CLF Vs Trump Complaint Fishing Northeast Canyons and Seamounts Marine National Monument 2020-06-17
CLF Vs Trump Complaint Fishing Northeast Canyons and Seamounts Marine National Monument 2020-06-17
CLF Vs Trump Complaint Fishing Northeast Canyons and Seamounts Marine National Monument 2020-06-17
Plaintiffs,
v.
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Defendants.
INTRODUCTION
proclamation of June 5, 2020, which purported to revoke core protections for the
fishing.
130 miles off the coast of Cape Cod, Massachusetts—was designated as a national
1906, 54 U.S.C. § 320301. See Presidential Proclamation No. 9496, 81 Fed. Reg.
area that features underwater canyons that rival the depth of the Grand Canyon
and undersea mountains that rise higher than any mountain east of the Rockies.
These dramatic geologic features support abundant and diverse ecosystems and
endangered whales and sea turtles; sea birds, marine mammals, and fish species;
and fragile deep-sea corals, some of which have been found nowhere else on earth.
Monument.
objects of scientific interest within the Monument—a rich web of ocean ecosystems
and marine life that the 2016 Proclamation recognized are extremely sensitive to
disturbance from extractive activities. Prohibiting commercial fishing also made the
Monument as a valid exercise of his Antiquities Act authority, and the D.C. Circuit
affirmed. Mass. Lobstermen’s Ass’n v. Ross, 349 F. Supp. 3d 48 (D.D.C. 2018), aff’d
override the 2016 Proclamation and revoke the commercial fishing prohibition
within the Monument. See Presidential Proclamation No. 10049, 85 Fed. Reg.
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Proclamation are incompatible with the proper care and management of the objects
scientific objects of the protections they had under the 2016 Proclamation, leaving
them vulnerable to the very damage that the Monument reservation was designed
to avoid.
10. Although President Trump cited the Antiquities Act and the U.S.
Constitution as the source of his authority, neither one authorizes the President’s
monuments and reserve federally owned or controlled lands and waters to protect
objects of scientific or historic interest. It does not give the President the opposite
power to revoke those protections. Congress retained that latter power for itself. The
is therefore unlawful.
11. This Court should declare the Trump Proclamation to be unlawful and
enjoin Agency Defendants from implementing the Trump Proclamation and from
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12. This case arises under the Constitution and the laws of the United
13. The Court has authority to grant declaratory and injunctive relief
14. The Court has authority to award costs and attorneys’ fees under 28
U.S.C. § 2412.
because Defendants reside in this judicial district, and because a substantial part of
the events giving rise to the action challenged here took place in this judicial
district.
PLAINTIFFS
their habitats as well as other coastal and ocean resources in New England.
17. To further these goals, CLF undertakes litigation and other legal
issues and on threats, challenges, and solutions for New England’s oceans so that
they can exercise their rights and protect their interests in those resources;
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of marine wildlife and resources; and supports programs for the conservation of
18. On behalf of its members, CLF has worked intensively in the Atlantic
Ocean in the vicinity of the Monument to prevent and combat damage from
extractive activities (including harmful commercial fishing practices) for more than
30 years, and it advocated extensively on behalf of its members for the creation of
the Monument.
the earth—its people, its plants and animals, and the natural systems on which all
life depends.
marine ecosystems. For more than three decades, NRDC has advocated for the
A central part of NRDC’s mission is to protect the nation’s seas from harmful
21. NRDC has long worked to prevent and combat damage from extractive
Monument and elsewhere in the Atlantic Ocean, and it advocated for the creation of
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22. Plaintiff R. ZACK KLYVER was the Lead Naturalist for Bar Harbor
Whale Watch Company, located in Bar Harbor, Maine, for 30 years. Since
April 2019 he has continued to work as a naturalist for Bar Harbor Whale Watch
Company on a part-time basis, continuing to lead trips to observe whales and other
marine life several times per week throughout the summer and fall tourist seasons.
that uses science and law to helps its clients solve ocean conservation problems
around the world. Mr. Klyver also owns his own international ecotourism company
called Flukes, Inc., that specializes in taking clients to see whales around the world.
He is also a member of the Atlantic herring advisory panel for the New England
24. Mr. Klyver has guided over 3,000 trips and taken over 600,000
passengers to see and learn about the whales, seabirds, and other marine wildlife of
the northwest Atlantic Ocean. The Monument’s protections benefitted Mr. Klyver
by reducing harms to, and facilitating scientific research about, species and
trips to the Monument, and his ecotourism company Flukes, Inc. is planning a 2021
tour to the Monument. Mr. Klyver actively supported the creation of the Monument,
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health and viability of animal and plant communities around the world and to
protect both the natural world and humans from environmental harms.
practices.
