Thirty-one courageous members of Congress, led by Rep. Dennis Kucinich
(D-OH), are challenging the president's unilateral withdrawal from the
Anti-Ballistic Missile (ABM) Treaty. These representatives deserve our
appreciation for taking action to prevent Mr. Bush from trampling on the
Constitution in his continuing effort to undermine international law and
expand US military domination.
This is a critical challenge to the abuse of presidential authority. A lot
is riding on it. If the president can unilaterally void our laws, which ones will
be the next to go? Perhaps the first and fourth amendments? If your congressional
representative is not one of the 31 parties to this lawsuit, he or she should
be asked why not and urged to join the lawsuit and support it in the Congress.
Not a single US Senator has had the courage to join this
lawsuit. Sen. Russell Feingold (D-WI) initially indicated his intention to
join the lawsuit, but then backed off when his request to receive pro bono
legal services was not approved by the Senate Ethics Committee. All US
Senators should also be urged to join in this challenge.
The ABM Treaty required a two-thirds vote of the Senate in 1972
for ratification to enter into force and to become US law. Now the 100
members of the Senate appear content to sit on the sidelines as the
president unilaterally nullifies the law they made.
Rep. Lynn Woolsey (D-CA), a plaintiff in the lawsuit, recently
wrote: "The ABM Treaty is the cornerstone of international arms
control. Now that more countries have nuclear weapons, international
treaties are even more important. International cooperation is the way to
peace and international security; not increased military build-up. Over
the past 30 years, the ABM Treaty has been a vital link to working with the
international community and it is more important than ever that we not turn
our back on it."
Meanwhile, at Fort Greely, Alaska, the Bush administration has
broken ground on six underground missile interceptor silos, is spending
more than $7 billion on missile defense this year, and continues to move
ahead with its plans to weaponize outer space in order to protect US
interests and investments throughout the world.
Meanwhile, the Russians have withdrawn their ratification of the
START II Treaty in response to the US withdrawal from the ABM Treaty. This
opens the door for the Russians to use multiple independently targeted
warheads (MIRVs) on their missiles.
Meanwhile, the leaders of India and Pakistan, following the
example of US leaders, act as though nuclear deterrence will prevent a
nuclear war between them as they confront each other over Kashmir.
Thank you, Representatives Kucinich and Woolsey and your
colleagues in this lawsuit for demonstrating unusual courage at a difficult
time.
David Krieger is president of the Nuclear Age Peace Foundation: www.wagingpeace.org.
UNITED STATES DISTRICT COURT
DISTRICT OF COLUMBIA
Civil Action No. 02-1137(JDB)
Representative DENNIS KUCINICH
1730 Longworth House Office Building
Washington, DC 20515-3510
Representative JAMES OBERSTAR
2365 Rayburn House Office Building
Washington, DC 20515-2308
Representative PATSY MINK
2210 Rayburn House Office Building
Washington, DC 20515-1102
Representative TAMMY BALDWIN
1022 Longworth House Office Building
Washington, DC 20515-4902
Representative PETER DEFAZIO
2134 Rayburn House Office Building
Washington, DC 20515-3704
Representative JOHN OLVER
1027 Longworth House Office Building
Washington, DC 20515-2101
Representative SAM FARR
1211 Longworth House Office Building
Washington, DC 20515-0517
Representative BARBARA LEE
426 Cannon House Office Building
Washington, DC 25015-0509
Representative MAURICE HINCHEY
2431 Longworth House Office Building
Washington, DC 20515-3226
Representative JOHN CONYERS
2426 Rayburn House Office Building
Washington, DC 20515-2214
Representative HILDA SOLIS
1641 Longworth House Office Building
Washington, DC 20515-0531
Representative JANICE SCHAKOWSKY
515 Cannon House Office Building
Washington, DC 20515-1309
Representative ALCEE HASTINGS
2235 Rayburn House Office Building
Washington, DC 20515-0923
Representative FORTNEY STARK
239 Cannon House Office Building
Washington, DC 20515-0513
Representative BERNARD SANDERS
2135 Rayburn House Office Building
Washington, DC 20515-4501
Representative EARL HILLIARD
1314 Longworth House Office Building
Washington, DC 20515-0107
Representative CAROLYN KILPATRICK
1610 Longworth House Office Building
Washington, DC 20515-2215
Representative LANE EVANS
2211 Rayburn House Office Building
Washington, DC 20515-1317
Representative JIM MCDERMOTT
1035 Longworth House Office Building
Washington, DC 20515-4707
Representative BOB FILNER
2463 Rayburn House Office Building
Washington, DC 20515-0550
Representative CYNTHIA MCKINNEY
124 Cannon House Office Building
Washington, DC 20515-1004
Representative GEORGE MILLER
2205 Rayburn House Office Building
Washington, DC 20515-0507
Representative LYNN WOOLSEY
2263 Rayburn House Office Building
Washington, DC 20515-0506
Representative WILLIAM LACY CLAY
415 Cannon House Office Building
Washington, DC 20515-2501
Representative EDOLPHUS TOWNS
2232 Rayburn House Office Building
Washington, DC 20515-3210
Representative MAXINE WATERS
2344 Rayburn House Office Building
Washington, DC 20515-0535
Representative JESSE JACKSON, JR.
