Endangered and Threatened Wildlife and Plants; Determination of Threatened Status for the Southwest Alaska Distinct Population Segment of the Northern Sea Otter (Enhydra lutris kenyoni), 46367-46386 [05-15718]
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Federal Register / Vol. 70, No. 152 / Tuesday, August 9, 2005 / Rules and Regulations
primarily forage in shallow water areas
less than 100 meters (m) (328 ft) in
depth, and the majority of all foraging
dives take place in waters less than 30
m (98 ft) in depth (Bodkin et al. 2004).
As water depth is generally correlated
with distance to shore, sea otters
typically inhabit waters within 1–2 km
(0.62–1.24 mi) of shore (Riedman and
Estes 1990). While sea otters can also be
found at greater distances from shore,
this typically occurs in areas of, or near,
shallow water. For example, a broad
shelf of shallow water extends several
miles from shore in Bristol Bay, along
the north side of the Alaska Peninsula.
Prior to the onset of the sea otter
population decline (described below),
large rafts of sea otters were commonly
observed above this shelf of shallow
water at distances as far as 40 km (25
mi) from shore (Schneider 1976).
Movement patterns of sea otters have
been influenced by the processes of
natural population recolonization and
the translocation of sea otters into
former habitat. While sea otters have
been known to make long distance
movements up to 350 km (217 mi) over
a relatively short period of time when
translocated to new or vacant habitat
(Ralls et al. 1992), the home ranges of
sea otters in established populations are
relatively small. Once a population has
become established and has reached
equilibrium density within the habitat,
movement of individual sea otters
appears to be largely dictated by
environmental and social factors,
including gender, breeding status, age,
climatic variables (e.g. weather, tidal
state, season), and human disturbance,
as described below.
Home range and movement patterns
of sea otters vary depending on the
gender and breeding status of the otter.
In the Aleutian Islands, breeding males
remain for all or part of the year within
the bounds of their breeding territory,
which constitutes a length of coastline
anywhere from 100 m (328 ft) to
approximately 1 km (0.62 mi). Sexually
mature females have home ranges of
approximately 8–16 km (5–10 mi),
which may include one or more male
territories. Male sea otters that do not
hold territories may move greater
distances between resting and foraging
areas than territorial males (Lensink
1962, Kenyon 1969, Riedman and Estes
1990, Estes and Tinker 1996).
Juvenile males (1–2 years of age) are
known to disperse later and for greater
distances, up to 120 km (75 mi), from
their natal (birth) area than 1-year-old
females, for which the greatest distance
traveled was 38 km (23.6 mi) (Garshelis
and Garshelis 1984, Monnett and
Rotterman 1988, Riedman and Estes
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1990). Intraspecific aggression between
breeding males and juvenile sea otters
may cause juvenile otters to move from
their natal areas to lower quality habitat
(Ralls et al. 1996), and survival of
juvenile sea otters, though highly
variable, is influenced by intraspecific
aggression and dispersal (Ballachey et
al. 2003).
Sea otter movements are also
influenced by local climatic conditions
such as storm events, prevailing winds,
and in some areas, tidal states. Sea
otters tend to move to protected or
sheltered waters (bays, inlets, or lees)
during storm events or high winds. In
calm weather conditions, sea otters may
be encountered further from shore
(Lensink 1962, Kenyon 1969). In the
Commander Islands, Russia, weather,
season, time of day, and human
disturbance have been cited as factors
that induce sea otter movement
(Barabash-Nikiforov 1947, BarabashNikiforov et al. 1968).
Due to their dependence on shallowwater feeding areas, most sea otters in
Alaska occur within State-owned
waters, which include the area from
mean high tide to 4.8 km (3 mi)
offshore, and any that go further
offshore are within the U.S. Exclusive
Economic Zone, which extends 370.4
km (200 nautical miles) seaward from
the coast of the United States.
While sea otters typically rest in the
water, they can also haul out and rest on
shore (Kenyon 1969). Female sea otters
typically give birth in the water,
however, they have also been observed
to give birth while on shore (BarabashNikiforov et al. 1968, Jameson 1983).
Although they typically haul out and
remain close to the water’s edge, sea
otters have been observed on land at
distances up to several hundred meters
from the water (Riedman and Estes
1990). The majority of coastal lands
within the range of the southwest
Alaska population of the northern sea
otter are part of the Service’s National
Wildlife Refuge (NWR) system,
including Alaska Maritime NWR,
Izembek NWR, Alaska Peninsula/
Becharof NWR, and Kodiak NWR. The
National Park Service also has large
parcels of coastal lands in southwest
Alaska, including Katmai National Park
and Aniakchak National Monument and
Preserve. The vast majority of remaining
coastal lands in southwest Alaska are
owned by the State of Alaska and
Alaska Native Corporations. Privately
owned lands constitute a very minor
proportion of coastal lands in southwest
Alaska.
Female sea otters in Alaska live an
estimated 15–20 years, while male
lifespan appears to be about 10–15 years
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46367
(Calkins and Schneider 1985). First-year
survival of sea otter pups is generally
substantially lower than that for prime
age (2–10 years old) animals (Monson
and DeGange 1995, Monson et al. 2000).
Male sea otters appear to reach sexual
maturity at 5–6 years of age (Schneider
1978, Garshelis 1983). The average age
of sexual maturity for female sea otters
is 3–4 years, but some appear to reach
sexual maturity as early as 2 years of
age. The presence of pups and fetuses at
different stages of development
throughout the year suggests that
reproduction occurs at all times of the
year. Most areas that have been studied
show evidence of one or more seasonal
peaks in pupping (Rotterman and
Simon-Jackson 1988).
Similar to other mustelids, sea otters
can have delayed implantation of the
blastocyst (developing embryo) (Sinha
et al. 1966). As a result, pregnancy can
have two phases: from fertilization to
implantation, and from implantation to
birth (Rotterman and Simon-Jackson
1988). The average time between
copulation and birth is 6–7 months.
Female sea otters typically will not mate
while accompanied by a pup (Lensink
1962; Kenyon 1969; Schneider 1978;
Garshelis et al. 1984). The interval
between pups is typically 1 year.
Estes (1990) estimated population
growth rates ranging from 17–20 percent
per year for four northern sea otter
populations expanding into unoccupied
habitat. While Bodkin et al. (1999) also
reported similar population growth
rates, they also note that population
growth rates in translocated populations
were significantly greater than for
remnant populations. After the initial
period of growth, populations typically
reach an equilibrium density, defined as
the average density, relatively stable
over time, that can be supported by the
habitat (Estes 1990).
Distribution and Status
Historically, sea otters occurred
throughout the coastal waters of the
north Pacific Ocean, from the northern
Japanese archipelago around the north
Pacific rim to central Baja California,
Mexico. The historic distribution of sea
otters is depicted in Figure 2 of the
Proposed Rule.
Prior to commercial exploitation, the
range-wide estimate for the species was
150,000–300,000 individuals (Kenyon
1969, Johnson 1982). Commercial
hunting of sea otters began shortly after
the Bering/Chirikof expedition to Alaska
in 1741. Over the next 170 years, sea
otters were hunted to the brink of
extinction first by Russian, and later by
American, fur hunters.
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Sea otters became protected from
commercial harvests under the
International Fur Seal Treaty of 1911,
when only 13 small remnant
populations were known to still exist
(Figure 2 in the Proposed Rule). The
entire species at that time may have
been reduced to only 1,000–2,000
animals. Two of the 13 remnant
populations (Queen Charlotte Island
and San Benito Islands) subsequently
became extinct (Kenyon 1969, Estes
1980). The remaining 11 populations
began to grow in number, and expanded
to recolonize much of the former range.
Six of the remnant populations (Rat
Islands, Delarof Islands, False Pass,
Sandman Reefs, Shumagin Islands, and
Kodiak Island) were located within the
bounds of what we now recognize as the
southwest Alaska population of the
northern sea otter (see Distinct
Vertebrate Population Segment). All 6 of
these remnant populations grew during
the first 50 years following protection
from further commercial hunting. At
several locations in the Aleutian
Islands, the rapid growth of sea otter
populations appears to have initially
exceeded the carrying capacity of the
local environment, as sea otter
abundance at these islands then
declined, either by starvation or
emigration, eventually reaching
equilibrium density (Kenyon 1969).
Population Trends of Sea Otters in
Southwest Alaska
The following discussion of
population trends is related to the
southwest Alaska distinct population
segment of sea otters addressed in this
final rule. The southwest Alaska
population ranges from Attu Island at
the western end of Near Islands in the
Aleutians, east to Kamishak Bay on the
western side of lower Cook Inlet, and
includes waters adjacent to the Aleutian
Islands, the Alaska Peninsula, the
Kodiak archipelago, and the Barren
Islands (see Figure 3 of the Proposed
Rule).
Survey methods vary in different
locations. In some parts of southwest
Alaska, sea otters have been counted
from boats or aircraft within a narrow
band of water adjacent to the shoreline;
in others, transects have been used to
sample an area, and the resulting sea
otter density is extrapolated to generate
a population estimate for the entire
study area. Like survey efforts of most
species, detection of all the individuals
present is not always possible. Sea
otters spend considerable time under
water, and it is not possible to detect
individuals that are below the surface at
the time a survey is conducted. Also,
observers do not always detect every
individual present on the surface. Only
a few surveys have been conducted
using methods that allow for calculation
of a correction factor to adjust for the
estimated proportion of otters not
detected by observers. One way to make
this adjustment requires an independent
estimate of the actual number of otters
present in an area, also known as
‘‘ground-truth,’’ combined with the
regular survey data in order to calculate
a correction factor to adjust for sea otters
not detected during the survey. Thus,
survey results can be of several types:
they can be direct counts or estimates,
either of which may be adjusted or
unadjusted for sea otters not detected by
observers. In areas where we compare
unadjusted sea otter counts or estimates,
we assume that there is no significant
difference between the proportion of
otters not detected by observers.
In the following discussion of
population trends, results are presented
separately for surveys conducted in the
Aleutian Islands, the Alaska Peninsula,
the Kodiak Archipelago, and Kamishak
Bay. For the Alaska Peninsula, results
are presented for various surveys that
have been conducted for north
Peninsula offshore areas, south
Peninsula offshore areas, south Alaska
Peninsula Islands, and the South Alaska
Peninsula shoreline. The general
locations of the survey areas are
depicted in Figure 4 A–D of the
Proposed Rule.
Unless otherwise specified, the survey
results are unadjusted for otters not
detected by observers. Within each
study area, recent surveys were
conducted using methods similar to
those used in the past, so that counts or
estimates would be as comparable as
possible with baseline information for
that area. Although there may be slight
differences in the time of year that
surveys were conducted, we do not
believe these timing differences hinder
comparisons of survey results because
otters are likely to remain in the same
general area, as they are not migratory.
A summary of sea otter survey data from
each survey area within the southwest
Alaska population is presented in Table
1, followed by a narrative description of
the results for each area.
TABLE 1.—SUMMARY OF SEA OTTER POPULATION SURVEYS IN SOUTHWEST ALASKA
[Estimates include 95 percent confidence intervals where available. Estimates for the Kodiak archipelago and Kamishak Bay are the only values
adjusted for sea otters not detected.]
Survey area
Year
Aleutian Islands ..............................................................................................
North Alaska Peninsula Offshore Areas .........................................................
South Alaska Peninsula Offshore Areas ........................................................
South Alaska Peninsula Islands .....................................................................
South Alaska Peninsula Shoreline .................................................................
Kodiak Archipelago .........................................................................................
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Count or estimate
Source
1965
1992
2000
1976
* 1986
9,700 .........................
8,048 .........................
2,442 .........................
11,681 .......................
6,474 ± 2,003 (JUN) ..
Kenyon (1969).
Evans et al. (1997).
Doroff et al. (2003).
9,215 ± 3,709 (AUG)
7,539 ± 2,103 (OCT)
Schneider (1976).
Brueggeman et al. (1988),
Burn and Doroff (2005).
2000
* 1986
4,728 ± 3,023 (MAY)
13,900 ± 6,456 (MAR)
14,042 ± 5,178 (JUN)
17,500 ± 5,768 (OCT)
1,005 ± 1,597 (APR)
2,195 .........................
2,122 .........................
1,589 .........................
405 ............................
2,632 .........................
2,651 .........................
13,526 ± 2,350 ..........
9,817 ± 5,169 ............
Burn and Doroff (2005).
Brueggeman et al. (1988),
Burn and Doroff (2005).
2001
1962
1986
1989
2001
1989
2001
1989
1994
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Burn and Doroff (2005).
Kenyon (1969).
Brueggeman et al. (1988).
DeGange et al. (1995).
Burn and Doroff (2005).
DeGange et al. (1995).
Burn and Doroff (2005).
DeGange et al. (1995).
Doroff et al. (in prep.).
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46369
TABLE 1.—SUMMARY OF SEA OTTER POPULATION SURVEYS IN SOUTHWEST ALASKA—Continued
[Estimates include 95 percent confidence intervals where available. Estimates for the Kodiak archipelago and Kamishak Bay are the only values
adjusted for sea otters not detected.]
Survey area
Year
Kamishak Bay .................................................................................................
2001
2004
2002
Count or estimate
5,893 ± 2,630 ............
6,284 ± 1,807 ............
6,918 ± 4,271 ............
Source
Doroff et al. (in prep.).
Doroff et al. (in prep.).
USGS in litt. (2002).
*Estimates recalculated by the Service (Burn and Doroff 2005) from original data of Brueggeman et al. (1988).
Aleutian Islands
The first systematic, large-scale
population surveys of sea otters in the
Aleutian Islands (Figure 4A of the
Proposed Rule) were conducted from
1957 to 1965 by Kenyon (1969). The
descendants of two remnant colonies
had expanded throughout the Rat,
Delarof, and western Andreanof Island
groups. The total unadjusted count for
the entire Aleutian archipelago during
the 1965 survey was 9,700 sea otters. In
1965, sea otters were believed to have
reached equilibrium densities
throughout roughly one-third of the
Aleutian archipelago, ranging from
Adak Island in the east to Buldir Island
in the west (Estes 1990). Islands in the
other two-thirds of the archipelago had
few sea otters, and researchers expected
additional population growth in the
Aleutians to occur through range
expansion.
From the mid-1960’s to the mid1980’s, otters expanded their range, and
presumably their numbers as well, until
they had recolonized all the major
island groups in the Aleutians.
Although the maximum size reached by
the sea otter population is unknown, a
habitat-based computer model estimates
that the population in the late-1980s
may have numbered approximately
74,000 individuals in the Aleutians
(Burn et al. 2003).
In a 1992 aerial survey of the entire
Aleutian archipelago, we counted a total
of 8,048 otters (Evans et al. 1997),
approximately 1,650 (19 percent) fewer
than the total reported for the 1965
survey. Although sea otters had
recolonized all major island groups,
they had unexpectedly declined in
number by roughly 50 percent in
portions of the western and central
Aleutians since 1965, based on a
comparison of the 1965 and 1992 survey
results. Sea otter surveys conducted
from skiffs during the mid-1990s also
indicated substantial declines at several
islands in the western and central
Aleutians (Estes et al. 1998). It was not
known at the time if these observed
declines were representative of the
entire Aleutian sea otter population or
merely a local phenomenon.
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In April 2000, we conducted another
complete aerial survey of the Aleutian
archipelago. We counted 2,442 sea
otters, which is a 70-percent decline
from the count 8 years previously
(Doroff et al. 2003). Along the more than
5,000 km (3,107 miles) of shoreline
surveyed, sea otter density was at a
uniformly low level, which clearly
indicated that sea otter abundance had
declined throughout the archipelago.
The aerial and skiff survey data both
indicate that the onset of the decline
began in the latter half of the 1980s or
early 1990s. Doroff et al. (2003)
calculated that the decline proceeded at
an average rate of -17.5 percent per year
in the Aleutians. Although otters
declined in all island groups within the
archipelago, the greatest declines were
observed in the Rat, Delarof, and
Andreanof Island groups. This result
was unexpected, as the remnant
colonies in these island groups were the
first to recover from the effects of
commercial harvest, and sea otters were
believed to have been at equilibrium
density at most of these islands in the
mid-1960s.
Doroff et al. (2003) used skiff-based
counts at six islands in the western and
central Aleutians as ground-truth data,
and calculated that aerial observers
detected roughly 28 percent of the sea
otters present. Adjusting for otters not
detected by observers, the estimated
population size in April 2000 was 8,742
sea otters. Additional skiff-based
surveys at these islands conducted in
the summer of 2003 indicated that the
sea otter population has declined by a
further 63 percent at an estimated
annual rate of 29 percent per year (Estes
et al. 2005). If the declines at these
islands are representative of the
Aleutian archipelago as a whole, the
entire population in this area may
number as few as 3,311 individuals.
In July 2004, we also conducted aerial
surveys of sea otters at several islands
in the eastern Aleutians using the same
methods as the 2000 survey. Due to
dense fog, we were only able to survey
223 km of the total shoreline (62
percent). In 2000 we counted 73 otters
within this surveyed area, but only 38
otters there in 2004; a decline of 48
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percent, at an estimated annual rate of
15 percent per year (USFWS in litt.).
These results indicate that similar to the
western and central Aleutians, the sea
otter decline has not abated in the
eastern Aleutians.
Alaska Peninsula
Three remnant colonies (at False Pass,
Sandman Reefs, and Shumagin Islands)
were believed to have existed near the
western end of the Alaska Peninsula
after commercial fur harvests ended in
1911 (Kenyon 1969). During surveys in
the late 1950s and early 1960s,
substantial numbers of sea otters were
observed between Unimak Island and
Amak Island (2,892 in 1965) on the
north side of the Peninsula, and around
Sanak Island and the Sandman reefs
(1,186 in 1962), and the Shumagin
Islands on the south side (1,352 in 1962)
(Kenyon 1969).
As summarized in Table 1 and
described below, surveys of sea otters
along the Alaska Peninsula have
covered four areas, with the same
method used in a given area. For the
north Alaska Peninsula offshore area
(Figure 4B of the Proposed Rule),
shoreline counts are not an appropriate
survey method due to the broad,
shallow shelf in Bristol Bay, a condition
under which sea otters occur further
from the shore than elsewhere.
Consequently, the north Alaska
Peninsula offshore area has been
surveyed from aircraft using north-south
transects extending from the shoreline
out over the shelf. Using this method,
Schneider (1976) calculated an
unadjusted population estimate of
11,681 sea otters on the north side of the
Alaska Peninsula in 1976, which he
believed to have been within the
carrying capacity for that area.
Brueggeman et al. (1988) conducted
replicate surveys of the same area
during three time periods in 1986. We
re-analyzed the original 1986 survey
data to address computational errors in
the survey report; our re-calculated
estimates range from 6,474–9,215 sea
otters for this area for the three surveys
in 1986 (Burn and Doroff 2005). In May
2000, we replicated the survey design of
Brueggeman et al. (1988) using identical
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survey methods. The 2000 survey
estimate of 4,728 sea otters indicates
abundance on the north side of the
Alaska Peninsula had fallen by 27–49
percent in comparison with the
minimum and maximum point
estimates of the 1986 survey (Burn and
Doroff 2005).
The largest aggregations of sea otters
in May 2000 were observed in Port
Moller. This concentration of sea otters
has been described as a seasonal
phenomenon, as surveys conducted
later in the summer have not recorded
similar numbers of sea otters (B.
Murphy, Alaska Department of Fish and
Game, in litt. 2002). To test this
assumption, we conducted sea otter
surveys in the Port Moller, Herendeen
Bay, and Nelson Lagoon areas in May
and July 2004 (USFWS in litt. 2004). Sea
otter abundance was high during both
survey periods, so it is not clear to what
degree there may be seasonal use of
these areas.
Offshore areas on the south side of the
Alaska Peninsula (Figure 4B of the
Proposed Rule) were surveyed at three
different time periods in 1986
(Brueggeman et al. 1988). Noting
computational errors in the survey
report, we re-analyzed the original 1986
survey data, resulting in estimates of
13,900–17,500 sea otters for the three
surveys conducted in 1986 (Burn and
Doroff 2005). We replicated the survey
in April 2001, when our estimate of
1,005 otters for the south Alaska
Peninsula offshore area indicated a
decline in abundance of at least 93
percent when compared with the
minimum and maximum point
estimates in this area from the 1986
surveys. Specific areas of high sea otter
concentrations in 1986, such as
Sandman Reefs, were almost devoid of
sea otters when surveyed in 2001 (Burn
and Doroff 2005).
Several island groups along the south
side of the Alaska Peninsula (Figure 4C
of the Proposed Rule; Pavlof and
Shumagin Islands, as well as Sanak,
Caton, and Deer Islands) are another
survey area. In 1962, Kenyon (1969)
counted 1,900 otters along these islands.
Twenty-four years later, in 1986,
Brueggeman et al. (1988) counted 2,122
otters in the same survey area. In 1989,
DeGange et al. (1995) counted 1,589
otters along the shorelines of the islands
that had been surveyed in 1962 and
1986, which was approximately 16–28
percent fewer sea otters than were
reported in the earlier counts. This
decrease was the first indication of a sea
otter population decline in the area of
the Alaska Peninsula. When we counted
sea otters in these island groups in 2001,
we recorded only 405 individuals (Burn
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and Doroff 2005), which is an 81percent decline from the 1986 count
reported by Brueggeman et al. (1988).
We conducted additional aerial surveys
at 13 of these islands in May and July
of 2004 using similar methods as in
2001. Sea otter counts at these islands
declined a further 33 percent from 268
to 179 in the past 3 years (USFWS in
litt. 2004). Similar to recent surveys in
the Aleutians, these results indicate that
the sea otter population decline in this
area has not abated.
