Illinois Pollution Control Board600 South Second StreetSuite 402Springfield, Illinois 62704Delbert D.
Haschemeyer, Esq.
In support ofthis Motion, Respondent states as follows:
1.
On or about May 8, 2003, Complainant served its Requests for Production
and First Set ofInterrogatories Directed to the Respondent on Saint-Gobain. 5. This Motion is made in good faith and not for purposes of delay. Motion for Extension of Time to Respond toComplainant’s Discovery Requests (“Motion”).3. The statements contained in the Motion, that are not otherwise ofrecord,are true and accurate to the best of my knowledge and belief.
Allowed
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