27. Plaintiffs and their members benefited from the 2016 Proclamation’s
would benefit from an order declaring the Trump Proclamation unlawful and
DEFENDANTS
29. President Trump resides and conducts his duties in Washington, D.C.
of the Interior and its constituent agencies, including the U.S. Fish and Wildlife
Service, comply with the applicable law, including the 2016 Proclamation’s
32. The Secretary of the Interior resides and conducts his duties in
Washington, D.C.
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Commerce and its constituent agencies, including the National Oceanic and
Atmospheric Administration (NOAA), comply with the applicable law, including the
Washington, D.C.
36. Defendant DR. NEIL JACOBS is sued in his official capacity as the
person exercising the authority of the Administrator of NOAA within the U.S.
Department of Commerce.
for ensuring that NOAA complies with the applicable law, including the 2016
38. The Administrator of NOAA (and currently, Dr. Jacobs) resides and
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BACKGROUND
40. The U.S. Constitution gives Congress the exclusive “power to dispose of
and make all needful Rules and Regulations respecting the Territory or other
Property belonging to the United States.” U.S. Const. art. IV, § 3, cl. 2 (“the
Property Clause”).
41. In 1906, Congress delegated a part of its power to the President when
it enacted the Antiquities Act. The Act authorizes the President to “declare by
other objects of historic or scientific interest that are situated on land owned or
parcels of land as a part of the national monuments” that constitute the smallest
area “compatible with the proper care and management of the objects to be
Presidents have declared and reserved more than 150 national monuments in
thirty-two states, four territories, two oceans, and the District of Columbia,
providing lasting protection for our nation’s cultural, natural, and historical
heritage.
Muir Woods in California, the Statue of Liberty in New York, and the Grand
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protected, national monument designations have ranged from just a few acres to
millions of acres.
identified “objects of historic or scientific interest” and on the area reserved as part
the objects of historic or scientific interest is the paramount purpose for which the
area is to be managed.
federally owned or controlled lands and waters as part of the monument, 54 U.S.C.
§ 320301(b), and as part of that reservation may impose specific use restrictions
that are necessary for the “proper care and management of the objects to be
protected,” id.
withdrawn monuments from the operation of mineral disposition and leasing laws.
Presidents have also prohibited other extractive activities in monuments that would
Marine National Monument in the Pacific Ocean (the nation’s two largest marine
national monuments).
proclamation, they are part of the monument reservation and have the force of law.
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three large undersea canyons that cut into the continental shelf about 130 miles off
the coast of Cape Cod, Massachusetts. Formed millions of years ago, the seamounts
(Bear, Mytilus, Physalia, and Retriever) rise from the ocean floor higher than any
mountain east of the Rockies, and the canyons (Oceanographer, Gilbert, and
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49. The dramatic and varied terrain of these canyons and seamounts, the
ocean current and upwelling patterns they generate, and the wide range of marine
hotspots that offer food, shelter, and nursery habitats to exceptionally diverse and
50. The canyons and seamounts area has attracted intense scientific
interest, particularly over the last decade as underseas technologies have made
more of the ocean accessible to scientific exploration. With every exploration of the
51. To date, for example, scientists have found at least 60 different species
of cold-water corals living within the Monument, including some species that have
been found nowhere else on earth. Corals found at these depths grow exceptionally
slowly—just millimeters per year, sometimes over the course of hundreds or even
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52. From the ocean floor to the ocean surface, along the flanks and crowns
of the seamounts, and from the continental rise to the shelf around the canyon
heads, the Monument’s varied terrain supports rare and unusual lifeforms and
the different benthic (seafloor) and pelagic (water column) environments. For
example, powerful currents created by the steep walls and slopes of the canyons and
seamounts lift nutrients upward towards the surface. Such nutrient upwellings fuel
the growth of plankton, the base of the food chain, which attracts schools of small
53. These biological and oceanographic dynamics make the canyons and
seabirds such as puffins, gulls, shearwaters, storm petrels, gannets, skuas, and
terns; large predatory fish such as tuna and sharks; and multiple species of whales,
dolphins, and sea turtles, some of which are endangered (such as sperm, sei, and fin
54. For example, the canyons and seamounts area is the critical winter
that nearly went extinct in the 1970s. Using geolocation devices, scientists recently
discovered that the birds spend several months each winter at sea, in and around
the Monument.
