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Case :-cv-0 Document Filed 0// Page of Page ID #: 0 LISA T. BELENKY (CA Bar No. 0 JUSTIN AUGUSTINE (CA Bar No. CENTER FOR BIOLOGICAL DIVERSITY Broadway Street, Suite 00 Oakland, CA T: ( -0 F: ( -0 E: lbelenky@biologicaldiversity.org jaugustine@biologicaldiversity.org Counsel for Plaintiff Center for Biological Diversity UNITED STATES DISTRICT COURT FOR THE CENTRAL DISTRICT OF CALIFORNIA WESTERN DIVISION CENTER FOR BIOLOGICAL DIVERSITY, vs. Plaintiffs, U.S. BUREAU OF LAND MANAGEMENT; U.S. FOREST SERVICE; Defendants. INTRODUCTION Civ. No. COMPLAINT FOR DECLARATORY AND INJUNCTIVE RELIEF. This civil action requests declaratory and injunctive relief for violations of the Wild and Scenic Rivers Act, U.S.C. et seq. Specifically, this action seeks to compel preparation of eight ( long over-due management plans required to be prepared under the Act.. Congress designated segments of rivers in California to be protected under the Wild and Scenic Rivers Act on March, 00, PL - (MAR. 0, 00 STAT. (codified at U.S.C. (a(, Amargosa River, (, Owens Headwaters, (, Cottonwood Creek, (, Piru Creek (00, North Fork

Case :-cv-0 Document Filed 0// Page of Page ID #: 0 San Jacinto River, (0, Fuller Mill Creek, (0, Palm Canyon Creek, (0, Bautista Creek.. For these designated rivers, the Wild and Scenic Rivers Act requires the preparation of Management Plans to protect and enhance...outstanding remarkable values for future generations, and such Plans must be complete within a specified time frame, years for the rivers at issue here. U.S.C., (d(, (a. The statutory deadline for plan preparation has thus long since passed. There are no River Management Plans in place to protect and enhance the natural resources found in any of these eight rivers.. Because Defendant the U.S. Bureau of Land Management has failed to prepare a River Management Plan for the designated wild and scenic river segments in the Amargosa River or the Cottonwood Creek that cross BLM managed public lands, the agency hasviolated the express terms of the Act.. Because Defendant the U.S. Forest Service has failed to prepare a River Management Plan for the designated wild and scenic river segments in Owens Headwaters, Cottonwood Creek, Piru Creek, North Fork San Jacinto River, Fuller Mill Creek, Palm Canyon Creek, or Bautista Creek that are within National Forest lands managed by the Forest Service the agency hasviolated the express terms of the Act.. Plaintiffs seek an injunction ordering the BLM and the Forest Service to complete the Management Plans promptly. JURISDICTION AND VENUE. This Court has jurisdiction under U.S.C. and, because Defendants are agents of the United States and because Plaintiffs claims arise under federal law. The Court may issue a declaratory judgment and further relief pursuant to U.S.C. 0-0. An actual justiciable controversy exists between the parties.

Case :-cv-0 Document Filed 0// Page of Page ID #: 0. Venue is proper in this Court pursuant to U.S.C. (e(, because a substantial part of the omissions giving rise to the claims occur in this district, and a substantial part of the federal land that is the subject of this action lies in this district. Assignment to the Western Division of this Court is proper under General Order No. -0 I.B..a.((b. PARTIES. Plaintiff Center for Biological Diversity (the Center or CBD is a national non-profit conservation organization with over,000 members dedicated to the protection of biodiversity and ecosystems throughout the world. CBD works through science, law, and creative media to secure a future for all species, great and small, hovering on the brink of extinction, with a focus on protecting the lands, waters and climate that species need to survive. CBD has offices in California and over,000 members across the state. CBD is actively involved in species and habitat protection on the federal land at issue in this case.. The Center s staff and members have used, and intend to continue to use the Amargosa River, Owens Headwaters, Cottonwood Creek, Piru Creek, North Fork San Jacinto River, Fuller Mill Creek, Palm Canyon Creek, and Bautista Creek and adjacent lands for observation, research, aesthetic enjoyment, hiking, camping, swimming, birding, fishing, and photography, and other recreational, scientific, and educational activities. CBD and its members advocate on behalf of species found in and near each of these designated wild and scenic rivers segments and intend to continue to do so. Species that depend on the Amargosa River and its riparian corridors include the Amargosa vole, the Amargosa niterwort, and the least Bell s vireo; the riparian areas also include designated critical habitat for the southwestern willow flycatcher. Species that depend on the Owens Headwaters and its riparian corridors include Yosemite toad which are found in Glass Creek Meadows and the area provides habitat for the highest diversity of butterflies in the Eastern Sierra.

