Sel C Complaint
Sel C Complaint
INTRODUCTION
1. This case challenges the U.S. Forest Service’s failure under the National
Environmental Policy Act to assess the direct, indirect, and cumulative effects on carbon storage
and emissions of the numerous logging projects it authorizes on national forests to fulfill annual
changes are driven by increases in atmospheric greenhouse gases, such as carbon dioxide. These
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gases trap heat in Earth’s atmosphere, causing the planet’s overall temperature to rise and
3. Climate change has already had devastating effects in the United States and
around the globe. For example, climate change has been linked to higher temperatures, increased
flooding, longer periods of drought, and more extreme storms. In fact, 2023 was the hottest year
atmospheric levels of greenhouse gases; and (2) where possible, pulling already-emitted
5. Forests contribute to both needs. Forests store billions of tons of carbon, keeping
it out of the atmosphere. They also pull carbon out of the atmosphere through photosynthesis. As
technology, trees are still the most large-scale, cost-effective and environmentally-friendly
6. Logging trees, in contrast, releases their stored carbon back into the atmosphere,
newly planted to replace the harvested forest may recapture that released carbon but not for
7. The Forest Service is the largest single manager of forests in the United States,
with approximately 146 million acres of forests in its care across the 193-million-acre National
Forest System. Between 1984 and 2021, the Forest Service authorized the harvest of an average
of 428,531 acres of forest per year, emitting millions of tons of carbon to the atmosphere. Other
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forest disturbances, like wildfire, also produce carbon emissions, but Forest Service data show
that logging is the largest source of carbon emissions from national forests in the East and South.
8. According to the Forest Service, over the past few years the volume of timber
sold from national forests has been “higher than any period in the previous few decades.” The
agency intends “to increase the level of timber volume sold” even further in coming years,
especially from carbon-dense Eastern and Southern national forests that face lower wildfire risks
than other national forests. These increases in harvest will result in increased carbon emissions.
Agriculture and the Forest Service intend to increase timber targets. These “targets”—mandatory
performance metrics—drive logging levels on the National Forest System. Each year, the
Secretary of Agriculture sets a national timber target measured in timber volume and charges the
Forest Service with fulfilling that target. The Washington Office of the Forest Service then
assigns portions of the national target to each of the nine Forest Service regions and charges
regional agency staff with fulfilling their region’s target. To satisfy their obligations, regional
staff distribute their regional target among the national forest units within their region. Those
units then develop timber projects to meet their unit-specific target. If each unit fulfills its target,
then each region will fulfill its regional target, resulting in fulfillment of the national target.
10. Despite authorizing numerous timber projects each year to meet these targets, the
Forest Service has never accounted for the aggregate carbon effects of actions taken to fulfill its
11. The National Environmental Policy Act requires federal agencies to analyze and
disclose the reasonably foreseeable direct, indirect, and cumulative effects of their actions as well
as the effects of a reasonable range of alternatives. The statute is intended to ensure that agencies
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make decisions with their “eyes . . . open to the environmental consequences of [their] actions.”
12. The Department of Agriculture and the Forest Service make no effort to comply
with the National Environmental Policy Act when setting national, regional, or unit-specific
timber targets.
13. The Forest Service makes some attempt to comply with the National
Environmental Policy Act when designing individual logging projects to achieve those timber
targets. Depending on the effects of those individual projects, the Forest Service can satisfy the
National Environmental Policy Act in one of three ways. The most significant projects require a
unclear, the Forest Service may sometimes approve it after conducting a less-demanding
effects can be approved with a Categorical Exclusion, which require no detailed study at all.
14. Because carbon emissions and decreases in carbon storage are reasonably
foreseeable effects of individual timber projects, the Forest Service typically includes some
discussion of carbon effects for timber projects it approves with Environmental Impact
and disclose the aggregate effects of other similar logging projects. Instead, the agency isolates
each individual project’s carbon effects and weighs them against regional, national, and global
carbon emissions. It then dismisses the siloed effects of individual logging projects as
“miniscule” or “imperceptibly small” drops in the bucket but never considers the effect of the
full bucket of projects authorized to achieve timber targets. This too violates the National
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15. For timber projects authorized with Categorical Exclusions, the agency makes no
effort to consider the carbon effects of its actions at all—individually or cumulatively. The vast
majority of Forest Service projects are authorized with Categorical Exclusions. See 85 Fed. Reg.
73,620, 73,620 (Nov. 19, 2020) (noting 83.8% of all Forest Service projects, including non-
timber projects, are authorized with Categorial Exclusions). Yet the agency has never considered
the aggregate effects of its numerous categorically excluded timber projects, nor considered the
cumulative carbon effects of those projects combined with timber projects approved with
significant carbon effects—effects that must be studied and disclosed to the public under the
16. The failure to consider the cumulative carbon emissions of the agency’s timber
targets and the projects it designs to fulfill them disproportionately affects forests in the East and
the South. Volumetric timber targets incentivize logging in the most carbon-dense (i.e., high
volume) forests containing the oldest and largest trees, rather than, for example, thinning of
small-diameter trees to prevent wildfire because the latter produces less timber volume. As a
result, carbon-dense forests with lower relative risk of wildfire, like the South and the East, are
17. Analyzing the cumulative carbon effects of Forest Service logging projects could
make a meaningful difference in agency decisions. With their eyes open to the carbon effects of
their actions, the Department of Agriculture and the Forest Service could decide to reduce the
national, regional, or unit-specific timber targets to reduce carbon emissions. Or, as another
example, the Forest Service could choose to reduce emissions by scaling back logging in carbon-
dense forests and focusing instead on forests that naturally store less carbon.
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Advocates”) seek a declaration that the Department of Agriculture’s and the Forest Service’s
failure to consider the carbon effects of the national, regional, and unit-specific timber targets
violates the National Environmental Policy Act. Forest Advocates also seek a declaration that the
Forest Service’s project-level analyses for three projects—the Sumter National Forest’s White
Pine Management Project, Nantahala National Forest’s Buck Project, and Mark Twain National
Forest’s Forest Health Initiative Project—violate the National Environmental Policy Act. Forest
Advocates additionally request that this Court enjoin the Forest Service from: (1) offering further
timber sales to fulfill its fiscal year 2024 timber targets for Regions 8 and 9 including targets for
the Francis Marion–Sumter, National Forests in North Carolina (which includes the Nantahala
National Forest), and Mark Twain units, excluding harvests necessary to mitigate wildfire risks;
and (2) implementing the remaining commercial timber-harvest portions of the White Pine
Management, Buck, and Forest Health Initiative Projects until the agency complies with the
19. Jurisdiction is proper in this Court because this action arises under the laws of the
United States, including the National Environmental Policy Act (NEPA), 42 U.S.C. §§ 4321
et seq., and the Administrative Procedure Act (APA), 5 U.S.C. §§ 701–06. This Court has
jurisdiction over this action pursuant to 28 U.S.C. § 1331 (federal-question jurisdiction) and
5 U.S.C. § 702 (APA judicial review). This Court may issue a declaratory judgment and further
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Thomas Vilsack, and Forest Service Chief Randy Moore are agencies, officers, or employees of
the United States acting in their official capacities that reside in the District of Columbia. Venue
is also proper in this District under 28 U.S.C. § 1391(e)(1)(B) because the national and regional
timber targets that are a focus of this lawsuit were developed in the District.
PARTIES
Chattooga Conservancy
restore the Chattooga River Watershed; to educate and empower citizens to practice good
stewardship on public and private land; and to ensure the viability of native species within the
Watershed. Chattooga Conservancy’s mission is specific to the lands within the Chattooga River
Watershed, approximately 70% of which are located on national forest lands in the Nantahala
National Forest in North Carolina, the Sumter National Forest in South Carolina, and the
22. Chattooga Conservancy is based in Mountain Rest, South Carolina, and has
members live in Georgia and South Carolina. These members run and patronize businesses that
rely on the health and beauty of the national forests to attract visitors, and they visit the national
forests themselves to hike, kayak, observe nature, take photographs, and seek solitude.
23. Since its inception, Chattooga Conservancy has been involved in management of
the national forests in the Chattooga River Watershed. Chattooga Conservancy routinely engages
in decision-making processes for Forest Service projects that affect its interests, including by
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filing comments and administratively objecting to the White Pine Management Project on the
24. The White Pine Management Project involves nearly two thousand acres of
timber harvest and widespread herbicide application. The project will adversely affect Chattooga
Conservancy’s organizational interests and the interests of its members, including Ms. Hayler,
who use the project area and connected waters for recreational, aesthetic, spiritual, and business
purposes. Chattooga Conservancy members are particularly concerned about the cumulative
impacts of this project with other Andrew Pickens Ranger District projects on water quality and
terrestrial habitat for game and rare species. Chattooga Conservancy members like Ms. Hayler
plan to continue using these areas despite the imminent and ongoing harms inflicted by the White
Pine Management Project. These harms are germane to Chattooga Conservancy’s organizational
missions.
MountainTrue
North Carolina. MountainTrue’s mission is to champion clean water, resilient forests, and healthy
communities in the Southern Blue Ridge Mountains. To accomplish this broad mission,
responsibly steward public lands, and help local communities develop in a sustainable manner.
