Wild Fish Conservancy v. National Park Service

8 F. Supp. 3d 1289, 2014 U.S. Dist. LEXIS 41715, 2014 WL 1260450
CourtDistrict Court, W.D. Washington
DecidedMarch 26, 2014
DocketCase No. C12-5109 BHS
StatusPublished
Cited by1 cases

This text of 8 F. Supp. 3d 1289 (Wild Fish Conservancy v. National Park Service) is published on Counsel Stack Legal Research, covering District Court, W.D. Washington primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Wild Fish Conservancy v. National Park Service, 8 F. Supp. 3d 1289, 2014 U.S. Dist. LEXIS 41715, 2014 WL 1260450 (W.D. Wash. 2014).

Opinion

ORDER

BENJAMIN H. SETTLE, District Judge.

This matter comes before the Court on Plaintiffs Federation of Fly Fishers Steel-head Committee, Wild Fish Conservancy, Wild Salmon Rivers, and Wild Steelhead Coalition’s (“Plaintiffs”) motion for summary judgment (Dkt. 153) and Defendants Daniel M. Ashe, John E. Bryson, Jonathan B. Jarvis, NOAA Fisheries Service (“NMFS”), National Park Service (“NPS”), Samuel D. Rauch, III, Kenneth L. Salazar, United States Department of Commerce (“DOC”), United States Department of the Interior (“DOI”), and United States Fish and Wildlife Service’s (“FWS”) (collectively “Federal Defendants”) cross motion for summary judgment (Dkt. 164). The Court has considered the pleadings filed in support of and in opposition to the motions and the remainder of the file and hereby grants in part and denies in part the parties cross-motions for summary judgment the motion for the reasons stated herein.

I. PROCEDURAL HISTORY

On February 9, 2012, Plaintiffs filed a complaint for declaratory and injunctive relief against numerous Defendants alleging numerous violations regarding the implementation of fish hatcheries in the El-wha River. Dkt. 1.

[1292]*1292On November 11, 2012, Plaintiffs filed a first supplemental complaint. Dkt. 66. On February 11, 2013, Plaintiffs filed a second supplemental complaint. Dkt. 125.

On February 12, 2013, 2013 WL 549756, the Court granted the motion to dismiss of Defendants Doug Morrill, in his official capacity as the Fisheries Manager for the Lower Elwha Klallam Tribe, Larry Ward, in his official capacity as the Hatchery Manager and Fisheries Biologist for the Lower Elwha Klallam Tribe, Robert Elof-son, in his official capacity as the Director of the River Restoration Project for the Lower Elwha Klallam Tribe, and Mike McHenry, in his official capacity as the Fisheries Habitat Biologist and Manager for the Lower Elwha Klallam Tribe. Dkt. 126.

On March 26, 2013, Plaintiffs filed a third supplemental complaint. Dkt. 131.

On June 26, 2013, Plaintiffs filed a motion for summary judgment. Dkt. 153. On July 24, 2013, the Federal Defendants responded and filed a cross-motion for summary judgment. Dkt. 164. On August 7, 2013, Plaintiffs responded to the Federal Defendants’ motion. Dkt. 170. On August 21, 2013, the Federal Defendants replied. Dkt. 171. On August 27, 2013, Plaintiffs filed a surreply requesting that the Court strike material that the Federal Defendants submitted in support of their reply. Dkt. 175.

On March 12, 2014, the Court held a hearing on the cross-motions and, during the hearing, requested additional briefing on two issues. See Dkt. 185. On March 17, 2014, the Federal Defendants filed a supplemental brief. Dkt. 188. On March 21, 2014, Plaintiffs filed a supplemental brief. Dkt. 189.

II. FACTUAL BACKGROUND

The Elwha River is approximately forty-five miles in length, flowing north on the Olympic Peninsula in Washington State into the Strait of Juan de Fuca near Port Angeles. NMFS007171; 1104-FWS.1 The river’s watershed encompasses approximately 321 square miles, of which approximately 267 square miles are within the Olympic National Park. NMFS007171; 1104-FWS; and see NMFS015983.

