Western Watersheds Project v. Lueders

122 F. Supp. 3d 1039, 2015 U.S. Dist. LEXIS 106627, 2015 WL 4773871
CourtDistrict Court, D. Nevada
DecidedAugust 13, 2015
DocketNo. 3:14-cv-00134-HDM-VPC
StatusPublished
Cited by2 cases

This text of 122 F. Supp. 3d 1039 (Western Watersheds Project v. Lueders) is published on Counsel Stack Legal Research, covering District Court, D. Nevada primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Western Watersheds Project v. Lueders, 122 F. Supp. 3d 1039, 2015 U.S. Dist. LEXIS 106627, 2015 WL 4773871 (D. Nev. 2015).

Opinion

ORDER

HOWARD D. McKIBBEN, District Judge.

Before the court are plaintiff Western Watersheds Project (“plaintiff”)and defendant U.S. Bureau of Land Management’s (“BLM”) cross-motions for summary judgment (## 45, 54). Plaintiff and defendant have each submitted responses and replies. A hearing was held on the motions on July 8, 2015, and the case has been submitted. Factual Background

On November 5, 2012, BLM approved the Cave Valley and Lake Valley Watershed Restoration Plan Environmental Assessment (“EA”), which is the subject of this action, to “address the risk of catastrophic wildfire and improve wildlife habitat.” #54 at 1:8-4. One of the stated goals of the EA is to reduce fire risk by removing vegetation that serves as fuel loads for fires. Additionally, treatments sanctioned by the plan are intended to improve habitat for greater sage-grouse by removing trees where they are encroaching on sagebrush habitat, removing noxious weeds, and thinning overgrown sagebrush. Id. at 1:6-7. The EA also includes rangeland improvements that are designed to better distribute livestock and improve rangeland health. Id. at 8-9.

The Cave Valley and Lake Valley watersheds are located south of Ely in eastern Nevada and cover roughly 583,832 acres. AR 7495. The primary vegetation types in the watersheds are sagebrush communities and stands of pinyon pine and juniper. Id. From 2005 to 2010, BLM specialists conducted an assessment of the conditions within the watersheds. AR 7498. BLM’s analysis indicated that much of the areas in the two watersheds were in conditions of moderate to high departure from natural conditions according to the fire regime classification scale. AR 7498-99. The analysis - concluded -the departure resulted from a combination of drought, fire suppression efforts, and historic livestock overgrazing.

The stated objectives of BLM’s planned vegetation treatments are to 1) move areas towards FRCC 1 (reduce fire risk); 2) improve habitat for wildlife, especially sage grouse and big game species; and 3) achieve better distribution for livestock and wildlife, and improve overall rangeland health. AR 7498. BLM plans to accomplish these objectives by removing and thinning trees and decaying or overgrown sagebrush through a variety of- treatment methods, including hand cutting, mechanical methods (e.g., chaining, Dixie harrow, roller chopper, and' moving), chemicals (ie., herbicides), and prescribed fire. AR 7517-23. Seeding will also be utilized in areas where the interdisciplinary team determines that existing understory of vegetation is not sufficiently abundant.or diverse. AR 7524. The proposed rangeland improvements include repairing or replacing the existing water infrastructure and reconstructing fences that are in need of repair. AR 7501.

The project will impact the habitat of a number of species, including the greater sage-grouse. There are 15 active leks (mating grounds) and one lek of unknown status within the Cave and Lake Valley Watersheds, according to 2011 Nevada Department of Wildlife survey data. AR 7572. The greater sage-grouse is a BLM Sensitive Species that has been determined to be warranted for listing under the Endangered Species Act (“ESA”), but which is precluded by other species of higher priority. AR 7571 (citing Federal Register/Vol. 75, No. 55/Tuesday, March 23, 2010).

Priority and general sage grouse habitat has been identified by the BLM in coordi[1044]*1044nation with .the Nevada Department of Wildlife. Priority habitat comprises areas that have been identified as having the highest conservation value, to maintaining a sustainable sage grouse population, which includes breeding, late brood-rearing, and winter concentration areas. Id. General hábitat comprises areas of occupied seasonal and year-round habitat outside the priority habitat. Id. BLM contends the location and status of known sage grouse leks and priority habitat were used to' guide the development of the proposed action, alternatives, and’mitigation measures of the EA. Id.

Procedural Background

In August .2008, BLM issued a Cave Valley , Watersheds Evaluation Report, which documented the poor conditions of the uplands, riparian areas, and wildlife habitat throughout the Cave Valley Watershed. BLM documented ‘ similar conditions within the Lake Valley watershed, in its Lake Valley Watersheds Evaluation Report. BLM concluded the standards for soils, uplands and riparian areas, and wildlife habitat were not being met. BLM pointed to the lack of diverse, native herbaceous grasses and forbs, and the prevalence of cheatgrass, among other factors.

On April 1, 2011, BLM issued a public scoping notice alerting the public to BLM’s completion of its Cave Valley and Lake Valley analysis and evaluation, and concluding that “actions need to be taken to enhance the health of various aspects of the watersheds_” A preliminary environmental assessment was released on February 17, 2012 and comments were accepted through March 23, 2012. See Preliminary EA; Proposed. Decision at 2-3. The BLM received-a number of comments on the preliminary EA from interested parties, and as a result of that public input the BLM reevaluated treatments in the wilderness, and- removed four of the seven treatment units in the wilderness. AR 7506.

BLM issued its-final Cave Valley and Lake Valley Watersheds Restoration Plan Environmental Assessment on November 5, 2012. .On December 26, 2012, plaintiff filed an appeal and petition for stay with the Department of the Interior, requesting the EA be set aside, and BLM be required to prepare an Environmental Impact Statement. On February. 14, 2013, the U.S. Department of the Interior denied plaintiffs petition for stay. In June 2013, plaintiff filed a notice of dismissal regarding its appeal with the Department of the Interior and filed a formal complaint in federal court, alleging the BLM violated the National Environmental Policy Act (“NEPA”), the Federal Land Policy and Management Act (“FLPMA”), and the Administrative Procedures Act (“APA”). See AR 10465; # 1. The court now considers the parties’ cross motions for summary judgment.1 Legal Standard

The APA, 5 U.S.C. §§ 701-706, governs the court’s. agency review under NEPA and FLPMA. See ONRC Action v. Bureau of Land Mgmt., 150 F.3d 1132, 1135 (9th Cir.1998). The court must determine if the agency action in question was “arbitrary, capricious, an abuse of discretion, or otherwise not in accordance with law,” or “without observance of procedure required by law.”' 5 U.S.C. §§ 706(2)(A), (D) (2006)'. This standard requires the court to ensure that the agency has taken the requisite “hard look” at the environmental consequences of its proposed' action, the agency’s decision is based on a reasoned evaluation of all .the relevant [1045]*1045factors, and the agency has sufficiently explained why the project’s impacts are insignificant. National Parks & Conservation Assoc. v. Babbitt, 241 F.3d 722, 730 (9th Cir.2001) (abrogated on other grounds by Winter v. Natural Res. Def. Council, Inc., 555 U.S. 7, 20, 129 S.Ct.

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122 F. Supp. 3d 1039, 2015 U.S. Dist. LEXIS 106627, 2015 WL 4773871, Counsel Stack Legal Research, https://law.counselstack.com/opinion/western-watersheds-project-v-lueders-nvd-2015.