Center for Biological Diversity v. United States Fish and Wildlife Service

CourtDistrict Court, D. Arizona
DecidedFebruary 10, 2020
Docket4:17-cv-00475
StatusUnknown

This text of Center for Biological Diversity v. United States Fish and Wildlife Service (Center for Biological Diversity v. United States Fish and Wildlife Service) is published on Counsel Stack Legal Research, covering District Court, D. Arizona primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Center for Biological Diversity v. United States Fish and Wildlife Service, (D. Ariz. 2020).

Opinion

Case 4:17-cv-00475-JAS Document 291 Filed 02/10/20 Page 1 of 42

1 2 3 4 5 6 IN THE UNITED STATES DISTRICT COURT 7 FOR THE DISTRICT OF ARIZONA 8 9 Center for Biological Diversity, et al., No. CV-17-00475-TUC-JAS (L) No. CV-17-00576-TUC-JAS (C) 10 Plaintiffs, No. CV-18-00189-TUC-JAS (C) CONSOLIDATED 11 v. ORDER 12 United States Fish and Wildlife Service, et al., 13 Defendants. 14 15 Pending before the Court are the parties’ cross-motions for summary judgment as 16 to the Complaint (Docs. 106, 119, 121),1 the parties’ cross-motions for summary judgment

17 as to Rosemont Copper Company (“Rosemont”)’s crossclaims (Docs. 103, 114, 116), and 18 the Federal Defendants’ Motion to Stay (Doc. 252).2 The Motion to Stay (Doc. 252) is

19 denied. The Court finds that the Landis test, as applied in the Ninth Circuit, does not

20 support a stay in this case. Accordingly, the Court will issue a ruling on the remaining 21 matter. 22 SECTION ONE: FACTUAL AND PROCEDURAL BACKGROUND

23 The facts are well known to the parties and were discussed in the Court’s previous

24 Order (Doc. 248).3 The Court will not provide an extensive recitation of the facts; however,

25 1 All citations to the docket are to the lead case, 17-cv-00475. Any citation to a page within 26 the docket is based on the page stamp automatically created by CM-ECF on the top of the page in blue. 27 2 The Court collectively refers to the Federal Defendants and Rosemont as “Defendants” 28 throughout this Order. 3 The Court previously entered judgment for Save the Scenic Santa Ritas and the Tribes in Case 4:17-cv-00475-JAS Document 291 Filed 02/10/20 Page 2 of 42

1 the Court may repeat some of the facts here to prevent unnecessary cross-referencing. 2 The United States Fish and Wildlife Service (“FWS”) and the United States Forest 3 Service (“Forest Service”) consulted on Rosemont’s proposal for a large-scale 4 open-pit-mining operation within the boundaries of the Coronado National Forest on the 5 east side of the Santa Rita Mountains (“Rosemont Mine”). The Santa Rita Mountains lie to 6 the south of Tucson, Arizona and are within the Coronado National Forest, which is 7 managed by the Forest Service. The Rosemont Mine is projected to impact thousands of 8 acres of the Santa Rita Mountains and many species in the surrounding area. The FWS and 9 the Forest Service completed consultation when the FWS issued the 2016 Biological 10 Opinion (“BiOp”).4 In consultation with the FWS, the Forest Service issued a Final 11 Environmental Impact Statement (“FEIS”) and a Record of Decision (“ROD”) approving 12 the “Barrel Alternative” for the Rosemont Mine. This was the culmination of years of 13 study, review, and analysis. 14 The Rosemont Mine 15 The open-pit mine itself, which contains the valuable minerals (primarily copper) 16 that Rosemont proposes to extract, will directly impact approximately 955 acres of land.5 17 After Rosemont has completed extraction of material from the pit over the next 20 to 25 18 years, the circular pit will measure approximately 3,000 feet in depth and 6,000 feet in 19 diameter.6 In the course of digging through 3,000 feet of geologic material, Rosemont will 20 21 two cases that were consolidated with this one. The FEIS and ROD were vacated and remanded to the Forest Service. Defendants have filed notice of appeal with the Court of 22 Appeals for the Ninth Circuit. A stay has been issued in the 2019 consolidated Corps case 23 (CV 19-177). 4 This was the second BiOp issued, and it incorporated portions of the 2013 BiOp. One 24 reason for the 2016 BiOp is that “destruction or adverse modification” had been redefined 25 within FWS regulations as the previous definition was invalidated by Gifford Pinchot Task Force v. FWS, 378 F.3d 1059, 1069 (9th Cir. 2004), superseded on other grounds by 81 26 Fed. Reg. 7214 (Feb. 11, 2016). 5 The 955 acres is a combination of private and public land. This includes 590 acres of 27 private land and 365 acres of the Coronado National Forest (i.e., comprising a total of 955 28 acres). 6 Rosemont estimates that the pit will produce 5.3 billion tons of copper, 142 million tons

