In the Matter of Issuance of Air Emissions Permit No. 13700345-101 for PolyMet Mining, Inc., City of Hoyt Lakes, St. ...

CourtCourt of Appeals of Minnesota
DecidedDecember 18, 2023
Docketa220068
StatusUnpublished

This text of In the Matter of Issuance of Air Emissions Permit No. 13700345-101 for PolyMet Mining, Inc., City of Hoyt Lakes, St. ... (In the Matter of Issuance of Air Emissions Permit No. 13700345-101 for PolyMet Mining, Inc., City of Hoyt Lakes, St. ...) is published on Counsel Stack Legal Research, covering Court of Appeals of Minnesota primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

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In the Matter of Issuance of Air Emissions Permit No. 13700345-101 for PolyMet Mining, Inc., City of Hoyt Lakes, St. ..., (Mich. Ct. App. 2023).

Opinion

This opinion is nonprecedential except as provided by Minn. R. Civ. App. P. 136.01, subd. 1(c).

STATE OF MINNESOTA IN COURT OF APPEALS A22-0068

In the Matter of Issuance of Air Emissions Permit No. 13700345-101 for PolyMet Mining, Inc., City of Hoyt Lakes, St. Louis County, Minnesota.

Filed December 18, 2023 Affirmed; motion granted Bjorkman, Judge

Minnesota Pollution Control Agency

Jay E. Eidsness, Joy R. Anderson, Minnesota Center for Environmental Advocacy, St. Paul, Minnesota (for relators Minnesota Center for Environmental Advocacy, Friends of the Boundary Waters Wilderness, and Sierra Club)

Monte A. Mills, Aaron P. Knoll, Greene Espel PLLP, Minneapolis, Minnesota; and

Jay C. Johnson (pro hac vice), Venable LLP, Washington, DC (for respondent Poly Met Mining, Inc.)

Keith Ellison, Attorney General, Adonis Alfonso Neblett, Assistant Attorney General, St. Paul, Minnesota; and

Sarah Koniewicz, Holland & Hart LLP, Boulder, Colorado; and

Emily C. Schilling (pro hac vice), Holland & Hart LLP, Salt Lake City, Utah (for respondent Minnesota Pollution Control Agency)

Considered and decided by Worke, Presiding Judge; Bjorkman, Judge; and Ede,

Judge. NONPRECEDENTIAL OPINION

BJORKMAN, Judge

This certiorari appeal follows a remand for respondent Minnesota Pollution Control

Agency (the agency) to provide further findings in support of its 2018 decision to issue an

air-emissions permit to respondent Poly Met Mining Inc. (PolyMet). Relators are a

coalition of environmental groups: Minnesota Center for Environmental Advocacy (the

center), Friends of the Boundary Waters Wilderness, and Sierra Club (collectively, the

coalition). The coalition challenges the agency’s supplemented decision to issue the

permit, arguing that (1) the agency’s determination that Minn. R. 7007.1000, subp. 2(C)

(2021), does not warrant denial of the permit, relies on an erroneous interpretation of state

permitting rules; and (2) the decision is arbitrary and capricious because the agency

declined to consider evidence from after 2018. The coalition also notes that the

administrative record does not contain the post-2018 evidence that it proffered to the

agency on remand or the agency’s letter declining to consider the evidence, and it moves

this court to supplement the record with those documents. We grant the motion to

supplement the record and affirm the agency’s supplemented decision.

FACTS

PolyMet proposes to build a copper-nickel-platinum mine and processing plant in

northeastern Minnesota. It calls the project NorthMet. Because NorthMet, if built, will

emit air pollution, PolyMet must obtain an air-emissions permit before proceeding with

construction. This court and the supreme court previously addressed the NorthMet air-

emissions permit in a series of three decisions: In re Issuance of Air Emissions Permit No.

