Healthy Gulf and Sierra Club v. Secretary, Louisiana Department of Natural Resources

CourtLouisiana Court of Appeal
DecidedDecember 23, 2024
Docket2024-CA-0286
StatusPublished

This text of Healthy Gulf and Sierra Club v. Secretary, Louisiana Department of Natural Resources (Healthy Gulf and Sierra Club v. Secretary, Louisiana Department of Natural Resources) is published on Counsel Stack Legal Research, covering Louisiana Court of Appeal primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Healthy Gulf and Sierra Club v. Secretary, Louisiana Department of Natural Resources, (La. Ct. App. 2024).

Opinion

HEALTHY GULF AND * NO. 2024-CA-0286 SIERRA CLUB * VERSUS COURT OF APPEAL * SECRETARY, LOUISIANA FOURTH CIRCUIT DEPARTMENT OF NATURAL * RESOURCES STATE OF LOUISIANA *******

APPEAL FROM ST. BERNARD 34TH JUDICIAL DISTRICT COURT NO. 23-0764, DIVISION “E” Honorable Eric A. Bopp, ****** Judge Nakisha Ervin-Knott ****** (Court composed of Judge Paula A. Brown, Judge Tiffany Gautier Chase, Judge Nakisha Ervin-Knott)

Elizabeth Livingston de Calderon Zora Djenohan EARTHJUSTICE 900 Camp Street, Suite 303 New Orleans, LA 70130

COUNSEL FOR PLAINTIFF/APPELLANT

Elizabeth Baker Murrill ATTORNEY GENERAL Warren B. Bates, Jr. Machelle R. L. Hall Morgan D. Rogers Assistant Attorneys General LOUISIANA DEPARTMENT OF JUSTICE P.O. Box 94005 Baton Rouge, LA 70821

COUNSEL FOR DEFENDANT/APPELLEE Richard D. McConnell, Jr. Lauren J. Rucinski KEAN MILLER, LLP 400 Convention Street. Suite 700 Baton Rouge, LA 70802

COUNSEL FOR INTERVENOR/APPELLEE

AFFIRMED December 23, 2024 NEK Healthy Gulf1 and Sierra Club2 (collectively “Appellants”) appeal the trial PAB TGC court’s February 2, 2024 judgment, which affirmed the State of Louisiana,

Department of Energy and Natural Resources’ (“LDENR”) approval of the

Evangeline Pass Project (“Project”) and granting of a coastal use permit (“CUP”) to

Tennessee Gas Pipeline Company (“TGPC”). After considering the record before

this Court, we affirm the district court’s judgment upholding the LDENR’s decision

to approve the CUP in favor of TGPC.

BACKGROUND

A. Legal Background

The Louisiana Constitution article IX, § 1 establishes the public trust doctrine,

which mandates “[t]he natural resources of the state, including air and water, and the

healthful, scenic, historic, and esthetic quality of the environment shall be protected,

conserved, and replenished insofar as possible and consistent with the health, safety, 1 According to the petition for judicial review, “Healthy Gulf is a non-profit organization based in

New Orleans, Louisiana whose mission is to collaborate with and serve communities who love the Gulf of Mexico by providing the research, communications, and coalition-building tools needed to reverse the long pattern of over exploitation of the Gulf’s natural resources.” 2 According to the petition for judicial review, “Sierra Club is a non-profit organization whose

mission is to explore, enjoy and protect the wild and beautiful places of the Earth; to practice and promote the responsible use of the Earth’s ecosystems and resources; to educate and enlist people to protect and restore the quality of the natural and human environment; and to use all lawful means to carry out these objectives.”

1 and welfare of the people.” This article of the Constitution orders the legislature to

“enact laws to implement this policy.” In line with this mandate, the LDENR –

through its Office of Coastal Management (“OCM”) – is a state agency responsible

for managing Louisiana’s coastal zone under the State and Local Coastal Resources

Management Act of 1978 (“SLCRMA”), as provided for under La. R.S. 49:214.21

et seq. The function of the OCM is, in part, to “receive, evaluate, and make

recommendations to the secretary[3] concerning applications for [CUPs].” La. R.S.

49:214.26(B)(1).

