Community Association for Restoration of the Environment, a Washington Nonprofit Corporation v. Henry Bosma Dairy, a Washington Proprietorship AKA Hank Bosma Dairy AKA Bosma Dairy AKA H & S Dairy AKA H & S Bosma Dairy AKA B & M Dairy Liberty Dairy, a Washington Proprietorship Henry Bosma, Owner and Operator, Community Association for Restoration of the Environment, a Washington Nonprofit Corporation v. Henry Bosma Dairy, a Washington Proprietorship AKA Hank Bosma Dairy AKA Bosma Dairy AKA H & S Dairy AKA H & S Bosma Dairy AKA B & M Dairy Liberty Dairy, a Washington Proprietorship Henry Bosma, Owner and Operator

305 F.3d 943, 2002 Daily Journal DAR 10685, 2002 Cal. Daily Op. Serv. 9480, 33 Envtl. L. Rep. (Envtl. Law Inst.) 20048, 55 ERC (BNA) 1033, 2002 U.S. App. LEXIS 18844
CourtCourt of Appeals for the Ninth Circuit
DecidedSeptember 16, 2002
Docket01-35261
StatusPublished
Cited by53 cases

This text of 305 F.3d 943 (Community Association for Restoration of the Environment, a Washington Nonprofit Corporation v. Henry Bosma Dairy, a Washington Proprietorship AKA Hank Bosma Dairy AKA Bosma Dairy AKA H & S Dairy AKA H & S Bosma Dairy AKA B & M Dairy Liberty Dairy, a Washington Proprietorship Henry Bosma, Owner and Operator, Community Association for Restoration of the Environment, a Washington Nonprofit Corporation v. Henry Bosma Dairy, a Washington Proprietorship AKA Hank Bosma Dairy AKA Bosma Dairy AKA H & S Dairy AKA H & S Bosma Dairy AKA B & M Dairy Liberty Dairy, a Washington Proprietorship Henry Bosma, Owner and Operator) is published on Counsel Stack Legal Research, covering Court of Appeals for the Ninth Circuit primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

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Community Association for Restoration of the Environment, a Washington Nonprofit Corporation v. Henry Bosma Dairy, a Washington Proprietorship AKA Hank Bosma Dairy AKA Bosma Dairy AKA H & S Dairy AKA H & S Bosma Dairy AKA B & M Dairy Liberty Dairy, a Washington Proprietorship Henry Bosma, Owner and Operator, Community Association for Restoration of the Environment, a Washington Nonprofit Corporation v. Henry Bosma Dairy, a Washington Proprietorship AKA Hank Bosma Dairy AKA Bosma Dairy AKA H & S Dairy AKA H & S Bosma Dairy AKA B & M Dairy Liberty Dairy, a Washington Proprietorship Henry Bosma, Owner and Operator, 305 F.3d 943, 2002 Daily Journal DAR 10685, 2002 Cal. Daily Op. Serv. 9480, 33 Envtl. L. Rep. (Envtl. Law Inst.) 20048, 55 ERC (BNA) 1033, 2002 U.S. App. LEXIS 18844 (9th Cir. 2002).

Opinion

305 F.3d 943

COMMUNITY ASSOCIATION FOR RESTORATION OF THE ENVIRONMENT, a Washington nonprofit corporation, Plaintiff-Appellee,
v.
HENRY BOSMA DAIRY, a Washington proprietorship aka Hank Bosma Dairy aka Bosma Dairy aka H & S Dairy aka H & S Bosma Dairy aka B & M Dairy; Liberty Dairy, a Washington proprietorship; Henry Bosma, owner and operator, Defendants-Appellants.
Community Association for Restoration of the Environment, a Washington nonprofit corporation, Plaintiff-Appellant,
v.
Henry Bosma Dairy, a Washington proprietorship aka Hank Bosma Dairy aka Bosma Dairy aka H & S Dairy aka H & S Bosma Dairy aka B & M Dairy; Liberty Dairy, a Washington proprietorship; Henry Bosma, owner and operator, Defendants-Appellees.

No. 01-35261.

No. 01-35351.

United States Court of Appeals, Ninth Circuit.

Argued and Submitted June 3, 2002.

Filed September 16, 2002.

COPYRIGHT MATERIAL OMITTED COPYRIGHT MATERIAL OMITTED Charles M. Tebbutt, Eugene, OR, Richard C. Eymann, Eymann, Allison, Fennessy, Hunter & Jones, P.S., Spokane, WA, for plaintiff-appellee-appellant Community Association for Restoration of the Environment.

Jerry R. Neal, Spokane, WA, for defendants-appellants-appellees Henry Bosma Dairy, et al.

Appeal from the United States District Court for the Eastern District of Washington; Edward F. Shea, District Judge, Presiding. D.C. No. CV-98-03011-EFS.

Before: REAVLEY,* BRUNETTI and TROTT, Circuit Judges.

BRUNETTI, Circuit Judge.

This case arises from claims that two dairies discharged pollutants into navigable waters of the United States without a permit and in violation of water quality standards. We are called upon to decide two central issues.1 First, we must determine whether under the citizen suit provision of the Clean Water Act (CWA), 33 U.S.C. §§ 1251-1387 (2001), the plaintiffs' 60-day notice letter adequately notified the defendants of alleged violations. Second, we must determine whether the district court erred by concluding that ongoing violations existed. The district court resolved both questions in favor of the plaintiffs and imposed penalties for 16 proved violations. We affirm.

