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- In re: Border Infrastructure Environmental Litigation
In re: Border Infrastructure Environmental Litigation
Geography
Year
2017
Document Type
Litigation
Part of
About this case
Filing year
2017
Status
Notice of appeal filed.
Geography
Docket number
3:17-cv-01215
Court/admin entity
United States → United States Federal Courts → United States District Court for the Southern District of California (S.D. Cal.)
Case category
Federal Statutory Claims (US) → NEPA (US)Federal Statutory Claims (US) → Other Statutes and Regulations (US)
Principal law
United States → Coastal Zone Management Act (CZMA)United States → Endangered Species Act (ESA)United States → Illegal Immigration Reform and Immigrant Responsibility ActUnited States → National Environmental Policy Act (NEPA)
At issue
Challenge to waivers for construction of border wall projects in California.
Topics
, ,
Documents
Filing Date
Document
Type
Topics
Beta
Search results
04/09/2018
Notice of appeal filed.
California filed a notice that it would appeal the decision of the federal district court for the Southern District of California upholding waivers of environmental requirements granted by the Department of Homeland Security for construction of certain border wall projects in California.
Appeal
–
02/27/2018
Order issued granting summary judgment to defendants.
The federal district court for the Southern District of California rejected challenges to waivers of environmental laws granted by the Department of Homeland Security (DHS) for certain types of border wall construction projects in San Diego County. DHS had waived the requirements of the National Environmental Policy Act, the Endangered Species Act, the Coastal Zone Management Act, and other laws pursuant to Section 102 of the Illegal Immigration Reform and Immigrant Responsibility Act of 1996. California and the California Coastal Commission—the plaintiffs in one of the three actions challenging the waivers—alleged that impacts of the projects’ construction on climate change were some of the impacts that would not be assessed as a result of the waivers. In its decision granting summary judgment to DHS and the other defendants, the court found that the defendants had not violated any “clear and mandatory” obligations in Section 102 and that in the absence of any such violations Section 102 established a jurisdictional bar to hearing any non-constitutional claims. The court rejected all of the plaintiffs’ constitutional claims. The court found that Section 102 did not violate the non-delegation doctrine or separation of powers principles; the Take Care Clause; Article I, Sections 2 and 3; the Presentment Clause (Article I, Section 7); constitutional protections of rights to petition the government and the courts; or the Tenth Amendment.
Decision
–
Summary
Challenge to waivers for construction of border wall projects in California.
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Group
Topics
Policy instrument
Risk
Impacted group
Just transition
Fossil fuel
Greenhouse gas
Economic sector
Adaptation/resilience
Finance