Blankenship v. Consolidation Coal

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Plaintiffs filed suit 15 years after Consolidation Coal began its dewatering operation into Beatrice Mine, alleging that Consolidation Coal damaged plaintiffs' property interests in the exhausted Beatrice Mine and unjustly enriched itself. The district court granted defendants' motion for summary judgment. The court concluded that, because Consolidation Coal's water transfer was permitted by a state agency that had been delegated authority by federal law, it amounted to a federally permitted transfer and could not serve as a basis for a cause of action under the Comprehensive Environmental Response, Compensation, and Liability Act (CERCLA), 42 U.S.C. 9601-9675; even if plaintiffs were to have the benefit of section 9658's discovery rule, they still could not satisfy the applicable statutes of limitations; the level of public notice and publicity that occurred with respect to Consolidation Coal's dewatering activities should reasonably have informed plaintiffs of those activities more than five years before plaintiffs commenced their lawsuits; and the court declined to toll the statutes of limitations under Virginia law in light of the record in this case. Accordingly, the court affirmed the judgment. View "Blankenship v. Consolidation Coal" on Justia Law