313 Cannon House Office Building
Washington, DC 20515-1302
Representative GREGORY MEEKS
1710 Longworth House Office Building
Washington, DC 20515-3206
Representative MARCY KAPTUR
2366 Rayburn House Office Building
Washington, DC 20515-3509
Representative JERROLD NADLER
2334 Rayburn House Office Building
Washington, DC 20515-3208
Representative STEPHANIE TUBBS JONES
1516 Longworth House Office Building
Washington, DC 20515-3511
Plaintiffs,
v.
GEORGE W. BUSH, President of the United States
The White House
1600 Pennsylvania Avenue, NW
Washington, DC 20500
COLIN POWELL, Secretary of State
Department of State
2201 C Street, NW
Washington, DC 20520
DONALD H. RUMSFELD, Secretary of Defense
1000 Defense Pentagon
Washington, DC 20301
Defendants.
COMPLAINT FOR DECLARATORY RELIEF
PRELIMINARY STATEMENT
1. In this action 31 Members of Congress seek a declaratory judgment that
the President's proposed termination of the Treaty on the Limitation of
Anti-Ballistic Missile Systems ("the ABM Treaty") is unconstitutional and
of no effect because of the President's failure to seek and obtain the
assent of Congress.
2. On May 26, 1972, the United States of America and the Union of Soviet
Socialist Republics signed the ABM Treaty. On August 3, 1972, the United
States Senate approved the treaty. The treaty entered into force on October
3, 1972.
3. The issue of the President's authority to terminate treaties
without the assent of a majority of both Houses of Congress or two thirds
of the Senate has never been decided by the courts. It is one of supreme
importance to the constitutional framework of this nation as well as the
treaty-based system of international law.
JURISDICTION AND VENUE
4. Jurisdiction lies under 28 U.S.C. §§ 1331, 1651, 2201-2202 in that
Plaintiffs' claims arise under the Constitution of the United States,
Article II, Section 2, Clause 2, Article II, Section 3 and Article VI,
Clause 2.
5. Venue is proper in this Court under 28 U.S.C. § 139(e) because the
Defendants are officers of the United States sued in their official
capacities with offices in Washington, District of Columbia.
PARTIES
6. Plaintiffs are the 31 Members of the United States House of
Representatives whose names appear in the caption of this Complaint.
Plaintiffs file this suit in their official capacities as members of the
United States Congress.
7. George W. Bush is President of the United States. He is sued
in his official capacity as President.
8. Colin Powell is Secretary of State of the United States. He
is sued in his official capacity as Secretary of State.
9. Donald H. Rumsfeld is Secretary of Defense of the United
States. He is sued in his official capacity as Secretary of Defense.
CONSTITUTIONAL FRAMEWORK
10. Under Article VI, Clause 2 of the Constitution, treaties
have the status of "supreme law of the land," equally with federal laws.
Article II, Section 3 requires the President to "take care that the laws be
faithfully executed."
11. Article II, Section 2, Clause 2 of the Constitution requires
the concurrence of "two thirds of the Senators present" for the making of a
treaty by the President, evidencing the Framers' intent that the making,
modifying and terminating of treaties be the joint prerogative of the
executive and legislative branches.
