERED_ON:
    (El)
    CIRCUIT COURT
    El
    15.
    OTHER:
    El
    El
    El
    El
    El
    El
    Informational Notes
    1.
    [Illinois]
    Environmental
    Protection Act: 415 ILCS 5/4.
    2.
    Illinois
    Pollution
    Control Board: 35 III. 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
    06/18/2001
    (Open Dump - 2)

    STATE OF ILLINOIS
    ENVIRONMENTAL
    PROTECTION AGENCY
    INSPECTION NARRATIVE
    LPC#1671205263
    — Sangamon County
    -
    DATE: 5/20/09
    SpringfieldfW&W
    Auto
    Service
    INSPECTOR: Jan Mier
    FOS
    File
    On May 20, 2009,
    I conducted a re-inspection
    at the above referenced site
    located
    at
    1709 S. Dirksen
    Parkway in
    Springfield, IL. The property
    is owned by Jess Spradlin, who operates
    Spradlin
    Mobile
    Home
    Sales at the property.
    Drewnard Woods
    and Kris
    Warren,
    operate W&W Auto Service at the
    site.
    Both parties were
    sent an Administrative Citation Warning Notice dated February 18, 2009. A
    written response
    was not received from either party.
    Mr.
    Spradlin called me in April of 2009,
    requesting a few
    days extra to remove the remaining
    waste. I agreed.
    Their original deadline was
    March 23, 2009.
    I arrived
    at
    11:45
    a.m. Kris
    Warren, who runs the business, was on site. I told him I was going in
    back
    to see if the violations
    had been taken care of. I first observed
    used
    tires off the rim (see photo
    #001) that contained
    water
    (see photo #002): On rim used tires were stacked in with vinyl siding, a
    barbeque grill,
    and
    lumber
    (see photo
    #003)
    against a shed. Also along the shed were
    pieces
    of metal,
    lumber and windows
    (see photo
    #004).
    On
    the west side of the property, I observed a
    desk and chair
    and
    a camper top and lumber
    lying
    on the ground (see photo
    #005).
    Some used tires on and off the
    rim
    were
    nearby. The off
    rim used tires held water
    (see
    photo
    #006).
    Pieces of insulation were lying
    on the ground
    (see photo #007). More on
    rim used tires were lying on the ground
    next
    to
    commercial
    lighting
    posts
    and a file cabinet,
    and two empty yellow drums (see photo #008). Along the fence on
    the east side of the
    property,
    I observed used on
    rim
    tires,
    an empty blue
    drum, plastic sheeting, and
    part of
    a sign (see photo
    #009). Also along the fence were more on rim used tires, a
    plastic bucket,
    and pieces of metal
    that were covered
    by
    vegetation (see photo #010). On the south side of the garage
    there
    were more auto body
    parts than during my previous inspection. The three drums (one
    of which
    contains paint waste),
    as well as an air conditioner,
    a
    pile
    of
    shingles, and plastic and metal containers
    (see photo #011). Photo
    #012 is a continuation of photo #011, showing more auto body parts, a
    weathered
    wooden
    structure, and a white plastic
    tank. Cinder blocks, a white
    plastic bucket, pvc pipe,
    an empty drum, and a
    green plastic container are shown in Photo #013. The row of mobile
    homes
    were still onsite (see photo
    #0 14). During my previous inspection, Mr. Warren said they were
    for
    sale
    for
    $200.00
    In the middle of
    the lot was a pickup truck bed cover, a stack of pallets, and
    oil pan, car
    mats, and paper
    (see photo #0 15).
    I went back inside to garage
    to speak to Mr. Warren. I asked where the shed was that used
    tires were
    kept
    in during my
    last inspection. He said he had
    a
    tarp
    over the waste
    tires, but it had blown off in
    the
    stonn that passed through. I told him
    to drain and cover the used tires
    immediately. The used oil
    tank had been labeled, resolving
    a
    violation
    of Section 739.1 22(c)( 1) of the Illinois
    Pollution Control
    Board Regulations. I asked
    Mr. Warren if he had disposed of any used tires since I was last here. He
    called D’s
    Auto World and had them fax
    me a copy of a receipt for 163 tires from
    Tire Shredders
    Unlimited on 4/17/09. This arrived
    on May 20, 2009 (see attached). I departed at
    12:05 p.m.
    Continuing violations
    observed during the inspection are noted on the attached
    checklist.
    cc:
    DLPC Division File
    DLPC/FOS — Springfield
    Region

    STATE OF ILLINOIS
    ENVIRONMENTAL
    PROTECTION AGENCY
    SITE SKETCH
    Date of Inspection:
    5/20/09
    Inspector:
    Jan Mier
    Site Code:
    LPC#1671205263
    County:
    Sangamon
    Site:
    Springfield/W&W Auto Service
    Time:
    11:45 a.m. — 12:05 p.m.
    NORTH
    Measurements Approximate
    Direction
    of Photo
    —*
    Not to Scale
    ci
    (
    7
    Q(
    L

