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IN THE CIRCUIT COURT OF ST. LOUIS COUNTY STATE OF MISSOURI STATE OF MISSOURI ex rel.

, Attorney General Chris Koster and the Missouri Department of Natural Resources, Plaintiff, ) ) ) ) ) ) ) ) ) ) ) ) ) ) ) ) ) )

Case No. 13SL-CC01088

REPUBLIC SERVICES, INC., ALLIED SERVICES, LLC, d/b/a Republic Services of Bridgeton, and BRIDGETON LANDFILL, LLC Defendants.

STIPULATION AND ORDER Plaintiff, by Assistant Attorney General, Joseph Bindbeutel, and Defendants, by Matthew A. Jacober, appear and are heard on: (i) the scheduled Case Management Conference; and (ii) Plaintiffs Application for Further Relief under the First Agreed Order of Preliminary Injunction, or in the Alternative, for Supplementary Preliminary Injunction Relief (States Application for Further Relief). The Parties agree and stipulate to the following: 1. The Parties agree to continue the hearing on the Application for

Further Relief. Within 15 days of entry of this Order, the parties shall submit conflict dates for the month of June 2014 so as to set a hearing for the States Application for Further Relief, and as well as any other properly noticed motions filed by the parties. 2. The Parties stipulate that the First Agreed Order of Preliminary

Injunction (First Agreed Order) is incorporated herein. 3. With regard to the States application for submittal of carbon

monoxide data, Defendants agree to the following: (i) On or before February 20, 2014, Defendants shall submit to

the Department of Natural Resources, in addition to any other data submitted pursuant to the First Agreed Order, comprehensive carbon monoxide data for all active gas extraction wells located in the North Quarry, including the neck area of the Bridgeton Sanitary Landfill. Comprehensive data includes carbon monoxide maps and all final QA/QCd carbon monoxide raw data for the North Quarry and neck area; (ii) Carbon monoxide data shall be reported in increments of no

less than 1,000 parts per million and show the highest reported range of carbon monoxide; (iii) The Defendants shall thereafter submit carbon monoxide

data on April 20th, 2014 and June 20th, 2014, or until further agreement by the parties or Order by the Court.
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4.

Nothing in this Stipulation and Order shall prevent the Parties

from applying to the Court for further orders or relief. The parties hereby consent to this Stipulation and Order through their duly authorized representatives as indicated below. MISSOURI ATTORNEY GENERALS OFFICE By: ____________________________ Joe Bindbeutel Assistant Attorney General Date: ___________________________ BRIDGETON LANDFILL, LLC ________________________________ Name: Matthew A. Jacober Title: ___________________________ Date: ___________________________

SO ORDERED ___________________________________ Circuit Judge Date: _____________________________

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