26. MountainTrue has over 12,000 members and supporters, primarily in North
Carolina. Many of these members live in close proximity to the Nantahala–Pisgah National
Forests. Some of these members run or patronize businesses or conduct scientific research that
depends on healthy, vibrant, and biodiverse national forest lands nearby. Many members
regularly visit the national forests to hike, fish, kayak, hunt, whitewater raft, camp, bird watch,
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trail run, mountain bike, research, observe rare and threatened species and other wildlife, take
photographs, go on scenic drives, and experience Wilderness. MountainTrue’s members and staff
derive scientific, aesthetic, and spiritual benefit from the existence of the natural features of the
area, including the Nantahala–Pisgah National Forests and the wildlife species that depend on
them.
projects. For example, MountainTrue submitted extensive comments and filed an administrative
objection over the Forest Service’s Buck Project on the Nantahala National Forest.
28. MountainTrue members, including Josh Kelly, use and value the Buck Project
area for its recreational, aesthetic, ecological, and biological values. The Buck Project includes
extensive ground-based logging that will fragment intact forests, introduce non-native species,
push roads into backcountry areas, cause stream sedimentation, harm rare species’ habitats, and
destroy biologically complex older forests. These effects will harm Mr. Kelly and other
MountainTrue members and prevent them from enjoying the area as they did prior to logging.
Nevertheless, many of them plan to continue visiting the Buck Project area. The Buck Project
will also prevent MountainTrue from fulfilling its organizational mission of protecting
Debbie Kruzen
29. Debbie Kruzen lives in Mountain View, Missouri, close to the Mark Twain
National Forest. Ms. Kruzen has long advocated for responsible forest management, and has
participated in administrative processes applicable to logging projects on the national forest. For
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example, Ms. Kruzen submitted comments and filed an administrative objection over the Forest
Service’s Forest Health Initiative Project on the Mark Twain National Forest.
30. The Forest Health Initiative Project involves over 45,000 acres of commercial
timber harvest across multiple ranger districts in the national forest, including the Willow
Springs and Eleven Point Districts close to Ms. Kruzen’s home. Ms. Kruzen uses and values the
area to be impacted by the project for its recreational, aesthetic, ecological, and biological values.
The project will harm her interests by increasing sedimentation in local streams, harming native
understory plants, destroying rare species’ habitats, and destroying biologically complex older
forests. Nevertheless, Ms. Kruzen plans to continue visiting the project area for as long as she is
able.
31. In addition to being harmed by the individual projects discussed above, Forest
Advocates are also harmed by the Department of Agriculture’s and the Forest Service’s failure to
comply with NEPA when setting national, regional, and unit-specific timber targets. The White
Pine Management, Buck, and Forest Health Initiative Projects were all designed, in part, to
achieve timber targets. Considering and disclosing the carbon effects associated with those
targets, as required under NEPA, might have led the Department of Agriculture and the Forest
Service to reduce those targets, decreasing the incentive to log carbon-dense old and mature
forests in the White Pine Management, Buck, and Forest Health Initiative Projects. This would
32. For example, without needing to achieve a specific timber volume to fulfill timber
targets, the Forest Service would have had more flexibility to drop controversial aspects of those
projects opposed by Forest Advocates. Timber targets reduce that flexibility because the agency
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needs to achieve a specific timber volume to hit timber targets. The agency often has to plan
years in advance to produce a certain amount of timber volume from specific timber projects,
which makes it difficult for the agency to make decisions in response to concerns raised by
Forest Advocates that may be more environmentally protective but that would result in lower
timber volume.
33. The need to meet volumetric targets also pushes the Forest Service to design
timber sales that get the biggest “bang for the buck,” often by greenlighting projects involving
clearcut-style logging of older, bigger trees. In other words, timber targets drive the very types of
harvest that cause the greatest harm to Forest Advocates’ interests and result in high carbon
emissions.
34. Forest Advocates are harmed by Forest Service decisions that exacerbate climate
change. Chattooga Conservancy and MountainTrue invest significant time and financial
South Carolina, Georgia, and Tennessee. Forest Service actions that result in increased levels of
atmospheric carbon—such as increasing timber targets—make it more difficult and expensive for
the organizations to fulfill those objectives. Forest Advocates, including organizational members,
35. The failure to comply with NEPA when setting national, regional, and unit-
specific timber targets also inflicts informational harm on MountainTrue and Chattooga
Conservancy. Part of their missions involve informing their members and the public about
decisions made affecting public lands. The Department of Agriculture’s and the Forest Service’s
failure to assess and disclose the carbon effects of the national, regional, and unit-specific timber
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targets hampers MountainTrue’s and Chattooga Conservancy’s ability to inform their members
36. The lack of information also makes it more difficult for Forest Advocates to
engage in Forest Service decision-making processes. This includes project-level advocacy and
national policy efforts. For example, the Forest Service recently announced its intention to
amend all forest plans to include consistent direction related to old-growth forest management.
how protecting those forests from logging would lead to better carbon storage. Those efforts
were stymied by the fact that the Forest Service has not analyzed the cumulative carbon impacts
of its logging projects, making the carbon benefits of not logging those forests less clear.
37. To the extent required, Forest Advocates have exhausted their administrative
remedies.
Plaintiffs, would be redressed by an order from this Court requiring the Department of
Agriculture and the Forest Service to comply with NEPA and the APA.
Defendants
overseeing the U.S. Forest Service, among other subagencies. The Department of Agriculture
official within the Department of Agriculture, and is sued in his official capacity. Defendant
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Vilsack has supervisory authority over the Forest Service and specifically the national timber
41. Defendant U.S. Forest Service is a subordinate federal agency within the U.S.
Department of Agriculture. The Forest Service is charged with stewarding nearly 193 million
42. The Forest Service is charged with fulfilling the national timber target set by the
Department of Agriculture.
43. As part of that process, the Forest Service sets regional and unit-specific timber
targets.
44. To manage its public lands, the Forest Service employs a hierarchical structure
where there is “a direct line of command from one designated official to another.” Forest Service
Manual (FSM) 1230.6. At the top of this chain of command is the Chief of the Forest Service,
who is responsible for overseeing the National Forest System. The Chief (along with Deputy
Chiefs) directly supervises Regional Foresters, who each oversee one of the Forest Service’s nine
regions. Next in line are Forest Supervisors, who oversee a specific Forest Service unit. These
45. For example, the National Forests in North Carolina is a Forest Service unit
located in the Forest Service’s Southern Region (Region 8). The National Forests in North
Carolina unit includes the Croatan, Uwharrie, Pisgah, and Nantahala National Forests. Each
Forest Service unit is also broken into Ranger Districts managed by a District Ranger. The
Croatan and Uwharrie National Forests each have one Ranger District while the Pisgah and
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46. Defendant Randy Moore is the Chief of the U.S. Forest Service and is sued in his
official capacity. Defendant Moore is ultimately responsible for meeting the national timber
47. Defendant Kenderick Arney is the Regional Forester for Forest Service Region 8,
which encompasses thirteen Southern states and Puerto Rico. Defendant Arney is ultimately
responsible for satisfying Region 8’s timber target and for promulgating unit-specific timber
targets to meet the regional target. Defendant Arney is sued in his official capacity.
48. Defendant Antoine “Tony” Dixon is the Regional Forester for Forest Service
Region 9, which encompasses twenty Eastern states. Defendant Dixon is ultimately responsible
for satisfying Region 9’s timber target and for promulgating unit-specific timber targets to meet
49. Defendant Robert Sitzlar is the District Ranger for the Andrew Pickens Ranger
District in the Sumter National Forest and is sued in his official capacity. Defendant Sitzlar is the
responsible official for the White Pine Management Project challenged in this action.
50. Defendant James “Brian” Browning is the acting District Ranger for the Tusquitee
Ranger District in the Nantahala National Forest and is sued in his official capacity. Defendant
Browning’s predecessor was the responsible official for the Buck Project challenged in this
action.
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51. Defendant Dawn Laybolt is the Forest Supervisor for the Mark Twain National
Forest and is sued in her official capacity. Defendant Laybolt’s predecessor was the responsible
official for the Forest Health Initiative Project challenged in this action.
LEGAL BACKGROUND
52. NEPA was enacted in 1969 “to promote efforts which will prevent or eliminate
damage to the environment and biosphere and stimulate the health and welfare of man.”
42 U.S.C. § 4321. Federal agencies must fulfill NEPA’s mandates “to the fullest extent possible.”
Id. § 4332.