Under the SLCRMA, no one is permitted to “commence a use[4]” of the coastal

zone without a CUP. La. R.S. 49:214.30(A)(1). The LDENR issues a CUP pursuant

to criteria provided for in the Coastal Use Guidelines (“Guidelines”) found in LAC

43:I-701–719. Prior to the issuance of a CUP, the LDENR must ensure “that the

activity for which application is being made is consistent with the state’s master plan

for integrated coastal protection.” La. R.S. 49:214.30(A)(2). Further, “[t]he coastal

use permit decision must be consistent with the state program and approved local

programs for affected parishes and must represent an appropriate balancing of social,

environmental and economic factors.” La. R.S. 49:214.30(C)(3).

B. Factual and Procedural Background

On February 7, 2020, TGPC submitted an application to the LDENR for a

CUP to construct, operate, and maintain facilities as part of the Project. Specifically,

the Project consists of two 36-inch natural gas looping pipelines5 – the Yscloskey

3 “Secretary” is the secretary of the LDENR or his designee. La. R.S. 49:214.23(12). 4 “Use” means “any use or activity within the coastal zone which has a direct and significant

impact on coastal waters.” La. R.S. 49:214.23(13). 5 According to TGPC’s Compensatory Mitigation Plan, “[p]ipeline loops are those pipeline

segments which are laid parallel to another pipeline and used as a way to increase capacity along what is possible on one line. These lines are connected to move a larger flow of gas through a single pipeline segment.”

2 Toca Lateral Loop (“YTL Loop”)6 and Grand Bayou Loop (“GB Loop”)7 – totaling

approximately 13 miles in length, a new compressor station (“CS 529”)8, and a

modification to an existing compressor station (“CS 527”)9. According to the

Support Document submitted in conjunction with TGPC’s CUP application:

The purpose of the Project is to provide up to 1,100,000 Dth/d of firm transportation capacity on Tennessee’s interstate natural gas pipeline system for delivery to Venture Global at a proposed interconnection with Gator Express Pipeline (“Gator Express”) in Plaquemines Parish, Louisiana to supply feed gas for Venture Global’s natural gas liquefaction and liquefied natural gas export facility in Plaquemines Parish, Louisiana (“Plaquemines LNG Terminal”).

The Project is needed to support the binding precedent agreement executed between Tennessee and Venture Global for up to 2,000,000 Dth/d of firm transportation capacity under which Tennessee has agreed to construct, acquire, and operate the necessary facilities and capacity for the Project. Venture Global’s request will be met through Tennessee’s construction of certain facilities and Tennessee’s lease of certain capacity from SNG.

Of the 2,000,000 Dth/d of capacity needed by the Project Shipper, 1,100,000 Dth/d will be created by the Project. Therefore, unless Tennessee proceeds with construction of the Project, Tennessee will be unable to completely satisfy the Project Shipper’s expressed need for additional firm transportation capacity to transport feed gas to Gator Express by December 1, 2022, the required in service date in the executed precedent agreement.

On August 6, 2020, LDENR placed the proposed Project on public notice in

accordance with LAC 43:I-723(C). During this formal twenty-five day notice period,

one public comment was received – a formal objection from Healthy Gulf. From

6 The YTL Loop is approximately 9.1 miles of 36-inch looping pipeline along TGPC’s existing

24-inch 529D-100 Yscloskey Toca Lateral located in St. Bernard Parish, Louisiana. TGPC intends to locate the YTL Loop within and adjacent to the right-of-way (“ROW”) associated with its existing Yscloskey Toca Lateral. 7 The GB Loop is approximately 4.0 miles of 36-inch looping pipeline along TGPC’s existing 36-

inch 500-2 Line in Plaquemines Parish, Louisiana. TGPC intends to locate the GB Loop within and adjacent to the ROW associated with its existing 500-2 Line. 8 CS 529 will be located at an existing abandoned compressor station site along TGPC’s existing

500 line system located in St. Bernard Parish, Louisiana. 9 The existing CS 527 is located in Plaquemines Parish, Louisiana.

3 August 2020 to November 2022, the LDENR requested information from TGPC on

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Healthy Gulf and Sierra Club v. Secretary, Louisiana Department of Natural Resources, Counsel Stack Legal Research, https://law.counselstack.com/opinion/healthy-gulf-and-sierra-club-v-secretary-louisiana-department-of-natural-lactapp-2024.