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1 penetrate the wall of the groundwater table lying beneath the Santa Rita Mountains and 2 will need to pump groundwater out of the pit to continue their mining operations. After 3 Rosemont ceases its mining operations in 20 to 25 years, Rosemont will turn off the pumps, 4 and the pit will act as a hydraulic sink such that the pit will fill with groundwater. To gain 5 access to the valuable copper, molybdenum, and silver in the ore, Rosemont will have to 6 extract approximately 1.2 billion tons of waste rock (i.e., geologic material without 7 economic value) and approximately 700 million tons of tailings (i.e., waste material left 8 over after extracting the valuable fraction from the uneconomic fraction of the ore) 9 (collectively “1.9 billion tons of waste”). The Rosemont Mine will impact approximately 10 3,653 acres of the Coronado National Forest. Outside of the 955-acre pit, Rosemont will 11 dump approximately 1.9 billion tons of waste on approximately 2,447 acres7 of the 12 Coronado National Forest. 13 The Action Area of the Rosemont Mine includes portions of critical habitat, or 14 proposed critical habitat, for listed species, including: the jaguar, northern Mexican 15 gartersnake, Gila chub, Yellow-billed Cuckoo, Southwestern Willow Flycatcher, 16 Chiricahua leopard frog, and Huachuca water umbel. 17 Findings about the Rosemont Mine 18 The BiOp found that the Rosemont mine would affect a number of species that are 19 listed as either endangered or threatened, and their respective habitats. However, the FWS 20 concluded that none of the species would be jeopardized, and that none of the critical 21 habitats were likely to be destroyed or adversely affected by the Rosemont Mine. 22 The FWS determined that the Rosemont Mine would result in incidental takings for 23 a number of aquatic and riparian species; as it found that an individualized numerical limit 24 was impractical, the FWS used a surrogate groundwater drawdown for the taking of these 25 of molybdenum, and 79 million ounces of silver; at full production, Rosemont estimates 26 that the mining project will produce 10% of the nation’s domestic copper supply. 7 The 1.2 billion tons of waste rock will be dumped on approximately 1,460 acres of the 27 Coronado National Forest, and the 700 million tons of tailings will be dumped on 28 approximately 987 acres of the Coronado National Forest (i.e., comprising a total of approximately 2,447 acres).

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1 species. 2 The Forest Service largely relied on the BiOp to satisfy its Endangered Species Act 3 (“ESA”) obligations. 4 Jaguar Critical Habitat 5 The jaguar is a large nocturnal member of the cat family. It is “cinnamon-buff in 6 color with many black spots; melanistic (dark coloration) forms are also known, primarily 7 from the southern part of the range.” FWS046392. The jaguar was listed as endangered in 8 1972 under the Endangered Species Conservation Act of 1969, which preceded the ESA. 9 The jaguar was not listed in the United States under the ESA until 1997. At that time, the 10 FWS determined that designating critical habitat was not prudent. This determination was 11 challenged and set aside in 2009. CBD v. Kempthorne, 607 F. Supp. 2d 1078, 1091 (D. 12 Ariz. 2009). The FWS then reevaluated and determined that it was prudent and beneficial 13 to designate critical habitat for the jaguar. 14 In 2012, a Recovery Outline was created for the jaguar.

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Center for Biological Diversity v. United States Fish and Wildlife Service, Counsel Stack Legal Research, https://law.counselstack.com/opinion/center-for-biological-diversity-v-united-states-fish-and-wildlife-service-azd-2020.