53. NEPA has twin aims: “First, it places upon an agency the obligation to consider
every significant aspect of the environmental impact of a proposed action. Second, it ensures that
the agency will inform the public that it has indeed considered environmental concerns in its
decisionmaking process.” Balt. Gas & Elec. Co. v. Nat. Res. Def. Council, Inc., 462 U.S. 87, 97
54. NEPA’s objectives are “realized through a set of ‘action-forcing’ procedures that
require that agencies take a ‘“hard look” at environmental consequences,’ . . . and [] provide for
requirements for “every” “proposal[]” for major federal action “significantly affecting the quality
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56. A “proposal” exists if “an agency has a goal, is actively preparing to make a
decision on one or more alternative means of accomplishing that goal, and can meaningfully
evaluate its effects.” 40 C.F.R. § 1508.1(x).1 “A proposal may exist in fact as well as by agency
57. A “major Federal action” means “an activity or decision subject to Federal control
and responsibility” that “tend to fall within one of the following categories:” (1) adoption of
official policies or issuance of “formal documents establishing an agency’s policies which will
result in or substantially alter agency programs”; (2) adoption of formal plans “which prescribe
alternative uses of Federal resources, upon which future agency actions will be based”;
(3) adoption of programs, “such as a group of concerted actions to implement a specific policy or
plan,” or a set of “systematic and connected agency decisions allocating agency resources to
implement a specific statutory program or executive directive”; and (4) approval of specific
Id. § 1508.1(q). Major federal actions “may include new and continuing activities, including
projects and programs entirely or partly financed, assisted, conducted, regulated, or approved by
Federal agencies; new or revised agency rules, regulations, plans, policies, or procedures; and
58. Current NEPA regulations explain that a major federal action must be a “final
agency action under the Administrative Procedure Act.” Id. § 1508.1(q)(1)(iii). “Agency action”
is defined under the APA as “the whole or a part of an agency rule, order, license, sanction, relief,
1
The Council on Environmental Quality has revised its NEPA implementing regulations twice in
the past four years. Unless otherwise noted, references to these regulations refer to the 2023
version.
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59. The “significance” of an agency action “varies with the setting of the proposed
action.” 40 C.F.R. § 1501.3(b)(1). “In considering the degree of the effects, agencies should
consider” the proposal’s “short- and long-term effects,” “beneficial and adverse effects,” and
“[e]ffects on public health and safety,” as well as effects that would violate environmental laws.
Id. § 1501.3(b)(2).2
60. If an agency concludes that a proposal for major federal action is “likely to have
significant effects,” it must prepare an Environmental Impact Statement (EIS). Id. § 1501.3(a)(3).
This “detailed statement” must disclose the “reasonably foreseeable environmental effects of the
proposed agency action” and consider “a reasonable range of alternatives to the proposed agency
61. If the need for an EIS is unclear—i.e., if it is uncertain whether the major federal
action will significantly affect the quality of the human environment—an agency may first
prepare an Environmental Assessment (EA). 40 C.F.R. § 1501.5(a). If the EA concludes that the
proposal is likely to have significant effects, the agency must prepare an EIS. Id. § 1501.3(a)(3).
If the EA reveals that the action would not have significant effects, then the action could proceed
62. Agencies may also promulgate Categorical Exclusions (CEs) for “a category of
actions that the agency has determined, in its agency NEPA procedures . . . normally do not have
a significant effect on the human environment.” Id. § 1508.1(d). Projects that meet the terms of a
2
Prior to July 2020, agencies were required to consider the “context” and “intensity” of an action
in deciding whether it would have significant effects. 40 C.F.R. § 1508.27 (1978). To consider
context, “the significance of an action must be analyzed in several contexts such as society as a
whole (human, national), the affected region, the affected interests, and the locality.” Id.
§ 1508.27(a). Intensity “refers to the severity of [effects].” Id. § 1508.27(b). The regulation
provided ten factors that “should be considered in evaluating intensity.” Id.
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CE can be authorized without completing an EA or EIS. The Forest Service has promulgated
foreseeable direct, indirect, and cumulative effects. Id. § 1508.1(g). “Direct effects . . . are caused
by the action and occur at the same time and place.” Id. § 1508.1(g)(1). “Indirect effects . . . are
caused by the action and are later in time or farther removed in distance, but are still reasonably
foreseeable. Indirect effects may include growth inducing effects and other effects related to
induced changes in the pattern of land use, population density or growth rate, and related effects
on air and water and other natural systems, including ecosystems.” Id. § 1508.1(g)(2).
Cumulative effects “result from the incremental effects of the action when added to the effects of
other past, present, and reasonably foreseeable actions regardless of what agency (Federal or
non-Federal) or person undertakes such other actions. Cumulative effects can result from
individually minor but collectively significant actions taking place over a period of time.” Id.
§ 1508.1(g)(3).
kind of [ ] impacts analysis that NEPA requires agencies to conduct.” Diné Citizens Against
Ruining Our Env’t v. Haaland, 59 F.4th 1016, 1035 (10th Cir. 2023) (quoting Ctr. For Biological
Diversity v. Nat’l Highway Traffic Safety Admin., 538 F.3d 1172, 1217 (9th Cir. 2008)). Even
where an agency “determine[s] that each [project] individually has a de minimis impact on
climate change, the agency must also consider the cumulative impact of [greenhouse-gas]
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emissions generated by past, present, or reasonably foreseeable [agency projects] in the region
and nation.” WildEarth Guardians v. Zinke, 368 F. Supp. 3d 41, 77 (D.D.C. 2019).
65. The Forest Service has issued guidance to aid its consideration of climate-change
effects under NEPA. That guidance calls on the Forest Service to “[c]onsider the effects of no
action . . . , the effects tradeoffs of the proposed action[,] and other action alternatives on
[greenhouse-gas] emissions.” U.S. Forest Serv., Climate Change Considerations in Project Level
NEPA Analysis at 5 (2009). The agency’s website explains that this analysis can be difficult to
complete when authorizing individual timber projects and therefore the “scale for quantitative
analysis of biogenic sources of carbon such as from . . . harvest may be more appropriate at a
regional or programmatic level” under NEPA. Leslie Brandt & Courtney Schultz, Climate
Change Considerations in National Environmental Policy Act Analysis, U.S. Forest Serv. (2016),
https://perma.cc/4VS7-NSAC.
all federal agencies, including the Forest Service—has also issued guidance to “to assist agencies
in analyzing greenhouse gas [ ] and climate change effects of their proposed actions under the
Policy Act Guidance on Consideration of Greenhouse Gas Emissions and Climate Change, 88
Fed. Reg. 1196, 1196 (Jan. 9, 2023). That guidance explains that “for actions involving potential
changes to biological [greenhouse-gas] sources and sinks” such as forests, “agencies should
include a comparison of net [greenhouse-gas] emissions and carbon stock changes that are
anticipated to occur, with and without implementation of the proposed action and reasonable
alternatives.” Id. at 1207. That “analysis should consider the estimated [greenhouse-gas]
emissions (from biogenic and fossil-fuel sources), carbon sequestration potential, and the net
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change in relevant carbon stocks in light of the proposed actions and timeframes under
67. Since NEPA does not specify a standard of review, courts review agency
compliance with NEPA under the APA’s arbitrary and capricious standard. See Sierra Club v.
68. The APA creates a right to judicial review for any person wronged or aggrieved
by a final agency action when there is no other adequate remedy available. 5 U.S.C. §§ 702, 704.
Under the APA, a reviewing court shall “hold unlawful and set aside agency action[s], findings,
and conclusions” that the court finds to be “arbitrary, capricious, an abuse of discretion, or
otherwise not in accordance with law,” “in excess of statutory jurisdiction, authority, or
69. Agency action is arbitrary and capricious, and must be set aside, where, among
other things, the agency “entirely failed to consider an important aspect of the problem, offered
an explanation for its decision that runs counter to the evidence before the agency, or is so
implausible that it could not be ascribed to a difference in view or the product of agency
expertise” or where the agency’s action is not based on a “reasoned analysis.” Motor Vehicle
Mfrs. Ass’n of U.S. v. State Farm Mut. Auto. Ins. Co., 463 U.S. 29, 42–43 (1983).
70. The APA also provides relief to “compel agency action unlawfully withheld or
FACTUAL BACKGROUND
Climate Change
71. Climate change refers to long-term shifts in temperatures and weather patterns.
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72. As explained by the Forest Service, “Earth’s climate changes with some
regularity, going through ice ages and other periods of natural flux. However, since the Industrial
Revolution in the mid-1700s, Earth’s average temperature has risen at a much higher rate than
any other time in the reconstructed climate record.” U.S. Forest Serv., How is Climate Change
Detected?, https://perma.cc/E6FU-5ECX.
dioxide levels, which are now the highest they’ve been in three million years.” Id.
74. Increased atmospheric carbon dioxide levels lead to increased global temperatures
because carbon dioxide absorbs heat radiating from Earth and redirects it back to Earth’s surface,
creating a “greenhouse effect” that warms the planet. EPA, Basics of Climate Change,
https://perma.cc/L24Z-ZKFN. For that reason, carbon dioxide and other gases that cause a
75. Due in large part to this greenhouse effect, the last ten years were the hottest ever
recorded. Nat’l Oceanic & Atmospheric Admin., Climate Change: Global Temperature (Jan. 18,
2024), https://perma.cc/4J6X-BSQT.
