Dept. of Water Resources Environmental Impact Cases

CourtCalifornia Court of Appeal
DecidedJune 3, 2022
DocketC091771
StatusPublished

This text of Dept. of Water Resources Environmental Impact Cases (Dept. of Water Resources Environmental Impact Cases) is published on Counsel Stack Legal Research, covering California Court of Appeal primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Dept. of Water Resources Environmental Impact Cases, (Cal. Ct. App. 2022).

Opinion

Filed 5/11/22 Certified for Publication 6/3/22 (order attached)

IN THE COURT OF APPEAL OF THE STATE OF CALIFORNIA THIRD APPELLATE DISTRICT (Sacramento) ----

DEPARTMENT OF WATER RESOURCES C091771 ENVIRONMENTAL IMPACT CASES. (JCCP No. 4942)

(Sacramento Super. Ct. Nos. 34-2017-00215965, 34-2017- 80002666, 34-2017-80002667, 34-2017-80002674, 34-2017- 80002676, 34-2017- 80002677-CU-WM-GDS, 34- 2017-80002678, 34-2017- 80002680; San Joaquin Super. Ct. No. STK-CV-UWM-2017- 0008624)

Plaintiffs in this coordinated proceeding appeal from postdismissal orders denying their motions for attorney fees under Code of Civil Procedure section 1021.5, the private attorney general statute. In 2017, plaintiffs filed petitions against defendant Department

1 of Water Resources (DWR) challenging the California WaterFix (WaterFix), a proposal to improve the State’s water supply infrastructure by constructing two 35-mile-long tunnels that would convey fresh water from the Sacramento River to pumping stations in the southern Sacramento–San Joaquin Delta (Delta). The lawsuits sought to compel DWR to rescind the WaterFix approvals, decertify the environmental impact report (EIR), and suspend activities related to the project until DWR complied with applicable laws. Most of the plaintiffs also filed answers opposing a separate action filed by DWR to validate the project’s bond financing. Plaintiffs’ lawsuits were coordinated for trial with other lawsuits, and with DWR’s validation action, as Judicial Council Coordination Proceeding No. 4942. (Cal. Rules of Court, rule 3.550.) In 2019, while the coordination proceeding was pending, California’s newly elected Governor announced that he did not support WaterFix’s dual tunnel proposal and directed DWR to instead pursue a single tunnel conveyance. Shortly thereafter, DWR decertified the EIR and rescinded the project approvals. Consequently, all pending actions, including the validation suit, were dismissed. After the cases were dismissed, plaintiffs filed motions for attorney fees, asserting that they were “successful” parties under the catalyst theory because the litigation motivated DWR to voluntarily provide the relief sought in their petitions and answers. (Graham v. DaimlerChrysler Corp. (2004) 34 Cal.4th 553, 560, 566 (Graham).) The trial court denied the motions, concluding that although plaintiffs may have received the primary relief sought, the lawsuits did not cause DWR to provide that relief. On appeal, plaintiffs argue that (1) the trial court failed to apply the correct legal standard in determining there was no causal connection between the litigation and the relief obtained; and (2) the trial court’s finding of no causation is not supported by substantial evidence. We conclude that the trial court failed to apply the correct legal standard and therefore failed to consider all relevant evidence in the record. We shall reverse the trial court’s order and remand for redetermination of the issue.

2 BACKGROUND FACTS AND PROCEDURE Formed by the confluence of the state’s two largest rivers, the Delta is a “critically important natural resource for California and the nation.” (Wat. Code, § 85002; Delta Stewardship Council Cases (2020) 48 Cal.App.5th 1014, 1031 (Delta Stewardship).)1 It provides habitat for a vast array of aquatic and terrestrial species, offers a wide variety of recreational activities, supports extensive statewide infrastructure, and sustains a productive agricultural landscape rich in culture and history. (§§ 12981, subds. (a), (b), 85002, 85022, subds. (c), (d); Pub. Resources Code, §§ 29701, 29708; Delta Stewardship, supra, 48 Cal.App.5th at pp. 1027, 1030-1031, 1033.) The Delta also serves as the hub of California’s water supply infrastructure. (§§ 85002, 85004; Delta Stewardship, supra, 48 Cal.App.5th at p. 1033.) “Two major water systems[,] the federal Central Valley Project . . . and California’s State Water Project . . . [,] divert water from the Delta and convey water previously stored in upstream reservoirs through the Delta, primarily for urban and agricultural uses in . . . the San Francisco Bay Area, Central Valley, Central Coast, and Southern California.” (Delta Stewardship, at p. 1033, fn. omitted.) More than two-thirds of California residents and millions of acres of farmland rely on water exported from the Delta watershed. (§ 85004.) As a result, approximately half of the water that historically flowed into and through the Delta is now diverted for human use. (Delta Stewardship, at p. 1033.) Located on the southeast edge of the Delta, two sets of pumps, one each for the Central Valley Project (CVP) and the State Water Project (SWP), extract millions of acre-feet of water from the Delta and convey it through a system of reservoirs and canals to other parts of the state. (Id. at p. 1033 & fn. 8; In re Bay-Delta etc. (2008) 43 Cal.4th 1143, 1152-1153.)

1 Undesignated statutory references are to the Water Code.

3 Competing demands for resources have left the Delta and California’s water supply infrastructure in a state of crisis. (§ 85001, subd. (a); Delta Stewardship, supra, 48 Cal.App.5th at pp. 1027-1028, 1035.) Problems include the declining health of the ecosystem, degraded water quality, subsidence of Delta lands, levee system integrity, and risks to water supply reliability. (See Delta Stewardship, at pp. 1032, fn. 6, 1034-1035; In re Bay-Delta etc., supra, 43 Cal.4th at pp. 1151, 1153.) A. The twin tunnels proposal To address the Delta’s problems, in or about 2006, DWR began working on a proposal to modernize and improve the existing Delta water conveyance system. As originally proposed, the project—then known as the Bay Delta Conservation Plan— consisted of two components: a new water conveyance facility and a long-term habitat conservation plan/natural communities conservation plan for the greater Delta area. The proposed water conveyance facility would consist of three new fish-screened intakes and two tunnels designed to divert water from the Sacramento River in the north Delta and convey it approximately 35 miles to the south Delta near the existing CVP/SWP pumps. The “twin tunnels” were not intended to replace the existing through-Delta conveyance system, but to instead create a second facility that could be operated in conjunction with existing facilities, adding flexibility and resiliency to the water supply system. In 2013, DWR and the United States Bureau of Reclamation (among others), acting as joint lead agencies, issued a draft EIR for the Bay Delta Conservation Plan project under the California Environmental Quality Act (CEQA).2 The draft EIR considered the environmental impacts of the proposed project as well as 15 alternatives,

2 The EIR also served as an environmental impact statement for purposes of the National Environmental Policy Act of 1969. (42 U.S.C. § 4321 et seq.) For simplicity, future references will refer only to DWR’s efforts to comply with CEQA.

4 which differed in location, design, and operation from the proposed conveyance facilities and habitat restoration plan. In 2015, in response to comments on the draft EIR, DWR substantially altered the project, replacing the proposed Bay Delta Conservation Plan (alternative 4) with the WaterFix project (alternative 4A). Although the proposed water conveyance facilities were essentially unchanged, the new WaterFix proposal decoupled the habitat conservation and natural communities conservation plan elements. In July 2015, DWR issued a partially recirculated draft EIR for the revised project.

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Bluebook (online)
Dept. of Water Resources Environmental Impact Cases, Counsel Stack Legal Research, https://law.counselstack.com/opinion/dept-of-water-resources-environmental-impact-cases-calctapp-2022.