The southern shoreline of the Alaska
Peninsula from False Pass to Cape
Douglas (Figure 4D of the Proposed
Rule) is another survey area. In 1989,
DeGange et al. (1995) counted 2,632 sea
otters along this stretch of shoreline. In
2001 we counted 2,651 sea otters (Burn
and Doroff 2005), nearly the same as the
1989 count. When we subdivided and
compared the results for the eastern and
western components of the survey areas,
we found that sea otter density along the
eastern end of the Peninsula, from Cape
Douglas to Castle Cape, increased
approximately 4 percent, from 1989 to
2001 (Burn and Doroff 2005). For the
western end of the Peninsula from False
Pass to Castle Cape, however, there was
evidence of a population decline, with
sea otter density falling by 35 percent
over the same time period. We also
counted 42 sea otters along the
shoreline of Unimak Island in 2001, but
there is no suitable baseline data for
comparison. Based on what is known
about sea otter movements and the
distance between the eastern and
western ends of the Peninsula, we
believe that it is unlikely that these
observations represent a change in
distribution. In May 2004 we conducted
an aerial survey of Sutwick Island and
counted only 23 sea otters along the
shoreline. In May 2001 we counted 73
otters in this area, which is further
evidence that the sea otter decline in
southwest Alaska has not abated
(USFWS in litt).
The results from the different survey
areas along the Alaska Peninsula
indicate various rates of change.
Overall, the combined counts for the
Peninsula have declined by 65–72
percent since the mid-1980s, based on
the data presented in Table 1.
We have calculated an estimate of the
sea otter population for the entire
Alaska Peninsula using the most recent
survey data, including an adjustment for
otters not detected by observers. In
making this calculation, we first revised
the combined total number of sea otters
observed during the most recent surveys
(8,789), to account for potential doublecounting in an area of overlap between
two of the study areas along the
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Peninsula. We then multiplied this
revised number of otters (8,328) by the
correction factor of 2.38 provided by
Evans et al. (1997) for the type of aircraft
used, to account for otters not detected
by observers. The result is an adjusted
estimate of 19,821 sea otters along the
Alaska Peninsula as of 2001.
Kodiak Archipelago
One of the remnant sea otter colonies
in southwest Alaska is thought to have
occurred at the northern end of the
Kodiak archipelago (Figure 4D of the
Proposed Rule), near Shuyak Island. In
1959, Kenyon (1969) counted 395 sea
otters in the Shuyak Island area. Over
the next 30 years, the sea otter
population in the Kodiak archipelago
grew in numbers, and its range
expanded southward around Afognak
and Kodiak Islands (Schneider 1976,
Simon-Jackson et al. 1984, SimonJackson et al. 1985). DeGange et al.
(1995) surveyed the Kodiak archipelago
in 1989 and calculated an adjusted
population estimate of 13,526 sea otters.
In July and August 1994, we conducted
an aerial survey using the methods of
Bodkin and Udevitz (1999) and
calculated an adjusted population
estimate of 9,817, approximately 27
percent lower than the estimate for 1989
(Doroff et al. in prep.). In June 2001, we
surveyed the Kodiak archipelago using
the same observer, pilot, and methods as
in 1994. The result was an adjusted
population estimate of 5,893 sea otters
for the archipelago in 2001 (Doroff et al.
prep.), which is a 40-percent decline in
comparison to the 1994 estimate and a
56-percent decline from the 1989
estimate.
In summer 2004 we surveyed the
Kodiak archipelago using the same
methods as in 1994 and 2001 and
estimated the current population size at
6,284 sea otters. While this represents a
slight increase since 2001, the estimates
are not significantly different from one
another (Z = 0.24, p = 0.81; Doroff et al.
in prep.). Although these results suggest
that, in contrast to the Aleutian
archipelago and Alaska Peninsula study
areas, the sea otter population in the
Kodiak archipelago likely has not
declined in the past several years; the
current estimate remains 36 percent
lower than in 1994, and 54 percent
lower than in 1989.
Kamishak Bay
Kamishak Bay is located on the west
side of lower Cook Inlet, north of Cape
Douglas (Figure 4D of the Proposed
Rule). In the summer of 2002, the U.S.
Geological Survey (USGS), Biological
Resources Discipline conducted an
aerial survey of lower Cook Inlet and the
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Kenai Fiords area. This survey was
designed, in part, to estimate sea otter
abundance in Kamishak Bay. The
method used was identical to that of the
2001 aerial survey of the Kodiak
archipelago, which includes a
correction factor for sea otters not
detected by the observer (Bodkin and
Udevitz 1999). Sea otters were relatively
abundant within Kamishak Bay during
the 2002 survey, with numerous large
rafts of sea otters observed. The adjusted
estimate for the current sea otter
population size in Kamishak Bay is
6,918 (USGS in litt. 2002). As no
previous estimates for Kamishak Bay
exist, the population trend for this area
is unknown.
Overall Comparison
The history of sea otters in southwest
Alaska is one of commercial
exploitation to near extinction (1742 to
1911), protection under the
International Fur Seal Treaty (1911),
and population recovery (post-1911). By
the mid-to late-1980s, sea otters in
southwest Alaska had grown in
numbers and recolonized much of their
former range. The surveys conducted in
various areas, described above, provide
information about the geographic extent
and magnitude of declines within those
areas. Due to differences in the years of
the various baseline surveys for
different areas (1962, 1965, 1976, 1989),
it is difficult to combine those surveys
as a basis for estimating the overall size
of the sea otter population throughout
southwest Alaska at the onset of the
decline. Therefore, as part of our effort
to evaluate information reflecting the
overall magnitude of the decline, we
also have considered information
provided by Calkins and Schneider
(1985), who summarized sea otter
population estimates worldwide based
on data collected through 1976. Much of
the information they present is from
unpublished Alaska Department of Fish
and Game survey results, and we
include this information as it is the only
comprehensive reference for estimating
the overall magnitude of the sea otter
decline in southwest Alaska.
Calkins and Schneider (1985)
provided estimates from survey data
collected as of 1976, adjusted for
animals not detected by observers, for
the Aleutian Islands (55,100–73,700),
north Alaska Peninsula (11,700–17,200),
south Alaska Peninsula (22,000–30,000)
and Kodiak archipelago (4,000–6,000).
They did not report a specific estimate
for the Kamishak Bay area, which
presumably was included within their
estimate for the Kenai Peninsula and
46371
Cook Inlet area (2,500–3,500 otters), and
we are assuming that half of the sea
otters estimated for Kenai Peninsula and
Cook Inlet occurred in Kamishak Bay
(1,250–1,750). Combining these
estimates, the sea otter population in the
area encompassing the range of the
southwest Alaska population was
believed to have numbered between
94,050–128,650 animals as of 1976. As
sea otters had not yet fully recolonized
southwest Alaska or reached
equilibrium density in all areas in 1976,
additional population growth was
expected. Therefore, the overall
population prior to the onset of the
decline in the 1980’s probably was
higher than the population estimate for
1976.
Our current estimate of the size of the
southwest Alaska population of the
northern sea otter, which includes the
2004 estimate for the Kodiak
archipelago, is 41,865 animals (Table 2).
This estimate is based on range-wide
survey information collected from
2000–2004, and is adjusted for animals
not detected. As recent site-specific
surveys indicate the decline has not
abated in the Aleutian archipelago and
south Alaska Peninsula study areas, it is
possible that the current population size
in 2004 is actually lower.
TABLE 2.—RECENT POPULATION ESTIMATES FOR THE SEA OTTER IN SOUTHWEST ALASKA
[Alaska Peninsula and Unimak Island counts are adjusted using a correction factor of 2.38 for twin-engine aircraft surveys of sea otters according
to Evans et al. (1997). Aleutian Islands, Kodiak Archipelago, and Kamishak Bay surveys are adjusted using survey-specific correction factors.]
Survey area
Unadjusted
count or estimate
Year
Adjusted
count or estimate
Aleutian Islands .........................................................................................
North Alaska Peninsula Offshore Areas ...................................................
South Alaska Peninsula Offshore Areas ..................................................
South Alaska Peninsula Shoreline ............................................................
South Alaska Peninsula Islands ...............................................................
Unimak Island ...........................................................................................
Kodiak Archipelago ...................................................................................
Kamishak Bay ...........................................................................................
2000
2000
2001
2001
2001
2001
2004
2002
2,442
4,728
1,005
a 2,190
405
42
....................
....................
8,742
11,253
2,392
5,212
964
100
6,284
6,918
Total ...................................................................................................
....................
....................
Reference
Doroff et al. (2003).
Burn and Doroff (2005).
Burn and Doroff (2005).
Burn and Doroff (2005).
Burn and Doroff (2005).
Burn and Doroff (2005).
Doroff et al. (in prep.).
USGS Unpublished data.
41,865
a Does
not include a count of 461 sea otters from False Pass to Seal Cape, which was also surveyed as part of the south Alaska Peninsula
Offshore Areas survey.
The 1976 population estimate based
on the work of Calkins and Schneider
(1985) is not directly comparable to our
current estimate because of somewhat
different survey approaches and
estimation techniques. Nevertheless, the
results provide a basis for at least a
rough comparison of the overall extent
of the decline of sea otters in southwest
Alaska. When compared to the estimate
of 94,050 to 128,650 from Calkins and
Schneider (1985), the current estimate
of approximately 41,865 sea otters is
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52,185 to 86,785 lower, which is 55 to
67 percent less than the estimate for
1976.
Translocated Sea Otter Populations
As part of efforts to re-establish sea
otters in portions of their historical
range, otters from Amchitka Island (part
of the Aleutian Islands) and Prince
William Sound were translocated to
other areas outside the range of what we
now recognize as the southwest Alaska
distinct population segment, but within
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the range of E. l. kenyoni (Jameson et al.
1982). These translocation efforts met
with varying degrees of success. From
1965 to 1969, 412 otters (89 percent
from Amchitka Island, and 11 percent
from Prince William Sound, which is in
southcentral Alaska, outside the range
of the southwest Alaska DPS) were
translocated to six sites in southeast
Alaska (Jameson et al. 1982). In the first
20 years following translocation, these
populations grew in numbers and
expanded their range (Pitcher 1989).
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The most recent survey of southeast
Alaska, conducted in the summers of
2002 and 2003, estimated the sea otter
population at just over 9,000
individuals (USGS in litt. 2003).
Comparing this survey with skiff survey
data from the late 1980s, it appears that
further range expansion and population
growth in southeast Alaska has not
occurred in the past decade.
Sea otters from Alaska also were
translocated to Washington, Oregon,
and British Columbia, Canada, between
1969 and 1972 (Jameson et al. 1982). Sea
otters translocated to British Columbia
were captured at Amchitka Island and
Prince William Sound; the otters
translocated to Washington and Oregon
were captured at Amchitka Island only.
The British Columbia and Washington
populations have grown in number and
expanded their range, while the Oregon
population disappeared. The most
recent estimates of population size are
743 in Washington and 2,000 in British
Columbia (Jameson and Jefferies 2004;
Watson et al. 1997). Although these
populations, as well as sea otters in
southeast Alaska, are at least in part
descended from sea otters at Amchitka
Island, they are geographically isolated
from the southwest Alaska population
and their parent population by
hundreds of kilometers (see Distinct
Vertebrate Population Segment) and are
not included in this proposed listing
action.
The total number of otters removed
from Amchitka as part of this
translocation program was just over 600
animals (Jameson et al. 1982). Estes
(1990) estimated that the sea otter
population at Amchitka Island remained
essentially stable at more than 5,000
otters between 1972 and 1986, and
consequently there is no evidence that
removals for the translocation program
were a contributing factor in the current
population decline.
Previous Federal Action
Based on the results of the April 2000
sea otter survey in the Aleutian Islands,
we added sea otters in the Aleutians to
our list of candidate species on August
22, 2000 (65 FR 67343). The Center for
Biological Diversity (Center) filed a
petition to list the Aleutian population
of the northern sea otter as endangered
on October 26, 2000. Although the
petition referred to it as the ‘‘Aleutian
population,’’ the verbal description of
the geographic extent corresponded to
the southwest Alaska DPS. On
November 14, 2000, we received a
Notice of Intent to sue from the Center
challenging our decision not to propose
to list sea otters in the Aleutians under
the Act. We responded to the Center
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that funds were not available during
Fiscal Year 2001 to prepare a proposed
listing rule.
On August 21, 2001, we received a
petition from the Center to designate the
Alaska stock of sea otters (State-wide) as
depleted under the Marine Mammal
Protection Act (MMPA; 16 U.S.C. 1361
et seq.). Under the MMPA, a marine
mammal species or population stock is
considered to be depleted when it is
below its Optimum Sustainable
Population (OSP) level. The OSP is
defined in the MMPA as: ‘‘the number
of animals which will result in the
maximum productivity of the
population or the species, keeping in
mind the carrying capacity of the habitat
and the health of the ecosystem of
which they form a constituent element.’’
In accordance with the MMPA, we
published a notice in the Federal
Register on September 6, 2001,
announcing the receipt of this petition
(66 FR 4661). On November 2, 2001, we
published our finding on the petition in
the Federal Register (66 FR 55693).
While we acknowledged the evidence of
a population decline in the southwest
Alaska stock, the best available
information at that time suggested that
the southeast Alaska stock was
increasing, and the southcentral Alaska
stock was either stable or increasing. We
found that the petitioned action was not
warranted under the MMPA for the
following reasons: (1) The best estimate
of the population size for the entire
State of Alaska was greater than the
value presented in the petition; (2)
based on the best estimate of population
size, the Alaska stock of sea otters was
above OSP level; and (3) recent
information had identified the existence
of three stocks of sea otters in Alaska:
southwest, southcentral, and southeast
(Gorbics and Bodkin 2001). The
boundaries of these three stocks are
depicted in Figure 5 of the Proposed
Rule.
We recently revised the MMPA stock
assessment reports for sea otters in
Alaska. Draft stock assessment reports
identifying the three stocks of sea otters
were made available for public review
and comment from March 28 to June 26,
2002 (67 FR 14959) (March 28, 2002).
The sea otter stock assessment reports
were finalized on August 20, 2002, and
notice of their availability was
published on October 9, 2002 (67 FR
62979).
On January 11, 2002, we received a
petition from the Sea Otter Defense
Initiative (SODI), a project of the Earth
Island Institute, in Deer Isle, Maine. The
petition requested that we emergency
and permanently list the southwest
Alaska stock of sea otters as endangered.
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We responded to SODI on February 1,
2002, informing them that, based on the
best available population estimate that
we prepared in response to the Center’s
petition to list the Alaska stock of sea
otters as depleted under the MMPA, an
emergency listing of the southwest
Alaska stock was not warranted. We
also notified SODI that we had begun
the preparation of this proposed rule
during Fiscal Year 2002.
Based on additional sea otter surveys
along the Alaska Peninsula and Kodiak
archipelago, and the identification of
multiple stocks of sea otters in Alaska,
we expanded the candidate species
designation on June 3, 2002, to include
the geographic range of the southwest
Alaska stock of the northern sea otter.
Notification of this change was included
in our June 13, 2002, notice of review
of candidate species (67 FR 40657).
The Center filed a second Notice of
Intent to sue on May 5, 2003, and on
December 4, 2003, the Center and the
Turtle Island Restoration Network
(TIRN) filed a lawsuit against Assistant
Secretary for Fish and Wildlife and
Parks Craig Manson, Secretary of the
Interior Gale Norton, and the U.S. Fish
and Wildlife Service for failure to
comply with non-discretionary
provisions of the Act. Specifically, the
plaintiffs challenged the defendants’
determination that processing the
Center’s October 26, 2000, petition was
‘‘warranted but precluded’’ by higher
listing actions. Plaintiffs also challenged
the defendants’ failure to issue 90-day
and 12-month findings on the petition,
and for failure to implement an effective
system to monitor the status of the
southwest Alaska DPS. Finally, the
plaintiffs challenged the defendants’
adoption and implementation of their
1996 Petition Management Guidance
policy for processing petitions that
request the listing of candidate species.
On February 11, 2004, we published
the proposed rule to list the southwest
Alaska DPS of the northern sea otter as
threatened (69 FR 6600). On May 13,
2004, the December 4, 2003, lawsuit by
the Center and TIRN was voluntarily
dismissed.
Summary of Comments and
Recommendations
In the February 11, 2004, proposed
rule, we requested all interested parties
to submit factual reports, information,
and comments that might contribute to
development of a final determination. A
120-day public comment period closed
on June 10, 2004. We contacted
appropriate Federal agencies, State
agencies, county and city governments,
Alaska Native Tribes and tribal
organizations, scientific organizations,
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affected landowners and other
interested parties to request comments.
The Secretary personally announced
this action and issued a press release on
February 5, 2004, notifying the public of
the proposed listing and comment
period. Newspaper articles appeared in
the Anchorage Daily News and Los
Angeles Times on February 6, 2004, that
also notified the public about the
proposed listing and comment period.
We requested 5 peer reviewers to
comment on the proposed rule in
compliance with our policy, published
in the Federal Register on July 1, 1994
(59 FR 34270). We held public meetings
at 6 locations in Alaska: Cold Bay (May
3, 2004), King Cove (May 4, 2004),
Anchorage (May 13, 2004), Kodiak (May
19, 2004), Sand Point (May 24, 2004),
and Unalaska (May 27, 2004). These
meetings were attended by
approximately 50 people in total.
We received requests for public
hearings in Kodiak, Unalaska, Sand
Point, and Dillingham, Alaska, and held
one public hearing in Kodiak, Alaska on
May 19, 2004, immediately following a
public meeting. We published an
announcement of the public hearing in
the Federal Register on May 5, 2004 (69
FR 25055), the Anchorage Daily News
on May 9, 2004, and the Kodiak Daily
Mirror on May 14, 17, 18, and 19, 2004.
The public hearing was attended by 18
individuals in person, and 5 more by
teleconference.
In accordance with Secretarial Order
3225 regarding the Act and subsistence
uses in Alaska, we engaged in
government-to-government consultation
with Alaska Native tribes. Since 1997,
we have signed cooperative agreements
annually with The Alaska Sea Otter and
Steller Sea Lion Commission (TASSC)
to fund their activities. As a triballyauthorized Alaska Native Organization,
TASSC represents the interests of sea
otter hunters throughout the State of
Alaska. We attended TASSC board
meetings during the preparation of the
proposed rule and public comment
period, regularly briefing their board of
commissioners and staff on relevant
issues. In addition to working closely
with TASSC, we sent copies of the
proposed rule to 52 Alaska Native Tribal
Councils specifically requesting their
comments on this listing action.
During the public comment period,
we received a total of 6,860 comments
by letter (27), facsimile (4), e-mail
(6,819), and public hearing testimony
(10). We received comments from
Alaska Native Tribes and tribal
organizations, Federal commissions,
State agencies, local governments,
commercial fishing organizations,
conservation organizations, and private
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citizens. Seventeen commenters
opposed the listing, and 6,831
supported it. The remaining 12
commenters expressed neither
opposition or support for the listing, but
voiced concerns about the possible
effects of listing. The vast majority of
comments were the result of an
organized e-mail campaign that
produced 6,787 identical comments in
support of the listing. Most of the
comments that were opposed to the
listing were from residents of southwest
Alaska. Several comments were
received after the public comment
period closed.
We revised the final rule to reflect
comments and information we received
during the comment period. We address
substantive comments concerning the
rule below. Comments of a similar
nature are grouped together (referred to
as ‘‘Issues’’ for the purpose of this
summary).
Issue 1: Sea Otter Population Decline
Comment 1: One commenter stated
that the current population level of sea
otters in southwest Alaska does not
warrant listing under the Act. Two other
commenters noted that following
protection from commercial hunting in
1911, the sea otter population recovered
from as low as 1,000–2,000 individuals.
Our Response: Our determination that
the southwest Alaska DPS of the
northern sea otter warrants listing as
threatened is based on the observed
declining population trend, rather than
the absolute number of sea otters
remaining. The definition of a
threatened species is one that is likely
to become endangered within the
foreseeable future throughout all or a
significant portion of its range. Recent
surveys conducted in 2003 and 2004
indicate that the population decline has
not abated in several areas within
southwest Alaska. If the decline
continues at the observed rates, the
population may become extirpated
throughout portions of its range within
the next decade (Estes et al. 2005), at
which point the DPS may be in danger
of extinction. Therefore, the southwest
Alaska DPS of the northern sea otter
meets the definition of threatened, as it
is likely to become endangered in the
foreseeable future.
Although sea otters rebounded from
an estimated 1,000–2,000 individuals
after the cessation of commercial
hunting, those remaining otters were
distributed in 13 isolated colonies. The
current distribution of sea otters is
different in that they occur throughout
their former range, but at extremely low
densities in most areas. Otters are now
absent, or nearly so at some of the
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46373
smaller islands in the Aleutian
archipelago to the point where it is
possible that Allee effects (reduced
productivity at low population
densities) may occur (Estes et al. 2005).
The recovery of sea otters following
the cessation of commercial hunting
demonstrated that the species has the
potential for recovery once the cause of
its decline has been removed. As the
cause of the current decline is not
known with certainty, the future
recovery of the southwest Alaska DPS of
the northern sea otter is likewise
uncertain.
Comment 2: Several commenters state
that sea otters have not really declined,
they have simply moved to other areas.
Our Response: Aerial surveys that
documented the geographic extent and
magnitude of the sea otter decline
covered the vast majority of available
sea otter habitat in southwest Alaska, so
it is highly unlikely that there has been
a redistribution of otters within the
region. As sea otters typically inhabit
relatively small home ranges, it is also
unlikely that there has been such a
large-scale emigration of animals
outside southwest Alaska. The
magnitude of the decline is estimated to
be more than 50,000 otters, so it is
highly unlikely that redistribution on
this scale would go unnoticed. Survey
data in adjacent areas, such as the
Commander Islands, Russia to the west,
and Kachemak Bay, Kenai Fiords, and
Prince William Sound to the east, do not
show population increases that would
account for animal movements. See
Population Trends of Sea Otters in
Southwest Alaska.
Comment 3: Several commenters were
critical of the survey data used to
estimate the sea otter population size
and trend. Specific criticisms included
the age of the survey data used, the
length of time between surveys,
differences in timing of surveys,
differences in methods, and the
variability of the estimates.