76. This human-caused warming has triggered “widespread adverse impacts” in part
by disrupting global and regional climate patterns that humans have relied on for all of recorded
history. Intergovernmental Panel on Climate Change, Climate Change 2023 Synthesis Report:
Summary for Policymakers at 5 (2023). For example, climate change is virtually certain to have
caused increases in extreme heat waves, resulting in human mortality, morbidity, and
displacement. Id. at 6–7. In urban areas, most of these “adverse impacts are concentrated
amongst economically and socially marginalised urban residents.” Id. at 6. Climate change also
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poses a threat to food and water security, and is very likely responsible for observed declines in
“the health, diversity, and productivity of the Nation’s forests and grasslands.” U.S. Forest Serv.,
78. Forests play two critical roles in regulating atmospheric greenhouse gases.
79. First, through photosynthesis, forests “remove carbon dioxide from the
atmosphere.” U.S. Forest Serv., Baseline Estimates of Carbon Stocks in Forests and Harvested
Wood Products for National Forest System Units: Southern Region at 5 (2015).
80. Forests continue pulling carbon dioxide out of the atmosphere as they age and as a
result “many old-growth and mature forests have . . . higher carbon density.” Secretary of
81. Second, forests store—mostly in woody biomass and soils—the carbon they pull
82. The combination of these two phenomena—pulling carbon out of the atmosphere
83. The U.S. Forest Service is the primary manager of federal forests, overseeing
approximately 146 million acres of forested land—comprising 76% of all federal forested land.
J.E. Smith et al., U.S. Forest Serv., Carbon Stocks and Stock Change on Federal Forest Lands of
the United States, 10 Ecosphere at 9–10 (2019). Collectively, national forests store
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84. Carbon will generally remain stored in a forest until that forest is affected by a
“disturbance” that causes tree mortality and releases some or all of the stored carbon to the
atmosphere. Richard Birdsey et al., U.S. Forest Serv., Assessment of the Influence of
85. According to the Forest Service, there are five primary “disturbances” that have
historically resulted in tree mortality and carbon emissions from national forests: fire, timber
86. Forest Service data show that the primary disturbance leading to reductions in
carbon stored in the Forest Service’s Eastern (Region 9) and Southern (Region 8) Regions is
timber harvesting. Id. at 31, 40. Figure 1 below, prepared by the Forest Service, shows the effect
of different disturbances on reductions in live biomass carbon storage from 1990–2011 in the
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87. Figure 2, also prepared by the Forest Service, shows the same analysis for the
88. Logging results in carbon emissions to the atmosphere (not including carbon
emitted from using fossil fuels to harvest, transport, and process raw tree material) on several
different timescales.
89. Significant portions of a logged forest such as tree limbs are never converted into
an end-use wood product. These portions are often incinerated, resulting in immediate carbon
emissions.
90. Other wood products, such as paper, are short-lived and quickly disposed of either
91. Finally, long-lasting wood products (like housing framing) can store carbon for
decades before the product is disposed of and the carbon is released to the atmosphere, but only a
fraction of harvested wood ends up as a long-lived, end-use wood product. See Tara Hudiburg et
al., Meeting GHG Reduction Targets Requires Accounting for All Forest Sector Emissions, 14
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92. Forest Service data confirm this conclusion. Figure 3 shown below was prepared
by the Nantahala–Pisgah National Forests in North Carolina. See U.S. Forest Serv., Assessment
for the Nantahala and Pisgah National Forests at 83 (2014) (Nantahala–Pisgah Assessment).
The column titled “Total C in Allowable Sales Quantities” indicates the amount of live tree
biomass carbon authorized for removal in a hypothetical timber sale. The column titled “Total
Carbon Emissions” shows how much of that carbon has been released to the atmosphere on
various timeframes. A decade after harvest, 57% of the carbon stored in the original forest—
which likely took many decades or centuries to sequester—has been released to the atmosphere.
Carbon emissions associated with the timber sale continue increasing over time as wood
products are disposed so that fifty years post-sale, 70% of the carbon once stored in the harvested
forest has been released to the atmosphere. After fifty years, only 12% of the carbon in the
Figure 3: Table prepared by the Nantahala and Pisgah National Forests calculating carbon emissions
following timber harvest.
93. Logging does not just release carbon trapped in the wood itself; it also releases
large amounts of stored soil carbon into the atmosphere. See Steven Hamburg et al., Losses of
Mineral Soil Carbon Largely Offset Biomass Accumulation 15 Years After Whole-Tree Harvest in
a Northern Hardwood Forest, 144 Biogeochemistry 1 (2019) (finding timber harvest reduced
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mineral soil carbon by 15% relative to pre-harvest levels by year eight, with no recovery in soil
carbon stocks by year fifteen); Jason James & Rob Harrison, The Effect of Harvest on Forest Soil
Carbon: A Meta-Analysis, 7 Forests (2016) (concluding timber harvest reduced soil carbon, on
average, by 11.2%).
94. Like emissions from woody biomass, soil carbon losses can take place relatively
95. Because soil carbon often represents the majority of total forest carbon stocks,
G.M. Domke et al., U.S. Forest Serv., Toward Inventory-Based Estimates of Soil Organic Carbon
in Forests of the United States, 27 Ecological Applications 1223, 1223 (2017) (finding carbon in
soils accounts for 56% of total forest carbon stocks), even fractional losses in soil carbon can be
significant.
96. Carbon released through timber harvest can eventually be re-sequestered by new
forests that grow in place of the harvested forest. But even in the best-case scenario, forests do
not re-sequester the carbon emitted during timber harvest for multiple decades to centuries—if
ever. See Hudiburg et al. at 4 (noting that carbon removed from old-growth forests, for example,
will not be fully replaced for hundreds of years—“and cannot be recovered [ever] if current
97. Between 1984 and 2021, the Forest Service harvested an average of 428,531 acres
of forest per year, U.S. Forest Serv., Harvest Trends on National Forest System Lands (2021),
3
According to the Forest Service, the average acre of forest in the United States contains 48,980
pounds of tree carbon and 93,220 pounds of soil carbon. Richard Birdsey, U.S. Forest Serv.,
Carbon Storage and Accumulation in United States Forest Ecosystems at 3 (1992). Carbon
densities are likely higher in the Northwest, East, and South, where the Forest Service has
historically concentrated its logging operations.
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98. The carbon effects associated with the Forest Service’s timber projects are
consequential. The agency itself has explained that even small reductions in national forest
carbon stocks can “represent very large amounts of [lost] climate mitigation benefit.” U.S. Forest
99. Every timber sale implemented on National Forest System lands results in carbon
emissions.
100. Forest Service timber sales are implemented, in part, to fulfill annual national,
101. Each year the Department of Agriculture establishes a national timber target for
102. As explained further below, that national target is later divided among the nine
Forest Service regions. The regional target is then divided among Forest Service units within that
region. Those units then develop timber projects to offer timber sales to fulfill their unit-specific
target.
103. As an example, Figure 4 illustrates the connection between national, regional, and
unit-specific timber targets, with a focus on Region 8. The box on the far left represents the
national timber target. The boxes second from left represent the Forest Service regions. (There is
no Region 7.) The boxes in the middle represent the Forest Service units within Region 8. There
are specific timber targets issued at the national, regional, and unit levels; the regional and unit-
specific targets are issued to achieve the national target. Units then offer timber sales from timber
projects to fulfill the unit-specific, regional, and national targets. The relationship between timber
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sales and timber projects is discussed more below but, as an example, the Forest Service
approved the Buck Project in 2020 and has since divided the volume of timber authorized in that
project into multiple subsequent sales over different fiscal years to fulfill each respective year’s
timber target. Timber projects are represented by the boxes second from right and timber sales
are represented by boxes on the far right. The only point within this chain of decision-making
that the agency attempts to comply with NEPA is when approving timber projects.
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Figure 4: National, regional, and unit-specific timber targets with timber projects and sales.
104. The Department of Agriculture seeks appropriations from Congress to achieve the
national timber target and sometimes revises the target based on final appropriations.
105. Congress does not set a numeric annual national timber target for the Forest
Service.
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106. The Forest Service and Department of Agriculture invest significant resources
planning for and developing the annual national timber target. The agencies consider multiple
107. The culmination of that process is a volumetric, national target that is typically
measured in “billion board feet.” A board foot is equivalent to a volume of lumber twelve inches
108. For fiscal years 2019 to 2024, the Forest Service’s final national timber targets
were 3.7, 3.7, 4.0, 3.4, 3.4, and 3.4 billion board feet, respectively.
109. Pursuit of these targets has resulted in timber volumes “higher than any period in
the previous few decades.” U.S. Forest Serv., Fiscal Year 2022 Timber Target Report at 1,
Report).
110. Once the national timber target is set, it becomes the responsibility of the Forest
Service Chief, Deputy Chiefs, and Chief Financial Officers to meet the assigned target. See
Forest Service Handbook (FSH) 1909.13, ch. 30.41 (requiring these officers to meet “program
targets, as assigned”).
111. This directive is binding on Forest Service staff. See FSM 1110.8, 1112.03
(describing FSH directives as “mandatory, unless a justifiable reason exists for not taking
action”); see also Memorandum from John Church, Assistant Director for Forest Products (Dec.
17, 2019) (noting the “Secretary of Agriculture has directed the Forest Service to meet FY20
targets of 3.7 billion board feet of timber volume sold” (emphasis added)).
112. In other words, the Forest Service must act to fulfill the national timber target.
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113. Forest Service documents agree, describing the target as “mandated” and
“required.” See U.S. Forest Serv., Views of ‘No-Bid’ Timber Sales from the National Forest
System (NFS), Volume I at vi, 1 (2023) (describing “targets for timber sales” as “mandated” and
noting “pressure to meet targets”); FSH 1909.13, ch. 51.1 (describing national timber targets as
“required”).
