Puna Pono Alliance v. State

CourtHawaii Intermediate Court of Appeals
DecidedJune 13, 2022
DocketCAAP-21-0000388
StatusPublished

This text of Puna Pono Alliance v. State (Puna Pono Alliance v. State) is published on Counsel Stack Legal Research, covering Hawaii Intermediate Court of Appeals primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Puna Pono Alliance v. State, (hawapp 2022).

Opinion

NOT FOR PUBLICATION IN WEST'S HAWAI#I REPORTS AND PACIFIC REPORTER

Electronically Filed Intermediate Court of Appeals CAAP-XX-XXXXXXX 13-JUN-2022 07:54 AM Dkt. 85 SO

NOS. CAAP-XX-XXXXXXX AND CAAP-XX-XXXXXXX

IN THE INTERMEDIATE COURT OF APPEALS

OF THE STATE OF HAWAI#I

CAAP-XX-XXXXXXX PUNA PONO ALLIANCE, a Hawai#i non-profit association; LUANA JONES; SHANA RITSEMA and JON OLSON, Appellants-Appellants, v. STATE OF HAWAI#I, DEPARTMENT OF HEALTH; PUNA GEOTHERMAL VENTURE, a Hawai#i general partnership, Appellees-Appellees, and every other party to the proceedings as identified herein, Appellees (CIVIL NO. 3CCV-XX-XXXXXXX)

and CAAP-XX-XXXXXXX SARA STEINER, Appellant-Appellant, v. STATE OF HAWAI#I, DEPARTMENT OF HEALTH; PUNA GEOTHERMAL VENTURES, Appellees-Appellees, and DOES 1-20, Appellees (CIVIL NO. 3CCV-XX-XXXXXXX)

APPEAL FROM THE CIRCUIT COURT OF THE THIRD CIRCUIT

SUMMARY DISPOSITION ORDER (By: Hiraoka, Presiding Judge, Nakasone and McCullen, JJ.) NOT FOR PUBLICATION IN WEST'S HAWAI#I REPORTS AND PACIFIC REPORTER

These consolidated secondary appeals arise from primary appeals to the Circuit Court of the Third Circuit.1 The primary appeals were taken from a decision made by the Director of Appellee-Appellee State of Hawai#i Department of Health (DOH). The Director decided that "a new or supplemental environmental review is not required" by the Hawai#i Environmental Policy Act, Hawaii Revised Statutes (HRS) Chapter 343 (HEPA) in connection with Appellee-Appellee Puna Geothermal Venture's application for renewal of its noncovered source permit under HRS Chapter 342B ("Air Pollution Control"). The circuit court dismissed both primary appeals, concluding that it lacked jurisdiction to review the Director's decision under HRS Chapter 91, the Hawai#i Administrative Procedure Act (HAPA). The issue presented by these secondary appeals is whether the Director's HEPA decision was made in a contested case proceeding subject to HAPA. For the reasons explained below, we conclude it was not. We affirm: (1) the Judgment in favor of DOH and Puna Geothermal and against Appellants-Appellants Puna Pono Alliance, Luana Jones, Shana Ritsema, and Jon Olson (collectively, the Alliance) entered by the circuit court on June 23, 2021, in 3CCV-XX-XXXXXXX; and (2) the "Amended Judgment on Appeal" in favor of DOH and Puna Geothermal and against self- represented Appellant-Appellant Sara Steiner entered by the circuit court on December 16, 2021, in 3CCV-XX-XXXXXXX.

Proceedings in the DOH

On December 15, 2009, DOH issued noncovered source permit No. 0008-02-N (the Permit) to Puna Geothermal. The Permit was issued in accordance with HRS Chapter 342B ("Air Pollution Control") and Hawai#i Administrative Rules (HAR), Title 11,

1 The Honorable Henry T. Nakamoto presided over both primary appeals.

2 NOT FOR PUBLICATION IN WEST'S HAWAI#I REPORTS AND PACIFIC REPORTER

Chapter 60.1.2 By letter dated September 11, 2014, Puna Geothermal requested a renewal of the Permit. The request was docketed in the DOH Hearings Office as No. 19-CWBN-5-24 (the Permit Renewal Docket). On October 17, 2019, Puna Pono demanded that DOH comply with HEPA "by requiring an environmental review be accepted by DOH before Puna Geothermal . . . is allowed to proceed with the renewal of an air pollution permit[.]" HRS § 343-5 (2010 and Supp. 2019) provided, in relevant part:

(e) Whenever an applicant proposes an action specified by subsection (a) that requires approval of an agency and that is not a specific type of action declared exempt under section 343–6, the agency initially receiving and agreeing to process the request for approval shall require the applicant to prepare an environmental assessment of the proposed action at the earliest practicable time to determine whether an environmental impact statement shall be required[.]

