“The Court entered its Findings of Fact and Conclusion of law in the Robinson matter. The Court ruled that the failure of the United States Army Corps of Engineers to maintain and operate the MRGO properly was a substantial cause for the failure of the Reach 2 Levee. It found that the Corps was not negligent with respect to its failure to construct a surge protection barrier at the “funnel” where Reach 2 merges into Reach 1 and the GIWW and thus was not liable for the flooding of New Orleans East. It also found that the Corps was not entitled to immunity under 702c of the Flood Control Act of 1928 and is not entitled to the protection of the due care, discretionary function, or misrepresentation exceptions under the Federal Torts Claim Act. As a result of these findings, it found that plaintiffs in the St. Bernard Polder were entitled to damages as set forth with more precision in the opinion. (Doc. 19415, Appendix)”
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