Killer Whale Killers
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1 United States District Court for The
1 Jeffrey S. Kerr (to be admitted pro hac vice) Matthew Strugar (State Bar No. 232951) Martina Bernstein (State Bar No. 230505) PETA Foundation 2 PETA Foundation 2898 Rowena Avenue 3 1536 16th Street NW Los Angeles, CA 90039 Washington, DC 20036 Tel: 323-739-2701 4 Tel: 202-483-2190 Fax: 202-540-2207 Fax: 202-540-2207 [email protected] 5 [email protected] 6 [email protected] 7 8 UNITED STATES DISTRICT COURT FOR THE 9 SOUTHERN DISTRICT OF CALIFORNIA 10 Tilikum, Katina, Corky, Kasatka, and Ulises, Case No.: 11-cv- five orcas, | 11 | Complaint for Declaratory 12 Plaintiffs, | and Injunctive Relief | 13 by their Next Friends, People for the Ethical Treatment of | 14 Animals, Inc., Richard “Ric” O’Barry, | Ingrid N. Visser, Ph.D., Howard Garrett, Samantha Berg, | 15 and Carol Ray, | | 16 v. | 17 | SeaWorld Parks & Entertainment, Inc. and SeaWorld, | 18 LLC, | | 19 Defendants. | 20 | 21 22 NATURE OF THE CASE 23 1. In this case of first impression, five wild-captured orcas named Tilikum, Katina, Corky, 24 Kasatka, and Ulises (collectively, the “Plaintiffs”), seek a declaration that they are held by the 25 Defendants in violation of Section One of the Thirteenth Amendment to the Constitution of the 26 United States, which prohibits slavery and involuntary servitude. Plaintiffs were forcibly taken 27 from their families and natural habitats, are held captive at SeaWorld San Diego and SeaWorld 28 Orlando, denied everything that is natural to them, subjected to artificial insemination or sperm COMPLAINT FOR INJUNCTIVE AND DECLARATORY RELIEF 1 1 collection to breed performers for Defendants’ shows, and forced to perform, all for Defendants’ 2 profit. -
Killer Controversy, Why Orcas Should No Longer Be Kept in Captivity
Killer Controversy Why orcas should no longer be kept in captivity ©Naomi Rose - HSI Prepared by Naomi A. Rose, Ph.D. Senior Scientist September 2011 The citation for this report should be as follows: Rose, N. A. 2011. Killer Controversy: Why Orcas Should No Longer Be Kept in Captivity. Humane Society International and The Humane Society of the United States, Washington, D.C. 16 pp. © 2011 Humane Society International and The Humane Society of the United States. All rights reserved. i Table of Contents Table of Contents ii Introduction 1 The Evidence 1 Longevity/survival rates/mortality 1 Age distribution 4 Causes of death 5 Dental health 5 Aberrant behavior 7 Human injuries and deaths 8 Conclusion 8 Ending the public display of orcas 9 What next? 10 Acknowledgments 11 ii iii Killer Controversy Why orcas should no longer be kept in captivity Introduction Since 1964, when a killer whale or orca (Orcinus orca) was first put on public display1, the image of this black-and-white marine icon has been rehabilitated from fearsome killer to cuddly sea panda. Once shot at by fishermen as a dangerous pest, the orca is now the star performer in theme park shows. But both these images are one-dimensional, a disservice to a species that may be second only to human beings when it comes to behavioral, linguistic, and ecological diversity and complexity. Orcas are intelligent and family-oriented. They are long-lived and self- aware. They are socially complex, with cultural traditions. They are the largest animal, and by far the largest predator, held in captivity. -
March 25, 2015, Complaint on Behalf of Holly Hall
Case 3:15-cv-00660-CAB-RBB Document 1 Filed 03/25/15 Page 1 of 84 1 STEVE W. BERMAN (pro hac vice pending) [email protected] 2 SHAYNE C. STEVENSON (pro hac vice pending) 3 [email protected] HAGENS BERMAN SOBOL SHAPIRO LLP 4 1918 Eighth Avenue, Suite 3300 Seattle, WA 98101 5 Telephone: (206) 623-7292 6 Facsimile: (206) 623-0594 7 ELAINE T. BYSZEWSKI (SBN 222304) [email protected] 8 HAGENS BERMAN SOBOL SHAPIRO LLP 301 N. Lake Avenue, Suite 203 9 Pasadena, CA 91101 10 Telephone: (213) 330-7150 Facsimile: (213) 330-7152 11 Attorneys for Plaintiff and the Proposed Classes 12 13 UNITED STATES DISTRICT COURT 14 SOUTHERN DISTRICT OF CALIFORNIA 15 16 HOLLY HALL, individually and on No. '15CV660 CAB RBB 17 behalf of herself and all others similarly situated, CLASS ACTION (FRCP 23) 18 19 Plaintiff, COMPLAINT 20 v. DEMAND FOR JURY TRIAL 21 SEAWORLD ENTERTAINMENT, 22 INC., 23 Defendant. 