Simsbury-Avon Pres. Soc'y, LLC v. Metacon Gun Club, Inc.

CourtCourt of Appeals for the Second Circuit
DecidedJuly 31, 2009
Docket07-0795
StatusPublished

This text of Simsbury-Avon Pres. Soc'y, LLC v. Metacon Gun Club, Inc. (Simsbury-Avon Pres. Soc'y, LLC v. Metacon Gun Club, Inc.) is published on Counsel Stack Legal Research, covering Court of Appeals for the Second Circuit primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Simsbury-Avon Pres. Soc'y, LLC v. Metacon Gun Club, Inc., (2d Cir. 2009).

Opinion

07-0795-cv Simsbury-Avon Pres. Soc’y, LLC, et al. v. Metacon Gun Club, Inc.

1 UNITED STATES COURT OF APPEALS 2 FOR THE SECOND CIRCUIT 3 4 August Term, 2007 5 6 7 (Argued: August 4, 2008) Decided: July 31, 2009) 8 9 Docket No. 07-0795-cv 10 11 _____________________________________ 12 13 DEAN M. CORDIANO, 14 15 Special Master, 16 17 SIMSBURY-AVON PRESERVATION SOCIETY, LLC, and GREGORY SILPE, 18 19 Plaintiffs-Appellants, 20 21 -v.- 22 23 METACON GUN CLUB, INC., ITS MEMBERS AND GUESTS, 24 25 Defendants-Appellees, 26 27 ROBERT PATRICELLI, RINALDO TEDESCHI, DIANE TEDESCHI, SHELDON CHERRY, 28 29 Plaintiffs. 30 _____________________________________ 31 32 33 Before: RAGGI, WESLEY, and LIVINGSTON, Circuit Judges. 34 35 36 _____________________________________ 37

38 Plaintiffs-Appellants brought suit against Defendants-Appellees Metacon Gun Club, Inc., and

1 1 its members and guests (collectively referred to as “Metacon”) for violations of the Resource

2 Conservation and Recovery Act (“RCRA”), 42 U.S.C. §§ 6901-6992k, and Clean Water Act

3 (“CWA”), 33 U.S.C. §§ 1251-1387, resulting from the discharge and accumulation of lead shot on

4 Metacon’s property. Plaintiffs-Appellants now appeal from several decisions of the United States

5 District Court for the District of Connecticut (Arterton, J.), dismissing their claims. We defer to the

6 EPA’s interpretation of the applicable RCRA permit regulations, and hold that they do not apply to

7 the regular, intended use of lead shot on a shooting range. Therefore, we conclude that the district

8 court properly dismissed Plaintiffs-Appellants’ claim based on the alleged disposal of hazardous

9 waste without a RCRA permit, in violation of 42 U.S.C. § 6925(a). We also hold that the Plaintiffs-

10 Appellants have failed to adduce sufficient evidence to create a material issue of fact regarding

11 whether lead contamination on the shooting range constitutes “an imminent and substantial

12 endangerment to health or the environment.” 42 U.S.C. § 6972(a)(1)(B). Thus, we affirm the district

13 court’s grant of summary judgment to Metacon on Plaintiffs-Appellants’ RCRA “imminent and

14 substantial endangerment” claim. Finally, we hold that the Plaintiffs-Appellants failed to set forth

15 sufficient evidence to create a material issue of fact as to whether the gun club is discharging lead

16 shot into “navigable waters” from a “point source.” 33 U.S.C. § 1362(12). Accordingly, we affirm

17 the district court’s grant of summary judgment to Metacon on Plaintiffs-Appellants’ CWA permit

18 claim.

