The appellant railway challenged an environmental prosecution arising from controlled burns that released dense smoke onto neighbouring properties, roads, and residences.
The appeal focused on whether Ontario's broad pollution prohibition in s. 13(1)(a) of the Environmental Protection Act was unconstitutionally vague or overbroad under s. 7 of the Charter.
The Court held that, in the environmental regulatory context, broad language may be constitutionally valid where the provision provides sufficient guidance for legal debate and does not capture merely trivial or imaginary impairments.
The Court rejected the vagueness and overbreadth claims, affirmed the constitutional applicability of the provision to the federal undertaking, and dismissed the appeal.