Save the El Dorado Canal v. El Dorado Irrigation Dist.
Annotate this CaseAppellant Save the El Dorado Canal sought reversal of a judgment entered after the trial court denied its petition for writ of mandate. The petition challenged certification of an environmental impact report (EIR) and approval of a project under the California Environmental Quality Act (CEQA). The challenged project, the Upper Main Ditch piping project, was approved by the El Dorado Irrigation District and the El Dorado Irrigation District Board of Directors (collectively, respondents). On appeal, appellant contended respondents’ approval of the challenged project violated CEQA because: (1) the EIR failed to provide an adequate project description because it omitted “a crucial fact about the ditch the District proposes to ‘abandon,’ ” i.e., “the Main Ditch system is the only drainage system” for the watershed; and (2) the EIR failed to adequately analyze the impacts of abandonment to hydrology, biological resources, and risks associated with wildfires. The Court of Appeal affirmed, finding respondents did not abuse their discretion in approving the Blair Road alternative. The draft and final EIR’s adequately apprised respondents and the public about both the nature of the watershed and the fact that the District would no longer maintain the abandoned portion of the Upper Main Ditch. These environmental documents also adequately analyzed the Blair Road alternative’s impacts to hydrology, biological resources, and risks associated with wildfires.
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