State of Mo. Ex Rel. Nixon v. Craig

978 F. Supp. 902, 1997 U.S. Dist. LEXIS 16972, 1997 WL 609985
CourtDistrict Court, W.D. Missouri
DecidedAugust 29, 1997
Docket96-4086-CV-C-9
StatusPublished
Cited by2 cases

This text of 978 F. Supp. 902 (State of Mo. Ex Rel. Nixon v. Craig) is published on Counsel Stack Legal Research, covering District Court, W.D. Missouri primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
State of Mo. Ex Rel. Nixon v. Craig, 978 F. Supp. 902, 1997 U.S. Dist. LEXIS 16972, 1997 WL 609985 (W.D. Mo. 1997).

Opinion

ORDER GRANTING DEFENDANTS’ MOTION FOR SUMMARY JUDGMENT AND DENYING PLAINTIFFS’ MOTION FOR SUMMARY JUDGMENT

BARTLETT, Chief Judge.

On September 23, 1996, plaintiffs State of Missouri and the MO-ARK Association (MO-ARK) filed their First Amended Complaint (Complaint) pursuant to the Administrative Procedure Act (APA), 5 U.S.C. § 701 et seq. Plaintiffs allege that the Army Corps of Engineers (the Corps) adopted an Annual Operating Plan for 1996-97 in violation of the National Environmental Policy Act (NEPA), 42 U.S.C. § 4321, et seq. Specifically, plaintiffs allege that the Corps took a “major Federal action” regarding management of the Missouri River without first preparing an Environmental Assessment, Finding of No Significant Impact, or Environmental Impact Statement.

This ease is before the court on the parties’ cross-motions for summary judgment. Also before the court are the suggestions of amici curiae States of Montana, North Dakota, and South Dakota.

I.

BACKGROUND

Pursuant to the Flood Control Act of 1944, 58 Stat. 887, the Corps is responsible for managing the six dams and reservoirs that constitute the Missouri River Main Stem Reservoir System (Main Stem). The Corps’ management of the Main Stem is intended to improve flood control, irrigation, power generation, navigation, fish and wildlife conservation, recreation, water quality, and water supply. See Plaintiffs’ Suggestions in Support, Ex. 1 (Draft Environmental Impact Statement); Defendants’ Suggestions in Support, Ex. 1-C, p. 1 (Reservoir Regulation Manual).

In 1979, the' Corps prepared a Reservoir Regulation Manual (Master Manual) for the Main Stem. The Master Manual states as follows:

'In order to achieve the multi-purpose benefits for which the main stem reservoirs were authorized and constructed, they must be operated as a hydraulically and electrically integrated system. Therefore, this master manual presents the basic objectives and the plans for their optimum fulfillment, with supporting data.

Master Manual, p. 1-1.

One of the Corps’ purposes in operating the Main Stem is to regulate commercial navigation on the Missouri River. The eight-month commercial navigation season on the Missouri River lasts from approximately April 1 through approximately December 1, depending, in part, on ice conditions in the river. Id. at IX-6. Commercial navigation during ice-free seasons is “dependent upon low flow supplementation from the main stem reservoir system, with occasional assistance from certain tributary reservoirs.” Id.

The Master Manual provides that the navigation season may be shortened in the event of a severe drought “in order to conserve the remaining available water- supply.” Id. at IX-9. The 1979 Master Manual provides “[cjurrent criteria” for shortening the navigation season in the event of drought. Id. Whether the navigation season will be shortened in a particular year depends on the level of water storage in the reservoir system on July 1 of that year. (The level of water storage in the system is measured in million acre-feet (maf). An acre-foot is the amount of water needed to cover one acre of land with one foot of water. See 1996-97 AOP, p. vii.) The Master Manual provides that a navigation season may be shortened by two weeks if the system storage falls below 39 maf on July 1 of the year in question. Master Manual, Table 9. This figure is sometimes referred to as the trigger point.

The Corps shortened the Missouri River navigation season due to drought conditions in 1981, 1988, 1989, 1990, 1991, and 1992. Defendants’ Suggestions in Support, Ex. 1, pp. 4-5 (affidavit of Duane Sveum).

The Master Manual, which establishes the “basic objectives” of the river management, *906 also provides for the preparation of an Annual Operating Plan (AOP) by the Corps. Master Manual, p. IX-20. An AOP is adopted by the Corps to provide the following:

a. A basis for advance coordination with the Federal, state, and local agencies which are concerned with operation of the main stem reservoirs;
b. A guideline to actual operations;
c. A record of past operations and accomplishments; and
d. A means of informing interested agencies and individuals concerning past and expected future operations.

Id. at IX-20.

Pursuant to the Corps’ 1996-97 AOP, if the reservoir storage level falls below 52 maf by July 1,1997, then the Corps may shorten the navigation season by two weeks. In the briefing it is unclear at times whether plaintiffs are claiming that the Corps failed to comply with NEPA in adopting the entire AOP or whether plaintiffs are claiming only that the Corps failed to comply with NEPA in raising the trigger point. Based on the wording of the Complaint and the focus of plaintiffs’ argument, plaintiffs are making the latter argument, i.e., defendants failed to comply with NEPA in raising the trigger point to 52 maf in the 1996-97 AOP. See Complaint, ¶¶ 34, 47.

Before the 1996-97 AOP was adopted, the Corps held six public meetings for review, discussion, and commentary on the contents of the proposed AOP. See 1996-97 AOP, pp. 1-2. The Corps also accepted written comments from interested parties on the proposed plan. Id. The final version of the 1996-97 AOP was adopted and published during the briefing of the parties’ cross-motions and replaces the 1995-96 AOP. Because the 1996-97 AOP replaces the 1995-96 AOP and because the 1996-97 AOP raises the trigger point as did the 1995-96 AOP, plaintiffs’ motion will be denied as moot to the extent that it seeks review of the obsolete 1995-96 AOP.

The Master Manual provides for a five year extension to the AOP “to serve as a guide for longer range planning of the operations of the main stem....” Master Manual, p. IX-22. The 1996-97 AOP includes a proposed five year extension of the 52 maf trigger point. 1996-97 AOP, pp. 123-25. Although the Corps has proposed to extend the higher trigger point for five years, the Corps has only adopted the 52 maf trigger point for the 1996-97 season. Whether the same trigger point will be in effect after the 1996-97 season depends on whether the Corps adopts an AOP incorporating the 52 maf figure in the future.

Plaintiffs allege that the change in the trigger point from 39 maf to 52 maf in the 1996-97 AOP is a “major Federal action” that will cause economic and environmental harm not considered by the Corps. Id. at ¶¶ 9-17, 34, 41-42, 47-49. Therefore, plaintiffs allege that the Corps was obligated but did not prepare an Environmental Impact Statement(EIS), Environmental Assessment (EA), or Finding of No Significant Impact (FONSI) as required by NEPA. See Complaint ¶¶ 34-40.

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Related

Missouri Ex Rel. Nixon v. Craig
163 F.3d 482 (Eighth Circuit, 1998)
Missouri v. Craig
163 F.3d 482 (Eighth Circuit, 1998)

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Bluebook (online)
978 F. Supp. 902, 1997 U.S. Dist. LEXIS 16972, 1997 WL 609985, Counsel Stack Legal Research, https://law.counselstack.com/opinion/state-of-mo-ex-rel-nixon-v-craig-mowd-1997.