24 25 26 27 28 006222-13 758423 V1 Case 3:15-cv-00660-CAB-RBB Document 1 Filed 03/25/15 Page 2 of 84 1 TABLE OF CONTENTS 2 Page 3 I. OVERVIEW ....................................................................................................... 1 4 II. PARTIES ............................................................................................................ 4 5 III. JURISDICTION AND VENUE ......................................................................... 5 6 IV. FACTUAL ALLEGATIONS ............................................................................. 5 7 8 A. SeaWorld Markets an Enchanting Illusion of Captive Killer Whales .......................................................................................... -
Orca Behavior and Subsequent Aggression Associated with Oceanarium Confinement
WellBeing International WBI Studies Repository 8-18-2016 Orca Behavior and Subsequent Aggression Associated with Oceanarium Confinement Robert Anderson Robyn Waayers Palomar College Andrew Knight University of Winchester Follow this and additional works at: https://www.wellbeingintlstudiesrepository.org/themin Part of the Animal Studies Commons, Comparative Psychology Commons, and the Other Animal Sciences Commons Recommended Citation Anderson, R., Waayers, R., & Knight, A. (2016). Orca Behavior and Subsequent Aggression Associated with Oceanarium Confinement. Animals, 6(8), 49. This material is brought to you for free and open access by WellBeing International. It has been accepted for inclusion by an authorized administrator of the WBI Studies Repository. For more information, please contact [email protected]. animals Opinion Orca Behavior and Subsequent Aggression Associated with Oceanarium Confinement Robert Anderson 1, Robyn Waayers 2 and Andrew Knight 3,* 1 Retired, Space Dynamics Laboratory, Utah State University Research Foundation, Logan, UT 84341, USA; [email protected] 2 Palomar College, 1140 West Mission Road, San Marcos, CA 92069, USA; [email protected] 3 Centre for Animal Welfare, Faculty of Humanities and Social Sciences, University of Winchester, Sparkford Road, Winchester SO22 4NR, UK * Correspondence: [email protected]; Tel.: +44-019-6282-7266 Academic Editor: Clive J. C. Phillips Received: 5 April 2016; Accepted: 11 August 2016; Published: 18 August 2016 Simple Summary: Orca behaviors interacting with humans within apparent friendship bonds are reviewed, and some impediments to the human evaluation of delphinid intelligence are discussed. The subsequent involvement of these orcas and their offspring in aggressive incidents with humans is also documented and examined. -
Keto & Tilikum Express the Stress of Orca Captivity
Keto & Tilikum Express the Stress of Orca Captivity by John S. Jett Visiting Research Professor Stetson University [email protected] & Jeffrey M. Ventre Physician New Orleans, LA, USA [email protected] February 2011 Manuscript Submitted to The Orca Project Appendix A Compiled by John Kielty Appendix B Adapted by the Authors Keto & Tilikum Express the Stress of Orca Captivity The practice of keeping killer whales in captivity has proven to be detrimental to the health and safety of animals and trainers alike. On Christmas Eve, 2009, trainer Alexis Martinez was killed by a male captive bred orca named Keto, who was on loan from Sea World to a facility called Loro Parque, in the Canary Islands, Spain. Two months later, on 24 February 2010, trainer Dawn Brancheau was killed by Tilikum, an animal involved with two previous human fatalities. Medical Examiner (ME) reports described massive trauma to both Dawn and Alexis. Neither death was accidental. While orca captivity generates large profits for companies like Sea World (SW), life in a shallow concrete tank is greatly impoverished compared to the lives of their free-ranging counterparts. Trainer deaths, whale deaths, and numerous documented injuries to both trainers and whales provide evidence of several key issues related to killer whale captivity. Tilikum is representative of the many social and health issues plaguing captive orcas. Typically spending their entire lives within tight family groupings, orcas captured from the wild, including Tilikum, have been traumatically extracted from the security, comfort and mentoring which these groupings provide. Captured animals are confined to small, acoustically-dead, concrete enclosures where they must live in extremely close proximity to other whales with which they often share no ancestral, cultural or communication similarities. -
