Defenders of Wildlife v. Salazar

698 F. Supp. 2d 141, 2010 U.S. Dist. LEXIS 102154, 2010 WL 1140719
CourtDistrict Court, District of Columbia
DecidedMarch 26, 2010
DocketCivil 08-0945(RJL)
StatusPublished
Cited by6 cases

This text of 698 F. Supp. 2d 141 (Defenders of Wildlife v. Salazar) is published on Counsel Stack Legal Research, covering District Court, District of Columbia primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Defenders of Wildlife v. Salazar, 698 F. Supp. 2d 141, 2010 U.S. Dist. LEXIS 102154, 2010 WL 1140719 (D.D.C. 2010).

Opinion

MEMORANDUM OPINION

RICHARD J. LEON, District Judge.

Before the Court are dueling Motions for Summary Judgment arising from a dispute over the management of the National Elk Refuge in Jackson Hole, Wyoming. Defenders of Wildlife and their fellow plaintiffs challenge the comprehensive Bison and Elk Management Plan adopted jointly by the United States Fish and Wildlife Service (“FWS”) and the National Park Service (“Park Service”) (collectively, “the agencies”). The plaintiffs ask that the plan be set aside because it permits the indefinite feeding of elk on the Refuge despite what they regard as overwhelming evidence that continued artificial feeding will lead to the catastrophic spread of disease and will disrupt the biological integrity of the Refuge, in violation of the National Wildlife Refuge System Improvement Act (“the Improvement Act”). The plaintiffs also contend that the plan and the accompanying environmental impact statement (“EIS”) violate the National Environmental Policy Act (“NEPA”) because they *144 are insufficiently detailed to allow a reasonably complete discussion of mitigation. The defendants include the federal officials charged with administering the Refuge and the intervenor State of Wyoming. Together they contend that the plan constitutes a valid exercise of discretion and that it and the EIS are sufficiently detailed to satisfy the requirements of NEPA. Based on a review of the record and pleadings, the plaintiffs’ Motion for Summary Judgment is DENIED, and the defendants’ respective Cross Motions for Summary Judgment are GRANTED.

BACKGROUND

About a decade ago, the FWS and the Park Service initiated a process to develop a comprehensive plan for the management of bison and elk on the National Elk Refuge (“the Refuge”) and other federal land. (See Final Bison and Elk Management Plan and Environmental Impact Statement (AR FR017a) (“FEIS Vol. 1”) at 3). 2 The agencies considered a wide range of issues in formulating the plan, one of which was the wintertime practice of feeding the bison and elk. (Id: at 20-22). Supplemental feeding of elk began about a century ago as a means to reduce elk mortality during the winter and to minimize the likelihood of elk feeding on hay meant for livestock. (Id. at 6). More recently, bison also began eating the supplemental elk feed provided on the Refuge. (Id. at 7), Over the years, this practice has had the salutary effect of reducing elk winter mortality, sustaining a larger elk population than would have otherwise survived on the region’s winter range, and reducing elk contact with haystacks and pastures for livestock. (Id. at 10).

Notwithstanding these benefits, the winter feeding program is not without potential costs. For instance,' artificial feeding attracts more bison and elk than the Refuge can support, thus damaging the native habitat. (Id. at 9). The large concentration of elk and bison along the feedlines also contributes to the spread of disease. (Id. at 9-10; Smith Report (AR S007) at 3-4, 15-19). Of particular concern is the threat of Chronic Wasting Disease (“CWD”), the equivalent of “mad cow disease.” (FEIS Vol. 1 at 136). Although CWD has not yet been detected on the Refuge, experts believe that it will eventually infect the elk and bison' population. (Id. at 137; FEIS Vol. 2 at 200). The diséase is generally fatal, and because it is difficult to eradicate, it could lead to population decline and possibly to the extinction of bison and elk on the Refuge. (FEIS Vol. 1 at 274, 514; Peterson CWD Report (AR S008) at 3). CWD is not the only disease that could spread as a result of artificial feeding practices; there are a host of other debilitating diseases as well. (See, e.g., FEIS Vol. 1 at 129-33; id. at 133 (footrot); id. at 134-35 (bovine tuberculosis); id. at 133-34 (scabies); id. at 135 (bovine paratuberculosis)).

During the planning process, the agencies developed six alternatives to address the effects of the winter feeding program. The agencies’ preferred alternative — Alternative 4 — aims over a fifteen-year period to “decrease reliance on intensive supplemental winter feeding, including complete transition to free-standing forage if' and when several established criteria are met, including support from the Wyoming Game and Fish Department and the public.” (FEIS Vol. 1 at 67). This alternative is predicated on the view that the agencies must improve the natural habitat supporting the bison and elk *145 before they can discontinue supplemental feeding. Lest there be any doubt that the agencies intend to eliminate the feeding program, they rejected Alternative 5, which proposed the indefinite continuation of the program. (Id. at 50). In contrast to the conditions-based approach preferred by the agencies, Alternative 6, which the plaintiffs prefer, sets a time-sensitive goal of phasing out the winter feeding program within five years. (Id. at 52, 68).

To implement Alternative 4, the agencies developed and approved the Bison and Elk Management Plan now under review. The plan establishes four goals: (1) conserving the native habitat, (2) promoting sustainable populations of bison and elk, (3) helping the Wyoming Game and Fish Department (“WGFD”) maintain its herd objectives, and (4) preventing the spread of disease. (Final Bison and Elk Management Plan (AF FR018a) (“FBEMP”) at 129-39). To achieve these goals, the plan provides for the adaptive management of the bison and elk herds and their habitat with an “emphasis on improving winter, summer, and transitional range on refuge and park lands, while at the same time ensuring that the biotic integrity and environmental health of the resources will be sustained over the long term.” (Id. at 125). More specifically, the plan directs the agencies to initiate habitat conservation projects for the improvement of forage and to work with adjacent landowners and the WGFD to minimize bison and elk feeding on private land. (Id.). Under the plan, the agencies will also coordinate with the WGFD to maintain an elk herd population of approximately 11,000 — almost half of which will be expected to winter on the Refuge — and to sustain a genetically viable bison herd of about 500. (Id. at 126). As these measures are implemented, the agencies will gradually transition away from supplemental feeding based on yet-to-be-determined triggers derived from some or all of the following factors: (1) the “level of forage production and availability” on the Refuge; (2) the “desired herd sizes and sex and age ratios”; (3) the “effective mitigation of bison and elk co-mingling with livestock on private lands”; (4) the “winter distribution patterns of elk and bison”; (5) the “prevalence of brucellosis, chronic wasting disease, and other wildlife diseases”; and (6) “public support.” (Id. at 125-26). In short, the plan is designed “for progressively transitioning from intensive supplemental winter feeding to greater reliance on free-standing forage.” (Id.).

DISCUSSION

I. Standard of Review

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Related

W. Watersheds Project v. Christiansen
348 F. Supp. 3d 1204 (D. Wyoming, 2018)
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Defenders of Wildlife v. Salazar
651 F.3d 112 (D.C. Circuit, 2011)

Cite This Page — Counsel Stack

Bluebook (online)
698 F. Supp. 2d 141, 2010 U.S. Dist. LEXIS 102154, 2010 WL 1140719, Counsel Stack Legal Research, https://law.counselstack.com/opinion/defenders-of-wildlife-v-salazar-dcd-2010.