12. The Constitution is silent on the role of Congress in treaty
termination. However, under long-standing and well established practice
since the founding of the Republic, and arising from the fundamental
separation of powers and system of checks and balances imbued in the
Constitution from its very origin, the President has a duty to seek and
obtain the concurrence of two thirds of the Senate or a majority of both
Houses for the termination of a treaty. It is particularly incumbent upon
the President to discharge this duty with respect to treaties of great
importance, such as the ABM Treaty. The President has not done so in this case.
STANDING
13. Plaintiffs have sustained a grievous institutional injury by
being deprived of their constitutional right and duty to participate in
treaty termination.
14. Given the President's mistaken view of his authority to
engage in treaty termination on his own, Plaintiffs are completely without
any legislative remedy to rectify the President's proposed unlawful
termination of the ABM Treaty. There is no legislative action Congress
could take that would compel the President to submit the matter of treaty
termination to Congress for its consideration, or to nullify the notice of
withdrawal the President has given.
15. Nevertheless, Plaintiffs are confident that the President,
when faced with a judicial declaration of the unconstitutionality of his
act, will move swiftly to seek the Congressional approval required.
ABM TREATY BACKGROUND
16. The ABM Treaty prohibits, with certain minor exceptions, the
deployment of missile defenses to protect each party's national territory,
as well as the development, testing, or deployment of sea-, air-, space-,
or mobile land-based anti-ballistic missile systems or components.
17. The treaty's purpose is to prevent a nuclear arms race which
would vastly increase the likelihood of intentional or accidental nuclear
war, with such war's catastrophic consequences, and to create more
favorable conditions for limiting and reducing strategic nuclear arms.
18. By prohibiting space-based systems or components, the ABM
Treaty also acts as a barrier to development and deployment of space-based
weapons usable against satellites and air or ground targets, as well as
missiles.
19. The ABM Treaty is part of an interlocking framework of arms
control agreements. It was linked at its inception with the first Strategic
Arms Limitation Agreement (SALT), and served as a foundation for SALT II,
which was largely observed but never entered into force, as well as the
Intermediate Nuclear Forces Treaty removing US and Soviet missiles from
Europe, and the first Strategic Arms Reduction Treaty (START).
20. The Final Document of the 2000 Review Conference for the
Nuclear Non-proliferation Treaty, adopted without objection by all
participating states, including the United States, calls for "preserving
and strengthening the ABM Treaty as a cornerstone of strategic stability
and as a basis of further reductions of strategic offensive weapons."
21. Following the breakup of the Soviet Union, Russia, Belarus,
Kazakhstan and Ukraine, as successor states to the Soviet Union, became
parties to the ABM Treaty and have been so recognized by the United States.
22. President Bush, in the context of a new foreign policy
designed to release the United States from treaty obligations restricting
its freedom of action, decided to terminate the ABM Treaty. On December 13,
2001, he sent identical diplomatic notes to Russia, Belarus, Kazakhstan and
Ukraine, giving notice of the intended withdrawal of the United States from
the treaty pursuant to its Article XV, paragraph 2.
23. The ABM Treaty is "of unlimited duration," but Article XV,
paragraph 2 gives each party the right to withdraw from the treaty on six
months notice "if it decides that extraordinary events related to the
subject matter of this Treaty have jeopardized its supreme interests."
24. Several Members of Congress have strongly criticized the
wisdom of terminating the ABM Treaty. Some have questioned whether the
criterion for withdrawal contained in Article XV, paragraph 2, has been
met. However, neither a majority of both Houses of Congress nor two thirds
of the Senate have assented to the termination of the ABM Treaty, nor have
they been requested to do so by the President.
25. On June 6, 2002, lead Plaintiff, Representative Dennis
Kucinich, offered a resolution "concerning the Privileges of the House,"
which stated, inter alia, "Whereas, the President does not have the
authority to repeal laws," and concluded, "Therefore, be it resolved, That
the President should respect the Constitutional role of Congress and seek
the approval of Congress for the withdrawal of the United States of America
from the Anti-Ballistic Missile Treaty." After debate, the Chair sustained
a point of order that the resolution does not constitute a point of
privilege. Representative Kucinich appealed the ruling, and a motion to
table the appeal was agreed to by a recorded vote of 254 yeas and 169 nays.