Political Discussion Group Packet January 2017
POLITICAL DISCUSSION GROUP PACKET JANUARY 2017 Wild Elephants Live Longer Than Their Zoo Counterparts Maryann Mott for National Geographic News December 11, 2008 Wild elephants in protected areas of Africa and Asia live more than twice as long as those in European zoos, a new study has found. Animal welfare advocates have long clashed with zoo officials over concerns about the physical and mental health of elephants in captivity. PHOTO: Elephant Shuns Jumbo Treadmill (May 19, 2006) More U.S. Zoos Closing Elephant Exhibits (March 2, 2006) VIDEO: Abused Elephants Saved (March 26, 2008) British and Canadian scientists who conducted the six-year study say their finding puts an end to that debate once and for all. "We're worried that the whole system basically doesn't work and improving it is essential," said lead author Georgia Mason, a zoologist at the University of Guelph in Canada. Obesity and stress are likely factors for the giant land mammals' early demise in captivity, she said. Until these problems are resolved, the authors are calling for a halt to importing wild elephants and breeding them in facilities unless an institution can guarantee long, healthy lives for its elephants. The study will be published tomorrow in the journal Science. (Related: "Zoo Life Shortens Elephant Lives in Europe, Study Says" [October 25, 2002].) Wild and Long-Lived Mason and colleagues looked at data from more than 4,500 wild and captive African and Asian elephants. The data include elephants in European zoos, which house about half of the world's captive elephants; protected populations in Amboseli National Park in Kenya; and the Myanma Timber Enterprise in Myanmar (Burma), a government-run logging operation where Asian elephants are put to work. -
Killer Controversy Why Orcas Should No Longer Be Kept in Captivity
Killer Controversy Why orcas should no longer be kept in captivity ©Naomi Rose Prepared by Naomi A. Rose, Ph.D. March 2014 The citation for this report should be as follows: Rose, N. A. 2014. Killer Controversy: Why Orcas Should No Longer Be Kept in Captivity. Animal Welfare Institute, Washington, D.C. 16 pp. © 2011 Humane Society International and The Humane Society of the United States. All rights reserved. © 2014 Animal Welfare Institute. All rights reserved. i Table of Contents Table of Contents ii Introduction 1 The Evidence 1 Longevity/survival rates/mortality 1 Age distribution 4 Causes of death 5 Dental health 5 Aberrant behavior 7 Human injuries and deaths 8 Conclusion 8 Ending the public display of orcas 9 What next? 10 Acknowledgments 11 ii iii Killer Controversy Why orcas should no longer be kept in captivity Introduction Since 1964, when a killer whale or orca (Orcinus orca) was first put on public display,1 the image of this black-and-white marine icon has been rehabilitated from fearsome killer to cuddly sea panda. Once shot at by fishermen as a dangerous pest, the orca is now the star performer in theme park shows. But both these images are one-dimensional, a disservice to a species that may be second only to human beings when it comes to behavioral, linguistic, and ecological diversity and complexity. Orcas are intelligent and family-oriented. They are long-lived and self- aware. They are socially complex, with cultural traditions. They are the largest animal, and by far the largest predator, held in captivity. -
Marine Mammals in Captivity
