The San Carlos Irrigation and Drainage District (District) appeals the United States Claims Court’s judgment granting the government’s summary judgment motion and dismissing the complaint.
See San Carlos Irrigation & Drainage Dist. v. United States,
BACKGROUND
In 1924, Congress authorized construction of the Coolidge Dam across the Gila River as part of the San Carlos Irrigation Project (Project). Act of June 7, 1924, ch. 288, 43 Stat. 475. The stated purposes of the Act were to “provid[e] water for the irrigation of lands allotted to Pima Indiаns on the Gila River Reservation, Arizona,” and to “irrigat[e] such other lands in public or private ownership, as in the opinion of the [Secretary of the Interior] can be served ... without diminishing the supply necessary for said Indian lands.” Id. at 475. The total cost of the Project was to be distributed equally per acre among the Indian lands and the public or private lands served by the Project. Id. The Act authorized the Secretary to enter into a construction repayment contract with a district embracing the publicly-owned or privately-owned lands. Id. at 476. Four years later, Congress supplemented the Act to authorize the Secretary of the Interior (Secretary) to develop electrical power at the Coolidge Dam, to recoup power plant construction costs under a repayment cоntract, to sell the dam’s surplus power, and to apply the net revenues to reimburse the government for power plant construction, irrigation project construction, and operation and maintenance of the irrigation project, in that order. Act of March 7, 1928, ch. 137, 45 Stat. 200, 210-11.
The non-Indian landowners organized the District to represent them in dealings with the Secretary. On June 8, 1931, the District entered into a repayment contract with the government (Repayment Contract). The Repayment Contract defined the Project Works as including, inter alia, the Coolidge Dam, the San Carlos Reservoir, and everything pertаining thereto, including the power plant and electrical transmission lines. The government agreed to continue to maintain all of the Project Works, and the District agreed to pay annually five perсent of the Project’s construction costs and all operating and maintenance costs. The Repayment Contract was subsequently supplemented to set the amount of annual repayment оn a sliding scale according to the amount of water in the reservoir. After the dam’s completion in 1931, the government through the Bureau of Indian Affairs assumed exclusive control and management of the Projеct Works’ operation and maintenance.
Subsequently, the Secretary executed a Joint Works Order defining the Joint Works to include the Coolidge Dam, San Carlos Reservoir and electrical powеr generating, transmission and distribution system, and continuing the government’s responsibility of operating and maintaining those structures. The Order gave the District responsibility for operating and maintaining the segments of the Project Works serving the District lands exclusively.
On October 1,1983, a storm caused large inflows of water into the San Carlos Reservoir. The reservoir began to spill over the spillway crest two days later. The electrical switchyard located between the dam and the powerhouse began to settle, causing the soil to cave in and result in damage to the switchyard’s electrical equipment. The dam was shut down and evacuated,
The District filed suit for breach of its contracts and agreements with the government. The District sought, inter alia, specific damages for one-half of the irrigation water lost and one-half of the еlectrical energy lost as a result of the dam’s inoper-ability. The government moved for summary judgment arguing, inter alia, that the Repayment Contract does not give rise to a contractual duty to operate and maintain the spillway gates in order to benefit the District. The Claims Court found that the government “expressly agreed ... to operate and maintain the project,”
San Carlos,
ISSUES *
1. Whether the Claims Court erred in granting summary judgment.
2. Whether the District’s claim sounds in tort, thus precluding the Claims Court from exercising jurisdiction.
OPINION
I
To recover for breach of contract, a party must allege and establish: (1) a valid contract between the parties, (2) аn obligation or duty arising out of the contract, (3) a breach of that duty, and (4) damages caused by the breach.
See Giroir v. MBank Dallas, N.A.,
The Claims Court concluded that the Repayment Contract could not be interpreted to show that the damages for lost water and lost electricity sought by the District were within the рarties’ contemplation.
San Carlos,
Whether a contract creates a duty is a legal question of contract interpretation
We construe that general duty as including within it the specific duties to operate and maintаin the spillways and the electrical generation system. The government agreed to continue to maintain all of the Project Works. Moreover, the Repayment Contract expressly provides thаt the government will have exclusive control over the Project Works until Congress dictates otherwise. The Joint Works Order did not alter that duty with respect to the newly-defined Joint Works. The plain language of the Repayment Contract convinces us that the government contracted to keep the entire Joint Works, including the spillways and electrical generation system, in a state of repair and to safeguard against their failure.
See George Hyman,
II
The Clаims Court alternatively based its decision on the ground that the claim alleged by the District sounds in tort, explaining that the Tucker Act specifically precludes the Claims Court from exercising jurisdiction over claims sоunding in tort.
See
28 U.S.C. § 1491(a)(1) (1982). Interpreting the District’s claim as asserting negligent maintenance of the spillways and the power plant, the Claims Court held that it was not the proper forum to hear the claim.
San Carlos,
An action arising “primаrily from a contractual undertaking,” however, may be maintained in the Claims Court “regardless of the fact that the loss resulted from the negligent manner in which defendant performed its contract.”
H.F. Allen Orchards v. United States,
CONCLUSION
The summary judgment must be revеrsed because it was based on an erroneous interpretation of the Repayment Contract. The questions of breach, causation
COSTS
Each party is to bear its own costs.
REVERSED and REMANDED.
Notes
The government argues that the District’s claim is barred by the statute of limitations. Because the Claims Court has not yet considered that question,
San Carlos,