The resolution therefore was not considered on the merits contrary to the
wishes of 169 Members of the House.
26. On June 10, 2002, on the floor of the Senate, Senator
Russell Feingold sought unanimous consent to offer a resolution regarding
the termination of the ABM Treaty. The resolution stated, inter alia, that
"it is the sense of the Senate that approval of the United States Senate is
required to terminate any treaty between the United States and another
nation" and that "the Senate does not approve the withdrawal of the United
States from the 1972 Treaty Between the United States of America and the
Union of Soviet Socialist Republics on the Limitation of Anti-Ballistic
Missile Systems." An objection was made, and the resolution was not
considered by the Senate.
TREATY TERMINATION BACKGROUND
27. The first instance of treaty termination by the United
States was the Act of July 7, 1798, signed by President John Adams, by
which Congress declared "the treaties heretofore concluded with France no
longer obligatory on the United States." Since then, the vast majority of
treaties, and virtually all those of serious enduring significance, have
been terminated by some form of mutual cooperation between the President
and Congress.
28. The one salient exception was the termination of the Taiwan
Mutual Defense Treaty by President Carter acting alone in 1978. In that
instance, a sharply divided Supreme Court, lacking a clear majority
position, let stand the President's termination on a variety of
non-substantive grounds without reaching the fundamental issue of the
President's authority to terminate treaties without the assent of one or
both Houses of Congress. The President's position on the merits was that
the termination was a consequence of his decision to transfer recognition
from Taiwan to the People's Republic of China pursuant to the well
established and exclusive Presidential power of recognition under the
Constitution. That position was accepted by the only Supreme Court Justice
to reach the merits. No such power of the President is involved in the
termination of the ABM Treaty.
29. There is ample evidence that the Framers intended Congress
to have a role in the termination as well as the making of treaties.
FIRST CAUSE OF ACTION
30. The President's proposed termination of the ABM Treaty
without the assent of Congress violates Article II, Section 2, Clause 2 of
the Constitution and is inconsistent with two centuries of practice and
with the overall design of separation of powers and checks and balances of
the Constitution.
SECOND CAUSE OF ACTION
31. Since treaties have the status of laws, the President's
proposed termination of the ABM Treaty without the assent of Congress
violates Article II, Section 3 of the Constitution, which obliges the
President to take care that the laws be faithfully executed.
RELIEF
WHEREFORE, Plaintiffs pray that this Court enter an Order as follows:
(a) Declaring that the President's withdrawal from the ABM Treaty is
without force and effect until such time as the President has requested and
received the assent of a majority of both Houses of Congress or two thirds
of the Senate;
(b) Ordering that the Secretary of State, the Secretary of Defense and
their subordinate officers are enjoined from taking any action in violation
of the ABM Treaty until its termination has received the assent of a
majority of both Houses of Congress or two thirds of the Senate;
(c) Awarding Plaintiffs their costs and reasonable attorneys' fees
pursuant to 28 U.S.C. § 2412(a) and (d); and
(d) Granting such other and further relief as may be just and proper.
Respectfully submitted,
KLIMASKI & GRILL, P.C.
