Roger Turunen v. Department of Natural Resources

310 Mich. App. 635
CourtMichigan Court of Appeals
DecidedJune 2, 2015
DocketDocket 321337, 321338, and 321339
StatusPublished
Cited by26 cases

This text of 310 Mich. App. 635 (Roger Turunen v. Department of Natural Resources) is published on Counsel Stack Legal Research, covering Michigan Court of Appeals primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Roger Turunen v. Department of Natural Resources, 310 Mich. App. 635 (Mich. Ct. App. 2015).

Opinion

GLEICHER, P.J.

First published in 1905, Pigs is Pigs, by Ellis Parker Butler, tells the story of a railroad agent who insisted on charging the “livestock” rate for a shipment of two guinea pigs, rather than the lower rate applicable to domestic pets. Butler, Pigs Is Pigs (Colver Publishing House, 1905), pp 5-6. “Rules is rules,” the agent announced, and “[t]h’ nationality of the pig creates no differentiality in the rate . .. !” Id. at 4, 7. The man who had ordered the guinea pigs refused to be bullied by the bureaucratic agent. Rather than pay a rate he viewed as exorbitant (30 cents a guinea pig), the *639 buyer left the creatures at the station. Id. at 8-9. Within weeks, two guinea pigs became hundreds. The chastened agent announced, “Rules may be rules,” but henceforth, “pigs is pets.” Id. at 36.

This case presents a 21st century pig/rule problem. The Michigan Department of Natural Resources (DNR) has declared the wild Russian boar an invasive species subject to “dispossession.” Plaintiffs own hundreds of Russian boars, which they breed on ranches and offer as targets for hunters. “Rules may be rules,” the owners insist, but despite their pigs’ “nationality,” the targeted swine are domestic and not wild, and therefore are not an invasive species. Furthermore, plaintiffs argue, the DNR’s order is void for vagueness and violates the Equal Protection and Due Process Clauses.

The circuit court rejected plaintiffs’ vagueness challenge, but concluded that the DNR’s order banning the boars ran afoul of the Equal Protection and Due Process Clauses because it lacked “the standards for a reasonable and rational classification” scheme. Plaintiffs’ pigs, the circuit court further determined, are “hybrid” domestic swine rather than wild and invasive pests.

The rules governing our review of this dispute command us to afford great deference to the DNR’s method of delineating a particular invasive species. The classification at issue may be imperfect, but it is neither unconstitutionally vague nor irrational. We reverse the circuit court’s equal protection and due process rulings, dissolve the injunction it imposed, and affirm that the invasive species order possesses sufficient clarity to pass constitutional muster.

I. BACKGROUND FACTS AND PROCEEDINGS

Plaintiff Greg Johnson owns Bear Mountain, L.L.C., a hunting ranch where customers pay a fee to *640 “harvest” Russian boars and other animals. Russian boars are not native to Michigan. According to the DNR, the wild boars now roaming throughout the state (or their boar ancestors) escaped from hunting ranches. Johnson purchased his initial stock of boars from a seller in Canada. His importation permit, issued by the United States Department of Agriculture, specifically labeled the animals as “Wild Boar.” Johnson has also obtained boars from plaintiff Roger Turunen, who raises “swine, primarily of the Russian boar breed for sale to game ranches throughout Michigan.” Plaintiff Tingstad purchased two pigs from Turunen. He named them “Gretchen” and “Princess Goreya,” and attested that he “developed a strong affection for these pigs,” which he described as “members of my family.” Sadly, both of Tingstad’s pet boars are now deceased.

Unlike Gretchen and Princess Goreya, the majority of Russian boars are not lovable pets. Across the United States, large numbers have escaped from hunting ranches and entered the wild, leaving behind a trail of environmental destruction. According to the United States Department of Agriculture, “[t]he rooting and wallowing activities” of escaped boars and their multitudinous offspring “cause serious erosion to river banks and areas along streams. These destructive animals have been known to tear through livestock and game fences and consume animal feed, minerals, and protein supplements.” Feral pigs “feast on field crops such as corn, milo, rice, watermelon, peanuts, hay, turf and wheat,” and “will prey upon young livestock and other small animals.” United States Department of Agriculture Animal and Plant Health Inspection Service, Feral / Wild Pigs: Potential Problems for Farmers and Hunters, Agriculture Information Bulletin No. 799, available at *641 <https://www.aphis.usda.gov/publications/wildlife_damage/content/printable_version/feral%20pigs.pdf> (accessed May 20, 2015) [http://perma.cc/F5QS-8QH7].

Michigan’s DNR concurs. The page of its website discussing wild pigs recites that “[fjeral swine are a problem for two main reasons — they can host many parasites and diseases that threaten humans, domestic livestock and wildlife; and they can cause extensive damage to forests, agricultural lands and Michigan’s water resources.” Michigan Department of Natural Resources, Feral Swine in Michigan A Growing Problem, available at <http://www.michigan.gov/dnr/ 0,1607, 7-153-10370_12145_55230-230062 — ,00.html> (accessed May 20, 2015) [http://perma.cc/JM8GWC5A]. According to the DNR, “[b]y the end of 2011, more than 340 feral swine had been spotted in 72 of Michigan’s 83 counties, and 286 [had] been reported killed. A sow can have two litters a year of four to six piglets. Based on their prolific breeding practices, it is estimated that feral swine in Michigan currently could number between 1,000 and 3,000.” Id.

Michigan is not the only state plagued with wild pigs. “The 2.6 million pigs in Texas cause $500 million in damage each year — a liability of $200 per pig.” Nordrum, Can Wild Pigs Ravaging the U.S. be Stopped?, Sci Am, October 21, 2014, available at <http://www.scientificamerican.com/article/ can-wild-pigs-ravaging~the-u-s-be-stopped/> (accessed May 20, 2015) [http://perma.cc/S2R6-ZELQ]. Florida’s feral hog population, estimated at between 500,000 and one million animals, is second only to that of Texas. 2012 Annual State Summary Report of the Wild Hog Working Group, Southeastern Association of Fish and Wildlife Agencies (SEAFWA), p 24, available at *642 <http://www.agfc.com/species/docuxnents/2012annual statesummaryreporthog.pdf> (accessed May 20, 2015) [http://perma.cc/2QZB-UJ7X]. The SEAFWA Wild Hog Working Group characterizes feral swine as “highly mobile disease reservoirs” that “can carry at least 30 important viral and bacterial diseases, and a minimum of 37 parasites that affect people, pets, livestock, or wildlife.” Id. at 51. In a video presentation posted on the Michigan DNR website titled, “A Pickup Load of Pigs: The Feral Swine Pandemic,” Part 1, Dr. Michael Bodenchuk, Texas State Director of Wildlife Services, observes: “In Texas, we say that any fence that will hold water will hold hogs. Fences may be hog resistant but they are not hog proof and eventually hogs will be able to breach any fence.” Available at <http://www.michigan.gov/dnr/ 0,1607,7-153-10370_12145_55230-251114 — ,00.html > (accessed May 20, 2015) [http://perma.cc/32BD-WKRD].

Closer to home, in 2002, Baraga County Prosecuting Attorney, Joseph P.

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Bluebook (online)
310 Mich. App. 635, Counsel Stack Legal Research, https://law.counselstack.com/opinion/roger-turunen-v-department-of-natural-resources-michctapp-2015.