by commercial fishing. Commercial fishing gears historically used in this area have
included bottom and midwater trawls (e.g., for mackerel, squid, and butterfish),
traps and pots (e.g., for lobster and crab), and pelagic longlines (e.g., for tuna,
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Fig. 5: Fishing gear types, clockwise from top left: (1) bottom trawl, (2) traps and pots, (3) pelagic
longline, (4) midwater trawl
Credit: NOAA Fisheries, “Bycatch: Fishing Gear and Risks to Protected Species,” at
https://www.fisheries.noaa.gov/national/bycatch/fishing-gear-and-risks-protected-species
create the foundation for the deep-sea ecosystem, providing food, spawning habitat,
and shelter for an array of fish and invertebrate species. Deep-sea organisms tend
to have longer lifespans and slower growth rates than their shallow-water
counterparts, making it difficult for them to recover from even single disturbances.
57. One pass of a large weighted bottom trawl net can destroy sensitive
living habitat, such as corals, sponges and anemones. Such gear poses a particular
threat to deep-sea corals that have been growing for hundreds or even thousands of
years, and can prevent the growth of new colonies. Other fishing gear types that
contact the sea floor, such as heavy offshore lobster and crab traps and pots, are
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also known to impair and destroy these habitats. Further, trawls, traps, and pots
can degrade bottom sediments and important habitat structure, like cobble, and
58. The heavy traps and pots used in offshore commercial fishing cause
damage throughout the water column as well. For example, vertical lines
connecting traps and pots to buoys at the surface are known to entangle whales,
59. Higher in the water column, commercial fishing removes large schools
of fish and squid on which animals further up the food chain—like marine
60. Commercial fishing gears also inadvertently catch, injure, and kill non-
61. For example, pelagic longlines—which can stretch thirty miles long,
with thousands of baited hooks that are intended to catch large fish like swordfish
and tuna—catch other marine wildlife such as whales, dolphins, seabirds, sea
turtles, and non-targeted sharks and other fish. It is not possible to eliminate this
bycatch.
underwater noise, and an increased risk of ship strikes, which harm and disturb
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including the Exclusive Economic Zone, from 3 to 200 miles from the coast. Under
fisheries and the red crab trap fishery. NOAA Fisheries manages the Atlantic
highly migratory species fishery, which includes the longline fishery for tuna and
commission, cooperates with NOAA Fisheries in managing the lobster fishery, with
Monument.
councils to prepare fishery management plans that achieve “optimum yield” from
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“practicable.” Id. § 1851(a)(9). Adverse impacts to habitat from fishing gear, such as
from heavy bottom trawl nets, similarly must be minimized only if “practicable,”
and only when the Council designates habitat as “essential” for a managed fish
limit damage to deep-sea corals from fishing gear. Id. § 1853(b)(2)(B). After
considering the long-term sustainable uses of the fishery resources in an area where
such corals are found, a council may prohibit or restrict fishing or fishing gears that
70. Unlike the Antiquities Act, the Magnuson-Stevens Act is not primarily
fisheries. Congress did not intend its provisions, including those relating to bycatch,
habitat, and deep-sea corals, to provide the kind of permanent protection that the
71. For example, the New England Fishery Management Council and the
Mid-Atlantic Fishery Management Council have taken some limited actions in parts
habitat and deep-sea coral provisions, but they offer far less protection than the
2016 Monument reservation did. Prior to Monument’s designation, the two councils
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Canyons. Since designation, the New England Council has developed an action that
would prohibit bottom trawls and lobster traps in Monument areas deeper than 600
meters. Both of these actions were intended to prevent possible future expansion of
these gears’ use, but not to interfere with existing or recent fishing practices.
Specifically, the councils’ actions do not restrict bottom trawling and lobster traps in
the shallower portions of the Monument, where all such fishing has historically
occurred (and where known deep-sea coral habitat exists). And neither action
prohibits red crab fishing (which uses heavy pots and vertical lines) or pelagic
longlining.
the Obama Administration to confer full and permanent protection on the canyons
73. There was broad support for the Monument in the region, including
religious leaders, state and local political officials, the region’s two leading aquaria,
designation of the Monument that encompassed five major canyons and the four
seamounts.
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commercial fishing interests and Plaintiffs, and a public comment period that was
76. More than 300,000 members of the public, including several Plaintiffs,
monument.
threats that commercial fishing posed to the area’s natural resources, and requested
Monument.
79. The Monument is composed of two units covering roughly 4,900 square
miles total, and it is located entirely within the U.S. Exclusive Economic Zone of the
Atlantic Ocean. It is the only marine national monument in the U.S. Atlantic
Ocean.