Our Response: We used the best
scientific information available to
estimate sea otter population size and
trend. Although some survey data is
now 3–4 years old, more recent surveys
in 2003 and 2004 indicate that the sea
otter population decline has not abated.
Although the length of time between
surveys makes it difficult to estimate the
onset of the population decline, it does
not affect our ability to estimate the
magnitude of the decline. Differences in
timing of surveys is likely not a factor
because study areas were large enough
that movement of individual otters
would have minimal effect on the
overall population estimate. To the
greatest extent possible, aerial surveys
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of sea otters in southwest Alaska have
been conducted using similar methods
to earlier surveys to allow for direct
comparison of results. While some of
the sea otter population estimates (such
as the pre-decline surveys along the
Alaska Peninsula) have considerable
variability, the magnitude of the decline
in these areas is so great that the
likelihood that the population has not
declined is exceedingly small.
Comment 4: Several commenters
questioned whether sea otters have
declined in some areas within
southwest Alaska. Three commenters
stated that there has been no decline of
sea otters in the Kodiak archipelago, and
five commenters cited survey data that
suggests the population at Unalaska
Island has been stable for the past 4
years.
Our Response: The results of our
summer 2004 aerial survey of the
Kodiak archipelago indicate that the sea
otters in this area may not have
continued to decline since 2001;
however, the two estimates are not
significantly different statistically. The
current estimate remains 36 percent
lower than in 1994, and 54 percent
lower than in 1989 (Doroff et al. in
prep.).
Doroff et al. (2003) estimated that the
onset of the decline in the Aleutians
occurred in the late 1980s or early
1990s. In 1992, observers recorded 554
sea otters along the shoreline of
Unalaska island. In 2000, only 374
otters were observed, which is a decline
of 32 percent over the intervening 8-year
period. By the time that skiff survey
data from Unalaska were collected
beginning in 1999, the majority of the
decline had already occurred. It is not
possible to determine sea otter
population trends from the Unalaska
skiff survey data, as it has not been
standardized by the amount of survey
effort to allow for a valid comparison
over time.
Comment 5: Several commenters
stated that the sea otters have exceeded
the carrying capacity of the
environment, and that decline is part of
a natural cycle. Some commenters
stated that archaeological data shows
that changes in sea otter abundance
have occurred over time.
Our Response: As sea otters
recolonized their former range during
the 20th century, the typically observed
pattern was for initial rapid population
growth, followed by a period of decline
until the population reached
equilibrium density. The driving factor
in the subsequent decline was prey
scarcity, which led to either starvation
and/or emigration of otters. If sea otters
had in fact exceeded the carrying
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capacity of the environment, we would
expect to see fewer prey and more
starving sea otters, neither of which
have been observed. Contrary to this
expectation, the biomass of sea urchins,
the preferred prey species of sea otters
in the Aleutians, is significantly greater
in areas where otters have declined, and
sea otter carcasses are relatively scarce
(Estes et al. 1998).
We are aware of some recent
archaeological information from a small
number of sites that indicates the
presence of sea otter remains in midden
sites has fluctuated over long time
scales; however, several interpretations
are possible from these data. For
example, it is not known if the
abundance of items in these sites is a
function of their abundance in the
environment or hunter selectivity. It is
also not clear if cultural uses of sea
otters may have varied over time,
resulting in changes in the deposition of
bones present in middens. For example,
if otters were harvested for their pelts
only and the remainder of the carcass
were not retrieved, it is unlikely that
their bones would be represented in
midden sites.
Comment 6: One commenter stated
that the use of counts in some areas and
estimates in other areas was confusing.
Our Response: We revised the rule to
clarify the difference between the
counts and estimates in an earlier
section (see Population Trends of Sea
Otters in Southwest Alaska). While
there are differences between the two
types of surveys, in all cases we
compare counts with counts and
estimates with estimates to determine
sea otter population trends.
Comment 7: One commenter stated
that there are no reliable estimates of
pre-decline abundance of sea otters in
southwest Alaska.
Our Response: We acknowledge that
the data record for sea otters in
southwest Alaska is sparse, and that
with the exception of Calkins and
Schneider (1985), there are no
comprehensive population estimates for
the pre-decline population. Burn et al.
(2003) used computer models to
estimate the carrying capacity and predecline abundance of sea otters in the
Aleutian islands, and their result was
comparable to that of Calkins and
Schneider (1985). Regardless of the lack
of a comprehensive pre-decline
estimate, comparisons between baseline
(1986–1992) and recent (2000–2001)
surveys clearly indicate that the sea
otter population in southwest Alaska
has undergone a substantial decline.
Furthermore, aerial and skiff-based
surveys conducted in 2003 and 2004
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indicate that the decline has not abated
throughout much of the region.
Comment 8: One commenter stated
that there appears to be different rates
of decline between the different study
areas within southwest Alaska.
Our Response: This observation is
correct. In addition to differences in the
overall magnitude of the decline
between study areas, there are also
differences in the estimated annual rates
of decline between regions as well as
time periods. For example, Doroff et al.
(2003) estimated that sea otters declined
at an annual rate of 17.5 percent per
year during the 1990s. During the same
time period, sea otters in the Kodiak
archipelago declined at an estimated
rate of 6–7 percent per year (Doroff et
al. in prep.). More recently, otters in the
western and central Aleutians have
declined by an estimated 29 percent per
year between 2000 and 2003 (Estes et al.
2005). As the cause of the decline is not
known with certainty, it is unclear why
there are differences in the estimated
rates of decline. That the rates are
different does not alter the fact that the
sea otter population has declined
significantly throughout much of
southwest Alaska.
Issue 2: DPS Justification
Comment 9: Two commenters stated
that the sea otter population in
southwest Alaska does not meet the test
of discreteness because it is not
genetically distinct from translocated
populations. One commenter also noted
that studies indicate there is further
genetic differentiation of sea otters
within southwest Alaska. This
commenter also stated that there is no
long-term genetic separation in
evolutionary time, and that there is
nothing genetically special about sea
otters in southwest Alaska. Lastly, this
commenter stated that the proposed rule
did not consider all available genetics
information.
Our Response: Genetic distinctness
may be important in recognizing some
DPS’s, but this kind of evidence is not
specifically required in order for a DPS
to be recognized. Genetic information
can play two different roles in the
evaluation of whether a population
should be recognized as a distinct
vertebrate population segment for the
purposes of listing under the Act. First,
quantitative genetic information may,
but is not required to, provide evidence
that the population is markedly
separated from other populations and
thus meets the DPS policy’s criterion of
being discrete. The DPS policy’s
standard for discreteness is meant to
allow an entity given DPS status under
the Act to be adequately defined and
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described. The standard adopted is
believed to allow entities recognized
under the Act to be identified without
requiring an unreasonably rigid test for
distinctness. At the same time, the
standard does not require absolute
separation of a DPS from other members
of its species, because this can rarely be
demonstrated in nature for any
population of organisms. Second,
genetic characteristics that differ
markedly from other populations may
be one consideration in evaluating the
DPS’s biological and ecological
significance to the taxon in which it
belongs.
We considered all available genetic
information in our discreteness
evaluation. Some of these studies were
specifically conducted to look at
population structuring, while others
were designed to look at the amount of
genetic variability of both remnant and
translocated sea otter populations. All
existing sea otter populations have
experienced at least one genetic
bottleneck caused by the commercial fur
harvests from 1741 to 1911.
Translocated populations experienced a
second bottleneck, as it is likely that
only an unknown portion of the
available genetic diversity was sampled
in the process of moving sea otters into
other areas (Larson et al. 2002).
Furthermore, we can consider an entity
eligible for listing if the entity meets the
third factor of our DPS policy: evidence
that the discrete population segment
represents the only surviving natural
occurrence of a taxon that may be more
abundant elsewhere as an introduced
population outside of its historic range.
Rather than rely on genetic
information alone to determine if sea
otters in southwest Alaska are markedly
separated from other populations, we
gave considerable weight to the work of
Gorbics and Bodkin (2001), who
followed the phylogeographic approach
of Dizon et al. (1992) to identify stock
structure. We believe that this approach,
which considers multiple lines of
evidence including distribution,
population response, morphology, and
genetics, provides a more robust
assessment of separation than any single
technique alone.
Comment 10: One commenter stated
that morphological differences between
sea otters may reflect differences in
environmental conditions, rather than
genetic differences.
Our Response: We agree with this
observation, which is one reason we did
not base our determination of
discreteness for the DPS on
morphological information alone. As
outlined in our response to comment 9,
we relied upon a method that
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considered multiple types of
information including morphology,
genetics, and geographic distribution
(Dizon et al. 1992).
Comment 11: One commenter and one
peer reviewer questioned whether Cook
Inlet constitutes a barrier to sea otter
movements.
Our Response: As the historical
distribution of sea otters prior to the
onset of commercial fur harvests in 1741
included ice-free waters of the Pacific
rim from northern Japan to Baja,
Mexico, it is clear that expanses of deep
water such as Cook Inlet do not
constitute an impenetrable barrier to
animal movements. Available survey
information suggests that this may not
be a common occurrence, however. In
accordance with our DPS policy,
absolute reproductive isolation is not a
prerequisite to recognition of a DPS.
This would be an impracticably
stringent standard, and one that would
not be satisfied even by some
recognized species that are known to
sustain a low frequency of interbreeding
with related species.
Comment 12: One commenter stated
that the Service subdivided the Alaska
population into three population stocks
under the MMPA in order to invoke the
Act and list sea otters in southwest
Alaska as a DPS.
Our Response: The Service initially
proposed the identification of three
stocks of sea otters in Alaska in March
1998 (63 FR 10936). The preparation of
three draft stock assessment reports
occurred prior to both the initial
publication of information about the sea
otter decline in the Aleutians (Estes et
al. 1998) and completion of aerial
surveys that determined the geographic
extent and magnitude of the decline.
Our proposal of three sea otter stocks in
1998 was challenged by the Alaska Sea
Otter Commission (ASOC, name now
changed to TASSC), an Alaska Native
Organization, in accordance with
Section 117(b)(2) of the MMPA. The
Service and ASOC entered into a
memorandum of agreement to resolve
this disagreement. After additional
genetic analysis addressing the issue of
stock identification was completed, in
March 2002 we once again proposed the
identification of three stocks of sea
otters in Alaska (67 FR 14959). ASOC
did not challenge the proposal, and we
finalized the stock assessment reports in
August 2002 (67 FR 62979). The
identification of three stocks of sea
otters in Alaska was based on the best
available scientific information, that had
been published in peer-reviewed
scientific journals and was reviewed
and approved by the Alaska Regional
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Scientific Review Group that advises the
Service on our stock assessment reports.
Comment 13: One commenter stated
that the sea otter population in
southwest Alaska does not meet the test
of significance because other genetic
information suggests other population
groupings are possible.
Our Response: This comment cited
studies that indicate there is a degree of
genetic similarity between sea otters in
the Commander Islands, Russia, and
California with otters in southwest
Alaska. We relied on the most recent
and generally scientifically accepted
taxonomic classification of the sea otter
by Wilson et al. (1991) to determine the
significance of the southwest Alaska
DPS to both the species (Enhydra lutris)
and the subspecies (Enhydra lutris
kenyoni). The loss of this population
would result in a significant gap of over
2,500 km (1,552 miles) in the range of
both the species and subspecies.
Criteria for judging the significance of
a DPS includes, but is not limited to, the
four examples listed in our DPS policy
(see Distinct Vertebrate Population
Segment). Of the 11 surviving remnant
populations present in 1911, 6 occurred
within the range of the southwest
Alaska DPS. Although otters were
translocated from Amchitka Island, they
were most likely descended from only
one remnant colony. Therefore we
believe the extinction of this DPS would
constitute a loss of a significant portion
of the genetic diversity of the taxon.
Issue 3: Causes of the Decline
Comment 14: Several commenters
stated that the cause of the decline is
unknown. Other commenters stated that
the decline was not caused by human
activities, and one commenter stated
that killer whales are not responsible for
the decline.
Our Response: We agree that the
cause of the decline is not known with
certainty. Although there is still
considerable disagreement within the
scientific community, the weight of
evidence at this time suggests that the
cause of the decline may be increased
predation by killer whales. It is not a
requirement for listing under the Act
that the threat to a species be caused by
human activities, nor is it a requirement
that the cause be known at the time of
listing.
Comment 15: One commenter stated
that none of the five factors under the
Act are applicable in this instance.
Our Response: The third factor in the
five factor analysis identified in section
4(a)(1) of the Act is Disease or
Predation. As stated in our response to
comment 14, the best available scientific
information suggests that the cause of
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the decline may be predation by killer
whales, so this factor is applicable to the
sea otter decline.
The fourth factor in the five factor
analysis is the Inadequacy of Existing
Regulatory Mechanisms. The MMPA of
1972 is the primary existing statute that
protects sea otters in U.S. waters, yet the
southwest Alaska DPS of sea otters has
declined despite these existing
protections. Additional provisions that
would regulate subsistence harvest and
minimize incidental take in fisheries are
not likely to help conserve the DPS, as
the impact of these factors is believed to
be negligible.
The remaining three factors in the five
factor analysis (Habitat, Overutilization,
and Other Natural or Manmade factors),
while likely not causes of the current
decline, could become threats to the
DPS. If the current population trend
continues, sea otters may disappear
from parts of the range of the DPS, and
the remaining areas of high
concentration may be more vulnerable
to catastrophic events such as disease
epidemics and oil spills.
Comment 16: Several commenters
expressed concern over the impacts of a
variety of human activities, including
commercial fisheries, fish waste from
processors, oil spills, and contaminants.
Our Response: As stated in our
response to comment 15, we do not
believe that these activities have played
a significant role in the sea otter decline
in southwest Alaska, and do not pose an
immediate threat to the DPS. We
anticipate that these factors will be more
fully considered during the
development of a recovery plan.
Issue 4: Threatened vs. Endangered
Status
Comment 17: There were 6,814
commenters who stated that the
southwest Alaska DPS of the northern
sea otter should be listed as endangered
rather than threatened. Although these
commenters did not express a rationale
for listing at the endangered level, one
other commenter stated that the
magnitude of the decline in the Aleutian
islands, which constitute a ‘‘significant
portion of the range,’’ warrants listing
the DPS as endangered.
Our Response: The southwest Alaska
DPS contains areas with diverse
population trends, including: (1) The
Aleutians and portions of the Alaska
Peninsula that have declined
precipitously and are continuing to
decline; (2) the Kodiak archipelago,
which has declined overall but not
during the past 3 years; and (3) Port
Moller and Kamishak Bay, which do not
appear to have declined, and continue
to support high concentrations of sea
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otters that have the potential to
recolonize the rest of the DPS. The
population trend in the Aleutian
archipelago, which constitutes
approximately 30 percent of the
available habitat within the range of the
DPS, is a cause for concern: The
continuation of the current trends could
lead to the loss of all of the otters in that
area in the foreseeable future. Although
that loss would not result in the
extinction of the DPS, it might put the
DPS in danger of extinction at that time
(see Conclusion of Status Evaluation).
Therefore, a designation of threatened
status is most appropriate for the
southwest Alaska DPS of the northern
sea otter.
Issue 5: Subsistence Harvest
Comment 18: Several commenters
stated that the subsistence harvest of sea
otters by Alaska Natives is contributing
to the sea otter decline, and that the
removal of 100 otters per year from the
population is not prudent. Several other
commenters stated that the subsistence
harvest is not contributing to the
decline.
Our Response: The best available
scientific information does not indicate
that the subsistence harvest has had a
major impact on the southwest Alaska
DPS of the northern sea otter. Some of
the largest observed sea otter declines
have occurred in areas where
subsistence harvest is either nonexistent
(the Near and Rat islands in the
Aleutians) or extremely low (the
Shumagin and Pavlof islands). The
majority of the subsistence harvest in
southwest Alaska occurs in the Kodiak
archipelago, where the level of
subsistence harvest ranged from 0.4–1.3
percent of the estimated population size
from 1989’2001 (Doroff et al. in prep.).
Given the estimated population growth
rate of 10 percent per year estimated for
the Kodiak archipelago by Bodkin et al.
(1999), we would expect that these
harvest levels by themselves would not
cause a population decline.
Section 10(e) of the Act provides an
exemption that allows Alaska Natives to
take endangered or threatened species
for subsistence purposes. The Service
may only prescribe regulations on
subsistence harvest if we determine that
such taking materially and negatively
affects the endangered or threatened
species. Areas within the southwest
Alaska DPS with the steepest
population declines, such as the
Aleutian islands, have virtually no
subsistence harvest due to minimal
human habitation. The majority of the
subsistence harvest occurs in the Kodiak
archipelago, where the harvest has been
well below the estimated population
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growth rate. Given the geographic
distribution and historic levels of the
subsistence harvest relative to the size
of the sea otter population, we do not
believe the harvest is materially and
negatively affecting the DPS at this time.
If the sea otter population continues to
decline in southwest Alaska, however, it
is possible that the harvest of 100 otters
per year could materially and negatively
impact the remaining population, and
regulation of the harvest would be
warranted.
Comment 19: One commenter stated
that the subsistence harvest should be
managed. Conversely, several
commenters expressed concern that the
rights of Alaska Natives to take sea
otters for subsistence should be
protected.
Our Response: In order to regulate the
subsistence harvest of sea otters by
Alaska Natives, the Secretary would
have to make a determination that the
harvest was materially and negatively
impacting the DPS, and promulgate
regulations under Section 10(e)(4) of the
Act. In addition, once it is listed as
threatened under the Act, the southwest
Alaska stock of the northern sea otter
will automatically be considered
‘‘depleted’’ under the MMPA, and the
Secretary could prescribe regulations of
the subsistence harvest under section
101(b)(3) of the MMPA. In order to do
so, the Secretary would be responsible
for demonstrating that such regulations
are ‘‘supported by substantial evidence
on the basis of the record as a whole.’’
As stated in the response to Comment
18, we do not believe that the
subsistence harvest poses an immediate
threat to the southwest Alaska DPS;
therefore, regulation of the harvest is not
warranted at this time.
Comment 20: Several other
commenters expressed concern that
listing under the Act may result in the
prohibition on export of authentic
Native handicrafts made from sea otters.
Our Response: Our regulations at 50
CFR 17.31 of the Act outline prohibited
activities, including import or export of
listed species from the United States. As
we do not believe the current level of
subsistence harvest poses a threat to the
southwest Alaska DPS, in today’s
Federal Register, we proposed the
promulgation of a special rule under
Section 4(d) of the Act that would align
the provisions of the Act relating to the
creation, shipment, and sale of the
authentic native handicrafts and
clothing by Alaska Natives with what is
already allowed under the MMPA.
Export for commercial purposes is
prohibited under both the MMPA and
the Act, and would not be authorized
under the proposed special rule.
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Issue 6: Impacts of Listing
Comment 21: Several commenters
expressed concern that listing under the
Act may result in additional regulation
of commercial fisheries in southwest
Alaska. Other commenters expressed
concern about the impacts of listing on
harbor and dock projects in the region.
Our Response: The best available
scientific information indicates that
interactions between commercial
fisheries and sea otters, either in the
form of competition for prey species or
entanglement in gear, do not pose an
immediate threat to sea otters in
southwest Alaska. Information on
fishery interactions is limited, however,
and additional observer programs
directed at fisheries with the greatest
potential for entanglement of sea otters
is recommended.
Harbor and dock projects that have a
Federal nexus and that may affect listed
species require interagency consultation
under Section 7 of the Act. Those
projects that are likely to adversely
affect the species must undergo formal
consultation, which may result in minor
changes to the project design to
minimize the impact to sea otters.
Lastly, while economic impacts are
considered when designating critical
habitat for a listed species, they do not
factor into decisions about listing.
Issue 7: Critical Habitat
Comment 22: Several commenters
state that habitat protection is important
for the survival of sea otters in
southwest Alaska. Other commenters
stated that it was unclear how critical
habitat will be designated. Yet another
commenter stated that critical habitat
should not be broadly defined, and that
shallow coves and lagoons may be
important for sea otters as refugia from
predators.
Our Response: Although there is no
evidence to suggest that loss of habitat
has been a contributing factor in the sea
otter decline, we agree that habitat
protection may be an important factor in
the recovery of the population.
However, the extent of critical habitat is
not yet determinable. The Service
specifically requested input on this
subject during the public comment
period, and we are currently
considering how best to delineate
critical habitat for the southwest Alaska
DPS of the northern sea otter. Once we
are able to determine the geographic
extent of critical habitat, it will be
designated through a separate
rulemaking process that will include an
opportunity for public review and
comment.
Comment 23: One peer reviewer and
one commenter stated that if killer
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whale predation is the cause of the sea
otter decline, then the true critical
habitat for this DPS may actually be
further offshore in areas not inhabited
by the otters themselves. That is,
changes in killer whale habitat may be
responsible for increased predation of
sea otters.
Our Response: We find that
designation of critical habitat for the
southwest Alaska DPS of the northern
sea otter is not determinable at this time
because we are unable to identify the
physical and biological features
essential to the conservation of this
DPS. See Critical Habitat. We will
consider designating critical habitat for
this species later, as allowed under the
Act when the Service considers critical
habitat ‘‘not determinable’’ at the time
of listing.
Issue 8: Interagency Consultation and
Recovery Planning
Comment 24: One reviewer stated that
interagency consultation under Section
7 of the Act will not be an effective
means of enhancing the sea otter
population in southwest Alaska.
Our Response: The purpose of
interagency consultation is to determine
if activities with a Federal nexus may
affect listed species. Although we
cannot identify any human activities
that have been directly responsible for
the sea otter decline, interagency
consultation will help minimize the
impacts of future activities on the
recovery of the DPS.
Comment 25: One commenter stated
that the Service should promptly form
a recovery team and begin the process
of recovery planning.
Our Response: We agree that recovery
planning should commence as soon as
possible, and have been working
throughout the listing process with
potential members of a recovery team.
