Helena Hunters and Anglers Association v. Moore

CourtDistrict Court, D. Montana
DecidedOctober 11, 2023
Docket9:22-cv-00126
StatusUnknown

This text of Helena Hunters and Anglers Association v. Moore (Helena Hunters and Anglers Association v. Moore) is published on Counsel Stack Legal Research, covering District Court, D. Montana primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Helena Hunters and Anglers Association v. Moore, (D. Mont. 2023).

Opinion

IN THE UNITED STATES DISTRICT COURT FOR THE DISTRICT OF MONTANA MISSOULA DIVISION

HELENA HUNTERS & ANGLERS CV 22-126-M—-DWM ASSOCIATION, et al., Plaintiffs, OPINION and vs. ORDER RANDY MOORE, et al., Defendants.

In this case, environmental Plaintiffs Helena Hunters and Anglers Association, Western Watersheds Project, Sierra Club, and WildEarth Guardians (collectively “Plaintiffs”) challenge the United States Forest Service’s (“USFS”) decision to remove big game standards from the Helena-Lewis and Clark National Forest Plan (the “2021 Land Management Plan” or the “Plan”), as well as aspects of the United States Fish and Wildlife Service’s (“FWS”) biological opinion on grizzly bears completed in preparation for that decision. Plaintiffs allege that the Plan violates the National Environmental Policy Act (“NEPA”), the Endangered Species Act (“ESA”), and the Administrative Procedure Act (“APA”). Pending are (1) Plaintiffs’ motion for summary judgment, (Doc. 17); (2) the USFS’s and FWS’s (collectively “Federal Defendants”) cross-motion for summary judgment, (Doc. 22); and (3) Federal Defendants’ motion to strike, (Doc. 20). For the reasons

stated herein, Plaintiffs’ motion for summary judgment is denied and Federal Defendants’ motions for summary judgment and to strike are granted. BACKGROUND! I. Helena-Lewis and Clark National Forest and the Grizzly Bear The Helena-Lewis and Clark National Forest (the “Forest”’), located in central Montana, FWS-000347, is occupied by, among other species, the grizzly bear. See FWS-000360-61. Historically, grizzly bears lived throughout much of western North America with populations as high as 50,000 bears. FWS-001911. By the time the grizzly bear was listed as threatened under the ESA in 1975, they had been reduced to less than two percent of their historic range. FWS-0001912- 13. Grizzly bears remain listed as a threatened species under the ESA, though no critical habitat has been designated. FS-120409. Grizzly bears range through a variety of habitats and their daily movements

are largely driven by “the search for food, water, mates, cover, security, or den sites.” FWS-001904. “The available habitat for grizzly bears is also influenced by people and their activities.” FWS-001904. “Human activities are the primary factor impacting habitat security and the ability of bears to find and access foods,

' This case involves two administrative records: the USFS administrative record, cited as “FS-[bates page #]”, and the FWS administrative record, cited as “FWS- [bates page #].” All facts are undisputed unless otherwise indicated. (See Docs. 19, 24, 25, 29.) .

mates, cover, and den sites.” FWS-001904. “[M]anaging human access to grizzly bear habitat” is thus the “key to effective habitat management.” FWS-001968. For grizzly bear populations to recover in the lower 48 states, the species needs large blocks of land, cover, high-caloric foods, and dens. FWS-001957. Grizzly bears also need to maintain genetic diversity and have connectivity restored between subpopulations. FWS-001917. Grizzly bears need a sufficient number and distribution of ecosystems with ecological and genetic diversity across their

range as well. FWS-001917. II. 2021 Land Management Plan “Forest plans govern the management of national forests, and the National Forest Management Act [NFMA] requires revision of Forest Plans at least every fifteen years.” WildEarth Guardians v. Steele, 545 F. Supp. 3d 855, 861 (D. Mont. 2021) (citing 16 U.S.C. § 1604(f)(5)(A)) (internal record citation omitted). At issue in this case is the Forest’s 2021 Land Management Plan. FS-227569-8222. The USFS opened scoping in the form of a draft forest plan in the winter of 2016, FS-00228310, issued a Draft Environmental Impact Statement (“EIS”) in June 2018, FS-00205201, and issued a Final EIS and Record of Decision on October 29, 2021, FS-00227549. The purpose of the Plan “is to have an integrated set of plan direction . . . to provide for social, economic, and ecological sustainability and multiple uses of

the” Forest’s lands and resources. FS-00228316. “It does not authorize, fund, or

carry out an action but provides direction for future actions that may be authorized, funded, or carried out by the Forest.” FWS-000007. However, it does “provide[] an integrated plan for land and resource management, which articulates desired conditions, goals, objectives, standards, guidelines, and suitability of lands.” FWS-000006-07. Importantly, [a] standard (STD) is a mandatory constraint on project and activity decision-making, established to help achieve or maintain one or more desired conditions, to avoid or mitigate undesirable effects, or to meet applicable legal requirements. Standards must be met and cannot be deviated from. A guideline (GDL) is a constraint on project and activity decision-making that allows for departure from its terms, so long as the purpose of the guideline is met. Guidelines are established to help achieve or maintain one or more desired conditions, to avoid or mitigate undesirable effects, or to meet applicable legal requirements. FWS-000007 (internal citations omitted). The primary dispute in this case concerns the Plan’s omission of ten wildlife standards (the “Wildlife Standards”) that were present in the previous Land Management Plan for the Helena National Forest (the “1986 Plan”). Included in the Wildlife and Fisheries section of the 1986 Plan and listed under the header “Big Game,” the Wildlife Standards covered various ways to protect big game, including the following regarding cover and motorized vehicle management: 1. On important summer .. . and winter range, adequate thermal and hiding cover will be maintained to support the habitat potential.

2. An environmental analysis for project work will include a cover analysis. The cover analysis should be done on a drainage or elk herd unit basis. ... 3. Subject to hydrologic and other resource constraints, elk summer range will be maintained at 35 percent or greater hiding cover and areas of winter range will be maintained at 25 percent or greater thermal cover in drainages or elk herd units. 4. Implement an aggressive road management program to maintain or improve big security. To decide which roads, trails, and areas should be restricted and opened, the Forest will use the following guidelines developed with the Montana Department of Fish, Wildlife[] and Parks (MDFWP). The Forest visitor map will document the road management program. a. Road management will be implemented to at least maintain big game habitat capability and bunting opportunity. To provide for a first week bull elk harvest that does not exceed 40 percent of the total bull harvest, roads will be managed during the general big game hunting season to maintain open road densities with the following limits. [Limits Omitted] The existing hiding cover to open road density ratio should he [sic] determined over a large geographic area, such as timber sale analysis area, a third order drainage, or elk herd unit. b. Elk calving grounds and nursery areas will be closed to motorized vehicles during peak use by elk. Calving is usually in late May through mid-June and nursery areas are used in late June through July. c. All winter range areas will be closed to vehicles between December 1 and May 15. Exceptions . . . may be granted. d. At restricted roads, trails, and areas, signs will be posted which tell:

1. Type of restriction. 2. Reason for restriction. 3. Time of restriction. 4. Cooperating agencies. e. Roads that will be closed will be signed during construction or reconstruction telling the closure date and reason for closure. f. Enforcement is a shared responsibility. Enforcement will be coordinated with the MDF WP. g.

Free access — add to your briefcase to read the full text and ask questions with AI

Related

Cite This Page — Counsel Stack

Bluebook (online)
Helena Hunters and Anglers Association v. Moore, Counsel Stack Legal Research, https://law.counselstack.com/opinion/helena-hunters-and-anglers-association-v-moore-mtd-2023.