114. Setting timber targets at a specific volume affects the day-to-day business of the
Forest Service.
115. Internal Forest Service documents note that achievement of timber targets “is used
as a performance element for line officers, [interdisciplinary team] members, and others” within
the agency. U.S. Forest Serv., Daniel Boone Nat’l Forest, Timber Sale Schedule Expectations
(Jan. 10, 2024); see also Email from Michael Joyce, Mark Twain Integrated Resources Staff
Officer, to John Bryan, Silviculturist (Sept. 27, 2018) (asking for reports on timber
116. Forest Service staff awards are also based in part on target achievement. See, e.g.,
Email from Casey Hawes, Mark Twain Timber Program Manager, to Brian Merkel, Mark Twain
Supervisory Forester (July 29, 2021) (describing the need to submit timber target achievements
“so we can plan out awards for the end of the [fiscal year]”).
117. Agency staff understand that they “have to figure [out] a way to hit” the national
target and work toward fulfilling it over the course of the year. Email from David Wilson, Acting
Deputy Director, to Regional Directors (Dec. 14, 2021). When funding is inadequate to fulfill the
national target, staff “look under every cushion for any available dollars to achieve” the target.
Email from John Church, Assistant Director for Forest Products (Nov. 12, 2019). When that too
4
All communications cited are between Forest Service employees unless otherwise noted.
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is “not enough,” staff must “shift everything [they] possibly can” from other program areas
where the agency “can accept risk” so that they can “fully fund those targets.” Id.; Memorandum
from U.S. Forest Serv. Region 1 to the U.S. Forest Serv. Chief (Feb. 28, 2019).
118. To track progress toward fulfillment of its target, Deputy Chief staff “enter the
required national . . . target[]” into the agency’s metrics management database, which is “used to
manage and document agency performance measures and targets.” FSH 1909.13, ch. 51.1, ch.
50.5.
119. Upon information and belief, the Forest Service’s Washington Office demands
120. The Department of Agriculture’s decision to set one specific national timber target
instead of another results in different amounts of carbon emissions and different effects on the
human environment.
121. At the most general level, a higher national timber target leads to more timber
the target at a lower level leads to less carbon emissions. Apart from the COVID-19-affected
years of 2020 to 2022, year-to-year increases in national timber targets have consistently driven
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increases in timber volume sold since at least 2010, while year-to-year decreases have generally
8,000,000
7,000,000
6,000,000
5,000,000
4,000,000
3,000,000
2,000,000
1,000,000
0
2010 2011 2012 2013 2014 2015 2016 2017 2018 2019 2020 2021 2022 2023
Figure 5. National timber targets versus timber sold in hundred cubic feet (ccf). The
Forest Service uses a set of conversion factors to convert its billion board foot target
into hundred cubic feet. The 2022 target is not displayed because the Forest Service
did not report it in its Periodic Timber Sale Accomplishment Reports (PTSAR)
database.
122. Higher or lower levels of carbon emissions are reasonably foreseeable effects of
123. Setting a specific national timber target also affects the Forest Service’s ability to
achieve non-timber objectives valued by Forest Advocates and the public. For instance, the
agency has explained that the decrease in the national timber target between fiscal years 2021
and 2022 allowed it to prioritize different actions: it could “focus on areas in the country
5
Data used to make this figure were sourced from the Forest Service’s Periodic Timber Sale
Accomplishment Reports database. See U.S. Forest Serv., Periodic Timber Sale Accomplishment
Reports, https://perma.cc/G3XZ-F8JK (PTSAR).
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impacted by the 2021 wildfires” instead of spending agency resources pursuing a higher timber
124. Conversely, the Forest Service has explained that “[p]reparing additional projects
for sale to meet increasing timber sale targets . . . requires additional time and prioritization of
available staff resources” and that as “Forest Service employees diligently work to develop,
implement, and administer more timber sales to attain an increased target, a reallocation of
agency support staff for administrative, human resources, finance, information technology, and
related functions must also be prioritized to support this effort.” 2022 Target Report at 1–2.
125. At times, working to meet timber targets can diminish the agency’s ability to
provide basic services. Forest Service Region 1, for example, has noted that the “need to re-
prioritize our work” to focus on timber targets has impacted its ability to provide “basic customer
service for health and safety,” conduct “basic maintenance,” “keep trails opened and
maintained,” and “respond to needs resulting from catastrophic events (e.g. fire) in a timely
manner.” Memorandum from U.S. Forest Serv. Region 1 to the U.S. Forest Serv. Chief (Feb. 28,
2019).
126. In a similar vein, staff on the Cumberland Ranger District of the Daniel Boone
National Forest in Kentucky had to “divert time and resources away” from “small-almost-no
volume time wasting” projects like the Rebel Trace project—a project that appears to have
entailed removing trees to allow workers to access and repair a dam’s failing infrastructure—to
“more commercially viable and worthwhile” timber projects so they could meet timber targets.
Email from Travis Pruitt, Deputy District Ranger, to Brian Emerson, Daniel Boone Nat. Res.
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127. Raising timber targets also forces the agency to prioritize target achievement over
ecological outcomes, such as creating quality wildlife habitat. For example, staff on the
Chattahoochee National Forest in Georgia have admitted internally that a project paid for with
Forest Service funds allocated to improving wildlife habitat had “no benefit to wildlife” but was
instead implemented “to meet timber targets.” Email from Michael Joyce, Biologist, to Brian
128. Likewise, staff on the Daniel Boone National Forest have acknowledged that
harvests crafted to meet timber targets “hinder[] the reforestation process” because they leave so
much pulpwood and detritus behind. Email from Jacob Royse, Silviculturist, to Ricardo Suarez,
129. Region 1 staff have also noted that the “need to lean into” timber harvests to meet
targets has depleted their “ability to treat invasive infestations” and forced the agency to defer
monitoring required by Forest Service regulations for years at a time. Memorandum from U.S.
Forest Serv. Region 1 to the U.S. Forest Serv. Chief (Feb. 28, 2019).
130. Focus on fulfilling timber targets also “reduces work on aquatic organism
passages and other transportation system improvement needs not associated with timber
Memorandum from U.S. Forest Serv. Region 9 to the U.S. Forest Serv. Chief (Feb. 28, 2019).
131. Timber targets also drive the Forest Service to select more ecologically harmful
harvesting methods. For instance, Forest Service staff have observed that “managing for
healthier forests and woodland conditions”—by conducting forest “thinning” instead of heavier
“Regen[eration]” harvests like clearcuts, for example—means staff have “a harder and harder
time meeting [the timber] target” because thinning harvests generally produce lower timber
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volumes per acre than regeneration harvests. Email from Troy Heithecker, Ouachita National
Forest Supervisor, to Jose Castro, Region 8 Director of Forest and Timber Management (Oct. 26,
2020).
132. Consequently, staff choose to “prioritize ecological restoration projects that result
in timber volume sold” over projects with potentially more critical restoration needs but lower
timber volume to “ensure they meet” the timber target. Email from Alyson Warren, Region 6
Assistant Director of Natural Resources, to Jose Castro, Region 8 Director of Forest and Timber
133. Forest Service staff have also raised concerns about tension between pursuing
mandatory timber targets and hazardous-fuels work intended to reduce wildfire risk. See 2022
Target Report at 2 (observing that “wildfire mitigation” efforts are a “barrier[]” to increasing
“total timber volume sold”); U.S. Forest Serv., Key Points from Early December 2018 Regional
Calls (2018) (noting Region 2 is “[u]sing [its] fuels [budget] for timber causing tension on [the]
use of funds,” and also reporting that Region 9’s “[t]imber and hazardous fuels targets are
134. At times, the agency has been forced to shift “engagement on critical post fire”
projects “to ensure” timber target accomplishment. Memorandum from U.S. Forest Serv. Region
135. Setting timber targets at specific levels also has economic consequences. As
explained by agency staff, by “continuously reducing stumpage prices on timber just to achieve a
volume target for a specific year, we are getting less value per the tax payer dollar . . . . We are
also competing with industry and non-industrial private landowners and potentially driving their
values down in already challenging markets.” Email from Daniel Wagner, Forest Silviculturist, to
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Kelly Russell, National Forests in Florida Forest Supervisor (June 10, 2020); see also
Memorandum from John Church, Assistant Director for Forest Products (Dec. 17, 2019) (noting
that the push to meet timber targets at the end of the fiscal year leads “to a large amount of
volume offered late in the fiscal year,” “flooding the market” and driving prices and demand
down).
136. The Department of Agriculture plans to increase the Forest Service’s national
timber target over the next several years. The Forest Service recently acknowledged that it plans
to “continue the expansion of the timber program,” expecting “additional increases [in timber
volume sold] planned for the upcoming years,” in order “to attain an increased target.” 2022
137. The “Pacific Northwest, Eastern, and Southern Regions should have the greatest
increase in total timber volume sold” over the next several years in part because they do not face
138. These three regions also have the most carbon-dense forests in the country.
139. The Department of Agriculture did not consider carbon effects under NEPA when
140. Upon information and belief, the Department of Agriculture has no plans to
consider carbon effects under NEPA in connection with future national timber targets.