We anticipate forming the recovery team
and beginning the process of recovery
planning within the first year following
publication of this final rule.
Comment 26: Several commenters
stated that, as there is no evidence that
human activities are directly
responsible for the sea otter decline, a
recovery plan will not be effective.
Similarly, several other commenters
stated that there are no human actions
that can be taken that would increase
the sea otter population in southwest
Alaska.
Our Response: We believe that it is
premature to conclude that there are no
human actions that could be taken to
conserve the sea otter population in
southwest Alaska. This issue will be
more appropriately addressed in the
recovery planning process. Although
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there is no evidence to suggest that
human activities are directly
responsible for the decline, we also
believe that the development of a
recovery plan will help identify
potential future threats to the southwest
Alaska DPS of the northern sea otter.
Protection from these threats would
become even more important should the
population continue to decline. For
example, although there is no evidence
to suggest that oil spills have caused the
sea otter decline, there may be areas of
high concentrations of sea otters that
could benefit from additional spill
response planning and protection
measures. The recent spill from the M/
V Selendang Ayu underscores the
unpredictable, and potentially
catastrophic, effects of oil spills in
southwest Alaska.
Comment 27: One commenter
proposed that sea otters could be
translocated from southeast to
southwest Alaska to help reverse the
population decline.
Our Response: As evidenced by the
success of translocations to southeast
Alaska, Washington State, and British
Columbia, Canada, this technique has
been effective at re-establishing sea otter
populations in areas where they had
been extirpated by commercial fur
harvests. Specific measures to help
conserve the sea otter population in
southwest Alaska will be considered
during the recovery planning process.
Comment 28: One commenter
proposed that management authority for
sea otters should be transferred to the
Alaska Department of Fish and Game.
Our Response: The MMPA delegates
authority for sea otters in U.S. waters to
the Secretary of the Interior. Sections
109(b) and 109(f) of the MMPA outline
the procedure for transfer of
management authority from Federal to
State jurisdiction. Any transfer of
authority must be initiated by a request
from the State, which has not occurred.
Issue 9: Research Needs
Comment 29: Several commenters
stated that additional research is
needed, including studies into the cause
of the decline, the genetic structure of
sea otter populations in Alaska,
population surveys, tagging and tracking
individual otters, and fisheries observer
programs, prior to listing the population
under the ESA.
Our Response: We fully agree that
additional research is needed to help
determine the cause of the sea otter
decline as well as identify future threats
to the southwest Alaska DPS. In April
2002 we convened a workshop in
Anchorage, Alaska, to review available
information regarding the sea otter
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decline in southwest Alaska and
develop recommendations for future
research. In April 2004, a second similar
workshop was hosted by the Alaska
SeaLife Center in Seward, Alaska. We
have continued to monitor the
population at several locations
throughout southwest Alaska, and have
initiated several studies in conjunction
with the U.S. Geological Survey, Alaska
SeaLife Center, and TASSC.
The need for additional research does
not preclude us from listing the DPS at
this time, as the Act requires us to
consider the best scientific and
commercial data available. Although
some of these studies are ongoing now,
to postpone this listing action until
additional research has been completed
would not improve the status of the
species, and would not be in keeping
with the mandates of the Act.
Issue 10: The Listing Process
Comment 30: Several commenters
stated that the Service did not follow
standard operating procedures and
Secretarial Order 3225 regarding
government-to-government consultation
with Alaska Native Tribes.
Our Response: As detailed in the
introduction to this section of the final
rule, the Service actively engaged in
consultation with Alaska Native Tribes
in southwest Alaska. From the time that
we developed plans to conduct the
aerial survey of sea otters in the
Aleutians in January 2000 until
publication of the proposed rule in
February 2004, the Service kept TASSC,
a tribally authorized organization, fully
informed on this issue. The Service
attended multiple board meetings each
year to present updated information on
survey plans and results, as well as
progress on the development of the
proposed rule. In addition to board
meetings, we provided TASSC with
monthly updates on these issues.
Following publication of the proposed
rule, the Service actively solicited
comments from 52 Alaska Native Tribes
within the range of the southwest
Alaska DPS of the northern sea otter. We
received comments on the proposed
rule from six tribal councils, as well as
TASSC and the Aleut Marine Mammal
Commission, both tribally-authorized
Alaska Native Organizations.
Comment 31: Several commenters
stated that the listing action was not
initiated by individuals, communities,
or organizations within southwest
Alaska.
Our Response: It is not a requirement
of the Act that listing actions be
initiated by residents of the area where
the species, subspecies, or DPS occurs.
The listing action was initiated by the
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Service, the Federal agency with
management responsibility for sea otters
in U.S. waters. Biologists from the
Marine Mammals Management Office in
Anchorage, Alaska, conducted the aerial
surveys of sea otters in 2000 and 2001
that determined the geographic extent
and magnitude of the decline. Based on
the results of these surveys, the Service
designated sea otters in the Aleutians as
a candidate species in August 2000. We
later expanded candidate species
designation to encompass the range of
the southwest Alaska DPS in June 2002.
Comment 32: The Service did not
follow its own policy on the recognition
of distinct vertebrate population
segments under the Act (61 FR 4722).
Our Response: As detailed in our
responses to earlier comments, the
Service followed the DPS policy. We
first examined the discreteness of the
population segment in relation to the
remainder of the species to which it
belongs. Next we determined the
significance of the population segment
to the species to which it belongs, and
finally, we evaluated the population
segment’s conservation status in relation
to the Act’s standards for listing. In
doing so, we found that the sea otters in
southwest Alaska meet the definition of
a DPS (see Distinct Vertebrate
Population Segment).
Comment 33: One commenter stated
that the public comment period was
inconvenient.
Our Response: The typical public
comment period for a proposed rule to
list a species under the Act is 60 days.
Understanding that many residents of
southwest Alaska rely on subsistence
and/or commercial fishing, and that
these activities are seasonal in nature,
we established a 120-day public
comment period to give people more
time to review and comment on the
proposed rule. We also scheduled the
public comment period to avoid conflict
with summer fishing activities.
Peer Review
In accordance with our July 1, 1994,
Interagency Cooperative Policy for Peer
Review in Act Activities (59 FR 34270),
we solicited review from five experts in
the fields of ecology, conservation,
genetics, taxonomy, pathology, and
management. Three of these experts
have direct experience with sea otters in
Alaska, and the other two experts are
well-known marine mammal biologists.
The purpose of such a review is to
ensure that listing decisions are based
on scientifically sound data,
assumptions, and analyses, including
input from appropriate experts. Two
reviewers sent us letters during the
public comment period. Neither
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reviewer expressed support or
opposition to the listing of the
southwest Alaska DPS of the northern
sea otter as threatened, but both
provided corrections on minor factual
issues, interpretation of data, and
citations. Their information has been
incorporated, as appropriate.
Distinct Vertebrate Population Segment
Pursuant to the Act, we must consider
for listing any species, subspecies, or,
for vertebrates, any distinct population
segment (DPS) of these taxa if sufficient
information indicates that such action
may be warranted. To interpret and
implement the DPS provision of the Act
and Congressional guidance, the Service
and the National Marine Fisheries
Service published, on December 21,
1994, a draft Policy Regarding the
Recognition of Distinct Vertebrate
Population Segments Under the Act and
invited public comments on it (59 FR
65885). After review of comments and
further consideration, the Services
adopted the interagency policy as issued
in draft form, and published it in the
Federal Register on February 7, 1996
(61 FR 4722). This policy addresses the
recognition of DPSs for potential listing
actions. The policy allows for more
refined application of the Act that better
reflects the biological needs of the taxon
being considered, and avoids the
inclusion of entities that do not require
its protective measures.
Under our DPS policy, three elements
are considered in a decision regarding
the status of a possible DPS as
endangered or threatened under the Act.
These are applied similarly for
additions to the list of endangered and
threatened species, reclassification, and
removal from the list. They are: (1)
Discreteness of the population segment
in relation to the remainder of the taxon;
(2) the significance of the population
segment to the taxon to which it
belongs; and (3) the population
segment’s conservation status in relation
to the Act’s standards for listing (i.e., is
the population segment, when treated as
if it were a species, endangered or
threatened?). A systematic application
of the above elements is appropriate,
with discreteness criteria applied first,
followed by significance analysis.
Discreteness refers to the isolation of a
population from other members of the
species and we evaluate this based on
specific criteria. We determine
significance by using the available
scientific information to determine the
DPS’s importance to the taxon to which
it belongs. If we determine that a
population segment is discrete and
significant, we then evaluate it for
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endangered or threatened status based
on the Act’s standards.
Discreteness
Under our Policy Regarding the
Recognition of Distinct Vertebrate
Population Segments, a population
segment of a vertebrate species may be
considered discrete if it satisfies either
one of the following conditions:
1. It is markedly separated from other
populations of the same taxon as a
consequence of physical, physiological,
ecological, or behavioral factors.
Quantitative measures of genetic or
morphological discontinuity may
provide evidence of this separation.
2. It is delimited by international
governmental boundaries within which
differences in control of exploitation,
management of habitat, conservation
status, or regulatory mechanisms exist
that are significant in light of section
4(a)(1)(D) of the Act.
The focus of our DPS evaluation is the
subspecies E. l. kenyoni, which occurs
from the west end of the Aleutian
Islands in Alaska, to the coast of the
State of Washington (Wilson et al.
1991), as depicted in Figure 1 of the
Proposed Rule. To the west of the
Aleutian Islands, the sea otters in Russia
are recognized as a separate subspecies,
E. l. lutris. Although sea otters in Russia
are also delimited by an international
governmental boundary, differences in
control of exploitation, management of
habitat, conservation status, and
regulatory mechanisms are not clear.
Russia includes the sea otter as a species
that is recovering in its Red Data Book
of the Russian Federation (the Red Data
Book is a listing of species afforded
special recognition or legal protection
within Russia). Sea otters in Russia are
under jurisdiction of the Ministry of
Natural Resources, and are protected
from all hunting, although poaching
remains a concern. The distance
between the Near Islands in the
Aleutians to the Commander Islands in
Russia is approximately 320 km (200
mi), and the amount of interchange
between the two subspecies is believed
to be low because of the long distance
between island groups over deep water.
In the lower portion of Cook Inlet, a
different type of barrier exists in the
form of an expanse of deep water. The
distance across lower Cook Inlet ranges
from 50–90 km (31–56 miles). While sea
otters are physically capable of
swimming these distances, the water
depths of up to 260 m (142 fathoms) and
lack of food resources for sea otters in
deep water areas makes such
movements across this open water area
unlikely. The degree to which this
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barrier limits sea otter movements is not
known with certainty.
Surveys conducted for sea otters and
other species in the area of lower Cook
Inlet confirm the discontinuity of sea
otters in this area. In the summer of
1993, Agler et al. (1995) conducted boatbased surveys of marine birds and
mammals, including sea otters, in lower
Cook Inlet. During approximately 1,574
km (978 miles) of survey effort, only one
sea otter was observed in the center of
the Inlet. More recently, during an aerial
survey of sea otters conducted in the
summer of 2002, no otters were
observed on 324 km (201 miles) of
transects flown across the center of
Cook Inlet (USGS in litt. 2002).
Information gathered incidental to
surveys of other species also indicates
that sea otters rarely occur in the
offshore areas of lower Cook Inlet,
further confirming the discontinuity of
sea otters in this area. The NMFS has
conducted aerial surveys of beluga
whales, Delphinapterus leucas, in Cook
Inlet since 1993. In addition to beluga
whales, observers recorded observations
of other marine mammals, including sea
otters. During these surveys, which
covered a combined total of 11,583 km
(7,197 miles) of systematic transects
flown across the inlet over several years,
no sea otters were observed in the
deeper, offshore areas of Cook Inlet
(Rugh et al. 2000). The NMFS also
conducted a marine mammal observer
program during the Cook Inlet salmon
drift and set gillnet fisheries in 1999 and
2000 (Fadely and Merklein 2001).
During this period with several
thousand hours of observations, no sea
otters were recorded in the offshore
areas of Cook Inlet. Given the amount of
survey effort that has been expended,
the almost complete lack of observations
in deeper offshore waters suggests that
there may be only limited exchange of
sea otters between the eastern and
western shores of lower Cook Inlet.
Sea otters in southwest and
southcentral Alaska also differ
morphologically. Comparison of 10
skull characteristics between 26 adult
sea otters from Amchitka Island and 42
sea otters from Prince William Sound
showed numerous statistically
significant differences, with the
Amchitka otters being the larger of the
two (Gorbics and Bodkin 2001).
Genetic and morphological
differences were part of the basis for
identification of sea otter population
stocks under the MMPA (USFWS 2002a,
USFWS 2002b, USFWS 2002c). The
Service and NMFS have adopted the
methods of Dizon et al. (1992), who
outlined four criteria for consideration
when identifying marine mammal
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population stocks: (1) Distribution; (2)
population response; (3) morphology;
and (4) genetics. Applying these criteria
to the best available scientific
information, Gorbics and Bodkin (2001)
identified three stocks of sea otters in
Alaska, the southwest, southcentral, and
southeast stocks, with ranges as
depicted in Figure 5 of the Proposed
Rule.
Within the range of the southwest
Alaska stock of the northern sea otter,
we recognize that there are differences
in the rates and magnitude of
population decline since the mid-1980s.
Although there is some evidence of
additional genetic differentiation within
the southwest Alaska stock (Cronin et
al. 2002), the best available scientific
information on taxonomy, genetics, and
morphometrics does not support
identification of additional sea otter
stocks at this time. The stock assessment
process outlined in Section 117 of the
MMPA includes oversight by Regional
Scientific Review Groups (SRGs)
composed of non-Federal marine
mammal experts. The information upon
which the Service based currently
recognized stock structure was reviewed
by the Alaska Regional SRG, who
concurred with the identification of
three sea otter stocks in Alaska. As both
the identification of marine mammal
stocks under the MMPA and the
discreteness evaluation of a DPS under
the Act are based upon similar criteria,
we believe that the appropriate
geographic extent for this DPS
corresponds to the entire southwest
Alaska stock, rather than any smaller
area within the stock boundary.
In summary, sea otters from the
Aleutian Islands to lower western Cook
Inlet are a population that differs from
other sea otters in several respects. Sea
otters to the west of the Aleutians are
geographically separated by an expanse
of approximately 320 km of open water
and an international boundary, and are
recognized as belonging to a different
taxon, the subspecies E. l. lutris. Within
the taxon E. l. kenyoni, there are
physical barriers to movement across
the upper and the lower portions of
Cook Inlet, and there are morphological
and some genetic differences between
sea otters that correspond to the
southwest and southcentral Alaska
stocks that we identified under the
MMPA, with Cook Inlet being the
boundary separating these stocks. The
geographic separation between the
southwest and southeast Alaska stocks
is even greater than between the
southwest and southcentral Alaska
stocks.
Based on our consideration of the best
scientific information available, we find
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that the southwest Alaska population of
the northern sea otter that occurs from
the Aleutian Islands to Cook Inlet,
corresponding to the southwest Alaska
stock as identified by us previously
under the MMPA (Figure 5 of the
Proposed Rule), is markedly separated
from other populations of the same
taxon as a consequence of physical
factors, and there is genetic and
morphological discontinuity that is
evidence of this separation. Therefore,
the southwest Alaska population of the
northern sea otter meets the criterion of
discreteness under our Policy Regarding
the Recognition of Distinct Vertebrate
Population Segments.
Significance
If we determine a population segment
is discrete, we next consider available
scientific evidence of its significance to
the taxon to which it belongs. Our
policy states that this consideration may
include, but is not limited to, the
following:
1. Persistence of the discrete
population segment in an ecological
setting unusual or unique for the taxon,
2. Evidence that loss of the discrete
population segment would result in a
significant gap in the range of the taxon,
3. Evidence that the discrete
population segment represents the only
surviving natural occurrence of a taxon
that may be more abundant elsewhere as
an introduced population outside its
historic range, or
4. Evidence that the discrete
population segment differs markedly
from other populations of the species in
its genetic characteristics.
The sea otter population that
corresponds to the southwest Alaska
stock contains over 60 percent of the
current geographic range for the
subspecies E. l. kenyoni. Following
protection from commercial exploitation
in 1911, sea otters recovered quickly in
southwest Alaska, which is a remote
part of the State. In the mid-1980s,
biologists believed that 94 percent of the
subspecies E. l. kenyoni, and 84 percent
of the world population of E. lutris,
existed in southwest Alaska (Calkins
and Schneider 1985). Loss of this
population segment would result in a
significant gap of more than 2,500 km
(1,553 mi.), in both the current and
historical range of the species, E. lutris.
Loss of this DPS would result in the loss
of a ‘‘major geographic area’’ to both the
species and subspecies.
The range of the southwest Alaska
DPS contains 6 of the 11 remnant sea
otter populations that survived the
commercial fur harvests. Descendants of
only one of these remnant populations
(Amchitka) have been translocated
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beyond the boundaries of the DPS to
southeast Alaska, Washington State, and
British Columbia, Canada. The genetic
diversity of the other 5 remnant
populations within the southwest
Alaska DPS occurs nowhere else in the
world. Loss of this DPS would therefore
result in a significant loss of genetic
diversity of both the species E. lutris
and subspecies E. lustris kenyoni. The
worldwide population of sea otters
underwent a genetic bottleneck as a
result of commercial fur harvests;
additional loss of genetic diversity may
reduce overall fitness of both the species
and subspecies.
Therefore, we find that the southwest
Alaska population segment is significant
to the taxon to which it belongs because
the loss of this segment would result in
a significant gap in the range and the
segment contains a significant amount
of genetic diversity of the taxon.
Summary of Discreteness and
Significance Evaluations
Based on the above consideration of
the southwest Alaska population of the
northern sea otter’s discreteness and its
significance to the remainder of the
taxon, we find that it is a distinct
population segment. The population’s
discreteness is due to its separation
from other populations of the same
taxon as a consequence of physical
factors, and there are morphological and
genetic differences from the remainder
of the taxon that are evidence of this
separation. The population segment’s
significance to the remainder of the
taxon is due principally to the
significant gap that its loss would
represent in the range of the taxon. In
addition, this population segment
represents a considerable portion of the
overall genetic variability of the species.
We refer to this population segment as
the southwest Alaska DPS throughout
this final rule.
Conservation Status
Pursuant to the Act, we must consider
for listing any species, subspecies, or,
for vertebrates, any distinct population
segment of these taxa, if there is
sufficient information to indicate that
such action may be warranted. We have
evaluated the conservation status of the
southwest Alaska DPS of the northern
sea otter in order to make a
determination relative to whether it
meets the Act’s standards for listing the
DPS as endangered or threatened. Based
on the definitions provided in section 3
of the Act, endangered means the DPS
is in danger of extinction throughout all
or a significant portion of its range, and
threatened means the DPS is likely to
become endangered within the
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foreseeable future throughout all or a
significant portion of its range.
Summary of Factors Affecting the
Species
Section 4 of the Act and regulations
(50 CFR part 424) promulgated to
implement the listing provisions of the
Act set forth the procedures for adding
species to the Federal list. As defined in
section 3 of the Act, the term ‘‘species’’
includes any subspecies of fish or
wildlife or plants, and any distinct
population segment of any species or
vertebrate fish or wildlife which
interbreeds when mature. We may
determine a species to be an endangered
or threatened species due to one or more
of the five factors described in section
4(a)(1) of the Act. These factors, and
their application to the southwest
Alaska DPS of the northern sea otter, are
as follows:
A. The Present or Threatened
Destruction, Modification, or
Curtailment of Its Habitat or Range
Habitat destruction or modification
are not known to be major factors in the
decline of the southwest Alaska DPS of
the northern sea otter. At present, no
curtailment of range has occurred, as sea
otters still persist throughout the range
of the DPS, albeit at markedly reduced
densities. As there is no evidence to
suggest that the decline has abated, it is
possible that additional population
losses may occur that would curtail the
range of sea otters in southwest Alaska.
In particular, sea otters in the western
and central Aleutian islands, and
Shumagin and Pavlof islands, have
declined by an order of magnitude or
more, and recent survey data indicates
the decline continues in these areas. If
this trend continues, the range of sea
otters in the southwest Alaska DPS may
contract within the foreseeable future.
Human-induced habitat effects occur
primarily in the form of removal of
some of the prey species used by sea
otters as a result of resource use such as
commercial fishing, which occurs
throughout southwest Alaska. While
there are some fisheries for benthic
invertebrates in southwest Alaska, there
is little competition for prey resources
due to the limited overlap between the
geographic distribution of sea otters and
fishing effort. In addition, the total
commercial catch of prey species used
by sea otters is relatively small (Funk
2003). In studies of sea otters in the
Aleutians, there was no evidence that
sea otters are nutritionally stressed in
that area, and foraging behavior,
measured as percent feeding success,
has increased during the 1990’s (Estes et
al. 1998).
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Development of harbors and channels
by dredging may affect sea otter habitat
on a local scale by disturbing the sea
floor and affecting benthic invertebrates
that sea otters eat. There are
approximately 40 communities located
within the range of the southwest
Alaska DPS. As harbor and dredging
projects typically impact an area of 50
hectares or less, we consider the overall
impact of these projects on sea otter
habitat to be negligible.
Catastrophic oil spills have the potential
to adversely modify sea otter habitat,
and are discussed in detail under Factor
E.
Considering the broad range of the
southwest Alaska DPS of the northern
sea otter, along with the relatively
minimal amount of human habitation
and activities in this region, destruction
or modification of habitat is not a threat
to the continued existence of this DPS
in the foreseeable future. If current
population trends continue, however,
the range of sea otters within the DPS
may contract. Areas of higher otter
concentrations may be more susceptible
to catastrophic events such as oil spills,
disease epidemics, and severe weather
conditions that could remove a
significant portion of the remaining sea
otter population.