80. The Canyons Unit covers approximately 940 square miles and includes
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ecologically rich ocean features. The Seamounts Unit encompasses roughly 3,900
square miles and includes four seamounts—the only seamounts found in the U.S.
Atlantic.
81. Between the Canyons Unit and the Seamounts Unit is a transit
corridor for commercial fishing vessels along the continental shelf break.
themselves, and the natural resources and ecosystems in and around them,” as
“objects of historic and scientific interest” to be protected under the Antiquities Act,
and it reserved the Monument’s submerged lands and waters “for the care and
management of the objects of historic and scientific interest therein.” The 2016
the smallest area compatible with the proper care and management of the objects to
be protected.
conferred important protections on the canyons and seamounts and the natural
NOAA) and the Secretary of the Interior (through the U.S. Fish and Wildlife
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management plan for the Monument within three years, but it also directly imposed
86. The 2016 Proclamation directed that the Secretaries “shall prohibit”
certain destructive activities and uses in the Monument—including oil and gas
leasing and “[f]ishing commercially”—to ensure the proper care and management of
87. The Monument thus became the only part of the U.S. Atlantic Ocean
designated for full protection from commercial fishing and other commercial
extractive activities.
November 14, 2016. The Proclamation provided for a more gradual phase-in of the
prohibition for existing American lobster and red crab permit-holders, specifying
that “[a]fter 7 years, red crab and American lobster commercial fishing is prohibited
in the monument.”
89. The 2016 Proclamation identified other, less harmful activities that
scientific research, whale watching, and bird watching—to the extent “such activity
is consistent with the care and management of the objects within the monument.”
fishing was prohibited within the Monument as of November 14, 2016 (with the
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exception of the phased-in prohibition on lobster and crab fishing). NOAA further
directed that all fishing gear, aside from tagged fixed-gear lobster and crab traps
and pots, must be removed from the area. Consistent with the 2016 Proclamation,
NOAA also directed that recreational fishing could continue in the Monument,
pursuant to permits and limits that existed before the Monument designation and
to the proper care and management of the objects the Monument was designated to
Monument boundaries and the species that are part of those ecosystems.
the Monument’s ecosystems and species from the harms described above, including
mammals and other species; disturbance of fish foraging, breeding, nursery, and
other essential activities; the removal of fish prey; and the reduction of the
Monument a spawning and nursery refuge that, over time, would support higher
densities of a range of fish and invertebrate species and would allow scientists to
disturbances. Studies have found that total biomass of marine life in marine
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protected areas can be significantly greater on average than in fished areas, and a
growing body of empirical evidence suggests that some of this increased biomass
94. The 2016 Proclamation also made the Monument an exceedingly rare,
if not unique, area in the Atlantic Ocean where marine mammals and other animals
can forage, congregate, raise young, and engage in other essential behaviors free of
wildlife, the commercial fishing prohibition would help support healthy and
resilient fish, marine mammal, sea turtle, and seabird populations inside the
scientific study of a largely intact ocean habitat area with minimum human
scientific reference site and control area for studying the ecology of offshore areas,
and for studying regional changes to marine wildlife and ecological productivity
flourished.
98. To date, since November 2017, researchers from the New England
Aquarium have conducted eight aerial scientific surveys of the Monument. During
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of marine life inside the Monument, including sharks, rays, four species of dolphins,
three species of beaked whales, pilot whales, humpback whales, fin whales, sperm
whales, and a sei whale. Particularly noteworthy observations have included the
rarely sighted True’s beaked whale, two blue whales (the largest animal species on
earth and rarely spotted in the region), and a high percentage of dolphin and whale
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Oceanographic Institution have explored the Monument below the water’s surface
the Monument, Woods Hole scientists discovered two previously unknown species of
deep-sea corals in Lydonia Canyon. The new species are types of “bubblegum
corals,” so called because they have soft bundles of polyps that resemble wads of
Monument with NOAA Ship Okeanos Explorer. NOAA used a remotely operated
and Retriever Seamount that had not been previously surveyed or explored. NOAA
101. During NOAA’s expedition—which was broadcast to the public via live
like bamboo coral, bushy bamboo, black coral, plexaurid coral, bottlebrush golden
coral, pink coral, large fans of bubblegum coral, soft coral, and stoloniferous coral),
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sponges (including glass sponges, vase sponges, and encrusting demosponges), and
mobile organisms (such as octopus, chimera, halosaurs, cusk eels, sawtooth eels,
rattail fish, bristlemouth fish, juvenile king crabs, squat lobsters, jellyfish,
ctenophore).
