- BEFORE THE ILLINOIS POLLUTION CONTROL BOARD
KRAMER TREE SPECIALISTS, INC., )
)
Petitioner, )
)
vs.
- electronically on this 30th day of June, 2014 to:
Mark V.
- Gurnik
Assistant Counsel
Illinois Environmental Protection Agency
1021 North Grand Ave.
- Indeed, IEPA's Response is notable
for its omission of any assertion that the dispositive terms "waste" and "composting" apply to
Kramer's operations.
- With a statute and rule that directly regulate "composting," the question of
whether or not composting materials are "discarded" is simply inapposite.
- I
2 If the Board determines that Section 830 applies to Kramer's leaf-mulch operations...