1400 K Street NW
Suite 1000
Washington, DC 20005
(202) 296-5600
By___________________________
James R. Klimaski
DC Bar No. 243543
PETER WEISS
JOHN BURROUGHS
Lawyers' Committee on Nuclear Policy
211 East 43d Street, Suite 1204
New York, NY 10017
(212) 818-1861
BRUCE ACKERMAN
Sterling Professor of Law and Political Science
Yale Law School
127 Wall Street
New Haven CT 06520
(203) 432-0065
JEREMY MANNING
1 Broadway
New York, NY 10004-1050
(212) 908-6222
JULES LOBEL
MICHAEL RATNER
Center for Constitutional Rights
666 Broadway
New York, NY 10012
(212) 614-6430
EDWARD A. AGUILAR
Philadelphia Lawyers Alliance for World Security
1617 John F. Kennedy Boulevard
Suite 11520
Philadelphia, PA 19103-1815
(215) 988-9808
MEMBERS OF CONGRESS WHO ARE PLAINTIFFS IN THE SUIT FILED BY REP. DENNIS KUCINICH ET AL. v. PRESIDENT GEORGE W. BUSH
RE: ABROGATION OF THE ABM TREATY
(with their local District office phone numbers)
Representative DENNIS KUCINICH
216-228-8850
1730 Longworth House Office Building
Washington, DC 20515-3510
Representative JAMES OBERSTAR
218-727-7474 (D-8-MN)
2365 Rayburn House Office Building
Washington, DC 20515-2308
Representative PATSY MINK
808-541-1986
2210 Rayburn House Office Building
Washington, DC 20515-1102
Representative TAMMY BALDWIN
608-258-9800
1022 Longworth House Office Building
Washington, DC 20515-4902
Representative PETER DEFAZIO
541-465-6732
2134 Rayburn House Office Building
Washington, DC 20515-3704
Representative JOHN OLVER
413-532-7010
1027 Longworth House Office Building
Washington, DC 20515-2101
Representative SAM FARR
831-429-1976
1211 Longworth House Office Building
Washington, DC 20515-0517
Representative BARBARA LEE
510-763-0370
426 Cannon House Office Building
Washington, DC 25015-0509
Representative MAURICE HINCHEY
607-273-1388
2431 Longworth House Office Building
Washington, DC 20515-3226
Representative JOHN CONYERS
313-961-5670 (D-14-MI)
2426 Rayburn House Office Building
Washington, DC 20515-2214
Representative HILDA SOLIS
626-448-1271 (D-31-CA)
1641 Longworth House Office Building
Washington, DC 20515-0531
Representative JANICE SCHAKOWSKY
773-508-7100
515 Cannon House Office Building
Washington, DC 20515-1309
Representative ALCEE HASTINGS
561-684-0565
2235 Rayburn House Office Building
Washington, DC 20515-0923
Representative FORTNEY STARK
510-494-1388
239 Cannon House Office Building
Washington, DC 20515-0513
Representative BERNARD SANDERS
802-862-0697
2135 Rayburn House Office Building
Washington, DC 20515-4501
Representative EARL HILLIARD
206-328-2841 (D-7-AL)
1314 Longworth House Office Building
Washington, DC 20515-0107
Representative CAROLYN KILPATRICK
313-965-9004 (D-15-MI)
1610 Longworth House Office Building
Washington, DC 20515-2215
Representative LANE EVANS
309-793-5766
2211 Rayburn House Office Building
Washington, DC 20515-1317
Representative JIM MCDERMOTT
206-553-7170
1035 Longworth House Office Building
Washington, DC 20515-4707
Representative BOB FILNER
619-422-5963
2463 Rayburn House Office Building
Washington, DC 20515-0550
Representative CYNTHIA MCKINNEY
404-377-6900
124 Cannon House Office Building
Washington, DC 20515-1004
Representative GEORGE MILLER
510-262-6500 (D-7-CA)
2205 Rayburn House Office Building
Washington, DC 20515-0507
Representative LYNN WOOLSEY
707-542-7182 (D-6-CA)
2263 Rayburn House Office Building
Washington, DC 20515-0506
Representative WILLIAM LACY CLAY
314-367-1970 (D-1-MO)
415 Cannon House Office Building
Washington, DC 20515-2501
Representative EDOLPHUS TOWNS
718-855-8018
2232 Rayburn House Office Building
Washington, DC 20515-3210
Representative MAXINE WATERS
323-757-8900 (D-35-CA)
2344 Rayburn House Office Building
Washington, DC 20515-0535
Representative JESSE JACKSON, JR.
773-238-2100
313 Cannon House Office Building
Washington, DC 20515-1302
Representative GREGORY MEEKS
718-738-4200 (D-6-NY)
1710 Longworth House Office Building
Washington, DC 20515-3206
Representative MARCY KAPTUR
419-259-7500 (D-9-OH)
2366 Rayburn House Office Building
Washington, DC 20515-3509
Representative JERROLD NADLER
212-334-3207
2334 Rayburn House Office Building
Washington, DC 20515-3208
Representative STEPHANIE TUBBS JONES
216-522-4900 (D-11-OH)
1516 Longworth House Office Building
Washington, DC 20515-3511
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