102. U.S. government data since 2016 demonstrates that the prohibition on
commercial fishing within the Monument has not harmed overall landings and
revenues in the fisheries that had previously operated in the Monument area.
According to the most recent data available, overall landings in the U.S. Atlantic
Landings and revenues in this fishery are also up for Rhode Island, where most
landings in the fishery occur and which has the ports most proximate to the
Monument: squid, mackerel, and butterfish landings and revenues for Rhode Island
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2016.
yellowfin, and bluefin) and swordfish in the U.S. Atlantic highly migratory species
revenues from tuna and swordfish catch in the fishery also remained essentially
104. In March 2017, five fishing industry groups filed a lawsuit in this
Court challenging the 2016 Proclamation and seeking an injunction forbidding the
President, Secretary of Commerce, and Secretary of the Interior from enforcing the
2016 Proclamation’s commercial fishing prohibition. They claimed, inter alia, that
the Antiquities Act did not apply in the ocean and that the Monument was too
large.
105. CLF, NRDC, Mr. Klyver, and the Center for Biological Diversity—all
designation of the Monument was a valid exercise of his Antiquities Act authority.
Mass. Lobstermen’s Ass’n v. Ross, 349 F. Supp. 3d 48 (D.D.C. 2018). The D.C. Circuit
affirmed. Mass. Lobstermen’s Ass’n v. Ross, 945 F.3d 535 (D.C. Cir. 2019).
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107. A few months after taking office, President Trump issued an executive
order directing the Secretary of the Interior to review certain national monuments
designated since 1996, including the Northeast Canyons and Seamounts Marine
National Monument. Exec. Order 13792, 82 Fed. Reg. 20,429 (Apr. 26, 2017). The
should “balance the protection of . . . objects against the appropriate use of Federal
lands and the effects on surrounding lands and communities.” The executive order
for “Presidential actions” that would “carry out the policy” described above.
108. Two days later, President Trump issued another executive order
marine national monuments and national marine sanctuaries within the previous
ten years, including Northeast Canyons and Seamounts. Exec. Order 13795, 82 Fed.
Reg. 20,815 (Apr. 28, 2017). The executive order directed the Secretary of Commerce
Northeast Canyons and Seamounts. Plaintiffs CLF, NRDC, and Center for
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Biological Diversity submitted letters to both the Secretary of the Interior and the
Secretary of Commerce that, among other things, described the scientific objects of
fishing operations—including operations that use bottom trawls, lobster traps, and
red crab traps—would commence or resume in the Monument area if the Trump
report to the President. Despite acknowledging that the public comments were
113. Secretary Zinke’s report stated that “[w]hen landscape areas are
designated and reserved as part of a monument, objects and large tracts of land are
the objects identified,” and opined that “[a]s a result, . . . traditional uses of the land
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the Commerce review should have been submitted to the President in October 2017,
neither Secretary Ross nor any other government official has ever released a
Commerce report.
substantially reduced the sizes of the Bears Ears and Grand Staircase-Escalante
oil and gas leasing in the lands excised from those monuments. Cases challenging
Interior officials with the following caveat: “In my initial draft of this memo, which
was (by direction) for revoking the designation rather than just removing the
fishing restrictions, I did not even mention [economic] impacts to fishermen, as I felt
they were so minor in the context of the overall New England fishing industry as to
undercut the case for making changes [to the Monument].” On information and
belief, neither Mr. Bowman’s memorandum nor any other agency justification for
117. On May 29, 2020, the chairs of the New England Fishery Management
Council and the Mid-Atlantic Fishery Management Council, among others, sent a
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letter to Secretary Ross arguing that the “ban on commercial fishing within Marine
fishing industry representatives and Maine’s former governor Paul LePage were in
attendance.
general lack of awareness about the Monument’s designation under the Antiquities
Act, the objects of interest designated for protection, and the scope of the 2016
incorrectly, as applying only to U.S. fishing boats and not to “other countries”).
121. Before signing the proclamation, the President told the attendees:
“We’re undoing his [President Obama’s] executive order [sic]. . . . What reason did
he have for closing 5,000 miles? That’s a lot of miles. Five thousand square miles is
a lot. He didn’t have a reason, in my opinion. All right. So we’re opening it up.
