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__ _ _ _ iD: • PACE 3/30 <br />•^ • <br />Bu:Efer Zoae on Defendant DOE arranged tours. plaintiff's members <br />will also use the Buffer Zone once the area is open regularly to <br />the public. Sierra Club members hike, bird watch, observe <br />wildlife, and study native plants in the Buffer Zone. In <br />addition, in the public open space adjacent to the Buffer Zone, <br />Club members study wildlife that depends, in part, on the Buffer <br />Zone for survival. Sierra Club is also active in various <br />committees and working groups, such as the Rocky Flats Citizens <br />Advisory Board and a Future Site Use Working Group that have <br />debated and provided recommendations to Defendant DOE on the <br />future of the Rocky Flats Buffer Zone. The Sierra Club members <br />have: been, are being, and unless the relief prayed herein is <br />graz:ted, will be adversely affected by the failure of Defendants <br />to comply with the law and protect the natural resources within <br />the Rocky Flats' Buffer Zone. Sierra Club brings this action on <br />its own behalf and on behalf of its adversely affected members. <br />5. DefendanC UNITED STATES D&PARTMENT OF ENERGY is an <br />agency of the United States. It is responsible for maintaining <br />and aiuthorizing activities ac Rocky Plats. <br />6. Defendant PEDERICO F. PE2~A is the Secretary of Defendant <br />DOE. Defendant Pena is sued in his official capacity. Mr. PerSa <br />is ultimately responsible for decisions made by Defendant DOE <br />concerning the Rocky Flats facility and for activities in the <br />Buffer Zone_ <br />'I. Defendant UNITED STATES CORPS OP ENGINEERS is an agency <br />of thc> United States. It is responsible for issuing and denying <br />Sid A:nmded Complaim <br />3 <br />