The Elwha River was once one of the most productive anadromous fish streams in the Pacific Northwest, believed to have produced nearly 400,000 spawning fish annually. See NMFS015982, 033301-02; 774, 866-FWS. In the early 1900’s, the Elwha and Glines Canyon Dams were constructed without fish passage structures, and they blocked upstream fish passage to more than 70 miles of main-stem and tributary habitat. NMFS007171; 798, 866, 932-FWS. Sal-monids returning to spawn have been confined to the lower 4.9 miles of the river below the Elwha Dam and have not had access to the vast majority of the river’s spawning habitat. NMFS007171; 780, 798, 932-FWS. The result was a “precipitous decline of salmonid populations to fewer than 3,000 naturally spawning fish compared to an estimated 392,000 fish pri- or to dam construction.” 774, 798-FWS.

In 1992 Congress passed the Elwha River Ecosystem and Fisheries Restoration Act (“Elwha Act”), Pub.L. 102-495, 106 Stat. 3173 (Oct. 24, 1992), which instructed the Secretary of the Interior to acquire the Elwha and Glines Canyon Dams and submit to Congress a report for “full restoration of the Elwha River ecosystem and the native anadromous fisheries.” Elwha Act § 3(c). The DOI submitted the Elwha Report to Congress in 1994. NPS2625. [1293]*1293In 1995, NPS completed the Elwha River Ecosystem Restoration Environmental Impact Statement, which evaluated five alternatives for restoring the Elwha River by wholly or partially removing the dams, or modifying them to incorporate fish passage capabilities. NPS2374-2623 (“Programmatic EIS”)- NPS ultimately chose removal of both dams as the only alternative that would meet the stated goal of the Elwha Act. This alternative was referred to as the “Proposed Action” and was described as follows:

[DOI] proposes to fully restore the Elwha River ecosystem and native ana-dromous fisheries through the decommissioning of Elwha Dam and Glines Canyon Dam and removal of all structures necessary, including all or part of both dams, powerhouses, reservoirs, and associated facilities to achieve this purpose.

NPS2374.

In 1996, NPS completed the Implementation EIS, which analyzed alternatives for, and environmental impacts of, removing both hydroelectric dams and implementing fisheries restoration measures. NPS1841-2372 (“Implementation EIS”); NPS1822 (1996 Record of Decision). The analysis examined the level of expected sedimentation resulting from the dam removal and the effect it would have on fish. NPS2067-68. NPS found that there were three suspended sediment concentration thresholds for fish: 200 parts per million (“ppm”) (causing physiological stress, reduced growth); 1,000 ppm (lethal from chronic exposure); 10,000 ppm (lethal from acute exposure). NPS2067. NPS’s modeling predicted that there would be four distinct phases in which there would be “direct losses” of fish, with sedimentation ranges rising as high as 51,000 ppm. NPS068 (table 46). NPS considered hatchery support and outplanting to “ensure protection of fish stocks during periods of high sediment yields.” NPS2068-2070. The discussion and related table referred to outplanting in the middle and upper Elwha River. Id.

In July 2005, DOI issued a supplemental EIS (“SEIS”) because “several changes” had occurred. ELWHA004440. Although the SEIS was “designed as a stand-alone document for readability,” DOI asserted that it was “legally an extension of the [Implementation EIS].” ELWHA004441. The supplement states that “changes and new information have resulted in the need for different mitigation than that analyzed in the [Implementation EIS].” EL-WHA004440. DOI proposed mitigation measures to accomplish four goals, two of which relate to the instant matter and are as follows: (1) “to protect municipal and industrial water users and two fish propagation facilities (hatcheries) during dam removal,” and (2) “to protect listed fish to the maximum extent possible during and following dam removal.” Id. Some of the preferred means to accomplish these goals were stated as follows:

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8 F. Supp. 3d 1289, 2014 U.S. Dist. LEXIS 41715, 2014 WL 1260450, Counsel Stack Legal Research, https://law.counselstack.com/opinion/wild-fish-conservancy-v-national-park-service-wawd-2014.