Today, I’m signing a proclamation to reverse that injustice, to reverse that order
from the previous administration, and we are reopening the Northeast Canyons and
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122. President Trump continued: “And we’re doing that immediately. Are
opening up 5,000 square miles—” President Trump interjected: “As of?” Secretary
Bernhardt continued: “—with the stroke of a pen. . . . You’re taking down a ‘no
that are incompatible with the proper care and management of the objects to be
protected pursuant to the 2016 Proclamation. These activities will expose the
marine life and ecosystems in and around the canyons and seamounts to a
and management of the Monument objects identified in the 2016 Proclamation. The
revocation of this protection, if allowed to stand, will have effectively abolished the
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particular,” that “[s]ome of the examples of fish species that [the 2016
Proclamation] identifies are not of such significant scientific interest that they merit
additional protection beyond that already provided by other law,” citing, inter alia,
the Magnuson-Stevens Act and the National Marine Sanctuaries Act. The Trump
Proclamation does not assert that those statutes provide equivalent protection to
127. Nor does the Trump Proclamation acknowledge this Court’s conclusion,
affirmed by the D.C. Circuit, that the National Marine Sanctuaries Act “address[es]
ends” compared with the Antiquities Act. Mass. Lobstermen’s Ass’n, 349 F. Supp. 3d
‘recreation[]’ and the ‘public and private uses of the [ocean] resources’” (citations
128. The Trump Proclamation selectively mentions “fish species” and “coral
species” as monument objects, but it does not explain how lifting the prohibition on
commercial fishing is consistent with the proper care and management of the
ecosystems that the 2016 Proclamation designated for protection. As this Court has
species, but “designated the ecosystems surrounding the canyons and seamounts” as
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objects of scientific interest. Mass. Lobstermen’s Ass’n, 349 F. Supp. 3d at 68, aff’d,
requirement that they “shall prohibit” commercial fishing within the Monument.
immediately upon his signature, without any need for further agency action. As
131. On information and belief, the Agency Defendants will not implement
or comply with the 2016 Proclamation’s commercial fishing prohibition unless the
132. President Trump’s action will harm Plaintiffs and their members by
necessary for the proper care and management of the ecosystems and objects of
133. Plaintiffs and their members plan to continue to view, study, and enjoy
the unique habitats, fish, marine mammals, seabirds, corals, and other marine
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Monument benefitted Plaintiffs and their members by enabling them to use and
enjoy the ecosystems and marine life in the Monument area—and adjacent areas
commercial fishing.
New England coastal states. CLF’s members use and enjoy fish and other marine
resources off the New England coast for recreational, aesthetic, educational, and
scientific purposes.
protection of scientifically important places in the ocean off New England, such as
the Monument, because such areas increase the ocean’s resilience to the stresses
and changes associated with excessive human carbon emissions and serve as
137. CLF’s members include professional scientists who have been studying
the habitats within and many of the species associated with the Monument and
nearby areas.
138. One such CLF member is Peter Auster, Ph.D., a scientist who
where he has worked for over 40 years. He also serves on the Habitat Committee’s
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139. Dr. Auster has extensively studied the canyons and seamounts area
that the Monument encompasses. Over the course of multiple research trips
spanning the last 35 years, Dr. Auster has led and participated in dives—either
all three canyons and four seamounts that are now within the Monument.
140. Dr. Auster has used multiple submersible vehicles and other ship-
between species, and how diversity is distributed within these precipitous and
and the vulnerability of these deep-sea communities. Dr. Auster has also studied
the effects of commercial fishing practices on seafloor communities, like those in the
Monument. He has seen first-hand the destruction that bottom trawling and
offshore pot fisheries can do to such areas. Because deep-sea corals can live for
hundreds of years, grow slowly, and do not propagate easily, damage caused by
commercial fishing could take centuries to recover, if ever. Other taxonomic groups
processes is more incomplete and will benefit from further research in the
Monument. Further, fishing can significantly affect the web of interactions between
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species. Removing large numbers of fishes from the local environment, those that
serve as prey for apex predators, also can have deleterious effects on Monument
resources.
