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CCAC witness List for 5 15 2013 Hearing

CCAC witness List for 5 15 2013 Hearing

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Published by The Post-Standard
Witness list for Camillus Clean Air Coalition hearing in federal court in Syracuse May 15, 2013
Witness list for Camillus Clean Air Coalition hearing in federal court in Syracuse May 15, 2013

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Published by: The Post-Standard on May 14, 2013
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07/10/2013

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UNITED STATES DISTRICT COURTFOR THE NORTHERN DISTRICT OF NEW YORK  ____________________________________________xCAMILLUS CLEAN AIR COALITION, Robert andColleen Bartlett, William and Michelle Barrington III, Case No. 5:13-CV-365Kim Calverase,
Daniel and Veruska Dantuono, David (FJS/DEP)and Juliette Dedo, Timothy and Sally DeLany,Brian and Tracy Dellow, Ron Gryziec and BrendaCarpenter, Douglas and Charlene Hart, Thomas andKimberly Kshyna, Michael and Alpha Kshyna,Matthew and Tracy Licameli, John andKathleen Marinelli, William and StephanieMathewson, Peter and Jenafer Medina, BryanMignone and Elaine Everitt, Brian and Kimberly
Murphy
,
Scott and Jill Musumeci
,
Jerry and
 
Kristina Parzych, Jonathan and Margaret Patch,Timothy and Sharon Pieper, Frederick and Heather Puchta,
Lynore and Mark de la Rosa, Robert andLori Smith,
Joey St. Louis, Robert and MeganVertucci, and Michael and Lynda Wade,
Plaintiffs,-against-HONEYWELL INTERNATIONAL, INC,Defendant. ___________________________________________x
PLAINTIFFS’
AMENDED PRE-HEARING DISCLOSURE OF WITNESSESIN SUPPORT OF APPLICATION FOR A PRELIMINARY INJUNCTION
Pursuant to the Court’s order of 
April 19, 2013, Plaintiffs, through their undersigned counsel, provide a list of witnesses that they intend to call to testify at theHearing scheduled for May 15, 2013:1.
 
Timothy Minnich
 Mr. Minnich is expected to testify consistent with his Affidavit filed on April 12, 2013
in support of Plaintiffs’ Application for injunctive relief [Docket 19], and his
supplemental affidavits filed on May 1 and May 2, 2013, respectively, in further support
of Plaintiffs’ Application [Docket 32 and 34].
It is also anticipated that Mr. Minnick would testify consistent with the Report
of Minnich & Scotto, Inc(“M&S”), the M&S
Case 5:13-cv-00365-FJS-DEP Document 47 Filed 05/13/13 Page 1 of 3
 
2
Report Addendum, and M&S’s Response, dated May 8, 2013, to DEC Review of M&S’s
April 8, 2013 Report .
See
 
Exhibits 6, 7 and 36 of Plaintiffs’ Amended Exhibit List
. He is
further expected to testify with regard to Honeywell’s failure to comply with the terms of 
the Consent Decree and related documents, including the failure to dispose of thecontaminated waste at Waste B
ed 13 in Camillus in a “closed system” that would prevent
chemical toxins from being released into the air and exposing plaintiffs and other residentsto airborne contaminants.2.
 
Robert Scotto
 Mr. Scotto, the partner of Timothy Minnich in the environmental consulting firm of Minnich & Scotto, may supplem
ent Mr. Minnich’s testimony regarding the need for state
-of the art air monitoring methods, such as EPA-approved TO-16 and other issues set forthin the Minnich & Scotto reports.
3.
 
Dennis M. Stainken, PhD
Dr. Stainken is expected to testify as to the toxic nature of the chemical toxinsemanating from the Wastebed 13 Facility due to the fact that much of the so-called
“dewatering process” is exposed to the open atmosphere, rather than being closed,
as wasrequired by the Consent Decree and related documents. Dr. Stainken will further testify asto the basis of his opinion that the manner in which the contaminated waste is beingdisposed of in Camillus presents a serious health risk to the residents in the vicinity of Wastebed 13.
Dr. Stainkin’s Report, dated May 7, 2013, is attached as Exhibit 25, and his
CV is attached as Exhibit 26.4.
 
Lynda Wade
 
Case 5:13-cv-00365-FJS-DEP Document 47 Filed 05/13/13 Page 2 of 3

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