    Photograph
    File
    Names:
    1671
    205263-05202009-[Exp.
    #].jpg
    Off
    rim
    used
    tires
    and
    empty
    drums
    Date:
    5/20/09
    Time:
    11:47a.m.
    Direction:
    W
    Photo
    by:
    Jan
    Mier
    Exposure
    #:
    002
    Comments:
    Off
    rim
    used
    tires
    with
    water
    inside
    them
    Page
    1
    of
    8

    On
    rim
    used
    tires,
    vinyl
    siding,
    barbeque
    grill,
    and
    lumber
    Date:
    5/20/09
    Time:
    11:48
    am.
    Direction:
    SW
    Photo
    by:
    Jan
    Mier
    Exposure
    #:
    004
    Comments:
    Pieces
    of
    metal
    and
    lumber
    Photograph
    File
    Names:
    1671
    205263-05202009—[Exp.
    #].jpg
    Page
    2
    of
    8

    Desk,
    chair,
    used
    tires,
    pickup
    camper
    top
    and
    lumber
    Date:
    5/20/09
    Time:
    11:50a.m.
    Direction:
    NW
    Photo
    by:
    Jan
    Mier
    Exposure
    #:
    006
    Comments:
    Used
    on
    and
    off
    rim
    tires
    with
    water
    in
    the
    off
    rim
    tire
    Photograph
    File
    Names:
    1671
    205263-05202009-[Exp.
    #J.jpg
    Page
    3
    of
    8

    Insulation
    Date:
    5/20/09
    Time:
    11:51
    a.m.
    Direction:
    E
    Photo
    by:
    Jan
    Mier
    Exposure
    #:
    008
    Comments:
    Commercial
    lighting,
    used
    on
    rim
    tires
    and
    empty
    yellow
    drums,
    and
    file
    cabinet
    Photograph
    File
    Names:
    1671
    205263-05202009-[Exp.
    #].jpg
    Page
    4
    of
    8

    Comments:
    Used
    on
    rim
    tires,
    empty
    bluedrum,
    plastic
    sheeting,
    and
    part
    of
    a
    sign
    Date:
    5/20/09
    Time:
    11:53a.m.
    Direction:
    SE
    Photo
    by:
    Jan
    Mier
    Exposure#:
    010
    Comments:
    Two
    used
    tires
    and
    white
    plastic
    containers
    with
    metal
    underneath
    vegetation
    Page
    5
    of
    8

    Top
    blue
    drum
    with
    paint
    waste,
    blue
    and
    yellow
    emptydrums,
    air
    conditioner,vehicle
    body
    parts,
    shingles,
    and
    plastic
    and
    metal
    containers
    Date:
    5/20/09
    Time:
    11:55
    am.
    Direction:
    NE
    Photo
    by:
    Jan
    Mier
    Exposure
    #:
    012
    Comments:
    Vehicle
    body
    parts,
    tanks,
    plastic
    containers,
    weathered
    wooded
    structure
    and
    white
    plastic
    tank
    in
    background
    overgrown
    with
    weeds
    Page
    6
    of
    8

    Concrete
    blocks,
    plastic
    container
    with
    unknown
    fluid,
    green
    plastic
    container,
    pvc
    pipe,
    plastic
    tank,and
    empty
    drum
    over
    grown
    with
    vegetation
    Date:
    5/20/09
    Time:
    11:57a.m.
    Direction:
    N
    Photo
    by:
    Jan
    Mier
    Exposure
    #:
    014
    Comments:
    Old
    mobile
    homes
    and
    vehicles
    Photograph
    File
    Names:
    1671
    205263-05202009-[Exp.
    #].j
    pg
    Page
    7
    of
    8

    Photograph
    File
    Names:
    1671
    205263-05202009-[Exp.
    #]jpg
    Pickup
    bed
    cover,
    stack
    of
    pallets,
    oil
    pan,
    car
    mats,
    rubber,
    and
    paper
    Page
    8
    of
    8

    AFFIDAVIT,
    and
    OPEN
    DUMP
    INSPECTIONCHECKLIST
    To:
    Jess
    Spradlin
    Drewnard
    Woods
    and
    Kris
    Warren
    dbaSpradlin
    Mobile
    Home
    Sales
    dbaW&W
    AutoService
    1034
    EastMorton
    Avenue
    1709
    South
    Dirksen
    Parkway
    Jacksonville,
    Illinois62650-3302
    Springfield,Illinois
    62702
    and
    the
    original
    and
    nine
    (9)
    true
    and
    correct
    copies
    of
    thesame
    foregoing
    instruments
    on
    the
    same
    date
    by
    Certified
    Mail,
    ReturnReceipt
    Requested,with
    postage
    thereon
    fully
    prepaid
    1G/41
    To:
    John
    Therriault
    Pollution
    Control
    Board
    James
    R.
    Thompson
    Center
    100
    West
    Randolph
    Street,
    Suite
    11-500
    Chicago,
    Illinois
    60601
    Miche
    e
    M.
    Ryan
    Assistant
    Counsel
    Illinois
    EnvironmentalProtectionAgency
    1021
    North
    Grand
    AvenueEast
    P.O.
    Box
    19276
    Springfield,
    Illinois
    62794-9276
    (217)
    782-5544
    THIS
    FILING
    SUBMITTED
    ON
    RECYCLEDPAPER

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