141. Dr. Auster was part of the dive planning team for the 2019 NOAA Ship
Okeanos Explorer cruise to the region in 2019, which resulted in four dives to the
Monument, including one in the head of Oceanographer Canyon. The results of this
dive facilitated a proposal in progress (initial deadline is now July 8, 2020) to return
to the canyon heads in the Monument to compare and contrast the benthic flora and
fauna there with similar communities outside the Monument. The researchers’
ability to compare fished and unfished sites will be eliminated as soon as fishing
resumes as a consequence of this action. Dr. Auster and several collaborators are
developing proposals for additional future studies that use the Monument as an
unimpacted reference site. Dr. Auster plans to visit the Monument again in late
142. Opening the Monument to commercial fishing will harm Dr. Auster’s
human uses. Opening the Monument also eliminates Dr. Auster’s and other
scientists’ ability to compare and contrast areas closed and open to commercial
fishing pressure with those protected inside the Monument. In addition, the value of
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143. The Brookline Bird Club is also a member of CLF. The Brookline Bird
Club organizes paid offshore pelagic bird-watching trips to areas inside the
Monument and its vicinity to observe offshore seabirds. The 2016 Proclamation’s
protections heightened public interest in these trips; the Brookline Bird Club
these trips and will harm the Brookline Bird Club’s ability to observe seabirds
protecting the Monument area from the disruption and damage caused by
commercial fishing, by preserving the health and beauty of the ecosystems for
future study and scientific research, and by enabling CLF’s members to study, view,
and enjoy the Monument as the only large marine protected area off New England’s
shores.
145. The Natural Resources Defense Council (NRDC) has members who are
use the area in and around the Monument for research, education, wildlife viewing,
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146. One such member of NRDC is Dr. Scott D. Kraus, a marine biologist
whose research encompasses the biology and conservation of marine mammals and
147. Dr. Kraus has personally flown over the Monument area conducting
aerial surveys of marine mammals, and from 2017 to 2019 he directed a research
team at the New England Aquarium collecting data within the Monument
boundaries.
148. Dr. Kraus has now retired from the New England Aquarium, but he
Kraus also continues to conduct and publish his own research. Among other things,
Dr. Kraus is involved in efforts to collect and analyze marine mammal data from
areas of the northwestern Atlantic, including the Monument, through the North
149. To inform his research, Dr. Kraus continues to rely on data and
imagery gathered from the New England Aquarium’s Monument overflights and
other surveys. Dr. Kraus also intends to return to the Monument on a research
vessel to gather data. The COVID-19 pandemic has put such research trips on hold,
given the difficulty of maintaining social distance aboard a research vessel, but Dr.
150. Dr. Kraus values the Monument because it is a biological hotspot from
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fishing would have made this the only area fully protected from commercial fishing
151. The loss of that protection will compromise Dr. Kraus’s ability to
longlines and trap lines, and acoustic disturbances from large vessels’ engine noise
152. The loss of protection from commercial fishing will also impair Dr.
Kraus’s ability to use the Monument area as a reference and control site to study
study shifts over time in marine mammal populations, distribution, and behavior in
fishing.
153. Mr. Zack Klyver regularly uses the waters of the northwest Atlantic
Ocean to view, study, and educate others about marine wildlife, including wildlife
that use the Monument as habitat and feeding ground, such as humpback, sperm,
fin, and sei whales, and many seabirds, including the population of Atlantic puffins
that nest in the summer on islands near Bar Harbor and overwinter at sea in the
Monument area.
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154. Mr. Klyver has frequently traveled to observe marine wildlife in many
different parts of the northwest Atlantic. He has led a whale and seabird boat tour
to the nearby Hudson Canyon, and his company Flukes, Inc., is planning a 2021
tour that will take guests to see whales and other marine wildlife in the Monument.
He is also working with teams planning research trips to the Monument in 2020
and 2021 using remotely operated underwater vehicles equipped with video
Mr. Klyver’s interests in viewing, studying, and educating others about these
whales, marine wildlife, and seabirds by providing the species with a protected
source of food, shelter, and passage for their migrations and movements, reducing
the negative effects of commercial fishing, and helping to ensure that they maintain
scientific investigation and therefore provided Mr. Klyver with information to use
when educating the public, commenting on agency decisions, and advising agency
157. Center for Biological Diversity members and staff regularly use the
northwest Atlantic Ocean, including areas within and near the Monument, to view
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and study marine wildlife, including humpback, right, sperm, fin, and sei whales;
loggerhead and leatherback turtles; sharks and other fish; and seabirds.
158. One such member of Center for Biological Diversity is Carl Safina,
Ph.D., a marine ecologist and writer based in Long Island, New York. He is the first
Endowed Professor for Nature and Humanity at Stony Brook University, and he
directs the nonprofit Safina Center. He has spent decades studying, advocating, and
writing about marine ecology and the impacts of commercial fishing on marine
ecosystems.