The Case Against MARINE MAMMALS IN CAPTIVITY ANIMAL WELFARE INSTITUTE + WORLD ANIMAL PROTECTION The Case Against MARINE MAMMALS IN CAPTIVITY Authors: Naomi A. Rose, Ph.D. and E.C.M. Parsons, Ph.D. Editor: Dave Tilford • Designer: Alexandra Alberg Prepared on behalf of the Animal Welfare Institute and World Animal Protection This report should be cited as: Rose, N.A. and Parsons, E.C.M. (2019). The Case Against Marine Mammals in Captivity, 5th edition (Washington, DC: Animal Welfare Institute and World Animal Protection), 160 pp. TABLE OF CONTENTS 2 List of Acronyms and Abbreviations 60 Chapter 8 • Cetacean Intelligence 3 Overview 65 Chapter 9 • Mortality and Birth Rates 66 Non-cetaceans 6 Introduction 67 Bottlenose Dolphins 68 Orcas 9 Chapter 1 • Education 70 Other Cetacean Species 70 Summary 14 Chapter 2 • The Conservation/ Research Fallacy 72 Chapter 10 • Human–Dolphin Interactions 16 Species Enhancement Programs 72 Dolphin-Assisted Therapy 18 Mixed Breeding and Hybrids 73 Swim-With-Dolphin Attractions 18 Captive Cetaceans and Culture 75 Petting Pools and Feeding Sessions 20 The Public Display Industry Double Standard 77 Chapter 11 • Risks to Human Health 22 Ethics and Captive Breeding 77 Diseases 22 Stranding Programs 78 Injury and Death 23 Research 83 Chapter 12 • The Blackfish Legacy 26 Chapter 3 • Live Captures 83 Blackfish 31 Bottlenose Dolphins 85 The Blackfish Effect 33 Orcas 87 The Legal and Legislative Impacts of 35 Belugas Blackfish 88 The End of Captive Orcas? 37 Chapter 4 • The Physical and Social Environment 89 Seaside Sanctuaries: -
Seaworld Captivity Argumentative Text
SeaWorld Argumentative Text Set SeaWorld tanks or sea pens? Dispute over which is best for orcas continues Source 1: Copyright: NEWSELA https://newsela.com/articles/seaworld-whales/id/13994/ For the killer whales at SeaWorld San Diego in California, there won't be a "Free Willy" happy ending. A documentary released in 2013 accuses the company of neglecting and abusing its killer whales, or orcas. The movie “Blackfish” angered animal welfare activists. They are demanding that the San Diego theme park free its 11 orcas. But marine biologists — including SeaWorld critics — agree that the orcas probably will never be released to the open seas. Even if the killer whales don’t spend the rest of their lives in the theme park, the closest they would get to freedom would be retirement in ocean coves. The coves would be separated from open water by netting. There, they would be fed and cared for by humans for the rest of their lives. Never Completely Freed “They are not good candidates for release to the wild," said Naomi Rose. She is a marine mammal scientist for the Animal Welfare Institute. No enclosed sea pens exist to hold all 11 killer whales. The cost of building such pens could reach $5 million each, Rose said. The cost of paying workers to care for the orcas could cost up to $500,000 a year for each pen. Although animal welfare groups have pushed the idea of moving SeaWorld’s orcas to sea pens, it may never happen. SeaWorld Entertainment Inc., which owns several SeaWorld parks in the U.S., has rejected the idea of giving up its killer whales. -
Killer Whale Killers
Tourism in Marine Environments, Vol. 8, No. 3, pp. 153–160 1544-273X/12 $60.00 + .00 Printed in the USA. All rights reserved. DOI: http://dx.doi.org/10.3727/154427312X13491835451494 Copyright © 2012 Cognizant Comm. Corp. E-ISSN 2169-0197 www.cognizantcommunication.com COMMENTARY KILLER WHALE KILLERS E. C. M. PARSONS*† *Department of Environmental Science and Policy, George Mason University, Fairfax, Virginia, USA †University Marine Biological Station Millport (University of London), Isle of Cumbrae, Glasgow, UK In February 2010, a SeaWorld trainer was killed by a killer whale (Orcinus orca). The particular killer whale involved has been involved in three of the four human deaths attributed to killer whales in captivity. A second trainer had been killed just 9 weeks earlier by a SeaWorld killer whale on loan to a facility in the Canary Islands. As a result of the most recent incident, the US Occupational Safety and Health Administration cited SeaWorld in August 2010 for a willful violation of the US Occupational Safety and Health Act, because of the potential and specific dangers the agency consid- ered killer whales to pose to trainers. SeaWorld appealed the citation, which went to court in September/November 2011. In addition, the controversy over holding killer whales in captivity led the US House of Representatives Subcommittee on Insular Affairs, Oceans and Wildlife to hold an oversight hearing in April 2010. Key words: Killer whale; Orcinus orca; Trainer deaths; SeaWorld; Congressional hearing; Occupational Safety and Health Administration (OSHA) Introduction with which Tilikum had been associated. On July 6 1999, 27-year-old Daniel Dukes was found dead, On February 24, 2010 at SeaWorld Florida, a draped over Tilikum’s back. -