The most recent example of a
catastrophic event occurred on
December 8, 2004, when the M/V
Selendang Ayu, a 225-m (738-ft)
freighter lost power and ran aground
near Spray Cape on Unalaska Island.
The vessel split apart, spilling
approximately 40,000 of the estimate
500,000 gallons of intermediate fuel oil
380 (IFO 380). It is uncertain how many
otters were in the vicinity at the time of
the spill, but as of January 31, 2005, two
oiled otter carcassed had been recovered
by response workers. The full impacts of
this vessel grounding will likely not be
known for several years. If a vessel of
this size were to run aground in one of
the remaining areas of high sea otter
abundance, the potential exists for
serious impacts to the remaining
population.
B. Overutilization for Commercial,
Recreational, Scientific, or Educational
Purposes
Following 170 years of commercial
exploitation, sea otters were protected
in 1911 under the International Fur Seal
Treaty, which prohibited further
hunting. In 1972, the MMPA established
a moratorium on the take of all marine
mammals in U.S. waters. Section 101(b)
of the MMPA provides an exemption for
Alaska Natives to take marine mammals
for subsistence purposes. Although the
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Native exemption was established in
1972, appreciable numbers of sea otters
were not harvested until the mid-1980s
(Simon-Jackson 1988). In October 1988,
we initiated the marine mammal
Marking, Tagging, and Reporting
Program (MTRP) to monitor the harvest
of sea otter, polar bear (Ursus
maritimus), and Pacific walrus
(Odobenus rosmarus divergens) in
Alaska (50 CFR 18.23(f)).
The majority of the reported sea otter
harvest occurs in southeast and
southcentral Alaska. Information from
the MTRP estimates that the subsistence
harvest has removed fewer than 1,400
sea otters from the southwest Alaska
DPS since 1989 (average = 85/year;
range = 24 to 180/year). The majority of
this harvest occurred in the Kodiak
archipelago, where levels ranged from
0.4 to 1.3 percent of the estimated
population size, which is well below the
estimated growth rate of the population
(Doroff et al. in prep.). Although the
average harvest in Kodiak from 2001 to
2003 was 76 otters per year, recent
survey results indicate that the sea otter
population was relatively stable over
that time period. Based on the
geographic extent and magnitude of the
decline, it appears that the current
levels of subsistence harvest do not pose
an immediate threat to the southwest
Alaska DPS. The impact of the
subsistence harvest will continue to be
evaluated to insure that the level of
harvest does not materially and
negatively affect the DPS in the future.
Scientific research on sea otters
occurs primarily as aerial and skiff
surveys of abundance, and such surveys
are conducted infrequently (once every
few years) and when they occur, they
last for very short durations of time.
During the 1990s, 198 otters were
captured and released as part of health
monitoring and radio telemetry studies
at Adak and Amchitka (T. Tinker,
University of California at Santa Cruz, in
litt. 2003). In 2004, sea otters from the
southwest Alaska DPS were captured as
part of a multi-agency health monitoring
study. All of the 60 otters captured in
this study were released back into the
wild. All future scientific research on
the southwest Alaska DPS will require
permits under Section 10 of the Act. In
addition, review of permit applications
will require the Service to consult
pursuant to Section 7 of the Act. Based
on the magnitude of the current decline
and the statutory permit review
requirements, we do not believe that the
impact of surveys, or the impact of
capture/release activities, will be a
significant threat in the immediate
future.
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Translocations of sea otters from
southwest Alaska to other areas also has
occurred. These translocations took
place from 1965 to 1972, and involved
removal of a total of just over 600 sea
otters from Amchitka Island (Jameson et
al. 1982). Estes (1990) estimated that the
sea otter population at Amchitka Island
remained essentially stable at more than
5,000 otters between 1972 and 1986,
and consequently there is no evidence
that removals for the translocation
program have resulted in
overutilization.
As there is no commercial use of sea
otters in the United States, and
recreational, scientific, and educational
use have been regulated under the
MMPA of 1972, we do not expect these
factors will increase in the foreseeable
future. Based on a review of historical
harvest patterns, we also do not expect
the subsistence harvest to increase in
the foreseeable future.
C. Disease or Predation
Parasitic infection was identified as a
cause of increased mortality of sea otters
at Amchitka Island in 1951 (Rausch
1953). These highly pathogenic
infestations were apparently the result
of sea otters foraging on fish, combined
with a weakened body condition
brought about by nutritional stress.
More recently, sea otters have been
impacted by parasitic infections
resulting from the consumption of fish
waste. Necropsies of carcasses recovered
in Orca Inlet, Prince William Sound
(which is not within the range of the
southwest Alaska DPS), revealed that
some otters in these areas had
developed parasitic infections and fish
bone impactions that contributed to
their deaths (Ballachey et al. 2002, King
et al. 2000). Measures such as heating
and grinding waste materials, or barging
it further offshore, have proven
successful at eliminating these impacts.
There is no evidence that the fish
processing operations are resulting in
disease on any substantial scope or scale
for the southwest Alaska DPS of the
northern sea otter.
The cause of the sea otter decline in
the Aleutians has been explored by
reviewing available data on sea otter
reproduction, survival, distribution,
habitat, and environmental
contaminants. Estes et al. (1998)
concluded that the observed sea otter
decline was most likely the result of
increased adult mortality. While
disease, pollution, and starvation may
all influence sea otter mortality, no
evidence available at this time suggests
these factors are significantly
contributing to the decline in the
Aleutians. If the declining population
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trend continues and sea otters disappear
from portions of the range of the
southwest Alaska DPS, however, the
remaining otters that persist in areas of
higher concentration may be more
vulnerable to disease epidemics.
The weight of evidence of available
information suggests that predation by
killer whales (Orcinus orca) may be the
most likely cause of the sea otter decline
in the Aleutian Islands (Estes et al.
1998). Data that support this hypothesis
include: (1) A significant increase in the
number of killer whale attacks on sea
otters during the 1990s, (Hatfield et al.
1998); (2) the number of observed
attacks fits expectations from computer
models of killer whale energetics; (3) the
scarcity of beachcast otter carcasses that
would be expected if disease or
starvation were occurring; and (4)
markedly lower mortality rates between
sea otters in a sheltered lagoon (where
killer whales cannot go) as compared to
an adjacent exposed bay. Similar
detailed studies have not yet been
conducted in other areas within the
southwest Alaska DPS, and the role of
killer whale predation on sea otters
outside of the Aleutians is unknown.
Doroff et al. (2003) speculated that
killer whale predation on sea otters was
density dependent, and that as of the
April 2000 aerial survey of the
Aleutians, a steady state between
predator and prey may have been
attained. Recent skiff survey results of
Estes et al. (2005) indicate that further
sea otter declines occurred between
2000 and 2003, so it is not clear if a
steady state between predator and prey
had been reached, or whether other
factors were involved in the continuing
decline in the Aleutians.
The hypothesis that killer whales may
be the principal cause of the sea otter
decline suggests that there may have
been significant changes in the Bering
Sea ecosystem (Estes et al. 1998). For
the past several decades, harbor seals
(Phoca vitulina) and Steller sea lions
(Eumetopias jubatus), the preferred prey
species of transient, marine mammaleating killer whales, have been in
decline throughout the western north
Pacific. In 1990, Steller sea lions were
listed as threatened under the Act (55
FR 49204). Their designation was later
revised to endangered in western
Alaska, and threatened in eastern
Alaska, with the dividing line located at
144 degrees west longitude (62 FR
24345). Estes et al. (1998) hypothesized
that killer whales may have responded
to declines in their preferred prey
species, harbor seals and Steller sea
lions, by broadening their prey base to
include sea otters. While the cause of
sea lion and harbor seal declines is the
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subject of much debate, it is possible
that changes in composition and
abundance of forage fish as a result of
climatic changes and/or commercial
fishing practices may be contributing
factors.
It also recently has been hypothesized
that the substantial reduction of large
whales from the North Pacific Ocean as
a result of post-World War II industrial
whaling may be the ultimate cause of
the decline of several species of marine
mammals in the north Pacific (Springer
et al. 2003). Killer whales are
considered to be the foremost natural
predator of large whales. By the early
1970’s, the biomass of large whales had
been reduced by 95 percent, a result
attributed to commercial harvesting.
This reduction may have caused killer
whales to begin feeding more
intensively on smaller coastal marine
mammals such as sea lions and harbor
seals. As those species became
increasingly rare, the killer whales that
preyed on them may have expanded
their diet to include the even smaller,
and calorically inferior, sea otter. The
information supporting this theory is
still under review. Although the
proximate cause of the current sea otter
decline may be predation by killer
whales, the ultimate cause remains
unknown. If these hypotheses are
correct, and prey selection by killer
whales is closely tied to the availability
of other species, we would not expect
this threat to decrease in the future,
perhaps until populations of other prey
species recover in numbers, or transient
killer whale populations decrease.
Besides killer whales, other predators
on sea otters include white sharks
(Carcharodon carcharias), brown bears
(Ursus arctos), and coyotes (Canis
latrans) (Riedman and Estes 1990).
Carcasses of sea otter pups have been
observed in bald eagle (Haliaeetus
leucocephalus) nests (Sherrod et al.
1975). Although there is anecdotal
information regarding shark attacks on
sea otters in Alaska, available data does
not suggest that the impact of sharks
and predators other than killer whales
on the southwest Alaska DPS of the
northern sea otter is significant.
D. The Inadequacy of Existing
Regulatory Mechanisms
The MMPA (16 U.S.C. 1361), enacted
in 1972, is an existing regulatory
mechanism that protects sea otters. The
MMPA placed a moratorium on the
taking of marine mammals in U.S.
waters. Similar to the definition of
‘‘take’’ under section 3 of the Act,
‘‘take’’ is defined under the MMPA as
‘‘harass, hunt, capture, or kill, or
attempt to harass, hunt, capture or kill’’
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(16 U.S.C. 1362). The MMPA does not
include provisions for restoration of
depleted species or population stocks,
and does not provide measures for
habitat protection.
The MMPA defines depleted as a
species or population stock that is
below its optimum sustainable
population (OSP), which is defined as
‘‘the number of animals which will
result in the maximum productivity of
the population or the species, keeping
in mind the carrying capacity of the
habitat and the health of the ecosystem
of which they form a constituent
element.’’ By definition, a marine
mammal species or stock that is
designated as ‘‘threatened’’ or
‘‘endangered’’ under the Act is also
classified as ‘‘depleted’’ under the
MMPA. The converse is not true,
however, as a marine mammal species
or stock may be designated as depleted
under the MMPA, but not be listed as
threatened or endangered under the Act.
Section 118 of the MMPA addresses
the taking of marine mammals
incidental to commercial fishing
operations. This section, which was
added to the MMPA in 1994, establishes
a framework that authorizes the
incidental take of marine mammals
during commercial fishing activities. In
addition, this section outlines
mechanisms to monitor and reduce the
level of incidental take due to
commercial fishing. Information from
monitoring programs administered by
NMFS indicates that interactions
between sea otters and commercial
fisheries result in less than one instance
of mortality or serious injury per year
within the southwest Alaska DPS and
are, therefore, not a cause for concern at
this time (USFWS 2002a). An analysis
of State-managed fisheries in southwest
Alaska reached a similar conclusion that
there is little geographic overlap
between sea otters and commercial
fishing activities (Funk 2003).
Although the MMPA contains
provisions to regulate the take of sea
otters by Alaska Natives and to reduce
the level of incidental take in
commercial fisheries, we do not believe
that these impacts pose an immediate
threat to the southwest Alaska DPS.
Therefore, the MMPA is inadequate to
prevent the continuing decline of sea
otters in southwest Alaska.
Northern sea otters are not on the
State of Alaska list of endangered
species or species of special concern.
Alaska Statutes sections 46.04 200–210
specify State requirements for Oil and
Hazardous Substance Discharge and
Prevention Contingency Plans. These
sections include prohibitions against oil
spills and provide for the development
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of contingency plans to respond to spills
should they occur. The potential
impacts of oil spills on sea otters are
addressed below in Factor E.
E. Other Natural or Manmade Factors
Affecting Its Continued Existence
Sea otters are particularly vulnerable
to contamination by oil (Costa and
Kooyman 1981). As they rely solely on
fur for insulation, sea otters must groom
themselves frequently to maintain the
insulative properties of the fur. Vigorous
grooming bouts generally occur before
and after feeding episodes and rest
periods. Oiled sea otters are highly
susceptible to hypothermia resulting
from the reduced insulative properties
of oil-matted fur. Contaminated sea
otters also are susceptible to the toxic
effects from oil ingested while
grooming. In addition, volatile
hydrocarbons may affect the eyes and
lung tissues of sea otters in oilcontaminated habitats and contribute to
mortality.
The sea otter’s vulnerability to oil was
clearly demonstrated during the Exxon
Valdez oil spill in 1989, when
thousands of sea otters were killed in
Prince William Sound, Kenai Fjords, the
Kodiak archipelago, and the Alaska
Peninsula. Although the spill occurred
hundreds of miles outside the range of
the southwest Alaska DPS of the
northern sea otter, an estimated 905 sea
otters from this population segment
died as a result of the spill (Handler
1990, Doroff et al. 1993, DeGange et al.
1994).
Although numerous safeguards have
been established since the Exxon Valdez
oil spill to minimize the likelihood of
another spill of catastrophic proportions
in Prince William Sound, vessels and
fuel barges are a potential source of oil
spills that could impact sea otters in
southwest Alaska. Since 1990 in Alaska,
more than 4,000 spills of oil and
chemicals on water have been reported
to the U.S. Coast Guard National
Response Center. Of these, nearly 1,100
occurred within the range of the
southwest Alaska DPS of the northern
sea otter. Reported spills include a
variety of quantities (from a few gallons
to thousands of gallons) and materials
(primarily diesel fuel, gasoline, and
lubricating oils). Reports of direct
mortality of sea otters as a result of these
spills are lacking and the impact of
chronic oiling on sea otters in general,
or on the southwest Alaska DPS in
particular, is unknown. Also, despite
the fact that locations such as boat
harbors have higher occurrences of
small spills than more remote areas,
individual sea otters have been observed
to frequent boat harbors for years
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without apparent adverse impacts. The
overall health, survival, and
reproductive success of these otters is
not known.
Currently, there is no oil and gas
production within the range of the
southwest Alaska DPS of the northern
sea otter. Proposed Outer Continental
Shelf (OCS) oil and gas lease sales are
planned, however, for lower Cook Inlet.
Based on a review of the draft
Environmental Impact Statement for
these lease sales, it is our opinion that
the potential impacts of this
development on the southwest Alaska
DPS will be negligible as sea otters
occur primarily in the nearshore zone
and the lease sale area is at least 3 miles
off shore. Therefore, sea otters do not
significantly overlap with the lease sale
area. As demonstrated by the Exxon
Valdez oil spill, however, spilled oil can
impact sea otters at great distances from
the initial release site.
Contaminants may also affect sea
otters and their habitat. Potential
sources of contaminants include local
sources at specific sites in Alaska, and
remote sources outside of Alaska. One
category of contaminants that has been
studied are polychlorinated biphenyls
(PCBs), which may originate from a
wide variety of sources. Data from blue
mussels collected from the Aleutian
Islands in southwest Alaska through
southeast Alaska indicate low
background concentrations of PCBs at
most sampling locations, with ‘‘hot
spots’’ of high PCB concentrations
evident at Adak (Sweeper Cove), Dutch
Harbor, and Amchitka. Notwithstanding
these ‘‘hot spots,’’ PCB levels in samples
from southwest Alaska actually are
lower than those in southeast Alaska
sites. The PCB concentrations found in
liver tissues of sea otters from the
Aleutians were similar to or higher than
those causing reproductive failure in
captive mink (Estes et al. 1997, Giger
and Trust 1997), but the toxicity of PCBs
to sea otters is unknown. Population
survey data for the Adak Island area
indicates normal ratios of mothers and
pups, which suggests that reproduction
in sea otters is not being suppressed in
that area (Tinker and Estes 1996). As
PCBs typically inhibit reproduction
rather than cause adult mortality, these
findings do not suggest a reproductive
impact due to PCBs. As sample sizes in
these studies were limited, the data
needed to fully evaluate the potential
role of PCBs and other environmental
contaminants in the observed sea otter
population decline are incomplete. In
summary, a link between the sea otter
decline and the effects of specific
contaminants in their environment has
not been established.
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Sea otters are sometimes taken
incidentally in commercial fishing
operations. Information from the NMFS
list of fisheries indicates that
entanglement leading to injury or death
occurs infrequently in set net, trawl, and
finfish pot fisheries within the range of
the southwest Alaska DPS of the
northern sea otter (67 FR 2410, January
17, 2002). During the summers of 1999
and 2000, NMFS conducted a marine
mammal observer program in Cook Inlet
for salmon drift and set net fisheries. No
mortality or serious injury of sea otters
was observed in either of these fisheries
in Cook Inlet (Fadely and Merklein
2001). Similarly, preliminary results
from an ongoing observer program for
the Kodiak salmon set net fishery also
report only four incidents of
entanglement of sea otters, with no
mortality or serious injury (Manly et al.
2003). Additional marine mammal
observer programs will continue to
improve our understanding of this
potential source of sea otter mortality.
The distribution of sea otters in the
southwest Alaska DPS now occurs at
markedly low densities throughout
much of their range, with some areas of
higher concentrations. The consequence
of this distribution is that Allee effects
(as the probability of individuals to find
mates is reduced) may occur in areas of
low otter density (Estes et al. 2005).
Conversely, areas of higher otter
concentrations are more susceptible to
stochastic events such as oil spills,
disease epidemics, and severe weather
conditions that could adversely affect a
significant portion of the remaining sea
otter population.
Conclusion of Status Evaluation
In making this determination, we
have carefully assessed the best
scientific and commercial information
available regarding the past, present,
and future threats faced by the
southwest Alaska DPS of the northern
sea otter. The Act defines an endangered
species as one that is in danger of
extinction throughout all or a significant
portion of its range. A threatened
species is one that is likely to become
an endangered species in the foreseeable
future throughout all or a significant
portion of its range. Our status
evaluation indicates that Threatened
status is most appropriate for the
southwest Alaska DPS of the northern
sea otter.
To date, investigations of the cause(s)
of the sea otter decline have been
limited to the Aleutian Islands; little
research has been conducted in other
portions of the southwest Alaska DPS.
Although killer whale predation has
been hypothesized to be responsible for
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the sea otter decline in the Aleutian
Islands, the cause(s) of the decline
throughout southwest Alaska are not
definitively known. As detailed earlier
in the response to public comments, it
is not necessary to identify the cause of
the decline with certainty to warrant
listing of a species, subspecies, or DPS.
At present, sea otters have not been
extirpated from any portion of the range
of the southwest Alaska DPS; however,
they have been reduced to markedly
lower densities, particularly in the
Aleutian Islands and south Alaska
Peninsula areas. These areas of decline
are balanced by other areas, such as Port
Moller and Kamishak Bay, which do not
appear to have declined and continue to
maintain high concentrations of sea
otters.
Recent survey information indicates
that the southwest Alaska DPS has
declined by at least 55 to 67 percent
overall since the mid-1980s, and sea
otters now occur at extremely low
densities throughout much of the range
of the DPS. Estimated annual rates of
decline are sensitive to the geographic
area and time period in question. The
most recent survey data available
indicate that within areas that continue
to decline, annual rates range from 12.5
percent per year at islands along the
south side of the Alaska Peninsula
(USFWS in litt. 2004), to 15 percent per
year in the eastern Aleutians (USFWS in
litt. 2004) to 29 percent per year in the
western and central Aleutians (Estes et
al. 2005).
With the exception of the Kodiak
archipelago, we have no evidence to
indicate that the decline has abated;
indeed, recent surveys indicate that the
decline has continued throughout much
of the southwest Alaska DPS, and we
have no reason to expect that the
decline in these areas will cease in the
foreseeable future. Because the
remaining areas of high sea otter
concentrations have shown no evidence
of declines to date, the DPS is currently
not in danger of extinction.
Consequently, the DPS does not meet
the definition of endangered at the
present time. If the decline continues at
recently observed rates, however, sea
otters could become extirpated in some
portions of the range in the foreseeable
future. Based on threats to the
remaining population, including
stochastic events, and our uncertainty
regarding the cause of the decline, the
DPS could become in danger of
extinction at that time. Therefore, we
are listing the southwest Alaska DPS of
the northern sea otter as threatened, as
it is likely to become endangered in the
foreseeable future throughout all or a
significant portion of its range.
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Critical Habitat
Section 4(a)(3) of the Act, as
amended, and implementing regulations
(50 CFR 424.12) require that, to the
maximum extent prudent and
determinable, the Secretary designate
critical habitat at the time the species is
determined to be endangered or
threatened. Our regulations (50 CFR
424.12(a)(1)) state that designation of
critical habitat is not prudent when one
or both of the following situations
exist—(1) The species is threatened by
taking or other activity and the
identification of critical habitat can be
expected to increase the degree of threat
to the species, or (2) such designation of
critical habitat would not be beneficial
to the species. With respect to whether
it is prudent to designate critical habitat
for the southwest Alaska DPS of the
northern sea otter at the time of listing,
such a designation would not be
expected to increase the threat to the
DPS. In addition, we are unable at this
time to make a determination that
designation of critical habitat would not
be beneficial to the species. Therefore,
we believe that designation of critical
habitat for the southwest Alaska DPS of
the northern sea otter would be prudent.
Our implementing regulations (50
CFR 424.12(a)(2)) state that critical
habitat is not determinable if
information sufficient to perform the
required analyses of impacts of the
designation is lacking, or if the
biological needs of the species are not
sufficiently well known to permit
identification of an area as suitable
habitat. We find that designation of
critical habitat for the southwest Alaska
DPS of the northern sea otter is not
determinable at this time because we are
unable to identify the physical and
biological features essential to the
conservation of this DPS. Although we
are able to identify sea otter habitat in
a broad sense, without a clear
understanding of the cause of the
population decline, we are unable to
delineate areas in which are found those
physical and biological features that
are—(1) Essential to the conservation of
the species, and (2) which may require
special management considerations or
protection. When a ‘‘’not determinable’’’
finding is made, we must, within one
year of the publication date of the final
listing rule, propose critical habitat,
unless the designation is found to be not
prudent. We will continue to protect the
southwest Alaska DPS of the northern
sea otter and their habitat through the
recovery process and section 7
consultations to assist Federal agencies
in avoiding jeopardizing this DPS.