159. Dr. Safina is also a recreational fisherman. Each season, between May
and October, he typically takes several fishing trips to the edge of the continental
shelf off the coast of New England. Many of the species for which he fishes
(including sharks, tuna, and swordfish) are highly migratory, traveling between the
Monument and nearby areas. Because commercial fishing has had a severe impact
on fish populations in this area of the Atlantic Ocean, it is now much harder to
catch sharks, tuna, and swordfish than it was when Dr. Safina first started
160. On these trips to the edge of the continental shelf, Dr. Safina also
enjoys seeing sea turtles, seabirds, whales, and other marine wildlife. He has
incorporated these creatures and the conservation threats they face from
commercial fisheries in various of his books and writings, including the books “Song
for the Blue Ocean,” “Eye of the Albatross,” “Voyage of the Turtle,” and “The View
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161. Dr. Safina intends to continue making these trips to the edge of the
populations in areas closed to commercial fishing, and has read about the
population rebounds that have been scientifically studied in many such protected
places worldwide. Closing areas to commercial fishing can allow fish numbers to
stabilize and rebound not only inside the protected areas themselves, but also in
neighboring areas as adult fish and larvae “spill over” into those other areas.
163. Much of Dr. Safina’s writing focuses on how the oceans are changing as
Monument will deprive Dr. Safina of the information that would have resulted from
commercial fishing.
164. Commercial fishing in the Monument also will likely have a negative
impact on Dr. Safina’s ability to catch fish as a recreational fisherman and the
enjoyment he receives from his trips to the edge of the continental shelf because it
will negatively affect his ability to view marine animals such as sea turtles, sea
fishing prohibition thus harms the interests of all Plaintiffs and their members.
Opening the Monument to commercial fishing will likely result in increased vessel
traffic and noise; bycatch and entanglement of marine mammals and other marine
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wildlife in fishing gear; disturbance of feeding and foraging seabirds, sea turtles,
and marine mammals; damage to fragile and ecologically important deep-sea coral
habitat; and deleterious alterations to the area’s ecology and ecosystems, including
the depletion of forage fish and the extraction of large numbers of other key fish
species.
threatened, and vulnerable species like whales, sea turtles, and puffins, by
disrupting the areas on which they depend for overwintering, feeding, breeding, and
migration, as well as injuring and killing animals directly. These impacts will
adversely affect Plaintiffs’ and their members’ ability to view, study, and enjoy
167. Commercial fishing in the Monument will also interfere with scientific
for researchers and educators (including several Plaintiffs and their members) to
use the Monument as a control and reference area for longitudinal or comparative
control area that would help them study the impacts of commercial fishing on
similar areas in the northwest Atlantic Ocean. They also plan to use the Monument
to analyze the ecological and other benefits associated with landscape-scale closed
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prohibition.
169. These harms from the Trump Proclamation are likely to occur
members used to fish commercially in the Monument area, using both bottom
trawling and pelagic longlining gear, and that they would do so again once the 2016
171. Now that President Trump has revoked the 2016 Proclamation’s
prohibition on commercial fishing, any commercial fishing boat with a valid license
and fishery permit can fish inside the Monument; they need no additional agency
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without authority under the Antiquities Act, 54 U.S.C. § 320301. Under the Act,
“reserve” lands and waters for the protection of objects of historic or scientific
interest, but not to undo such designations or to abolish such reservations, in whole
or in part.
178. The Constitution vests Congress with exclusive power over federal
property and foreign and interstate commerce. U.S. Const. art. IV, § 3, cl. 2; id. art.
I, § 8, cl. 3.
179. The President has the authority to regulate the disposition of federal
property or the conduct of foreign and interstate commerce only to the extent that
protections for the proper care and management of monument objects or to abolish a
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consistent with the terms and the purpose of the Antiquities Act, including the
requirement for proper care and management of the objects of historic or scientific
184. When President Obama issued the 2016 Proclamation designating the
protection under the Antiquities Act. He also determined that the prohibition on
of the protections they had under the 2016 Proclamation, leaving them vulnerable
to the very damage that the Monument reservation was designed to avoid.
Antiquities Act, lacks any adequate legal or factual justification, and is inconsistent
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with the proper care and management of the objects to be protected in the
Monument.
any person adversely affected by a final agency action or a failure to act and waives
protections from the Monument, the Secretaries of Commerce and the Interior and
their subordinate officers remain subject to the 2016 Proclamation’s direction that
191. The Agency Defendants will not carry out their duties to prohibit
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carry out their mandatory duties imposed in the 2016 Proclamation and enjoining
5. Grant such other relief as the Court deems just and proper.
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/s/Erica Fuller
Erica Fuller (D.D.C. Bar. ID MA001)
Peter Shelley (pro hac vice pending)
Conservation Law Foundation
62 Summer Street
Boston, Massachusetts 02110
(617) 850-1754
[email protected]
[email protected]
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