141. After the national timber target is set, this number is partitioned among the Forest
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143. When assigning regional timber targets, Forest Service staff use an equation to
convert billion board feet to hundred cubic feet. From fiscal year 2019 to 2023, the Forest
1,471,698, 1,307,500, and 1,285,200 hundred cubic feet, respectively. U.S. Forest Serv., Periodic
and belief, the Washington Office has assigned a fiscal year 2024 timber target for Region 8 of
1,278,500 hundred cubic feet. U.S. Forest Serv., Region 8, FY 2024 Base Program Direction at
50 (July 2023).
144. From fiscal year 2019 to 2023, the Forest Service’s Washington Office assigned
Region 9 timber targets of 983,726, 1,062,600, 1,129,032, 1,064,306.6, and 1,094,800 hundred
cubic feet, respectively. See PTSAR. Upon information and belief, the Washington Office has
assigned a fiscal year 2024 timber target for Region 9 of 1,066,625 hundred cubic feet. See U.S.
145. Once the regional targets are assigned, it becomes the “responsibility” of the
Regional Foresters to meet those assigned targets. FSH 1909.13, ch. 30.44.
146. In other words, Regional Foresters must act to achieve their assigned targets.
147. Achieving regional timber targets is a top priority of regional Forest Service staff.
148. According to Region 8 staff, timber volume “is always at the forefront of the
decision makers thought process,” U.S. Forest Serv., Region 8, FY2020 Budget Request (2019),
and achieving timber targets is the region’s “#1 priority,” U.S. Forest Serv., Region 8, Forest
Management and Timber Staff Unit Expertise and Priorities (May 3, 2019).
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149. Likewise, within Region 9, timber volume targets must “take priority” over other
agency activities. See U.S. Forest Serv., Ottawa Nat’l Forest, Integrated Unit Program
150. Staff in Region 1 similarly report that “timber” is the region’s top priority above
even “fuels” reduction work intended to mitigate wildfire risk. See Memorandum from U.S.
Forest Serv. Region 1 to the U.S. Forest Serv. Chief (Feb. 28, 2019).
151. As with the national target, Deputy Chief staff also “enter the required . . .
regional performance targets” into the agency’s metrics management database to track progress
toward the targets. FSH 1909.13, ch. 51.1. Forest Service Chief Moore recently explained: “I’ve
given each region a [timber] target . . . [and we] are tracking that target every quarter to see how
we are doing.” Senate Comm. on Energy & Nat. Res., Manchin, Committee Examine FY 2024
152. To track progress toward their target, Region 8 staff develop a monthly report on
timber volume sold and hold a monthly timber-awarded call. See Memorandum from Kenderick
153. Upon information and belief, Region 9 staff produce a similar monthly report and
154. Setting regional targets at specific levels results in different amounts of carbon
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155. Like the national target, setting higher regional targets leads to increases in timber
harvests in that region. For example, Figure 6 below illustrates how timber-harvest levels
1200000
1000000
800000
600000
400000
200000
0
2006 2007 2008 2009 2010 2011 2012 2013 2014 2015 2016 2017 2018 2019 2020 2021 2022 2023
Figure 6: Region 9 timber targets versus timber sold in hundred cubic feet (ccf).
156. The decision about how to partition the national timber target among the nine
Forest Service regions affects carbon emissions. For example, focusing harvests in carbon-dense
regions has different effects on carbon storage and emissions than harvests in regions that store
less carbon.
157. Increasing the timber targets for Regions 8 and 9—regions with some of the
wettest, most productive, least wildfire-prone, and most carbon-dense forests—will have
6
Data used to make this figure were sourced from the Forest Service’s Periodic Timber Sale
Accomplishment Reports database. See PTSAR.
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significantly different effects compared to increasing the timber target for Region 4 (Nevada,
disturbances, such as wildfire. Focusing harvests in regions with low wildfire risks but high
carbon density—such as Regions 8 and 9—has different effects on long-term carbon storage than
focusing harvests in regions with high wildfire risks and lower carbon density.
159. Setting a particular timber target for Regions 8 or 9 thus has reasonably
160. Setting a particular regional timber target also impacts the Forest Service’s ability
to achieve non-timber objectives, provide basic services, and promote ecological outcomes as
described above.
161. The Forest Service did not consider carbon effects under NEPA when setting
162. Upon information and belief, the Forest Service has no plans to consider carbon
163. To reach their mandated regional targets, Regional Foresters “allocate[e]” timber
targets to Forest Service units in their jurisdiction and “monitor[] their use and management.”
165. Upon information and belief, Region 8 set numeric timber targets for each unit
within Region 8 for fiscal years 2019–2024. The Forest Service’s PTSAR database, however,
lists unit-specific targets in Region 8 only for fiscal years 2020 and 2022. See PTSAR. Other
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documents describe unit-specific targets in some of the missing years; for example, the agency’s
“FY 2024 Base Program Direction” (cited above) discloses the unit-specific targets for fiscal
166. Forest Service Region 9 also set numeric, unit-specific timber targets for fiscal
years 2019–2023. See PTSAR. In contrast to Region 8, the Forest Service’s PTSAR database
lists unit-specific targets in Region 9 for each fiscal year between 2019 and 2023. Id. The Forest
Service’s PTSAR database has not disclosed the fiscal year 2024 Region 9 unit-specific targets
yet. See id. Upon information and belief, Region 9 set unit-specific targets for fiscal year 2024.
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167. Once Regional Forester staff assign a target to a Forest Service unit, the Forest
Supervisor for that unit becomes responsible for “accomplish[ing] the approved targets.” FSM
1930.44b.
168. The Regional Forester is “responsible for holding each Forest Supervisor
accountable” if the region does not fulfill its target. Email from Scott Smith, Region 8 Sale
Administrator, to Jose Castro, Region 8 Director of Forest and Timber Management (May 6,
2020).
169. Forest Supervisors cannot ignore the unit-specific target set by Forest Service
staff in regional offices; Forest Supervisors must act to fulfill their unit-specific target.
their target among parts of the unit, such as specific Ranger Districts. Binding Forest Service
directives require District Rangers to “[m]eet the time schedules involved to accomplish annual
171. To track progress toward their targets, some units, like the Daniel Boone National
Forest in Forest Service Region 8, hold monthly “timber target” meetings to “understand where
we are at in obtaining our target for the year” and to “shift resources around to help a [ranger]
district that is struggling with getting [its] sales finished” in time. Email from Kevin Beck,
Daniel Boone Contracting Officer, to District Rangers (Feb. 14, 2023). This information is then
172. Setting one particular unit-specific timber target instead of another results in
different amounts of carbon emissions and different effects on the human environment.
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173. Like national and regional targets, setting higher unit-specific targets leads to
higher timber-harvest levels in that unit with reasonably foreseeable effects on carbon storage
and emissions.
174. For example, Figure 8 below illustrates how timber-harvest levels fluctuate with
changes in timber targets in the Francis Marion–Sumter National Forest unit in South Carolina.7
160000
140000
120000
100000
80000
60000
40000
20000
0
2006 2007 2008 2009 2010 2011 2012 2013 2017 2020 2022 2023
175. Increases in unit-specific timber targets, combined with the mandate to achieve
those targets, also leads units to pursue harvests that can contribute more volume toward the
timber target, as compared to harvests that contribute less volume toward the target even if those
176. Setting higher unit-specific targets also forces the agency to prioritize target
achievement over other outcomes. For example, one unit in Region 9 noted that increased
7
Data used to make this figure were sourced from the Forest Service’s Periodic Timber Sale
Accomplishment Reports database. See PTSAR.
44
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“timber volume” targets require “employees who have traditionally been very involved with
recreation and trails management to shift their focus [to] project work that supports [timber]
targets,” resulting in “less support for areas such as recreation.” U.S. Forest Serv., Wayne Nat’l
177. Another unit echoed this concern, noting that its engineers “had to turn away a
number of recreation based projects . . . to allow for their time supporting the [timber] target
accomplishments.” U.S. Forest Serv., Green Mtn. & Finger Lakes Nat’l Forests, Integrated Unit
178. Units “had to say no to [recreation] projects proposed by partners even when they
have matching funds” due to focus on meeting timber targets. U.S. Forest Serv., White Mtn.
179. Other units have had to cut corners with their project-specific NEPA reviews due
to timber targets. For example, one unit chose to begin “sale prep . . . prior to many NEPA
180. Others had no choice but to hire contractors to complete NEPA reviews, knowing
the contractors would have “minimal oversight from agency personnel as [agency personnel]
would be diverted to priority vegetation and fuels work” like meeting timber targets.
Memorandum from U.S. Forest Serv. Region 5 to the U.S. Forest Serv. Chief (Feb. 28, 2019).
