Steinbruner v. Soquel Creek Water District CA6

CourtCalifornia Court of Appeal
DecidedJuly 13, 2021
DocketH047733
StatusUnpublished

This text of Steinbruner v. Soquel Creek Water District CA6 (Steinbruner v. Soquel Creek Water District CA6) is published on Counsel Stack Legal Research, covering California Court of Appeal primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Steinbruner v. Soquel Creek Water District CA6, (Cal. Ct. App. 2021).

Opinion

Filed 7/12/21 Steinbruner v. Soquel Creek Water District CA6 NOT TO BE PUBLISHED IN OFFICIAL REPORTS California Rules of Court, rule 8.1115(a), prohibits courts and parties from citing or relying on opinions not certified for publication or ordered published, except as specified by rule 8.1115(b). This opinion has not been certified for publication or ordered published for purposes of rule 8.1115.

IN THE COURT OF APPEAL OF THE STATE OF CALIFORNIA

SIXTH APPELLATE DISTRICT

REBECCA STEINBRUNER, H047733 (Santa Cruz County Plaintiff and Appellant, Super. Ct. No. 19CV00181)

v.

SOQUEL CREEK WATER DISTRICT,

Defendant and Respondent.

I. INTRODUCTION This CEQA1 action arises from the proposal of respondent Soquel Creek Water District (the District) for the Pure Water Soquel: Groundwater Replenishment and Seawater Intrusion Prevention project (Pure Water Soquel project), which has the objective of supplementing the natural recharge of the groundwater basin with purified water obtained by treating secondary effluent from the Santa Cruz Wastewater Treatment Facility. After preparing an environmental impact report (EIR) pursuant to CEQA for the proposed Pure Water Soquel project and holding a hearing, the District’s Board of Directors approved the Pure Water Soquel project.

1 California Environmental Quality Act, Public Resources Code section 21000, et seq. Plaintiff Rebecca Steinbruner, a self-represented litigant appearing in the public interest,2 challenged the District’s approval of the Pure Water Soquel project by filing a petition for writ of mandate alleging violations of CEQA’s requirements for environmental review. After a hearing, the trial court denied the petition, and the judgment denying the first amended petition for writ of mandate was filed on November 26, 2019. In her appeal, Steinbruner contends that the trial court erred in denying the amended petition for writ of mandate because (1) the EIR’s analysis of growth impacts is inadequate; (2) the EIR’s analysis of impacts on groundwater quality is inadequate: and (3) the EIR’s analysis of project alternatives is inadequate. Steinbruner also contends that the trial court erred in denying several of her pretrial ex parte applications and motions, including (1) the order denying her motion to vacate a case management order; (2) the order denying her motion for a change of venue; (3) the order denying her motion for leave to file a second amended writ petition; (4) the order denying her motion to continue the merits hearing; and (5) the order denying her request for judicial notice. For the reasons stated below, we find no merit in Steinbruner’s contentions on appeal, and we will affirm the judgment. II. FACTUAL AND PROCEDURAL BACKGROUND A. The Proposed Project and Environmental Impact Report The District relies upon groundwater for 100 percent of its water supply. In 2014 the District declared a critical groundwater overdraft emergency. The District has also 2 No issue has been raised with respect to Steinbruner’s standing. We note that “ ‘ “where the question is one of public right and the object of the mandamus is to procure the enforcement of a public duty, the [petitioner] need not show that he [or she] has any legal or special interest in the result, since it is sufficient that he [or she] is interested as a citizen in having the laws executed and the duty in question enforced.” ’ [Citation.]” (Save the Plastic Bag Coalition v. City of Manhattan Beach (2011) 52 Cal.4th 155, 166.)

2 detected seawater intrusion in its groundwater supply aquifers. To increase the sustainability of the water supply, the District proposed the Pure Water Soquel project, with the objective of supplementing the natural recharge of the groundwater basin with purified water obtained by treating secondary effluent from the Santa Cruz Wastewater Treatment Facility. In 2018 the District circulated the draft EIR (DEIR) analyzing the environmental impacts of the Pure Water Soquel project for public review. The DEIR stated that the project objectives were to (1) “Replenish the local groundwater basin to prevent further seawater intrusion and develop a sustainable water supply in a timely manner that meets the District’s supply objectives and the State’s mandate under the SGMA [Sustainable Groundwater Management Act]”; (2) “Develop an affordable, reliable, and drought-resistant supplemental water source that contributes to the diversification of the District’s water supply portfolio and enhances resiliency”; (3) “Continue to provide District customers with a high-quality and safe water supply”; and (4) “Provide additional environmental benefits, such as to surface and marine waters.” The project description was summarized in the DEIR as follows: “This [EIR] considers an advanced purification system capable of treating secondary effluent to meet State Water Resources Control Board (SWRCB) Division of Drinking Water (DDW) recycled water standards for groundwater replenishment via recharge. The Project components under consideration include: tertiary and advanced water purification facilities; pump stations and pipelines for the conveyance of source water, purified water, and brine; and recharge and monitoring wells. The Project also includes the potential use of purified water for landscape irrigation application and redistribution of groundwater pumping from District production wells.” The DEIR identified three project alternatives, including the no project alternative, the reduced project with surface water purchase alternative, and the local

3 seawater/brackish desalination alternative. The DEIR determined that the proposed project was the environmentally superior alternative. After receiving public comments on the DEIR, the District released the final EIR (FEIR) in December 2018. The FEIR consists of the DEIR, the public comments, and the responses to comments. At a public meeting held on December 18, 2018, the District’s Board of Directors adopted resolution No. 18-30 certifying the FEIR. The District’s Board of Directors also adopted resolution No. 18-31 approving the Pure Water Soquel project “as described in the Final EIR, consisting of these components: water treatment facilities at one or two sites, a pipeline alignment for secondary or tertiary effluent, a pipeline alignment for purified water, a pipeline alignment for brine concentrate, and recharge wells and appurtenances at up to three (3) sites, from the components evaluated in the Final EIR.” B. Writ Proceedings 1. Petition for Writ of Mandate On January 17, 2019, Steinbruner filed a petition for a writ of mandate setting aside the District’s approval of the Pure Water Soquel project. The petition named the District and Ron Duncan, the District’s general manager, as respondents, and Santa Cruz County, the City of Santa Cruz, the Santa Cruz Wastewater Treatment Facility, the Santa Cruz Mid-County Groundwater Agency, and Twin Lakes Baptist Church as real parties in interest. None of the real parties in interest have appeared in the case.3 On January 31, 2019, Steinbruner filed an amended petition for writ of mandate. In her amended petition, Steinbruner raised the following claims of CEQA violations: (1) the EIR’s analysis of the impact on groundwater quality is inadequate; (2) the EIR did not analyze a reasonable range of alternatives; (3) the EIR failed to adequately respond to

3 Notices of non-interest in the proceeding were filed by Santa Cruz Mid-County Groundwater Agency, the County of Santa Cruz, and the Santa Cruz County Regional Transportation Commission.

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Steinbruner v. Soquel Creek Water District CA6, Counsel Stack Legal Research, https://law.counselstack.com/opinion/steinbruner-v-soquel-creek-water-district-ca6-calctapp-2021.