Alliance for the Wild Rockies v. Bradford

720 F. Supp. 2d 1193, 72 ERC (BNA) 1633, 2010 U.S. Dist. LEXIS 64802, 2010 WL 2633905
CourtDistrict Court, D. Montana
DecidedJune 29, 2010
DocketCV 09-160-M-DWM
StatusPublished
Cited by3 cases

This text of 720 F. Supp. 2d 1193 (Alliance for the Wild Rockies v. Bradford) is published on Counsel Stack Legal Research, covering District Court, D. Montana primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Alliance for the Wild Rockies v. Bradford, 720 F. Supp. 2d 1193, 72 ERC (BNA) 1633, 2010 U.S. Dist. LEXIS 64802, 2010 WL 2633905 (D. Mont. 2010).

Opinion

OPINION

DONALD W. MOLLOY, District Judge.

I. Introduction

Alliance for the Wild Rockies is seeking judicial review under the Administrative *1196 Procedure Act (“APA”), 5 U.S.C. §§ 701-706, of agency actions by the U.S. Forest Service and the U.S. Fish & Wildlife Service concerning the Grizzly Vegetation and Transportation Management Project (“Grizzly Project”), the Miller West Fisher Project (“Miller Project”), and the Little Beaver Hazardous Fuels Reduction Project (“Little Beaver Project”). The Complaint claims the agencies acted in violation of the Endangered Species Act (“ESA”), 16 U.S.C. § 1533 et seq., the National Forest Management Act (“NFMA”), 16 U.S.C. § 1600 et seq., and the National Environmental Policy Act (“NEPA”), 42 U.S.C. § 4321 et seq. Pending now are the parties’ cross-motions for summary judgment. For the reasons set forth below the motions are granted in part and denied in part.

II. Factual Background

A. The Cabinet-Yaak grizzly bear population

The grizzly was listed as a threatened species under the ESA in 1975. 40 Fed. Reg. 31736. The Fish & Wildlife Service approved a Grizzly Bear Recovery Plan in 1982 and then revised the Plan in 1993. AR 1-31-077. 1 The revised recovery plan establishes four recovery zones, including the CabineNYaak Ecosystem in northwest Montana and northeast Idaho, which is partly on the Kootenai National Forest. Id. at 90. Roughly 90% of the CabinetYaak Ecosystem is federally owned. 64 Fed.Reg. 26725, 26728 (May 17, 1999). That recovery zone is divided into bear management units (“BMUs”), each of which approximates the size of a female grizzly’s home range and includes representations of all available habitat components. Cabinet Resource Group v. U.S. Fish & Wildlife Serv., 465 F.Supp.2d 1067, 1072 (D.Mont.2006). The BMU’s are then divided into subunits called bear analysis areas. AR 1-31-041:6.

The recovery goal for the Cabinet-Yaak grizzly bear population is 100 bears. AR 1-31-077:91. The 1993 Recovery Plan estimated the population size at 15-20 bears in the recovery zone. AR 1-31-077:92. By 2002, the Forest Service noted that the bear population had expanded outside the recovery zone. AR 2-3-104:3. By 2007, the estimated population of grizzly bears in the CabineWYaak Ecosystem was 45 bears. AR 1-31-034.2:2. While the population has increased over the past 15-20 years, a different picture has appeared recently. The most recent grizzly population trend analysis shows an 87.8% to 90.6% probability that the population is in decline. Id. at 66. The Cabinet-Yaak grizzly bear population is not meeting recovery targets set forth in the 1993 Recovery Plan. For example, the Recovery Plan’s target for a six year average of females with cubs is 6, but the 2007 Monitoring Report found that the average was only 2.2, and the distribution of females with young is only 14 of 22, rather than the recovery target 18 of 22. AR 1 — 31— 034.2:18. Additionally, human caused mortality and human-caused mortality of females exceeded the Recovery Plan targets in the 2007 monitoring report. Id. The majority of human caused mortalities in the Cabinet-Yaak grizzly bear population do not occur on Forest Service Lands, but on other surrounding lands. Id. at 73. Outside the recovery zone, the Forest Service does not analyze bears using BMUs, but has categorized the areas used by bears as the “grizzly bear outside the recovery zone reoccurring use polygon” (“reoccurring use polygon”). AR 2-1-713:10.

*1197 The 1993 Recovery Plan established that “the most crucial element in grizzly recovery is securing adequate effective habitat for bear populations.” AR 1-31-077:34. The plan also concluded that roads pose the “most imminent threat” to grizzly bear habitat. Id.

The troubling mortality trends with the grizzly precipitated the Fish & Wildlife Service determination that the CabinetYaak grizzly population was so low it warranted reclassification from threatened to endangered in 1993. The Agency reaffirmed its finding in 1999. 64 Fed.Reg. 26725, 26733. The agency has not acted on this critical determination, contending the reclassification is precluded by work on higher priority species. Id.

B. Procedural background of grizzly management in the Cabinet-Yaak Ecosystem

The 1987 Kootenai Forest Plan adopted forest-wide standards relating to management of the grizzly bear. The Forest Plan requires that on “Management Situation 1 lands, 2 “Management decisions will favor the needs of the grizzly bear when grizzly habitat and other land use values compete. Land uses which can affect grizzlies and/or their habitats will be made compatible with grizzly needs or such uses will be disallowed of ehminated.” AR 1-19-004:293. On Management Situation 2 lands, where grizzles may occasionally be present, “[t]he grizzly bear is an important, but not the primary, use on the area.” Id. Management Situation 3 lands are those where grizzly bear presence is possible but infrequent and grizzly “habitat maintenance and improvement are not management considerations.” The Forest Plan also set standards for, among other factors, average open road densities, which must be limited to .75 miles/square mile on Management Situation 1 and 2 lands. Id. at 301.

The 1994 Interagency Grizzly Bear Taskforce authored a Report with goals and recommendations for parameters relating to the effects of motorized access on bears. AR 2-3-096. That Report urged analysis of total motorized route density, open motorized route density, and percentage of core area. Id. at 6. The first factor, total motorized route density, includes all motorized roads or trails, including those closed to the public. The second factor, open motorized route density, includes motorized roads and trails open to the public. Id. at 3. As to the third factor, the Report recommended analysis of the percentage of an analysis area that meets core area criteria, and it argued for establishing minimum sizes for core areas. Id. at 6.

The Service determined that the 1987 Kootenai Forest Plan could cause “take” of the grizzly bears, a “take” which is prohibited under section 9 of the ESA. AR 1 — 31— 041:8. Consequently, in 1995, the Fish and Wildlife Service published a Biological Opinion and Incidental Take Statement for the 1987 Kootenai Forest Plan (“1995 Incidental Take Statement”). AR 1-31-041.

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720 F. Supp. 2d 1193, 72 ERC (BNA) 1633, 2010 U.S. Dist. LEXIS 64802, 2010 WL 2633905, Counsel Stack Legal Research, https://law.counselstack.com/opinion/alliance-for-the-wild-rockies-v-bradford-mtd-2010.