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Available Conservation Measures
Conservation measures provided to
species listed as endangered or
threatened under the Act include
recognition, recovery actions,
requirements for Federal protection, and
prohibitions against certain activities.
Recognition through listing results in
public awareness and conservation
actions by Federal, State, and local
agencies, private organizations, and
individuals. The Act provides for
possible land acquisition and
cooperation with the States and requires
that recovery actions be carried out for
all listed species. The protection
required of Federal agencies and the
prohibitions against taking and harm are
discussed below.
Section 7(a) of the Act, as amended,
requires Federal agencies to evaluate
their actions with respect to any species
that is listed as endangered or
threatened and with respect to its
critical habitat, if any is designated.
Regulations implementing this
interagency cooperation provision of the
Act are codified at 50 CFR part 402.
Section 7(a)(4) requires Federal agencies
to confer informally with us on any
action that is likely to jeopardize the
continued existence of a species
proposed for listing or result in
destruction or adverse modification of
proposed critical habitat. If a species is
subsequently listed, section 7(a)(2)
requires Federal agencies to ensure that
activities they authorize, fund, or carry
out are not likely to jeopardize the
continued existence of the species or
destroy or adversely modify its critical
habitat. If a Federal action may affect a
listed species or its critical habitat, the
responsible Federal agency must enter
into formal consultation with us under
the provisions of section 7(a)(2) of the
Act.
Several Federal agencies are expected
to have involvement under section 7 of
the Act regarding the southwest Alaska
DPS of the northern sea otter. The
Service will consult with itself on a
variety of activities within southwest
Alaska, such as Refuge operations and
research permits. The National Marine
Fisheries Service may become involved
through their permitting authority for
crab and groundfish fisheries. The
Environmental Protection Agency may
become involved through their
permitting authority for the Clean Water
Act. The U.S. Corps of Engineers may
become involved through its
responsibilities and permitting authority
under section 404 of the Clean Water
Act and through future development of
harbor projects. The Minerals
Management Service may become
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involved through administering their
programs directed toward offshore oil
and gas development. The Denali
Commission may be involved through
their potential funding of fueling and
power generation projects. The U.S.
Coast Guard may become involved
through their development of docking
facilities. Other Federal agencies and
departments, such as the National Park
Service and Department of Defense, may
conduct activities in southwest Alaska
that will require consultation.
The listing of the southwest Alaska
DPS of the northern sea otter will lead
to the development of a recovery plan
for this species. The recovery plan
establishes a framework for interested
parties to coordinate activities and to
cooperate with each other in
conservation efforts. The plan will set
recovery priorities, identify
responsibilities, and estimate the costs
of the tasks necessary to accomplish the
priorities. It will also describe sitespecific management actions necessary
to achieve the conservation of the
southwest Alaska DPS of the northern
sea otter. Additionally, pursuant to
Section 6 of the Act, we will be able to
grant funds to the State of Alaska for
management actions promoting the
conservation of the southwest Alaska
DPS of the northern sea otter.
Section 9 of the Act prohibits take of
endangered wildlife. In accordance with
our regulations, these prohibitions
extend to threatened wildlife as well (50
CFR 17.31(a)). The Act defines take to
mean harass, harm, pursue, hunt, shoot,
wound, kill, trap, capture, or collect or
to attempt to engage in any such
conduct. However, the Act also provides
for the authorization of take and
exceptions to the take prohibitions.
Take of listed species by non-Federal
property owners can be permitted
through the process set forth in section
10 of the Act. For federally funded or
permitted activities, take of listed
species may be allowed through the
consultation process of section 7 of the
Act.
The Service has issued regulations (50
CFR 17.31) that generally apply to
threatened wildlife the prohibitions that
section 9 of the Act establishes with
respect to endangered wildlife. Our
regulations for threatened wildlife also
provide that a ‘‘special rule’’ under
Section 4(d) of the Act can be tailored
for a particular threatened species. In a
separate Section 4(d) rulemaking action
published in today’s Federal Register,
we propose a special rule for the Alaska
DPS of northern sea otters that would
align the provisions of the Act relating
to the creation, shipment, and sale of
authentic Native handicrafts and
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clothing by Alaska Natives with what is
already allowed under the MMPA. Thus
the proposed rule would provide for the
conservation of sea otters, while at the
same time accommodating Alaska
Natives’ subsistence, cultural, and
economic interests. See the proposed
special rule published in today’s
Federal Register for complete details.
It is illegal to possess, sell, deliver,
carry, transport, or ship any such
wildlife that has been taken illegally.
Further, it is illegal for any person to
commit, to solicit another person to
commit, or cause to be committed, any
of these acts. Certain exceptions to the
prohibitions apply to our agents and
State conservation agencies.
The Act provides for an exemption for
Alaska Natives in section 10(e) that
allows any Indian, Aleut, or Eskimo
who is an Alaskan Native who resides
in Alaska to take a threatened or
endangered species if such taking is
primarily for subsistence purposes.
Non-edible by-products of species taken
pursuant to section 10(e) may be sold in
interstate commerce when made into
authentic native articles of handicrafts
and clothing.
The Act provides for the issuance of
permits to carry out otherwise
prohibited activities involving
threatened or endangered wildlife under
certain circumstances. Regulations
governing permits are codified at 50
CFR 17.22 and 17.23. Such permits are
available for scientific purposes, to
enhance the propagation or survival of
the species, and/or for incidental take in
the course of otherwise lawful activities.
Permits are also available for zoological
exhibitions, educational purposes, or
special purposes consistent with the
purposes of the Act. Requests for copies
of the regulations on listed species and
inquiries about prohibitions and permits
may be addressed to the Endangered
Species Coordinator, U.S. Fish and
Wildlife Service, 1011 East Tudor Road,
Anchorage, Alaska 99503.
It is our policy, published in the
Federal Register on July 1, 1994 (59 FR
34272), to identify, to the maximum
extent practicable at the time a species
is listed, those activities that would or
would not likely constitute a violation
of section 9 of the Act. The intent of this
policy is to increase public awareness of
the effects of the listing on proposed
and ongoing activities within a species’
range.
For the southwest DPS of the northern
sea otter, we believe that, based on the
best available information, the following
activities are unlikely to result in a
violation of section 9, provided these
activities are carried out in accordance
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46385
with existing regulations and permit
requirements:
(1) Possession, delivery, or movement,
including interstate transport of
authentic native articles of handicrafts
and clothing made from northern sea
otters that were collected prior to the
date of publication in the Federal
Register of a final regulation adding the
southwest Alaska DPS of the northern
sea otter to the list of threatened species;
(2) Sale, possession, delivery, or
movement, including interstate
transport of authentic native articles of
handicrafts and clothing made from sea
otters from the southwest Alaska DPS
that were taken and produced in
accordance with section 10(e) of the
Act;
(3) Any action authorized, funded, or
carried out by a Federal agency that may
affect the southwest Alaska DPS of the
northern sea otter, when the action is
conducted in accordance with an
incidental take statement issued by us
under section 7 of the Act;
(4) Any action carried out for the
scientific research or to enhance the
propagation or survival of the southwest
Alaska DPS of the northern sea otter that
is conducted in accordance with the
conditions of a section 10(a)(1)(A)
permit; and
(5) Any incidental take of the
southwest Alaska DPS of the northern
sea otter resulting from an otherwise
lawful activity conducted in accordance
with the conditions of an incidental take
permit issued under section 10(a)(1)(B)
of the Act. Non-Federal applicants may
design a habitat conservation plan
(HCP) for the species and apply for an
incidental take permit. HCPs may be
developed for listed species and are
designed to minimize and mitigate
impacts to the species to the greatest
extent practicable.
We believe the following activities
could potentially result in a violation of
section 9 and associated regulations at
50 CFR 17.3 with regard to the
southwest DPS of the northern sea otter;
however, possible violations are not
limited to these actions alone:
(1) Unauthorized killing, collecting,
handling, or harassing of individual sea
otters;
(2) Possessing, selling, transporting, or
shipping illegally taken sea otters or
their pelts;
(3) Unauthorized destruction or
alteration of the nearshore marine
benthos that actually kills or injures
individual sea otters by significantly
impairing their essential behavioral
patterns, including breeding, feeding or
sheltering; and,
(4) Discharge or dumping of toxic
chemicals, silt, or other pollutants (i.e.,
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sewage, oil, pesticides, and gasoline)
into the nearshore marine environment
that actually kills or injures individual
sea otters by significantly impairing
their essential behavioral patterns,
including breeding, feeding or
sheltering.
We will review other activities not
identified above on a case-by-case basis
to determine whether they may be likely
to result in a violation of section 9 of the
Act. We do not consider these lists to be
exhaustive and provide them as
information to the public. You may
direct questions regarding whether
specific activities may constitute a
violation of section 9 to the Field
Supervisor, U.S. Fish and Wildlife
Service, Anchorage Ecological Services
Field Office, 605 West 4th Avenue,
Room G–62, Anchorage, Alaska 99501.
Executive Order 13211
On May 18, 2001, the President issued
Executive Order 13211 on regulations
that significantly affect energy supply,
distribution, and use. Executive Order
13211 requires agencies to prepare
Statements of Energy Effects when
undertaking certain actions. This rule is
not expected to significantly affect
energy supplies, distribution, or use.
Therefore, this action is not a significant
energy action and no Statement of
Energy Effects is required.
National Environmental Policy Act
We have determined that we do not
need to prepare an Environmental
Assessment and/or an Environmental
Impact Statement as defined under the
authority of the National Environmental
Policy Act of 1969, in connection with
regulations adopted pursuant to section
4(a) of the Act. We published a notice
outlining our reasons for this
determination in the Federal Register
on October 25, 1983 (48 FR 49244).
Paperwork Reduction Act
This rule does not contain any new
collections of information that require
approval of the Office of Management
and Budget (OMB) under the Paperwork
Reduction Act, 44 U.S.C. 3501 et seq.).
This final rule will not impose new
recordkeeping or reporting requirements
on State or local governments,
individuals, business, or organizations.
We may not conduct or sponsor, and a
person is not required to respond to, a
collection of information unless it
displays a currently valid OMB control
number.
References Cited
A complete list of all references cited
in this final rule is available upon
request. You may request a list of all
references cited in this document from
the Supervisor, Marine Mammals
Management Office (see ADDRESSES).
Species
Vertebrate population where endangered or threatened
Historic range
Common name
Scientific name
Author
The primary author of this rule is
Douglas M. Burn, Marine Mammals
Management Office (see ADDRESSES).
List of Subjects in 50 CFR Part 17
Endangered and threatened species,
Exports, Imports, Reporting and
recordkeeping requirements,
Transportation.
Regulation Promulgation
Accordingly, we amend part 17,
subchapter B of chapter I, title 50 of the
Code of Federal Regulations, as set forth
below:
I
PART 17—[AMENDED]
1. The authority citation for part 17
continues to read as follows:
I
Authority: 16 U.S.C. 1361–1407; 16 U.S.C.
1531–1544; 16 U.S.C. 4201–4245; Pub. L. 99–
625, 100 Stat. 3500, unless otherwise noted.
2. Section 17.11(h) is amended by
adding the following, in alphabetical
order under MAMMALS, to the List of
Endangered and Threatened Wildlife to
read as follows:
I
§ 17.11 Endangered and threatened
wildlife.
*
*
*
(h) * * *
*
When
listed
Status
*
Critical
habitat
Special
rules
MAMMALS
*
Otter, northern sea
*
Enhydra lutris
kenyoni.
*
*
U.S.A. (AK, WA) ....
*
*
Southwest Alaska,
from Attu Island
to Western Cook
Inlet, including
Bristol Bay, the
Kodiak Archipelago, and the
Barren Islands.
*
*
*
T
*
....................
*
*
Dated: August 1, 2005.
Marshall P. Jones, Jr.,
Acting Director, Fish and Wildlife Service.
[FR Doc. 05–15718 Filed 8–4–05; 2:04 pm]
BILLING CODE 4310–55–P
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*
NA
NA
*
Agencies
[Federal Register Volume 70, Number 152 (Tuesday, August 9, 2005)]
[Rules and Regulations]
[Pages 46367-46386]
From the Federal Register Online via the Government Printing Office [www.gpo.gov]
[FR Doc No: 05-15718]
[[Page 46365]]
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Part VI
Department of the Interior
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Fish and Wildlife Service
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50 CFR Part 17
Endangered and Threatened Wildlife and Plants; Determination of
Threatened Status and Special Rule for the Southwest Alaska Distinct
Population Segment of the Northern Sea Otter (Enhydra lutris keny
[[Page 46366]]
oni); Final Rule and Proposed Rule
Federal Register / Vol. 70, No. 152 / Tuesday, August 9, 2005 / Rules
and Regulations
-----------------------------------------------------------------------
DEPARTMENT OF THE INTERIOR
Fish and Wildlife Service
50 CFR Part 17
RIN 1018-AI44
Endangered and Threatened Wildlife and Plants; Determination of
Threatened Status for the Southwest Alaska Distinct Population Segment
of the Northern Sea Otter (Enhydra lutris kenyoni)
AGENCY: Fish and Wildlife Service, Interior.
ACTION: Final rule.
-----------------------------------------------------------------------
SUMMARY: We, the Fish and Wildlife Service (Service), determine
threatened status for the southwest Alaska distinct population segment
of the northern sea otter (Enhydra lutris kenyoni) under the authority
of the Endangered Species Act of 1973, as amended (Act). Once
containing more than half of the world's sea otters, this population
segment has undergone an overall population decline of at least 55-67
percent since the mid-1980s. In some areas within southwest Alaska, the
population has declined by over 90 percent during this time period.
This final rule extends the Federal protection and recovery provisions
of the Act to this population segment.
DATES: This rule is effective on September 8, 2005.
ADDRESSES: The complete file for this final rule is available for
inspection, by appointment, during normal business hours at the Marine
Mammals Management Office, U.S. Fish and Wildlife Service, 1011 East
Tudor Road, Anchorage, Alaska 99503.
FOR FURTHER INFORMATION CONTACT: Douglas Burn, (see ADDRESSES)
(telephone 907/786-3800; facsimile 907/786-3816).
SUPPLEMENTARY INFORMATION:
Background
This section has been updated from the proposed rule to incorporate
comments from peer reviewers, and to include new survey results
collected in 2003 and 2004.
The sea otter (Enhydra lutris) is a mammal in the family Mustelidae
and it is the only species in the genus Enhydra. The overall range of
E. lutris from northern Japan to southern California is approximately
10,000 kilometers (km) (6,212 miles (mi)). There are three recognized
subspecies (Wilson et al. 1991): E. l. lutris, known as the northern
sea otter, occurs in the Kuril Islands, Kamchatka Peninsula, and
Commander Islands in Russia; E. l. kenyoni, also known as the northern
sea otter, has a range that extends from the Aleutian Islands in
southwestern Alaska to the coast of the State of Washington; and E. l.
nereis, known as the southern sea otter, occurs in coastal southern
California. The taxonomy of sea otters is complicated by the lack of
historical information prior to their discovery in 1741, as well as the
population bottlenecks (reductions in genetic diversity as a result of
small population sizes) that resulted from commercial fur harvests that
extirpated the species throughout much of its range. Figure 1 in the
Proposed Rule illustrates the approximate ranges of the three currently
recognized subspecies.
The two subspecies of northern sea otter (E. l. kenyoni and E. l.
lutris) are separated by an expanse of open water that measures
approximately 320 km (200 mi) between the Near Islands of the United
States and the Commander Islands in Russia. Wide, deep-water passes
serve as a barrier to sea otter movements (Kenyon 1969), and
interchange between these two subspecies is considered to be low. (See
later sections on food habits and animal movements.) Genetic analyses
show some similarities between sea otters in the Commander Islands and
Alaska (Cronin et al. 1996), which indicates that movements between
these areas has occurred, at least over evolutionary/geologic time
scales.
The southernmost extent of the range of E. l. kenyoni is in
Washington state and British Columbia, and is the result of
translocations of sea otters from Alaska between 1969 and 1972 (Jameson
et al. 1982). The Washington and British Columbia population is
separated from the nearest sea otters in Alaska by a distance roughly
of 483 km (300 mi) to the north, and is separated from the southern sea
otter (E. l. nereis) by a distance of more than 965 km (600 mi) to the
south.
It is the smallest marine mammal in the world, except for the South
American marine otter (Lontra (= Lutra) felina) (Reidman and Estes
1990). Adult males average 130 centimeters (cm) (4.3 feet (ft)) in
length and 30 kilograms (kg) (66 pounds (lb)) in weight; adult females
average 120 cm (3.9 ft) in length and 20 kg (44 lb) in weight (Kenyon
1969). The northern sea otter in Russian waters (E. l. lutris) is the
largest of the three subspecies, characterized as having a wide skull
with short nasal bones (Wilson et al. 1991). The southern sea otter (E.
l. nereis) is smaller and has a narrower skull with a long rostrum and
small teeth. The northern sea otter in Alaska (E. l. kenyoni) is
intermediate in size and has a longer mandible than either of the other
two subspecies.
Sea otters lack the blubber layer found in most marine mammals and
depend entirely upon their fur for insulation (Riedman and Estes 1990).
Their pelage consists of a sparse outer layer of guard hairs and an
underfur that is the densest mammalian fur in the world, averaging more
than 100,000 hairs per square centimeter (645,000 hairs per square
inch) (Kenyon 1969). As compared to pinnipeds (seals and sea lions)
that have a distinct molting season, sea otters molt gradually
throughout the year (Kenyon 1969).
Sea otters have a relatively high rate of metabolism as compared to
land mammals of similar size (Costa 1978; Costa and Kooyman 1982,
1984). To maintain the level of heat production required to sustain
them, sea otters eat large amounts of food, estimated at 23-33 percent
of their body weight per day (Riedman and Estes 1990). Sea otters are
carnivores that primarily eat a wide variety of benthic (living in or
on the sea floor) invertebrates, including sea urchins, clams, mussels,
crabs, and octopus. In some parts of Alaska, sea otters also eat
epibenthic (living upon the sea floor) fishes (Estes et al. 1982; Estes
1990).
Much of the marine habitat of the sea otter in southwest Alaska is
characterized by a rocky substrate. In these areas, sea otters
typically are concentrated between the shoreline and the outer limit of
the kelp canopy (Riedman and Estes 1990), but can also occur further
seaward. Sea otters also inhabit marine environments that have soft
sediment substrates, such as Bristol Bay and the Kodiak archipelago. As
communities of benthic invertebrates differ between rocky and soft
sediment substrate areas, so do sea otter diets. In general, prey
species in rocky substrate habitats include sea urchins, octopus, and
mussels, while in soft substrates, clams dominate the diet.
Sea otters are considered a keystone species, strongly influencing
the species composition and diversity of the nearshore marine
environment they inhabit (Estes et al. 1978). For example, studies of
subtidal communities in Alaska have demonstrated that, when sea otters
are abundant, epibenthic herbivores such as sea urchins will be present
at low densities whereas kelp, which are consumed by sea urchins, will
flourish. Conversely, when sea otters are absent, grazing by abundant
sea urchin populations creates areas of low kelp abundance, known as
urchin barrens (Estes and Harrold 1988).
Sea otters generally occur in shallow water areas near the
shoreline. They
[[Page 46367]]
primarily forage in shallow water areas less than 100 meters (m) (328
ft) in depth, and the majority of all foraging dives take place in
waters less than 30 m (98 ft) in depth (Bodkin et al. 2004). As water
depth is generally correlated with distance to shore, sea otters
typically inhabit waters within 1-2 km (0.62-1.24 mi) of shore (Riedman
and Estes 1990). While sea otters can also be found at greater
distances from shore, this typically occurs in areas of, or near,
shallow water. For example, a broad shelf of shallow water extends
several miles from shore in Bristol Bay, along the north side of the
Alaska Peninsula. Prior to the onset of the sea otter population
decline (described below), large rafts of sea otters were commonly
observed above this shelf of shallow water at distances as far as 40 km
(25 mi) from shore (Schneider 1976).
Movement patterns of sea otters have been influenced by the
processes of natural population recolonization and the translocation of
sea otters into former habitat. While sea otters have been known to
make long distance movements up to 350 km (217 mi) over a relatively
short period of time when translocated to new or vacant habitat (Ralls
et al. 1992), the home ranges of sea otters in established populations
are relatively small. Once a population has become established and has
reached equilibrium density within the habitat, movement of individual
sea otters appears to be largely dictated by environmental and social
factors, including gender, breeding status, age, climatic variables
(e.g. weather, tidal state, season), and human disturbance, as
described below.
Home range and movement patterns of sea otters vary depending on
the gender and breeding status of the otter. In the Aleutian Islands,
breeding males remain for all or part of the year within the bounds of
their breeding territory, which constitutes a length of coastline
anywhere from 100 m (328 ft) to approximately 1 km (0.62 mi). Sexually
mature females have home ranges of approximately 8-16 km (5-10 mi),
which may include one or more male territories. Male sea otters that do
not hold territories may move greater distances between resting and
foraging areas than territorial males (Lensink 1962, Kenyon 1969,
Riedman and Estes 1990, Estes and Tinker 1996).
Juvenile males (1-2 years of age) are known to disperse later and
for greater distances, up to 120 km (75 mi), from their natal (birth)
area than 1-year-old females, for which the greatest distance traveled
was 38 km (23.6 mi) (Garshelis and Garshelis 1984, Monnett and
Rotterman 1988, Riedman and Estes 1990). Intraspecific aggression
between breeding males and juvenile sea otters may cause juvenile
otters to move from their natal areas to lower quality habitat (Ralls
et al. 1996), and survival of juvenile sea otters, though highly
variable, is influenced by intraspecific aggression and dispersal
(Ballachey et al. 2003).
