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knowledge of the nature of the said dangerous radioactive substances into close proximity with which she was by the defendant's negligence brought. 5. Plaintiff, Quinta NcDonald was exposed to said redioactive sub- tances for the greater part of the day time during a period of time from on or about the lst day of Varch, 1917 to on or about the first day of February, 1919. 6. By reason of the defendant's negligence as hereinbefore set forth in paragraph 3 of this count, the body of the plaintiff, Quinta McDonald became impregnated with said radioactive substances. 7. Said radioactive substances so introduced into the system of the plaintiff, Quinta NcDonald still continue to bombard snid plaintiff's body internally and continually attack and bfeak down the said plaintif?'s tissues and body substance causing the said plaintiff, Quinta McDonold thereby great pain and suffering both mental and physical. 8. The effect of the introduction of the said radioactive substances into the humon body is such as not to become inmediately apparent and plaintiff, Quinta McDonald, did not feol said effects or know of the beginning of the continuing injury done to her until soveral years fol- lowing her last exposure to said dangerous radioactive substances and plaintiff Quinta McDonald, was not apprised of the nature of her bodily silments or informed or knew that her suffering was due to the negligence of the defendant until July, 1925. 9. By reason of the premises the plaintifi, Quinta McDonald was and is sick, sore, lane, disabled and crippled and will forever so remain until her death which is imminent because of defendant's negligence, her pain and suffering both mental and physical continually increasing from the time of the first onset of her illness unto the present time, and during all this period the plaintiff, Quinta NcDonald underwent and suffered and will in the future undergo and suffer /reat pain both montally and physically and the plaintiff, Quinta MeDonald has been is and in the future will be hindered and prevented from transacting her necessary and

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75730581
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Type
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Page context
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    "ocrText": "knowledge of the nature of the said dangerous radioactive substances\ninto close proximity with which she was by the defendant's negligence\nbrought.\n5. Plaintiff, Quinta NcDonald was exposed to said redioactive sub-\ntances for the greater part of the day time during a period of time\nfrom on or about the lst day of Varch, 1917 to on or about the first day\nof February, 1919.\n6. By reason of the defendant's negligence as hereinbefore set forth\nin paragraph 3 of this count, the body of the plaintiff, Quinta McDonald\nbecame impregnated with said radioactive substances.\n7. Said radioactive substances so introduced into the system of the\nplaintiff, Quinta NcDonald still continue to bombard snid plaintiff's\nbody internally and continually attack and bfeak down the said plaintif?'s\ntissues and body substance causing the said plaintiff, Quinta McDonold\nthereby great pain and suffering both mental and physical.\n8. The effect of the introduction of the said radioactive substances\ninto the humon body is such as not to become inmediately apparent and\nplaintiff, Quinta McDonald, did not feol said effects or know of the\nbeginning of the continuing injury done to her until soveral years fol-\nlowing her last exposure to said dangerous radioactive substances and\nplaintiff Quinta McDonald, was not apprised of the nature of her bodily\nsilments or informed or knew that her suffering was due to the negligence of\nthe defendant until July, 1925.\n9. By reason of the premises the plaintifi, Quinta McDonald was and is\nsick, sore, lane, disabled and crippled and will forever so remain until\nher death which is imminent because of defendant's negligence, her pain\nand suffering both mental and physical continually increasing from the\ntime of the first onset of her illness unto the present time, and during\nall this period the plaintiff, Quinta NcDonald underwent and suffered and\nwill in the future undergo and suffer /reat pain both montally and\nphysically and the plaintiff, Quinta MeDonald has been is and in the\nfuture will be hindered and prevented from transacting her necessary and"
}