181. The Forest Service did not consider carbon effects under NEPA when setting
timber targets for individual units in Regions 8 and 9 in fiscal years 2019–2024. This specifically
includes timber targets set for the Francis Marion–Sumter, National Forests in North Carolina,
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182. Upon information and belief, the Forest Service has no plans to consider carbon
183. The Forest Service fulfills its national, regional, and unit-specific timber targets
184. The Forest Service authorizes a timber project after completing an EIS, EA, or
CE. The timber volume authorized in that project is then divided into individual sales potentially
over multiple years. For example, the Buck Project EA and Decision Notice described below
authorized approximately 800 acres of regeneration harvest in the Nantahala National Forest,
which is part of the National Forests in North Carolina unit. The Forest Service intends to offer
timber from that project in six separate timber sales over fiscal years 2020–2024. The volume
sold in a specific fiscal year is then credited to that unit’s yearly timber target.
185. The Forest Service completes NEPA in connection with timber projects, like the
Buck Project, but not timber sales, including the six sales coming out of the Buck Project; the
agency uses the project-level analysis to assess the environmental effects associated with the
subsequent sales.
186. Because the process of authorizing timber sales takes time, regions and units are
given preliminary timber targets years in advance so they can begin developing projects to fulfill
specific volumes. “Any shortfall[s]” in satisfying timber targets based on the projections are then
“addressed as annual targets are set.” U.S. Forest Serv., Summary of Five Year Availability of
Regional Projects (May 17, 2018). In other words, if the final timber target is higher than what
the agency planned for, it has to make up the difference by offering more timber for sale than it
had planned.
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187. This planning process forces the agency to design timber sales to achieve a
188. For example, internal Forest Service documents show that the National Forests in
North Carolina unit is relying on a specific timber volume from the “GAP Project” to achieve
timber targets in fiscal years 2025–2027. U.S. Forest Serv., Nat’l Forests in N.C., Pisgah Zone
Five Year Timber Sale Plan (2023). The GAP Project is still in the early stages of development.
Plaintiff MountainTrue has been heavily involved in project development and advocated that the
Forest Service avoid logging certain areas to protect sensitive resources. It is more difficult for
the agency to respond positively to those requests by abandoning preliminary plans to log a
specific area because the agency is already depending on harvesting a specific volume as part of
that project at a specific time. The agency has not disclosed as part of GAP Project development
that it is depending on timber volume from the project to satisfy timber targets.
189. As explained above, the Department of Agriculture and the Forest Service make
no effort to comply with NEPA when setting national, regional, and unit-specific timber targets.
When working to fulfill those targets, the Forest Service attempts to comply with NEPA only
190. Carbon emissions and changes to carbon storage are reasonably foreseeable
191. However, when the Forest Service prepares an EA or EIS for a specific project, it
consistently declines to consider aggregate carbon impacts and instead weighs project-level
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192. When the Forest Service authorizes projects using a CE, it frequently does not
analyze carbon impacts at all. Nor does the agency generally consider the aggregate effects of its
193. Multiple CE projects have been or are currently being implemented, in part, to
meet timber targets for fiscal years 2019–2024 with no analysis of the carbon effects from the
project.
194. At no point did the Forest Service consider under NEPA the combined carbon
effects of the numerous projects authorized to fulfill for fiscal years 2019–2024: (1) its national
timber target, (2) the timber targets for Regions 8 and 9, or (3) unit-specific timber targets,
including for the Francis Marion–Sumter, National Forests in North Carolina, or Mark Twain
units.
195. The Forest Service’s consistent failure to analyze the carbon impacts of its
projects in the aggregate is illustrated by three recent projects: the Sumter National Forest’s
White Pine Management Project, Nantahala National Forest’s Buck Project, and Mark Twain
196. The White Pine Management Project involves 1,952 acres of commercial
unit (South Carolina) in Forest Service Region 8. Regeneration harvest is similar to clearcutting
because it involves clearing most of the trees from a specific area. The project will fragment
forest habitat, result in widespread herbicide application, and increase sediment loading in local
waterways. The Forest Service approved the White Pine Management Project in June 2021, after
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conducting an EA that determined the project would not have a significant impact on the
197. During project design, Forest Service staff requested an exemption from 36 C.F.R.
§ 219.11(d)(4). That provision states that forest openings from certain regeneration harvests
cannot exceed 40 contiguous acres. Id. Local conservation groups, including Chattooga
Conservancy, opposed this exemption but it was nonetheless granted, in part because the Sumter
National Forest’s “timber targets hinge on it.” Email from Janet Hinchee, Regional Silviculturist,
to Jose Castro, Region 8 Director of Forest and Timber Management (July 24, 2020).
198. The project EA disclosed that authorized logging “might temporarily contribute
an extremely small quantity of greenhouse gas (GHG) emissions relative to national and global
emissions.” White Pine Management Project EA at 25. The analysis concluded that “any carbon
initially emitted from the proposed action [would] have a temporary influence on atmospheric
GHG concentrations, because carbon would be removed from the atmosphere over time as the
forest regrows.” Id. The EA provided no information regarding the amount of time necessary to
“remove” from the atmosphere carbon that would be emitted through the timber harvest.
criticized the Forest Service’s dismissal of climate and carbon impacts. Chattooga Conservancy
Comments at 2. The comment letter also argued the EA failed to take a “hard look” at the
“potential cumulative impacts” of concurrent projects in the Andrew Pickens Ranger District of
the Sumter National Forest “that could be simultaneously [affecting] thousands of acres.” Id. at
7.
200. After the Forest Service declined to make substantive changes to the project,
Chattooga Conservancy filed a formal objection pursuant to the Forest Service’s pre-decisional
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administrative review process. See 36 C.F.R. § 218. That objection argued that the project EA
“eschews a contemporary landscape ecology perspective that would acknowledge and prioritize
acting upon the compelling need to address climate change.” Chattooga Conservancy Objection
at 3. Specifically, the objection argued the EA erred by comparing the project’s carbon emissions
“to the entire country or world, as a tactic to dismiss this critical issue.” Id. In addition, the
objection criticized the Forest Service’s EA for “discount[ing] any significant cumulative
201. In its response to objections, the Forest Service defended the EA’s climate-change
analysis by explaining it “consider[ed] the proposed action in the broader context of actions on
the Sumter National Forest,” and that regardless of the project, the Sumter National Forest would
continue to be a carbon sink—an area that sequesters more carbon than it emits—for “decades to
202. The Forest Service made no attempt to assess the carbon effects of the White Pine
203. The White Pine Management Project will be divided into separate timber sales.
The volume from those timber sales will contribute to the Francis Marion–Sumter National
Forest unit, Region 8, and nationwide timber targets for fiscal years 2021–2024. Upon
information and belief, the Forest Service also plans to offer timber sales from the White Pine
Management Project to satisfy timber targets in fiscal year 2025 and beyond.
204. Portions of the White Pine Management Project that were sold, or will be sold, to
satisfy timber targets for fiscal years 2021–2024 have not yet been implemented.
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Buck Project
205. The Buck Project involves approximately 800 acres of regeneration harvest on the
National Forests in North Carolina unit (specifically, the Nantahala National Forest) in Forest
Service Region 8. The authorized logging will fragment intact forests, introduce non-native
species, push roads into backcountry areas, cause stream sedimentation, harm rare species’
habitats, and destroy biologically complex older forests. The Forest Service approved the Buck
Project in May 2020 after preparing an EA that determined the project would not have a
206. The Final EA for this project limited its assessment of carbon effects to the
approximately 20,000-acre project analysis area designated by the Forest Service. Buck EA at
115. The EA acknowledges that the project would convert the harvested forest from a carbon
sink—sequestering more carbon than it emits—to a source of carbon emissions. Id. Ultimately,
however, the EA concludes that the “impacts of the action alternatives on global carbon
sequestration and atmospheric concentrations of CO2 are miniscule,” noting that they are
“imperceptibly small on global and national scales.” Id. at 116. Regarding cumulative effects, the
EA provides that “the carbon from this and past projects in the [20,000-acre] analysis area has a
minimal cumulative effect not only at the local level, but at the larger level” and that there “are
no ongoing projects within the analysis area that would appreciably contribute to climate
207. The Forest Service made no attempt to assess the carbon effects of the Buck
Project cumulatively with any other Forest Service project outside the Project’s limited analysis
area.
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objection to the Buck Project. That objection argued that “the EA’s assumptions about the carbon
sequestration benefits of the project are questionable and a matter of scientific controversy
related to addressing climate change.” Buck Objection at 51. More specifically, the objection
claimed that the “EA’s discussion reflects a lack of critical examination of the best available
science when it comes to carbon sequestration and the Buck Project and . . . casts serious doubt
on the adequacy of the agency’s analysis of climate change.” Id. at 51–52. The objection also
noted that there are “substantial scientific questions” regarding whether “logging old forests” in
fact improves “forest resiliency”—as the Forest Service asserted—and argued that the Forest
Service must consider this question in an EIS that considers “the cumulative impacts of such an
209. In its response to objections, the Forest Service failed to address MountainTrue’s
carbon sequestration and climate concerns. It also ignored the objection’s request to consider the
cumulative impacts of logging carbon-rich forests across the Nantahala National Forest (part of
210. The Buck Project will be divided into separate timber sales. The volume from
those timber sales has or will contribute to the National Forests in North Carolina unit, Region 8,
and nationwide timber targets for fiscal years 2020–2024. Upon information and belief, the
Forest Service also plans to offer timber sales from the Buck Project to satisfy timber targets in
211. Portions of the Buck Project that were sold, or will be sold, to satisfy timber
targets for fiscal years 2020–2024 have not yet been implemented.
