WildEarth Guardians v. Conner

920 F.3d 1245
Court of Appeals for the Tenth Circuit·Decided April 15, 2019·No. 17-1334·Published·Cited by 10 cases

Opinion

HARTZ, Circuit Judge.

The dispute before us concerns the Tennessee Creek Project (the Project), an effort of the United States Forest Service (the Service) in the San Isabel and White River National Forests to protect the forest from insects, disease, and fire; improve wildlife habitat; and maintain watershed conditions. In 2014 the Service published an environmental assessment (EA) of the Project, followed by a Decision Notice (DN) and Finding of No Significant Impact *1251 (FONSI). One of the EA's many conclusions was that the Project was unlikely to adversely affect Canada lynx, and the DN/FONSI declared that the Project would not significantly impact the human environment.

WildEarth Guardians sought review in the United States District Court for the District of Colorado, arguing that the Service had violated the National Environmental Policy Act (NEPA), 42 U.S.C. § 4321 et seq., by failing in its EA to adequately assess the Project's effects on lynx and by failing to prepare an environmental impact statement (EIS). The district court upheld the agency action. Exercising jurisdiction under 28 U.S.C. § 1291 , we affirm. The Service satisfied its NEPA obligations when it reasonably concluded in its EA that under a worst-case scenario the lynx would not be adversely affected by the Project and reasonably concluded that an EIS was not necessary.

I. BACKGROUND

A. NEPA framework

We have called NEPA the "centerpiece of environmental regulation in the United States." New Mexico ex rel. Richardson v. Bureau of Land Mgmt. , 565 F.3d 683 , 703 (10th Cir. 2009). The statute's "twin aims" are to ensure that agencies consider the environmental effects of their actions and inform the public of having done so. Baltimore Gas & Elec. Co. v. Nat. Res. Def. Council , 462 U.S. 87 , 97, 103 S.Ct. 2246 , 76 L.Ed.2d 437 (1983). It does not compel "agencies to elevate environmental concerns over other appropriate considerations." Id . Instead, NEPA's mandate is that agencies "pause before committing resources to a project and consider the likely environmental impacts of the preferred course of action as well as reasonable alternatives." Richardson , 565 F.3d at 703 ; see also Marsh v. Oregon Nat. Res.'s Council , 490 U.S. 360 , 371, 109 S.Ct. 1851 , 104 L.Ed.2d 377 (1989). It "merely prohibits uninformed-rather than unwise-agency action." Robertson v. Methow Valley Citizens Council , 490 U.S. 332 , 351, 109 S.Ct. 1835 , 104 L.Ed.2d 351 (1989).

If an agency is considering an action that might affect the environment, it must follow a process prescribed by NEPA and its implementing regulations. See 42 U.S.C. § 4321 et seq. ; 40 C.F.R. § 1500 et seq. First, "the agency must determine whether the proposed action will significantly affect the environment." Western Watersheds Project v. Bureau of Land Mgmt. , 721 F.3d 1264 , 1269 (10th Cir. 2013) (emphasis added). Unless the answer is "immediately apparent," the agency must prepare an EA, which is "a concise public document that briefly provides sufficient evidence and analysis for determining the appropriate next step." Western Watersheds Project , 721 F.3d at 1269 (internal quotation marks omitted); see 40 C.F.R. § 1508.9 . "If the EA concludes that the proposed action will have no significant effect on the environment, the agency may issue a [FONSI] and move forward with the proposed action." Western Watersheds Project , 721 F.3d at 1269 ; see 40 C.F.R. §§ 1501.4 (e), 1508.13. Otherwise, the agency must prepare an EIS-a more extensive analysis assessing all the predicted impacts on the environment and comparing the proposed action to all reasonable alternatives.

Free access — add to your briefcase to read the full text and ask questions with AI

WildEarth Guardians v. Conner, 920 F.3d 1245 (10th Cir. 2019).

920 F.3d 1245 (WildEarth Guardians v. Conner) — published by Counsel Stack Legal Research, free access to 12M+ legal documents.

Related