With Renee Reichelt
The decision of the Alberta Court of Queen’s Bench in Scott & Associates Engineering Ltd. v. Ghost Pine Windfarm, LP addressed a variety of issues respecting the assertion of privilege by the respondents, Ghost Pine Windfarm, LP and Fortuna GP Inc. (collectively, Ghost Pine), over redacted portions of otherwise producible documents and, in particular, the redacted portions of an Asset Purchase Agreement (APA).