Chemehuevi Indian Tribe v. Jewell

by
The Tribe filed suit alleging that the Secretary, acting through the BIA, violated the Administrative Procedure Act (APA), 5 U.S.C. 702, 706, by determining that the Secretary was not authorized to approve the Tribe's assignments of land to certain of its members. The district court granted summary judgment to the Secretary. At issue are the interpretation of two federal statutes: 25 U.S.C. 81 and 25 U.S.C. 77. Section 177 acknowledges and guarantees the Indian tribes' right of possession and imposes on the federal government a fiduciary duty to protect the lands covered by the Indian Nonintercourse Act. Section 81 provides that Indian tribes enjoyed the right to possess and occupy lands but not alienate these lands without the federal government's approval. The court concluded that Congressional intent is clear. Section 177 prohibits the grant, lease, or conveyance of lands, or any title thereto from an Indian tribe unless approved by Congress. In this case, Congress has not approved the transactions at issue. Thus, the Secretary properly denied approval of the deeds under Section 81 where such conveyances would violate federal law. The court concluded that the Fifth Circuit's decision in Tonkawa Tribe of Oklahoma v. Richards was not binding. The plain language of Section 81 does not support the Tribe's reading that the deeds may nevertheless be approved by the Secretary under Section 81. Accordingly, the court affirmed the judgment of the district court.View "Chemehuevi Indian Tribe v. Jewell" on Justia Law