BACKGROUND

The complaint filed by plaintiff Community Association for Restoration of the Environment ("CARE") alleges that defendants Henry Bosma Dairy, Liberty Dairy, Henry Bosma and Bosma Enterprises ("Bosma") operated and discharged pollutants without a National Pollution Discharge Elimination System ("NPDES") permit. The complaint further alleged that the discharges were of a type which would not be allowed even with a NPDES permit. The complaint also claimed that Bosma discharged pollutants in violation of the Washington General Dairy NPDES permit.

It is unlawful to discharge any pollutant into the United State's waters except those discharges made in compliance with the CWA. See 33 U.S.C. § 1311(a). In order to lawfully discharge a pollutant, a NPDES permit must be obtained. 33 U.S.C. § 1311(a), 1342(a). A NPDES permit allows the holder to discharge pollutants at levels below thresholds incorporated in the permit. 33 U.S.C. § 1342(a); 40 C.F.R. § 122.1 et seq.

Bosma owns and operates two dairies, the Bosma and Liberty Dairies, in the Yakima Valley, in the central part of Washington. The dairies are adjacent to one another and consist of four large parcels of property.2 The dairies stable or confine approximately 2500 and 3000 dairy cattle. The dairies are supposed to be set up so that waste produced by the dairies is contained and stored in a lagoon. Bosma's permit states that the dairies may utilize dry storage and lagoon or waste pond storage for manure and farm waste. The dairies' total waste capacity is 3 months at 4,770,00 volume. One-hundred fifty acres are used for wastewater field application. With more than 5000 cattle, the dairies operate a "concentrated animal feeding operation" ("CAFO"). CAFOs are animal feeding operations where animals are stabled or confined for a total of 45 days or more in any 12 month period in an area where neither crops, vegetation or crop residue is sustained. 40 C.F.R. § 122.23(c)(3). As a CAFO, Bosma is subject to "effluent guidelines", 40 C.F.R. § 412.12(a), and is considered to be engaged in industrial activities. 40 C.F.R. § 122.26(b)(14)(i) & (v). Therefore, Bosma must obtain an individual permit for storm water discharges. 33 U.S.C. § 1342(p)(2)(B); Wash. Admin. Code §§ 173.220.020 & 173.220.040.

Bosma has a long history of compliance problems. Soon after Bosma began operating the Hank Bosma Dairy in 1973, Washington's Dep't of Ecology ("WADOE") cited Bosma for discharging manure waste to Joint Drain 26.6 (J.D. 26.6). J.D. 26.6 starts above and runs "along the east side of Bosma's property then southwest under Kirk's Road and then south through Bosma's property down to the [Sunnyside Valley Irrigation] Canal" (Canal) and then to the Yakima River. CARE v. Bosma Dairy, et al., 65 F.Supp.2d 1129, 1144 (E.D.Wash.1999). J.D. 26.6 discharges into the Canal during irrigation season, and into the Granger Drain which empties into the Yakima River during non-irrigation season. A diversion box in J.D. 26.6 uses wooden boards to direct flow to either the Canal or the Granger Drain. In 1976, WADOE directed Bosma to obtain a NPDES permit. Bosma ignored this request. WADOE repeated this request in 1978, 1986, and 1996. Each time Bosma refused. Over this period of time, WADOE received several complaints of discharge into the J.D. 26.6 drain and also cited Bosma for verified discharges into J.D. 26.6.

On January 31, 1997, Bosma was issued a General Dairy Permit for the Bosma Dairy. Pursuant to federal law, the state of Washington has adopted a Washington General Dairy Permit which it issues to CAFOs consisting of dairy operations. See Wash. Admin. Code §§ 173-226-010 (2002). At Bosma's request the permit was modified to include both the Bosma and Liberty Dairies on January 15, 1998, the same day CARE filed its complaint. Pursuant to the CWA, a state is authorized to create and administer its own permit program, provided that program meets the requirements established by the CWA and is approved by the EPA. 33 U.S.C. § 1342(b). In Washington, dairies are regulated by a General Dairy Permit and a Dairy Waste Management Plan ("DWMP"). WADOE administers and enforces permits for "operators of concentrated dairy animal feeding operations, where required by federal regulations or state law or upon request of a dairy producer." Wash. Rev.Code § 90.64.050(1)(e) (West 2002). WADOE has the lead enforcement responsibility.3

Pursuant to federal regulations, WADOE adopted a Dairy Farm National Pollutant Discharge Elimination System and State Waste Discharge General Permit (Washington general dairy permit) which it issues to CAFOs. Wash Admin. Code § 173-220-010, 173-226-010 (2002). A dairy can seek an individual or general NPDES permit. Dairy operations that require site specific conditions to protect water quality are issued an individual permit.

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305 F.3d 943, 2002 Daily Journal DAR 10685, 2002 Cal. Daily Op. Serv. 9480, 33 Envtl. L. Rep. (Envtl. Law Inst.) 20048, 55 ERC (BNA) 1033, 2002 U.S. App. LEXIS 18844, Counsel Stack Legal Research, https://law.counselstack.com/opinion/community-association-for-restoration-of-the-environment-a-washington-ca9-2002.