Case :-cv-0 Document Filed 0// Page of Page ID #: 0 Species that depend on Cottonwood Creek and its riparian corridors include Piute cutthroat trout and spotted bat. Species that depend on Piru Creek and adjacent areas include arroyo southwestern toad, California red-legged frog, California condor, and native trout. Species that depend on North Fork San Jacinto River and its riparian corridors include mountain yellow-legged frogs, California spotted owls, the rubber boa and the San Bernardino flying squirrel. Species that depend on Fuller Mill Creek and its riparian corridors include mountain yellow-legged frogs, California spotted owls, the rubber boa and the San Bernardino flying squirrel. Species that depend on Palm Canyon Creek and its riparian corridors include southwestern willow flycatcher and Peninsular bighorn sheep. Species that depend on Bautista Creek and its riparian corridors include arroyo toads, southwestern willow flycatchers, Quino checkerspot butterfly and the slender-horned spineflower. The above described aesthetic, conservation, recreation, scientific and wildlife preservation interests of Plaintiffs and their members have been and will continue to be adversely affected and irreparably injured by Defendants failure to prepare River Management Plans for these designated river segments.. Defendant U.S. Bureau of Land Management ( BLM is the agency charged with the administration of the designated Amargosa River wild and scenic segments and the Cottonwood Creek designated segment on public lands at issue here and is responsible for compliance with the Wild and Scenic Rivers Act for these designated river segments.. Defendant U.S. Forest Service is the agency charged with administration of the wild and scenic rivers within the national forests at issue in this matter. WILD AND SCENIC RIVERS ACT. Congress enacted the Wild and Scenic Rivers Act in to preserve the rivers of the United States in their natural condition. U.S.C.. Congress intended to protect rivers of exceptional value for public use and enjoyment. The

Case :-cv-0 Document Filed 0// Page of Page ID #: 0 lands and waters that comprise the Wild and Scenic River Act system should be managed essentially as wilderness.. The purposes of the Act, U.S.C., are to carry out the policy that certain selected rivers of the Nation which, with their immediate environments, possess outstandingly remarkable scenic, recreational, geologic, fish and wildlife, historic, cultural, or other similar values, shall be preserved in free-flowing condition, and that they and their immediate environments shall be protected for the benefit and enjoyment of present and future generations. U.S.C.. And further, that these rivers or segments be maintained in their free-flowing condition to protect the water quality of such rivers and to fulfill other vital national conservation purposes. Id.. Congress designates a river for inclusion in the Act s system if it possesses outstanding remarkable values. U.S.C. (a. These values may include scenic, recreational, geologic, fish and wildlife, historic, cultural, or other similar value. Id.. Congress classifies rivers, or segments thereof, as a wild, scenic, or recreational river. U.S.C. (b. Wild rivers are those in their most natural state, representing vestiges of primitive America. Id. (b (. Wild rivers are free of impoundments and generally inaccessible except by trail, with watersheds or shorelines essentially primitive and waters unpolluted. Id. Scenic river are rivers that are free of impoundments, with shorelines or watersheds still largely primitive and shorelines largely undeveloped, but accessible in places by roads. Id. (b(. Recreational rivers are readily accessible... may have some development along their shorelines, and... may have undergone some impoundment or diversion in the past. Id. (b(.. For rivers designated after January,, the Federal agency charged with administration over the river shall prepare a comprehensive management plan

Case :-cv-0 Document Filed 0// Page of Page ID #: 0 for such river segment to provide for the protection of the river values. U.S.C. (d(. Plans must address resource protection development of lands and facilities, user capacities, and other management practices necessary or desirable to achieve the purposes of th[e] Act. Id. River management plans must be prepared within years of the river being designated. Id.. In 00, Congress designated segments of eight rivers in California under the Wild and Scenic Rivers Act. PL - (MAR. 0, 00 STAT. (codified at U.S.C. (a (, Amargosa River, (, Owens Headwaters, (, Cottonwood Creek, (, Piru Creek (00, North Fork San Jacinto River, (0, Fuller Mill Creek, (0, Palm Canyon Creek, (0, Bautista Creek.. Congress designated three ( segments of the Amargosa River:. miles as scenic,. miles as wild, and. miles as recreational. U.S.C. (a(. The Amargosa River is an entirely spring-fed perennial desert river system, harboring a level of biodiversity which is all the more remarkable when considered in contrast to its austere setting, the hottest and driest part of the Mojave Desert. The River harbors the entire wild population of the endangered Amargosa vole (Microtus californicus scirpensis, including its critical habitat; and provides habitat for the endangered Amargosa niterwort (Nitrophila mohavensis, the endangered least Bell s vireo (Vireo bellii pusillus; and designated critical habitat for the southwestern willow flycatcher (Empidonax trailii extimus. The designated river segments are located on public lands managed by the Bureau of Land Management within the California Desert Conservation Area, U.S.C., and include areas within the Amargosa River Area of Critical Environmental Concern. 0. Congress designated eight ( segments of the Owens Headwaters (along the Upper Owens River, Glass Creek and Deadman Creek:. miles as wild,. miles as scenic, and. miles as recreational. U.S.C. (a(. Owens Headwaters and its adjacent riparian areas provide habitat for many species including

