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KERRI HUNTER OTTO, As next friend for Bailey Anne Marie Noble, Plaintiff-Appellee, v THE INN AT WATERVALE, INC., A domestic corporation, Defendant-Appellant. Heidi M. Hodek (P73966) Matthew T. Hanley (P76164) Ranieri Hanley & Hodek, PLC 4020 Copper View, Suite 225 Traverse City, MI 49684 (231) 486-6556 Attorneys for Plaintiff-Appellee STATE OF MICHIGAN IN THE SUPREME COURT Supreme Court Docket No. 155380 Court of Appeals No. 330214 Lower Court No. 14-009969-NO Peter D. Bosch (P35965) John Worsfold (P78107) Bosch Killman Vanderwal, PC 2900 E. Beltline Ave. NE Grand Rapids, MI 49525 (616) 364-2900 Attorneys for Defendant-Appellant Oday Salim (P80897) Great Lakes Environmental Law Center 4444 2nd Avenue Detroit, MI 48201 Attorneys for Movant, The Surfrider Foundation Scott W. Howard (P52028) Rebecca L. Millican (P80869) Olson, Bzdok, & Howard, P.C. 420 East Front Street Traverse City, MI 49686 (231) 946-0044 Attorneys for Amicus Curiae, Heart of the Lakes Center for Land Conservation Policy Motion By The Surfrider Foundation For Leave To File An Amicus Curiae Brief The Surfrider Foundation, through its attorneys Great Lakes Environmental Law Center, seeks leave to participate in this case as amicus curiae pursuant to MCR 7.311 and 7.312(H)(1). In support of this motion, the proposed amicus states as follows: 1. The Surfrider Foundation ( Surfrider ) is a grassroots non-profit 501(c)(3) tax exempt organization established in 1984 and headquartered in Orange County, California. The

main office is located at 942 Calle Negocio, Suite 350 in San Clemente, California, 92673. Pursuant to its mission, Surfrider is dedicated to the protection and enjoyment of the world s ocean, waves, and beaches throughout the United States, including here in Michigan. 2. The underlying suit involves the application of the Recreational Land Use Act ( RLUA ), MCL 324.73301. The trial court, recognizing that the protections of RLUA extend to any other outdoor recreational use, found that playing on the beach squarely fit within the RLUA. The Court of Appeals reversed, holding that playing on the beach is not a recreational use which landowners are shielded from liability under the statute. 3. This litigation could impact Surfrider s members by restricting public access to the waters and beaches of Lake Michigan for recreational enjoyment. This is because private landowners may close off their land to public access if they are going to be held liable for people recreating at the beach who may get injured exactly what the RLUA seeks to avoid. 4. Surfrider possesses a substantial interest in the outcome of this appeal for the following reasons: a. Surfrider has an exclusive focus on protecting and enjoying our ocean, beaches, and waves. This includes protecting and enjoying the lakeshores in the Great Lakes region. Protecting public beach access is one of Surfrider s five primary initiatives, and includes protection of beach access, including lakeshore access, to promote enjoyment of the beaches, lakes, and waters. b. Surfrider works with local, state, and national decision-making bodies to evaluate related beach and waterfront issues as they arise. Surfrider pursues litigation to ensure fair and full access to public waters. c. Surfrider has more than 250,000 supporters, activists, and members who live in the United States. To fulfil its mission across the United States, Surfrider has 79 local chapters and 60 school clubs. d. Surfrider works to protect the waters and beaches of the Great Lakes. There are four chapters in the Great Lakes region: the Chicago Chapter, the Milwaukee 2

Chapter, the Minnesota-Superior Chapter, and the Lake Michigan Chapter. These chapters dedicate their time to teaching residents and visitors how to be safe in the water by hosting free surf clinics, and teaching swimmers how to deal with heavy currents. They educate the public on relevant legislation, they host beach clean-ups along Lake Michigan, and they perform local water quality testing. These chapters have a significant interest in preserving access to lakes and lakeshores. e. Surfrider s Lake Michigan Chapter has an address of 541 Woodlawn Avenue, Grand Haven, MI 49417. The Lake Michigan Chapter is dedicated to protecting the Michigan portion of the Lake Michigan coast. The Chapter currently has 139 members and a Facebook page with 279 followers. f. Surfrider s members and supporters, including those from the Lake Michigan Chapter, regularly use and enjoy Lake Michigan and its beaches. They surf, swim, picnic, stand-up paddle, and relax on the lake and along the lakeshore. The Lake Michigan Chapter has performed beach cleanups in and around Grand Haven, assisted those facing criminal charges related to surfing, educated beachgoers about the risks of rip currents, conducted water quality testing where the Grand River discharges to Lake Michigan, and provided testimony in Lansing about proposed bills that might affect surfing near piers. g. Given all of the above, Surfrider, on behalf of its Lake Michigan Chapter, has a significant interest in ensuring that statutes like the RLUA do not apply in a way that would unduly limit beach access or reduce enjoyment of Lake Michigan and its lakeshore. In this matter, a ruling that would cause landowners to close their properties to recreational use by Surfrider s members and supporters would harm them and so would directly impact Surfrider s interests. 5. The foreseeable restriction on public beach access, should this court uphold the Court of Appeals decision, will in turn cause a significant decline in associated tourism, beach recreation, and revenue derived from waterfront recreation throughout Michigan. 3

