National Wildlife Federation v. Harvey

574 F. Supp. 2d 934, 68 ERC (BNA) 1304, 2008 U.S. Dist. LEXIS 99154, 2008 WL 3365017
CourtDistrict Court, E.D. Arkansas
DecidedAugust 8, 2008
Docket4:05-CV-01278-WRW
StatusPublished
Cited by2 cases

This text of 574 F. Supp. 2d 934 (National Wildlife Federation v. Harvey) is published on Counsel Stack Legal Research, covering District Court, E.D. Arkansas primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
National Wildlife Federation v. Harvey, 574 F. Supp. 2d 934, 68 ERC (BNA) 1304, 2008 U.S. Dist. LEXIS 99154, 2008 WL 3365017 (E.D. Ark. 2008).

Opinion

ORDER

WM. R. WILSON, JR., District Judge.

Pending are Plaintiffs’ Motion for Summary Judgment and Permanent Injunction (Doc. No. 75) and Defendants’ Cross Motion for Summary Judgment (Doc. No. 81). Plaintiffs have responded, 1 and Defendants have replied. 2

*939 I. FACTUAL BACKGROUND

a. The Grand Prairie and Alluvial and Sparta Aquifers

The Grand Prairie consists of approximately 500,000 acres located between the Mississippi and Arkansas Rivers and has become one of the major rice producing areas of the world. The White River runs directly through the region and water used to support agriculture has come primarily from wells drilled into the Aluvial Aquifer.

The Aluvial Aquifer provides millions of gallons of water annually to the region. It is an unconfined aquifer, which means it can be replenished by surface water. As a result of irrigation needed for agricultural production, the water level of the Aluvial Aquifer has steadily decreased during the past century.

Since the Aluvial Aquifer cannot meet the agricultural demand, the Sparta Aquifer is being used as well. The Sparta Aquifer provides drinking water for local residents and water for local industry. The Sparta Aquifer, unlike the Aluvial Aquifer, is a confined aquifer, which means it cannot be easily replenished by surface water because the water is trapped below a nearly impermeable upper clay-like layer. Its water depth is also declining.

Based on the current rate of usage, scientists estimate that the Aluvial Aquifer will go dry, or nearly dry, in four to nine years. Many scientists believe that if the Aluvial Aquifer drys up, the underlying Sparta Aquifer may be contaminated, making it unfit for drinking water.

The Grand Prairie Project (“GPP”), which is under attack in this lawsuit, is designed to prevent the depletion of the Aluvial and Sparta Aquifers by pumping water from the White River and delivering it to the Grand Prairie farmland for irrigation. This will be done by constructing a pumping station, and by using a system of man-made canals, pipelines, and existing streams.

The pumping station for the GPP will be located next to the White River, northeast of DeValls Bluff, Akansas. 3 The GPP’s pumping station, water withdrawal, and water delivery systems will affect the Cache River Wildlife Refuge and the Wat-tenensaw Wildlife Management Aea. 4 Importantly, the GPP’s impact area will include the White River National Wildlife Refuge, which is home to the largest remaining functional bottomland hardwood ecosystem on any tributary of the Mississippi River. This area is renowned for its fish and wildlife, as well as the overall uniqueness of its ecosystem. It is also the last known North American refuge of the Ivory-billed Woodpecker (“IBW”). 5

b. The Ivory-billed Woodpecker

The IBW is the largest woodpecker in the United States and the second largest in the world. The IBW was thought to be extinct since 1944; however, in April 2005, scientists confirmed a sighting in the Cache River National Refuge, and it was heard in the White River National Wildlife Refuge. '

The primary reason for the decrease in the IBW appears to be a reduction in suitable habitat because of logging and conversion of forest habitats. 6 James Tanner, who studied the IBW in the 1940s, wrote, “[i]n many cases the [IBWs] disappearance almost coincided with logging op *940 erations. In others, there was no close correlation, but there are no records of [IBWs] inhabiting areas for any length of time after those [areas] have been cut over.” 7 The United States Fish and Wildlife Service (“FWS”) wrote that extensive habitat loss and fragmentation, 8 and the lack of information on specific habitat requirements, remain a threat to this species. 9

In order to thrive, the IBW must have uninhabited forest with old-growth trees and a continuous supply of newly dead trees. A single breeding pair may need as much as seventeen square miles of bottom-land forest to survive. The IBW forages in trees greater than 11.8 inches in diameter at breast height (“dbh”), 10 where they feed on beetles and beetle larvae in dead trees, and on ground dwelling insects. The IBW is known to nest forty feet above ground in large dead trees or in dead portions of live trees.

II. PROCEDURAL BACKGROUND

In 1996, Congress authorized the Grand Prairie Region and Bayou Meto flood control project. 11 The United States Corps of Engineers (“Corps”), after years of studying plans for agricultural water supply, groundwater management, and conservation, issued a draft Environmental Impact Statement (“EIS”) in 1998. After public comment, the Corps issued the final EIS in 1999, and, after a second round of public comment, the Corps approved a Record of Decision (“ROD”) in February, 2000. 12

Four years later, the project was challenged by the Arkansas Wildlife Association, the National Wildlife Association, and other conservation groups. A complaint was filed in February, 2004, alleging violations of the National Environmental Policy Act (“NEPA”) and requesting preliminary and permanent injunctions.

On March 4, 2004, the Corps issued a draft Environmental Assessment (“EA”) that addressed changes to the original plan, primarily requiring the replacement of canals with pipelines. A Finding of No Significant Impact or FONSI was issued by the Corps on July 2, 2004. The final EA calculated that construction of the pump station, inlet channel, pipelines, canals, and the regulating reservoir would cause temporary effects to 60 acres, and permanent effects to 75 acres of upland hardwoods, bottomland hardwoods, and forested swamps. In addition, the Corps conceded that the project would cause 11 acres of temporary and 30 acres of permanent destruction of the scrub/shrub swamp, and 1 acre of permanent destruction of marshland. 13

In November, 2004, United States District Judge G. Thomas Eisele issued and opinion in November, 2004 14 finding that “the Grand Prairie Project will not adversely impact the White River or its Basin.” 15 The district court reasoned that *941 “[t]he minimum flow requirements set forth a minimum level of water depth for the White River sufficient to sustain navigation, fisheries, and wetlands.” 16

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574 F. Supp. 2d 934, 68 ERC (BNA) 1304, 2008 U.S. Dist. LEXIS 99154, 2008 WL 3365017, Counsel Stack Legal Research, https://law.counselstack.com/opinion/national-wildlife-federation-v-harvey-ared-2008.