Case :-cv-0 Document Filed 0// Page of Page ID #: 0 the threatened Yosemite toad and a wide diversity of butterflies. The designated segments of the Owens Headwaters are located on public lands managed by the U.S. Forest Service within the Inyo National Forest.. Congress designated two ( segments of Cottonwood Creek:. miles as wild and. miles as recreational. U.S.C. (a(. Cottonwood Creek and its adjacent riparian corridors provide habitat for Piute cutthroat trout and spotted bat. The designated wild segment of Cottonwood Creek is located on public lands managed by the Defendants at the U.S. Forest Service within the Inyo National Forest. U.S.C. (a((a. The designated recreational segment of Cottonwood Creek is located on public lands managed by the Bureau of Land Management. U.S.C. (a((b.. Congress designated two ( segments of the Piru Creek:. miles of Piru Creek as a wild river, and miles as a recreational river. U.S.C. (a(. Piru Creek is a tributary of the Santa Clara River which flows to the ocean. Piru Creek contains unique geological formations, unusual gorges, and riparian vegetation. Piru Creek and its adjacent riparian corridors provide critical California condor (Gymnogyps californianus nesting and roosting sites and habitat for arroyo toad and native trout. The designated segments of Piru Creek are located on public lands managed by the U.S. Forest Service within the Los Padres National Forest.. Congress designated six ( segments of the North Fork of the San Jacinto River:. miles as wild,. miles as scenic, and 0. miles as recreational. U.S.C. (a(00. The North Fork of the San Jacinto River and its adjacent riparian areas provide habitat for mountain yellow-legged frogs, California spotted owls, the rubber boa and the San Bernardino flying squirrel. The designated segments are located on public lands managed by the U.S. Forest Service within the San Bernardino National Forest.

Case :-cv-0 Document Filed 0// Page of Page ID #: 0. Congress designated three ( segments of Fuller Mill Creek:. miles as scenic and 0. miles as recreational. U.S.C. (a(0. Fuller Mill Creek and its adjacent riparian corridors provide habitat for mountain yellow-legged frogs, California spotted owls, the rubber boa and the San Bernardino flying squirrel among others. The designated scenic segments are located on public lands managed by the U.S. Forest Service within the San Bernardino National Forest.. Congress designated one ( segment of Palm Canyon Creek:. miles as wild. U.S.C. (a(0. Congress also instructed that Defendants enter into a cooperative management agreement with the Agua Caliente Band of Cahuilla Indians to protect and enhance river values. Id. Palm Canyon Creek and its associated riparian corridoes provide habitat for southwestern willow flycatcher and Peninsular bighorn sheep. The designated wild segment is located on public lands managed by the U.S. Forest Service within the San Bernardino National Forest.. Congress designated one ( segment of Bautista Creek:. miles as recreational. U.S.C. (a(0. Bautista Creek and its adjacent riparian areas provide habitat for arroyo toads, southwestern willow flycatchers, Quino checkerspot butterfly and the slender-horned spineflower. The designated segment is located on public lands managed by the U.S. Forest Service within the San Bernardino National Forest.. The U.S. BLM is the federal agency charged with administration of the designated segments of the Amargosa River on public lands within the California Desert Conservation Area. U.S.C. (a(. The BLM also has management authority over the designated segment of Cottonwood Creek (B, U.S.C. (a((b, on public lands within the California Desert Conservation Area.. The U.S. Forest Service is the federal agency charged with administration of the river segments that pass through national forest lands as follows: Piru Creek