6. It is within the discretion of a court to grant leave to file an amicus curiae brief, especially when a case involves a question that is crucial to public interest. Grand Rapids v Consumers Power Co, 216 Mich 409, 415; 185 NW 852 (1921) 7. If granted amicus status, Surfrider will make two valuable contributions to this matter. First, it will provide an evaluation of the legislative history of the RLUA. Second, it will provide relevant data on what is at stake in terms of the potential loss of recreational and economic benefits. 8. First, Surfrider will provide an evaluation of the legislative history of the RLUA and why that legislative history should inform a broad interpretation of the phrase outdoor recreational use. If a Michigan appellate court finds that statutory language is ambiguous, it can look to legislative history. Mayor of City of Lansing v Michigan Public Service Com n, 470 Mich 154, 165; 680 NW2d 840 (2004). 9. This Court has in the past looked to the legislative history of the RLUA to perform statutory interpretation. Wymer v Holmes, 429 Mich 66, 77-78; 412 NW2d 213 (1987), overruled on other grounds in Neal v Wilkes, 470 Mich 661; 685 NW2d 648 (2004). In a review of the filings to date, only the appellant has referenced legislative history in its brief, but there has been no in-depth analysis. See, Appellant s Brief On Appeal at 9 (Dkt Doc No 53) (dated November 17, 2017). The legislature has revised the relevant statutory language numerous times. Each revision has expanded the scope of activities covered. Compare 1948 CL 300.201 ( for the purpose of fishing, hunting or trapping ), 1953 PA 201 (no change), 1964 PA 199 ( for the purpose of fishing, hunting, trapping, camping, hiking, sightseeing or other similar outdoor recreational use ), 1970 CL 300.201 (no change), 1974 PA 177 ( for the purpose of fishing, hunting, trapping, camping, hiking, sightseeing, motorcycling, snowmobiling, or other outdoor recreational use ), 1979 CL 300.201 (no change), 1987 PA 110 (no change), and 1993 PA 26 ( for the purpose of fishing, hunting, trapping, camping, hiking, sightseeing, motorcycling, snowmobiling, or other outdoor recreational use or trail use ). In its brief, Surfrider will examine these revisions as well as information from the House & Senate Journals, the bill texts, and other 4

historical sources to explain why the scope of the phrase any other outdoor recreational uses should be interpreted as broadly as possible. 10. Second, the scope of any other outdoor recreational uses will impact private landowner decisions about whether to keep lakeshore areas closed or open to the public. That will have an impact on how many members of the public including Surfrider members and supporters have lakeshore access to recreate, where they will spend their money, which areas they will visit, etc. Surfrider will provide as much available recreation data pertaining to Lake Michigan as possible to communicate what is at stake. * * * WHEREFORE, pursuant to MCR 7.311 and 7.312(h)(1), Surfrider requests that this court grant them permission to file an amicus curiae brief. Respectfully submitted by, GREAT LAKES ENVIRONMENTAL LAW CENTER Oday Salim (P80897) Executive Director & Managing Attorney Great Lakes Environmental Law Center 4444 2nd Avenue Detroit, MI 48201 586-255-8857 oday.salim@glelc.org Attorneys for Movant, The Surfrider Foundation Date: December 20, 2017 5

Certificate Of Service I hereby certify that on December 20, 2017, I electronically filed the foregoing Motion By The Surfrider Foundation For Leave To File An Amicus Curiae Brief and this Certificate Of Service with the Clerk of the Court using the TrueFiling System, which will send notification to and serve all counsel registered electronically. By, GREAT LAKES ENVIRONMENTAL LAW CENTER Oday Salim (P80897) Executive Director & Managing Attorney Great Lakes Environmental Law Center 4444 2nd Avenue Detroit, MI 48201 586-255-8857 oday.salim@glelc.org Attorneys for Movant, The Surfrider Foundation