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212. The Forest Health Initiative Project involves 45,885 acres of commercial timber
harvest in the Mark Twain National Forest unit (Missouri) in Forest Service Region 9. This
includes over 21,000 acres of salvage harvest (harvest of potentially damaged trees), nearly
10,000 acres of regeneration harvest, and more than 10,000 acres of commercial thinning. The
project will destroy biologically complex forest habitats, adversely affect rare species, alter forest
scenery, and result in increased sedimentation of streams, including the Eleven Point River,
which Plaintiff Debbie Kruzen visits. The Forest Service approved the Forest Health Initiative
Project in March 2018, after conducting an EA that determined the project would not have a
214. Ms. Kruzen submitted comments and filed a formal objection that noted this
failure. That objection also explained that NEPA required the Forest Service to “examine the
significant cumulative effects of greenhouse gas emissions . . . from logging before proceeding
215. In response, the agency added some discussion of climate change to an updated
FONSI. In that discussion, the Forest Service concluded the “short-term reduction in carbon
stocks and sequestration rates resulting from the proposed project are imperceptibly small on
global and national scales, as are the potential long-term benefits in terms of carbon storage.”
216. The agency further claimed that an assessment of carbon effects would be
“statistically nonviable at the project level” yet the agency made no attempt to assess the carbon
effects of its actions at higher levels of decision-making (such as when setting the Mark Twain
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unit-specific timber target). Id. The agency ultimately estimated that “any emissions from this
project in a given year are expected to be equivalent to less than one percent of the fossil fuel
217. The Forest Service made no attempt to assess the carbon effects of the Forest
Health Initiative Project cumulatively with any other Forest Service project.
218. The Forest Health Initiative Project will be divided into separate timber sales. The
volume from those timber sales will contribute to the Mark Twain National Forest unit, Region 9,
and nationwide timber targets for fiscal years 2019–2024. Upon information and belief, the
Forest Service also plans to offer timber sales from the Forest Health Initiative Project to satisfy
219. Portions of the Forest Health Initiative Project that were sold, or will be sold, to
satisfy timber targets for fiscal years 2019–2024 have not yet been implemented.
Count 1: The Department of Agriculture Violated NEPA and the APA by Failing to Account
for the Carbon Impacts of Its National Timber Targets
years 2019–2024 were major federal actions that require compliance with NEPA. 42 U.S.C.
§ 4332.
222. The Department of Agriculture’s promulgation of these targets were final agency
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224. These effects are significant, or, at the very least, uncertain. Therefore, the
225. Logging operations are yet to be completed for timber sales planned or executed,
226. Because the Department of Agriculture did not conduct a NEPA study of its
national timber targets, it violated the APA by acting “without observance of procedure required
by law.” 5 U.S.C. § 706(2)(D); see 42 U.S.C. § 4332; 40 C.F.R. §§ 1500–1508. Alternatively, the
Department of Agriculture’s continuing failure to conduct a NEPA study for its national targets
Count 2: The Forest Service Violated NEPA and the APA by Failing to Account for the
Carbon Impacts of Its Timber Targets for Regions 8 and 9
228. The Forest Service’s promulgation of regional timber targets in fiscal years 2019–
2024 for Regions 8 and 9 were major federal actions that require compliance with NEPA.
42 U.S.C. § 4332.
229. The Forest Service’s promulgation of these targets were final agency actions for
230. The Forest Service’s regional timber targets for Regions 8 and 9 have reasonably
231. These effects are significant, or, at the very least, uncertain. Therefore, the Forest
Service should have prepared an EIS or EA to assess the environmental impacts of its regional
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232. Logging operations are yet to be completed for timber sales planned or executed,
in part, to fulfill timber targets for fiscal years 2019–2024 for Regions 8 and 9.
233. Because the Forest Service did not conduct a NEPA study of its regional timber
targets for Regions 8 and 9, it violated the APA by acting “without observance of procedure
Alternatively, the Forest Service’s continuing failure to conduct a NEPA study for its Region 8
violation of the APA. 5 U.S.C. § 706(1); see 42 U.S.C. § 4332; 40 C.F.R. §§ 1500–1508.
Count 3: The Forest Service Violated NEPA and the APA by Failing to Account for the
Carbon Impacts of Its Unit-Specific Targets
for the Francis Marion–Sumter, National Forests in North Carolina, and Mark Twain units were
major federal actions that require compliance with NEPA. 42 U.S.C. § 4332.
236. The Forest Service’s promulgation of these targets were final agency actions for
237. The Forest Service’s timber targets for these units have reasonably foreseeable
238. These effects are significant, or, at the very least, uncertain. Therefore, the Forest
Service should have prepared an EIS or EA to assess the environmental impacts of its unit-
239. Logging operations are yet to be completed for timber sales planned or executed,
in part, to fulfill unit-specific timber targets for fiscal years 2019–2024 for the Francis Marion–
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240. Because the Forest Service did not conduct a NEPA study of its unit-specific
timber targets, it violated the APA by acting “without observance of procedure required by law.”
5 U.S.C. § 706(2)(D); see 42 U.S.C. § 4332; 40 C.F.R. §§ 1500–1508. Alternatively, the Forest
Service’s continuing failure to conduct a NEPA study for its unit-specific targets constitutes
“agency action unlawfully withheld or unreasonably delayed,” in violation of the APA. 5 U.S.C.
Count 4: The Forest Service’s Assessment of Carbon Impacts at the Project Level Violated
NEPA and the APA
242. The Forest Service’s White Pine Management Project, Buck Project, and Forest
Health Initiative Project violate the APA because they fail to adequately consider the direct,
243. The White Pine Management Project is an ongoing major federal action that
requires compliance with NEPA and its implementing regulations. 42 U.S.C. § 4332; 40 C.F.R.
§§ 1500–1508.
244. The Forest Service’s approval of the White Pine Management Project was a final
245. At the time the Forest Service issued its Decision Notice for the project, binding
NEPA regulations required the agency to consider the White Pine Management Project’s effects
246. This included “effects that occur at the same time and place as the proposed
action” as well as “effects that are later in time or farther removed in distance from the proposed
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247. The Forest Service’s EA, FONSI, and Decision Notice for the White Pine
Management Project are arbitrary, capricious, an abuse of discretion, and otherwise not in
accordance with law because they (1) fail to account for cumulative carbon impacts from other
similarly situated projects and (2) fail to take a “hard look” at the carbon effects of the project as
B) Buck Project
248. The Buck Project is an ongoing major federal action that requires compliance
with NEPA and its implementing regulations. 42 U.S.C. § 4332; 40 C.F.R. §§ 1500–1508.
249. The Forest Service’s approval of the Buck Project was a final agency action for
250. At the time the Forest Service issued its Decision Notice for the project, binding
NEPA regulations required the agency to consider the Buck Project’s direct, indirect, and
251. The Forest Service’s EA, FONSI, and Decision Notice for the Buck Project are
arbitrary, capricious, an abuse of discretion, and otherwise not in accordance with law because
they (1) fail to account for cumulative carbon impacts from other similarly situated projects and
(2) fail to take a “hard look” at the carbon effects of the project as required by NEPA. See
5 U.S.C. § 706.
252. The Forest Health Initiative Project is an ongoing major federal action that
requires compliance with NEPA and its implementing regulations. 42 U.S.C. § 4332; 40 C.F.R.
§§ 1500–1508.
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253. The Forest Service’s approval of the Forest Health Initiative Project was a final
254. At the time the Forest Service issued its Decision Notice for the project, binding
NEPA regulations required the agency to consider the Forest Health Initiative’s direct, indirect,
255. The Forest Service’s EA, FONSI, and Decision Notice for the Forest Health
Initiative Project are arbitrary, capricious, an abuse of discretion, and otherwise not in
accordance with law because they (1) fail to account for cumulative carbon impacts from other
similarly situated projects and (2) fail to take a “hard look” at the carbon effects of the project as
A. DECLARE that Defendants violated the National Environmental Policy Act and
Administrative Procedure Act in the respects set forth above when: (1) setting the national timber
target for fiscal years 2019–2024; (2) setting the Region 9 and Mark Twain unit timber targets for
fiscal years 2019–2024; (3) setting the Region 8 and National Forests in North Carolina unit
timbers target for fiscal years 2020–2024; (4) setting the Francis Marion–Sumter unit timber
target for fiscal years 2021–2024; and (5) approving the White Pine Management, Buck, and
B. ENJOIN Defendants from offering additional timber volume for sale to fulfill
their Region 8, Region 9, Francis Marion–Sumter unit, National Forests in North Carolina unit,
and Mark Twain unit timber targets for fiscal year 2024—excluding harvests demonstrated to be
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necessary to mitigate wildfire risks—until they have complied with the National Environmental
harvest portions of the White Pine Management, Buck, and Forest Health Initiative Projects until
they have complied with the National Environmental Policy Act and the Administrative
Procedure Act;
D. AWARD Plaintiffs their reasonable costs, fees, and expenses, including attorney’s
E. GRANT Plaintiffs such further and additional relief as the Court may deem just
and proper.
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