Sea otter movements are also influenced by local climatic
conditions such as storm events, prevailing winds, and in some areas,
tidal states. Sea otters tend to move to protected or sheltered waters
(bays, inlets, or lees) during storm events or high winds. In calm
weather conditions, sea otters may be encountered further from shore
(Lensink 1962, Kenyon 1969). In the Commander Islands, Russia, weather,
season, time of day, and human disturbance have been cited as factors
that induce sea otter movement (Barabash-Nikiforov 1947, Barabash-
Nikiforov et al. 1968).
Due to their dependence on shallow-water feeding areas, most sea
otters in Alaska occur within State-owned waters, which include the
area from mean high tide to 4.8 km (3 mi) offshore, and any that go
further offshore are within the U.S. Exclusive Economic Zone, which
extends 370.4 km (200 nautical miles) seaward from the coast of the
United States.
While sea otters typically rest in the water, they can also haul
out and rest on shore (Kenyon 1969). Female sea otters typically give
birth in the water, however, they have also been observed to give birth
while on shore (Barabash-Nikiforov et al. 1968, Jameson 1983). Although
they typically haul out and remain close to the water's edge, sea
otters have been observed on land at distances up to several hundred
meters from the water (Riedman and Estes 1990). The majority of coastal
lands within the range of the southwest Alaska population of the
northern sea otter are part of the Service's National Wildlife Refuge
(NWR) system, including Alaska Maritime NWR, Izembek NWR, Alaska
Peninsula/Becharof NWR, and Kodiak NWR. The National Park Service also
has large parcels of coastal lands in southwest Alaska, including
Katmai National Park and Aniakchak National Monument and Preserve. The
vast majority of remaining coastal lands in southwest Alaska are owned
by the State of Alaska and Alaska Native Corporations. Privately owned
lands constitute a very minor proportion of coastal lands in southwest
Alaska.
Female sea otters in Alaska live an estimated 15-20 years, while
male lifespan appears to be about 10-15 years (Calkins and Schneider
1985). First-year survival of sea otter pups is generally substantially
lower than that for prime age (2-10 years old) animals (Monson and
DeGange 1995, Monson et al. 2000). Male sea otters appear to reach
sexual maturity at 5-6 years of age (Schneider 1978, Garshelis 1983).
The average age of sexual maturity for female sea otters is 3-4 years,
but some appear to reach sexual maturity as early as 2 years of age.
The presence of pups and fetuses at different stages of development
throughout the year suggests that reproduction occurs at all times of
the year. Most areas that have been studied show evidence of one or
more seasonal peaks in pupping (Rotterman and Simon-Jackson 1988).
Similar to other mustelids, sea otters can have delayed
implantation of the blastocyst (developing embryo) (Sinha et al. 1966).
As a result, pregnancy can have two phases: from fertilization to
implantation, and from implantation to birth (Rotterman and Simon-
Jackson 1988). The average time between copulation and birth is 6-7
months. Female sea otters typically will not mate while accompanied by
a pup (Lensink 1962; Kenyon 1969; Schneider 1978; Garshelis et al.
1984). The interval between pups is typically 1 year.
Estes (1990) estimated population growth rates ranging from 17-20
percent per year for four northern sea otter populations expanding into
unoccupied habitat. While Bodkin et al. (1999) also reported similar
population growth rates, they also note that population growth rates in
translocated populations were significantly greater than for remnant
populations. After the initial period of growth, populations typically
reach an equilibrium density, defined as the average density,
relatively stable over time, that can be supported by the habitat
(Estes 1990).
Distribution and Status
Historically, sea otters occurred throughout the coastal waters of
the north Pacific Ocean, from the northern Japanese archipelago around
the north Pacific rim to central Baja California, Mexico. The historic
distribution of sea otters is depicted in Figure 2 of the Proposed
Rule.
Prior to commercial exploitation, the range-wide estimate for the
species was 150,000-300,000 individuals (Kenyon 1969, Johnson 1982).
Commercial hunting of sea otters began shortly after the Bering/
Chirikof expedition to Alaska in 1741. Over the next 170 years, sea
otters were hunted to the brink of extinction first by Russian, and
later by American, fur hunters.
[[Page 46368]]
Sea otters became protected from commercial harvests under the
International Fur Seal Treaty of 1911, when only 13 small remnant
populations were known to still exist (Figure 2 in the Proposed Rule).
The entire species at that time may have been reduced to only 1,000-
2,000 animals. Two of the 13 remnant populations (Queen Charlotte
Island and San Benito Islands) subsequently became extinct (Kenyon
1969, Estes 1980). The remaining 11 populations began to grow in
number, and expanded to recolonize much of the former range. Six of the
remnant populations (Rat Islands, Delarof Islands, False Pass, Sandman
Reefs, Shumagin Islands, and Kodiak Island) were located within the
bounds of what we now recognize as the southwest Alaska population of
the northern sea otter (see Distinct Vertebrate Population Segment).
All 6 of these remnant populations grew during the first 50 years
following protection from further commercial hunting. At several
locations in the Aleutian Islands, the rapid growth of sea otter
populations appears to have initially exceeded the carrying capacity of
the local environment, as sea otter abundance at these islands then
declined, either by starvation or emigration, eventually reaching
equilibrium density (Kenyon 1969).
Population Trends of Sea Otters in Southwest Alaska
The following discussion of population trends is related to the
southwest Alaska distinct population segment of sea otters addressed in
this final rule. The southwest Alaska population ranges from Attu
Island at the western end of Near Islands in the Aleutians, east to
Kamishak Bay on the western side of lower Cook Inlet, and includes
waters adjacent to the Aleutian Islands, the Alaska Peninsula, the
Kodiak archipelago, and the Barren Islands (see Figure 3 of the
Proposed Rule).
Survey methods vary in different locations. In some parts of
southwest Alaska, sea otters have been counted from boats or aircraft
within a narrow band of water adjacent to the shoreline; in others,
transects have been used to sample an area, and the resulting sea otter
density is extrapolated to generate a population estimate for the
entire study area. Like survey efforts of most species, detection of
all the individuals present is not always possible. Sea otters spend
considerable time under water, and it is not possible to detect
individuals that are below the surface at the time a survey is
conducted. Also, observers do not always detect every individual
present on the surface. Only a few surveys have been conducted using
methods that allow for calculation of a correction factor to adjust for
the estimated proportion of otters not detected by observers. One way
to make this adjustment requires an independent estimate of the actual
number of otters present in an area, also known as ``ground-truth,''
combined with the regular survey data in order to calculate a
correction factor to adjust for sea otters not detected during the
survey. Thus, survey results can be of several types: they can be
direct counts or estimates, either of which may be adjusted or
unadjusted for sea otters not detected by observers. In areas where we
compare unadjusted sea otter counts or estimates, we assume that there
is no significant difference between the proportion of otters not
detected by observers.
In the following discussion of population trends, results are
presented separately for surveys conducted in the Aleutian Islands, the
Alaska Peninsula, the Kodiak Archipelago, and Kamishak Bay. For the
Alaska Peninsula, results are presented for various surveys that have
been conducted for north Peninsula offshore areas, south Peninsula
offshore areas, south Alaska Peninsula Islands, and the South Alaska
Peninsula shoreline. The general locations of the survey areas are
depicted in Figure 4 A-D of the Proposed Rule.
Unless otherwise specified, the survey results are unadjusted for
otters not detected by observers. Within each study area, recent
surveys were conducted using methods similar to those used in the past,
so that counts or estimates would be as comparable as possible with
baseline information for that area. Although there may be slight
differences in the time of year that surveys were conducted, we do not
believe these timing differences hinder comparisons of survey results
because otters are likely to remain in the same general area, as they
are not migratory. A summary of sea otter survey data from each survey
area within the southwest Alaska population is presented in Table 1,
followed by a narrative description of the results for each area.
Table 1.--Summary of Sea Otter Population Surveys in Southwest Alaska
[Estimates include 95 percent confidence intervals where available. Estimates for the Kodiak archipelago and
Kamishak Bay are the only values adjusted for sea otters not detected.]
----------------------------------------------------------------------------------------------------------------
Survey area Year Count or estimate Source
----------------------------------------------------------------------------------------------------------------
Aleutian Islands............... 1965 9,700........................ Kenyon (1969).
1992 8,048........................ Evans et al. (1997).
2000 2,442........................ Doroff et al. (2003).
North Alaska Peninsula Offshore 1976 11,681....................... 9,215 3,709 (AUG)
Areas. * 1986 6,474 2,003 7,539 2,103 (OCT)
(JUN). Schneider (1976).
Brueggeman et al. (1988),
Burn and Doroff (2005).
...................................
2000 4,728 3,023 Burn and Doroff (2005).
(MAY).
South Alaska Peninsula Offshore * 1986 13,900 6,456 Brueggeman et al. (1988),
Areas. ........... (MAR). Burn and Doroff (2005).
........... 14,042 5,178
(JUN).
17,500 5,768
(OCT).
2001 1,005 1,597 Burn and Doroff (2005).
(APR).
South Alaska Peninsula Islands. 1962 2,195........................ Kenyon (1969).
1986 2,122........................ Brueggeman et al. (1988).
1989 1,589........................ DeGange et al. (1995).
2001 405.......................... Burn and Doroff (2005).
South Alaska Peninsula 1989 2,632........................ DeGange et al. (1995).
Shoreline. 2001 2,651........................ Burn and Doroff (2005).
Kodiak Archipelago............. 1989 13,526 2,350.... DeGange et al. (1995).
1994 9,817 5,169..... Doroff et al. (in prep.).
[[Page 46369]]
2001 5,893 2,630..... Doroff et al. (in prep.).
2004 6,284 1,807..... Doroff et al. (in prep.).
Kamishak Bay................... 2002 6,918 4,271..... USGS in litt. (2002).
----------------------------------------------------------------------------------------------------------------
*Estimates recalculated by the Service (Burn and Doroff 2005) from original data of Brueggeman et al. (1988).
Aleutian Islands
The first systematic, large-scale population surveys of sea otters
in the Aleutian Islands (Figure 4A of the Proposed Rule) were conducted
from 1957 to 1965 by Kenyon (1969). The descendants of two remnant
colonies had expanded throughout the Rat, Delarof, and western
Andreanof Island groups. The total unadjusted count for the entire
Aleutian archipelago during the 1965 survey was 9,700 sea otters. In
1965, sea otters were believed to have reached equilibrium densities
throughout roughly one-third of the Aleutian archipelago, ranging from
Adak Island in the east to Buldir Island in the west (Estes 1990).
Islands in the other two-thirds of the archipelago had few sea otters,
and researchers expected additional population growth in the Aleutians
to occur through range expansion.
From the mid-1960's to the mid-1980's, otters expanded their range,
and presumably their numbers as well, until they had recolonized all
the major island groups in the Aleutians. Although the maximum size
reached by the sea otter population is unknown, a habitat-based
computer model estimates that the population in the late-1980s may have
numbered approximately 74,000 individuals in the Aleutians (Burn et al.
2003).
In a 1992 aerial survey of the entire Aleutian archipelago, we
counted a total of 8,048 otters (Evans et al. 1997), approximately
1,650 (19 percent) fewer than the total reported for the 1965 survey.
Although sea otters had recolonized all major island groups, they had
unexpectedly declined in number by roughly 50 percent in portions of
the western and central Aleutians since 1965, based on a comparison of
the 1965 and 1992 survey results. Sea otter surveys conducted from
skiffs during the mid-1990s also indicated substantial declines at
several islands in the western and central Aleutians (Estes et al.
1998). It was not known at the time if these observed declines were
representative of the entire Aleutian sea otter population or merely a
local phenomenon.
In April 2000, we conducted another complete aerial survey of the
Aleutian archipelago. We counted 2,442 sea otters, which is a 70-
percent decline from the count 8 years previously (Doroff et al. 2003).
Along the more than 5,000 km (3,107 miles) of shoreline surveyed, sea
otter density was at a uniformly low level, which clearly indicated
that sea otter abundance had declined throughout the archipelago.
The aerial and skiff survey data both indicate that the onset of
the decline began in the latter half of the 1980s or early 1990s.
Doroff et al. (2003) calculated that the decline proceeded at an
average rate of -17.5 percent per year in the Aleutians. Although
otters declined in all island groups within the archipelago, the
greatest declines were observed in the Rat, Delarof, and Andreanof
Island groups. This result was unexpected, as the remnant colonies in
these island groups were the first to recover from the effects of
commercial harvest, and sea otters were believed to have been at
equilibrium density at most of these islands in the mid-1960s.
Doroff et al. (2003) used skiff-based counts at six islands in the
western and central Aleutians as ground-truth data, and calculated that
aerial observers detected roughly 28 percent of the sea otters present.
Adjusting for otters not detected by observers, the estimated
population size in April 2000 was 8,742 sea otters. Additional skiff-
based surveys at these islands conducted in the summer of 2003
indicated that the sea otter population has declined by a further 63
percent at an estimated annual rate of 29 percent per year (Estes et
al. 2005). If the declines at these islands are representative of the
Aleutian archipelago as a whole, the entire population in this area may
number as few as 3,311 individuals.
In July 2004, we also conducted aerial surveys of sea otters at
several islands in the eastern Aleutians using the same methods as the
2000 survey. Due to dense fog, we were only able to survey 223 km of
the total shoreline (62 percent). In 2000 we counted 73 otters within
this surveyed area, but only 38 otters there in 2004; a decline of 48
percent, at an estimated annual rate of 15 percent per year (USFWS in
litt.). These results indicate that similar to the western and central
Aleutians, the sea otter decline has not abated in the eastern
Aleutians.
Alaska Peninsula
Three remnant colonies (at False Pass, Sandman Reefs, and Shumagin
Islands) were believed to have existed near the western end of the
Alaska Peninsula after commercial fur harvests ended in 1911 (Kenyon
1969). During surveys in the late 1950s and early 1960s, substantial
numbers of sea otters were observed between Unimak Island and Amak
Island (2,892 in 1965) on the north side of the Peninsula, and around
Sanak Island and the Sandman reefs (1,186 in 1962), and the Shumagin
Islands on the south side (1,352 in 1962) (Kenyon 1969).
As summarized in Table 1 and described below, surveys of sea otters
along the Alaska Peninsula have covered four areas, with the same
method used in a given area. For the north Alaska Peninsula offshore
area (Figure 4B of the Proposed Rule), shoreline counts are not an
appropriate survey method due to the broad, shallow shelf in Bristol
Bay, a condition under which sea otters occur further from the shore
than elsewhere. Consequently, the north Alaska Peninsula offshore area
has been surveyed from aircraft using north-south transects extending
from the shoreline out over the shelf. Using this method, Schneider
(1976) calculated an unadjusted population estimate of 11,681 sea
otters on the north side of the Alaska Peninsula in 1976, which he
believed to have been within the carrying capacity for that area.
Brueggeman et al. (1988) conducted replicate surveys of the same area
during three time periods in 1986. We re-analyzed the original 1986
survey data to address computational errors in the survey report; our
re-calculated estimates range from 6,474-9,215 sea otters for this area
for the three surveys in 1986 (Burn and Doroff 2005). In May 2000, we
replicated the survey design of Brueggeman et al. (1988) using
identical
[[Page 46370]]
survey methods. The 2000 survey estimate of 4,728 sea otters indicates
abundance on the north side of the Alaska Peninsula had fallen by 27-49
percent in comparison with the minimum and maximum point estimates of
the 1986 survey (Burn and Doroff 2005).
The largest aggregations of sea otters in May 2000 were observed in
Port Moller. This concentration of sea otters has been described as a
seasonal phenomenon, as surveys conducted later in the summer have not
recorded similar numbers of sea otters (B. Murphy, Alaska Department of
Fish and Game, in litt. 2002). To test this assumption, we conducted
sea otter surveys in the Port Moller, Herendeen Bay, and Nelson Lagoon
areas in May and July 2004 (USFWS in litt. 2004). Sea otter abundance
was high during both survey periods, so it is not clear to what degree
there may be seasonal use of these areas.
Offshore areas on the south side of the Alaska Peninsula (Figure 4B
of the Proposed Rule) were surveyed at three different time periods in
1986 (Brueggeman et al. 1988). Noting computational errors in the
survey report, we re-analyzed the original 1986 survey data, resulting
in estimates of 13,900-17,500 sea otters for the three surveys
conducted in 1986 (Burn and Doroff 2005). We replicated the survey in
April 2001, when our estimate of 1,005 otters for the south Alaska
Peninsula offshore area indicated a decline in abundance of at least 93
percent when compared with the minimum and maximum point estimates in
this area from the 1986 surveys. Specific areas of high sea otter
concentrations in 1986, such as Sandman Reefs, were almost devoid of
sea otters when surveyed in 2001 (Burn and Doroff 2005).
Several island groups along the south side of the Alaska Peninsula
(Figure 4C of the Proposed Rule; Pavlof and Shumagin Islands, as well
as Sanak, Caton, and Deer Islands) are another survey area. In 1962,
Kenyon (1969) counted 1,900 otters along these islands. Twenty-four
years later, in 1986, Brueggeman et al. (1988) counted 2,122 otters in
the same survey area. In 1989, DeGange et al. (1995) counted 1,589
otters along the shorelines of the islands that had been surveyed in
1962 and 1986, which was approximately 16-28 percent fewer sea otters
than were reported in the earlier counts. This decrease was the first
indication of a sea otter population decline in the area of the Alaska
Peninsula. When we counted sea otters in these island groups in 2001,
we recorded only 405 individuals (Burn and Doroff 2005), which is an
81-percent decline from the 1986 count reported by Brueggeman et al.
(1988). We conducted additional aerial surveys at 13 of these islands
in May and July of 2004 using similar methods as in 2001. Sea otter
counts at these islands declined a further 33 percent from 268 to 179
in the past 3 years (USFWS in litt. 2004). Similar to recent surveys in
the Aleutians, these results indicate that the sea otter population
decline in this area has not abated.
The southern shoreline of the Alaska Peninsula from False Pass to
Cape Douglas (Figure 4D of the Proposed Rule) is another survey area.
In 1989, DeGange et al. (1995) counted 2,632 sea otters along this
stretch of shoreline. In 2001 we counted 2,651 sea otters (Burn and
Doroff 2005), nearly the same as the 1989 count. When we subdivided and
compared the results for the eastern and western components of the
survey areas, we found that sea otter density along the eastern end of
the Peninsula, from Cape Douglas to Castle Cape, increased
approximately 4 percent, from 1989 to 2001 (Burn and Doroff 2005). For
the western end of the Peninsula from False Pass to Castle Cape,
however, there was evidence of a population decline, with sea otter
density falling by 35 percent over the same time period. We also
counted 42 sea otters along the shoreline of Unimak Island in 2001, but
there is no suitable baseline data for comparison. Based on what is
known about sea otter movements and the distance between the eastern
and western ends of the Peninsula, we believe that it is unlikely that
these observations represent a change in distribution. In May 2004 we
conducted an aerial survey of Sutwick Island and counted only 23 sea
otters along the shoreline. In May 2001 we counted 73 otters in this
area, which is further evidence that the sea otter decline in southwest
Alaska has not abated (USFWS in litt).
The results from the different survey areas along the Alaska
Peninsula indicate various rates of change. Overall, the combined
counts for the Peninsula have declined by 65-72 percent since the mid-
1980s, based on the data presented in Table 1.
We have calculated an estimate of the sea otter population for the
entire Alaska Peninsula using the most recent survey data, including an
adjustment for otters not detected by observers. In making this
calculation, we first revised the combined total number of sea otters
observed during the most recent surveys (8,789), to account for
potential double-counting in an area of overlap between two of the
study areas along the Peninsula. We then multiplied this revised number
of otters (8,328) by the correction factor of 2.38 provided by Evans et
al. (1997) for the type of aircraft used, to account for otters not
detected by observers. The result is an adjusted estimate of 19,821 sea
otters along the Alaska Peninsula as of 2001.
Kodiak Archipelago
One of the remnant sea otter colonies in southwest Alaska is
thought to have occurred at the northern end of the Kodiak archipelago
(Figure 4D of the Proposed Rule), near Shuyak Island. In 1959, Kenyon
(1969) counted 395 sea otters in the Shuyak Island area. Over the next
30 years, the sea otter population in the Kodiak archipelago grew in
numbers, and its range expanded southward around Afognak and Kodiak
Islands (Schneider 1976, Simon-Jackson et al. 1984, Simon-Jackson et
al. 1985). DeGange et al. (1995) surveyed the Kodiak archipelago in
1989 and calculated an adjusted population estimate of 13,526 sea
otters. In July and August 1994, we conducted an aerial survey using
the methods of Bodkin and Udevitz (1999) and calculated an adjusted
population estimate of 9,817, approximately 27 percent lower than the
estimate for 1989 (Doroff et al. in prep.). In June 2001, we surveyed
the Kodiak archipelago using the same observer, pilot, and methods as
in 1994. The result was an adjusted population estimate of 5,893 sea
otters for the archipelago in 2001 (Doroff et al. prep.), which is a
40-percent decline in comparison to the 1994 estimate and a 56-percent
decline from the 1989 estimate.
In summer 2004 we surveyed the Kodiak archipelago using the same
methods as in 1994 and 2001 and estimated the current population size
at 6,284 sea otters. While this represents a slight increase since
2001, the estimates are not significantly different from one another (Z
= 0.24, p = 0.81; Doroff et al. in prep.). Although these results
suggest that, in contrast to the Aleutian archipelago and Alaska
Peninsula study areas, the sea otter population in the Kodiak
archipelago likely has not declined in the past several years; the
current estimate remains 36 percent lower than in 1994, and 54 percent
lower than in 1989.
