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June 24, 2009 - Order re: 4th Amended Statement of Claim - Wagners

June 24, 2009 - Order re: 4th Amended Statement of Claim - Wagners

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classified substances. Those compounds include benzene, polycyclic aromatic<br />

hydrocarbons (including benzpy<strong>re</strong>ne and benzfluoranthene) toluene, xylenes,<br />

ammonia phenol, particulate matter less than or equal to 10 microns, arsenic and<br />

cadmium.<br />

37. 29. The continued p<strong>re</strong>sence <strong>of</strong> all <strong>of</strong> the Contaminants in the Sydney Tar Ponds and<br />

on the lands in the Neighbourhoods has caused, and continues to cause damage<br />

to the physical and mental health <strong>of</strong> the Plaintiffs and Class Members.<br />

38. 30. The p<strong>re</strong>sence <strong>of</strong> the Contaminants in and on the lands and homes owned,<br />

occupied or used by the Plaintiffs and Class Members and in the<br />

Neighbourhoods, c<strong>re</strong>ates a risk to the health <strong>of</strong> the Plaintiffs and Class Members.<br />

No effective toxic <strong>re</strong>mediation has taken place at the Steel Works, Sydney Tar<br />

Ponds, the lands p<strong>re</strong>sently or formerly owned and/or occupied by CNR, the<br />

Domtar Tank, or in the Neighbourhoods. Consequently the Contaminants<br />

continue to migrate into and affect the Plaintiffs' and Class Members' properties.<br />

39. 31. Exposu<strong>re</strong> to the Contaminants <strong>re</strong>p<strong>re</strong>sents a human health hazard. The Plaintiffs<br />

and Class Members <strong>re</strong>gularly inhale, ingest and come into dermal contact with<br />

the Contaminants in their everyday lives by virtue <strong>of</strong> their living in close proximity<br />

to the Sydney Tar Ponds and by virtue <strong>of</strong> the Contaminants having been<br />

deposited on the properties <strong>of</strong> the Plaintiffs and Class Members over the years<br />

by the Steel Works, By Products Operations, and the CNR Operations.<br />

(C)<br />

THE DEFENDANTS' KNOWLEDGE OF THE CONTAMINATION<br />

40. 32. In 1959, the Katz Study was made available to the Steel Works Defendants. In<br />

1974, the Choquette Study was made available to all <strong>of</strong> the Steel Works<br />

Defendants except Ispat and Hawker Siddeley. In 1973, the Havelock Study was<br />

made available to all <strong>of</strong> the Steel Works Defendants except Ispat and Hawker<br />

Siddeley.<br />

41. 33. At all times during the Class Period, each <strong>of</strong> the Defendants knew which <strong>of</strong> the<br />

Contaminants it was emitting, and the properties <strong>of</strong> those Contaminants, as a<br />

<strong>re</strong>sult <strong>of</strong> its knowledge <strong>of</strong> the natu<strong>re</strong> <strong>of</strong> its own operations.<br />

14

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