[11] De Beers (Apr 2 2015). De Beers maintains that they are reporting in accordance with their permit. De Beers to MOECC

[12] De Beers (Apr 8 2015). Stephen Monninger to Trevor Hesselink-De Beers denies access to missing monitoring data

[13] De Beers (May 31 2014). Memo containing monitoring results for G8-not circulated to Ministry

[15] De Beers (Apr 2 2015). De Beers acknowledgement of no supplementary mercury results provided to Ministry than Annual Mercury Performance Reports. (De Beers to MOECC)

[20] MOECC (Nov 1 2013 to Nov 26 2015 ). Mercury monitoring program referenced as “stringent” by Ministry

[22] AMEC (Nov 13 2007). Company predictions of substantial potential increases of MeHg downstream of mine, and employing inappropriate guideline

[23] Wildlands League (17 June 2014 ). Freedom of Information Request for supporting documents directly referenced by several Ministry-issued Victor Mine Certificate of Approvals

[27] De Beers (April 2 2015). De Beers acknowledges and reports missing 2009 river monitoring results

[28] De Beers (April 2 2015). De Beers acknowledges and provides missing summer creek reporting for 2013

[29] Wildlands League (Nov 3 2014). Wildlands League comments on Victor Mine Closure Plan public consultation

[30] De Beers (Nov 28 2014). De Beers responses to Wildlands comments on Victor Mine Closure Plan

[33] Wildlands League (Dec 2 2014). Wildlands identified missing Wellfield discharge results

[34] De Beers (Dec 15 2014). De Beers acknowledges discharge reporting error 2008-2013

[35] Wildlands League (Jan 14 2015). Wildlands identified missing individual well reporting

[36] De Beers (April 2 2015) De Beers Canada acknowledges and provides missing well reporting

[37] Wildlands League (July 12 2015). Wildlands League comments on 2015 reposting of 2013 PTTW proposal – DeBeersVictor Mine

[38] De Beers (August 6 2015). De Beers acknowledges misrepresentation of CPUE table 19 in 2012, and supplies replacement table

[39] Wildlands League (Jan 21 2015). Request for Ministry reply to Wildlands League concerns

[40] Wildlands League (Feb 26 2015). Follow-up request for Ministry response to Wildlands League concerns

[41] AMEC (Nov 13 2007). Indicating in 2007 that the small fish sampling program would only commence in 2008, after the mine opened and 2 years after mine construction activities on the site began.

[45] AMEC (Jun 2014). Company acknowledges that CCME Guideline does not protect against bioaccumulation (2013 Mercury Report, pg 26)

[49] Wildlands League (Jan 19 2015). Raising concerns around missing creek stations to Ministry

[50] De Beers (April 2 2015). De Beers claims to be reporting in accordance with their permit

[51] Wildlands League (Jan 19 2015). Raising concerns to the Ministry that unfiltered methylmercury results are not reported for all stations

[52] De Beers (April 2 2015). Responding to missing unfiltered results concern with a list of only what was reported

[57] AMEC (2014). The Company 2013 concludes that there are no strong temporal trends to the data, as evidenced by Table 12 of the 2013 Mercury Performance Report

[58] AMEC (2009). The Company demonstrating a long chain of reliance on CCME 2003 Guideline-2008 Report

[58] AMEC (2010). The Company demonstrating a long chain of reliance on CCME 2003 Guideline-2009 Report

[58] AMEC (2011). The Company demonstrating a long chain of reliance on CCME 2003 Guideline-2010 Report

[58] AMEC (2012). The Company demonstrating a long chain of reliance on CCME 2003 Guideline-2011 Report

[58] AMEC (2013). The Company demonstrating a long chain of reliance on CCME 2003 Guideline-2012 Report

[58] AMEC (2014). The Company demonstrating a long chain of reliance on CCME 2003 Guideline-2013 Report

[58] AMEC (2015). The Company demonstrating a long chain of reliance on CCME 2003 Guideline-2014 Report

[60] AMEC (2015). De Beers Canada Inc. Victor Mine, Mercury Performance Monitoring 2014 Annual Report

[62] De Beers (July 3 2015). De Beers provided Wildlands League with 2014 Mercury Performance Annual Report

[63] De Beers (April 2 2015) De Beers acknowledges and provides missing summer creek reporting for 2013

[64] De Beers (Nov 3 2015). De Beers response to a Toronto Star article that Wildlands League concerns were repeated in

[67] Ministry (June 24 2014). If you are unable to obtain the documents sought directly from De Beers you should submit a request to the ministry under FIPPA

[68] AMEC (2014). Sulphate loading effects have been known since 2006 site dewatering impacts associated with construction-pg8 FIGURE 14-High Resolution