Kamishak Bay
Kamishak Bay is located on the west side of lower Cook Inlet, north
of Cape Douglas (Figure 4D of the Proposed Rule). In the summer of
2002, the U.S. Geological Survey (USGS), Biological Resources
Discipline conducted an aerial survey of lower Cook Inlet and the
[[Page 46371]]
Kenai Fiords area. This survey was designed, in part, to estimate sea
otter abundance in Kamishak Bay. The method used was identical to that
of the 2001 aerial survey of the Kodiak archipelago, which includes a
correction factor for sea otters not detected by the observer (Bodkin
and Udevitz 1999). Sea otters were relatively abundant within Kamishak
Bay during the 2002 survey, with numerous large rafts of sea otters
observed. The adjusted estimate for the current sea otter population
size in Kamishak Bay is 6,918 (USGS in litt. 2002). As no previous
estimates for Kamishak Bay exist, the population trend for this area is
unknown.
Overall Comparison
The history of sea otters in southwest Alaska is one of commercial
exploitation to near extinction (1742 to 1911), protection under the
International Fur Seal Treaty (1911), and population recovery (post-
1911). By the mid-to late-1980s, sea otters in southwest Alaska had
grown in numbers and recolonized much of their former range. The
surveys conducted in various areas, described above, provide
information about the geographic extent and magnitude of declines
within those areas. Due to differences in the years of the various
baseline surveys for different areas (1962, 1965, 1976, 1989), it is
difficult to combine those surveys as a basis for estimating the
overall size of the sea otter population throughout southwest Alaska at
the onset of the decline. Therefore, as part of our effort to evaluate
information reflecting the overall magnitude of the decline, we also
have considered information provided by Calkins and Schneider (1985),
who summarized sea otter population estimates worldwide based on data
collected through 1976. Much of the information they present is from
unpublished Alaska Department of Fish and Game survey results, and we
include this information as it is the only comprehensive reference for
estimating the overall magnitude of the sea otter decline in southwest
Alaska.
Calkins and Schneider (1985) provided estimates from survey data
collected as of 1976, adjusted for animals not detected by observers,
for the Aleutian Islands (55,100-73,700), north Alaska Peninsula
(11,700-17,200), south Alaska Peninsula (22,000-30,000) and Kodiak
archipelago (4,000-6,000). They did not report a specific estimate for
the Kamishak Bay area, which presumably was included within their
estimate for the Kenai Peninsula and Cook Inlet area (2,500-3,500
otters), and we are assuming that half of the sea otters estimated for
Kenai Peninsula and Cook Inlet occurred in Kamishak Bay (1,250-1,750).
Combining these estimates, the sea otter population in the area
encompassing the range of the southwest Alaska population was believed
to have numbered between 94,050-128,650 animals as of 1976. As sea
otters had not yet fully recolonized southwest Alaska or reached
equilibrium density in all areas in 1976, additional population growth
was expected. Therefore, the overall population prior to the onset of
the decline in the 1980's probably was higher than the population
estimate for 1976.
Our current estimate of the size of the southwest Alaska population
of the northern sea otter, which includes the 2004 estimate for the
Kodiak archipelago, is 41,865 animals (Table 2). This estimate is based
on range-wide survey information collected from 2000-2004, and is
adjusted for animals not detected. As recent site-specific surveys
indicate the decline has not abated in the Aleutian archipelago and
south Alaska Peninsula study areas, it is possible that the current
population size in 2004 is actually lower.
Table 2.--Recent Population Estimates for the Sea Otter in Southwest Alaska
[Alaska Peninsula and Unimak Island counts are adjusted using a correction factor of 2.38 for twin-engine
aircraft surveys of sea otters according to Evans et al. (1997). Aleutian Islands, Kodiak Archipelago, and
Kamishak Bay surveys are adjusted using survey-specific correction factors.]
----------------------------------------------------------------------------------------------------------------
Unadjusted Adjusted
Survey area Year count or count or Reference
estimate estimate
----------------------------------------------------------------------------------------------------------------
Aleutian Islands.................. 2000 2,442 8,742 Doroff et al. (2003).
North Alaska Peninsula Offshore 2000 4,728 11,253 Burn and Doroff (2005).
Areas.
South Alaska Peninsula Offshore 2001 1,005 2,392 Burn and Doroff (2005).
Areas.
South Alaska Peninsula Shoreline.. 2001 a 2,190 5,212 Burn and Doroff (2005).
South Alaska Peninsula Islands.... 2001 405 964 Burn and Doroff (2005).
Unimak Island..................... 2001 42 100 Burn and Doroff (2005).
Kodiak Archipelago................ 2004 ........... 6,284 Doroff et al. (in prep.).
Kamishak Bay...................... 2002 ........... 6,918 USGS Unpublished data.
--------------
Total......................... ........... ........... 41,865
----------------------------------------------------------------------------------------------------------------
\a\ Does not include a count of 461 sea otters from False Pass to Seal Cape, which was also surveyed as part of
the south Alaska Peninsula Offshore Areas survey.
The 1976 population estimate based on the work of Calkins and
Schneider (1985) is not directly comparable to our current estimate
because of somewhat different survey approaches and estimation
techniques. Nevertheless, the results provide a basis for at least a
rough comparison of the overall extent of the decline of sea otters in
southwest Alaska. When compared to the estimate of 94,050 to 128,650
from Calkins and Schneider (1985), the current estimate of
approximately 41,865 sea otters is 52,185 to 86,785 lower, which is 55
to 67 percent less than the estimate for 1976.
Translocated Sea Otter Populations
As part of efforts to re-establish sea otters in portions of their
historical range, otters from Amchitka Island (part of the Aleutian
Islands) and Prince William Sound were translocated to other areas
outside the range of what we now recognize as the southwest Alaska
distinct population segment, but within the range of E. l. kenyoni
(Jameson et al. 1982). These translocation efforts met with varying
degrees of success. From 1965 to 1969, 412 otters (89 percent from
Amchitka Island, and 11 percent from Prince William Sound, which is in
southcentral Alaska, outside the range of the southwest Alaska DPS)
were translocated to six sites in southeast Alaska (Jameson et al.
1982). In the first 20 years following translocation, these populations
grew in numbers and expanded their range (Pitcher 1989).
[[Page 46372]]
The most recent survey of southeast Alaska, conducted in the summers of
2002 and 2003, estimated the sea otter population at just over 9,000
individuals (USGS in litt. 2003). Comparing this survey with skiff
survey data from the late 1980s, it appears that further range
expansion and population growth in southeast Alaska has not occurred in
the past decade.
Sea otters from Alaska also were translocated to Washington,
Oregon, and British Columbia, Canada, between 1969 and 1972 (Jameson et
al. 1982). Sea otters translocated to British Columbia were captured at
Amchitka Island and Prince William Sound; the otters translocated to
Washington and Oregon were captured at Amchitka Island only. The
British Columbia and Washington populations have grown in number and
expanded their range, while the Oregon population disappeared. The most
recent estimates of population size are 743 in Washington and 2,000 in
British Columbia (Jameson and Jefferies 2004; Watson et al. 1997).
Although these populations, as well as sea otters in southeast Alaska,
are at least in part descended from sea otters at Amchitka Island, they
are geographically isolated from the southwest Alaska population and
their parent population by hundreds of kilometers (see Distinct
Vertebrate Population Segment) and are not included in this proposed
listing action.
The total number of otters removed from Amchitka as part of this
translocation program was just over 600 animals (Jameson et al. 1982).
Estes (1990) estimated that the sea otter population at Amchitka Island
remained essentially stable at more than 5,000 otters between 1972 and
1986, and consequently there is no evidence that removals for the
translocation program were a contributing factor in the current
population decline.
Previous Federal Action
Based on the results of the April 2000 sea otter survey in the
Aleutian Islands, we added sea otters in the Aleutians to our list of
candidate species on August 22, 2000 (65 FR 67343). The Center for
Biological Diversity (Center) filed a petition to list the Aleutian
population of the northern sea otter as endangered on October 26, 2000.
Although the petition referred to it as the ``Aleutian population,''
the verbal description of the geographic extent corresponded to the
southwest Alaska DPS. On November 14, 2000, we received a Notice of
Intent to sue from the Center challenging our decision not to propose
to list sea otters in the Aleutians under the Act. We responded to the
Center that funds were not available during Fiscal Year 2001 to prepare
a proposed listing rule.
On August 21, 2001, we received a petition from the Center to
designate the Alaska stock of sea otters (State-wide) as depleted under
the Marine Mammal Protection Act (MMPA; 16 U.S.C. 1361 et seq.). Under
the MMPA, a marine mammal species or population stock is considered to
be depleted when it is below its Optimum Sustainable Population (OSP)
level. The OSP is defined in the MMPA as: ``the number of animals which
will result in the maximum productivity of the population or the
species, keeping in mind the carrying capacity of the habitat and the
health of the ecosystem of which they form a constituent element.'' In
accordance with the MMPA, we published a notice in the Federal Register
on September 6, 2001, announcing the receipt of this petition (66 FR
4661). On November 2, 2001, we published our finding on the petition in
the Federal Register (66 FR 55693). While we acknowledged the evidence
of a population decline in the southwest Alaska stock, the best
available information at that time suggested that the southeast Alaska
stock was increasing, and the southcentral Alaska stock was either
stable or increasing. We found that the petitioned action was not
warranted under the MMPA for the following reasons: (1) The best
estimate of the population size for the entire State of Alaska was
greater than the value presented in the petition; (2) based on the best
estimate of population size, the Alaska stock of sea otters was above
OSP level; and (3) recent information had identified the existence of
three stocks of sea otters in Alaska: southwest, southcentral, and
southeast (Gorbics and Bodkin 2001). The boundaries of these three
stocks are depicted in Figure 5 of the Proposed Rule.
We recently revised the MMPA stock assessment reports for sea
otters in Alaska. Draft stock assessment reports identifying the three
stocks of sea otters were made available for public review and comment
from March 28 to June 26, 2002 (67 FR 14959) (March 28, 2002). The sea
otter stock assessment reports were finalized on August 20, 2002, and
notice of their availability was published on October 9, 2002 (67 FR
62979).
On January 11, 2002, we received a petition from the Sea Otter
Defense Initiative (SODI), a project of the Earth Island Institute, in
Deer Isle, Maine. The petition requested that we emergency and
permanently list the southwest Alaska stock of sea otters as
endangered. We responded to SODI on February 1, 2002, informing them
that, based on the best available population estimate that we prepared
in response to the Center's petition to list the Alaska stock of sea
otters as depleted under the MMPA, an emergency listing of the
southwest Alaska stock was not warranted. We also notified SODI that we
had begun the preparation of this proposed rule during Fiscal Year
2002.
Based on additional sea otter surveys along the Alaska Peninsula
and Kodiak archipelago, and the identification of multiple stocks of
sea otters in Alaska, we expanded the candidate species designation on
June 3, 2002, to include the geographic range of the southwest Alaska
stock of the northern sea otter. Notification of this change was
included in our June 13, 2002, notice of review of candidate species
(67 FR 40657).
The Center filed a second Notice of Intent to sue on May 5, 2003,
and on December 4, 2003, the Center and the Turtle Island Restoration
Network (TIRN) filed a lawsuit against Assistant Secretary for Fish and
Wildlife and Parks Craig Manson, Secretary of the Interior Gale Norton,
and the U.S. Fish and Wildlife Service for failure to comply with non-
discretionary provisions of the Act. Specifically, the plaintiffs
challenged the defendants' determination that processing the Center's
October 26, 2000, petition was ``warranted but precluded'' by higher
listing actions. Plaintiffs also challenged the defendants' failure to
issue 90-day and 12-month findings on the petition, and for failure to
implement an effective system to monitor the status of the southwest
Alaska DPS. Finally, the plaintiffs challenged the defendants' adoption
and implementation of their 1996 Petition Management Guidance policy
for processing petitions that request the listing of candidate species.
On February 11, 2004, we published the proposed rule to list the
southwest Alaska DPS of the northern sea otter as threatened (69 FR
6600). On May 13, 2004, the December 4, 2003, lawsuit by the Center and
TIRN was voluntarily dismissed.
Summary of Comments and Recommendations
In the February 11, 2004, proposed rule, we requested all
interested parties to submit factual reports, information, and comments
that might contribute to development of a final determination. A 120-
day public comment period closed on June 10, 2004. We contacted
appropriate Federal agencies, State agencies, county and city
governments, Alaska Native Tribes and tribal organizations, scientific
organizations,
[[Page 46373]]
affected landowners and other interested parties to request comments.
The Secretary personally announced this action and issued a press
release on February 5, 2004, notifying the public of the proposed
listing and comment period. Newspaper articles appeared in the
Anchorage Daily News and Los Angeles Times on February 6, 2004, that
also notified the public about the proposed listing and comment period.
We requested 5 peer reviewers to comment on the proposed rule in
compliance with our policy, published in the Federal Register on July
1, 1994 (59 FR 34270). We held public meetings at 6 locations in
Alaska: Cold Bay (May 3, 2004), King Cove (May 4, 2004), Anchorage (May
13, 2004), Kodiak (May 19, 2004), Sand Point (May 24, 2004), and
Unalaska (May 27, 2004). These meetings were attended by approximately
50 people in total.
We received requests for public hearings in Kodiak, Unalaska, Sand
Point, and Dillingham, Alaska, and held one public hearing in Kodiak,
Alaska on May 19, 2004, immediately following a public meeting. We
published an announcement of the public hearing in the Federal Register
on May 5, 2004 (69 FR 25055), the Anchorage Daily News on May 9, 2004,
and the Kodiak Daily Mirror on May 14, 17, 18, and 19, 2004. The public
hearing was attended by 18 individuals in person, and 5 more by
teleconference.
In accordance with Secretarial Order 3225 regarding the Act and
subsistence uses in Alaska, we engaged in government-to-government
consultation with Alaska Native tribes. Since 1997, we have signed
cooperative agreements annually with The Alaska Sea Otter and Steller
Sea Lion Commission (TASSC) to fund their activities. As a tribally-
authorized Alaska Native Organization, TASSC represents the interests
of sea otter hunters throughout the State of Alaska. We attended TASSC
board meetings during the preparation of the proposed rule and public
comment period, regularly briefing their board of commissioners and
staff on relevant issues. In addition to working closely with TASSC, we
sent copies of the proposed rule to 52 Alaska Native Tribal Councils
specifically requesting their comments on this listing action.
During the public comment period, we received a total of 6,860
comments by letter (27), facsimile (4), e-mail (6,819), and public
hearing testimony (10). We received comments from Alaska Native Tribes
and tribal organizations, Federal commissions, State agencies, local
governments, commercial fishing organizations, conservation
organizations, and private citizens. Seventeen commenters opposed the
listing, and 6,831 supported it. The remaining 12 commenters expressed
neither opposition or support for the listing, but voiced concerns
about the possible effects of listing. The vast majority of comments
were the result of an organized e-mail campaign that produced 6,787
identical comments in support of the listing. Most of the comments that
were opposed to the listing were from residents of southwest Alaska.
Several comments were received after the public comment period closed.
We revised the final rule to reflect comments and information we
received during the comment period. We address substantive comments
concerning the rule below. Comments of a similar nature are grouped
together (referred to as ``Issues'' for the purpose of this summary).
Issue 1: Sea Otter Population Decline
Comment 1: One commenter stated that the current population level
of sea otters in southwest Alaska does not warrant listing under the
Act. Two other commenters noted that following protection from
commercial hunting in 1911, the sea otter population recovered from as
low as 1,000-2,000 individuals.
Our Response: Our determination that the southwest Alaska DPS of
the northern sea otter warrants listing as threatened is based on the
observed declining population trend, rather than the absolute number of
sea otters remaining. The definition of a threatened species is one
that is likely to become endangered within the foreseeable future
throughout all or a significant portion of its range. Recent surveys
conducted in 2003 and 2004 indicate that the population decline has not
abated in several areas within southwest Alaska. If the decline
continues at the observed rates, the population may become extirpated
throughout portions of its range within the next decade (Estes et al.
2005), at which point the DPS may be in danger of extinction.
Therefore, the southwest Alaska DPS of the northern sea otter meets the
definition of threatened, as it is likely to become endangered in the
foreseeable future.
Although sea otters rebounded from an estimated 1,000-2,000
individuals after the cessation of commercial hunting, those remaining
otters were distributed in 13 isolated colonies. The current
distribution of sea otters is different in that they occur throughout
their former range, but at extremely low densities in most areas.
Otters are now absent, or nearly so at some of the smaller islands in
the Aleutian archipelago to the point where it is possible that Allee
effects (reduced productivity at low population densities) may occur
(Estes et al. 2005).
The recovery of sea otters following the cessation of commercial
hunting demonstrated that the species has the potential for recovery
once the cause of its decline has been removed. As the cause of the
current decline is not known with certainty, the future recovery of the
southwest Alaska DPS of the northern sea otter is likewise uncertain.
Comment 2: Several commenters state that sea otters have not really
declined, they have simply moved to other areas.
Our Response: Aerial surveys that documented the geographic extent
and magnitude of the sea otter decline covered the vast majority of
available sea otter habitat in southwest Alaska, so it is highly
unlikely that there has been a redistribution of otters within the
region. As sea otters typically inhabit relatively small home ranges,
it is also unlikely that there has been such a large-scale emigration
of animals outside southwest Alaska. The magnitude of the decline is
estimated to be more than 50,000 otters, so it is highly unlikely that
redistribution on this scale would go unnoticed. Survey data in
adjacent areas, such as the Commander Islands, Russia to the west, and
Kachemak Bay, Kenai Fiords, and Prince William Sound to the east, do
not show population increases that would account for animal movements.
See Population Trends of Sea Otters in Southwest Alaska.
Comment 3: Several commenters were critical of the survey data used
to estimate the sea otter population size and trend. Specific
criticisms included the age of the survey data used, the length of time
between surveys, differences in timing of surveys, differences in
methods, and the variability of the estimates.
Our Response: We used the best scientific information available to
estimate sea otter population size and trend. Although some survey data
is now 3-4 years old, more recent surveys in 2003 and 2004 indicate
that the sea otter population decline has not abated. Although the
length of time between surveys makes it difficult to estimate the onset
of the population decline, it does not affect our ability to estimate
the magnitude of the decline. Differences in timing of surveys is
likely not a factor because study areas were large enough that movement
of individual otters would have minimal effect on the overall
population estimate. To the greatest extent possible, aerial surveys
[[Page 46374]]
of sea otters in southwest Alaska have been conducted using similar
methods to earlier surveys to allow for direct comparison of results.
While some of the sea otter population estimates (such as the pre-
decline surveys along the Alaska Peninsula) have considerable
variability, the magnitude of the decline in these areas is so great
that the likelihood that the population has not declined is exceedingly
small.
Comment 4: Several commenters questioned whether sea otters have
declined in some areas within southwest Alaska. Three commenters stated
that there has been no decline of sea otters in the Kodiak archipelago,
and five commenters cited survey data that suggests the population at
Unalaska Island has been stable for the past 4 years.
Our Response: The results of our summer 2004 aerial survey of the
Kodiak archipelago indicate that the sea otters in this area may not
have continued to decline since 2001; however, the two estimates are
not significantly different statistically. The current estimate remains
36 percent lower than in 1994, and 54 percent lower than in 1989
(Doroff et al. in prep.).
Doroff et al. (2003) estimated that the onset of the decline in the
Aleutians occurred in the late 1980s or early 1990s. In 1992, observers
recorded 554 sea otters along the shoreline of Unalaska island. In
2000, only 374 otters were observed, which is a decline of 32 percent
over the intervening 8-year period. By the time that skiff survey data
from Unalaska were collected beginning in 1999, the majority of the
decline had already occurred. It is not possible to determine sea otter
population trends from the Unalaska skiff survey data, as it has not
been standardized by the amount of survey effort to allow for a valid
comparison over time.
Comment 5: Several commenters stated that the sea otters have
exceeded the carrying capacity of the environment, and that decline is
part of a natural cycle. Some commenters stated that archaeological
data shows that changes in sea otter abundance have occurred over time.
Our Response: As sea otters recolonized their former range during
the 20th century, the typically observed pattern was for initial rapid
population growth, followed by a period of decline until the population
reached equilibrium density. The driving factor in the subsequent
decline was prey scarcity, which led to either starvation and/or
emigration of otters. If sea otters had in fact exceeded the carrying
capacity of the environment, we would expect to see fewer prey and more
starving sea otters, neither of which have been observed. Contrary to
this expectation, the biomass of sea urchins, the preferred prey
species of sea otters in the Aleutians, is significantly greater in
areas where otters have declined, and sea otter carcasses are
relatively scarce (Estes et al. 1998).
We are aware of some recent archaeological information from a small
number of sites that indicates the presence of sea otter remains in
midden sites has fluctuated over long time scales; however, several
interpretations are possible from these data. For example, it is not
known if the abundance of items in these sites is a function of their
abundance in the environment or hunter selectivity. It is also not
clear if cultural uses of sea otters may have varied over time,
resulting in changes in the deposition of bones present in middens. For
example, if otters were harvested for their pelts only and the
remainder of the carcass were not retrieved, it is unlikely that their
bones would be represented in midden sites.
Comment 6: One commenter stated that the use of counts in some
areas and estimates in other areas was confusing.
Our Response: We revised the rule to clarify the difference between
the counts and estimates in an earlier section (see Population Trends
of Sea Otters in Southwest Alaska). While there are differences between
the two types of surveys, in all cases we compare counts with counts
and estimates with estimates to determine sea otter population trends.
Comment 7: One commenter stated that there are no reliable
estimates of pre-decline abundance of sea otters in southwest Alaska.
Our Response: We acknowledge that the data record for sea otters in
southwest Alaska is sparse, and that with the exception of Calkins and
Schneider (1985), there are no comprehensive population estimates for
the pre-decline population. Burn et al. (2003) used computer models to
estimate the carrying capacity and pre-decline abundance of sea otters
in the Aleutian islands, and their result was comparable to that of
Calkins and Sch