'15Cv1022 Ksc
Case 3:15-cv-01022-AJB-KSC Document 1 Filed 05/07/15 Page 1 of 86 1 STEVE W. BERMAN (pro hac vice pending) [email protected] 2 SHAYNE C. STEVENSON (pro hac vice pending) 3 [email protected] ROBERT F. LOPEZ (pro hac vice pending) 4 [email protected] HAGENS BERMAN SOBOL SHAPIRO LLP 5 1918 Eighth Avenue, Suite 3300 6 Seattle, WA 98101 Telephone: (206) 623-7292 7 Facsimile: (206) 623-0594 8 ELAINE T. BYSZEWSKI (SBN 222304) [email protected] 9 HAGENS BERMAN SOBOL SHAPIRO LLP 10 301 N. Lake Avenue, Suite 203 Pasadena, CA 91101 11 Telephone: (213) 330-7150 Facsimile: (213) 330-7152 12 13 Attorneys for Plaintiffs and the Proposed Classes (Additional counsel listed on signature page) 14 15 UNITED STATES DISTRICT COURT 16 SOUTHERN DISTRICT OF CALIFORNIA 17 18 VALERIE SIMO, JOYCE KUHL, and No. '15CV1022 AJB KSC ELAINE BROWNE, individually and on 19 behalf of themselves and all others CLASS ACTION (FRCP 23) 20 similarly situated, COMPLAINT 21 Plaintiffs, 22 DEMAND FOR JURY TRIAL v. 23 24 SEAWORLD ENTERTAINMENT, INC., 25 26 Defendant. 27 28 006222-13 778665 V1 Case 3:15-cv-01022-AJB-KSC Document 1 Filed 05/07/15 Page 2 of 86 1 TABLE OF CONTENTS 2 Page 3 I. OVERVIEW ......................................................................................................... 1 4 II. PARTIES .............................................................................................................. 4 5 III. JURISDICTION AND VENUE ........................................................................... 5 6 IV. FACTUAL ALLEGATIONS ............................................................................... 5 7 A. SeaWorld Markets an Enchanting Illusion of Captive Killer Whales ........................................................................................................ 5 8 B. SeaWorld Represents Itself as the Whales’ Greatest Champion ............... 9 9 C. SeaWorld Claims to Provide Critical Orca Conservation 10 Research .................................................................................................. -
Killer Whale Killers
Tourism in Marine Environments, Vol. 8, No. 3, pp. 153–160 1544-273X/12 $60.00 + .00 Printed in the USA. All rights reserved. DOI: http://dx.doi.org/10.3727/154427312X13491835451494 Copyright © 2012 Cognizant Comm. Corp. E-ISSN 2169-0197 www.cognizantcommunication.com COMMENTARY KILLER WHALE KILLERS E. C. M. PARSONS*† *Department of Environmental Science and Policy, George Mason University, Fairfax, Virginia, USA †University Marine Biological Station Millport (University of London), Isle of Cumbrae, Glasgow, UK In February 2010, a SeaWorld trainer was killed by a killer whale (Orcinus orca). The particular killer whale involved has been involved in three of the four human deaths attributed to killer whales in captivity. A second trainer had been killed just 9 weeks earlier by a SeaWorld killer whale on loan to a facility in the Canary Islands. As a result of the most recent incident, the US Occupational Safety and Health Administration cited SeaWorld in August 2010 for a willful violation of the US Occupational Safety and Health Act, because of the potential and specific dangers the agency consid- ered killer whales to pose to trainers. SeaWorld appealed the citation, which went to court in September/November 2011. In addition, the controversy over holding killer whales in captivity led the US House of Representatives Subcommittee on Insular Affairs, Oceans and Wildlife to hold an oversight hearing in April 2010. Key words: Killer whale; Orcinus orca; Trainer deaths; SeaWorld; Congressional hearing; Occupational Safety and Health Administration (OSHA) Introduction with which Tilikum had been associated. On July 6 1999, 27-year-old Daniel Dukes was found dead, On February 24, 2010 at SeaWorld Florida, a draped over Tilikum’s back.