Justia Environmental Law Opinion Summaries

Articles Posted in Nebraska Supreme Court
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Appellees, record owners of surface property, brought an equitable action pursuant to Nebraska's dormant mineral statutes, claiming the property's severed mineral interests had been abandoned pursuant to Neb. Rev. Stat. 57-229 and seeking an order vesting title to all several mineral rights in them. The district court entered an order finding Appellants, the owners of the severed mineral rights, had abandoned the mineral interests under section 57-229 because for more than twenty-three years preceding the filing of the complaint, Appellants had not publicly exercised rights of ownership. The Supreme Court affirmed, holding that Nebraska's dormant mineral statutes were not applied retroactively to Appellants and the district court did not err in determining that those interests had been abandoned under the provisions of section 57-229.

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This case involved a constitutional challenge to an occupation tax levied pursuant to Neb. Rev. Stat. 2-3226.05. Appellant landowners, who were residents and taxpayers of natural resources districts in the Republican River basin, brought an action for declaratory and injunctive relief seeking to have the occupation tax declared unconstitutional and its levy and collection enjoined. The district court upheld the constitutionality of the occupation tax, determining that it did not violate the Nebraska Constitution as (1) the occupation tax was not a property tax but, rather, an excise tax levied upon the activity of irrigation; (2) the occupation tax did not result in a commutation of taxes; and (3) section 2-3226.05 was not special legislation. The Supreme Court affirmed, holding (1) the judgment in Garey v. Nebraska Department of Natural Resources did not bar this action under the doctrine of res judicata; and (2) the landowners did not meet their burden of establishing that the occupation tax was unconstitutional.

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An irrigation district (FCID) petitioned the Department of Natural Resources (DNR) to reevaluate a portion of the Republican River Basin according to the criteria in Neb. Rev. Stat. 46-713 and to determine whether the basin met the criteria to be considered "overappropriated" rather than "fully appropriated." If the status of the basin was changed to "overappropriated," the DNR could assert more authority over the basin. The DNR denied FCID's petition, finding the statute allowed the DNR to declare a river basin overappropriated only if it was subject to an interstate cooperative agreement. Because the basin was subject to an interstate compact, the DNR declared it did not have the authority to change the status as an interstate compact was not the equivalent of an interstate cooperative agreement. The FCID appealed. The DNR cross-appealed, alleging that FCID failed to demonstrate an injury in fact for standing purposes. The Supreme Court found the FCID failed to plead an injury in fact and therefore did not have standing. The Court dismissed the cause for lack of jurisdiction and did not reach the merits of the litigation.

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Appellants, four natural resources districts ("NRDs"), appealed the Department's 2009 order finding that in 2008, the basin was fully appropriated. Michael Jacobson, a landowner in the basin, cross-appealed. As a threshold matter, the supreme court found the NRDs had standing to challenge the Department's determination, but Jacobson lacked standing because he failed to allege actual or imminent harm. The court then reversed and vacated the Department's order, holding it to be arbitrary and invalid because (1) the Department failed to conform to its own regulations when it determined the basin was fully appropriated and failed to apply its methodologies in a consistent manner, resulting in a designation that was arbitrary and capricious; and (2) the Department failed to plainly describe its methodologies so that they could be replicated and assessed in compliance with Neb. Rev. Stat. 46-713(1)(d).