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I order of this Court, it will- be necessary° for FDIC- to commence <br /> 2 many successive atctioh . gga nst Defendants, and each of them, to <br /> 3 secure compensation for damages sustained, thus requiring a <br /> 4 multiplicity of suits. <br /> 5: 61. Unless Defendants, and each of them, are enjoined from <br /> 6 continuing their course. of conduct, FDIC will suffer irreparable. <br /> 7: <br /> injuries in that the usefulness and economic value of the Toga's <br /> :8; Property will be substantially diminished and the free use and. <br /> 9 enjoyment of the Togo s Property will be diminished;.. <br /> 1:0 62. FDIC ,has ;no plain, speedy, or adequiate: remedy :at law, <br /> 11 and injunctive relief is expressly authorized by S526of. the Code <br /> _12 :of Civ `1 Procedure. <br /> 13i 63. Defendants, and each of them, with full knowledge of <br /> 14 the damage tot he Togof:s Property and of the< difficulties caused. <br /> 15 thereby topity and M.0, have willfully, oppressively, and <br /> 161 maiic3+ausly continued ter allow the spread of the. subsurface <br /> 17 contamination throughout the subsurface the Togo's. Property.; <br /> accordingly, FMC: s on to punitive damages against <br /> :19 Defendants f. and each c►f them, in an amount to be determined at <br /> 0 trial. <br /> 21 FOUTRTB CAUS,F CF ACTIO FOR NEGLIGENCE <br /> :2 644 FDIC repeats :and. realleges each and every a:llegatir�n: <br /> 23 set .forth in Paragraphs 1 through 55, inclusive,: of, this <br /> 24 Complaint and incorporates them herein by reference of those set. <br /> ;25 forth in. full,. <br /> 26 65. Defendants, and each :of them>, had. previously owned,. <br /> 27 possessed, or dontrolled the Togo's Property or ;Exxon Property <br /> 28 and utilized. the Togo's Property or Exxon Property in such: ai <br /> x-14- <br />