Case :-cv-0 Document Filed 0// Page of Page ID #: 0 (Los Padres National Forest; Owens Headwaters and Cottonwood Creek (A (Inyo National Forest; North Fork San Jacinto River, Fuller Mill Creek, Palm Canyon Creek, and Bautista Creek (San Bernardino National Forest. U.S.C. (a(, ((A, (, (00, (0, (0, (0. FIRST CLAIM FOR RELIEF (BLM: Failure to Prepare a River Management Plan -- U.S.C. (d(; APA U.S.C. 0(. Each and every allegation set forth in this Complaint is incorporated herein by reference. 0. The BLM has a mandatory duty to prepare a Comprehensive Management Plan for the segments of the Amargosa River and the segment of Cottonwood Creek managed by the BLM. Congress designated segments of the Amargosa River and Cottonwood Creek under the Wild and Scenic Rivers Act in 00. The deadline for completion of the plan was 0. The BLM has not prepared a River Management Plan for the designated wild and scenic segments of the Amargosa River or the segment of Cottonwood Creek managed by the BLM. The duty to prepare plans remains in effect.. By failing to prepare a River Management Plan for the wild and scenic Amargosa River and the designated segment of Cottonwood Creek managed by the BLM, Defendant BLM has unlawfully withheld or unreasonably delayed compliance with the Wild and Scenic Rivers Act within the meaning of the Administrative Procedure Act. U.S.C. 0(. SECOND CLAIM FOR RELIEF (Forest Service: Failure to Prepare a River Management Plan, U.S.C. (d(; APA U.S.C. 0(. Each and every allegation set forth in this Complaint is incorporated herein by reference.

Case :-cv-0 Document Filed 0// Page of Page ID #: 0. The Forest Service has a mandatory duty to prepare a Comprehensive Management Plan for the following wild and scenic rivers: Piru Creek (Los Padres National Forest; Owens Headwaters and Cottonwood Creek (Inyo National Forest; North Fork San Jacinto River, Fuller Mill Creek, Palm Canyon Creek, and Bautista Creek (San Bernardino National Forest. Congress designated segments of these rivers under the Wild and Scenic Rivers Act in 00. The deadline for completion of the plan was 0. The Forest Service has not prepared a River Management Plan for the designated segments of Piru Creek, Owens Headwaters, Cottonwood Creek, North Fork San Jacinto River, Fuller Mill Creek, Palm Canyon Creek, or Bautista Creek. The duty to prepare these plans remains in effect.. By failing to prepare a River Management Plans for Piru Creek, Owens Headwaters, Cottonwood Creek, North Fork San Jacinto River, Fuller Mill Creek, Palm Canyon Creek, or Bautista Creek, Defendant Forest Service has unlawfully withheld or unreasonably delayed compliance with the Wild and Scenic Rivers Act within the meaning of the Administrative Procedure Act. U.S.C. 0(. PRAYER FOR RELIEF WHEREFORE, Plaintiffs respectfully request that the Court enter judgment providing the following relief: A. Declare that Defendant BLM has unlawfully withheld or unreasonably delayed compliance with their mandatory duty to prepare a Comprehensive River Management Plan under the Wild and Scenic Rivers Act for the Amargosa River segments and for the Cottonwood Creek segment on BLM lands Congress designated on March 0, 00. U.S.C. (a(, (0(B. B. Declare that Defendant Forest Service has unlawfully withheld or unreasonably delayed compliance with their mandatory duty to prepare a Comprehensive River Management Plan under the Wild and Scenic Rivers Act for the Piru Creek, Owens Headwaters, Cottonwood Creek, North Fork San Jacinto River,

Case :-cv-0 Document Filed 0// Page of Page ID #: 0 Fuller Mill Creek, Palm Canyon Creek, or Bautista Creek segments Congress designated on March 0, 00. U.S.C. (a(, ((A, (, (00, (0, (0, (0. C. Order the BLM, through a permanent injunction, to prepare a Management Plan for the Amargosa River and Cottonwood Creek, U.S.C. (a(, (0(B, by a date certain; D. Order the Forest Service, through a permanent injunction, to prepare a Management Plan for Piru Creek, Owens Headwaters, Cottonwood Creek, North Fork San Jacinto River, Fuller Mill Creek, Palm Canyon Creek, and Bautista Creek, U.S.C. (a(, ((A, (, (00, (0, (0, (0, by a date certain; E. Award Plaintiffs their costs of litigation, including reasonable attorneys fees and costs; and F. Grant Plaintiffs such additional relief as the Court may deem proper. Dated: March, 0 Respectfully submitted, /s/ Lisa T.Belenky Lisa T. Belenky (CA Bar No. 0 Justin Augustine (CA Bar No. Center for Biological Diversity Broadway Street, Suite 00 Oakland, CA T: ( -0 F: ( -0 E: lbelenky@biologicaldiversity.org jaugustine@biologicaldiversity.org Counsel for Plaintiff Center for Biological Diversity