19 _____________________________________

21 Affirmed.

22 ANDREW J. McDONALD, JAMES T. SHEARIN, DIANE

2 1 WOODFIELD WHITNEY, Pullman and Comley, LLC, 2 Hartford, Conn., for Plaintiffs-Appellants. 3 4 M. REED HOPPER, Pacific Legal Foundation, Bellevue, 5 Wash., for Defendants-Appellees. 6 7 AMBER BLAHA, KATHERINE J. BARTON, BRADFORD 8 MCLANE, Attorneys, United States Department of Justice, 9 Environment and Natural Resources Division, KARYN 10 WENDELOWSKI, Office of the General Counsel, United 11 States Environmental Protection Agency, DANIEL 12 INKELAS, Office of the Chief Counsel, United States Army 13 Corps of Engineers, for Amici Curiae the United States. 14 15 JAMES G. MURPHY, for Amici Curiae National Wildlife 16 Federation, Connecticut Fund for the Environment, 17 Conservation Law Foundation, Environmental Advocates of 18 New York, Farmington River Watershed Association, Natural 19 Resources Defense Council, Rivers Alliance of Connecticut, 20 Sierra Club, and Vermont Natural Resources Council, Inc., 21 supporting Plaintiffs-Appellants. 22 23 DEIRDRE G. DUNCAN, VIRGINIA S. ALBRECHT, 24 JEFFREY C. COREY, for Amici Curiae the National 25 Association of Home Builders, the American Farm Bureau 26 Federation, and the Chamber of Commerce of the United 27 States of America, supporting Defendants-Appellees. 28 29 30 31 DEBRA ANN LIVINGSTON, Circuit Judge:

32 Plaintiffs-Appellants appeal from the judgment of the United States District Court for the

33 District of Connecticut (Arterton, J.), dismissing various claims under the Resource Conservation

34 and Recovery Act (“RCRA”), 42 U.S.C. §§ 6901-6992k, and the Clean Water Act (“CWA”), 33

35 U.S.C. §§ 1251-1387. First, the district court dismissed Plaintiffs-Appellants’ permitting violation

36 claim under 42 U.S.C. § 6925(a), for failure to state a claim. Second, the district court granted

37 Defendants-Appellees summary judgment on Plaintiffs-Appellants’ RCRA “open dumping” and

3 1 “imminent and substantial endangerment” claims under 42 U.S.C. § 6945 and 42 U.S.C. §

2 6972(a)(1)(B). Finally, the district court granted Defendants-Appellees summary judgment on the

3 claim that Defendants-Appellees are discharging pollutants into navigable waters without a permit

4 in violation of the CWA, 33 U.S.C. § 1311(a). We affirm the decisions of the district court. With

5 respect to the Plaintiffs-Appellants’ RCRA “imminent and substantial endangerment” claim and

6 CWA permitting claim, however, we affirm on alternative grounds.

7 BACKGROUND

8 Plaintiffs-Appellants are Simsbury-Avon Preservation Society, LLC, a group of homeowners

9 who live near Defendants-Appellees’ shooting range, and Gregory Silpe, a member thereof

10 (collectively referred to as “SAPS”). Defendants-Appellees Metacon Gun Club, Inc., and its

11 members and guests (collectively referred to as “Metacon”) operate a shooting range that, according

12 to SAPS, engages in the discharge and accumulation of lead munitions on Metacon’s site in violation

13 of the RCRA and the CWA. The following factual background is drawn from the record assembled

14 in connection with Metacon’s motion to dismiss and its two summary judgment motions.

15 I. The Metacon Site

16 Metacon has operated a private outdoor shooting range at its present location on 106 Nod

17 Road in Simsbury, Connecticut since the mid-1960s. Metacon’s range is located on 137 acres of

18 woods, meadows, wetlands and mountainside, and is situated on a flood plain of the Farmington

19 River Valley. The site is bounded to the north by the Connecticut State Police pistol and rifle ranges,

20 to the west by Nod Road and the Farmington River, to the south by a residence and a golf course,

21 and to the east by a cliff that runs along the entire eastern property boundary.

22 SAPS provided evidence that, due to flooding at the site and overflow of the Farmington

4 1 River, there is an occasional hydrologic connection between waters on the Metacon site and the

2 Farmington River. SAPS also provided limited evidence of a continuous surface water connection

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