2 13700345-101 for PolyMet Mining, Inc., 943 N.W.2d 399 (Minn. App. 2020) (PolyMet I),

rev’d, 955 N.W.2d 258 (Minn. 2021) (PolyMet II); In re Issuance of Air Emissions Permit

No. 13700345-101 for PolyMet Mining, Inc., 965 N.W.2d 1 (Minn. App. 2021) (PolyMet

III), rev. denied (Minn. Sept. 29, 2021).

Air-emissions permits are governed by the Clean Air Act, which the agency

implements. See PolyMet III, 965 N.W.2d at 4. Under the Clean Air Act, the type of

permit that a facility requires depends on its capacity for producing air pollution. A “major

stationary source” has the capacity to emit more than 250 tons of air pollution per year and

is subject to the strictest pollution-control standards. Id. (citing 40 C.F.R.

§ 52.21(b)(1)(i)(a)-(b), (12) (2019)). A facility with the capacity of a major source that

agrees to limit its output by implementing enforceable operational restrictions is known as

a “synthetic minor source.” Id. at 5. If a facility permitted as a synthetic minor source later

seeks to expand to operate as a major source, it must undergo preconstruction review as

though it had never begun construction and must retrofit pollution-control technology

appropriate to a major source. PolyMet II, 955 N.W.2d at 261, 267. But if the facility

sought the synthetic-minor-source permit in bad faith, always intending to operate as a

major source, the permit is known as a “sham” permit and the facility may be subject to

sanctions. Id. at 261-62, 267.

In 2016, PolyMet applied for a synthetic-minor-source air-emissions permit for

NorthMet. It acknowledged that the facility would have the capacity to operate as a major

source but agreed to restrict the ore-processing rate, known as “throughput,” to 32,000 tons

per day to reduce pollutant output and qualify for a synthetic-minor-source permit. In early

3 2018, the agency released a draft permit to the public and the Environmental Protection

Agency (EPA), conducted public meetings, and received public comments. Based on

public comments and discussions with EPA, the agency modified the draft permit,

including enhancing its monitoring provisions.

On March 26, 2018, ten days after the public-comment period closed, PolyMet’s

Canadian parent corporation filed a technical report with Canadian securities regulators

addressing the feasibility of the NorthMet project. Among the Canadian report’s 273 pages

are 10 pages comparing the expected internal rate of return if NorthMet operates as

proposed (10.3%) with the expected internal rate of return if NorthMet were to operate

with increased throughputs of 59,000 tons per day or 118,000 tons per day (18.5% and

23.6%, respectively). The report states that the increased-throughput scenarios are

“preliminary” and “speculative,” noting that expanding the operation would require

additional engineering, environmental review, permitting, and investment.

The center raised concerns about the Canadian report. In June 2018, it petitioned

the Minnesota Department of Natural Resources for a supplemental environmental impact

statement (SEIS), arguing that the report, attached to its petition with additional exhibits,

shows PolyMet’s intent to build a larger project; the center sent a copy of the petition and

supporting exhibits to the agency. The natural-resources department denied the petition,

and the coalition appealed. In November, the center asked the agency to stay a decision on

the NorthMet air-emissions permit pending that appeal. The agency denied the request.

Then, in mid-December, the center sent a letter to the agency arguing that the Canadian

report showed that the NorthMet project could not attract investors as proposed and

4 requesting that the agency investigate whether PolyMet was seeking a sham permit. The

agency responded by letter, saying that the increased-throughput scenarios were

“speculative at best” and did not indicate that PolyMet intends “to operate the mine at

levels higher than the synthetic minor throughput limits” or to “circumvent major source

permitting.”

The next day, the agency granted the permit. Its eight-page decision determined,

without explanation, that the permitting preconditions in Minn. R. 7007.1000, subp. 1

(2021), are satisfied and none of the reasons to deny a permit listed in Minn. R. 7007.1000,

subp. 2 (2021), exists. The decision did not address the Canadian report or the concern

expressed in the center’s December 2018 letter that PolyMet will expand operations after

securing the synthetic-minor-source permit.

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