On October 18, 2019, the DOH Hearings Office asked that Puna Pono clarify "which part of HRS § 343-5's 'subsection (a)' it believes covers" Puna Geothermal's renewal application. Puna Pono responded on October 24, 2019. On October 25, 2019, the DOH Hearings Office issued an order in the Permit Renewal Docket stating:

Any participants who so desire may file and serve responses to [Puna Pono]'s demand . . . not later than Friday, November 8, 2019.

Any participants who so desire may file and serve replies to any and all such responses not later than Tuesday, November 19, 2019.

Puna Geothermal filed a response to Puna Pono's demand on November 8, 2019.

2 A permit under HRS Chapter 342B allows the permit holder to "construct, modify, relocate, or operate [a] regulated air pollutant source." HRS § 342B-1. A "source" is "property, real or personal, which emits or may emit any air pollutant." HRS § 342B-1; HAR § 11-60.1-1. A "noncovered source" is a stationary source constructed, modified, or relocated after March 20, 1972, that is not a covered source. Id. A "covered source" includes a source subject to the Section 111 of the federal Clean Air Act, 42 U.S.C. § 7401, et seq.

3 NOT FOR PUBLICATION IN WEST'S HAWAI#I REPORTS AND PACIFIC REPORTER

On November 18, 2019, the DOH Hearings Office issued an order stating, in relevant part:

Questions of whether to require the preparation of environmental assessments and impact statements are matters to be resolved by the Director of Health, the DOH's Environmental Health Administration and/or the Clean Air Branch, subject to review in the Courts under the applicable appellate processes (if any) for such decisions.

Puna Pono Alliance's [PPA] Demand for Environmental Review, which asks that an environmental review be accepted by the DOH before PGV is allowed to proceed with the renewal of [the Permit], is therefore referred to the Director of Health, the DOH's Environmental Health Administration and the Clean Air Branch for them to resolve, along with any and all joinders and de facto joinders therein.

(emphasis added). Thus, Puna Pono's demand for an environmental review was severed from the Permit Renewal Docket. No appeal was taken from the order. By letter dated December 10, 2019, Steiner also demanded that DOH require an environmental impact statement from Puna Geothermal for the Permit Renewal Docket. On June 8, 2020, Puna Pono filed a motion in the Permit Renewal Docket for "an order that Puna Geothermal Venture (PGV) must prepare an environmental review on the grounds that [HEPA] and related rules of the Department of Health (DOH) applicable to PGV's pending application for a permit renewal require such a review." Steiner joined in the motion. Puna Geothermal responded to the motion and joinder on June 25, 2020. Puna Pono replied on July 6, 2020. On August 13, 2020, the DOH Hearings Office issued an order denying Puna Pono's June 8, 2020 motion and Steiner's joinder "without prejudice to any rights the Director of Health, the DOH's Environmental Management Division (EMD) and/or the Clean Air Branch (CAB) of the EMD may have to direct an environmental review." No appeal was taken from the order.

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

Related

Pearl Ridge Estates Community Ass'n v. Lear Siegler, Inc.
648 P.2d 702 (Hawaii Supreme Court, 1982)
Kahana Sunset Owners Ass'n v. County of Maui
947 P.2d 378 (Hawaii Supreme Court, 1997)
McGlone v. Inaba
636 P.2d 158 (Hawaii Supreme Court, 1981)
Camara v. Agsalud
685 P.2d 794 (Hawaii Supreme Court, 1984)
Sierra Club v. OFFICE OF PLANNING, STATE
126 P.3d 1098 (Hawaii Supreme Court, 2006)
Tax Foundation of Hawaiʻi v. State.
439 P.3d 127 (Hawaii Supreme Court, 2019)

Cite This Page — Counsel Stack

Bluebook (online)
Puna Pono Alliance v. State, Counsel Stack Legal Research, https://law.counselstack.com/opinion/puna-pono-alliance-v-state-hawapp-2022.